To read this content please select one of the options below:

The SEC’s Municipal Advisor Rule will prompt new practices for market participants

David Bannard (Partner based at Foley & Lardner LLP, Boston, Massachusetts, USA)
Reed Groethe (Reed Groethe is a Partner based at Foley & Lardner LLP, Milwaukee, Wisconsin, USA.)

Journal of Investment Compliance

ISSN: 1528-5812

Article publication date: 3 June 2014

83

Abstract

Purpose

To explain the new Municipal Advisor Rule that will take effect on July 1, 2014, which regulates persons and firms that provide advice to municipal issuers and obligated parties regarding municipal financial products or the issuance of municipal securities or that engage in certain solicitation of municipalities or obligors on behalf of third parties.

Design/methodology/approach

Explains who is treated as a Municipal Advisor, the standards applicable to Municipal Advisors, how the Rule may affect municipal securities issuers and obligated persons (collectively referred to as “Borrowers”) as well as other market participants, describes the exceptions and exemption s to the requirements of the Rule, and concludes with suggestions as to how Borrowers and other market participants may promote the flow of information.

Findings

The Rule will carry out a requirement of the Dodd-Frank Act, which provides that any party that provides advice to a Borrower regarding municipal financial products or the issuance of municipal securities must register with the SEC and the MSRB as a Municipal Advisor, unless such party qualifies for an exception or exemption under the Rule. Practical Implications: The Rule will change how information flows in the municipal securities market. Some consequences of the Rule may disadvantage Borrowers and other market participants. The Rule may restrict the flow of information provided to Borrowers by participants in the municipal securities marketplace that are not Municipal Advisors.

Originality/value

Practical guidance from experienced financial services lawyers.

Keywords

Acknowledgements

© 2014 Foley & Lardner LLP

Disclaimer: Of course, we are not providing municipal advice in this article!

Citation

Bannard, D. and Groethe, R. (2014), "The SEC’s Municipal Advisor Rule will prompt new practices for market participants", Journal of Investment Compliance, Vol. 15 No. 2, pp. 10-17. https://doi.org/10.1108/JOIC-05-2014-0016

Publisher

:

Emerald Group Publishing Limited

Copyright © 2014, Authors

Related articles