THE UNCLAIMED PROPERTY CONTINUUM



Similar documents
U.S. Department of Housing and Urban Development: Weekly Progress Report on Recovery Act Spending

How To Rate Plan On A Credit Card With A Credit Union

Regional Electricity Forecasting

Standardized Pharmacy Technician Education and Training

Federation of State Boards of Physical Therapy Jurisdiction Licensure Reference Guide Topic: Continuing Competence

NAAUSA Security Survey

Federation of State Boards of Physical Therapy Jurisdiction Licensure Reference Guide Topic: PTA Supervision Requirements

State Corporate Income Tax-Calculation

Suitability Agent Continuing Education Requirements by State

Federation of State Boards of Physical Therapy Jurisdiction Licensure Reference Guide Topic: Continuing Competence

State Annual Report Due Dates for Business Entities page 1 of 10

TITLE POLICY ENDORSEMENTS BY STATE

New York Public School Spending In Perspec7ve

Federation of State Boards of Physical Therapy Jurisdiction Licensure Reference Guide Topic: License Renewal Who approves courses?

Table 12: Availability Of Workers Compensation Insurance Through Homeowner s Insurance By Jurisdiction

Surety Bond Requirements for Mortgage Brokers and Mortgage Bankers As of July 15, 2011

Broadband Technology Opportunities Program: Sustainable Broadband Adoption and Public Computer Centers

Understanding Payroll Recordkeeping Requirements

The Lincoln National Life Insurance Company Variable Life Portfolio

MEDCHI, THE MARYLAND STATE MEDICAL SOCIETY HOUSE OF DELEGATES CL Report A Fifty State Survey of Tort Reform Provisions

Table 11: Residual Workers Compensation Insurance Market By Jurisdiction

NHIS State Health insurance data

Florida Workers Comp Market

ehealth Price Index Trends and Costs in the Short-Term Health Insurance Market, 2013 and 2014

LexisNexis Law Firm Billable Hours Survey Report

Mortgage Broker / Mortgage Originator Bond Requirements Nationwide

In Utilization and Trend In Quality

Payroll Tax Chart Results

Enrollment Snapshot of Radiography, Radiation Therapy and Nuclear Medicine Technology Programs 2013

Distribution Request for Payment of Qualified Health and Long-Term Care Insurance Premiums THE CITY OF SEATTLE VOLUNTARY DEFERRED COMPENSATION PLAN

Life Settlements Source List

Final Expense Life Insurance

STC Insured Deposit Program (STID) Updated 06/16/2016

American Equity Investment Life Insurance Company Bonus Gold (Index 1-07) PFG Marketing Group, Inc.

VCF Program Statistics (Represents activity through the end of the day on June 30, 2015)

ABOUT LPL FINANCIAL. serving. financial advisors. and their clients

IRA Distribution Form

National Student Clearinghouse. CACG Meeting

Moving TIM from Good to Great?

Trends in Medigap Coverage and Enrollment, 2011

Enrollment Snapshot of Radiography, Radiation Therapy and Nuclear Medicine Technology Programs 2014

LIMITED LIABILITY COMPANY ORGANIZATION CHART

Health Workforce Data Collection: Findings from a Survey of States

State Survey Results MULTI-LEVEL LICENSURE TITLE PROTECTION

Community Eligibility Option: Guidance and Procedures for Selection of States for School Year

Tax Practice and Procedure and SBSE Update

Session #56. Two-Factor Authentication. Steven Burke & James McMahon U.S. Department of Education

Preapproval Inspections for Manufacturing. Christy Foreman Deputy Director Division of Enforcement B Office of Compliance/CDRH

When To Refinance. Your Mortgage

AN INSIDE LOOK AT SOCIAL RECRUITING IN THE USA

Legal Exemptions for Religious Based Medical Neglect. Ariel Alvarez Montclair State University April 19, 2013 Center for Child Advocacy

Rates and Bills An Analysis of Average Electricity Rates & Bills in Georgia and the United States

AmGUARD Insurance Company EastGUARD Insurance Company NorGUARD Insurance Company WestGUARD Insurance Company GUARD

Should Interlocks Be Required for All DUI Offenders?

