Dinsmore & Shohl LLP
  February 16, 2023 - Louisville, Kentucky

Division of Examinations: 2023 Examination Priorities for Investment Advisers
  by Kevin S. Woodard

On February 7, 2023, the Division of Examinations of the United States Securities & Exchange Commission (“EXAMS”) published the 2023 Examination Priorities. 

Like previous years, the 2023 Examination Priorities provides certain data regarding the scope of the examination program and the growth of the investment adviser community. The following are highlights of that data:

Focus Areas for 2023

Advisers Act Rule 206(4)-1 (Marketing Rule)

EXAMS will assess, among other things, the following relating to the Marketing Rule:

Advisers to Private Funds

EXAMS will continue to focus on the following issues relating to advisers to private funds:

In addition, EXAMS will focus on advisers to private funds with specific risk characteristics, including such things as:

Fiduciary Duty

EXAMS will continue to prioritize examinations of advisers for compliance with the fiduciary standard.  EXAMS notes continued interest regarding dually registered advisers, as well as affiliated firms with financial professionals who service both brokerage customers and advisory clients.  Examinations will focus on such things as:

While not providing specific examples, EXAMS provides that “All . . . investment advisers have at least some conflicts of interest with retail investors.”  In reference to this, EXAMS provides that it will seek to identify and understand economic incentives that a firm and its financial professionals have to recommend products, services or account types, such as the source and structure of compensation, revenue or other benefits.  EXAMS will determine if advisers:

In addition, EXAMS will review whether advisers have customer or client agreements that purport to inappropriately waive or limit their standard of conduct, such as through hedge clauses.

Form CRS

EXAMS will continue to review advisers’ compliance with Form CRS filing, delivery and posting requirements.

Environmental, Social and Governance Investing (“ESG”)

EXAMS will continue to review ESG-related advisory services.  The staff will assess whether ESG products are appropriately labeled and whether recommendations of such products for retail investors are in investors’ best interests.

Information Security and Operational Resiliency

EXAMS provides that the current risk environment related to cybersecurity is considered elevated given the larger market events, geopolitical concerns and the proliferation of cybersecurity attacks, specifically ransomware attacks.  In light of  these risks, advisers’ practices to prevent interruptions to critical systems and to protect investor information remain paramount.  Examinations will focus on the following:

Crypto Assets and Emerging Financial Technology

The Examination Priorities notes the proliferation of certain investments, (e.g. crypto) and emerging financial technology (e.g. the delivery of automated investment advice).  Examinations will focus on advisers offering new products and services, or employing new practices, including the offer, sale, or recommendation of, advice regarding and trading in crypto and crypto-related assets.  Specifically, EXAMS will assess whether advisers:

In regards to the delivery of advisory services through an automated method, e.g. robo-advisory services, examinations will assess whether: 

Examination Focus Areas

EXAMS provides that during a typical examination, the staff will review advisers’ compliance programs and related disclosures, with a focus on the following areas:

Here is the link to the Exam Priorities.




Read full article at: https://www.dinsmore.com/publications/division-of-examinations-2023-examination-priorities-for-investment-advisers/