• Link to X Link to X Link to X
  • Link to Facebook
  • Link to LinkedIn
  • Link to Pinterest
  • Link to Rss this site
Phone: (561) 948-6511 | 150 E. Palmetto Park Road, Suite 800, Boca Raton, FL 33432
FirstMark Regulatory Solutions
  • Home
  • Services
  • Leadership
  • Our Story
  • News & Insights
  • Contact
  • Click to open the search input field Click to open the search input field Search
  • Menu Menu
electronic communication

Email Flagging Keywords Out of Date?

September 3, 2015/by Mitchell Atkins, CRCP

Do you Update your Email Flagging Keywords?

It is important to remember to periodically update your email flagging keywords if you use a monitoring system for electronic communications. Those systems, while powerful, are only as good as the dictionary of email flagging keywords used to call out a communication for review. Broker-dealers are required to supervise all communications relating to their investment banking or securities business, so says FINRA Rule 3110. Systems provided by Global Relay and SMARSH have the ability to call out electronic communications for review based on the parameters set by the system administrator. And a key element of an adequate supervisory system for reviewing communications is a robust set of email flagging keywords. Knowing the fine line about how much is too much is also important. Because a list that is too long and doesn’t use carefully thought-out lists of email flagging keywords will call out too many “false positives” for review, thus making the process ineffective.

To develop an effective list, consider conducting a thorough analysis of: 1) business lines and relevant keywords, 2) languages spoken by clients and employees, and 3) latest industry intelligence on terminology being used. It is important to understand that the manner in which we communicate, even in business, is constantly changing. For this reason, we must ensure that the supervisory systems and processes we use are updated in such a way as to remain relevant tools. The email flagging keywords list should be dynamic and should be the product of careful scrutiny and analysis.

FirstMark Regulatory Solutions is a broker-dealer and investment adviser compliance consulting firm based in Fort Lauderdale, Florida. FirstMark founder, Mitch Atkins, has written an article on LinkedIn, about email flagging keywords and some of the terms prosecutors and defense attorneys are using according to a September 2, 2015 article in Bloomberg Business. For more information or for help preparing your email flagging keyword list, contact Mitch Atkins at (561) 948-6511.

Tags: electronic communications, email keyword flagging, FINRA Rule 3110(b)(4), SEC Rule 17a-4(f)
Share this entry
  • Share on Facebook
  • Share on X
  • Share on WhatsApp
  • Share on Pinterest
  • Share on LinkedIn
  • Share on Tumblr
  • Share on Vk
  • Share on Reddit
  • Share by Mail
https://firstmarksolutions.com/wp-content/uploads/2015/09/Emailv2.jpg 350 500 Mitchell Atkins, CRCP https://firstmarksolutions.com/wp-content/uploads/2016/06/FirstMark-logo1-preview-300x110.png Mitchell Atkins, CRCP2015-09-03 11:51:532024-07-09 08:37:11Email Flagging Keywords Out of Date?
Search Search

Recent Posts

  • The FINRA CMA – A Comprehensive Guide
  • FINRA Application Process: Buy or Apply
  • Exchange Act Rule 17a-4 – An Old Rule in a New World
  • FINRA Supervisory Controls Testing in the Age of Reg BI: Six Questions That Still Matter
  • FINRA Anti-Money Laundering Independent Testing
  • Who Must be Fingerprinted at a FINRA Broker-Dealer?

