Late last year, the SEC’s Office of Compliance Inspections and Examinations (OCIE), now known as the Division of Examinations, issued a compliance risk alert warning investment advisers to ensure that their compliance programs are uniform and are uniformly applied across all branch office locations. The alert summarized the findings from…
Articles Posted in Custody
Investment Advisers Cautioned not to Use Client Usernames and Passwords to Access Accounts
Investment advisers’ use of clients’ usernames and passwords to access their clients’ accounts to observe the accounts’ performance has come under scrutiny in recent years. In February 2017, the SEC Office of Compliance Inspections and Examinations (“OCIE”) disclosed in a Risk Alert that investment advisers’ use of client usernames and…
SEC Addresses Two Scenarios That May Result in RIA Custody: SLOAs and Custodial Contract Authority
The Securities and Exchange Commission (SEC) recently issued new guidance regarding the Custody Rule and inadvertent custody of client assets in the form of a No-Action Letter on standing letters of authorization (SLOAs) and a Guidance Update on custodial contract authority. This guidance comes in the wake of the recent…
Nebraska Proposes Amendments to its Investment Adviser, Broker Dealer and Securities Registration Rules
Nebraska has proposed multiple changes to its securities laws, including changes to investment adviser registration requirements, changes related to broker dealers and agents, and changes relating to securities registration procedures. As the proposed changes relate to investment advisers, Nebraska proposes to eliminate the Form IAR and to substitute registration through the…
Custody Rule for States Proposed by NASAA
The North American Securities Administrators Association (NASAA) today published for comment a proposed custody rule for investment advisers. The proposed rule modifies the account statement detail requirement in subsection (b)(4)(A) of a proposed rule previously issued by NASAA relating to the same subject. Comments to the previous proposed rule focused…