CIBC Investor Services Inc. - MRRS Decision

MRRS Decision

Headnote

Mutual Reliance Review System for Exemptive Relief Applications - relief from the Suitability Requirements, as reflectedin paragraph 1.5(1)(b) of OSC Rule 31-505, pursuant to section 4.1 of OSC Rule 31-505, subject to the terms andconditions set out in the Decision Document.

Decision pursuant to s.21.1(4) of the Act, that the IDA Suitability Requirements do not apply to the Filer, subject to theterms and conditions set out in the Decision Document.

Applicable Ontario Statute

Securities Act R.S.O. 1990, c.S.5, as amended, s.21.1(4).

Rules Cited

Ontario Securities Commission Rule 31-505 "Conditions of Registration" (1999) 22 O.S.C.B. 731.

IDA Regulations Cited

IDA Regulation 1300.1(b), 1800.5(b), 1900.4.

IN THE MATTER OF THE SECURITIES LEGISLATION OF BRITISH COLUMBIA, ALBERTA,SASKATCHEWAN, NOVA SCOTIA,

NEWFOUNDLAND AND ONTARIO

AND

IN THE MATTER OF THE MUTUAL RELIANCE REVIEW SYSTEM FOR EXEMPTIVE RELIEF APPLICATIONS

AND

IN THE MATTER OF CIBC INVESTOR SERVICES INC.

MRRS DECISION DOCUMENT

WHEREAS the local securities regulatory authority or regulator (the "Decision Maker") in each of the provincesof British Columbia, Alberta, Saskatchewan, Newfoundland, Nova Scotia and Ontario (collectively, the "Jurisdictions")has received an application from CIBC Investor Services Inc. (the "Filer") regarding the operation of the separatedivision, Investor's Edge (the "Division"), for:

1. a decision under the securities legislation of the Jurisdictions (the "Legislation") that the requirements of theLegislation requiring the Division and its registered salespersons, partners, officers and directors ("RegisteredRepresentatives") to make inquiries of each client of the Division as are appropriate, in view of the nature ofthe client's investments and of the type of transaction being effected for the client's account, to determine (a)the general investment needs and objectives of the client and (b) the suitability of a proposed purchase or saleof a security for the client (such requirements, the "Suitability Requirements") do not apply to the Division andits Registered Representatives; and

2. a decision under the Legislation, other than the securities legislation of Newfoundland and Nova Scotia, thatthe requirements of the Investment Dealers Association of Canada (the "IDA"), in particular IDA Regulation1300.1(b), 1800.5(b) and 1900.4, requiring the Division and its Registered Representatives to make inquiriesof each client of the Division as are appropriate, in view of the nature of the client's investments and of the typeof transaction being effected for the client's account, to determine (a) the general investment needs andobjectives of the client and (b) the suitability of a proposed purchase or sale of a security for the client (suchrequirements, the "IDA Suitability Requirements") do not apply to the Division and its RegisteredRepresentatives;

AND WHEREAS under the Mutual Reliance Review System for Exemptive Relief Applications (the "System"),the Ontario Securities Commission is the principal regulator for this application;

AND WHEREAS the Filer has represented to the Decision Makers that:

1. the Filer is a corporation incorporated under the Canada Business Corporations Act and is a wholly-ownedsubsidiary of the Canadian Imperial Bank of Commerce ("CIBC");

2. except as provided by paragraph 8 and 17 below, the Division is a distinct internal operating division of theFiler;

3. the head office of the Filer is located in Ontario and the Division also maintains offices and has RegisteredRepresentatives in Ontario, Quebec and British Columbia;

4. the Filer is registered under the Legislation as an investment dealer and broker (or the equivalent) and is amember of the IDA;

5. Investor's Edge is a trade name of CIBC registered with each of the Jurisdictions and the other division of theFiler operates under the trade name Imperial Investor Service;

6. the Division's clients can place trades by any of the following means:

(i) placing a trade by telephoning a toll-free line and speaking to a registered representative of theDivision (known as "Investor's Edge Registered Telephone Representatives"),

(ii) placing a trade by telephoning a toll-free line through the Division's Interactive Voice Response (IVR)system, and

(iii) placing a trade online through the Internet;

7. clients of Imperial Investor Service can place trades by any of the following means:

(i) placing a trade by telephoning a toll-free line and speaking to a registered representative of ImperialInvestor Service (known as "Imperial Investor Service Registered Telephone Representatives"),

(ii) placing a trade by telephoning a toll-free line through the Imperial Investor Service's Interactive VoiceResponse (IVR) system, and

(iii) placing a trade online through the Internet;

