ARTICLE
26 April 2018

IIROC Issues Guidance On Exemption Applications

SE
Stikeman Elliott LLP

Contributor

Stikeman Elliott LLP logo
Stikeman Elliott is a global leader in Canadian business law and the first call for businesses working in and with Canada. We provide clients with the highest quality counsel, strategic advice, and creative solutions. Stikeman Elliott consistently ranks as a top law firm in our primary practice areas. www.stikeman.com
The IIROC recently issued a notice setting out how a member (Dealer Member) may make an application for an exemption from the IIROC Dealer Member rules, other than proficiency requirements.
Canada Corporate/Commercial Law
To print this article, all you need is to be registered or login on Mondaq.com.

The Investment Industry Regulatory Organization of Canada (IIROC) recently issued a notice setting out how a member (Dealer Member) may make an application for an exemption from the IIROC Dealer Member rules, other than proficiency requirements.

Content of Application

IIROC has not prescribed a particular form for an exemption application, however noted that the following should be included:

  • the name of the applicant and category of IIROC membership;
  • the applicable Dealer Member rule or rules;
  • the relevant facts;
  • the details of any pre-application discussions with IIROC;
  • the reasons for the application;
  • rationale supporting the application (including any policy arguments and previous IIROC decisions); and
  • any supporting documentation.

If seeking confidentiality, a Dealer Member may provide rationale for the application to be kept confidential, which is at the discretion of IIROC.

Review and Decision Making Process

The Dealer Member will be notified when the review process has started and contacted for any further information requests. Once a decision has been made, the Dealer Member will be advised and, subject to confidentiality, any exemptions that are novel or are thought to potentially benefit other Dealer Members will be made public and published in one of the following formats:

  • full disclosure;
  • redacted (with confidential information removed);
  • no-names (Dealer Member's name removed);
  • summary (with or without the Dealer Member's name); or
  • as part of the annual exemption summary notice (for example, see IIROC Notice 17-0056).

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.

See More Popular Content From

Mondaq uses cookies on this website. By using our website you agree to our use of cookies as set out in our Privacy Policy.

Learn More