Dinsmore & Shohl LLP
  April 5, 2023 - Louisville, Kentucky

Division of Examinations Risk Alert, March 27, 2023: Observations from Examinations of Newly-Registered Advisers
  by Kevin S. Woodard

The SEC Division of Examinations (the “Division”) issued a Risk Alert on March 27, 2023 detailing observations from examinations of newly-registered investment advisers.  The Risk Alert provides information about the typical focus areas reviewed during examinations of newly-registered investment advisers. It also provides observations regarding compliance policies and procedures, disclosures and marketing practices.  In the Risk Alert, the Division notes a key observation regarding newly-registered advisers’ conflicts of interest and the mitigation and management of such risks by advisers’ compliance programs.

Examination Scope

Generally, the examination scope for newly-registered advisers includes the following:

In reviewing requested documentation and information, the Division works to assess an adviser’s compliance with the Advisers Act and to determine whether the adviser’s representations and disclosures made to clients and in SEC filings are factually correct.  The Risk Alert details the following information and documentation that the Division typically requests as part of an examination:

The Division’s Observations from Recent Newly-Registered Adviser Examinations

The Risk Alert notes the following identified issues in recent newly-registered adviser examinations:

Compliance Policies and Procedures

The Division noted the review of compliance policies and procedures that:

In addition, the Division noted the failure of advisers’ annual compliance reviews to address the adequacy of the advisers’ policies and procedures and the effectiveness of their implementation.  The Risk Alert provides the following examples of advisers that: 

Disclosure Documents and Filings

The Division observed disclosure documents that contained omissions or inaccurate information, as well as advisers failing to make filings or otherwise making untimely filings.  Disclosure omissions and inaccuracies were related to advisers’:

Marketing

The Division observed adviser marketing material that appeared to contain false or misleading information.  In addition, the Division notes advisers being unable to substantiate certain factual claims.

Here is the link to the SEC’s Alert:  https://www.sec.gov/files/risk-alert-newly-registered-ias-032723.pdf




Read full article at: https://www.dinsmore.com/publications/division-of-examinations-risk-alert-march-27-2023-observations-from-examinations-of-newly-registered-advisers/