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Alan Markfeld
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Dharmi is an excellent securities lawyer who understands the law as it pertains to these cases. She is extremely proactive and represents her clients well. I highly recommend Jacko and Dharmi.
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I’ve had the privilege of working closely with this firm in my role as Chief Compliance Officer and I can confidently say they are an exceptional compliance partner. Their depth of experience is immediately evidentand they bring a level of practical knowledge. What I truly enjoy is their ability to translate complex regulatory requirements into plain English, often using real, everyday examples that make implementation far more manageable. They are also incredibly responsive and reliable. In a field where timing matters, their prompt communication and thoughtful guidance have been invaluable. If you’re looking for a compliance attorney who combines expertise, clarity, and professionalism, I highly recommend them.
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Michelle and the team at Jacko Law Group have helped guide through a variety of critical circumstances as we ventured through the uncharted and unfamiliar territory of becoming and successfully operating as an RIA. I have particularly appreciated Michelle's personal involvement and genuine caring about us and our organization. She has been responsive and her counsel has been consistently on-point and helpful. She artfully guided us through our initial filing process and first SEC exam process - which went very well. Very grateful to Michelle and her team.
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Michelle and her team were excellent to work with, front to back. They helped me to understand the challenges ahead and were always proactive in their consultation through every step of my transition. JLG truly know the wealth management industry very well and did a great job of understanding the challenges unique to my business. Without them, I can confidently say I would not have felt as comfortable through the transition as I did. Fortunately, that's not something that stops there - Michelle and her team have kept in touch to ensure that I'm on top of certain administrative issues, trends, and simply showing me that they care about my business and success. I look forward to continuing to work with them for many years to come.
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Margery Neis
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Dharmi Mehta was extremely helpful when my business partner and I transitioned to a new RIA firm. She and her staff were all very professional. Her guidance during our transition was invaluable. I highly recommend Dharmi and Jacko Law Group.
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Joseph Burwell
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Dharmi and Amandeep were a delight to work with. They assisted me with a claim and stuck with me the entire way through. Dharmi's advice was invaluable, and I was most impressed by her clear and professional communication. From beginning-to-end, both Dharmi and Amandeep kept me well informed. Their entire team are proud of their work and rightfully so. Thank you!
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Faruk Jaffer
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My mentor once told me that a good attorney is worth their weight in gold — and that couldn't be more true of Michelle and Amanda. Their expertise, professionalism, and responsiveness were top notch every step of the way. It's rare to find legal partners who are not only sharp and thorough, but also genuinely invested in your success. I’m grateful for their guidance and highly recommend them to anyone seeking trusted legal counsel.
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everistus etafo
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It is my great Privilege to share my Review of what Atty Dharmi Mehta of Jacko Law Group did for me and by extension for my family. From the first time complimentary conversation we had having spoken to several other Lawyers ,l knew she was the right person for the Job .Because of her background as a former RR ,she was professional,kind, Empathetic,listened and was focused on fighting for me. From a potential of been terminated with cause ,l was able to walk away with a clean U5 with a validation that l did nothing wrong except what was in the best Interest of my clients. I hope nobody ever has to go through what l have Experienced, but if you do ,you want Dharmi Mehta beside you .Rest assured your service Deserve 10 stars but this forum only allows 5. Me and my family are forever grateful and will make sure that any RR who needs an advocate will know about you . Everistus Etafo
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Karen Althaus
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I have worked with Jacko Law Group for 2 different business situations that necessitated an attorney. In both cases, the team was very thorough & competent. Their attention to our situation and the extra effort they put into our case(s) was very much appreciated. I would highly recommend Jacko Law Group!
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A Financial Advisory Firm’s Simple, but Costly Lesson in the Need for Adequate Fee Disclosure

A man at a table, focused on his laptop | Jacko Law Group, PC
When it comes to disclosure, it’s important to have more than one set of eyes review everything from marketing materials to Forms ADV to make certain all required language is included and nothing is overlooked. A recent regulatory filing underscores how a lack of disclosure and not having sufficient written policies and procedures in place to prevent such lapses can create unnecessary conflicts of interest, regardless of adviser intent. On April 15, 2021, the U.S. Securities and Exchange Commission (SEC) brought a cease-and-desist order against Mason Advisory Investment Services, Inc. (MIAS), for breaches of fiduciary duty in connection with its mutual fund share class selection processes and the receipt of fees by its affiliated broker-dealer, Mason Securities, Inc. (MSI)[1].

Watch your Fee Language

At issue was the fact that for approximately 30 months between 2014 and 2016, MIAS purchased, recommended, or held for certain advisory clients mutual fund share classes that charged 12b-1 fees instead of lower-cost share classes of the same funds that were available to clients. As a result, MSI, received 12b-1 fee revenue in connection with these investments, a small portion of which was then paid to certain of MIAS’s investment adviser representatives (IARs), in their capacities as registered representatives of MSI. All real and potential conflicts of interests need to be disclosed to the clients. But MIAS did not adequately disclose this conflict of interest in its Forms ADV or otherwise. The SEC said MIAS also breached its duty to seek best execution by causing certain advisory clients to purchase mutual fund share classes that charged 12b-1 fees when share classes of the same funds that presented a more favorable value for these clients under the particular circumstances in place at the time of the transactions were available to the clients. From February 2014 through September 2014, MIAS’s firm brochure disclosed: “Certain employees of MIAS are also registered representatives with Mason Securities, Inc., [and] the registered representatives may implement the decision of the client and execute the corresponding transactions. As MIAS is affiliated with [MSI], a potential conflict of interest may arise in executing transactions through [MSI]. In connection with those transactions, [MSI] may collect commissions.” The MIAS firm brochure further stated that: “MIAS and Mason Securities, Inc., its affiliate, may earn additional compensation in the form of continuing service fees ([including] 12b-1 fees) from mutual funds, as well as fees, commissions, and/or mark-ups on money market transactions. This additional compensation is not available to off-set fees. The registered representative (financial planner) may receive a portion of any service fees, processing charges, and/or mark-ups.” A conflict of interest arose, however, when MIAS omitted the aforementioned disclosure relative to 12b-1 fees from its firm brochure between September 2014 and September 2016.

A Domino Effect

The absence of necessary 12b-1 disclosure became a bigger problem when the SEC determined MIAS failed to adopt and implement written compliance policies and procedures reasonably designed to prevent violations in connection with its mutual fund share class selection practices. Further complicating matters was the fact MIAS, although eligible to do so, did not self-report its violations to the SEC. An investment adviser’s fiduciary duty includes, among other things, an obligation to seek best execution for client transactions. By causing certain advisory clients to purchase mutual fund share classes that charged 12b-1 fees while share classes of the same funds were available to the clients and represented a more favorable value under the particular circumstances in place at the time of the transactions, the SEC said MIAS violated its duty to seek best execution for those transactions. The end result? MIAS agreed to pay $825,000 in fines and investor restitution, an expensive cost for a conflict of interest that could have been avoided. There’s nothing technically wrong the fees MIAS charged, provided the fact adequate fee disclosure is made. Then the client can make the decision whether or not to participate. And while MIAS did not self-report the issue, the firm did cooperate. It’s important that advisory firms know self-reporting requirements and cooperate with regulators. When in doubt, disclose. Jacko Law Group can help you and your team by reviewing fee disclosure in relevant materials to help avoid potentially expensive allegations of conflicts of interest. To schedule a consultation, call us at (619) 298-2880 or visit us online at jackolg.com.
[1] https://www.sec.gov/litigation/admin/2021/ia-5719.pdf?utm_medium=email&utm_source=govdelivery

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