PaymentsJournal
No Result
View All Result
SIGN UP
  • Commercial
  • Credit
  • Debit
  • Digital Assets & Crypto
  • Digital Banking
  • Emerging Payments
  • Fraud & Security
  • Merchant
  • Prepaid
PaymentsJournal
  • Commercial
  • Credit
  • Debit
  • Digital Assets & Crypto
  • Digital Banking
  • Emerging Payments
  • Fraud & Security
  • Merchant
  • Prepaid
No Result
View All Result
PaymentsJournal
No Result
View All Result

FINRA Reviews Rules Around Social Media Influencers and Customer Acquisition – We Can’t Say They Didn’t Warn Us

By Harriet Christie
January 5, 2022
in Compliance and Regulation, Digital Assets & Crypto, Featured Content, Industry Opinions
0
0
SHARES
0
VIEWS
Share on FacebookShare on TwitterShare on LinkedIn
FINRA Reviews Rules Around Social Media Influencers and Customer Acquisition - We Can’t Say They Didn’t Warn Us

FINRA Reviews Rules Around Social Media Influencers and Customer Acquisition - We Can’t Say They Didn’t Warn Us

On July 22nd, 2021, Financial Industry Regulatory Authority (FINRA) CEO Robert Cook revealed that a sweep related to financial services influencers ‘is coming’. It eventually arrived in September, hot on the heels of the SEC requesting comment on the ‘digital engagement practices’ used by investment advisers and broker-dealers. The SEC was most interested in how tools are used that appeal to investors’ behavioral tendencies — a category which influencers arguably fall into — to affect their activities.

For the FINRA sweep, the main focus is on broker-dealer practices’ use of social media influencers, or ‘finfluencers’ for the pun enthusiasts. Specifically, the sweep focuses on the acquisition of customers through social media channels, as well as how firms supervise activities and communications related to paid influencers. FINRA declined to reveal how many firms were targeted for this exam, but it seems clear that finfluencers have been identified as a cause for concern.

The GameStop effect

January’s GameStop saga put influencers’ conduct firmly in the spotlight. Information posted on social media forums, such as Reddit, encouraged users to invest and led to ‘meme-stocks’ prices climbing rapidly. These stocks included GameStop, Nokia, Blackberry and AMC Entertainment, with the GameStop share prices soaring over 1000% in just a fortnight. This ruffled the feathers of institutional advisers, and demonstrated not only how impactful influencers could be, but also the volatility and vulnerability of the market.

The insurer MassMutual was subsequently ordered to pay a $4 million fine as part of a settlement with Massachusetts regulators. The settlement involved the conduct of Keith Gill, a former employee and online trader known as “Roaring Kitty”. Gill’s alias achieved viral notoriety, and was highly successful in its mission to boost the share prices in question. The state regulator ruled that the firm failed to detect the activities of their trader, who promoted the stock in his spare time while he was working at the company. MassMutual accepted the charges in order to put the matter behind it, and agreed to a complete overhaul of its social media policies.

MassMutual may well have been penalised over the odds in the midst of a national scandal, but its sanction demonstrates the responsibility that businesses must take for their employees’ conduct online. Although staff were prohibited from discussing securities on social media, the regulator decreed that MassMutual ‘didn’t have reasonable policies and procedures in place to detect and monitor’ such activity. Firms need to be able to demonstrate these processes, and pleas of ignorance seemingly won’t be deemed acceptable. In this situation, a social media eDiscovery solution would have saved the business a great deal of time and money.

Defining ‘influencers’

For most of us, a social media influencer is somebody that has built a reputation, either through fame or for their knowledge and expertise on a specific topic, and that many people therefore pay attention to. They post regularly on their preferred channels, and as such are able to generate exposure to different (often larger) audiences than a brand’s own.

The broadness of FINRA’s own definition poses some problems. By their reckoning, ‘social media influencers’ or ‘influencers’ mean ‘any third party with whom the firm contracts or compensates to provide Social Media Communications’. External communications agencies would surely fall into this category, and their role and ethos are completely different to that of a typical influencer, with one key distinction being that of the audience that they communicate with.

