Monday, February 20, 2017
Governor Terry McAuliffe
House Bill 1582 reflects an incomplete understanding of weapons qualification practices within our military and is an unwarranted expansion in the number of people allowed to carry handguns in the Commonwealth. It would do nothing to protect the safety of our citizens.
It would allow any person 18 years of age or older and on active military duty or honorably discharged from the United States Armed Forces or the Virginia National Guard who has completed basic training to apply for a concealed handgun permit.
Contrary to the assumption of House Bill 1582, weapons familiarization training as a component of an individual’s military basic training does not qualify that
Tuesday, September 1, 2009
August 31, 2009
Dear Chief Executive Officer:
Recent press articles have reported that some broker-dealer firms may be engaging in a vigorous recruiting program for broker-dealer registered representatives. Reports suggest some firms are offering substantial inducements to potential registered representatives, including large up-front bonuses and enhanced commissions for sales of investment products, In light of these reports, I want to remind broker-dealer firms and their CEOs of the significant supervisory responsibilities you have under the federal securities laws to oversee broker-dealer activities, particularly with respect to sales practices.
Certain forms of potential compensation may carry with them enhanced risks to customers. Some types of enhanced compensation practices may lead registered representatives to believe that they must sell securities at a sufficiently high level to justify special alTangements that they have been given. Those pressures may in tum create incentives to engage in conduct that may violate obligations to investors. For example, if a registered representative is aware that he or she will receive enhanced compensation for hitting increased commission targets, the registered representative could be motivated to chum customer accounts, recommend unsuitable investment products or otherwise engage in activity that generates commission revenue but i’s not in investors’ interest.
I therefore encourage broker-dealer firm CEOs and their fellow supervisors to be particularly vigilant in ensuring that sales practices are closely monitored and that investor interests are carefully considered in the sale of any security or other investment product.
I also encourage firms and their CEOs to ensure that, in the event a firm’s sales force expands, the firm’s supervisory and compliance infrastructure retains sufficient size and capacity.
Mary L. Schapiro Chairman
Posted By Valerie Garner
Tags: corruption, investigation, SEC