What the SEC is requesting from advisers on social media

The Securities and Exchange Commission recently began a &quot;sweep&quot; of investment advisory firms to gather information about their use of social media. (Read: <a href=http://www.investmentnews.com/article/20110214/FREE/110219962>'SEC said to 'sweep' advisory firms'.)</a>
MAR 11, 2011
By  Mark Bruno
The Securities and Exchange Commission recently began a "sweep" of investment advisory firms to gather information about their use of social media. (Read: 'SEC said to 'sweep' advisory firms'.) Below is an excerpt of the letter sent to advisers by the SEC that outlines the specific requests the agency has in its fact-finding mission: Please produce the following documents within [Adviser]'s possession or custody or subject to [Adviser]'s control for the period January 1, 2010 to the present: 1. All documents sufficient to identify [Adviser]'s involvement with or usage of social media websites, including, without limitation: a. Facebook; b. Twitter, including, without limitation, AdvisorTweets.com; c. LinkedIn; d. LinkedFa; e. YouTube; f. Flickr; g. MySpace; h. Digg; i. Reddit; RSS; and j. Blogs and micro-blogs; 2. All documents concerning any communications made by or received by [Adviser] on any social media website, including, without limitation, snapshots of documents responsive to Item 1, above; 3. All documents concerning [Adviser]'s policies and procedures related to the use of social media web sites by [Adviser], including, without limitation: a. All policies and procedures concerning any communication posted on any social media website by [Adviser]; b. All policies and procedures concerning any prospective communications to be posted on any social media website by [Adviser]; and c. All policies and procedures concerning any ongoing monitoring or review process related to communications posted on any social media website by [Adviser]; 4. All documents concerning [Adviser]'s policies and procedures concerning a third party's use of any social media website maintained by [Adviser], including, without limitation: a. All policies and procedures concerning any communication posted by a third party, including, without limitation, actual or prospective clients of [Adviser], on any social media website maintained by [Adviser]; b. All policies and procedures concerning any approval processes for prospective communications to be posted by a third party, including, without limitation, actual or prospective clients of [Adviser], on any social media website maintained by [Adviser]; and c. All policies and procedures concerning any ongoing monitoring or review processes related to communications posted by a third party, including, without limitation, actual or prospective clients of [Adviser], on any social media website maintained by [Adviser]; 5. All documents concerning [Adviser]'s policies and procedures related to the use of social media websites by [Adviser]'s personnel for personal, non-business related matters; 6. All documents concerning [Adviser]'s personnel training and education related to the use of social media websites by [Adviser], whether for personal, non-business related, or business related matters; 7. All documents concerning any informal or formal disciplinary action of [Adviser]'s personnel related to the use of social media for personal, non-business related, or business-related reasons; and 8. All documents concerning [Adviser]'s record retention policies and procedures concerning the involvement with or usage of, whether for personal, non-business related, or business-related matters, any social media website maintained by [Adviser] by: a. [Adviser]; b. [Adviser]'s personnel; or c. any third party.

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