December 12, 2024
What happened?
On November 4, 2024, the SEC Division of Examinations (the “Division”) published a Risk Alert to describe the examination process for advisers of mutual funds, ETFs, and other registered investment companies (“RICs” or “funds”); the selection and scope of such examinations; and observations on core focus areas for RICs. The alert also shares a list of the typical documents and information requested during such examinations. This is the fifth Risk Alert published in 2024. All Risk Alerts provide valuable insight into what the SEC staff are observing and their current approach to a particular topic. Advisers to funds can use this Risk Alert to strengthen their compliance program and test current practices.
Selection and Scope of Examinations
When selecting fund advisers for examinations, the Division looks at the fund-specific and adviser-specific risk factors associated with the adviser’s business activities, conflicts of interest, and any regulatory history. Selection is also influenced by external information, such as complaints and referrals from other SEC offices, and internal information, such as regulatory filings and financial intelligence from assessments of strategies, fee structures, performance against similar funds, distribution activities, disclosures, service providers, governance practices, and media coverage, among others.
The scope of examinations focused on RICs could have a limited or thematic scope, but the majority will incorporate three core review areas: fund compliance programs, fund disclosures and regulatory reporting, and fund governance.
Fund Compliance Programs
Deficiencies and weaknesses observed by the SEC staff related to compliance programs included the following:
Fund Disclosures and Filings
Deficiencies and weaknesses observed by the SEC staff related to fund disclosure issues included the following:
Fund Governance Practices
Deficiencies and weaknesses observed by the SEC staff related to fund governance practices included the following:
Typical Information Requests For RIC Exams
The Division attached a list of typical information examiners will request of RICs to the Risk Alert. This list provides insight into the likely areas an RIC examination will cover and is a valuable tool for compliance programs at fund advisers. The broad categories of information typically requested include:
The attachment goes into detail on the specific documents requested, stating that additional or supplemental requests will depend on the exam’s scope and the typical manner of production. The Division points out in the Risk Alert that records that are not maintained electronically or cannot be produced electronically can lead the staff to request advisers to make such records available for in-person examination.
What does this mean for me?
While this alert may not apply to all advisers, it’s always important to monitor what SEC staff are observing and recommending to the industry. As fund advisers look to year-end reviews or prepare for examinations, this Risk Alert is a roadmap of what to expect from the Division.