RIA Compliance Consultants
Blog
Blog
Friday, September 12, 2008

Proposed New Form ADV Part 2A Will Require a “Material Changes” Page

According to the proposed new Form ADV Part 2 rule offered earlier this year for consideration by the U.S. Securities and Exchange Commission ("SEC"), registered investment advisors will be required to insert a Material Changes page at the beginning of their brochures. Material changes could be summarized on the Cover Page of the brochure or could be included on a separate Material Changes page which would appear immediately after the Cover Page and before the Table of Contents. A third alternative will be to include a separate communication that would accompany the brochure.

Because the purpose of this requirement is to highlight changes made to prior brochures, registered investment advisors will not need to include a summary of material changes in the first versions of their brochures.

The SEC’s intention with a Material Changes page is for registered investment advisors to provide clients and prospective clients with a summary of any and all material changes to the registered investment advisor’s brochure since the last annual update. The SEC believes that this requirement will help clients identify information that has changed since the prior year’s brochure, especially changes that may be important to clients.

As with all items in the proposing rule release, the requirement to include a summary of material changes has not been finalized and is still under consideration. Therefore, registered investment advisors will not know for sure if they must include a summary of material changes until the final rule is released. Stay tuned to RIA Compliance Consultants for more information and further updates regarding the new Form ADV Part 2. If you are interested in engaging RIA Compliance Consultants for its Form ADV Part 2 drafting services, please call us today for a proposal and quote.

Labels: ,


| More

posted by bhill at 4:23 PM

 

 

Subscribe to this Feed

Recent Posts
Proposed New Form ADV Part 2 Must Be Delivered to ...
Understanding the SEC's Proposed New Form ADV Part...
Are You Ready for the Proposed New Form ADV Part 2...
SEC Publishes July 2008 ComplianceAlert
SEC Initiates Charges for Insider Trading
Proposed Changes To Forms U4 and U5 May Change Dis...
The CFP Board's Revised Standards of Professional ...
FINRA's Proposed Rule 3110 May Extend the Scope o...
SEC Issues Cease-and-Desist Order for Failure to D...
Single Family Office Not Required to Register with...

Subjects
ADV Part 2
Advertising
Annual Amendment
Arbitration
Assignment
Best Execution
Books Records
CFP
Code Of Ethics
Compliance Program
Compliance Training
Compliance Violations
Conflict Of Interest
Credit Union
Custody
Customer Complaint
Enforcement
Equity-Indexed Annuities
Fee Audit
Fiduciary
Financial Statements
Form 13F
Form ADV
Form U4
Gifts
Hedge Funds
IAR Licensing
IARD
Insider Trading
Inv Adv Rep
Outside Business Activities
PST
Pensions
Political Contributions
Pooled Investment Vehicle
Power Of Attorney
Privacy
Proxy Voting
REg
Record Keeping
Registration
Regulatory Inspections
Renewals
SAS 70 Audit Report
SEC Inspection
SEC
SRO
Schedule 13G
Series 65
Short Sales
Soft Dollars
Solicitors
Succession Planning
Third-Party Compliance Audit
Trade Allocation
Webinar