Adjudication and Decisions
When FINRA determines that violations of securities rules have occurred and formal disciplinary action is necessary, the Enforcement Department or Market Regulation Department files a complaint with the Office of Hearing Officers (OHO).
The Office arranges a three-person panel to hear the case. The panel is chaired by a hearing officer who is an employee of the Office of Hearing Officers. The Chief Hearing Officer appoints two industry panelists, drawn primarily from a pool of current and former securities industry members of FINRA's District Committees, as well as its Market Regulation Committee, former members of FINRA's National Adjudicatory Council (NAC) and former FINRA Governors.
At the hearing, the parties present evidence for the panel to determine whether a firm or individual has engaged in conduct that violates FINRA rules, SEC regulations or federal securities laws. In reaching its decision, the hearing panel also considers previous court, SEC, and NAC decisions to determine if violations occurred. The NAC is the national committee which reviews initial decisions rendered in FINRA disciplinary and membership proceedings.
For each case, the hearing panel will issue a written decision explaining the reasons for its ruling and consult the FINRA Sanction Guidelines to determine the appropriate sanctions if violations have occurred. FINRA also, when feasible and appropriate, can order firms and individuals to make restitution to harmed customers.
Under FINRA's disciplinary procedures, a firm or individual has the right to appeal a hearing panel decision to the NAC, or the NAC may on its own initiate a review of a decision. On appeal, the NAC will determine if a hearing panel's findings were legally correct, factually supported and consistent with FINRA's Sanction Guidelines. While a panel decision is on appeal, the sanction is not enforced against the firm or individual.
Unless FINRA's Board of Governors decides to review the NAC's appellate decision, that decision represents FINRA's final action. A firm or individual can appeal FINRA's decision to the SEC and then to federal court.
|Date of Decision||Proceeding No.||Title||Type|
|Oct 20, 2016||SD-2071||PHX Financial, Inc.||Statutory Disqualification, Approvals|
|Nov 6, 2014||SD-2017||Piper Jaffray & Co.||Statutory Disqualification, Approvals|
|Mar 22, 1998||C8A960040||Podesta & Co. & Carol P. Foley||Disciplinary Decision|
|Apr 4, 2002||C02010041||Pre-Hearing Order||Disciplinary Order|
|Apr 23, 2004||C9B040033||Pre-Hearing Order||Disciplinary Order|
|Oct 9, 2000||C07000023||Pre-Hearing Order||Disciplinary Order|
|Apr 8, 2003||CAF020048||Pre-Hearing Order Directing ___________ to File a Power of Attorney||Disciplinary Order|
|Jan 2, 1998||C10970164||Pre-Hearing Scheduling Order and Rulings on Respondent's Discovery Motion||Disciplinary Order|
|Jun 28, 2007||E102003025201||Procedural Pre-Hearing Order||Disciplinary Order|
|Jan 1, 2000||SD00004||Proposed Association of X||Redacted Decision, Statutory Disqualification, Approvals|
|Oct 1, 2015||2013035344201||Protective Order Governing Personal Confidential Information||Disciplinary Order|
|Jul 28, 2016||2013035817701||Protective Order Governing Personal Confidential Information||Disciplinary Order|
|Aug 2, 2000||C3A990071||Protective Order Regarding Complainant's Rule 8210 Requests to Respondents||Disciplinary Order|
|Jun 12, 1998||C10930017||Rafael Pinchas||Disciplinary Decision|
|Feb 21, 2006||C9B030076||Raghavan Sathianathan||Disciplinary Decision|
|Feb 16, 2007||E072004044201||Ralph Merhi||Disciplinary Decision|
|May 25, 2005||C10030110||Ram Kapara||Disciplinary Decision|
|Oct 5, 2015||2009017899801||APPEALED: Rani T. Jarkas||Disciplinary Decision|
|Aug 5, 2014||2011027402201||CALLED FOR REVIEW: Raymond Thomas Clark||Disciplinary Decision|
|Jan 31, 2014||SD-1794||RBC Capital Markets, LLC||Statutory Disqualification|
|Jun 17, 2016||SD-2026||RBS Securities, Inc.||Statutory Disqualification|
|Jul 21, 2011||200801201960||Rebecca Amy Reichman||Disciplinary Decision|
|Feb 9, 2017||2013035344201||Red River Securities, LLC and Brian Keith Hardwick||Disciplinary Decision|
|Aug 29, 2016||ARB160009||Respondent||Redacted Decision|
|Apr 19, 2001||C8A990071||Respondent Firm 1, Respondent 2 & Respondent 3||Disciplinary Decision, Redacted Decision|