Unit 3-Customer Accounts Flashcards

1
Q

When does new account info need to be collected?

A

At or before the time of first municipal transaction

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2
Q

What is the minimum information needed to open a new account?

A

-Name and physical address
-Occupation (including name and address of employer)
-SSN or other tax ID
-DOB
-Is the person affiliated?
-Citizenship
-Signatures of introducing rep and approving principal
-Discreationary authority (if applicable)
-Hypothecation (if app)
-Release of account info to 3rd party (if app)
NOTE: This info needs to be on file by SETTLEMENT of first trade. An account can be opened without an SSN if the client is in process of acquiring one

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3
Q

Suitability in New Account

A
  • An account may be opened without suitability info on file. However, no recommendations can be made
  • The MSRB views a rep bringing a muni issue to the attention of a client is implying a recommenedation
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4
Q

How to handle an unsuitable unsolicited trade?

A
  • Rep can still place trade after he has informed client he believes trade is unsuitable
  • Trade should be marked “unsolicited”
  • Firms may require clients to sign letter acknowledging rep’s view that trade is unsuitable
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5
Q

What minimum signatures are required?

A
  • Introducing rep and principal approving
  • While the client’s signature is technically not required, almost all firms will require it as a part of the pre-dispute arbitration
  • NOTE: Principal can be a municipal securities principal, a muni sales principal, or a general principal
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6
Q

Definition of Institution

A

-Bank, S&L, insurance company, RIA
-Investment advisor registered under the Act of 1940 or with the appropriate state administrator
-Any entity with $50+ million
NOTE: An institution can be a person, corp, partnership, trust, etc.

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7
Q

Minimum Requirements for Inst. Account

A
  • Name an business address
  • Institution’s Tax ID
  • Suitability Info (tax bracket is NOT needed for Inst)
  • Signature of authorizes agent
  • Principal signature
  • As applicable: Discretion, hypothecation, etc.
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8
Q

Control Relationships

A

If a muni firm is owned/controlled by an issuer, all recommendations of the issuer’s securities must be disclosed to a customer in writing by settlement (usually on confirm)
NOTE: On discretionary accounts, a member must still get authorization from client to place trades for issues in which a control relationship exists

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9
Q

Third Party Trading

A
  • An authorized body (via POA) besides client and member has the ability to trade account (fiduciary)
  • Can be terminated at any time via written notice or on death
  • All disbursements must be made to client/entity name
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10
Q

Approval/Review of Discretionary accounts

A
  • All discretion must be approved by an S10 or S53
  • All order tickets should be reviewed promptly after execution
  • Frequent reviews should be conducted to identify potential abuses (churning)
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11
Q

Multiple Accounts

A

If a client wishes to have multiple accounts with the same registration, the accounts can be consolidated for magic purposes and each is seen as a guarantee of the others (guaranteed accounts)
-The account owner must attest in writing that no other person or entity has an interest in the subsequent accounts

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12
Q

Partnership Accounts

A
  • A UA with 2 or more individuals
  • Partnership agreement is needed to identify who has trading authority
  • Partnership agreements typically are resubmitted annually to make sure member’s records are up to date
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13
Q

Margin Trading in Corps and Partnership

A

Only permissible if explicitly stated in Corp Resolution or Partnership Agreement

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14
Q

Accounts for Affiliated Persons

A

Before account can be opened, firm must:
-Contact employing firm in writing about the pending account
-Follow any instructions by the employing firm
-If approved, member must supply dupe confirms
NOTE: Rule also applies to spouses and minor children
NOTE 2: It is not necessary for the initial rep to ask about affiliation status at time account is opened

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15
Q

Fiduciary Accounts

A
  • Executors, guardians, conservators, trustees, receivers (bankruptcies)
  • Fiduciaries are 3rd parties and therefore cannot give discretionary authority. They must place trades in the account
  • Most states limit fiduciaries to the Prudent Man Rule or Legal Lists (usually investment grade debt only)
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16
Q

Trust Account Rules

A
  • Copy of Trust Agreement is needed

- Margin not allowed unless expressly permitted

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17
Q

Guardian Account Rules

A
  • Copy of Court Order is needed
  • In most states, account must be opened within 60 days of court order. Clearing firms have a right to reject account until a current court order is produced
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18
Q

