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NCS Web Seminar Annual Review of Advisory Policies and Procedures Annual Review of Advisory Policies and Procedureswith Kelli A. Capitano, J.D., CSCP ® of National Compliance Services, Inc. February 18, 2010 Delray Beach, FL 33483 561-330-7645 www.ncsonline.com info@ncsonline.com ©2010 National Compliance Services, Inc.
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Disclaimer Shareholders Service Group (SSG) and National Compliance Services, Inc. (NCS) are separate and unaffiliated and are not responsible for each other's policies or services. The material, views and opinions expressed in this presentation are solely those of the presenter and are not necessarily reflective of those held by SSG. Shareholders Service Group (SSG) and National Compliance Services, Inc. (NCS) are separate and unaffiliated and are not responsible for each other's policies or services. The material, views and opinions expressed in this presentation are solely those of the presenter and are not necessarily reflective of those held by SSG. The intent of this presentation is to provide accurate and authoritative information concerning the subject matter covered. It does not, however, constitute legal advice and is not a substitute for guidance from an attorney. All information is general in nature and does not represent either SSG’s or NCS’ opinion on specific regulatory or compliance issues. The intent of this presentation is to provide accurate and authoritative information concerning the subject matter covered. It does not, however, constitute legal advice and is not a substitute for guidance from an attorney. All information is general in nature and does not represent either SSG’s or NCS’ opinion on specific regulatory or compliance issues. For Advisor use only. For Advisor use only.
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Authority Rule 206(4)-7 under the IA Act makes it unlawful for RIAs to provide investment advice, unless the RIA: Rule 206(4)-7 under the IA Act makes it unlawful for RIAs to provide investment advice, unless the RIA: Adopts and Implements Compliance/Supervisory Procedures Adopts and Implements Compliance/Supervisory Procedures Appoints a Chief Compliance Officer (“CCO”) Appoints a Chief Compliance Officer (“CCO”) Conducts Annual Compliance Reviews Conducts Annual Compliance Reviews State regulation for state-registered advisers State regulation for state-registered advisers
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Objectives of an Annual Review To protect investors To protect investors To ensure policies & procedures are adequate and effective To ensure policies & procedures are adequate and effective To detect & prevent violations of securities laws To detect & prevent violations of securities laws To make improvements to RIA’s compliance program To make improvements to RIA’s compliance program
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Common Compliance Deficiencies Compliance manual is not “customized” Compliance manual is not “customized” Use of third party procedures without incorporation into the RIA’s policies and procedures Use of third party procedures without incorporation into the RIA’s policies and procedures Lack of reference to rules of relevant jurisdiction (state-registered advisers) Lack of reference to rules of relevant jurisdiction (state-registered advisers)
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Fundamental Areas of Compliance Policies and Procedures Portfolio Management Process Portfolio Management Process Proprietary Trading Proprietary Trading Process to Value Account Holdings Process to Value Account Holdings Safeguarding of Client Assets Safeguarding of Client Assets Accurate Creation/Preservation of Records Accurate Creation/Preservation of Records Safeguards for Privacy Protection of Client Records/Information Safeguards for Privacy Protection of Client Records/Information Marketing and the Use of Solicitors Marketing and the Use of Solicitors Trading Practices Trading Practices Business Continuity/Succession Plans Business Continuity/Succession Plans Accuracy of Disclosures Accuracy of Disclosures
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Components of an Annual Review of Policies and Procedures Risk Assessment Risk Assessment Testing Testing Review of Compliance Breaches Review of Compliance Breaches Remediation Remediation Documentation Documentation
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Documents to Include in Review Form ADV Form ADV Advisory Agreements Advisory Agreements Financials Financials Client Files Client Files List of Risks Associated with the RIA List of Risks Associated with the RIA List of Compliance Breaches List of Compliance Breaches Prior Compliance Reviews Prior Compliance Reviews (not an exhaustive list)
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Risk Assessment & Internal Controls Identify all potential conflicts of interests based on the firm’s practices and business affiliations Identify all potential conflicts of interests based on the firm’s practices and business affiliations Identify all areas in which there is a risk of non- compliance with regulation, financial loss, or loss to reputation Identify all areas in which there is a risk of non- compliance with regulation, financial loss, or loss to reputation Analyze whether current controls in place are sufficient to prevent/mitigate risks Analyze whether current controls in place are sufficient to prevent/mitigate risks
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Testing Review polices and procedures and “test” for adequacy and effectiveness Review polices and procedures and “test” for adequacy and effectiveness Sample Questions to Ask Yourself Sample Questions to Ask Yourself Portfolio Management Process Portfolio Management Process Do we have a process to ensure that the investment advice provided to our clients is consistent with their expectations, direction, restrictions, and risk tolerance? Do we have a process to ensure that the investment advice provided to our clients is consistent with their expectations, direction, restrictions, and risk tolerance? Do our investment recommendations carry a greater risk than we have disclosed to our clients? Do our investment recommendations carry a greater risk than we have disclosed to our clients? Are our account management and review practices consistent with our ADV disclosures? Are our account management and review practices consistent with our ADV disclosures? Do we allocate IPOs and other investment opportunities fairly among clients? Do we allocate IPOs and other investment opportunities fairly among clients? Do we conduct and document due diligence reviews on third party advisers? Do we conduct and document due diligence reviews on third party advisers?