Terms & Conditions Website E-Boutique

Offer in Compromise. Attach Application Fee and Payment (check or money order) here. IRS Received Date. (Rev. May 2012) Section 3

An Introduction to... Equity Settlement

ARBITRATORS AND MEDIATORS PROFESSIONAL LIABILITY INSURANCE (This is an application for a claims-made policy.) 1. Full Name of Assured:

1. Full Name of Assured: 2. Address (MUST be a Physical Address): (City) (State) (Zip) Phone Number: ( ) Fax Number: ( ) Address:

Fixed Indexed Annuity Rates

FOREIGN LIMITED LIABILITY COMPANY REGISTRATION CHART

IRA DISTRIBUTION REQUEST

FORM D Notice of Exempt Offering of Securities

Annual Survey of Public Pensions: State- and Locally- Administered Defined Benefit Data Summary Brief: 2015

10 Reasons Why Vertex SMB is A Better Way to Handle Your Sales and Use Tax Automation 11:00 11:30. Scott Coleman. Channel Sales Manager

AFFILIATION AGREEMENT

Return-to-Work Outcomes Among Social Security Disability Insurance (DI) Beneficiaries

Legal Concepts Meet Technology: A 50 State Survey of Privacy Laws

The State of the States: FirstNet and Public Safety Broadband

Auto Insurance Underwriting/Rating

Standardization of Technician Education Want it? Need it? Janet Teeters, M.S., R.Ph. Director of Accreditation Services ASHP

CINCINNATI HILLS CHRISTIAN ACADEMY COLLEGE QUESTIONNAIRE FOR STUDENTS

Premium Reverse Mortgage Leads (Silver Financial, Inc.) 105 W Adams St, #1325, Chicago, IL fidess.ferrer@premiumreverse.

Florida 1/1/2015 Workers Compensation Rate Filing

Who provides this training? Are there any requirements? The parents/guardians and the doctor go through the medication curriculum with the student.

RATE FILING METHODS FOR PROPERTY/CASUALTY INSURANCE, WORKERS COMPENSATION, TITLE 11/05

Admitting Foreign Trained Lawyers. National Conference of Bar Examiners Chicago, May 2, 2015

U.S. Department of Education NCES NAEP. Tools on the Web

Download at

OFFICE OF INSPECTOR GENERAL SPECIAL FRAUD ALERT FRAUD AND ABUSE IN NURSING HOME ARRANGEMENTS WITH HOSPICES

Pharmacist Administered Vaccines Types of Vaccines Authorized to Administer

Successes and Challenges in the Affordable Care Act: Beyond Access

Prescription Drug Marketing Act (PDMA): Understanding the Regulations

Enrollment Snapshot of Radiography, Radiation Therapy and Nuclear Medicine Technology Programs 2015

LIMITED PARTNERSHIP FORMATION

STATES VEHICLE ASSET POLICIES IN THE FOOD STAMP PROGRAM

History of Prescription Drug Monitoring Programs. PDMP Training and Technical Assistance Center Brandeis University

Frequently Asked Questions About Using The GRE Search Service

State and Local Sales Tax Revenue Losses from E-Commerce: Estimates as of July 2004

Dartmouth / SilverScript Retiree Prescription Drug Plan

State Special Education Forms September 2002 Eileen M. Ahearn, Ph.D.

1. Does your state automatically adopt each new edition of the NESC?

I N T E R N A T I O N A L E X E C U T I V E S E R V I C E S T A X

The 80/20 Rule: How Insurers Spend Your Health Insurance Premiums

Small Business Credit Outlook

Transcription:

THE UNCLAIMED PROPERTY CONTINUUM NEW SEC 17AD-17 REQUIREMENTS TO STATE UNCLAIMED PROPERTY COMPLIANCE TRIGGERS INACTIVITY VS. RETURNED MAIL SIFMA OPERATIONS CONFERENCE + EXHIBIT MAY 2012 1

Panel Participants Sal Bianco, Director of the Governance Control Division, E*Trade Jeff Pickel, Director, Fidelity Nick Nichols, Chief Operations Officer, Keane Deb Zumoff, Chief Compliance Officer, Keane 2

