INVESTMENT ADVISERS Regulatory, Legal and Supervisory Matters. Overture

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Regulatory, Legal and Supervisory Matters Overture

INVESTMENT ADVISER OVERSIGHT DEVELOPMENTS Jen Klass Partner Morgan, Lewis & Bockius

Adviser Oversight Developments Scope of FINRA Jurisdiction Over Investment Advice Section 914 of Dodd-Frank Act Impose user fees on SEC-registered advisers Establish an SRO for investment advisers Extend FINRA s reach to include advisers dually registered as brokers No jurisdiction to enforce the Advisers Act Continuing convergence of investment advisory and brokerage services

Adviser Oversight Developments Application of FINRA Rules to Investment Advice FINRA Rule 2010 Just and Equitable Principles FINRA Rule 2111 Suitability Recommendation of an investment strategy involving a security FINRA Rule 2210 Communications with the Public Interpretive Letter to FSC (July 30, 1998) FINRA Rule 3040 Private Securities Transactions Proposed Rule 3110(b)(3) FINRA Rule 8210 - Information and Testimony Requests Trade Reporting Rules

SUPERVISION AND SURVEILLANCE Jennifer Tuohy Senior Counsel Thrivent Financial for Lutherans

Supervision and Surveillance Wrap Fee and Managed Account Program Surveillance Shadowing third-party managers Suitability of recommended advisory service compared to other products/services, including brokerage services. Account holdings and activity (e.g., cash, level of trading) Custody SEC identifies common deficiencies in March 4, 2013 National Exam Program Risk Alert Failure by advisers to recognize they have custody under Rule 206(4)-2.

Social Media INVESTMENT ADVISERS Supervision and Surveillance Compliance Program Policies and Procedures Detailed procedures including usage guidelines Approval of content Training Personal/Professional sites Third-Party Content Policies to avoid Advisers Act violations related to testimonials under Rule 206(4)-1.

SEC ENFORCEMENT OF COMPLIANCE PROGRAM DEFICIENCIES Dan Peterson Partner Husch Blackwell

SEC Enforcement of Compliance Program Deficiencies Changing Nature of Enforcement Increasing Frequency of Compliance Program Enforcement Increasing Focus on Individuals and CCOs Increasing Use of Non-Financial Penalties

SEC Enforcement of Compliance Program Deficiencies Specific Deficiencies Failure to Adopt Compliance Programs Failure to Tailor Off the Shelf Procedures Manuals Failure to Update Procedures Failure to Train Staff CCO s With Insufficient Authority or Resources Failure to Correct Examination Deficiencies

SEC Enforcement of Compliance Program Deficiencies Enforcement Cases Worth Noting OMNI Investment Advisors, Inc. Failure to adopt procedures or implement compliance program; COE failures; books and records Feltl & Company Failure to adopt comprehensive procedures; principal transactions in advisory accounts; charging undisclosed fees (commissions plus wrap); COE failures; inadequate compliance resources

SEC Enforcement of Compliance Program Deficiencies Enforcement Cases Worth Noting (ctd.) Asset Advisors Failure to adopt procedures or fully implement compliance program; taking remedial steps only when notified of impending examination; COE failures Foxhall Capital Management Failure to adopt procedures; books and records; failure to follow stated procedures; failure to timely remediate examination findings; failure to conduct annual review; failure to integrate trade management system and custodian s client account systems (resulting in NSF and improper reallocations)

Regulatory, Legal and Supervisory Matters Outro