{"id":8291,"date":"2022-03-11T07:40:00","date_gmt":"2022-03-11T07:40:00","guid":{"rendered":"https:\/\/iqeq.com\/?p=8291"},"modified":"2023-12-18T14:11:21","modified_gmt":"2023-12-18T14:11:21","slug":"social-media-and-secs-new-marketing-rule","status":"publish","type":"post","link":"https:\/\/iqeq.com\/insights\/social-media-and-secs-new-marketing-rule\/","title":{"rendered":"Social media and the SEC\u2019s new marketing rule"},"content":{"rendered":"
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Social media is everywhere, and it seems there is a new social platform every day. We have seen investment advisers embrace this innovation as they look to social media to build their brand and, in some cases, drive business. There are so many ways to connect with followers \u2013 posts, live streams, real-time feeds, disappearing acts, short videos, community-based platforms such as Public.com and Reddit, and discussion rooms on Clubhouse.<\/p>\n

But with the wide adoption of social media comes regulatory scrutiny. Advisers are at a crossroads, with the compliance date of the U.S. Securities and Exchange Commission (SEC)\u2019s\u00a0new marketing rule<\/a>\u00a0set for November 2022.<\/p>\n

The current advertising rule was adopted by the SEC in 1961 \u2013 60-plus years ago \u2013 when computers were unheard of and the internet didn\u2019t exist. Will the SEC\u2019s new marketing rule set us up for another 60+ years? Or will ever-evolving technology push the SEC to act faster? Will social media someday be replaced by alternate reality (AR), virtual reality (VR), the metaverse and web3? Only time will tell.<\/p>\n

Key points for advisers to consider<\/h2>\n

In the meantime, here are some key points advisers should consider on their usage of social media with the impending new marketing rule:<\/p>\n