SEC Survey on Obligations of Broker-Dealers and Investment Advisers to Retail Customers (with Lofchie Comment)
The SEC published a request for assistance in determining whether to make new rules for broker-dealers and investment advisers when they provide personalized investment advice about securities to retail customer.
Among the specific topics as to which the SEC has requested information are the following:
- Types of retail customers who use broker-dealers for advice vs. those who use investment advisers.
- Types of services and information and types of service providers available to retail customers.
- Costs of providing services to retail customers, particularly personalized services.
- Information regarding principal transactions with customers and other conflicts of interests with customers.
- Profitability of doing business with retail customers.
- Ability of customers to sue a broker-dealer or investment adviser.
- Information as to disclosures provided to customers.
Lofchie Comment: The questions the SEC asked in the survey seem fair, genuinely intended to elicit as much information as possible on an important issue (as opposed to questions directed towards a simplistic finding that broker-dealers should have a fiduciary duty any time that they make a recommendation to a customer). The really important question is not so much whether broker-dealers should owe a fiduciary duty to customers, but rather what services can be made reasonably available to retail customers in a way that those customers understand the level of service being provided. If we end up with a legal standard where it is effectively illegal to provide any advice to a retail customer other than as part of a full-blown, full service investment advisory relationship, then many customers will simply be priced out of obtaining any personalized service. (Perhaps that is a good result, if one believes that the advice that customers receive is inherently and systematically flawed. However, the regulators should not pretend that the level of attention available to a customer with a $50,000 portfolio can be made the same - by operation of law - as that available to a customer with a $10 million portfolio.)
View Press Release in full here (links externally to SEC website).View: SEC Request for Data on the Duties of Broker-Dealers and Investment AdvisersSee also: Investor and Industry Perspective on Broker-Dealers and Investment Advisers (2006)See generally: Lofchie's Guide To Broker-Dealer Regulation, Customers Chapter