Title: Elements of an Effective Fiduciary Program
1Elements of an Effective Fiduciary Program
- Elizabeth Meier
- Senior Examiner
- Federal Reserve Bank of New York
- (elizabeth.meier_at_ny.frb.org)
2Disclaimer
- These recommendations are not exhaustive. They
represent my views as opposed to those of the
Federal Reserve Bank of New York. - Transfer agent, custody, fund accounting and
participant record-keeping services are not
covered in this presentation.
3Overview
- Financial institutions should assess their
legal, reputational and operational risks. - These determine controls, including automation
and MIS reporting, and governance
infrastructures.
4Overview
- Examiners are looking for
- Strong independent and management controls
appropriate to the institutions size, products,
and services including - Automation
- Comprehensive MIS reporting
- Strong governance framework
5Strong Independent Controls Compliance
Monitoring
- Suitable investments
- Adherence to chosen strategies and guidelines
- Compliance with ERISA
- Compliance with rules and regulations in placing
proprietary products and securities underwritten
by affiliates in fiduciary accounts
6Strong Independent Controls Compliance
Monitoring
- Compliance with Code of Conduct
- Trading operations including
- Best execution/ broker selection
- Use of soft dollars
- Trading with affiliates
- Allocation of trades
- Market timing and late trading
- Proxy voting process
7Strong Independent Controls Risk Control Self
Assessments
- Periodic identification and rating of inherent
business process risks, and controls to mitigate
them - Specification of action plans to remedy control
gaps, and timeframes for implementation - Appointment of action plan owners.
-
8Strong Independent Controls Audit Framework
- Risk assessment of business processes to
determine frequency and scope of reviews - Clear plan that specifies schedule of reviews
consistent with risk - Comprehensive audit programs that address all
relevant business risk - Candid audit reporting that accurately reflects
the condition of audited area - Rating of findings
9Strong Independent Controls Audit Reviews
- Segregation of duties
- Ordering, executing and reconciling trades
- Check and electronic disbursements
- System access rights
- Accuracy and reasonableness of fees
- Proper controls over fee concessions
- Validation of risk control self assessments
- Timeliness of initial, post acceptance, and
annual account reviews - Timely remediation of exception items.
10Strong Independent Controls Audit Reviews
- Investment management for
- Quality of research in choosing investment
vehicles, particularly proprietary products - Performance monitoring and reporting
- Use of quantitative tools in analyzing financial
risk - Adequate procedures for purchasing, retaining and
valuing miscellaneous/unique assets - Investment diversity and prudence
11Strong Independent Controls Audit Reviews
- Operational processes for
- Adequate and timely reconciliations
- Security over blank checks and wire payment
devices - Check signing authorities and limits
- Sufficient vault controls
- Timely administration of overdrafts and suspense
accounts -
12Strong Independent Controls Audit Reviews
- Account agreement disclosures
- e.g. fees, commissions, the use of proprietary
products, banks investment authority, proxy
voting, etc. - Complaint procedures
- Vendor Management
- Disaster recovery programs
- Physical and logical system security measures
13Strong Independent Controls Reporting and Issue
Escalation
- Timely and transparent reporting of independent
control exceptions and findings - Escalation of all significant exceptions and
findings to appropriate stakeholders including
senior management
14Strong Independent Controls Timely and Adequate
Remediation
- Remediation of exceptions and findings within
established frameworks. - Appropriate management and independent control
sign-off on adequate remediation.
15Strong Management Controls Governance Framework
- Control and management committees comprising
business heads and independent control
representatives. - Facilitates information sharing and the
integration of risk and compliance management in
decision making. - Clear, well-understood escalation process for
reporting control breaches, audit findings,
compliance monitoring exceptions, results of risk
self assessments, litigation, complaints, MIS
etc.
16Strong Management Controls Governance Framework
- New product approval process
- Including assessment of reputational, legal, and
compliance risk as well as institutional
capacity. - Legal expertise, particularly with ERISA and
asset management activities. - Training
- Including code of conduct and fiduciary
responsibility. - Code of Ethics
- Compensation practices
- Should not compromise fiduciary duties
17Strong Management Controls Comprehensive
Policies and Procedures
-
- Responsibilities under ERISA
- Fiduciary duties under the Prudent Investor Act
including - Placement of proprietary products in fiduciary
accounts - Proxy voting guidelines
- Compliance with all pertinent rules and
regulations
18Strong Management Controls Account Opening
Process
- That determines
- Whether client requirements are consistent with
bank practices and capacity - Client risk tolerance
- Client investment goals and restrictions
- Client identity
19Strong Management Controls Timely Pre-, Post-
and Annual Account Reviews
- Ensuring compliance with governing instruments,
investment goals/ restrictions, and risk
tolerance. - Well Documented Files
20Strong Management Controls Robust Customer
Disclosures
- Including fees, commission practices, use of
affiliate services/ products, investment vehicle
risks, proxy voting rights, investment authority
etc.
