Popular on s4story
- The 2025 "Aizu Festival" in Aizu Wakamatsu City will be held September 19–21 - 589
- Ubleu Crypto Group Achieves FinCEN Registration and Colorado Incorporation, Accelerating U.S. Market Entry - 588
- Bookmakers Review: Joe Rogan Favored to Win Inaugural 2025 Golden Globes Podcast of the Year - 585
- Iterators Named Preferred Accessibility Testing Vendor by MIT - 559
- Memoir Surge and Publishing Innovation: Independent Houses Lead the Next Chapter of Literary Culture - 530
- Love Death + Explosives: Thomas Pynchon's Polipsychology | An Essay by Michael Finney - 486
- Sober.Buzz Adds Second Podcast, "Spreading the Good BUZZ" Guest List Grows, Numbers Continue Growing Globally, All While Josh and Heidi Tied the Knot - 484
- Cuesta College Central Coast Writers' Conference Announces Scholarship Contests, Teen Program, and Vendor Opportunities - 361
- Delirious Comedy Club and House of Magic Open 2nd Location at Silver Sevens Hotel & Casino - Vegas-Quality Shows, Old Vegas Prices - 313
- EMBER™, the Only Standardized System Linking Workforce Identity to Growth, Appoints Global Brand Visionary Bret Sanford-Chung to Board of Directors - 217
Similar on s4story
- BTXSGG Outlines Four-Pillar Framework to Enhance Digital Asset Security and Compliance
- NJTRX Positions for Next-Generation Asset Trading with U.S. Regulatory Framework
- Athena Forge (ATFG) Introduces Advanced Token for Technology-Driven Financial Ecosystem
- SecureMaine 2025 is this October 8th in Portland, Maine
- AHRFD Releases Market Analysis: Cryptocurrency Market's Institutional Transformation Accelerating
- Ubleu Crypto Group Analyzes European Digital Asset Market Opportunities Amid Regulatory Evolution
- NIUFO Examines European MiCA Regulation's Impact on Digital Asset Trading Markets
- Wzzph Analyzes Crypto Market Maturation as Institutional Capital Drives $50B ETF Inflows
- GXCYPX Analyzes South America's Emerging Digital Asset Market Dynamics
- Keyanb Crypto Exchange Positions for Latin America's $600 Billion Remittance Opportunity Amid Global Regulatory Shifts
Six Features a D3P Needs to Make the Cloud 17a-4 Compliant
S For Story/10461702
FINRA now allows member firms to use the cloud but cloud providers will not act as your designated third party (D3P). So firms need to outsource to a D3P with six key features built into their software before moving to the cloud.
NEW YORK - s4story -- FINRA now allows member firms to use the cloud to store electronic records and emails, however if you are a compliance officer and have done your homework, you have noticed that cloud providers will not act as your designated third party (D3P). Reason being, they can't guarantee data stored with them will be retained for 7 years. In other words, they can't prevent anyone from deleting anything from their cloud account at anytime – a big no-no for regulators. Especially when they show up for the electronic records request during the audit and see huge gaps in your data archive. Therefore, if you are a FINRA firm, such as a broker-dealer, RIA or any other registered firm and want to use the cloud you need to find a D3P that will connect into it and make it 17a-4 compliant.
Here are six things you should look for in a D3P to help you make the cloud 17a-4 compliant.
1. Direct Cloud Connector:
The first thing firms need in a cloud D3P provider is a connector built into their software that logs directly into all popular cloud services and archives data. Furthermore, this connector will copy data seamlessly to their system, automatically each night as opposed to using a sync tool to access the cloud. The sync tool is a problem because it adds an extra step to the cloud archiving process which may end up causing gaps.
Similarly, when choosing a cloud provider avoid the less popular ones such as ShareFile, SugarSync or iCloud because they are proprietary and don't allow direct connections with cloud archiving services. Instead use Office 365, Dropbox, Google Suite or OneDrive. However, for small firms I don't recommend SharePoint for file storage because its too complex. The best cloud storage combinations are Office 365 hosted email with OneDrive or the G Suite email including electronic records stored in google personal drives or team drives.
