Employer of customers spouse. This will acknowledge
receipt of your letter of January 10, 1979, requesting an interpretive
opinion with respect to rule G-28 of the Municipal Securities
Rulemaking Board (the "Board"). Rule G-28 requires a
municipal securities dealer to take certain specified actions
in connection with municipal securities transactions effected
for the account of customers who are employed by, or the partner
of another municipal securities dealer or for or on behalf of
the spouse or minor child of such a person. I understand from
a subsequent conversation which we had that your principal concern
is whether a municipal securities dealer must obtain information
regarding the employer of a spouse of a current customer, in view
of the requirements of rule G-28.
Although rule G-28 applies to the spouse or minor child of a
customer who is employed by another municipal securities dealer,
there is no requirement at the present time in rule G-28 or in
rule G-8, the recordkeeping rule, for a municipal securities dealer
to obtain information about the employment status of spouses or
minor children. Accordingly, a municipal securities dealer does
not have to inquire of current customers whether their spouses
are employed by another municipal securities dealer. A municipal
securities dealer would have to comply with rule G-28 if the dealer
actually knows that a spouse is employed by another municipal
securities dealer. MSRB interpretation of March 6, 1979.
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