Skip to main content

Newsroom

October 3, 2024

After 50 Years, it is Time for the SEC to Adopt a Best Execution Rule to Ensure Retail Investors Get the Best Price

WASHINGTON, D.C.—Director of Securities Policy Benjamin Schiffrin issued the following statement on the filing of Better Markets’ Supplemental Comment Letter to the Securities and Exchange Commission (SEC) regarding the SEC’s proposed Regulation Best Execution, which would require that a broker-dealer use reasonable diligence to ascertain the best market for a security and buy or sell in such a market so that the resulting price to the broker-dealer’s customer is as favorable as possible under prevailing market conditions:

“The SEC has recognized the importance of a best execution duty since at least 1972, but it has yet to adopt a rule imposing such a duty on broker-dealers. It is time for the SEC to act.  The SEC has the requisite statutory authority to adopt Regulation Best Execution. And doing so would benefit investors. Investors deserve to know that their brokers must act in their interest to obtain the best prices on all of their securities trades. An SEC best execution rule would establish an enforceable obligation and provide this protection to investors.

“There should be nothing controversial about saying that brokers must attempt to ensure that investors receive the best prices for their trades. Such a duty would seem to be fundamental to a broker’s role in the securities markets. So the SEC should adopt a best execution rule that requires brokers, on an order-by-order basis, to attempt to trade in the best market for their customers. This would help ensure that investors receive the best prices on their securities trades, as they should. Ensuring best execution will also promote both the efficient allocation of capital by contributing to the accurate pricing of securities and capital formation by instilling investor confidence in the securities markets.

“The fact that FINRA has a rule governing best execution is no reason to not adopt the SEC’s proposed rule. FINRA’s rule is weak and insufficient to protect investors and ensure best execution. FINRA’s rule essentially allows brokers to satisfy their duty of best execution by periodically assessing whether their order routing practices are offering customers the most favorable terms in the aggregate. But, as our comment letter shows, this is remarkably similar to how the SEC described the minimum obligations of a broker in 1979. It cannot be that, 45 years later, this remains all that brokers should be required to do in furtherance of ensuring that their customers are able to execute transactions in the best market and at the best prices. An SEC rule imposing a duty of best execution on an order-by-order basis would better ensure that brokers attempt to obtain the best prices for their customers.”

The Supplemental Comment Letter is available here.

###

Better Markets is a non-profit, non-partisan, and independent organization founded in the wake of the 2008 financial crisis to promote the public interest in the financial markets, support the financial reform of Wall Street and make our financial system work for all Americans again. Better Markets works with allies—including many in finance—to promote pro-market, pro-business and pro-growth policies that help build a stronger, safer financial system that protects and promotes Americans’ jobs, savings, retirements and more. To learn more, visit www.bettermarkets.org.

Press Releases
Share

MEDIA REQUESTS

For media inquiries, please contact us at
press@bettermarkets.org or 202-618-6433.

Contact Us

For media inquiries, please contact press@bettermarkets.org or 202-618-6433.

To sign up for our email newsletter, please visit this page.

Name(Required)
This field is for validation purposes and should be left unchanged.

Sign Up — Stay Informed With Our Monthly Newsletter

"* (Required)" indicates required fields

This field is for validation purposes and should be left unchanged.

For media inquiries,

please contact press@bettermarkets.org or 202-618-6433.

Donate

Help us fight for the public interest in our financial markets, protecting Main Street from Wall Street and avoiding another costly financial collapse and economic crisis, by making a donation today.

Donate Today