Economic insights
New guidelines on fees and charges from the Bank of Tanzania
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Consumer protection remains a critical aspect of Tanzania’s financial sector. The obligation for financial service providers to comply with the Bank of Tanzania (Financial Consumer Protection) Regulations, G.N. No 884 of 2019 (the Consumer Protection Regulations) underscores this importance.
Regulation 43 (1) of the Consumer Protection Regulations requires every financial service provider to establish a mechanism for receiving, processing and determining consumer complaints. While this requirement has been in place, there were previously no standardised guidelines on how all financial service providers should embed these requirements within their operations except for banking institutions, which were guided by the Bank of Tanzania Guidelines for Banking Consumers’ Complaints, 2015 (the 2015 Guidelines).
To address this gap, the Bank of Tanzania (BoT) has issued the Guidelines for Handling Financial Consumer Complaints, 2025 (the Guidelines) which revokes the 2015 Guidelines and is applicable to all financial service providers (FSPs) licensed with the BoT. This initiative aims to strengthen consumer protection and establish a standardised framework for managing consumer complaints across FSPs including banks, financial institutions, microfinance service providers and individual money lenders.
The Guidelines aim to ensure complaints are handled efficiently, fairly, transparently, and timely, thereby increasing consumer satisfaction, trust and confidence within the financial sector. The Guidelines are designed to ensure tighter compliance with the Consumer Protection Regulations.
The following are some of the key terms as defined under the Guidelines:
Complaint means dissatisfaction expressed by a consumer on financial products or service provided by a FSP.
Complaint Handling Mechanism means systems and processes established by a FSP to effectively manage and resolve consumer complaints.
Consumer means a person that uses, or has used or is using, any of the financial products or services provided by a FSP.
Financial Consumer Protection Unit means the unit designated within the BoT to handle consumer complaints.
FSP means an institution or individual licensed, regulated and supervised by the BoT.
Primary FSP means a FSP that has a direct relationship with a consumer in offering the respective financial products or services.
Secondary FSP means a FSP indirectly involved in the consumer transaction.
Third Party means an individual or entity that forms part of the business processes which are necessary to support the provision of banking or related financial services.
In this legal update, we briefly outline the key requirements introduced under the Guidelines to ensure FSPs comply with their obligations when handling consumer complaints.
In accordance with guideline 7 of the Guidelines, FSPs must adhere to certain key principles when handling complaints to ensure consumer satisfaction and regulatory compliance. These principles include honesty, confidentiality, transparency, fairness and equal treatment. This requires FSPs to present all material facts clearly and accurately without any intent to mislead the complainant; to respect consumer privacy by ensuring that personal information and complaint details are treated with strict confidentiality; to clearly communicate their to complaint-handling processes, procedures, and expected timelines; and to treat all complainants fairly and without bias at every stage of the complaint-handling process.
Part II of the Guidelines requires FSPs to make complaint handling mechanisms easily accessible and well-publicised. Key obligations include:
Part III of the Guidelines requires FSPs to establish internal procedures for receiving, handling, resolving, monitoring, and reporting complaints. These procedures must include:
FSPs must also comply with the following requirements:
Where complainants are dissatisfied with the FSP’s initial decision, or if they do not receive a response within the prescribed timelines, they may appeal to the BoT by lodging their complaints to the Complaint Consumer Protection Unit for determination.
Complaints to the BoT must be submitted within the timelines prescribed under the Consumer Protection Regulations and in accordance with BoT’s eligibility criteria.
Consumers can now lodge complaints with the BoT during working hours through multiple channels, including:
* SEMA NA BoT in English means Speak with BoT.
Before determining a complaint, the BoT will ensure that:
Upon receiving a consumer complaint and making its initial determination as outlined above, the BoT will notify the relevant FSP and require them to submit a response to the complaint within ten (10) days from day of receipt of the notice. Failure by the FSP to respond may result in the BoT to proceeding with the complaint exparte and could lead to imposition of penalties or sanctions on the FSP.
Upon determination of the complaint by the BoT, the FSP is required to indicate acceptance or non-acceptance of the determination in writing within seven (7) days of the determination.
FSPs must submit a monthly report using a prescribed form within 15 days after the end of each month.
Any FSP that contravenes the Guidelines may be subject to sanctions and administrative measures under the Consumer Protection Regulations.
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