In addition, because DFI anticipates that most other states (including our neighbors in Minnesota, Illinois, and Michigan) will adopt the substance of the NASAA model rule, adopting it here will help ensure uniformity and avoid situations where IARs registered in multiple states would need to comply with different sets of continuing education requirements in each jurisdiction.
4. Detailed explanation of statutory authority for the rule (including the statutory citation and language):
Section 551.411(8) of the Wisconsin Statutes authorizes DFI to promulgate administrative rules requiring continuing education for IARs registered under Wis. Stat. § 551.404. See Wis. Stat. § 551.411(8) (“[A] rule adopted or order issued under this chapter may require continuing education for an individual registered under § 551.404.”).
5. Estimate of amount of time that state employees will spend developing the rule and of other resources necessary to develop the rule:
60-80 hours.
6. List with description of all entities that may be affected by the proposed rule:
Investment adviser representatives registered with DFI under Wis. Stat. § 551.404.
7. Summary and preliminary comparison with any existing or proposed federal regulation that is intended to address the activities to be regulated by the proposed rule:
There are no federal government regulations establishing continuing education requirements for registered IARs, but some registered IARs are also registered with the Financial Industry Regulatory Authority (FINRA), a self-regulatory organization, as agents of FINRA member broker-dealers. Those IARs are subject to FINRA continuing education requirements. Under the NASAA model rule, continuing education courses completed through FINRA will satisfy a portion (6 hours) of relevant state continuing education requirements so long as the content meets certain baseline criteria.
8. Anticipated economic impact of implementing the rule (note if the rule is likely to have a significant economic impact on small businesses):
Some existing continuing education courses offered through FINRA have modest enrollment fees (less than $100), but NASAA has stated its intent to engage a “wide range of vendors” – including state regulatory agencies such as DFI – to offer approved continuing education courses for IARs. See NASAA’s Frequently Asked Questions: Investment Adviser Continuing Education, available at https://www.nasaa.org/industry-resources/investment-advisers/resources/iar-ce-faq. Given the anticipated availability of low- or no-cost course options to satisfy these requirements, and the fact that many IARs already take advantage of educational course offerings even without a state mandate, this rule is not expected to have a material economic impact on IARs.
Contact Person:
Leslie Van Buskirk
Administrator, Division of Securities
Wisconsin Department of Financial Institutions
608.266.3432
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Links to Admin. Code and Statutes in this Register are to current versions, which may not be the version that was referred to in the original published document.