We would love to hear from you. Click on the ‘Contact Us’ link to the right and choose your favorite way to reach-out!

wscdsdc

media/speaking contact

Jamie Johnson

business contact

Victoria Peterson

Contact Us

855.ask.wink

Close [x]
pattern

Industry News

Categories

  • Industry Articles (21,244)
  • Industry Conferences (2)
  • Industry Job Openings (35)
  • Moore on the Market (422)
  • Negative Media (144)
  • Positive Media (73)
  • Sheryl's Articles (804)
  • Wink's Articles (354)
  • Wink's Inside Story (275)
  • Wink's Press Releases (123)
  • Blog Archives

  • April 2024
  • March 2024
  • February 2024
  • January 2024
  • December 2023
  • November 2023
  • October 2023
  • September 2023
  • August 2023
  • July 2023
  • June 2023
  • May 2023
  • April 2023
  • March 2023
  • February 2023
  • January 2023
  • December 2022
  • November 2022
  • October 2022
  • September 2022
  • August 2022
  • July 2022
  • June 2022
  • May 2022
  • April 2022
  • March 2022
  • February 2022
  • January 2022
  • December 2021
  • November 2021
  • October 2021
  • September 2021
  • August 2021
  • July 2021
  • June 2021
  • May 2021
  • April 2021
  • March 2021
  • February 2021
  • January 2021
  • December 2020
  • November 2020
  • October 2020
  • September 2020
  • August 2020
  • July 2020
  • June 2020
  • May 2020
  • April 2020
  • March 2020
  • February 2020
  • January 2020
  • December 2019
  • November 2019
  • October 2019
  • September 2019
  • August 2019
  • July 2019
  • June 2019
  • May 2019
  • April 2019
  • March 2019
  • February 2019
  • January 2019
  • December 2018
  • November 2018
  • October 2018
  • September 2018
  • August 2018
  • July 2018
  • June 2018
  • May 2018
  • April 2018
  • March 2018
  • February 2018
  • January 2018
  • December 2017
  • November 2017
  • October 2017
  • September 2017
  • August 2017
  • July 2017
  • June 2017
  • May 2017
  • April 2017
  • March 2017
  • February 2017
  • January 2017
  • December 2016
  • November 2016
  • October 2016
  • September 2016
  • August 2016
  • July 2016
  • June 2016
  • May 2016
  • April 2016
  • March 2016
  • February 2016
  • January 2016
  • December 2015
  • November 2015
  • October 2015
  • September 2015
  • August 2015
  • July 2015
  • June 2015
  • May 2015
  • April 2015
  • March 2015
  • February 2015
  • January 2015
  • December 2014
  • November 2014
  • October 2014
  • September 2014
  • August 2014
  • July 2014
  • June 2014
  • May 2014
  • April 2014
  • March 2014
  • February 2014
  • January 2014
  • December 2013
  • November 2013
  • October 2013
  • September 2013
  • August 2013
  • July 2013
  • June 2013
  • May 2013
  • April 2013
  • March 2013
  • February 2013
  • January 2013
  • December 2012
  • November 2012
  • October 2012
  • September 2012
  • August 2012
  • July 2012
  • June 2012
  • May 2012
  • April 2012
  • March 2012
  • February 2012
  • January 2012
  • December 2011
  • November 2011
  • October 2011
  • September 2011
  • August 2011
  • July 2011
  • June 2011
  • May 2011
  • April 2011
  • March 2011
  • February 2011
  • January 2011
  • December 2010
  • November 2010
  • October 2010
  • September 2010
  • August 2010
  • July 2010
  • June 2010
  • May 2010
  • April 2010
  • March 2010
  • February 2010
  • January 2010
  • December 2009
  • November 2009
  • October 2009
  • August 2009
  • June 2009
  • May 2009
  • April 2009
  • March 2009
  • November 2008
  • September 2008
  • May 2008
  • February 2008
  • August 2006
  • IRI Warns Conflict of Interest Reforms Could Discourage Annuity Use

    December 14, 2017 by John Manganaro

    In an open comment letter submitted to the Securities and Exchange Commission (SEC), the Insured Retirement Institute (IRI) stresses the need for any investment industry conflict of interest reforms to be well-coordinated among regulators—and to keep in mind the crucial differences that exist between annuities and equity investments.

    For context, in June of this year the SEC published a request for public comment on standards of conduct applicable to investment advisers and broker/dealers when they provide investment advice to retail and retirement investors. The request was among the first actions taken by the SEC under the new leadership of Chair Jay Clayton, and was interpreted by many to represent the SEC jumping in to play a direct role in the ongoing work at the Department of Labor to revamp the fiduciary definition under the Employee Retirement Income Security Act (ERISA).

    At a high level, IRI argues the work completed so far by the Department of Labor (DOL) on the Obama-era fiduciary rule reforms must be skeptically reviewed by the new administration. According to IRI, major adjustments are needed to the DOL rulemaking in order for it to be considered workable by the advocacy group’s members. Furthermore, IRI argues the DOL has over-stepped the bounds of its authority and is currently engaged in work that would be best left to the SEC.

    “The new standards should not require financial professionals to completely disregard their own interests or recommend only the ‘best’ or ‘cheapest’ product,” IRI argues. “The standard should only apply to recommendations that would reasonably be viewed as a call to take action and are sufficiently individualized.”

    Beyond these arguments, IRI says DOL and SEC should work together to create advisory industry standards that do not impair the ability of firms and financial professionals to market, advertise and sell their products. In multiple sections of its letter, IRI goes so far as to argue the whole DOL rulemaking process that has unfolded so far should be tossed: “The DOL rule is causing consumers to lose access to valuable retirement products and services, and therefore should not serve as the starting point for rulemaking by the commission.…The Commission should collaborate with the DOL, FINRA, and the state insurance and securities regulators to develop a clear and consistent best interest standard.”

    Investors are generally capable of looking out for their own interests and should have freedom of access to shop the financial services marketplace for retirement income guarantees, IRI continues. “The SEC should preserve access to annuities and other valuable financial products and services by rejecting the DOL’s paternalistic view of individuals. A competitive product marketplace is clearly in the best interests of retirement investors,” IRI says.

    IRI goes on to state that investors should “always have the right to choose” their own financial professional: “Regulations should not favor or disfavor financial professionals based on the nature of their compensation (commission or fee) or the scope of their product offerings (proprietary products or limited product shelf).”

    In terms of what it would like to see SEC accomplish, IRI shares the following list: “Conflicts should be eliminated when reasonably possibly (without requiring levelized compensation); unavoidable conflicts should be managed through mitigation and disclosure; disclosures should help investors understand what they are paying and what they are getting for their money; SEC should only propose new disclosure requirements if it identifies a gap in existing disclosure requirements; and the commission should adopt a rule to allow use of a summary prospectus for variable annuities to help investors better understand these products.”

    Beyond this, IRI argues the SEC, if it does implement any new rules, should provide true grandfathering: “Any new standard of conduct should not retroactively apply to pre-existing accounts or transactions. The commission should provide a flexible regulatory environment to facilitate and encourage innovation, but should not pick winners and losers. The best interest standard should not be interpreted or enforced through private litigation; regulators should control interpretation of the standard, and enforcement should be handled through regulatory actions or arbitration.”

    IRI’s full comment letter can be downloaded here.

    Originally Posted at PlanSponsor on December 13, 2017 by John Manganaro.

    Categories: Industry Articles
    currency