Hanseatic Versicherungsdienst GmbH
Insurance Brokerage according to § 34d Abs. 1
of the Trade Regulations
Bramfelder Chaussee 105
Telephone: 040 – 64 650 0
Fax: 040 – 64 650 650
Commercial Register: AG Hamburg
HR B 108 11
Managing director: Sebastian Strache
HK Handelskammer Hamburg
Telephone: 040 - 36 138 - 138
Telefax: 040 - 36 138 - 401
The registered company neither holds a direct or indirect share of the voting rights nor the capital of an insurance company. Insurance companies neither hold a direct or indirect share of the voting rights nor the capital of the registered company.
Consulting and remuneration
In the course of mediation, Hanseatic Versicherungsdienst GmbH offers advice in accordance with the legal requirements and receives a commission from the product provider for the successful mediation of an insurance contract. This commission is not to be paid separately by you to Hanseatic Versicherungsdienst GmbH, but is already included in the insurance premium. Hanseatic Versicherungsdienst GmbH does not receive any other remuneration in connection with the brokerage.
SpeakUp whistleblower channel
With immediate effect, the whistleblower channel SpeakUp is available in the Otto Group. This already complies with the regulations of the EU Directive on the establishment of secure channels for the protection of whistleblowers, which will come into force in December 2021. We would like to set an example with which we emphatically commit to our compliance values. With the new channel we want to express our appreciation for whistleblowers and ensure their protection. We take every tip about compliance violations seriously and systematically clarify suspected cases.
You can find more information here:
Our digital whistleblower portal is a protected and secure reporting channel for stakeholders as well.
Information on the Transparency Ordinance -TVO
to Article 3:
When selecting insurance companies and insurance products, we take into account the information provided by the insurers. If applicable, we do not offer insurers that recognizably do not include a strategy for incorporating sustainability risks in their investment decisions. As part of the individual advice provided in the customer's interest, we provide a separate explanation if the consideration of sustainability risks in the investment decision entails an advantage or disadvantage for the individual customer that is recognizable to us. The respective insurer informs about the respective consideration of sustainability risks in investment decisions with its pre-contractual information. If you have any questions in this regard, please feel free to contact us in advance of a possible conclusion.
to Article 4:
As part of the consultation, the most important adverse effects of investment decisions on sustainability factors of the financial market participants (insurers) are taken into account. The consideration is based on the information provided by the insurance companies. The intermediary is not responsible for its accuracy. At present, consideration can only be given to a limited extent due to information that is building up, but is currently still possibly rudimentary, by the insurers on their companies.
to Article 5:
The remuneration for the brokerage of insurance policies is not based on the sustainability risks associated with the investments of these. This means in particular that the remuneration level of the product is not influenced positively or negatively by the sustainability risks of the investment.
to Article 6:
When advising on insurance investment products, Riester and basic pensions or occupational pension schemes, I include sustainability risks by using the pre-contractual information provided by the insurers.
Realisation: Abakus Elektronik GmbH
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