Securities and Exchange Commission Rule 17Ad 17 Proposed Changes 3

Dodd Frank Mandate from Congress HR 4173 known as the Restoring American Financial Stability Act of 2010 was signed by President Obama on 7/21/10. SEC directed to make the following changes to its regulations: o First, the requirements of 17Ad 17 are to be extended to apply to brokers and dealers. o Second, a paying agent is required to send notice to each missing security holder when a check over $25 due to that security holder goes uncashed. The new rules ueswere eeto be formulated uatedby the escby SEC 7/21/11 / 4

July 27, 2010- First Request for Comment for SEC Study Comments were requested on the following issues: o o o o o o o o Effectiveness of existing regulatory standards of care for brokers Whether there were regulatory gaps Whether retail customers understand or are confused by different standards Examination and enforcement resources Existing state securities regulations Varied service levels provided by brokers to their retail customers Impact of regulatory change on broker retail customers related to fraud protection Potential costs to brokers from potential regulatory change None were provided at this time. 5

Keane Dialogue with SEC Division of Trading & Markets Initial conversation by phone Thursday, 9/16/10 4:00 pm If rules to be drafted by July 2011, will there be a grace period for implementation or will it be immediate? o Answer: Yes, there will be a grace period after the rules are drafted to allow for implementation. Rule > comment period > effective date. This will allow for the systems necessary to be developed. In terms of the definition of uncashed check payees as missing, will that label be modified to reflect the true nature of the item? o Answer: Not sure of the leeway allowed by the Act to change characterization ation of un cashed payees as missing. Realizes it causes confusion and will try to clarify but not change. 6

Keane Dialogue with SEC Division of Trading & Markets (Continued) Will the mailings on un cashed checks be a one time requirement or will multiple mailings be required until such time as the item escheats? Will quarterly mailings be considered as a best practice? o Answer: A single written notice is all that is required by the Act. So mailing is a one time only requirement. Semi annual or quarterly mailings might be considered as a best practice. In the scenario where a broker dealer utilizes a clearing firm, i.e., Wachovia/Wells Fargo and First Clearing, which entity will have the responsibility to conduct the mailing? o Answer: Not sure yet between a broker dealer and its clearing firm where the responsibility will lie for the mailing and the required searches. Commission realizes this could be an issue. They are working on it and further clarity will appear in the proposed Rule. Will these new rules cover retirement accounts also, i.e., uncashed checks for 401k distributions? o Answer: Not sure if the new rules will cover paying agents in the retirement arena. Off the top of his head he thought yes. They realize the definition of paying agent is nebulous. 7

More Keane Dialogue with SEC Division of Trading & Markets (continued) Conversation by phone Friday 1/21/11 4:00 pm Does a letter sent after the check remains uncashed for 90 days satisfy the new notice requirement? o This is probably ok, but the owner is technically not yet considered missing according to the new requirement. Commission staff is not 100% sure. The 6 7 month notice may still be required. Can you reinvest uncashed check proceeds if this is listed in the prospectus? o This has nothing to do with the proposed Rule. This impacts the net capital section under the customer protection rule 15C3 1 and 15C3 3. Please inquire with Randall Roy at 202 551 5522. 8

More Keane Dialogue with SEC Division of Trading & Markets (Continued) Does the uncashed check notice requirement apply to just dividend and interest checks or to all disbursements? o The Rule applies to any check/any disbursement. Willfollow up letters or additional database searches be required after the uncashed check notice. o No. The requirement is for one letter one time. 9

Proposed Regulation Finally Published Finally published 3/21/11; Comment Deadline 5/9/11 Proposed changes: o The words broker, or dealer are added to paragraph (a) following the rule s existing references to transfer agents. However, the Commission clarifies that [a]s a practical matter, however, the Commission preliminarily believes that the only brokers and dealers that would have obligations under the amended rule would be those that carry securities for the accounts of customers within the meaning of Exchange Act Rule 15c3 3. Such brokers and dealers generally are referred to as clearing firms (as opposed to introducing firms ) and tend to be the larger brokerage firms. 10