UTMA/UGMA Rules

A
  • If donor and custodian are same, they cannot charge a fee
  • Minor is responsible for taxes
  • While account can only have 1 minor and 1 custodian, a successor custodian can be named
  • Securities are in the name of the custodian, but legally belong to minor
  • Margin and collateral lending not permitted
  • All disbursements must be made for benefit of minor and must be documented
  • Cash must be reinvested within a reasonable time
  • Minor has a right to sue custodian for malpractice
  • If minor dies, assets go to minor’s estate
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19
Q

DVP/RVP Rules

A

Cash and Securities for a trade are settled at an agent bank
-If accepting DVP accounts, member must have name an address of agent bank as well as customer account there
-DVP Trades settle T+2. However, if there is a delay )other than the inability to pay/deliver, member has 35 calendar days to receive payment
NOTE: Member firm does NOT need to reach out to agent bank prior to settlement to verify funds or securities delivery

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20
Q

Order Ticket Minimum Requirements

A

-Account Number
-Terms and conditions of order
-Solicited, Unsolicited, Discretionary (not req on confirm)
-If sale, Long or Short?
-Order entry time (an execution date/time if applicable)
NOTE: If order is placed via POA, partner, corp agent, name and address of individual must be documented

21
Q

How long are order tickets retained for?

A

Four Years

22
Q

Order Confirm Minimum Requirements

A
  • Name of customer
  • Buy or Sell
  • Name of other party (agent trade) and commission
  • Dealer markup/markdown
  • Dated date for interest accrual
  • First interest payment (if not semiannual)
  • How securities are registered
  • CUSIP (if there is one)
  • Whether security is called or pre-refunded
  • Any call date or price
  • Whether bond is subject to federal tax or AMT
  • Name of bond guaranteer (if applicable)
  • For Revenue bonds, primary revenue source (project)
  • Whether bond is insured and name of insurer
  • Any control relationship
  • Put feature
  • Yield and Dollar amount (see additional slide)
  • Whether bond is in default
  • NR (if bond is not rated). If rated, rating does not need to be disclosed
  • If letter of credit, bank name
  • For zeros, 0% interest must be disclosed
  • For adjustable rate issues, current rate is disclosed
23
Q

What Yield is listed on Confirm?

A

For callable bonds, it it the lower of YTM or YTC

EX. for callable discount bonds YTM is shown
for callable premium bonds, YTC is displayed

24
Q

When is Yield not needed on a confirm?

A
  • Reset Bonds
  • Bonds in Default
  • Bonds sold at par
25
Q

Reset Bonds (adjusted rate)

A

Since interest is adjusted to reflect current market, it is impossible to calculate YTM. Hence why these are not disclosed on confirms

26
Q

Bonds in Default

A

No Yield to calculate as no interest is being paid

27
Q

Bonds sold at par

A

At par, all yields are equal

28
Q

When does a member need to respond to a customer regarding a past trade?

A

Within 30 days of trade date: 5 business days

After 30 days: Within 15 business days

29
Q

Principal Transaction Considerations for Markup/Down

A
  • What BD determines to be fair market value
  • Expenses incurred from trade
  • Fact the BD is entitled to profit
  • Total dollar amount of trade
30
Q

Agent Considerations for Commission

A
  • Available of security
  • Expensed incurred from the order
  • Value of services rendered by BD
31
Q

Riskless Principal Transaction

A

A trade in which a dealer buys bonds from a customer for its inventory. It then sells those securities to another client at a markup

  • There is no risk to the principal as all orders were filled with no remaining inventory
  • Considered an agency trade by MSRB
32
Q

Account Transfers (MSRB Firms)

A

1) Client signs TOA form (From G-26)
2) Receiving firm has 3 business days to validate instructions and send request to carrying firm listing all positions to be transferred
3) The carrying firm can only reject if:
-TOA is incomplete
-There is no record of account
-Customer Signature is improper
4) If IGO, the carrying firm must freeze account, cancel all open orders, and complete transfer within 4 business days
NOTE: All positions that cannot be transferred must be documented with “Failure to Deliver/Receive” delivered to client

33
Q

Options for securities that cannot be delivered or received

A

-Liquidate
-Keep at carrying firm
-Transfer in physical form to customer
NOTE: If client chooses liquidation, funds must be distributed within 5 business days of customer liquidation order

