DGL REVISED 2022 15Ba2-1 Form MSD justification

DGL REVISED 2022 15Ba2-1 Form MSD justification.pdf

Rule 15Ba2-1; Form MSD-Application for Registration of Municipal Securities Dealers

OMB: 3235-0083

Document [pdf]
Download: pdf | pdf
SUPPORTING STATEMENT
for the Paperwork Reduction Act Information Collection Submission for
Rule 15Ba2-1 and Form MSD
OMB Control No. 3235-0083
A.

JUSTIFICATION
1.

Necessity of Information Collection

Section 15B(a)(2) of the Securities Exchange Act of 1934 (the “Act”) authorizes the
Commission to prescribe by rule an application form for registration that requires such information
about a municipal securities dealer and its associated persons as is necessary and appropriate in the
public interest and for the protection of investors. Rule 15Ba2-1 (17 CFR 240.15Ba2-1), adopted
pursuant to Sections 15B(a)(2), 17(a) and 23(a) of the Act, 15 U.S.C. 78q-4(a)(2), 78q(a) and
78w(a), implements Section 15B(a)(1) and (2) by providing that an application for registration by a
bank municipal securities dealer (or a separately identifiable department or division of a bank) must
be filed on Form MSD (17 CFR 249.1100).
2.

Purpose and Use of the Information Collection

The Commission uses the information obtained from Form MSD filings to determine
whether bank municipal securities dealers meet the standards for registration set forth in the
Exchange Act, to make information about particular bank municipal securities dealers available to
customers and members of the public, and to develop risk assessment information about bank
municipal securities dealers. The information is provided to the public by being included routinely
in the public files of the SEC and being available for inspection by any interested person because it
is important to give investors an independent means of obtaining or verifying information that they
may deem relevant regarding management, supervisory, and certain other persons associated with a
municipal securities dealer, with whom they may be entrusting a substantial portion of their assets.
Such information includes, but is not necessarily limited to, the qualifications of such persons.
3.

Consideration Given to Information Technology

While the Commission continues to improve its systems for information gathering and
compilation through the increasing use of computer technology, the burden associated with filing
each Form MSD is already negligible. Thus, improved information technology will have little
effect in reducing the burden.
4.

Duplication

One signed original and one signed copy of Form MSD must be filed with the SEC, and an
exact copy should be retained by the registrant. In addition, an original signed copy of the form
must be filed with registrant’s appropriate federal bank regulatory agency, determined in
accordance with section 3(a)(34) of the Securities Exchange Act of 1934. In order to avoid
unnecessary duplication with respect to the response to question 5, an applicant may submit a copy
of the Form MSD-4, the form that is filed with the appropriate federal bank regulatory agency

regarding individuals associated with the municipal securities dealer, rather than the otherwise
required Schedule A. The information requested on Schedules B and C is not available from any
other source and is necessary for the Commission to determine whether or not to grant an
applicant’s application for registration.
5.

Effect on Small Entities

Although some bank municipal securities dealers using Form MSD may be characterized as
small businesses, the need for information on bank municipal securities dealers (as described in
item 2 above) is the same regardless of the size of the dealer.
6.

Consequences of Not Conducting Collection

If the collection were not conducted, the Commission would not be able to use Form MSD
information for purposes such as evaluating applications for registration and developing risk
assessment information about bank municipal securities dealers. Also, the public would not be able
to obtain or verify form MSD information on municipal securities dealers and their associated
persons.
7.

Inconsistencies with Guidelines in 5 CFR 1320.5(d)(2)

There are no special circumstances. This collection is consistent with the guidelines in 5
CFR 1320.5(d)(2).
8.

Consultations Outside the Agency

The required Federal Register notice with a 60-day comment period soliciting comments on
this collection of information was published. No public comments were received.
9.

Payment or Gift

None.
10. Confidentiality
A Privacy Act Statement, pursuant to 5 U.S.C. 552(e)(3), has been added to Form MSD.
This statement provides no assurance of confidentiality.
11. Sensitive Questions
The information collection collects basic personally identifiable information that may include
name, maiden name, alias, civil or criminal history, education, personal contact information,
occupation, job title, work history, and work contact information. However, the agency has
determined that the information collection does not constitute a system of record for purposes of the
–2–

Privacy Act, because the information is not retrieved by a personal identifier. The EDGAR PIA will
cover this collection of information.
12. Information Collection Burden
Form MSD is a one-time registration form that must be amended only if it becomes
inaccurate. Based upon past submissions of zero initial filings and 14 amendments in 2019, zero
initial filings and three amendments in 2020, zero initial filings and one amendment in 2021, and
zero initial filings and zero amendments thus far in 2022, the Commission estimates that on an
annual basis approximately one respondent will use Form MSD for an initial registration
application, and that approximately six respondents will use Form MSD for an amendment, for a
total of seven respondents per year. The time required to complete Form MSD varies with the size
and complexity of the bank municipal securities dealer’s proposed operations. Bank personnel that
prepare Form MSD filings previously indicated that it can take up to 15 hours for a bank with a
large operation and many employees to complete the form, but that smaller banks with fewer
personnel can complete the form in one to two hours. We believe that most recent applications
have come from smaller banks. Also, amendments to form MSD are likely to require significantly
less time. We estimate that the total annual burden is currently approximately 11 hours at an
average of 1.5 hours per respondent. (7 respondents/year x 1.5 hours/respondent = 10.5 hours/year
rounded up to 11). The staff estimates that the average internal compliance cost per hour is
approximately $406. 1 Therefore, the estimated total annual internal cost of compliance is
approximately $4,263 per year (10.5 hours/year x $406/hour = $4,263/year).
SUMMARY OF ANNUAL INFORMATION COLLECTION BURDEN TO RESPONDENTS
Burden Type

Number of Annual
Responses

Time Per Response
(Hours)

Total Annual Burden
(Hours)

One-time reporting to
the SEC

7

1.5

11

13. Costs to Respondents
There are no costs to respondents other than those identified in item 12, above.
14. Costs to Federal Government
Not applicable. Currently, there are no developmental costs associated with Rule 15Ba2-1
1

The estimate of $406 per hour is for a compliance attorney, based on the Securities Industry and
Financial Markets Association’s Management & Professional Earnings in the Securities Industry
2013, modified by Commission staff to account for an 1800-hour work-year and inflation, and
multiplied by 5.35 to account for bonuses, firm size, employee benefits and overhead.
–3–

or Form MSD. The Commission receives approximately seven Form MSD filing per year, and
processing or reviewing the filings does not require the Commission to hire any new employees or
relocate any existing employees. This is done by existing staff as part of their regular duties.
15. Changes in Burden
Since the last time Commission staff estimated the burden in 2019, the approximate number
of Form MSD filings received by the Commission each year has decreased from 14 to seven,
resulting in a decrease in the estimated annual hour burden from the 2019 estimate of
approximately 21 hours to the current estimate of approximately 11 hours.
16. Information Collection Planned for Statistical Purposes
Not applicable. The information collection is not used for statistical purposes.
17. Approval to Omit OMB Expiration Date
The Commission is not seeking approval to omit the expiration date.
18. Exceptions to Certification for Paperwork Reduction Act Submissions
This collection complies with the requirements in 5 CFR 1320.9.
B.

COLLECTIONS OF INFORMATION EMPLOYING STATISTICAL METHODS
This collection does not employ statistical methods.

–4–


File Typeapplication/pdf
AuthorROCHEJ
File Modified2022-05-09
File Created2022-05-09

© 2024 OMB.report | Privacy Policy