Proposed Regulation Finally Published (Continued) A paying agent will be required to provide written notification no later than 7 months after the sending of any uncashed check to each missing security holder to inform the missing security holder that they have been sent an uncashed check. The notification may be sent with a check or other mailing subsequently sent to the missing security holder but must be provided no later than seven months after the sending of the not yet negotiated check. Paying agent is definedasanyissuer, any issuer, transfer agent, broker, dealer, investment adviser, indenture trustee, custodian or any other person that accepts payments from an issuer of securities and distributes payments to security holders. 11

Proposed Regulation Finally Published (Continued) A person would be considered a missing security holder if a check is sent to the security holder and the check is not cashed before the earlier of the paying agent s next regularly scheduled check, or 6 months. Paying agents are excluded from the notification requirements if the check is worth less than $25. Paying agents will be required to keep records to demonstrate compliance with the rule. Records must be kept tfor at least t33 years. The previous year s records are to be kept in an easily accessible place. The Commission believes that the collection of information under the proposed is necessary to enable transfer agents, brokers, and dealers and paying agents, as custodians of records that determine the ownership of securities and the entitlement to corporate distributions, to reduce the number of lost and missing security holders. 12

Proposed Regulation Finally Published (Continued) Regulation 17Ad 17 will be re titled to demonstrate it applies to personnel other than transfer agents. Specifically, the Commission proposes to re title the rule Transfer agents, brokers, and dealers obligation to search for lost security holders; paying agents obligation to search for missing security holders. The SEC has preliminarily chosen one year from final action on the rule as an effective date. 13

Comments Requested Requests made for public comment: o The Commission has been directed to avoid requiring multiple paying py agents to send written notification to a missing security holder regarding the same not yet negotiated check. The Commission states that it does not believe that multiple notifications by different paying agents for a given check kis a likely l scenario under the proposed rule amendments because an issuer would not use two paying agents for the same distribution. However, the Commission requests comment on the likelihood of such an occurrence and, if such an occurrence is probable with any frequency, on ways to avoid it from happening. o Comment on how brokers and dealers anticipate complying with the proposed rule s requirement to search for lost security holders. 14

Comments Requested (Continued) Comment on whether the new term missing security holder, and its related requirements and timeframes will be confused with the rule s existing term lost security holder and its related requirements and timeframes. The Commission requests particular comment regarding whether brokers, dealers, and transfer agents, which are also included in the definition of paying agent, foresee issues that may result from the use of the two terms. The Commission requests cost data for implementation of the proposed revisions by industry participants. 15

Comments Requested (Continued) Comments on any burdens to commerce that might result from the proposed rule amendments. Commentators should provide empirical data to support their views. With respect to Section 17A(g)(2) s requirement that in preparing these amendments to Rule 17Ad 17 the Commission shall seek to minimize disruptions to current systems, the Commission requests comment on any potential disruptions that may result from the proposed revisions and how to minimize any such potential disruptions. Comments on the proposal to establish a compliance date for the amendments of one year following final action by the Commission. 16

Comment Summaries Use more distinctive language to avoid confusion between missing and lost security holders Exclude lost from missing security holder to avoid sending notices to bad addresses Lengthen the time period that triggers the obligation to send the uncashed check notice Allocate compliance burden to broker/dealer with face to face relationship with the customer Apply rule to only those checks issued after rule s effective date 17

Comment Summaries (Continued) Further define scope of rule in terms of which brokers, dealers and transfer agents are covered Add a cross reference to 17Ad 17 in the 15b rule series to ensure brokers are aware of rule Permit statement reflecting re depositing of uncashed checks into owner accounts as qualified notice Extend rule implementation from 12 to 18 months Recognize and provide guidance on potential for conflict with state unclaimed property laws Permit the use of electronic means to send notices 18

What s Next? Dialogue with Special Counsel to Division of Trading and Markets: o Telephoneconversations on2/16/12and4/4/12 o All comments were considered and reviewed by SEC General Counsel s office; about 1/3 were incorporated in final proposal o ProposedFinal Release hasbeendrafted; first 30pageslookgood good o Next Steps: o Review by new SEC Office of Risk and Finance o Review by SEC Office of Economic Affairs o Review again by SEC General Counsel o Final review by Commissioners themselves o Implementation 12 months from adoption date o Final release expected end of Q2 2012 19

