When must a managing underwriter notify the CFD of FINRA after SEC registration?

Prepare for the FINRA Investment Banking Representative Exam with flashcards and multiple-choice questions, each offering hints and explanations. Boost your confidence for success!

The requirement for a managing underwriter to notify the Chief Financial Officer (CFO) of FINRA after SEC registration is within one business day. This timeline is critical as it ensures that the regulatory body is promptly informed about the offering, allowing for appropriate oversight and management of compliance matters.

This notification is part of the overall process to ensure transparency and regulatory compliance in the underwriting process. By informing FINRA quickly, the managing underwriter contributes to maintaining the integrity of the market and ensuring that all participants are operating under established regulations and expectations.

The other timeframes presented, such as within one calendar day or three business days, do not align with the specific regulatory requirement outlined by FINRA. Additionally, notifying FINRA at least one week before settlement is not relevant to the context of SEC registration notification, as the requirement specifically pertains to the time following SEC registration.

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