In its position-recommendation n°2013-10, AMF reminds the recommendations stated by the Committee of European Securities Regulators about remuneration and advantages received during the commercialisation of financial instruments and management under agency. AMF asks the investment service providers and the financial investment advisers to apply to these recommendations and clarify its expectations and practices it thinks to be in accordance. It deals in particular with : internal procedures of identification and classification of remunerations (i), the clients information about those advantages and remunerations received (ii), the improvement of the quality of the service given to the client and the capacity to act in their clients' best interests (iii).