Quantitative Suitability

Laws & Regulations High Relevance

The third prong of FINRA Rule 2111 suitability obligations, requiring the broker-dealer to have a reasonable basis to believe that a series of recommended transactions is not excessive in light of the customer's investment profile. Addresses churning and over-trading concerns by evaluating the frequency and volume of transactions collectively, even when each individual trade may be suitable.

Example

A broker recommends five different suitable equity trades to a conservative retiree over two weeks, each generating commissions. While each individual trade is appropriate for some investors (reasonable-basis) and might fit the client profile (customer-specific), the collective frequency and commission impact may violate quantitative suitability by creating excessive turnover in the account.

Common Confusion

Students often confuse quantitative suitability with churning. While closely related, quantitative suitability is the broader regulatory standard under FINRA Rule 2111 that addresses excessive trading patterns, whereas churning is a prohibited practice requiring proof of control, excessive trading, and intent to generate commissions. Quantitative suitability violations can occur even when individual trades appear suitable or when the adviser has discretionary authority.

How This Is Tested

  • Identifying when a series of transactions violates quantitative suitability despite individual trade suitability
  • Distinguishing between quantitative suitability (FINRA Rule 2111 standard) and churning (prohibited practice)
  • Recognizing red flags such as high turnover ratios, excessive cost-to-equity ratios, and in-and-out trading patterns
  • Understanding that quantitative suitability applies even when the adviser has discretionary authority
  • Evaluating whether trading frequency aligns with customer investment profile and objectives

Regulatory Limits

Description Limit Notes
FINRA Rule 2111 suitability obligations Three prongs: reasonable-basis, customer-specific, and quantitative All three must be evaluated separately; meeting one or two prongs is insufficient
Turnover ratio red flag (quantitative analysis) 6x or higher annually No absolute threshold, but turnover of 6+ times per year raises scrutiny for excessive trading
Cost-to-equity ratio red flag (quantitative analysis) 20% or higher annually When annual costs exceed 20% of account equity, heightened scrutiny for quantitative violations

Example Exam Questions

Test your understanding with these practice questions. Select an answer to see the explanation.

Question 1

Jennifer manages a discretionary account for Thomas, a 45-year-old with moderate risk tolerance and long-term growth objectives. Over the past year, Jennifer executed 52 trades in the account, replacing the entire portfolio 4.5 times (turnover ratio of 4.5x). Each individual trade was appropriate for long-term growth investors, and Thomas's account gained 8% while the market gained 10%. The trades generated $6,500 in commissions on an average account value of $100,000. Which statement best describes this situation?

Question 2

Quantitative suitability, the third prong of FINRA Rule 2111, requires a broker-dealer to have a reasonable basis to believe that which of the following is true?

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Question 3

A broker-dealer representative reviews a client account and notes the following over the past 12 months: 38 total transactions, turnover ratio of 3.2x, cost-to-equity ratio of 4.8%, client profile indicates moderate risk tolerance with 10-year time horizon for retirement savings, and each individual trade was appropriate for moderate-risk investors. The account gained 7% while the benchmark gained 9%. Does this trading pattern violate quantitative suitability?

Question 4

All of the following statements about quantitative suitability under FINRA Rule 2111 are accurate EXCEPT

Question 5

A compliance officer reviews four different customer accounts to assess quantitative suitability compliance. Which of the following situations raise quantitative suitability concerns?

1. Account A: Conservative retiree, turnover ratio 7.5x, cost-to-equity 18%, each trade suitable for income investors
2. Account B: Aggressive growth investor age 30, turnover ratio 5x, cost-to-equity 8%, each trade suitable for growth investors
3. Account C: Moderate investor, turnover ratio 2.5x, cost-to-equity 3.5%, each trade suitable for moderate investors
4. Account D: Short-term trader with speculation objectives, turnover ratio 12x, cost-to-equity 15%, each trade suitable for speculators

💡 Memory Aid

Think of quantitative suitability as a doctor prescribing medications: Each individual prescription might be appropriate (reasonable-basis and customer-specific suitability), but if the doctor prescribes too many medications too frequently, it becomes polypharmacy and creates harm. Similarly, even suitable trades become unsuitable when done excessively. Remember: Quantity matters as much as quality.

Related Concepts

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Where This Appears on the Exam

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