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This notice provides guidance for Dealer Members on maintaining an adequate branch supervisory program.
IIROC rules 29.27 and 2500 mandate that a firm’s supervisory system includes procedures for follow-up and review to ensure that supervisory personnel are properly executing their functions, including the requirement for periodic on-site reviews and supervision and record keeping.
Most firms have more than one office location, and possibly hundreds in the case of private client services. In some hybrid business models, supervision is handled by head office and in the case of sub-branch offices, supervision is generally carried out at the responsible branch office.
These audits vary in scope depending on the size of the branch and the functions it performs. Some firms conduct mainly business conduct audits, however, some also conduct financial and operational audits.
The Business Conduct Compliance Department of IIROC initiated a review of branch supervision processes at selected Dealer Members in the period January-March 2009.
The objective of the review was to determine the effectiveness of Dealer Members’ branch supervision processes by conducting testing at head offices and a selection of branch offices. The focus of the review was to identify and report on weaknesses or deficiencies in the branch supervision process and to identify and develop some guidelines for branch office supervision.
IIROC developed a questionnaire to facilitate the selection of a representative sample of full-service retail branches. All Dealer Members were required to respond to the questionnaire for each of their branches. IIROC selected and reviewed 10 Dealer Members’ head offices and 28 branches across Canada, and reported to the Dealer Members their specific results.
All Dealer Members with branch offices are required to conduct branch compliance audits. It is the Dealer Member’s responsibility to exercise sound judgment when determining the frequency and extent of supervision of branches, sub-branches, or other business locations.
IIROC identified some common concerns about the ten Dealer Member firms’ branch audit programs. Each of these areas of concern is identified below and some best practices are presented for each.
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