21Strong Management Controls MIS Reporting
- Should include
- Portfolio performance by account
- Account concentrations
- Excessive securities sales
- Excessive cash
- Securities not on approved list
- Restricted or controlled securities
- Asset allocation ranges by account
- Volume/age of failed trades, asset breaks, and
unconfirmed/un-affirmed trades
22Strong Management Controls MIS Reporting
- Aged reconciliations
- Aged audit items, compliance exceptions and
control risk self assessment action plans. - Pending litigation
- Volume/age of complaints
- Code of Ethics violations
- Best execution metrics
- Broker usage reports
- Market timing and late trading metrics
23Strong Management Controls Automation
- Trade order management systems
- Pre- and post- trade compliance monitoring
software - Security movement and control tracking
- Account investment monitoring
- Operational loss database
- Reconciliations
24Conclusion
- Examiners want to help you comply with rules,
regulations, and best practices - Management must commit to a strong control
environment and the tools required to monitor
compliance with policies and procedures/ rules
and regulations
25Resources
- http//www.fdic.gov/regulations/trust/index.html
- FDIC Trust Examination Manual
- http//www.federalreserve.gov/boarddocs/supmanual/
- Commercial Bank Examination Manual
- Please refer to the fiduciary supervision
section 4200 - Bank Holding Company Supervision Manual
- Section 3120 Trust Services
- Section 3900 FHC Supervision
26Resources
- http//www.ffiec.gov/bsa_aml_infobase/pages_manual
/manual_online.htm - FFIEC Bank Secrecy Act Anti-Money Laundering
Examination Manual. - Please refer to sections on Trust and Asset
Management, Private Banking, Nondeposit
Investment Products - http//www.federalreserve.gov/regulations/default.
htm - Code of Federal Regulations
27Resources (cont.)
- http//www.federalreserve.gov/boarddocs/srletters/
- Supervision and Regulation Letters Pertaining to
Fiduciary Operations - SR 05-9
- Frequently Asked Questions Relating to Customer
Identification Program Rules - SR 04-18
- Bank Holding Company Rating System
- SRÂ 04-01
- Interagency Policy on Banks/Thrifts Providing
Financial Support to Funds Advised by the Banking
Organization - SRÂ 01-05
- Examination of Fiduciary Activities
- SR 00- 4
- Vendor Management
- SRÂ 99-7
- Supervisory Guidance Regarding the Investment of
Fiduciary Assets in Mutual Funds and Potential
Conflicts of Interest
28Resources (cont.)
- Supervision and Regulation Letters
Pertaining to Fiduciary Operations (continued) - SRÂ 98-37
- Uniform Interagency Trust Rating System (UITRS)
- SRÂ 97-3
- Conversion of Common Trust Funds to Mutual Funds
- SRÂ 96-10
- Risk-Focused Fiduciary Examinations
- SRÂ 95-46
- Interpretation of Interagency Statement on Retail
Sales of Nondeposit Investment Products - SRÂ 94-53
- Investment Adviser Activities
- SRÂ 93-13
- Violations of Federal Reserve Margin Regulations
in Custodial Agency Accounts Resulting From
"Free-Riding" Schemes
29About the Speaker
- Elizabeth Meier has worked as an analyst and bank
examiner in the Bank Supervision Function of the
Federal Reserve Bank of New York for 10 years.
As an analyst she worked in the Foreign Bank and
Banking Applications divisions. As an examiner
she worked in the Legal and Compliance Division
and is currently on the Payments, Settlements,
and Fiduciary Team in the Operational Risk
Division of the bank. She has performed
compliance and fiduciary examinations, including
conflict of interest reviews in large complex,
regional, and community banks in New York,
Charlotte, Chicago, South Bend, and Hartford. - Ms. Meier is a commissioned examiner, holds an
MBA from Columbia Business School, and a BS in
Economics from Boston University. She is
originally from Revere, Massachusetts and
currently resides in Brooklyn, New York.