The U.S. Securities and Exchange Commission (SEC) and the Commodities Futures Trading Commission (CFTC) have fined three firms, two in the same group for ‘widespread and longstanding’ failures by the firms and their employees to maintain and preserve electronic communications. To settle the SEC charges, both firms acknowledged that their conduct violated recordkeeping provisions and agreed to pay penalties of $15 million and $7.5m, respectively. In related actions, the CFTC brought cases against two firms in the same group for failing to maintain, preserve, or produce records, and failing to diligently supervise matters related to their businesses. The firms were fined $15 million. The CFTC also fined a firm $30 million regarding recordkeeping and supervision failures for the widespread use of unapproved communication methods.
In addition to the monetary penalties imposed there are substantive remedial actions required by the regulators including the employment of compliance consultants to, among other things, conduct comprehensive reviews of the policies and procedures relating to the retention of electronic communications found on personal devices and the respective frameworks for addressing non-compliance by employees with those policies and procedures. The firms also agreed to extensive supervisory reporting obligations on the work undertaken to fulfill the required undertakings.
These fines add to the $2bn+ fines imposed for similar failings in 2022. A key factor in the reduced dollar value of the fines was the fact that the firms self-reported the off-channel communications before the regulators contacted the respective firms and the firms proactively began prompt remediation.
For one firm the proactive remedial actions included:
It is clear that the challenge of unmonitored communication channels is far from over. Firms must consider how they can open up approved platform features to increase productivity and employee satisfaction and reduce reliance on off-channel platforms. Firms would be very well advised to begin an internal review as a matter of urgency. If unmonitored or off-channel communications are found then it should be reported promptly to the relevant regulator and remedial action begun immediately.
Theta Lake’s multi-award winning product suite provides patented compliance and security for modern communications utilizing over 100 frictionless partner integrations that include RingCentral, Webex by Cisco, Microsoft Teams, Slack, Zoom, Movius and more. It is exactly the kind of technology investment referenced in one of the firm’s own remedial actions to facilitate compliant communications.
Theta Lake’s regulatory and data science teams are happy to discuss any of the issues in greater detail. You can find further regulatory perspectives from Theta Lake here or you can join a weekly 30-minute demo webinar here.