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International Money Management Institute

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Investment Industry Regulatory Organization of Canada. IIROC ... standards-gap filled, firms can fashion and implement solutions with greater ... – PowerPoint PPT presentation

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Title: International Money Management Institute


1
  • International Money Management Institute
  • February 5, 2009

Paul C. Bourque Senior Vice-President,
Enforcement, Policy Registration
2
  • IIROC Who We Are
  • Supervision of Fee-based Accounts
  • Financial Planning Rule
  • Short Selling
  • Client Relationship Model

3
Canadas Regulatory Landscape
  • Investment Industry Regulatory Organization of
    Canada
  • IIROC
  • We are a self-regulatory organization.

4
IIROC A Snapshot
  • IIROC is a non-profit, non-share corporation.
  • Number of Dealer Members
  • 215
  • Number of Approved Persons
  • 31,000
  • Number of Marketplaces that have retained
  • IIROC as their RSP
  • 10

5
Organization Structure
  • Enforcement, Policy Registration
  • Surveillance Compliance
  • Finance Administration
  • General Counsel Corporate Secretary
  • Public Affairs
  • Total staff
  • 392

6
IIROC Mandate
  • IIROCs Mandate
  • We set high quality regulatory and investment
    industry standards, protect investors and
    strengthen market integrity while maintaining
    efficient and competitive capital markets.

7
IIROC What We Do
  • Regulate business and trading conduct
  • Monitor operational and financial adequacy
  • Approve and register Dealer Members (including
    ATSs) and their partners, directors, officers
    and employees
  • Set proficiency and education requirements for
    individuals
  • Regulate ATS subscribers and access persons
    that participate directly in a Canadian
    marketplace which has contracted IIROC as their
    RSP

8
Fee-based Accounts
  • IIROC rules were written to supervise account
    transactions that generated commission revenue
  • Rule 2500 Minimum Standards for Retail Account
    Supervision
  • Member must develop supervisory policies for the
    review of accounts where no commission is
    generated (such as fee based accounts)
  • Rule 1300 Discretionary and Managed Accounts
  • Discretionary
  • Unsolicited
  • 12 months duration
  • Managed Accounts
  • Solicited
  • Continuing
  • Discretion exercised by a qualified Portfolio
    Manager

9
Fee-based Accounts
  • Two Basic Types

10
Fee-based Accounts
  • Decision-making vested in Appointee
  • Appointee accountable for performance
  • Affects critical supervisory assumptions
  • Which developments might be significant?
  • What will constitute a duly diligent follow-up?
  • What skills are needed?
  • What tools are needed?
  • Do they currently exist?

11
Fee-based Accounts
  • Fee-based advisory relationship
  • Remuneration Motivation
  • Remuneration Service
  • Service Motivation
  • But what are those services, exactly?
  • And wheres the evidence?

12
Fee-based Accounts
  • New basis, new problems
  • Transaction-based supervisory systems no longer
    adequate
  • Transaction-based sales/supervisory skills no
    longer adequate
  • Activities not previously recorded and/or
    measured no longer off the radar

13
Fee-based Accounts
  • New problems
  • Disclosure of Alternatives
  • In-house transfers between identically-owned
    accounts
  • Multiple accounts
  • Double-dipping embedded product fees
  • Inbound account transfers illiquid security
    valuation
  • Account inactivity

14
Fee-based Accounts
  • New solutions require new standards
  • The IDA (now IIROC) has assembled an industry
    working group to help end the compliance logjam
    by establishing viable and effective,
    principle-based standards.
  • With the standards-gap filled, firms can fashion
    and implement solutions with greater certainty
    and the SRO can enforce compliance fairly and
    confidently.

15
Proposed Financial Planning Rule
  • Proposed rule features
  • Defines financial planning broadly, but excludes
    advice directed primarily at making investment
    recommendations
  • Comprehensive process of determining how clients
    can meet their financial goals
  • Requires Dealer Members to have in place written
    policies for the supervision of employees and
    agents providing financial planning services
  • Requires financial planners to meet a minimum
    proficiency standard

16
Proposed Financial Planning Rule
  • Rationale
  • IIROC has a mandate to regulate all securities
    related activities of its members
  • Securities related activities means acting as a
    securities dealer and carrying on any business
    which is incidental to or a necessary part of
    such activity
  • To the extent financial planning activities
    involve investment products and investment advice
    is it a securities related activity
  • Status
  • Published for comment August 8, 2008 Comment
    period closed October 8, 2008
  • Awaiting CSA approval

17
Proposed Financial Planning Rule
  • Comments received
  • The most common comments received were as
  • follows
  • The exemption for advice primarily directed
    towards investment recommendations is too broad
    and unclear.
  • Response If an employee or agent provides
    planning beyond simple investment
    recommendations, it will be deemed to be
    financial planning under the rule.