8. registered salespersons of the Filer (known as "Registered Electronic Representatives") process the trades thatare placed through the IVR system and through the Internet for clients of the Division and for clients of ImperialInvestor Service;

9. the Division operates independently using its own letterhead, accounts, Registered Telephone Representativesand account documentation and, commencing June 30, 2001, its own Registered Electronic Representatives;

10. the Division and its Registered Representatives do not and will not, except as provided in paragraph 19 below,provide advice or recommendations regarding the purchase or sale of any security and the Filer and theDivision have adopted policies and procedures to ensure the Division and the Division's RegisteredRepresentatives do not and will not, with such exception, provide advice or recommendations regarding thepurchase or sale of any security;

11. when the Division provides trade execution services to clients it would, in the absence of this Decision, berequired to comply with the Suitability Requirements and IDA Suitability Requirements;

12. clients who request the Division or its Registered Representatives to provide advice or recommendations oradvice as to suitability will be referred to another division of the Filer or another dealer;

13. the Division does not and will not compensate its Registered Representatives on the basis of transactionalvalues;

14. each client of the Division will be advised of the Decision of the Decision Makers and requested toacknowledge that:

(a) no advice or recommendation will be provided by the Division or its Registered Representativesregarding the purchase or sale of any security, and

(b) the Division and its Registered Representatives will no longer determine the general investmentneeds and objectives of the client or the suitability of a proposed purchase or sale of a security forthe client; (both (a) and (b) shall constitute the "Client Acknowledgement");

15. the Client Acknowledgement will provide the client with sufficient detail and will explain to each client thesignificance of not receiving either investment advice or a recommendation from the Filer, including thesignificance of the Filer not determining the general investment needs and objectives of the client or thesuitability of a proposed purchase or sale of a security for the client;

16. each client of the Division will be advised that he or she has the option of transferring his or her account oraccounts to another division of the Filer or another dealer at no cost to the client if the client does not wishto provide a Client Acknowledgement (the "Account Transfer Option");

17. until June 30, 2001, Registered Electronic Representatives of the Filer may process trades that are placedthrough the IVR system or through the Internet for clients of the Division or clients of Imperial Investor Servicebut the Registered Electronic Representatives do not and will not have any direct contact with clients of ImperialInvestor Service and will refer any issues associated with the processing of an order for a client of ImperialInvestor Service to an appropriately registered representative of the Filer that is not a RegisteredRepresentative;

18. commencing June 30, 2001, the Division will maintain its own Registered Electronic Representatives and suchrepresentatives will only process trades that are placed by clients of the Division;

19. the Division and its Registered Representatives will continue to comply with the Suitability Requirements andIDA Suitability Requirements for client accounts for which no Client Acknowledgement is received until June30, 2001;

20. commencing June 30, 2001 the Division will not permit a transaction in an account for which a ClientAcknowledgement has not been received unless the transaction is a sale for cash or a transfer of assets toanother account;

21. all prospective clients of the Division will be advised and required to acknowledge that:

(a) no advice or recommendations will be provided by the Division or its Registered Representativesregarding the purchase or sale of any security, and

 

(b) the Division and its Registered Representatives will not determine the general investment needs andobjectives of the client or the suitability of a proposed purchase or sale of a security for the client,(both (a) and (b) shall constitute the "Prospective Client Acknowledgement")

prior to the Division opening an account for such prospective client;

 

22. the Prospective Client Acknowledgement will provide the client with sufficient detail and will explain to eachclient the significance of not receiving either investment advice or a recommendation from the Filer, includingthe significance of the Filer not determining the general investment needs and objectives of the client or thesuitability of a proposed purchase or sale of a security for the client;

23. the Filer has adopted policies and procedures to ensure:

(a) that evidence of all Client Acknowledgements, Prospective Client Acknowledgements and AccountTransfer Options is established and retained pursuant to the record keeping requirements of theLegislation and the IDA,

 

(b) all client accounts of the Division are appropriately designated as being a client account to which aClient Acknowledgement or Prospective Client Acknowledgement has been received or being a clientaccount to which a Client Acknowledgement has not been received,

 

(c) for any client of the Division who does not provide a Client Acknowledgement and chooses to exercisethe client's Account Transfer Option, the Division will transfer the client's account in an expeditiousmanner and at no cost to the client, and

(d) Registered Electronic Representatives do not have any direct contact with clients of Imperial InvestorService and will refer any issues associated with the processing of an order for a client of ImperialInvestor Service to an appropriately registered representative of the Filer that is not a RegisteredRepresentative; and

24. the Filer has adopted policies and procedures to ensure that:

