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FINRA Series 6 Exam Study Guide Latest Update CA$18.01   Add to cart

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FINRA Series 6 Exam Study Guide Latest Update

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FINRA Series 6 Exam Study Guide Latest Update Retail Communication - ️️ Correct-"any written (including electronic) communication that is distributed or made available to more than 25 retail investors within any 30 calendar-day period. *Preapproval of a principal is required (prior to use)...

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  • September 25, 2024
  • 61
  • 2024/2025
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TITLE: EMILLYCHARLOTTE 2024/2025 ACADEMIC PERIOD
OWNER: EMILLYCHARLOTTE
COPYRIGHT STATEMENT: ©2024 EMILLYCHARLOTTE. ALL RIGHTS RESERVED
FIRST PUBLISHED: SEPTEMBER 2024

FINRA Series 6 Exam Study Guide
Latest Update

Retail Communication - ✔️✔️Correct-"any written (including electronic) communication

that is distributed or made available to more than 25 retail investors within any 30

calendar-day period.

*Preapproval of a principal is required (prior to use).

Correspondence - ✔️✔️Correct-written or electronic communication that is distributed or

made available to 25 or fewer retail investors within any 30-calendar-day period

**Pre- or post-review of a principal is required (reviewed before or after use).

Institutional communication - ✔️✔️Correct-any written communication that is distributed

or made available only to institutional investors but does not include a member firm's

internal communications.

**No preapproval of a principal is required

Public Appearance - ✔️✔️Correct-participation in a seminar, webinar, forum (including an

interactive electronic forum such as a chat room), radio or television interview, or other

public appearance or public speaking activity.

**Preapproval of a principal may be required but is not mandated




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,TITLE: EMILLYCHARLOTTE 2024/2025 ACADEMIC PERIOD
OWNER: EMILLYCHARLOTTE
COPYRIGHT STATEMENT: ©2024 EMILLYCHARLOTTE. ALL RIGHTS RESERVED
FIRST PUBLISHED: SEPTEMBER 2024
independently prepared reprint (IPR) - ✔️✔️Correct-consists of any article reprint that

meets certain standards designed to ensure that the reprint was issued by an

independent publisher and was not materially altered by the member



**must be preapproved by a principal if the communication meets the definition of a

retail communication.

research report - ✔️✔️Correct-is a document prepared by an analyst or strategist,

typically as part of a research team for an investment bank or broker-dealer.

**Research reports must be preapproved by a principal if the communication meets the

definition of a retail communication

electronic communications - ✔️✔️Correct-Websites, whether sponsored by the company

itself or set up by an individual registered representative, are considered retail

communications and are subject to applicable filing and recordkeeping rules. They must

be reviewed and approved by a principal prior to first use and must contain no

exaggerated claims or misleading information.

Electronic bulletin boards - ✔️✔️Correct-are also considered retail communications, but a

registered representative using one, or a chat room, need not identify himself as a

registered person. Use of an online interactive forum by a registered representative

must be approved by a principal, although each post does not require principal approval




2/61

,TITLE: EMILLYCHARLOTTE 2024/2025 ACADEMIC PERIOD
OWNER: EMILLYCHARLOTTE
COPYRIGHT STATEMENT: ©2024 EMILLYCHARLOTTE. ALL RIGHTS RESERVED
FIRST PUBLISHED: SEPTEMBER 2024
Generic advertising - ✔️✔️Correct-promotes securities as an investment medium but

does not refer to any specific security. Generic advertising often includes information

about:

-the securities investments that companies offer,

- the nature of investment companies,

- services offered in connection with the described securities,

- explanations of the various types of investment companies,

- descriptions of exchange and reinvestment privileges, and

- where the public can write or call for further information

Rule 3110 - ✔️✔️Correct-Each member must retain copies of its registered

representatives' correspondence according to the recordkeeping rule

Filing Requirements during 1st year of operation - ✔️✔️Correct-FINRA will require the

member to file any retail communication that is published or used in any electronic or

other public media (e.g., any generally accessible website, newspaper, magazine or

other periodical, radio, television, telephone or audio recording, video display, sign or

billboard, motion picture, or telephone directory [other than routine listings]) with FINRA

at least 10 business days before first use (prefiling).

Filing Requirements for an "Established Firm" (after completion of 1st year of

registration) - ✔️✔️Correct-may file retail communications relating to investment

companies (including mutual funds, variable contracts, and UITs) within 10 business

days of first use (post-filing).

3/61

, TITLE: EMILLYCHARLOTTE 2024/2025 ACADEMIC PERIOD
OWNER: EMILLYCHARLOTTE
COPYRIGHT STATEMENT: ©2024 EMILLYCHARLOTTE. ALL RIGHTS RESERVED
FIRST PUBLISHED: SEPTEMBER 2024
Whether a first year firm or not, retail communications for investment companies

(including mutual funds, variable contracts, and UITs) that include a ranking or

comparison that is generally not published or is the creation of the investment company

or the member must be filed with FINRA.... - ✔️✔️Correct-at least 10 business days

before first use (prefiling).

If the ranking or comparison is generally published or is the creation of an independent

entity (e.g., Lipper or Morningstar), what rules apply? - ✔️✔️Correct-the usual filing rules

for filing will apply (i.e., within 10 business days of first use [post-filing])

Spot Checks - ✔️✔️Correct-Each member's retail communications are subject to routine

spot checks. Members must comply with written requests for such material by FINRA.

Material filed previously with FINRA under this rule need not be resubmitted.

Exemptions From Filing and Spot Check Requirements - ✔️✔️Correct--retail

communications that previously have been filed with the department and that are to be

used without material change;

-retail communications that do not make any financial or investment recommendation or

otherwise promote a product or service of the member;

-retail communications that do no more than identify a national securities exchange

symbol of the member or identify a security for which the member is a registered market

maker;

-retail communications that do no more than identify the member or offer a specific

security at a stated price;

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