Custom, examination-defensible Written Supervisory Procedures for FINRA-registered broker-dealers — built for your actual business, not copied from a template.
Written Supervisory Procedures are the operational foundation of a FINRA-registered broker-dealer's compliance program. FINRA Rule 3110 requires each member firm to establish, maintain, and enforce written procedures reasonably designed to supervise the activities of its associated persons. The word 'reasonably' carries significant weight in FINRA examination practice — examiners evaluate WSPs against the firm's actual business activities, registered personnel, products, and customer base. A generic template WSP that does not reflect the firm's actual supervisory structure fails this standard, regardless of how many pages it contains.
The most common WSP deficiency finding in FINRA examinations is the gap between what the procedures say and what the firm actually does. Procedures that reference supervisory reviews that are never conducted, designate supervisors who have no awareness of their obligations, or describe exception report review processes that do not exist in practice create regulatory exposure that is often worse than having no procedure at all — because they demonstrate not merely a compliance gap but a supervisory failure. Our WSP engagements are built around your actual supervisory infrastructure.
Product-specific addenda are an increasingly important component of a defensible WSP framework. FINRA's guidance on complex products — structured notes, variable annuities, leveraged and inverse ETFs, options — requires firms to maintain specific supervisory procedures calibrated to the risks of each product type. For firms that sell private placements under Regulation D, FINRA Rule 5123 requires filing obligations and specific supervisory review procedures. Our WSP engagements include review of all products offered and development of appropriate product-specific addenda.
Annual WSP review under FINRA Rule 3110(a)(5) requires each member firm to review its supervisory procedures at least annually to ensure they remain current, accurate, and adequate. This obligation — often treated as a rubber-stamp exercise — is a genuine compliance opportunity to identify gaps created by regulatory changes, new product offerings, staff changes, or operational evolutions since the prior review. Doo Compliance conducts structured annual WSP reviews and produces written review documentation that satisfies FINRA examination requirements.
Every WSP engagement includes the following components, customized to your firm's registration category and business model.
All FINRA-registered broker-dealers — with particular urgency for firms that have received WSP-related findings in prior FINRA examinations, firms undergoing material changes in business model or product offerings, newly registered broker-dealers building initial compliance infrastructure, and firms whose existing WSPs were last substantially updated more than 24 months ago.
Our WSP engagements address every applicable supervisory obligation across FINRA's rulebook.
Contact Doo Compliance to discuss your business model, products, and supervisory structure.
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