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Testing (cont’d) Sample Questions to Ask Yourself Sample Questions to Ask Yourself Trading Practices Trading Practices Do we have policies and procedures in place designed to seek best execution of clients’ orders? Do we have policies and procedures in place designed to seek best execution of clients’ orders? Do we periodically conduct a review to ensure our clients are receiving best execution? Do we periodically conduct a review to ensure our clients are receiving best execution? Do we have policies and procedures on aggregation of orders? Do we have policies and procedures on aggregation of orders? If we do not aggregate orders, do we state so in our Form ADV and explain why? If we do not aggregate orders, do we state so in our Form ADV and explain why? Does our custodian provide us with their policy on best execution? Does our custodian provide us with their policy on best execution? How do we handle trade errors? How do we handle trade errors?
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Testing (cont’d) Sample Questions to Ask Yourself Sample Questions to Ask Yourself Proprietary Trading Proprietary Trading Does our CCO collect and review initial and annual holding reports as well as quarterly transaction reports? Does our CCO collect and review initial and annual holding reports as well as quarterly transaction reports? Is periodic training provided to our staff with respect to ethical conduct? Is periodic training provided to our staff with respect to ethical conduct? Do we have a Code of Ethics? Do we have a Code of Ethics? Do we obtain written initial and annual acknowledgement regarding each Access Persons’ receipt and understanding of the Code? Do we obtain written initial and annual acknowledgement regarding each Access Persons’ receipt and understanding of the Code? Are violations of the Code handled appropriately and consistently across all staff levels? Are violations of the Code handled appropriately and consistently across all staff levels? Is our Code of Ethics summarized in our Form ADV on Schedule F, Item 9.E. and do we state that a complete copy is available upon request? Is our Code of Ethics summarized in our Form ADV on Schedule F, Item 9.E. and do we state that a complete copy is available upon request? Do we participate in aggregated orders? If so, how do we handle partial fills? Do we participate in aggregated orders? If so, how do we handle partial fills?
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Testing (cont’d) Sample Questions to Ask Yourself Sample Questions to Ask Yourself Accuracy of Disclosures Accuracy of Disclosures Do we keep our Form ADV up-to-date and provide our clients with a copy of our Form ADV Part II and privacy policy notice upon execution of the agreement? Do we keep our Form ADV up-to-date and provide our clients with a copy of our Form ADV Part II and privacy policy notice upon execution of the agreement? Do we offer our current Form ADV Part II, and provide a copy of our privacy notice to clients annually? Do we offer our current Form ADV Part II, and provide a copy of our privacy notice to clients annually? Are our required filings (e.g., Form ADV, 13F) accurately and completely prepared and filed on a timely basis? Are our required filings (e.g., Form ADV, 13F) accurately and completely prepared and filed on a timely basis? Do the disclosures in our Form ADV provided to clients fully and fairly describe our services, fees, and material conflicts of interest? Do the disclosures in our Form ADV provided to clients fully and fairly describe our services, fees, and material conflicts of interest? Have we reported to clients information required on any adverse financial condition of our firm or certain disciplinary events of the firm or its supervised persons? Have we reported to clients information required on any adverse financial condition of our firm or certain disciplinary events of the firm or its supervised persons?
