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You are not a client but would like to have more information about Societe Generale Private Banking? Please fill in the form below.

Local contacts

France: +33 (0)1 53 43 87 00 (9am - 6pm)
Luxembourg: +352 47 93 11 1 (8:30am - 5:30pm)
Monaco: +377 97 97 58 00 (9/12am - 2/5pm)
Switzerland: Geneva +41 22 819 02 02
& Zurich +41 44 218 56 11 (8:30am - 5:30pm)

You would like to contact us about the protection of your personal data?

Please contact the Data Protection Officer of Societe Generale Private Banking France by sending an email to the following address: protectiondesdonnees@societegenerale.fr.

Please contact the Data Protection Officer of Societe Generale Luxembourg by sending an email to the following address: lux.dpooffice@socgen.com.

For customers residing in Italy, please contact BDO, the external provider in charge of Data Protection, by sending an email to the following address: lux.dpooffice-branch-IT@socgen.com

Please contact the Data Protection Officer of Societe Generale Private Banking Monaco by sending an email to the following address: list.mon-privmonaco-dpo@socgen.com

Please contact the Data Protection Officer of Societe Generale Private Banking Switzerland by sending an email to the following address : ch-dataprotection@socgen.com

You need to make a claim?

Societe Generale Private Banking aims to provide you with the best possible quality of service. However, difficulties may sometimes arise in the operation of your account or in the use of the services made available to you.

Your private banker  is your privileged contact to receive and process your claim.

 If you disagree with or do not get a response from your advisor, you can send your claim to the direction  of Societe Generale Private Banking France by email to the following address: FR-SGPB-Relations-Clients@socgen.com or by mail to: 

Société Générale Private Banking France
29 boulevard Haussmann CS 614
75421 Paris Cedex 9

Societe Generale Private Banking France undertakes to acknowledge receipt of your claim within 10 (ten) working days from the date it is sent and to provide you with a response within 2 (two) months from the same date. If we are unable to meet this 2 (two) month deadline, you will be informed by letter.

In the event of disagreement with the bank  or of a lack of response from us within 2 (two) months of sending your first written claim, or within 15 (fifteen) working days for a claim about a payment service, you may refer the matter free of charge, depending on the nature of your claim, to:  

 

The Consumer Ombudsman at the FBF

The Consumer Ombudsman at the Fédération Bancaire Française (FBF – French Banking Federation) is competent for disputes relating to services provided and contracts concluded in the field of banking operations (e.g. management of deposit accounts, credit operations, payment services etc.), investment services, financial instruments and savings products, as well as the marketing of insurance contracts.

The FBF Ombudsman will reply directly to you within 90 (ninety) days from the date on which she/he receives all the documents on which the request is based. In the event of a complex dispute, this period may be extended. The FBF Ombudsman will formulate a reasoned position and submit it to both parties for approval.

The FBF Ombudsman can be contacted on the following website: www.lemediateur.fbf.fr or by mail at:

Le Médiateur de la Fédération Bancaire Française
CS 151
75422 Paris CEDEX 09

 

The Ombudsman of the AMF

The Ombudsman of the Autorité des Marchés Financiers (AMF - French Financial Markets Authority) is also competent for disputes relating to investment services, financial instruments and financial savings products.

For this type of dispute, as a consumer customer, you have therefore a choice between the FBF Ombudsman and the AMF Ombudsman. Once you have chosen one of these two ombudsmen, you can no longer refer the same dispute to the other ombudsman.

The AMF Ombudsman can be contacted on the AMF website: www.amf-france.org/fr/le-mediateur or by mail at:

Médiateur de l'AMF, Autorité des Marchés Financiers
17 place de la Bourse
75082 PARIS CEDEX 02
FRANCE


The Insurance Ombudsman

The Insurance Ombudsman is competent for disputes concerning the subscription, application or interpretation of insurance contracts.

The Insurance Ombudsman can be contacted using the contact details that must be mentioned in your insurance contract.

To ensure that your requests are handled effectively, any claim addressed to Societe Generale Luxembourg should be sent to:

Private banking Claims department
11, Avenue Emile Reuter
L-2420 Luxembourg

Or by email to clienteleprivee.sglux@socgen.com and for customers residing in Italy at societegenerale@unapec.it

The Bank will acknowledge your request within 10 working days and provide a response to your claim within 30 working days of receipt. If your request requires additional processing time (e.g. if it involves complex research), the Bank will inform you of this situation within the same 30-working day timeframe.