(a) subject to paragraph 8 and 17 above, the Division operates separately from any other division of theFiler using its own letterhead, accounts, account documentation and Registered Representatives(other than persons who exclusively perform supervisory or compliance functions),

 

(b) subject to paragraph 8 and 17 above, Registered Representatives of the Division (other than personswho exclusively perform supervisory or compliance functions), are clearly employed by the Divisionand do not handle the business or clients of any other division of the Filer,

(c) a current list of Investor's Edge Registered Telephone Representatives, Imperial Investor ServiceRegistered Telephone Representatives, Registered Electronic Representatives and RegisteredRepresentatives is maintained at all times, and

(d) commencing June 30, 2001, the Division will maintain its own Registered Electronic Representativesand suchrepresentatives will only process trades that are placed by clients of the Division;

AND WHEREAS under the System, this MRRS Decision Document evidences the decision of each DecisionMaker (collectively, the "Decision");

AND WHEREAS each of the Decision Makers is satisfied that the test contained in the Legislation thatprovides the Decision Maker with the jurisdiction to make the Decision has been met;

THE DECISION of the Decision Makers under the Legislation is that the Suitability Requirements containedin the Legislation shall not apply to the Division and its Registered Representatives so long as:

1. except as permitted by term and condition 4 and 8 below, the Division and its Registered Representatives donot provide any advice or recommendations regarding the purchase or sale of any security;

2. clients who request the Division or its Registered Representatives to provide advice or recommendations oradvice as to suitability are referred to another division of the Filer or another dealer;

3. except as permitted in term and condition 4 below, the Division operates independently using its own letterhead,accounts, Registered Representatives (other than persons who exclusively perform supervisory or compliancefunctions) and account documentation;

4. until June 30, 2001, Registered Electronic Representatives of the Filer may process trades that are placedthrough the IVR system or through the Internet for clients of the Division or clients of Imperial Investor Serviceprovided that the Registered Electronic Representatives do not have any direct contact with clients of ImperialInvestor Service and will refer any issues associated with the processing of an order for a client of ImperialInvestor Service to an appropriately registered representative of the Filer that is not a RegisteredRepresentative;

5. commencing June 30, 2001, the Division will maintain its own Registered Electronic Representatives and suchrepresentatives will only process trades that are placed by clients of the Division;

6. the Division does not compensate its Registered Representatives on the basis of transactional values;

7. each client of the Division is advised of the Decision of the Decision Makers and requested to make a ClientAcknowledgement or transfer his or her account to another division of the Filer or another dealer if the clientdoes not wish to make a Client Acknowledgement;

8. the Division and its Registered Representatives continue to comply, until June 30, 2001, with their SuitabilityRequirements and IDA Suitability Requirements for client accounts for which no Client Acknowledgement isreceived;

9. commencing June 30, 2001 the Division will not permit transactions in an account for which a ClientAcknowledgement has not been received unless the transaction is a sale for cash or a transfer of assets toanother account;

10. each prospective client of the Division is advised of the Decision of the Decision Makers and required to makea Prospective Client Acknowledgement prior to the Division or its Registered Representatives servicing suchprospective client;

11. evidence of all Client Acknowledgements, Prospective Client Acknowledgements and Account Transfer Optionsis established and retained pursuant to the record keeping requirements of the Legislation and the IDA;

12. for any client who elects to exercise the client's Account Transfer Option, the Division transfers such accountor accounts to another division of the Filer or another dealer in an expeditious manner and at no cost to theclient;

13. the Division accurately identifies and distinguishes client accounts for which a Client Acknowledgement orProspective Client Acknowledgement has been provided and client accounts for which no ClientAcknowledgement has been provided;

 

14. the Filer has in force policies and procedures to ensure that:

(a) Registered Electronic Representatives do not have any direct contact with clients of Imperial InvestorService and will refer any issues associated with the processing of an order for a client of ImperialInvestor Service to an appropriately registered representative of the Filer that is not a RegisteredRepresentative,

(b) except as permitted in term and condition 4 above, the Division operates separately from any otherdivision of the Filer using its own letterhead, accounts, account documentation and RegisteredRepresentatives (other than persons who exclusively perform supervisory or compliance functions),

(c) except as permitted in term and condition 4 above, Registered Representatives of the Division (otherthan those who exclusively perform supervisory or compliance functions) are clearly employed by theDivision and do not handle the business or clients of any other division of the Filer,

(d) a current list of Investor's Edge Registered Telephone Representatives, Imperial Investor ServiceRegistered Telephone Representatives, Registered Electronic Representatives and RegisteredRepresentatives is maintained at all times,

(e) commencing June 30, 2001 the Division will maintain its own Registered Electronic Representativesand such representatives shall only process trades that are placed by clients of the Division, and

(f) notice is provided on or before June 30, 2001 to each of the Decision Makers that the Divisionmaintains its own Registered Electronic Representatives and such representatives only processtrades that are placed by clients of the Division; and

15. if an IDA rule addressing the IDA Suitability Requirements comes into effect, the Decision with respect to theSuitability Requirements will terminate one year following the date such rule comes into force, unless theDecision Maker determines otherwise.