Agencies operate on a brand’s behalf. They learn (or even dictate) the brand’s messaging, interact with their existing followers, and wear their mask. Influencers on the other hand typically comment from an outside perspective, bringing in additional exposure and a seal of approval. To come back to GameStop, this could include endorsements to, as an influential example,  the Reddit chatroom ‘r/wallstreetbets’, which boasts 4.8 million members and has become a symbol of the charge against the titans of Wall Street.

If, as it sounds, FINRA are including external agencies in their definition of social media influencers,  it isn’t necessarily a game-changer in terms of compliance procedure; agencies tend to use brands’ own social media profiles anyway. What it does do, however,  is highlight the necessity to capture all of a business’ social media communications, regardless of whether or not they are the ones actually posting.

Where the sweep has a larger impact is by requesting not just, ‘(1) any Social Media Communications posted by the firm on the Influencer’s social media account(s)’ but  ‘(2) any Social Media Communications the Influencer posted on any social media platform about the firm’. This puts the onus on businesses to keep a record of all influencers’ social media output relevant to their brand, which could cause logistical difficulties around privacy and ownership of data, but nevertheless will need to happen for such relationships to be deemed viable.

How to remain compliant

Social media channels are ephemeral. While records may be accessible back to any date on the platforms themselves, these posts are not stored immutably – they can be deleted or edited retrospectively. Archiving is the most effective way to preserve your social media data, ensuring that nothing is missed in the event of such sweeps, which are coming with greater frequency and increasing demands on the information requested.

With new regulations on the horizon, this time around influencer communications, it’s become apparent that preserving all of your data is the safest option, as the scope for regulatory infraction continues to expand.

0
SHARES
0
VIEWS
Share on FacebookShare on TwitterShare on LinkedIn
Tags: Customer AcquisitionInfluencersSocial Media

    Get the Latest News and Insights Delivered Daily

    Subscribe to the PaymentsJournal Newsletter for exclusive insight and data from Javelin Strategy & Research analysts and industry professionals.

    Must Reads

    ACH Is Thriving, and Banks Are Struggling to Keep Pace

    April 7, 2026
    stablecoins, Klarna

    How Stablecoins Emerged as a Key Element of Cross-Border Payments

    April 6, 2026
    Cross-Border Payments

    How the U.S. Built Its Faster Payments Ecosystem

    April 3, 2026
    Young Latin woman applying powder on her face for beauty blog. Smiling woman sitting at table in cosy room holding powder box and brush looking at phone camera recording video. Make up and cosmetics blogging concept

    TikTok Aspires to Fintech Status with Payments, Credit Bids in Brazil

    April 2, 2026
    small business credit card

    What Banks Get Wrong About Small Business Credit Cards

    April 1, 2026
    embedded payments

    Embedding Payments for Growth: How ISVs Can Scale Through Vertical Focus and Partnerships

    March 31, 2026
    ACH fraud monitoring

    From a Checkbox to a Differentiator: Redefining ACH Fraud Monitoring

    March 30, 2026
    Digitization and Multi-Brand Cards: Prepaid Trends. Bancorp Bank prepaid card fees, Bitpay Prepaid Card, mobile prepaid debit cards, prepaid cards for councils

    Turning a Prepaid Card into a Long-Term Relationship

    March 27, 2026

    Linkedin-in X-twitter
    • Commercial
    • Credit
    • Debit
    • Digital Assets & Crypto
    • Digital Banking
    • Commercial
    • Credit
    • Debit
    • Digital Assets & Crypto
    • Digital Banking
    • Emerging Payments
    • Fraud & Security
    • Merchant
    • Prepaid
    • Emerging Payments
    • Fraud & Security
    • Merchant
    • Prepaid
    • About Us
    • Advertise With Us
    • Sign Up for Our Newsletter
    • About Us
    • Advertise With Us
    • Sign Up for Our Newsletter

    ©2026 PaymentsJournal.com |  Terms of Use | Privacy Policy

    • Commercial Payments
    • Credit
    • Debit
    • Digital Assets & Crypto
    • Emerging Payments
    • Fraud & Security
    • Merchant
    • Prepaid
    No Result
    View All Result