2. Automatic Detection of New Cloud Data:
Also, the D3P's software must automatically detect new cloud data sets as they are created. For example, as the firm adds new users in Office 365, SharePoint, or OneDrive sites, its automatically added to the 17a-4 archive. This applies to G Suite as well where user accounts are frequently added including their personal or team drives. If the D3P has automatic detection, they don't need to be notified every time new employees are added to the cloud.
More on S For Story
3. Electronic Records Retention:
Once the provider has the cloud data transferred to their system, it must be retained properly as per 17a-4. Now, here is where it gets dicey because if you've actually read the rule, you'll find an overly complicated laundry list of retention stipulations. For example, the rule states that exception reports must be kept at least 18 months, order tickets 3 years, records relating to customer accounts (first two years in an easily accessible place); for 6 years or default 6-year retention period for those FINRA books and records that don't otherwise have a specified retention period.
My advice: Ignore the rule here and simply ensure the D3P applies a 7-year blanket retention rule to ALL data relating to the business. With this policy you're done separating different data types then trying to apply a unique retention policy to each set, which is impossible to maintain, especially for a small firm without an IT dept.
4. Downloading Data:
At the end of the day, the reason you hire a D3P at all is to access archived electronic records or emails when needed. Aside from disaster recovery, the main reason you need a D3P is during the electronic records request when FINRA asks for a sample data set that can go back seven years.
First, its important the D3P has a secure Web portal to access the 17a-4 data archive. What's key here is data must be downloadable in a format regulators can read, especially when they are breathing down your neck during the audit. Here are the guidelines: emails must be downloadable in pst format, office docs in their native format, and customer data bases should be exported in file formats that can be accessed such a csv or text. Finally, these electronic record downloads from the 17a-4 archive must be copied instantly to a DVD so the regulator can take it back to their office for review.
Secondly, the D3P must retain cloud data for users that have been removed and keep them in an archive state so they can be retrieved. This includes Office 365 mailboxes or G suite users that have been removed and OneDrive sites or Dropbox accounts that get deleted. Keeping electronic records from users that have been removed from the cloud will also help with compliance since old employee data is often requested during audits.
5. Security:
Of course, security is something firms need to worry about every time they make a change in their technology, and the compliance officer will surely get called in if data is compromised. But, security breaches rarely occur on the D3P's end. This is because they host their systems in secure data centers that are locked down, protected by firewalls, and monitored closely. Instead, most hackers launch their attacks from the end user's PC. What this means is compliance officers that are concerned with protecting electronic records to meet 17a-4 need to understand that hackers will try to exploit systems from inside the office. Therefore, the best defence against security threats is strong passwords, understanding how to limit administrator rights to cloud systems, locking or logging off computers that have access to the cloud and keeping virus programs up to date to prevent people from downloading malicious malware that will hack into cloud systems.
More on S For Story
6. Pricing:
Finally, when choosing a D3P to archive your cloud data, its important their price structure is based on raw data, not per user license. You want to find one that uses raw data only pricing because it will be cheaper to archive cloud data backup sets since products like Dropbox, G Suite and Office 365 are based on individual user accounts that can increase exponentially as the firm grows but contain little data. Having pricing based on raw data amounts will average out the cost across all cloud users no matter how many you add, therefore the price will only increase as more data is added. Thus, giving your firm more flexibility to control data archiving costs as you grow.
Summary:
Since cloud providers are not 17a-4 compliant as a compliance officer for a FINRA firm you need to outsource to a designated third party (D3P) that can make the cloud compliant before you begin storing electronic records and emails there. There are six things you need to look for in a D3P that will ensure no gaps appear in the data archiving process, that electronic records can be accessed during an audit, and costs are kept low as possible.
About AdvisorVault:
AdvisorVault is the only D3P that has designed their software to help small FINRA firms archive cloud data to meet 17a-4 - focusing on solving this unique problem, our consolidated solution gives firms one vendor to help them satisfy today's demands surrounding data archiving and supervision. We have created a centralized archiving option that captures data and emails no matter where they are stored - in-house or in the cloud: total peace of mind - out of the box.
AdvisorVault Contact:
Allan Lonz, President
alonz@advisorvault.org
www.advisorvault.org
Direct: 416-985-0310
Toll-free: 1-866-732-1407 ex 1
Here are six things you should look for in a D3P to help you make the cloud 17a-4 compliant.