34
Q

Written Complaints

A
  • Must be kept for 6 years
  • Clients must be sent the Investor Brochure highlighting complaint courses of action promptly after complaint is received
  • A detailed record of the complaint must be made and any resolution detailed and signed off by a 53 or 9/10
35
Q

Trading Munis

A
  • Since munis are thinly trades, trades are conducted OTC, where members call each other about available and seeking bids (bid wanted)
  • Members may also use Alternative Trading Systems (ATS) such as MuniCenter and Bonddesk, which retail investors can also access
36
Q

Rules Regarding Posted Bids and Offers

A

-All quotes are bona fide. Does not need to only be fair market, but must be deemed reasonable. Factors are:
-Overall inventory
-Inventory of the position quoted
-Judgement as to future price movements
NOTE: While posted quotes are firm, it is the responsibility of the client to verify quotes they have seen in print material, as price may have changed
NOTE 2: A firm can post a quote for a security it does not own, so long as it can acquire the security in the secondary should a trade come along. It cannot intentionally post quotes for issues it knows are unavailable

37
Q

Nominal and Subject Quotes

A

Nominal: A quote used for information purposes only (not firm)
Subject: A real quote that has some other underlying condition
NOTE: Both quotes are permissible, but must be disclosed as such

38
Q

Multiple Markets in Same Security

A

When underwriting (or selling a large block in the secondary), firms must sell at one price. They cannot give the allusion that there are multiple markets for the same security

39
Q

Reporting Sales

A

A BD or associated person (AP) is prohibited from reporting a muni transaction if it believes that the transaction is in any way fictitious or manipulative

40
Q

Transaction Reporting Rules

A

All trades must be reported promptly for the purpose of transparency

  • While some BDs may outsource this to a 3rd party, the ultimate responsibility lies with the BD
  • Submissions are made under the BDs unique identifier assigned by FINRA.
  • Market Participant ID (MPID)
41
Q

Real Time Reporting System (RTRS)

A

The centralized system in which muni trades are reported

  • Operates from 7:30 AM to 6:30 PM ET M-F
  • Trades that occur during the day must be reported within 15 minutes to RTRS
42
Q

Exception to RTRS Reporting Requirements

A

-New issue on first day of trading before 6:30 (8:00 PM EST)
-After 6:30, within 15 minutes of next session (7:45)
-For CP and issues with less than 9 mos. trades just need to reported by end of day
NOTE: Each party of a trade will report to RTRS

43
Q

Trades not Reported to RTRS

A
  • Munis with no CUSIP
  • Trades of Municipal Fund Securities
  • Transactions between dealers that are not “interdealer transactions”
44
Q

“Weighted Average Price”

A

Used by traders trying to fill a large block order
-Price is an average based on previous trades of the security throughout the trading day
NOTE: Most price information listed on EMMA is derived from large block orders. For smaller transactions or odd lots, brokers should look at the trading info of similar issues (rating, yield, maturity, call features, sector)

45
Q

Muni BDs and Municipal Funds

A

Muni BDs cannot solicit business from investment companies on the basis that the BD will sell fund shares. A muni fund cannot direct portfolio trades to a BD as compensation for selling its shares
-All decisions must be for the clients best interest

46
Q

Time of Trade Disclosures

A

At or prior to any muni trade, a BD must disclose orally or in writing:
-Whether trade is unsolicited or recommended
-Primary or secondary trade
-Any relevant material information (the cannot simply point client to EMMA or Bloomberg)
This information includes:
-Rating or NR
-Credit Risks
-Insurance (if applicable) and its credit rating
-Liquidity Enhancements
-Tax Treatment
-Any negative factors affecting the issue

47
Q

Rules for Trading with Sophisticated Municipal Market Professions (SMMPs)

A

If the BD believes it is dealing with a SMMP, it is not required to disclose material information as it normally would to a retail client. Additionally, the BD is exempt from insuring fair and reasonable prices if:
-The trade in unsolicited on secondary market
-The BD services are limited to providing anonymity, communication, order matching
-The BD does not exercise discretion
-The BD is not required to review suitability info for a SMMP
NOTE: SMMPs are typically banks, S&L, Investment Companies and other large $50+ million entities

48
Q

Investor Letter (Big Boy Letter)

A

A letter on file at a BD from a SMMP disclosing net worth, sophistication, and understanding of risks associates with municipal transactions.