Categories

  • Anti-Money Laundering
  • Electronic Communications
  • FINRA BD Consulting
  • FINRA CMA Applications
  • FINRA L Share Compliance
  • FINRA Membership Applications
  • FINRA NMA Applications
  • FINRA Rules
  • Markups and Commissions
  • News
  • Regulation Best Interest
  • Supervisory Controls
  • Uncategorized
  • Written Supervisory Procedures

TAGS

3120 Testing AML AML Compliance AML Testing anti-money laundering compliance branch registration Buying a FINRA BD CMA vs. NMA DOL PTE 2020-02 electronic communications email email keyword flagging fingerprinting of broker dealer FINRA FINRA 5 Percent Policy FINRA AML Cases FINRA AML Testing FINRA CEO Certification FINRA CMA Guide FINRA L Share FINRA Markups FINRA Membership Application Rules Retrospective FINRA NMA FINRA NMA FAQ finra nma timeline FINRA Ownership Change FINRA PMP FINRA Rule 3110(b)(4) FINRA Supervisory Controls Testing fma securities compliance Mitch Atkins Mitch Atkins FINRA mitch atkins FirstMark Mitch Atkins Speaker new member application NRF Reg BI Regulation Best Interest SEA Rule 17a-4 SEA Rule 17f-2 SEC Electronic Recordkeeping SEC Rule 17a-4 SEC Rule 17a-4(f) social media Suitability

RSS FINRA Compliance Podcasts

  • How FINRA Is Enhancing Member Firm Examinations
  • Trading Around the Clock: Inside FINRA's Trade Reporting Enhancements
  • How FINRA Is Streamlining Data Requests
  • Financial Security in 2026: Tips for Investors and How Firms Can Help
  • Investors in the United States: Key Trends and Insights from the National Financial Capability Study
  • Navigating the 2026 Regulatory Oversight Report: Key Insights from FINRA Leadership
  • Making Your Voice Heard Through FINRA Member Engagement

RSS SEC News

  • SEC Proposes Rescission of Climate-Related Disclosure Rules
  • SEC Investor Advisory Committee to Host June 4 Meeting
  • SEC and NFA Announce Memorandum of Understanding to Further Harmonize Regulatory Coordination
  • SEC Proposes Transformative Reforms to Help Public Companies Conduct Registered Offerings and Simplify Reporting Requirements
  • SEC Rescinds Policy Regarding Denials of Settlements in Enforcement Actions
  • SEC Charges 21 Individuals With Alleged Wide-Reaching Insider Trading Scheme
  • SEC Divisions of Investment Management and Corporation Finance Issue Staff Guidance Supporting Retirement Plans for Small Businesses

FirstMark News & Expert Insights

  • The FINRA CMA – A Comprehensive Guide
  • FINRA Application Process: Buy or Apply
  • Exchange Act Rule 17a-4 – An Old Rule in a New World
  • FINRA Supervisory Controls Testing in the Age of Reg BI: Six Questions That Still Matter
  • FINRA Anti-Money Laundering Independent Testing
  • Who Must be Fingerprinted at a FINRA Broker-Dealer?

FirstMark Regulatory Solutions, Inc.

150 E. Palmetto Park Road, Ste. 800
Boca Raton, FL 33432
(561) 948-6511

https://firstmarksolutions.com
FirstMark is a compliance consulting firm and does not offer legal, tax, accounting or auditing services.
(C) 2014 - 2026 FirstMark Regulatory Solutions, Inc. All Rights Reserved.
Privacy Policy | Terms of Use
  • Link to X Link to X Link to X
  • Link to Facebook
  • Link to LinkedIn
  • Link to Pinterest
  • Link to Rss this site
Link to: FINRA Membership Application Rules Retrospective – FirstMark’s Summary Link to: FINRA Membership Application Rules Retrospective – FirstMark’s Summary FINRA Membership Application Rules Retrospective – FirstMark’s ...finra membership application rulesLink to: FINRA L Share Compliance to be a Topic of Discussion at FINRA South Region Compliance Seminar – Mitch Atkins to Present Link to: FINRA L Share Compliance to be a Topic of Discussion at FINRA South Region Compliance Seminar – Mitch Atkins to Present FINRA L Share ComplianceFINRA L Share Compliance to be a Topic of Discussion at FINRA South Region Compliance...
Scroll to top Scroll to top Scroll to top