Comment on Proposed Rule to Require Disclosure of Recruitment Compensation Practices (FINRA Reg. Notice 13-02. Brent A. Burns advises rejection of the proposed rule because it provides clients with a skewed and incomplete picture of potential compensation conflicts.
Attorney Brent Burns assists clients throughout the New York City Metro area. We represent all of Manhattan and the surrounding area, including but not limited to Brooklyn, Queens, Staten Island, Yonkers, Bronx, Westchester, Long Island City, Sunnyside, Astoria, Ridgewood, Flushing, Jersey City, Hoboken, Union City, Weehawken, Secaucus, North Bergen, Nassau County, Suffolk County, Hudson County, NY, NJ.