1. Direct Cloud Connector:
The first thing firms need in a cloud D3P provider is a connector built into their software that logs directly into all popular cloud services and archives data. Furthermore, this connector will copy data seamlessly to their system, automatically each night as opposed to using a sync tool to access the cloud. The sync tool is a problem because it adds an extra step to the cloud archiving process which may end up causing gaps.
Similarly, when choosing a cloud provider avoid the less popular ones such as ShareFile, SugarSync or iCloud because they are proprietary and don't allow direct connections with cloud archiving services. Instead use Office 365, Dropbox, Google Suite or OneDrive. However, for small firms I don't recommend SharePoint for file storage because its too complex. The best cloud storage combinations are Office 365 hosted email with OneDrive or the G Suite email including electronic records stored in google personal drives or team drives.
2. Automatic Detection of New Cloud Data:
Also, the D3P's software must automatically detect new cloud data sets as they are created. For example, as the firm adds new users in Office 365, SharePoint, or OneDrive sites, its automatically added to the 17a-4 archive. This applies to G Suite as well where user accounts are frequently added including their personal or team drives. If the D3P has automatic detection, they don't need to be notified every time new employees are added to the cloud.
More on S For Story
- Sci-Fi Author Don Viecelli Introduces Alien Times - Book 3, Retribution
- Poncho Tha Popstar: The West's Next King
- Physician-Turned-Patient Launches Advocacy Campaign to Spotlight Disability Insurance Barriers
- Celebrity Chef Nicole Andrea Guzman Releases Her First Childrens Book
- Thorn Ridge® Creates a World of Legends & Lore
3. Electronic Records Retention:
Once the provider has the cloud data transferred to their system, it must be retained properly as per 17a-4. Now, here is where it gets dicey because if you've actually read the rule, you'll find an overly complicated laundry list of retention stipulations. For example, the rule states that exception reports must be kept at least 18 months, order tickets 3 years, records relating to customer accounts (first two years in an easily accessible place); for 6 years or default 6-year retention period for those FINRA books and records that don't otherwise have a specified retention period.
My advice: Ignore the rule here and simply ensure the D3P applies a 7-year blanket retention rule to ALL data relating to the business. With this policy you're done separating different data types then trying to apply a unique retention policy to each set, which is impossible to maintain, especially for a small firm without an IT dept.
4. Downloading Data:
At the end of the day, the reason you hire a D3P at all is to access archived electronic records or emails when needed. Aside from disaster recovery, the main reason you need a D3P is during the electronic records request when FINRA asks for a sample data set that can go back seven years.
First, its important the D3P has a secure Web portal to access the 17a-4 data archive. What's key here is data must be downloadable in a format regulators can read, especially when they are breathing down your neck during the audit. Here are the guidelines: emails must be downloadable in pst format, office docs in their native format, and customer data bases should be exported in file formats that can be accessed such a csv or text. Finally, these electronic record downloads from the 17a-4 archive must be copied instantly to a DVD so the regulator can take it back to their office for review.
Secondly, the D3P must retain cloud data for users that have been removed and keep them in an archive state so they can be retrieved. This includes Office 365 mailboxes or G suite users that have been removed and OneDrive sites or Dropbox accounts that get deleted. Keeping electronic records from users that have been removed from the cloud will also help with compliance since old employee data is often requested during audits.
5. Security:
Of course, security is something firms need to worry about every time they make a change in their technology, and the compliance officer will surely get called in if data is compromised. But, security breaches rarely occur on the D3P's end. This is because they host their systems in secure data centers that are locked down, protected by firewalls, and monitored closely. Instead, most hackers launch their attacks from the end user's PC. What this means is compliance officers that are concerned with protecting electronic records to meet 17a-4 need to understand that hackers will try to exploit systems from inside the office. Therefore, the best defence against security threats is strong passwords, understanding how to limit administrator rights to cloud systems, locking or logging off computers that have access to the cloud and keeping virus programs up to date to prevent people from downloading malicious malware that will hack into cloud systems.
