The SEC's updated Marketing Rule, effective November 4, 2022, replaced the former Advertising Rule and Cash Solicitation Rule with a single, modernized framework. For RIA websites and SEO content, this represents the most significant regulatory shift in decades.
What the rule covers: Any advertisement by an investment adviser, defined as any direct or indirect communication to more than one person that offers or promotes advisory services. Your website, blog posts, social media, and SEO-optimized content all fall under this definition.
The seven prohibited practices:
- Untrue statements of material fact or omissions that make statements misleading
- Unsubstantiated material claims about investment advice
- Misleading implications about regulatory approval
- References to non-existent recommendations
- Cherry-picked profitable recommendations without fair presentation
- Misleading performance presentations
- Statements that aren't fair and balanced
What this means for SEO content: Every service page, blog post, and landing page must be reviewed against these seven prohibitions. Claims about expertise, results, or capabilities need substantiation. The good news: the rule provides clearer guidance than before, making compliance more predictable.
Note: This is educational content summarizing regulatory requirements. Consult your compliance officer or securities attorney for firm-specific guidance.