{"id":866,"date":"2018-05-15T10:24:10","date_gmt":"2018-05-15T15:24:10","guid":{"rendered":"https:\/\/www.rixtrema.com\/blog\/?p=866"},"modified":"2020-01-09T13:11:44","modified_gmt":"2020-01-09T18:11:44","slug":"the-sooner-you-know-about-secs-newly-proposed-rule-the-better","status":"publish","type":"post","link":"https:\/\/rixtrema.com\/blog\/the-sooner-you-know-about-secs-newly-proposed-rule-the-better\/","title":{"rendered":"The Sooner You Know About SEC\u2019s Newly Proposed Rule the Better"},"content":{"rendered":"<p><span style=\"color: #000000;\">With the <span style=\"color: #0000ff;\"><a style=\"color: #0000ff;\" href=\"https:\/\/www.rixtrema.com\/blog\/?s=DOL+Fiduciary+Rule\">DOL\u2019s Fiduciary Rule<\/a><\/span> seemingly gone, what\u2019s next on the block for fiduciary regulation? The Security and Exchange commission has been planning its own fiduciary rule and regulation rehaul as well. So now that the Federal Register has published the SEC\u2019s proposed reform to investment advice policy, we have a better idea of what could be in store.<\/span><\/p>\n<p><span style=\"color: #000000;\">Let\u2019s break down what the SEC is proposing for its own \u201cfiduciary rule and interpretation\u201d:<\/span><\/p>\n<p><span style=\"color: #000000;\">A main piece of what the SEC is released are some new rules when it comes to disclosing what an RIA or broker-dealer\u2019s relationship really means to a client. The primary goal is to clarify to retail investors what kinds of relationships financial professionals may have with them. Broker-dealers will need to disclose a \u201crelationship summary\u201d to all potential clients that describes what kind of relationship they have with a client, the difference of a broker-dealer and investment adviser, a standard of conduct, as well as information on fees.<a style=\"color: #000000;\" href=\"#_ftn1\" name=\"_ftnref1\">[1]<\/a> While the SEC is still deciding and taking suggestions on the best format to disclose this kind of relationship summary, it is clear that the importance of client education on what different relationships they have with financial professionals is a concept that is here to stay.<\/span><\/p>\n<p><span style=\"color: #000000;\">In addition to these new disclosure requirements, the SEC is also proposing new rules that will regulate who can refer or market themselves as a \u201cfinancial adviser\u201d. In their studies, it was found that many retail investors are very confused about the difference in responsibilities and the requirement of who had to act in their best interest that broker-dealers and investment advisers are held to. Much of this confusion seemed to stem from the way that broker-dealers may market themselves or use a title containing the word \u201cadviser\u201d. To alleviate confusion, the SEC is proposing to prohibit any broker-dealers from using this title unless they are, in fact, a registered investment adviser.<a style=\"color: #000000;\" href=\"#_ftn2\" name=\"_ftnref2\">[2]<\/a> The SEC hopes that this rule will alleviate any confusion that a retail investor may have or misconceptions on who would serve them as a fiduciary.<\/span><\/p>\n<p><span style=\"color: #000000;\">Along with these proposed rules, the SEC is also making many clarifications about what the relationship of a fiduciary means and what RIAs with this relationship are responsible for. One piece of this puzzle that the SEC includes is that fiduciaries need to be responsible for keeping track of a client\u2019s suitability. This doesn\u2019t mean just keeping track of risk tolerance of a client, but also needing to \u201cobtain a range of personal and financial information about the client, including current income, investments, assets and debts, marital status, insurance policies, and financial goals.\u201d<a style=\"color: #000000;\" href=\"#_ftn3\" name=\"_ftnref3\">[3]<\/a> This is certainly an important clarification made by the SEC in terms of what a fiduciary needs to do to make sure that a client\u2019s full situation needs to be taken into account before giving any kind of investment advice. The need for documenting your process seems just as critical as ever since the DOL rule.