Order Execution Policy
Effective Date: April 2026
1. Overview
This Order Execution Policy explains how Geloro Pay Ltd executes client transactions involving the conversion of fiat currency and crypto-assets.
The Company is a registered Money Services Business (MSB) in Canada and operates in compliance with the Proceeds of Crime (Money Laundering) and Terrorist Financing Act (PCMLTFA) and FINTRAC requirements.
The Company provides crypto-asset conversion services only, specifically:
- Fiat currency → crypto-assets
- Crypto-assets → fiat currency
The Company does not provide trading, brokerage, investment advice, or portfolio management services.
2. Service Model
Geloro Pay Ltd operates a direct over-the-counter (OTC) execution model for fiat-to-crypto and crypto-to-fiat conversion transactions.
This means:
- The Company acts as the principal counterparty to each transaction
- Transactions are executed individually (not via an order book or trading platform)
- Pricing is provided as a firm quote before execution
The Company does not operate a public exchange or matching system.
3. Non-Custodial Structure
The Company operates on a non-custodial basis, meaning:
- The Company does not provide or manage customer wallets
- The Company does not store or control private keys
- Clients must use their own external wallets for crypto transactions
This structure ensures clients retain full control of their digital assets at all times, reducing custody-related risk.
4. How Orders Are Executed
When a client initiates a transaction:
- The client requests a quote
- A real-time price is displayed (including fees and spread)
- The client confirms the transaction
- The order is executed immediately after confirmation
Execution may involve:
- Internal liquidity (Company inventory)
- External liquidity providers and regulated counterparties
All execution is based on prevailing market conditions at the time of confirmation.
5. Pricing and Best Execution
The Company aims to provide fair and competitive pricing based on:
- Market liquidity
- Transaction size
- Execution speed
- Network and settlement conditions
Clients receive:
- Transparent, upfront pricing
- No hidden fees
- Clear breakdown of spreads and costs
Once a transaction is confirmed, the price is fixed.
6. Settlement Process
Settlement depends on transaction type:
- Crypto transfers: processed on blockchain networks after confirmation
- Fiat transfers: processed through regulated banking partners
Typical settlement times vary depending on network and banking conditions.
7. Risk Disclosure
Clients acknowledge that crypto-asset transactions involve risks, including:
- Market volatility
- Blockchain network delays
- Liquidity fluctuations
- Potential loss of access to wallets if private keys are compromised
The Company does not guarantee:
- Investment returns
- Asset price stability
- Continuous availability of services
Clients are solely responsible for their transaction decisions.
8. Execution Limitations
The Company may, where necessary:
- Refuse or delay a transaction
- Request additional verification (KYC/AML checks)
- Cancel transactions in cases of extreme market conditions or compliance requirements
These measures are required to comply with legal and regulatory obligations.
9. Conflicts of Interest
As the Company acts as principal in transactions, it may have inherent commercial interests.
To manage this, the Company ensures:
- Transparent and consistent pricing
- Uniform treatment of clients
- Internal compliance oversight
- No preferential treatment between clients
10. Compliance and Regulation
The Company operates under strict regulatory obligations, including:
- FINTRAC MSB registration requirements
- Canadian AML/CTF legislation (PCMLTFA)
- Sanctions screening and monitoring
- Ongoing transaction monitoring
Suspicious activity may be reported to relevant authorities as required by law.
11. Contact
For questions regarding this policy:
📧 support@octapex.com
🌐 https://octapex.com
📍 1055 West Georgia Street, Suite 2100, Vancouver, BC V6E 3P3, Canada