Irving Marvin Burstein – South Florida Broker/Dealer and Account Executive Negligent Supervision FINRA Arbitration, Litigation and Probate Attorney

Irving Marvin Burstein – South Florida Broker/Dealer and Account Executive Negligent Supervision FINRA Arbitration, Litigation and Probate Estate Attorney.

The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that FINRA elects to institute an enforcement action, firms and licensed individuals have the responsibility to reflect such action on their U-4 and/or U-5 filings, which can be viewed on the FINRA website under the broker-check section of the site or by viewing the monthly disciplinary information also provided on the FINRA site.

The monthly disciplinary information is referenced on the FINRA site generally in alphabetical order. This post relates to the following company or individuals. If the reader would like to review the entire FINRA release or the broker-check information concerning this matter, you can follow these highlighted links:

January 2014 Disciplinary and Other FINRA Actions

Broker Check:

Irving Marvin Burstein (CRD #1218326, Registered Principal, Boynton Beach, Florida, formerly licensed with R.M. Stark & Co., Inc., Legend Securities, Inc., and MSM Securities, Inc. respectively) submitted a Letter of Acceptance, Wavier and Consent in which he was suspended from association with any FINRA member in any principal capacity for one year and required to cooperate with FINRA or any other regulator in any further investigation and hearing related to his member firm. In light of Burstien’s financial status, no monetary sanctions have been imposed. Without admitting or denying the findings, Burnstein consented to the described sanctions and to the entry of findings that he was his firm’s CCO, whose duties included reviewing customer accounts to detect and monitor for unsuitable transactions, excessive trading activity, unauthorized trading/transactions, excessive losses, wholesale recommendations, excessive securities concentrations, and large or routine debit balances. The findings stated that Burnstein failed to review customer accounts for any of these things and limited his daily activities to reviewing the trade blotter and order tickets, and listening to registered representatives make cold calls. FINRA Case No. 2011027667401.

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