17Ad-17 Revisions: Potential Impact Broker Dealer Perspective 1 Design, Implementation, Search and Mailing Costs Many Brokers may not have a process for external database searches Per item charges for search and postage Operations costs related to increase in call volumes and maintenance requests SEC Office of Management and Budget (OMB) estimated industry cost at $9.88m, SIFMA Comment letter estimated industry cost upward of $40m 2 Customer Dissatisfaction/Confusion Some customers do not want to be contacted about low dollar accounts and checks SIFMA Comment Requested increase in minimum threshold from $25 to $100 Customers often confused by letter. Common responses: I have lived here for 20 years!, Why do I need to contact you if you already have my address? 3 Final Ruling Detail is Critical Industry has been in a holding pattern awaiting final rule Hoping final rule will reflect the comments filed during the response period 4 Potentially Lower Escheat Volumes TA 17Ad 17 searches have proven effective at locating customers 20

State Unclaimed Property Compliance Triggers Inactivity vs. Returned Mail (RPO) 21

Strict Statutory Construction vs. Industry Practice State statutes can be broken into 4 categories: o RPO Only o Inactivity Only o RPO and Inactivity o RPO or Inactivity 22

RPO vs. Inactivity Generally (Without nuances for DRP and Non-Dividend Paying Entities) Inactivity Only RPO Only RPO and Inactivity RPO or Inactivity CO CT* DE* IL* KY MD MN MS ND OR PA* RI SD TN* WA PR ALBERTA, CANADA *Spring State AK VA VI. CA DC GA ID IA MA MI MO NE NY* UT WY AL AR AZ FL* HI IN KS LA ME MT NC NH NJ NM NV OH OK SC TX VT* WI WV The content of this document is provided for informational purposes only and should not be considered legal advice or legal opinion. This document contains information that is confidential, may be protected by the attorney/client or other applicable privileges, and may constitute non public information. 23

2011 Inactivity Variations 24

Strict Statutory Construction vs. Industry Practice (Continued) Some states distinguish between dividend paying holders and non dividend paying holders Some states have separate provisions for DRP and non DRP property p 25

What Constitutes Activity? Electronic contact vs. paper Non return of 1099s Verified internet contact (login and password required) Verified phone contact 26

Compliance Hurdles Information systems not tracking inactivity Inability to comply without significant manual research Firms grappling with methodologies to capture and audit inactivity States supplying conflicting explanations of date of last contact 27

Discussion Perspectives Operations perspective generally historically RPO driven o Corporate/equity issuers recent wave of 3 rd party multi state audits focusing on inactivity trigger On Line Broker perspective embraced notion of inactivity as escheatment trigger Mutual Fund perspective driving toward integration of RPO and inactivity triggers 28

Inactivity vs. Returned Mail OPERATIONS PERSPECTIVE 29

Background Commercial TA s maintain security holder information for more than 15,000 issuers and approximately 100 million accounts Historically, securities escheated only where the security holder was deemed lost per SEC Rule 17Ad 17 As states have become more aggressive in collection, re interpretation of state statutes hasbecomenecessary 30

Defining Inactivity Easier Analysis: o Dividend Paying Entities Difficult Analysis: o Non Dividend dpaying Entities o Dividend Reinvestment Accounts 31

Illinois Case Study- 2010 32

Impact Numbers for 6 major issuers (2009 versus 2010) Eligible for due diligence based on lost interpretation in 2009, contact interpretation in 2010 o 2009 Due diligence mailed to 5,300 holders holding 103,000 000 shares o 2010 Due diligence mailed to 25,900 holders holding 7,475,000 shares What does this cost? Example DRP 33

Current Enforcement & Political Landscape Impact of economic crisis on state budgets. Unclaimed property is a tremendous source of revenue to the states (currently holding over $35B) States are intensifying search for additional revenue without raising taxes. New Appointed or Elected Agency Heads Translation = Increasing Audits. States have tapped into unclaimed property funds to meet budget shortfalls. 34

Current Enforcement & Political Landscape (continued) More audits; more aggressive stance during audit New players/limited or little specific UP experience Reduced dormancy periods Looking for new abandoned property types (e.g. digital property; uninvoiced receipts) Refusal to waive interest for non compliance under audit Goodnews perhaps greater willingness to permit voluntary disclosure to bring in revenue while avoiding costly audits 35

