crc-oyster-hero

Outsourced FINOP for Business Growth

Discover how an investment advisor firm streamlined its FINRA New Member Application (NMA) process, ensured compliance, and secured a licensed FINOP with CRC Oyster's expertise.

Client Profile

An investment advisor firm sought to grow its business by establishing a broker-dealer arm to sell securities, including mutual funds and annuities.  To so, the firm needed to register with FINRA as a Broker Dealer.

The Situation

In coming to us with help for the New Member Application (NMA) Process with FINRA, it was determined that in addition to assistance with the NMA, the firm needed a resource for the FINOP position.

The FINRA registration applications are processed by the MAP division of FINRA.  Prospective FINRA member firms must seek approval for new FINRA membership through the submission of a New Membership Application (NMA or Form NMA) in accordance with FINRA Rule 1013.

Firms applying for FINRA membership, with the exception of sole proprietorships, must have at least two registered principals and one Financial and Operations Principal (FINOP). To qualify as a firm’s FINOP, individuals must pass FINRA’s Series 27 or Series 28 qualification examination.

However, not all registered FINOPs have the appropriate experience to do the job effectively.  The regulatory rules for broker-dealers are complex. FINOPs must have, in addition to the Series 27 license, enough experience in the industry and knowledge of the inner workings of the firm to understand the nuances and interpretations regulators are expecting.

The firm did not have a qualified FINOP in place and decided to outsource a licensed, experienced FINOP from CRC Oyster.

The Challenges

  • FINRA Registration – Complex NMA process

  • FINOP Requirement – No in-house FINOP

  • Regulatory Compliance – Net Capital & reporting

  • Operational Readiness – Accurate financials

  • Ongoing Requirements – Continuous oversight

Actions Taken By CRC Oyster

As the firm had no employees or Principals with the required licensing and experience, CRC Oyster consulting provided a qualified individual to serve as their FINOP.

CRC Oyster’s outsourced FINOP became responsible for:

  • The maintenance of the member firm’s broker-dealer’s books and records
  • The accuracy of the financial statements
  • Compliance with applicable Net Capital Rules and Customer Protection Rules
  • Timely submission of all financial regulatory reports
  • Overall supervision of and responsibility for the individuals who are involved in the administration and maintenance of the firm’s back-office operations.

The Outcome

The firm was successfully registered and CRC Oyster continued to provide licensed FINOP support, including, but not limited to:

  • Reviewing current accounting practices
  • Providing net capital compliance and monthly or quarterly FOCUS Reports, as required
  • Filing Focus Part IIA monthly or quarterly, as required
  • Filing SSOI with FINRA quarterly
  • Filing Focus Schedule I annually
  • Filing Quarterly Form Custody
  • Filing SIPC 6 and 7
  • Reviewing audited financial statements annually.
Wealth Management Firm Global Technology

Get Started

Contact us today to discuss your compliance and risk management needs. We’re here to help you navigate regulatory challenges with confidence.