In the event that the response you receive does not meet your expectations, we suggest the following:

Initially, you may wish to contact the Societe Generale Luxembourg Division responsible for handling claims, at the following address:

Corporate Secretariat of Societe Generale Luxembourg
11, Avenue Emile Reuter
L-2420 Luxembourg

If the response from the Division responsible for claims does not resolve the claim, you may wish to contact Societe Generale Luxembourg's supervisory authority, the “Commission de Surveillance du Secteur Financier”/“CSSF” (Luxembourg Financial Sector Supervisory Commission):

By mail: 283, Route d’Arlon L-1150 Luxembourg
By email:
direction@cssf.lu

Any claim addressed to Societe Generale Private Banking Monaco should be sent by e-mail to the following address: servicequalite.privmonaco@socgen.com or by mail to our dedicated department: 

Societe Generale Private Banking Monaco
Middle Office – Service Réclamation 
11 avenue de Grande Bretagne
98000 Monaco

The Bank will acknowledge your request within 2 working days after receipt and provide a response to your claim within a maximum of 30 working days of receipt. If your request requires additional processing time (e.g. if it involves complex researches…), the Bank will inform you of this situation within the same 30-working day timeframe. 

In the event that the response you receive does not meet your expectations, we suggest to contact the Societe Generale Private Banking Direction that handles the claims by mail at the following address: 

Societe Generale Private Banking Monaco
Secrétariat Général
11 avenue de Grande Bretagne 
98000 Monaco

Any claim addressed to the Bank can be sent by email to:

sgpb-reclamations.ch@socgen.com
 

Clients may also contact the Swiss Banking Ombudsman: 

www.bankingombudsman.ch

 

Understanding Responsible Investment #4 - The three characteristics of SRI 1/2

"Understanding Responsible Investment" Podcasts

Episode #4: "The characteristics of SRI 1/2"

 

by our CSR expert Dorothée Chapuis,

Head of Corporate Social Responsibility for Société Générale Private Banking Luxembourg, Monaco and Switzerland.

Interview with Petra Besson, 

Portfolio Management at Société Générale Private Wealth Management

Click on the button below to play.

Spotify

Apple Podcasts

Full Script:

Dorothée Chapuis: Hello everyone and welcome to the fourth episode of our "Understanding Responsible Investment" podcasts series. I am Dorothée Chapuis, Head of CSR for Société Générale Private Banking Luxembourg, Monaco and Switzerland, and I am with Petra Besson, Portfolio Manager at Société Générale Private Wealth Management. 

Dorothée Chapuis: Petra, what are the elements that define responsible portfolio management?

Petra Besson: There are three principles that define socially responsible investment management, or SRI management. First of all, the type of responsible management approach, then, voting and commitment policy, and finally, transparency and reporting.

Petra Besson: There are three approaches generally adopted by fund managers, which I will describe. The first approach is based on exclusions: this is the most common approach. Most SRI strategies exclude from their investment universe issuers that do not meet certain criteria related to their practices and activities. This is based both on ethical considerations and the desire to avoid reputational riskfor the investor. Exclusions related to the practices of issuers areaimed at issuers that do not comply with major international treaties such as the Ottawa Convention, which prohibits the acquisition, production, stockpiling and use of anti-personnel mines, or the United Nations Global Compact, which includes ten principles relating to respect for human rights, international labour standards, the environment and the fight against corruption. This is known as normative exclusionThese exclusions that are aimed at sectors of activity are more in line with ethical or value-based criteria. Among the activities most often excluded are unconventional fossil fuels, the arms sector, tobacco or agent gambling, etc. Let me remind you that at Societe Generale Private Banking we apply an exclusion filter on all our portfolios, funds and mandates, on controversial weapons, on non-compliance with the United Nations Global Compact, and on companies with the most severe ESG (environmental, social and governance) controversies. For funds under SRI management, we go further in the exclusions as we exclude companies the turnover of which has more than 15% exposure to the arms, gaming, pornography, tobacco and GMO sectors.

Dorothée Chapuis: Let's look at the first principle: the management approach. How can non-financial factors be taken into account in the management process?

Dorothée Chapuis: Thank you, Petra. So as an investor, a first way to take into account sustainable development criteria is to exclude certain companies or sectors of activity. What is the second approach?

