We would love to hear from you. Click on the ‘Contact Us’ link to the right and choose your favorite way to reach-out!

wscdsdc

media/speaking contact

Jamie Johnson

business contact

Victoria Peterson

Contact Us

855.ask.wink

Close [x]
pattern

Industry News

Categories

  • Industry Articles (22,062)
  • Industry Conferences (2)
  • Industry Job Openings (3)
  • Moore on the Market (485)
  • Negative Media (144)
  • Positive Media (73)
  • Sheryl's Articles (827)
  • Wink's Articles (373)
  • Wink's Inside Story (283)
  • Wink's Press Releases (127)
  • Blog Archives

  • November 2024
  • October 2024
  • September 2024
  • August 2024
  • July 2024
  • June 2024
  • May 2024
  • April 2024
  • March 2024
  • February 2024
  • January 2024
  • December 2023
  • November 2023
  • October 2023
  • September 2023
  • August 2023
  • July 2023
  • June 2023
  • May 2023
  • April 2023
  • March 2023
  • February 2023
  • January 2023
  • December 2022
  • November 2022
  • October 2022
  • September 2022
  • August 2022
  • July 2022
  • June 2022
  • May 2022
  • April 2022
  • March 2022
  • February 2022
  • January 2022
  • December 2021
  • November 2021
  • October 2021
  • September 2021
  • August 2021
  • July 2021
  • June 2021
  • May 2021
  • April 2021
  • March 2021
  • February 2021
  • January 2021
  • December 2020
  • November 2020
  • October 2020
  • September 2020
  • August 2020
  • July 2020
  • June 2020
  • May 2020
  • April 2020
  • March 2020
  • February 2020
  • January 2020
  • December 2019
  • November 2019
  • October 2019
  • September 2019
  • August 2019
  • July 2019
  • June 2019
  • May 2019
  • April 2019
  • March 2019
  • February 2019
  • January 2019
  • December 2018
  • November 2018
  • October 2018
  • September 2018
  • August 2018
  • July 2018
  • June 2018
  • May 2018
  • April 2018
  • March 2018
  • February 2018
  • January 2018
  • December 2017
  • November 2017
  • October 2017
  • September 2017
  • August 2017
  • July 2017
  • June 2017
  • May 2017
  • April 2017
  • March 2017
  • February 2017
  • January 2017
  • December 2016
  • November 2016
  • October 2016
  • September 2016
  • August 2016
  • July 2016
  • June 2016
  • May 2016
  • April 2016
  • March 2016
  • February 2016
  • January 2016
  • December 2015
  • November 2015
  • October 2015
  • September 2015
  • August 2015
  • July 2015
  • June 2015
  • May 2015
  • April 2015
  • March 2015
  • February 2015
  • January 2015
  • December 2014
  • November 2014
  • October 2014
  • September 2014
  • August 2014
  • July 2014
  • June 2014
  • May 2014
  • April 2014
  • March 2014
  • February 2014
  • January 2014
  • December 2013
  • November 2013
  • October 2013
  • September 2013
  • August 2013
  • July 2013
  • June 2013
  • May 2013
  • April 2013
  • March 2013
  • February 2013
  • January 2013
  • December 2012
  • November 2012
  • October 2012
  • September 2012
  • August 2012
  • July 2012
  • June 2012
  • May 2012
  • April 2012
  • March 2012
  • February 2012
  • January 2012
  • December 2011
  • November 2011
  • October 2011
  • September 2011
  • August 2011
  • July 2011
  • June 2011
  • May 2011
  • April 2011
  • March 2011
  • February 2011
  • January 2011
  • December 2010
  • November 2010
  • October 2010
  • September 2010
  • August 2010
  • July 2010
  • June 2010
  • May 2010
  • April 2010
  • March 2010
  • February 2010
  • January 2010
  • December 2009
  • November 2009
  • October 2009
  • August 2009
  • June 2009
  • May 2009
  • April 2009
  • March 2009
  • November 2008
  • September 2008
  • May 2008
  • February 2008
  • August 2006
  • IRI Submits New Data Exposing Detrimental Impact of DOL Fiduciary Rule

    August 8, 2017 by Insured Retirement Institute

    WASHINGTON, D.C. – The Insured Retirement Institute (IRI) submitted a response to the Department of Labor’s (DOL) Request for Information (RFI) showing the harmful effects already occurring under the partial implementation of the fiduciary rule.

