乐鱼(Leyu)体育官网 Regulatory Insights
- Record Enforcement: A total of 784 enforcement actions representing a 3% increase over the prior fiscal year, and financial remedies of close to $5 billion.
- Whistleblower Power: Highest amount awarded in one year at nearly $600 million and highest number of whistleblower tips received in one year at more than 18,000 (and 50% higher than the prior record).
- Upcoming Exam Focus: Expect increasing focus on Compliance investment, T+1 compliance, execution transparency and fee transparency; Expect more risk alerts and outreach.
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April 2024
The Securities and Exchange Commission (SEC) participates in the SEC Speaks 2024 event (having declined in 2023).听 Key areas covered include: 聽
Enforcement. The SEC highlights Fiscal Year 2023 enforcement activities:
- Filing 784 total enforcement actions (a 3 percent increase over the prior fiscal year).
- Securing 鈥渇inancial remedies鈥� close to $5 billion (the second greatest amount in the SEC's history). (Note: this sum includes approximately $3.37 billion in disgorgement and prejudgment interest, and roughly $1.6 billion in civil penalties).
- Barring 133 individuals from serving as officers and directors of public companies (the highest number in a decade).
- Issuing nearly $600 million in whistleblower awards (the highest amount awarded in one year) with more than 18,000 whistleblower tips received (the most ever in one year and 50 percent higher than the prior record set in FY 2022).
- Distributing $930 million to 鈥渉armed investors鈥� (the second consecutive year with more than $900 million).
- Charging nearly 60 firms under recordkeeping rules since December 2021 (with over $1.7 billion in penalties).
The SEC further outlines the agency鈥檚 approach to penalties in relation to two ongoing enforcement initiatives 鈥� recordkeeping and the amended marketing rule 鈥� adding that 鈥渟elf-reporting is the factor most likely to significantly lower the penalty we recommend.鈥�
Examinations. The SEC notes:
- Compliance Department Investment: The importance of strong compliance, resiliency, and adaptability for enhancing investor protection and market stability. The SEC stresses that compliance departments must have the proper resources and support to meet regulatory responsibilities and that it is important for companies to be incentivized to make these investments to 鈥渆nsure their compliance programs continue to offer appropriate assistance and guidance to their firms, and strong protection to investors鈥�.
- Risk Alerts/Outreach: Intent is to increase issuances of risk alerts and change industry and investor outreach.
Rulemakings. The states, 鈥渨e have an obligation to update the rules of the road, always with an eye toward promoting trust as well as efficiency, competition, and liquidity in the markets.鈥� Rulemaking highlights include:
- T+1: 聽As the securities market is set to transition to a T+1 settlement cycle, the SEC encourages market participants to prepare for the May 28, 2024 compliance date (see related 乐鱼(Leyu)体育官网 Regulatory Alert here and here).
- Execution Transparency: The SEC final rule requires large broker-dealers with more than 100,000 customers to disclose execution quality (see related 乐鱼(Leyu)体育官网 Regulatory Alert here).
- Regulation NMS: Actions include rules addressing minimum tick size, the definition of 鈥渞ound lot鈥�, and volume-based transaction rebates and fees (see related 乐鱼(Leyu)体育官网 Regulatory Alert here).
- Best Execution: The SEC states that a best execution standard is central to the agency鈥檚 mandate to protect investors and made more important given the rapid developments in the markets (see related 乐鱼(Leyu)体育官网 Regulatory Alert here).听
- Definition of 鈥淓xchange鈥�: Following on from a 2022 proposed rule, the SEC states that 鈥�ensuring that such exchange-like platforms follow our exchange-specific rules could benefit investors and markets alike.鈥