Federated Hermes Limited Remuneration Policy
Introduction
Our remuneration policy is designed to attract, motivate, retain, and reward staff, regardless of each individual’s protected characteristics (as per the Equality Act 2010), including gender, ethnicity, age, disability, socio-economic status, gender reassignment, race, marital or civil partnership status, pregnancy or maternity, religion or belief, or sexual orientation.
Our philosophy is to reward individual contribution, as demonstrated by the delivery of results that are aligned with our business strategy, values and, behaviours and which serve the best interests of our clients, their investors and our shareholders while enabling the business to profitably grow to its potential.
Through focusing on long-term awards (including co-investment of deferred bonuses in funds managed by FHL Group), our remuneration strategies are designed to: encourage all staff to act like long term stakeholders; create enduring, responsible wealth for our clients and their investors; support our responsible performance culture to create a sustainable business; discourage excessive or concentrated risk taking; and avoid conflicts of interest.
Individual and organisational performance is transparently and rigorously assessed against a combination of financial (multi-year) and non-financial targets and criteria to determine appropriate total compensation that will attract and retain our talent.
Reward Strategy Principles
Our policies, procedures and practices are guided by our principles, which form the basis of our approach to performance and behaviour-linked total compensation. Our reward principles are:
- to encourage staff to deliver on the business purpose of enduring, responsible wealth creation that enriches investors, society, and the environment;
- to be aligned with the business strategy, objectives, values and long-term interests of FHL Group as reflected in the Federated Hermes Pledge (which include, amongst others, acting in the best interests of the clients and (as relevant) investors);
- to provide competitive total remuneration potential, designed to attract, retain, motivate, and reward staff that deliver outstanding long-term performance and corporate behaviours;
- to promote sound and effective risk management (including investment risk, sustainability risk (including climate and nature risk) and other risk factors), and (where applicable) to design remuneration practices in a way that is consistent with ensuring good outcomes for retail customers ;
- to ensure remuneration is linked to investment, business, personal performance, and corporate behaviours for all staff, and where appropriate measured over the short, medium, and long-term;
- to differentiate and reward strong performance and demonstration of compliant behaviours and to proactively manage poor performance and behaviours not aligned to our values;
- to deliver reward programs which are transparent, competitive and affordable; and
- to deliver compensation and benefit strategies consistent with the ethos and strategy set by FHL Group’s ultimate parent undertaking, Federated Hermes, Inc.
Enduring Wealth Creation
Building on the principles above, the FHL Group seeks outperformance and positive outcomes whilst aiming to deliver enduring wealth creation that enriches all our stakeholders – investors, society and the environment – by investing responsibly. The principle of responsible wealth creation includes consideration of sustainability and ESG factors as appropriate.
To achieve this, the Performance Management Framework that underpins the Performance Assessment process described at section 7 incorporates consideration of stewardship and the integration of responsible performance and risk management in both the investment activities and wider operations of the FHL Group. In particular:
- Senior management are incentivised to drive FHL Group’s strategy and initiatives in line with the FHL Group’s business purpose of achieving enduring, responsible wealth creation. This is intended to ensure that purpose is at the heart of all FHL Group’s key business and operational decisions and processes.
- Performance is assessed with a view to promoting best practices including the integration of investor stewardship, appropriate risk-return metrics, and (where relevant) material ESG considerations, in the investment process and decision-making.
- Staff have performance objectives that relate to responsible wealth creation as appropriate for their role. This ranges from staff working in investment management, client relationship management and product design/development, to those in Human Resources, IT, Compliance and Risk.
- The mechanisms for risk-related adjustments – to the overall bonus pool, the bonus pool for individual teams/business units/functions, and individual outcome determinations – takes into consideration sustainability risk, including climate and nature-related risk.
- Staff are assessed against responsibility-related objectives and behaviours in their annual performance assessment (where relevant), which informs annual bonus outcomes. This is supported by the co-investment of deferred bonuses in funds managed by FHL Group to align staff to longer-term investment performance after the bonus has been awarded.
Categories of Staff (Material Risk Takers, Code Staff and Identified Staff)
UK and Ireland – UCITS and AIFMD regimes: The Remuneration Requirements under the UCITS regime (i.e. UCITS Remuneration Code in the UK, and the UCITS Remuneration Regime (Ire)), and the AIFMD regime (i.e. the AIFM Remuneration Code and the AIFM Remuneration Regime (Ire)) apply to those categories of staff whose professional activities have a material impact on the risk profiles of the relevant entity and/or the products it manages. Such staff are termed “Code Staff” under the UK Remuneration Requirements, and “Identified Staff” under the Irish Remuneration Requirements.
UK – MIFIDPRU Remuneration Code: Whilst the Basic requirements under the MIFIDPRU Remuneration Code apply to all staff, the Standard requirements (and Extended requirements, if applicable) apply to staff whose professional activities have a material impact on the risk profile of the relevant entity and/or the assets it manages. Such staff are termed “Material Risk Takers” or “MRTs“. There are certain deemed MRTs. The categorisation of MRTs needs to be considered in relation to each individual FCA authorised MiFID-licensed firm, and also in relation to the consolidated group identified for the purposes of MIFIDPRU.
Governance
A combined Federated Hermes Limited Remuneration Assurance Committee (“FHL RAC”) assists in relation to remuneration matters for the FHL Group. The FHL RAC was established by the board of directors of FHL, and the boards of directors of HIML and HAIML, and the Governing Body of FedHUK (each a “Relevant Management Body”), have delegated authority to the FHL RAC.
Annual Review
The FHL RAC will review this Policy annually, or on an ad hoc basis where the need to do so arises, to ensure that it remains fit for the future business and compliant with the latest regulatory requirements. The FHL RAC shall update the Board of Directors of FHL following its review and shall identify any proposed changes. The Board of Directors of FHL shall take into consideration the recommendations of the FHL RAC when adopting the policy that will apply for a performance period or considering material revisions to the policy.
In addition, the development and review of this Policy is supported by relevant control functions including Human Resources, Risk, Compliance, Internal Audit and the relevant business units. These control functions and business units provide input to ensure the Policy is aligned with sound risk management and regulatory requirements.
Effective Date
The effective date of this Policy is 2025.