More on S For Story
- Twice the Laughs: Comedy Star Don Barnhart Rotates Residency at Both Delirious Comedy Club Locations in Las Vegas
- Your Body Isn't Broken—It's Out of Balance: The New Book Revealing the Blueprint to Restore Hormone Balance, Sleep, Gut & Metabolic Health
- Youth Take the Lead: Kopp Foundation for Diabetes Hosts "By Youth, For Youth, With T1D" Gala on October 8 at Blue Bell Country Club
- Green Office Partner Named #1 Best Place to Work in Chicago by Crain's for 2025
- CCHR, a Mental Health Watchdog Organization, Hosts Weekly Events Educating Citizens on Important Mental Health Issues
6. Pricing:
Finally, when choosing a D3P to archive your cloud data, its important their price structure is based on raw data, not per user license. You want to find one that uses raw data only pricing because it will be cheaper to archive cloud data backup sets since products like Dropbox, G Suite and Office 365 are based on individual user accounts that can increase exponentially as the firm grows but contain little data. Having pricing based on raw data amounts will average out the cost across all cloud users no matter how many you add, therefore the price will only increase as more data is added. Thus, giving your firm more flexibility to control data archiving costs as you grow.
Summary:
Since cloud providers are not 17a-4 compliant as a compliance officer for a FINRA firm you need to outsource to a designated third party (D3P) that can make the cloud compliant before you begin storing electronic records and emails there. There are six things you need to look for in a D3P that will ensure no gaps appear in the data archiving process, that electronic records can be accessed during an audit, and costs are kept low as possible.
About AdvisorVault:
AdvisorVault is the only D3P that has designed their software to help small FINRA firms archive cloud data to meet 17a-4 - focusing on solving this unique problem, our consolidated solution gives firms one vendor to help them satisfy today's demands surrounding data archiving and supervision. We have created a centralized archiving option that captures data and emails no matter where they are stored - in-house or in the cloud: total peace of mind - out of the box.
AdvisorVault Contact:
Allan Lonz, President
alonz@advisorvault.org
www.advisorvault.org
Direct: 416-985-0310
Toll-free: 1-866-732-1407 ex 1
Source: AdvisorVault
0 Comments
Latest on S For Story
- Unicorp and BH Group Select Chasing Creative—Palm Coast Agency—to Lead Growth Marketing for The Ritz-Carlton Residences, Hammock Dunes
- Breaking: 50+ runners from 20+ states relay custom 9/11 flag 485 miles from Shanksville through DC to Ground Zero for memorial remembrance run
- SecureMaine 2025 is this October 8th in Portland, Maine
- John Thomas calls for unity and prayer after tragic loss
- From Page to Premiere: The Golden State Signature Series: A DonnaInk Publications Signature Showcase
- Where the Miami Dolphins Stand After Week 1
- Which NFL Teams Can Rebound from Week 1? OddsTrader Breaks Down the Biggest Questions
- Apellix Deploys Breakthrough Spray-Painting Drones into Live Service Limited Beta Program Open for Advanced Contractors
- Author Charlene Wexler Earns Global Book Award for We Won't Go Back
- DivX Unveils New Educational Blog Series to Simplify MKV to MP4 Video Conversion
- CCHR: For Prevention, Families Deserve Truth From NIH Study on Psychiatric Drugs
- Sheets.Market Brings Professional Financial Model Templates to Entrepreneurs and Startups
- Webinar Announcement: Investing in the European Defense Sector—How the New Era of Uncertainty Is Redefining Investment Strategies
- AEVIGRA (AEIA) Analysis Reveals $350 Billion Counterfeit Market Driving Luxury Sector Toward Blockchain Authentication
- Her Magic Mushroom Memoir Launches as a Binge-Worthy Novel-to-Podcast Experience
- When You Live at the Edge of Comfort, Ordinary Days Become Defining Ones
- Century Fasteners de Mexico Hires Saúl Pedraza Gómez as Regional Sales Manager in Mexico
- Georgia Misses the Mark Again on Sports Betting, While Offshore Sites Cash In
- $40 Price Target for $NRXP in H. C. Wainright Analyst Report on Leader in $3 Billion Suicidal Depression Market with Superior NRX 100 Drug Therapy
- Nashville International Chopin Piano Competition Partners with Crimson Global Academy to Support Excellence in Education