18
Proposed Financial Planning Rule
  • Comments received (continued)
  • The rule will require Dealer Members to supervise
    non securities-related activities.
  • Response Dealer Members will only be
    responsible for financial planning conducted
    through the Dealer Member by their employees or
    agents.

19
Proposed Financial Planning Rule
  • Comments received (continued)
  • The proficiency standards set out in the
    guidelines are inconsistent and unequivalent to
    each other.
  • Response The purpose of the rule and guidance
    is not to enumerate qualifications, but to
    require that financial planners possess minimum
    qualifications to provide financial planning
    advice. It is not the intent to weigh in on the
    relative merits of one designation or course of
    training over another.

20
Short Sales and Failed Trades
  • Naked Short Selling
  • July 15, 2008 SEC Emergency Order temporarily
    imposed enhanced requirements on short sales in
    stocks of certain financial firms due to concerns
    about naked short selling based on unfounded
    rumours
  • UMIR and NI 24-101 prohibit the entry of any
    order without a reasonable expectation of
    settling any trade that results from the
    execution of the order

21
Short Sales and Failed Trades
  • Naked Short Selling
  • September 19th 2008 OSC issues Temporary Order
    prohibiting short sales in 13 inter-listed
    financial sector issuers to avoid regulatory
    arbitrage
  • No evidence of a similar problem
  • Manipulative naked short selling based on false
    rumours
  • Relatively low level of failed trades and the
    number of failed trades as a of all trades has
    been falling

22
Short Sales and Failed Trades
  • Proposals Approved for immediate implementation
    October 2008
  • Notice be provided to IIROC if, after the
    execution of a trade, the trade is varied (with
    respect to price, volume or settlement date) or
    cancelled
  • Enable IIROC to designate particular securities
    or class of securities as being ineligible for
    short selling
  • Define failed trade and require a report of a
    failed trade be made to IIROC if the fail is
    not resolved within 10 trading days following the
    original settlement date (3)

23
Short Sales and Failed Trades
  • Proposals Deferred
  • Pre-borrow Requirement
  • Dealer will not be able to enter a short sale for
    a client who has previously failed
  • Dealer will not be able to enter a short sale for
    a stock the dealer has previously failed in
  • Repeal of the restrictions on the price at which
    a short sale may be made
  • IOSCO - Short Selling Task Force to report by
    spring 2009
  • Incoming Chair of the SEC, Mary Schapiro favours
    restoration of the tick test

24
Client Relationship Model
  • Relationship Disclosure
  • New disclosures
  • A description of products and services offered
  • A description of the account relationship
  • A description of the process used by the Dealer
    Member used to assess investment suitability
  • A description of the client account reporting the
    Dealer Member will provide (including performance
    reporting)
  • Existing disclosures relating to conflicts,
    costs, account documents and complaint handling
    procedures can be incorporated in the
    relationship disclosure information by reference

25
Client Relationship Model
  • Conflicts
  • If conflict cannot be avoided, all such conflicts
    must be disclosed and addressed in a manner that
    is consistent with the best interests of the
    client
  • Immaterial conflict situations will be excluded
    from disclosure requirement where the client
    would not consider the conflict important
    either prior to account opening or prior to
    entering into a transaction

26
Client Relationship Model
  • Suitability
  • Currently suitability only for trades accepted
    and recommendations made
  • Account suitability review must be performed when
    certain trigger events occur transfer in,
    material change, new advisor
  • After the performance of the proposed trigger
    event suitability review, the client must
    receive advice in response
  • Performance reporting
  • Security position cost disclosure - Individual
    position cost reporting to be original cost
    information and will continue to apply to all
    positions (both client and nominee named) on
    which the customer continues to receive
    compensation

27
Client Relationship Model
  • Performance reporting (continued)
  • Account activity disclosure - annual disclosure
    of cumulative realized and unrealized income and
    capital gains on the account
  • Account percentage return disclosure members
    must disclose whether they provide return
    information and, where provided, percentage
    return information must be calculated using a
    method acceptable to IIROC
  • IIROC intends to continue to study the cost and
    implementation issues with the objective of
    requiring this information be provided to clients
  • Status consideration for approval for
    publication for comment January 2008
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