In response to the FINCEN/SEC proposal, these letters sent to the Financial Crimes Enforcement Network and U.S. Securities and Exchange Commission address concerns of redundant duties when a Registered Investment Advisor (RIA) holds all their investments with a custodian and the significant administrative burden on small CPA firms that are also small RIAs.
Advocacy
Comment Letter on Proposed Rule: Customer ID Programs for Registered Investment Advisers and Exempt Reporting Advisers
Jul 01, 2024 · 696.5 KB Download
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Download the Comment Letter on Proposed Rule: Customer ID Programs for Registered Investment Advisers and Exempt Reporting Advisers
File name: FINCEN proposed ruling RIAs comment letter.pdf
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