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Showing posts from May, 2023

SERIES 6 EXAM QUIZZES CANDIDATES ON CAPITAL MARKET THEORIES AND CAPITAL ASSET PRICING MODEL (CAPM), SO BE PREPARED!

  If you plan to sit for the Series 6 Exam, know in advance that the Series 6 contains questions on Capital Market Theory and Capital Asset Pricing Model (CAPM). How do I know this? I know it because FINRA Series 6 Content Outline clearly indicates in Section 3.1 that there are possible questions that ask about portfolio theories, such as Capital Market Theory, Capital Asset Pricing Model, Modern Portfolio Theory, and Efficient Market Hypothesis. Bob Eder in his  Study for the Series 6 Exam  discusses Capital Market Theory and Capital Asset Pricing Model (CAPM) in detail. Here is an example of Bob Eder's treatment: Capital Market Theory                                                                                     3.1 When we talk about capital market theory, we mean the various ways that finance academics explain market portfolio techniques, analysis of pricing, returns, risk, and preservation of capital. Capital Asset Pricing Model (CAPM)                                     

ADVISERS AND BROKERS MUST KEEP RECORDS OF WRITTEN COMMUNICATIONS WITH RETAIL CUSTOMERS, INCLUDING COMMUNICATIONS SENT USING PERSONAL ELECTRONIC DEVICES

Picture yourself CCO (Chief Compliance Officer) of ABC Advisory Firm. One of your I.A. representatives makes use of her personal smart phone to stay in contact with clients by texting, as she finds it easier to communicate in writing on her personal phone when she is out of the office. Does the SEC's Rule on Keeping Written Records of Client Communications include such electronic written messages or SMS if they are sent via personal computers, cell phones, et al? The answer is emphatically yes! The Record Keeping Rule applies, even though the rep or registered associate uses his or her own electronic device or smart phone to send the written communication or message. The SEC recently brought charges against Scotia Capital and HBSC for widespread record-keeping failures, attributed to permitting associates to send written communications via their personal devices. (See SEC Press Release 2023-91.) Here's what the SEC said in this case: "The SEC’s investigation of HSBC Securi