    Through IRI’s latest comment letter, Department of Labor was presented with new evidence demonstrating the negative consequences the fiduciary rule is having on both the insured retirement industry and retirement savers.

    IRI President and CEO Cathy Weatherford issued the following statement:

    “IRI appreciates the opportunity to present the Department of Labor with new information confirming our concerns regarding the implementation of the fiduciary rule and to offer Secretary Acosta solutions for creating a workable best interest standard. This new information shows the rule is already negatively impacting the ability of many American savers to maintain access to a wide range of financial products and services. At a time when Americans are increasingly self-funding their own retirements, it is vital that access to advice and lifetime income products be preserved.

    “IRI continues to urge the Department to delay the applicability date for all remaining aspects of the fiduciary rule. Furthermore, we urge the Department to collaborate with the appropriate federal and state regulators – including the Securities and Exchange Commission (SEC) and the National Association of Insurance Commissioners (NAIC) — to develop a consistent and workable best interest standard that will allow consumers to access the advice they need to achieve a financially secure retirement.”

    Some of the key points from IRI’s response are highlighted below:

    The Department should delay the January 1, 2018, applicability date until January 1, 2020. As it currently stands, the implementation timeline is unworkable.

    • New evidence gathered since the June 9, 2017, implementation date has demonstrated that consumers are being prevented from accessing products and services. The number of accounts that have been orphaned (i.e., accounts no longer serviced by an adviser, leaving investors on their own) has increased significantly due to the rule. In a July 2017 survey of IRI members, a number of IRI distributor members reported that approximately 155,000 of their clients have already been orphaned, with far more accounts expected to be impacted as implementation of the rule proceeds.
    • The contract requirement and warranties in the BIC exemption are an unnecessary incentive to enforce compliance and should be eliminated.
    • A recent study found that plan sponsors view litigation risk as almost as important as “improving participant outcomes.” This fear of litigation is driving many plan fiduciaries to focus on fees to the exclusion of other important considerations, an outcome that is incompatible with the goals of the rule.
    • The Department should engage in a constructive dialogue with the SEC, FINRA, NAIC and state insurance departments to establish consistent and clear standards for recommendations made with respect to all securities and insurance products.
    • The amended PTE 84-24 should be made available for all annuities and any compensation or other payments that satisfy the impartial conduct standards.
    • The disclosure requirements under the BIC exemption are exceedingly and needlessly complex, require massive and expensive information technology re-design and build-outs to support, and are not designed to focus investors’ attention on the most important information. These disclosure requirements, and those required under the amended PTE 84-24, should leverage existing disclosure requirements.
    • The Department should provide true grandfathering for all arrangements and transactions entered into before the June 9, 2017, partial implementation.
    • The Department should revise the definition of fiduciary and the impartial conduct standards to address the concerns which have been consistently presented by the insured retirement industry over the past two years.

     

     

    About the Insured Retirement Institute
    The Insured Retirement Institute (IRI) is the leading association for the retirement income industry. IRI proudly leads a national consumer coalition of more than 30 organizations, and is the only association that represents the entire supply chain of insured retirement strategies. IRI members are the major insurers, asset managers, broker-dealers/distributors, and 150,000 financial professionals. As a not-for-profit organization, IRI provides an objective forum for communication and education, and advocates for the sustainable retirement solutions Americans need to help achieve a secure and dignified retirement. Learn more at www.irionline.org.

    Originally Posted at Advisor Magazine on August 8, 2017 by Insured Retirement Institute.

    Categories: Industry Articles
    currency