<\/span><\/p>\n<p><span style=\"color: #000000;\">Along with this interpretation, the SEC affirms a lot of the practices already in place for fiduciaries, including the need to disclose conflicts of interest, fees, and maintain a best interest of care and conduct to clients. This affirmation and clarification of fiduciary duty really sends a message that we are still in a strong political trend where regulators and law-makers want to make it clear to retail investors what a fiduciary is and who isn\u2019t a fiduciary. Even with the <a href=\"What%20are the latest views, opinions and outlooks on the end of the DOL Fiduciary Rule?\">DOL rule gone<\/a>, it really seems like this is an idea that isn\u2019t going away. How will you document and prove that you are acting in a client\u2019s best interest in our fiduciary era?<\/span><\/p>\n<p><span style=\"color: #000000;\"><a style=\"color: #000000;\" href=\"#_ftnref1\" name=\"_ftn1\">[1]<\/a> https:\/\/www.federalregister.gov\/d\/2018-08583\/p-142<\/span><\/p>\n<p><span style=\"color: #000000;\"><a style=\"color: #000000;\" href=\"#_ftnref2\" name=\"_ftn2\">[2]<\/a> https:\/\/www.federalregister.gov\/d\/2018-08583\/p-861<\/span><\/p>\n<p><span style=\"color: #000000;\"><a style=\"color: #000000;\" href=\"#_ftnref3\" name=\"_ftn3\">[3]<\/a> https:\/\/www.federalregister.gov\/d\/2018-08679\/p-60<\/span><\/p>\n","protected":false},"excerpt":{"rendered":"<p>With the DOL\u2019s Fiduciary Rule seemingly gone, what\u2019s next on the block for fiduciary regulation? The Security and Exchange commission has been planning its own fiduciary rule and regulation rehaul as well. So now that the Federal Register has published the SEC\u2019s proposed reform to investment advice policy, we have a better idea of what&#8230; <\/p>\n<div class=\"clear\"><\/div>\n<p><a href=\"https:\/\/rixtrema.com\/blog\/the-sooner-you-know-about-secs-newly-proposed-rule-the-better\/\" class=\"excerpt-read-more newsstand-button\">Read More<\/a><\/p>\n","protected":false},"author":3,"featured_media":868,"comment_status":"open","ping_status":"open","sticky":false,"template":"","format":"standard","meta":{"jetpack_post_was_ever_published":false,"_jetpack_newsletter_access":"","_jetpack_dont_email_post_to_subs":false,"_jetpack_newsletter_tier_id":0,"_jetpack_memberships_contains_paywalled_content":false,"_jetpack_memberships_contains_paid_content":false,"footnotes":""},"categories":[167,181],"tags":[59,55,49,56,7,12,172,182],"class_list":["post-866","post","type-post","status-publish","format-standard","has-post-thumbnail","hentry","category-dols-fiduciary-rule","category-sec","tag-dol","tag-dol-rule","tag-fiduciary","tag-fiduciary-rule","tag-financial-advisor","tag-financial-advisors","tag-retirement-plan-advisors","tag-sec-rule"],"jetpack_featured_media_url":"https:\/\/rixtrema.com\/blog\/wp-content\/uploads\/2018\/05\/DOL-Rule-1.png","yoast_head":"<!-- This site is optimized with the Yoast SEO Premium plugin v15.9.1 - https:\/\/yoast.com\/wordpress\/plugins\/seo\/ -->\n<title>The Sooner You Know About SEC\u2019s Newly Proposed Rule the Better<\/title>\n<meta name=\"description\" content=\"With the DOL\u2019s Fiduciary Rule seemingly gone, what\u2019s next on the block for fiduciary regulation? The Security and Exchange commission has been planning its own fiduciary rule and regulation rehaul as well. So now that the Federal Register has published the SEC\u2019s proposed reform to investment advice policy, we have a better idea of what could be in store.\" \/>\n<link rel=\"canonical\" href=\"https:\/\/rixtrema.com\/blog\/the-sooner-you-know-about-secs-newly-proposed-rule-the-better\/\" \/>\n<meta property=\"og:locale\" content=\"en_US\" \/>\n<meta property=\"og:type\" content=\"article\" \/>\n<meta property=\"og:title\" content=\"The Sooner You Know About SEC\u2019s Newly Proposed Rule the Better\" \/>\n<meta property=\"og:description\" content=\"With the DOL\u2019s Fiduciary Rule seemingly gone, what\u2019s next on the block for fiduciary regulation? The Security and Exchange commission has been planning its own fiduciary rule and regulation rehaul as well. 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