ARTICLE
28 December 2021

Firm Settles SEC And CFTC Recordkeeping Violations From Use Of Personal Communications

CW
Cadwalader, Wickersham & Taft LLP
Contributor
Cadwalader, established in 1792, serves a diverse client base, including many of the world's leading financial institutions, funds and corporations. With offices in the United States and Europe, Cadwalader offers legal representation in antitrust, banking, corporate finance, corporate governance, executive compensation, financial restructuring, intellectual property, litigation, mergers and acquisitions, private equity, private wealth, real estate, regulation, securitization, structured finance, tax and white collar defense.
A broker-dealer / swap dealer settled parallel SEC and CFTC charges for "widespread" recordkeeping failures related to communications on personal devices, personal email and Internet applications.
United States Finance and Banking
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A broker-dealer / swap dealer settled parallel SEC and CFTC charges for "widespread" recordkeeping failures related to communications on personal devices, personal email and Internet applications.

As outlined in the SEC Order and related CFTC Order, the agencies found that from January 2018 to November 2020 the firm failed to keep records of employee communications by employees sent on personal devices through text messages, WhatsApp and personal email accounts. The agencies stated that the firm's failure to respond to subpoenas regarding these communications with all of the requested information hindered their investigations. The firm later notified the agencies that the communications in question had been deleted and were unrecoverable.

As a result of the SEC's investigation, the SEC found that the broker-dealer violated registration, reporting and recordkeeping rules under Sections 15(b)(4)(E) and 17(a) of the Exchange Act and Rules 17a-4(b)(4) and 17a-4(j) thereunder. The CFTC found that the firm violated registration, reporting and recordkeeping rules under CEA Sections 4g4s(f)(1)(C) and 4s(g)(1) and (3)  and CFTC Rules 1.311.3523.201, and 23.202(a)(1) and (b)(1).

To settle the charges, the SEC and CFTC are stipulating that the firm (i) cease and desist from future violations, (ii) pay, jointly and severally, civil money penalties in the amounts of $125 million and $75 million respectively, plus post-judgment interest, and (iii) retain a compliance consultant per the SEC's Order to update the firm's communication policies, procedures and supervision.

Primary Sources

  1. CFTC Press Release: CFTC Orders JPMorgan to Pay $75 Million for Widespread Use by Employees of Unapproved Communication Methods and Related Recordkeeping and Supervision Failures
  1. CFTC Order: JPMorgan Chase Bank, N.A., J.P. Morgan Securities LLC, and J.P. Morgan Securities plc
  2. SEC Press Release: JPMorgan Admits to Widespread Record-Keeping Failures and Agrees to Pay $125 Million Penalty to Resolve SEC Charges
  1. SEC Order: J.P. Morgan Securities LLC

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ARTICLE
28 December 2021

Firm Settles SEC And CFTC Recordkeeping Violations From Use Of Personal Communications

United States Finance and Banking
Contributor
Cadwalader, established in 1792, serves a diverse client base, including many of the world's leading financial institutions, funds and corporations. With offices in the United States and Europe, Cadwalader offers legal representation in antitrust, banking, corporate finance, corporate governance, executive compensation, financial restructuring, intellectual property, litigation, mergers and acquisitions, private equity, private wealth, real estate, regulation, securitization, structured finance, tax and white collar defense.
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