The
Securities Investors' Bill Of Rights (SIBORAP): Part Three of Four
SIBORAP
includes these ten specific sections: (1) Product Transparency, (2) Regulation
and Education, (3) Protection from Speculators (4) Control of Hedge Funds, (5)
Brokerage Account Statements, (6) Retirement Account Investments, (7) Executive
Compensation, (8) Corporate Financial Statements, (9) Taxation of Investment
and Retirement Income, and (10) Transactional Greed and Fear Controls.
Section
Five: Brokerage Account Statements.
Investors
have a right to brokerage account statements that: (1) help them monitor and
manage their asset allocation, (2) report realized gains and losses for the
year, (3) track both the cost of their holdings, and their net account
deposits, and (4) emphasize the long-term, cyclical nature of the investment
process.
Under
SIBORAP, all brokerage firms would be required to maintain cost basis
information on all holdings, and the ACATS system would be required to provide
it in all transfer transactions. Mutual funds would be required to include cost
basis information on their quarterly reports. Statements that simply report
transactions, and focus only on market value, promote the emotional environment
that leads to poor decision-making.
Statements
must divide securities into three classes: equities, income, and other and
specify asset allocation numbers for each class in terms of cost basis. Each
client's equity and income target allocations must be provided and compared
with the actual totals. Within each category, sub-categories (e.g., open or
closed-end mutual funds, taxable or tax-free income, etc.) would be required.
No
combined-portfolio graph or chart presentations would be permitted unless
accompanied by supporting charts of the separate asset allocation buckets.
Supporting charts must compare securities with appropriate indices, and include
lines for both working capital (i.e. cost basis) and market value. Associated
commentary must describe market conditions in cyclical terms, and describe what
reasonable performance expectations would be for each class of security.
Statement
margin information must include warnings about the dangers of margin borrowing.
Investors must be given the opportunity to switch any automatic dividend
reinvestment arrangements or withdrawal programs to loan repayment.
Investors
have the right to statements that inform, report, and educate. Statements
should outline reasonable performance expectations for the major classes of
securities, the reasons for the assessment, and a sense of how the present
environment should be understood in terms of market, economic, and interest
rate cycles.
Wrap
account statements must make it clear to investors that their accounts are
identical in all respects to other clients engaged with the same management
program, and that the programs are not being managed just with their personal
goals and objectives in mind.
All
retirement portfolio statements must facilitate compliance with SIBORAP Section
Six.
Section
Six: Retirement Account Investments.
Investors
have a right to augment employer-sponsored programs and Social Security with
self directed retirement vehicles of their own design. Tax Code changes
mandated by SIBORAP (see Section Nine) exempt retirement income and (most)
investment income from taxation by any level of government, and introduce a new
"elective" Social Security option.
Individual
investors have a right to safeguards from excessive risk taking in any and all
self-directed retirement portfolios, including those provided by employers.
Cost based asset allocation and diversification rules must be applied to all
portfolios above $100,000 in working capital and in all portfolios for those
aged 55 and above.
Asset
allocation rules: All retirement portfolios with working capital (cost basis)
under $100,000 must have at least 55% invested in top tier (low risk) income
securities. Portfolios with more than $100,000 of working capital must have at
least 30% invested in government securities. After age 55, retirement accounts
must hold at least 60% (cost basis of securities) in individually owned
government securities and/or Closed End Funds comprised of top tier income
securities, and which have less than 20% leverage.
Diversification
rules: No portfolio in excess of $100,000 may contain a single position that
exceeds 5% of working capital, or a mutual fund position that exceeds 10%.
Sector allocations should be held below 25% of portfolios.
No
retirement portfolio, non-financial corporation, state or local government,
foundation, endowment, or other fiduciary entity may own or trade Tier Four
securities and contracts, or derivatives that contain such securities.
Retirement
accounts that comply with these protective elements are 100% non-taxable, but cannot
be borrowed against or withdrawn from before age 60. All Social Security
participants under age 40 may elect to use one half of their mandatory salary
deductions to fund deferred, fixed-income-only annuity contracts. Google:
Guaranteed Social Security Benefits: Make It So, for more information.
Section
Seven: Executive Compensation.
Every
shareholder of a publicly traded entity has a right to share in the growth and
profit of the business to the same extent and in the same manner as the employees
they, in effect, hire to manage the business.
Corporate
executives and directors have totally lost touch with their equity owners, who
were never consulted (in terms that "Joe the Plumber" could
understand) about being compensated strictly in terms of the illusory market
value of their holdings.
Corporate
executive compensation needs to be brought down to a significantly lower
"competitive level", and more of the corporate profit needs to be
"spread around" to owners and employees, applied to debt reduction,
and placed in reserves for contingencies. It is unlikely that there would be a
shortage of qualified CEO applicants at a mere four or five million per year in
salary.
Section
Seven (Executive Compensation) is continued in Part Four of the SIBORAP report,
which also includes Sections Eight (Corporate Financial Statements), Nine
(Taxation Considerations), and Ten (Transactional Fear and Greed Controls).
Steve
Selengut
http://www.sancoservices.com/
http://www.kiawahgolfinvestmentseminars.com
Professional
Investment Management from 1979
Author
of: "The Brainwashing of the American Investor: The Book that Wall Street
Does Not Want YOU to Read", and "A Millionaire's Secret Investment
Strategy"
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The
Securities Investors' Bill Of Rights (SIBORAP): Part Three
We the
securities investors of the United States, in order to form more transparent
financial markets, establish effective regulations, defend against destructive
speculation and manipulation, promote financial well-being, preserve working
capital, and protect retirement income...