1. Purpose
This policy explains the factors DOYOS considers when receiving, transmitting or executing client orders in Forex and CFDs. It should be read with the client agreement and product specifications.
2. Execution model
DOYOS account information describes a direct-market-access / no-dealing-desk approach. Orders can be matched or hedged through available liquidity and technology arrangements according to the account and product structure.
The exact legal capacity, venue and counterparty treatment are defined by the client agreement and execution schedule.
3. Execution factors
Relevant factors can include price, cost, speed, likelihood of execution and settlement, order size, market nature, liquidity, technology and client instructions. Price may be the primary factor for retail clients, while other factors can become important in stressed conditions.
4. Prices and quotes
Quotes can be derived from liquidity and market sources and adjusted for account pricing. The bid and ask shown in MT5 are the live account reference. Website and external-widget prices are indicative.
Prices can be removed, corrected or considered erroneous where an obvious technical or market-data error occurred, subject to the agreement.
5. Order handling
A market order seeks execution at the best available price. Limit, stop and stop-limit orders activate according to their defined conditions. An activated stop becomes an instruction and can execute away from the trigger price.
Orders may be rejected, partially filled, cancelled or delayed where price, liquidity, margin, volume, market status or connectivity does not support the request.
6. Slippage and gaps
Positive and negative slippage are possible. During a gap, the next available price may be materially different from a stop, pending-order or market level displayed before the event.
7. Monitoring and review
Execution arrangements, price sources, technology, complaints and quality can be monitored and reviewed. Changes may be made when reasonably required for market access, risk, compliance or service quality.
8. Client instructions and prohibited conduct
A specific client instruction can limit the ability to apply the standard execution process. Manipulation, latency abuse, price-feed exploitation, fraudulent activity or other prohibited conduct can be investigated under the agreement.
9. Records and queries
MT5 order, deal and server records are important for an execution review. Queries should include the account, order or deal ID, symbol, server timestamp and platform logs.

