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CUSTOMER COMPLAINTS

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Title: CUSTOMER COMPLAINTS


1
CUSTOMER COMPLAINTS
2
CUSTOMER COMPLAINTS
  • Review the Complaint
  • Is the complaint within the jurisdiction of your
    agency? If not, forward to appropriate agency.
  • Are there other complaints against
  • The firm?
  • The agent?
  • The branch office?
  • If there are complaints, are they similar?

3
CUSTOMER COMPLAINTS
  • Conduct background checks on all targets in the
    CRD and other databases such as corporate records
    and your agencys internal tracking program.
    Check registration status of all targets.
  • Did the complainant provide enough information to
    work the complaint? If not, send a request for
    additional information.

4
CUSTOMER COMPLAINTS
  • Can the complaint be resolved by making a few
    telephone calls?
  • Examples accounting problem, check not
    received, certificate not received, etc.
  • Is complaint of a serious nature (such as theft,
    conversion, etc.) that requires immediate action?

5
CUSTOMER COMPLAINTS
  • Acknowledge receipt of complaint to complainant
  • Send target letter to the home office of the
    broker dealer
  • What documents do you want to ask for? Make
    request reasonable, yet adequate to address
    concerns. Consult your agencys policy on whether
    to include a copy of the complaint.

6
CUSTOMER COMPLAINTS
  • Do you want an affidavit or statement from
    agent, manager, compliance officer, sales
    assistant, trader, etc.
  • If records are not voluntarily provided via
    target letter you may wish to consider, if
    feasible, a visit to the agents office or the
    use of a subpoena.

7
CUSTOMER COMPLAINTS
  • Are there other parties such as clearing brokers,
    other market makers, banks, other regulators,
    etc. that may provide useful information?

8
CUSTOMER COMPLAINTS
  • Review all information received.
  • Is targets response adequate?
  • Does complainant need to confirm/deny anything in
    targets response?
  • Do other parties need to confirm any information?

9
CUSTOMER COMPLAINTS
  • Evaluate the target on a continual basis
  • Are they being cooperative? Do the documents
    support their claims? Are they hesitant to
    release information?
  • If issues are complicated or the responses dont
    seem truthful, you may want to consider taking
    the targets on-the-record testimony.
  • What is/are their defense(s)?

10
CUSTOMER COMPLAINTS
  • Evaluate the complainant on a continual basis
  • Are they being open and cooperative?
  • Would they be willing to testify if the case went
    to hearing? If so, evaluate their ability to be
    an effective witness i.e. if their story remains
    consistent, if they have health issues such as
    memory loss. If not, can you proceed with the
    case without their testimony?

11
CUSTOMER COMPLAINTS
  • Evaluation of the complaint
  • If no violations, send closeout letter. As the
    investor may file for arbitration, your closeout
    letter should be carefully worded. It is
    recommended in most cases, especially where there
    is a verbal dispute with no corroborating
    evidence, your letter indicate there are no
    apparent violations based upon the information
    in the possession of your agency.

12
CUSTOMER COMPLANITS
  • For example Documentation not in the
    possession of your agency, i.e. testimony, may
    be available to you but may be taken or
    provided during an arbitration hearing.

13
CUSTOMER COMPLAINTS
  • The reason for using this type of language is to
    dissuade a firms attorney from using your letter
    as a definitive statement in an arbitration
    against the complainant.

14
CUSTOMER COMPLAINTS
  • If violations are present, discuss the case with
    your supervisor or an attorney to determine the
    best course of action to resolve the complaint
    (i.e., de minimis violation letter, letter of
    caution, administrative actions, etc.)
  • If administrative action is warranted, be sure
    you have documented the violations via documents
    and testimony.

15
COSTUMER COMPLAINTS
  • Other Considerations
  • Unlike many other financial deals which are done
    pursuant to a written contract, securities
    transactions are, for the most part, done orally.
    Therefore, absent any other corroborating
    evidence, you may encounter a he said-she said
    situation.
  • If your review has documented a violation, was
    there a failure to supervise on the part of the
    supervisor/firm? If so, document appropriately.
  • If you are unable to document a violation,
    maintain the information in some form of database
    in the event future complaints are received.

16
CUSTOMER COMPLAINTS
  • Important Reminders
  • Be sure to look for additional violations even
    though they are not alleged by the complainant.
    A typical example of this is a complaint where
    the investor indicates they were promised a 50
    return in one year. In addition to reviewing
    this type of complaint for misrepresentations, be
    sure to review for registration (i.e., firm,
    agent, branch office, securities) and
    suitability, etc.

17
CUSTOMER COMPLAINTS
  • Do not make representations to investors which
    lead them to believe you will be able to obtain a
    rescission offer/restitution for them. Remember,
    with the exception of a small number of states,
    the only established means by which a customer
    can seek a return of their funds is via
    arbitration/ litigation.
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