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SEC publishes guidance on mutual fund distribution and sub-accounting fees

Marco Adelfio (Goodwin Procter LLP, Washington, DC, USA)
Paul J. Delligatti (Goodwin Procter LLP, Washington, DC, USA)
Jason F. Monfort (Goodwin Procter LLP, Washington, DC, USA)

Journal of Investment Compliance

ISSN: 1528-5812

Article publication date: 4 July 2016

71

Abstract

Purpose

To explain the guidance published on January 6, 2016 by the SEC’s Division of Investment Management containing its views and recommendations relating to mutual fund distribution and sub-accounting fees.

Design/methodology/approach

Explains the SEC’s Office of Compliance Inspections and Examinations focus on “distribution in guise” payments, its 2013 “sweep exam,” an enforcement action against a fund’s adviser and affiliated distributor related to payments for distribution-related activities outside of a 12b-1 plan, lists SEC staff recommendations with respect to mutual fund distribution and sub-accounting fees, summarizes the SEC’s guidance on board oversight of sub-accounting fees, provides indicia that a payment may be for distribution-related activities, and points to the need for mutual funds to have policies and procedures designed to prevent violations of Section 12(b) and Rule 12b-1.

Findings

The guidance is an outgrowth of the staff’s observations from a three-year “distribution in guise” sweep exam of mutual fund complexes, investment advisers, broker-dealers and transfer agents conducted by the SEC’s Office of Compliance Inspections and Examinations and other offices and divisions of the SEC to identify whether firms were using fund assets to directly or indirectly finance any activities primarily intended to result in the sale of fund shares outside of an approved Rule 12b-1 distribution plan.

Originality/value

Practical guidance from experienced financial services lawyers.

Keywords

Citation

Adelfio, M., Delligatti, P.J. and Monfort, J.F. (2016), "SEC publishes guidance on mutual fund distribution and sub-accounting fees", Journal of Investment Compliance, Vol. 17 No. 2, pp. 39-42. https://doi.org/10.1108/JOIC-04-2016-0012

Publisher

:

Emerald Group Publishing Limited

Copyright © 2016 Goodwin Procter LLP. All right reserved.

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