December 20, 2000

"Rebecca Cowdery"

 


THE DECISION of the Decisions Makers, other than Newfoundland and Nova Scotia, is that the IDA SuitabilityRequirements do not apply to the Division and its Registered Representatives so long as:

1. except as permitted by term and condition 4 and 8 below, the Division and its Registered Representatives donot provide any advice or recommendations regarding the purchase or sale of any security;

2. clients who request the Division or its Registered Representatives to provide advice or recommendations oradvice as to suitability are referred to another division of the Filer or another dealer;

3. except as permitted in term and condition 4 below, the Division operates independently using its own letterhead,accounts, Registered Representatives (other than persons who exclusively perform supervisory or compliancefunctions) and account documentation;

4. until June 30, 2001, Registered Electronic Representatives of the Filer may process trades that are placedthrough the IVR system or through the Internet for clients of the Division or clients of Imperial Investor Serviceprovided that the Registered Electronic Representatives do not have any direct contact with clients of ImperialInvestor Service and will refer any issues associated with the processing of an order for a client of ImperialInvestor Service to an appropriately registered representative of the Filer that is not a RegisteredRepresentative;

5. commencing June 30, 2001, the Division will maintain its own Registered Electronic Representatives and suchrepresentatives will only process trades that are placed by clients of the Division;

6. the Division does not compensate its Registered Representatives on the basis of transactional values;

7. each client of the Division is advised of the Decision of the Decision Makers and requested to make a ClientAcknowledgement or transfer his or her account to another division of the Filer or another dealer if the clientdoes not wish to make a Client Acknowledgement;

8. the Division and its Registered Representatives continue to comply, until June 30, 2001, with their SuitabilityRequirements and IDA Suitability Requirements for client accounts for which no Client Acknowledgement isreceived;

9. commencing June 30, 2001 the Division will not permit transactions in an account for which a ClientAcknowledgement has not been received unless the transaction is a sale for cash or a transfer of assets toanother account;

10. each prospective client of the Division is advised of the Decision of the Decision Makers and required to makea Prospective Client Acknowledgement prior to the Division or its Registered Representatives servicing suchprospective client;

11. evidence of all Client Acknowledgements, Prospective Client Acknowledgements and Account Transfer Optionsis established and retained pursuant to the record keeping requirements of the Legislation and the IDA;

12. for any client who elects to exercise the client's Account Transfer Option, the Division transfers such accountor accounts to another division of the Filer or another dealer in an expeditious manner and at no cost to theclient;

13. the Division accurately identifies and distinguishes client accounts for which a Client Acknowledgement orProspective Client Acknowledgement has been provided and client accounts for which no ClientAcknowledgement has been provided;

14. the Filer has in force policies and procedures to ensure that:

(a) Registered Electronic Representatives do not have any direct contact with clients of Imperial InvestorService and will refer any issues associated with the processing of an order for a client of ImperialInvestor Service to an appropriately registered representative of the Filer that is not a RegisteredRepresentative,

(b) except as permitted in term and condition 4 above, the Division operates separately from any otherdivision of the Filer using its own letterhead, accounts, account documentation and RegisteredRepresentatives (other than persons who exclusively perform supervisory or compliance functions),

(c) except as permitted in term and condition 4 above, Registered Representatives of the Division (otherthan those who exclusively perform supervisory or compliance functions) are clearly employed by theDivision and do not handle the business or clients of any other division of the Filer,

(d) a current list of Investor's Edge Registered Telephone Representatives, Imperial Investor ServiceRegistered Telephone Representatives, Registered Electronic Representatives and RegisteredRepresentatives is maintained at all times,

(e) commencing June 30, 2001 the Division will maintain its own Registered Electronic Representativesand such representatives shall only process trades that are placed by clients of the Division, and

(f) notice is provided on or before June 30, 2001 to each of the Decision Makers that the Divisionmaintains its own Registered Electronic Representatives and such representatives only processtrades that are placed by clients of the Division; and

15. if an IDA rule addressing the IDA Suitability Requirements comes into effect, the Decision with respect to theIDA Suitability Requirements will terminate one year following the date such rule comes into force, unless theDecision Maker determines otherwise.

December 20, 2000

"Howard I. Wetston"       "John A. Geller"