On August 12, 2020, the SEC’s Office of Compliance Inspections and Examinations (“OCIE”) issued a Risk Alert that addresses several COVID-19-related issues, risks and practices related to SEC- registered investment advisors and broker-dealers. OCIE’s observations were identified as a result of outreaches to firms, as well as consultation and coordination with SEC colleagues and other regulators. The staff’s recommendations fall into the following six categories:
Protection of Investors’ Assets
OCIE encourages firms to consider the following when reviewing their policies, procedures and controls regarding disbursements to investors: investors mailing checks to your firm and the firm does not pick up the mail daily, ii) clients taking unusual or unscheduled withdrawals from their account, iii) validation of the client’s identity and disbursement instructions, and iv) facilitating a trusted contact person for clients (especially seniors and other vulnerable investors).
Supervision of Personnel
How your firm supervises personnel including the oversight of supervised persons’ investment and trading activities may need to be amended in your policies and procedures if supervised persons are working in remote locations. Practices to consider that may need to be modified include:
Practices Relating to Fees, Expenses, and Financial Transactions
Firms may have experienced some financial pressure due to recent market volatility, which impacts client assets and fees. The SEC highlighted the following areas that may have increased potential for misconduct due to the current market environment:
To ensure client fees and expenses are assessed accurately and appropriately, your firm should consider validating the accuracy of your disclosures and fee and expense calculations, monitoring trends where clients were assessed high fees and expenses, and evaluating risks associated with borrowing or taking loans from investors/clients.
Investment Fraud
Times of uncertainty can create a heightened risk of investment fraud. When conducting due diligence on investments, make sure you have the clients’ best interest in mind. Bad actors pitching fraudulent schemes are out there. If you suspect investment fraud, you should contact the SEC.
Business Continuity
During a time of crisis, business continuity plans are more important than ever. As evidenced during this pandemic and among other necessary adjustments that were made to ensure business continues as usual, many financial professionals are working from remote locations. You should review your firm’s policies and procedures to determine if modifications need to be made due to unique risks and conflicts present in remote operations.
Firms should pay closer attention to securing servers and systems as needed, making sure vacated facilities remain secure, ensuring staff working remotely have adequate support and remote location data is protected. Holding team meetings to address such issues is good protocol and any material changes should be reflected in writing in the firm’s policies and procedures.
The Protection of Investor and Other Sensitive Information
As mentioned throughout this article, the COVID-19 crisis has created vulnerabilities to day-to-day operations which can greatly compromise the protection of personally identifiable information (“PII”). The following areas should be focused on when reviewing the firm’s policies and procedures:
Conclusion
This SEC Risk Alert serves as a good reminder to revisit your policies, procedures and controls, especially during this pandemic, as many routines and processes have likely changed in your business and compliance operations. The areas outlined in this article can serve as a quick checklist when considering how best to manage the risks presented by this pandemic environment. Conducting a training session with your team is also a great forum to cover the hot topics raised by OCIE in the alert. As always, feel free to reach out to your Foreside consultant if you have any questions about this recent Risk Alert.
Click here to read the full Risk Alert.