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Testing (cont’d) Sample Questions to Ask Yourself Sample Questions to Ask Yourself Marketing and the Use of Solicitors Marketing and the Use of Solicitors Are all “communications with clients” truthful, representative, complete, and not misleading? Are all “communications with clients” truthful, representative, complete, and not misleading? Do we use testimonials? Do we use testimonials? Do we have adequate disclosure and documentation for our performance advertising? Do we have adequate disclosure and documentation for our performance advertising? Do our references to third party ratings contain adequate disclosure? Do our references to third party ratings contain adequate disclosure? Have we included our website content and all written communication with more than one client in our advertising review? Have we included our website content and all written communication with more than one client in our advertising review? Do the disclosure documents used by us and third party solicitor(s) comply with state specific requirements or Rule 206(4)-3 for SEC registered firms? Do the disclosure documents used by us and third party solicitor(s) comply with state specific requirements or Rule 206(4)-3 for SEC registered firms? Are all payments made to third party solicitors or other compensation arrangements with solicitors consistent with our disclosures? Are all payments made to third party solicitors or other compensation arrangements with solicitors consistent with our disclosures? If required, are solicitors properly licensed with appropriate regulatory authorities? If required, are solicitors properly licensed with appropriate regulatory authorities?
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Testing (cont’d) Sample Questions to Ask Yourself Sample Questions to Ask Yourself Safeguarding of Client Assets Safeguarding of Client Assets Do we comply with the safekeeping requirements of Rule 206(4)-2, as amended? Do we comply with the safekeeping requirements of Rule 206(4)-2, as amended? With respect to accounts for which our fee is directly debited, have we established a “reasonable belief” that the account custodian sends statements to clients after “due inquiry?” With respect to accounts for which our fee is directly debited, have we established a “reasonable belief” that the account custodian sends statements to clients after “due inquiry?” Do we compare custodians’ records with our records? Do we compare custodians’ records with our records? Do we have procedures in place to ensure our associated persons do not take custody over clients’ funds or securities? Do we have procedures in place to ensure our associated persons do not take custody over clients’ funds or securities? If we have custody over clients’ funds or securities, do we comply with the audit requirement with respect to these accounts? If we have custody over clients’ funds or securities, do we comply with the audit requirement with respect to these accounts?
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Review of Compliance Breaches Gather information on compliance breaches Gather information on compliance breaches i.e., trade errors, breach of client privacy i.e., trade errors, breach of client privacy Assess how the error may have been avoided Assess how the error may have been avoided Review client complaints Review client complaints Evaluate for evidence of weakness in compliance program Evaluate for evidence of weakness in compliance program Review regulatory deficiency letters or results of previous review Review regulatory deficiency letters or results of previous review Evaluate for evidence of continuing problems Evaluate for evidence of continuing problems
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Remediation Identify a resolution for all compliance breaches Identify a resolution for all compliance breaches Possible Solutions Possible Solutions Amend policies and procedures to prevent future occurrences Amend policies and procedures to prevent future occurrences Amend disclosures Amend disclosures Disciplinary Action Disciplinary Action
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Documentation Document findings and how breaches/weaknesses were addressed Document findings and how breaches/weaknesses were addressed Examples of Documentation Examples of Documentation Checklists Checklists Risk matrix mapped to compliance manual Risk matrix mapped to compliance manual Memo to file Memo to file Minutes of compliance meetings Minutes of compliance meetings Compliance calendars Compliance calendars
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Self-Reporting Should always seek legal advice before reporting Should always seek legal advice before reporting Always bring the matter to the attention of senior management; discuss internally Always bring the matter to the attention of senior management; discuss internally Encouraged by regulatory authorities Encouraged by regulatory authorities May mitigate harshness of enforcement actions, but no guarantee May mitigate harshness of enforcement actions, but no guarantee
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Resources North American Securities Administrators Association: http://www.nasaa.org North American Securities Administrators Association: http://www.nasaa.orghttp://www.nasaa.org Gene A. Gohlke, Examiner Oversight of "Annual" Reviews Conducted by Advisers and Funds – 04/07/2006: http://www.sec.gov/info/cco/ann_review_oversight.htm Gene A. Gohlke, Examiner Oversight of "Annual" Reviews Conducted by Advisers and Funds – 04/07/2006: http://www.sec.gov/info/cco/ann_review_oversight.htm http://www.sec.gov/info/cco/ann_review_oversight.htm Compliance Programs of Investment Companies and Investment Advisers, SEC Release No. IA-2204: http://www.sec.gov/rules/final/ia-2204.htm Compliance Programs of Investment Companies and Investment Advisers, SEC Release No. IA-2204: http://www.sec.gov/rules/final/ia-2204.htmhttp://www.sec.gov/rules/final/ia-2204.htm A copy of this presentation is available via E-mail: kcapitano@ncsonline.com kcapitano@ncsonline.comkcapitano@ncsonline.com
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