Throughout the course of the calendar year, the SEC uses several forms of communication to keep investment advisers updated on the compliance issues that concern them. These forms of communication include risk alerts, official notices and bulletins, announcements of enforcement actions, and public statements and speeches.
The SEC’s most highly anticipated communication, however, is the release of its examination priorities for the coming year. The SEC derives these examination priorities, in part, from the practices, products, and services that were found to present heightened risk to investors during previous examinations of firms under its jurisdiction. The SEC’s annual examination priorities announcement is a culmination of its most pressing concerns at the time of release. Below lists out key takeaways from the SEC 2025 examination priorities for Investment Advisers.
As in the past, the SEC’s 2025 Examination Priorities, announced on October 21, cover both perennial and emerging risks. While the SEC continues to be focused on the core tenants of an adviser’s compliance program, including the adequacy of policies and procedures, fiduciary obligations, conflicts of interest, compliance with recently adopted rules, and adequate disclosure, there are noteworthy callouts that advisers should pay particular attention to.
The Integration of Artificial Intelligence, AI
One of the callouts that is generating the most buzz since the release of the priorities is the integration of Artificial Intelligence, or AI, into a firm’s operations and compliance policies and procedures. The use of AI is evolving rapidly, whether firms are leveraging it directly, or indirectly through service providers, which is presenting many new issues firms need to consider. While the SEC did list AI as an emerging technology in its 2024 examination priorities, AI is a lot more prominent in this year’s priorities, accompanied by a list of compliance areas that should be noted by any firm that uses AI or has AI exposure. With over $700k in penalties assessed to three firms since March of this year, firms should pay particular attention to the SEC’s callout regarding the use of AI highlighted in this year’s priorities, including ensuring that they have implemented robust policies and controls, as well as ensuring they have adequate and accurate disclosures.
Other areas of note in this year’s priorities include:
How We Help
STP ComplianceAdvisor provides consulting to assist firms in complying with securities regulations. STP ComplianceAdvisor can review your firm’s policies in consideration of the SEC’s latest release, including a review of your firm’s AI exposure and practices, assessing your firm’s fee and compensation structure, examining compliance risk exposure related to private fund practices, and preparing your firm for adoption of Reg S-P amendments. Learn more by contacting us today.