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Rey Sanchez, CFA, covers the specialty chemical industry for Rock Advisory Associates. Until today he has had a buy recommendation on ChemStar, and many of the firm’s customers have purchased shares based upon his recommendation. The firm’s client accounts are divided into two fundamental categories: trading and buy-and-hold accounts. The firm holds discretionary trading authority over the trading accounts, but not the buy-and-hold accounts. Sanchez has recently come to believe that the fundamentals are changing for the worse at ChemStar, and is preparing a sell recommendation. He calls a meeting of the firm’s portfolio managers with accounts holding ChemStar and tells them of the pending release of the sell recommendation. On this basis, the portfolio managers sell all positions in the discretionary accounts but not in the buy-and-hold accounts. Sanchez completes and mails the report to all clients two days later, and, shortly thereafter, many of the buy-and-hold accounts sell their ChemStar positions. With regard to these actions, Sanchez is:

A)

not in violation of the Standard on Fair Dealing; the portfolio managers are in violation of the Standard on Fair Dealing.

B)

in violation of the Standard on Fair Dealing; the portfolio managers are in violation of the Standard on Fair Dealing.

C)

in violation of the Standard on Fair Dealing; the portfolio managers are not in violation of the Standard on Fair Dealing.




Sanchez is in violation of the Standard III(B), Fair Dealing, since he has disseminated his recommendation preferentially to the portfolio managers in advance of making the report available to all clients who hold shares of ChemStar. The portfolio managers are in violation of the Standard since they are effectively giving preferential treatment to the trading accounts over the buy-and-hold accounts in the placement of orders based upon the change in recommendation.

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Concerning Standard III(B), Fair Dealing, which of the following actions is NOT a valid procedure for compliance with the Standard?

A)

Limit the number of people that are involved and are privy to the fact that an investment recommendation is going to be disseminated.

B)

Communicate investment recommendations to all customers including those accounts for which the securities are not eligible for purchase.

C)

Communicate investment recommendations simultaneously within the firm and to customers, where possible.



To ensure compliance with the Standard, members should seek to communicate investment recommendations to all clients who have indicated an interest and also those for whom the securities are suitable. There is no need to communicate recommendations to clients for whom the securities are deemed unsuitable. The standard does not prohibit a firm from offering various levels of service.

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Which of the following statements about the limitations that the Fair Dealing standard imposes is TRUE?

A)
Referral fees may be disclosed after proceeding with an agreement for service.
B)
Before trading on her own portfolio, a CFA charterholder must wait for employer and client deals to be executed.
C)
Clients should not be discriminated against when disseminating investment recommendations.



The dissemination of information and recommendations to clients must be handled fairly.

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