Petra Besson: It's the one based on multi-sector ESG selection: the idea here is to select issuers according to their ESG rating, a notion we defined in the first podcast.  If the fund manager invests in companies with the best ESG ratings without excluding any sector of activity, this is known as the "Best-in-class" approach.  This is a very common approach, particularly in France where it accounts for the majority of SRI assets under management. Funds managers can also base their choices on the best prospects for improving the ESG rating, in which case it is referred to as a "Best-Effort" approach.  This latter approach is interesting: by preferring companies that improve their practices, we maximise the portfolio's impact in favour of sustainable development, no doubt more than by preferring companies with the best ESG ratings and which therefore no longer have much investment to make to improve their practices because they are already excellent. There is a third way in ESG multi-sector selection. This is the "Best-in-Universe" selection: the manager selects stocks with the best ESG ratings across all economic sectors. This type of strategy will de facto rule out certain sectors such as the most polluting activities or those with high CO2 emissions, for example. Of course, I would remind you that ESG selection of any kind can be combined with in-depth financial analysis, and stock selections are made according to the best risk/return profile.

Petra Besson: This is the thematic selectionThe fund manager invests in sectors directly linked to sustainable development issues such as renewable energies, energy transition, or in social issues such as diversity, health or education for example. Responsible managers often combine these approaches Notably the exclusion approach which is associated with the selection approach or the thematic approach.  The management company or manager first defines its investment universe including exclusions and then builds its portfolio using multi-sector or thematic selection. Regardless of the selection approach chosen, classic financial criteria such as the strength of the company, its earnings capacity, its competitive positioning, etc. are always part of the investment analysis. For our SRI management offer, it is the combined approach of exclusion (I mentioned this just before) and Best-in-Class and Best-Effort multi-sector selection that we have chosen at Societe Generale Private Banking.

Dorothée Chapuis: All right, Petra. As an investor, I can therefore look at how a manager takes ESG criteria into account, what selective approach he uses. You told me at the beginning of our exchange that there are three approaches, so what is the last way to operate responsible management?

Dorothée Chapuis: So to sum up, as a responsible investor, I can look at the way in which extra-financial criteria are taken into account, either exclusion, or selection, or thematic approach, or a combination of these approaches. We will see in our next podcast the other principles that characterize socially responsible investment, namely engagement and reporting. Goodbye Petra and thank you very much for your insights.


This podcast is part of a series of episodes proposed by Societe Generale Private Banking to understand responsible investment. It is available on the Spotify and Apple Podcast streaming platforms via the "#Private Talk by Societe Generale Private Banking" program and on our website www.privatebanking.societegenerale.com. Feel free to subscribe to be notified when the next episode is released and to spread the word.

Would you like to discuss this subject further with us?

Important information
The content provided on this page is for informational purposes only and is not contractually binding. The materials contained herein are not intended to provide investment advice or any other investment service and do not constitute a personal recommendation, advice, or an offer from Societe Generale Private Banking to purchase, sell or subscribe to investment services and/or financial products and/or investments in the aforementioned asset class. Some of the products, services and solutions described can carry various risks and involve the potential loss of the entire invested amount, if not theoretically unlimited loss. As such, they are reserved for a certain category of investors and/or adapted solely for informed investors who are eligible for such products, services and solutions. The information set out above shall not be considered legal, tax or accounting advice.
The wealth management and financial solutions, offers, products, services and activities mentioned on this page depend on each client’s personal situation, the legislation applying to them, and their tax residence. Consequently, the offer presented may not be eligible for implementation, adaptation or approval at all of the Societe Generale Private Banking entities and must comply with Societe Generale Group's Tax Code of Conduct. Furthermore, access to some of these products, services and solutions is subject to specific conditions, notably in respect of eligibility.
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This document is not intended as a list or summary of all the terms and conditions pertaining to financial products, nor to identify all or some of the risks that may be involved in the acquisition and/or sale of a financial product/investment in any of the aforementioned asset classes.
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Generally speaking, Societe Generale Group companies may be market makers, conduct transactions involving the securities referred to on this page, and may provide banking services to companies whose asset classes are mentioned on this page, as well as the subsidiaries thereof. Societe Generale Group companies may, from time to time, conduct transactions, generate profits, hold securities or act as adviser, broker or banker in relation to these securities, or derivatives thereof, or in connection with the asset classes mentioned in this document. Societe Generale Group companies may, from time to time, acquire or liquidate positions on the securities, or the underlying assets (including derivatives), mentioned on this page or, where applicable, any other assets. Consequently, this may affect any returns for a potential investor either directly or indirectly. Societe Generale Group companies have no obligation to disclose this page or take it into account in providing advice or conducting transactions with a client or on behalf of a client. The administrative structure of the Societe Generale Group includes all safeguards needed to identify, control and manage conflicts of interest. To this end, Societe Generale Private Banking entities have implemented a conflict of interest management policy to prevent such conflicts of interest. For further details, Societe Generale Private Banking clients may refer to the conflict of interest management policy given to them by the Societe Generale Private Banking entity of which they are clients.

Claire Douchy Head of Corporate Commitments and Responsible Projects Societe Generale Private Banking France