Fewpips CFD Challenge Terms
These Fewpips Evaluation Terms (the "Challenge Terms") govern your participation in the trading
simulations offered by Fewpips, (Business Registration No. 203341234), with its registered office at
La Place Creole Building, Rodney Bay, Gros Islet, St. Lucia.
By purchasing an Evaluation, you (the "Client" or "Counterparty") agree to be legally bound by
these Terms. Participation is prohibited if these Terms are not accepted in their entirety.
SECTION 1: EVALUATION ARCHITECTURE
1.1 Challenge Models
Fewpips provides three primary assessment structures: Fewpips 1-Step, Fewpips 2-Step, and Fewpips 3-Step.
1.2 Operational Trading Guidelines
Adherence to these metrics is mandatory. Failure to comply results in immediate account forfeiture.
| Metric |
Fewpips 1-Step |
Fewpips 2-Step |
Fewpips 3-Step |
| Daily Loss Limit |
4% |
4% |
5% |
| Max Overall Loss |
$5,000: 6%
$10,000: 7%
$25,000: 8%
$50,000: 9%
$100,000: 10%
|
8% |
8% |
| Profit Target |
10% |
Ph 1: 8% / Ph 2: 5% |
Ph 1: 8% / Ph 2: 4% / Ph 3: 4% |
| Min. Trading Days |
$5,000: 5 Minimum trading days
$10,000: 4 Minimum trading days
$25,000: 3 Minimum trading days
$50,000: 2 Minimum trading days
$100,000: 2 Minimum trading days
|
5 Days (Per Phase) |
5 Days (Per Phase) |
1.3 Activity & Maintenance
To ensure platform stability, accounts must remain active. Seven (7) consecutive days of zero trading
activity will result in the account being marked as Inactive and deactivated. A single executed
trade within the 7-day window resets this timer.
1.4 Technical & Strategy Restrictions
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Exploitation: Utilising system flaws or data-feed latencies is strictly prohibited.
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Hedging: Cross-account hedging (within Fewpips or across different firms) to manipulate risk is
forbidden.
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Add-ons: Any custom "Add-ons" selected at checkout modify these standard guidelines and take
precedence.
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Expert Advisors (EAs): Must be pre-vetted. You must be able to prove the strategy is yours or
significantly unique. EA's and Bots are not permitted on Future Based CFDs.
SECTION 2: PROHIBITED TRADING METHODOLOGIES
The Client is strictly prohibited from employing the following toxic strategies, which undermine the integrity
of the professional evaluation:
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Latency & Arbitrage: Exploiting price delays, slow data feeds, or gap trading.
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Group Coordination: Group Trading or manipulating outcomes via connected accounts.
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HFT & System Abuse: High-frequency trading or ultra-high-speed software designed to exploit the
simulated environment.
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Unprofessional Conduct: Tick Scalping, extreme Martingale, or aggressive Grid trading.
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Copy Trading: Mimicking other traders or utilising third-party account management services.
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Gambling Behavior: Excessive risk-taking or utilising over 70% of available margin on a single
setup is categorised as gambling and is grounds for termination.
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Lot Size Consistency: To maintain the integrity of the evaluation, trading volume must remain
consistent with the Client’s established trading profile. For example, if a Client primarily executes trades
at a volume of 0.50 lots, the use of significantly smaller positions (e.g., 0.01 lots) to bypass minimum
trading day requirements or consistency metrics is prohibited. Such trades may be invalidated during the
Post-Trade Audit at the discretion of the auditor.
SECTION 3: COUNTERPARTY VERIFICATION (KYC)
3.1 Objectives
Our Customer Due Diligence (CDD) and Enhanced Due Diligence (EDD) protocols are designed to mitigate money
laundering risks and ensure compliance with global sanctions.
3.2 The Manual Verification Model
Fewpips utilises a human-to-human verification system.
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Timeline: Verification is triggered after successful completion of all challenge phases and prior to
the first reward disbursement (for Crypto users). For Debit/Credit card users, KYC must be completed
before the initial purchase.
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Required Documentation: Government-issued photo ID (Passport or National ID) and, where requested,
Proof of Address (Utility Bill).
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Expiry: Expired documents result in immediate rejection.
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Internal Handling: All data is processed internally by authorised Fewpips compliance personnel; no data
is sold to external marketing aggregators.
SECTION 4: REFUND & TERMINATION POLICY
4.1 Service Activation
Execution of the first trade constitutes a formal request for immediate service performance. At this
moment, the Client waives the right to a refund under standard consumer withdrawal laws.
4.2 Refund Eligibility
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Unactivated Accounts: A refund may be requested within 7 days of purchase provided no trades
have been placed.
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Breach Termination: Accounts closed due to rule violations (Drawdown or Prohibited Practices) are not
eligible for any refund.
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Non-Activation: Accounts not activated within 30 days of purchase will be archived.
SECTION 5: DISPUTE & CHARGEBACK MANAGEMENT
5.1 Fraudulent Disputes
Raising a False Dispute (claiming services weren't rendered when they were) will result in a permanent ban.
5.2 Resolution Protocol
If a dispute is raised, the associated account is immediately paused. To reactivate an account, the Client must:
- Withdraw the dispute with their financial institution.
- Provide Fewpips with official proof of withdrawal.
-
Allow up to 45 to 60 business days for risk management to verify the documents and reactivate the
credentials.
SECTION 6: FEES AND CHARGES
6.1. Commission Structure All trades executed on the MT5 platform are subject to a per-trade commission
charged upon both the opening and closing of each position:
- Forex: $3 per standard lot (one side) — $6 total per standard lot round trip
- Indices: $3 per standard lot (one side) — $6 total per standard lot round trip
- Commodities/Metals: $3 per standard lot (one side) — $6 total per standard lot round trip
- Crypto: 0.04% of the opening price per lot
Commissions are charged on a per-side basis and apply equally across all account sizes and challenge types
(1-Step, 2-Step, and 3-Step).
SECTION 7: FINAL LEGAL PROVISIONS
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Neutral Interpretation
Any linguistic ambiguity shall be resolved neutrally and not automatically against Fewpips as the drafting
party.
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Governing Law
This Agreement is governed by the laws of St. Lucia.
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Local Compliance
The Client is solely responsible for ensuring their participation does not violate the local laws of their
residence.
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Modifications
Fewpips reserves the right to adjust these metrics and terms at its discretion. Continued use of the platform
following notification constitutes acceptance of updated terms.