Legislative & Regulatory Trends Changing Reporting Deadlines To Collect Property Faster (MI and TX) Adding New Rules Or Policies To Cut Administrative Burdens Or Reduce The Ability To Reunite The Owner With Their Funds (RI) Adding New Rules To Respond To Unique Situations (NV) Specific Authority To Contract For Audits And Create An Estimate 36

Inactivity vs. Returned Mail ONLINE BROKER/DEALER PERSPECTIVE 37

Customer Date of Last Contact (DOLC) Owner generated activity precludes escheatment. E*TRADE utilizes a Data Warehouse as the information hub for readily accessing and managing customer data records. o The following modes of interaction qualify to update a customer s contact date thereby preventing escheatment. Inbound Phone / IVR Inbound Fax Inbound Mail User Web Login In Person Secure Message / Email General Transactions (bookkeeping) Bank & Brokerage Transactional Codes Details are captured through a variety of internal applications which are then fed and stored centrally in a Data Mart 38

New SEC Rule 17Ad-17 Proposals Evolving regulatory landscape in unclaimed property and the new impact to broker dealers Dodd Frank Act signed into law July, 2010 (expansion of current SEC rules and more active role in federal government). Enhancements to the due diligence process (additional searchrequirements) requirements) Broker Dealer vs. Transfer Agent Broker Dealer Customers (security holders) are active and are offered many different products and services that go beyond a Transfer Agent process Process ability to credit Customers Brokerage Account for un cashed checks Customers (security holder) have the ability to log in to their accounts for various reasons as an Investor and are delivered Statements 39

Inactivity vs. Returned Mail MUTUAL FUND PERSPECTIVE 40

Federal Regulations vs. State Law SEC Rule 17Ad 17 Transfer Agent: shareholder is lost if mail is returned by post office (RPO) to the fund company as undeliverable o The returned piece of mail may be remailed to shareholder within 30 days of the first piece of mail being returned Two external database searches must be performed. o First search between 3 and 12 months of RPO Event o Second search conducted between 6 and 12 months of the First Search Excludes accounts worth less than $25, non natural persons, deceased customers State Regulations Certain states assert a no contact or inactivity escheatment trigger which maysupplement or replace RPO Investors who don t affirmatively contact the financial institution, and do not have customer initiated transactions in their account can have their account considered unclaimed property even though shareholder mail is not RPO Contact standards vary by state. Some states require contact with the customer to be in writing. 41

Challenges and Issues Associated with Inactivity/No Contact Defining Contact among states with no contact standard o There isno uniformdefinition of what constitutescontact contact There are various systems infrastructure challenges to gathering contact information from various sources Phone, Branch and Correspondence channels may operate independently Intermediary relationships pose particular challenges Federal regulations, based on RPO, are more consistent with a firm s fiduciary responsibility to it s customers Increase in volumes Customer confusion Lack of uniformity in standards leads to inefficiency 42

Inactivity Based Escheatment Review requirements of state regulations o Dormancy Period, Triggering Event, Due Diligence Requirements Define Contact and Activity elements that need to be documented to substantiate lastcontact o Verified phone calls, web log in, customer initiated transactions, customer correspondence, etc. Establish Date of LastContact field on recordkeeping platform o To be populated by the date of the activities listed above Develop state specific logic to ensure that accounts are identified in a timely manner o Consider state s dormancy period and time required to locate customers Allow time for mandated state due diligence efforts Additionaldue due diligence efforts maybe advisable Develop and/or logic by state to trigger dormancy period via traditional RPO date or date of last contact o RPO accounts are still abandoned 43

The Bright(er) Side of Inactivity Customers are not lost o High success rates for due diligence programs Opportunity to establish proactivecommunication communication with customers o Verify account registration information o Open dialogue with customers regarding investment options o Reinforce that the firm values each customer relationship 44

Thank You Sal Bianco salvatore.bianco2@etrade.com com Jeff Pickel Jeffrey.Pickel@FMR.com Nick Nichols nnichols@keaneup.com Deb Zumoff dzumoff@keaneup.com 45