advisor-dashboards
Design, build, and optimize dashboards for RIA practice management with AUM tracking, revenue…
Analyze the broker-dealer standard of conduct under SEC Regulation Best Interest's four obligations: Disclosure, Care, Conflict of Interest, and Compliance. Owns what triggers a 'recommendation' under Reg BI and the canonical comparison of Reg BI vs FINRA suitability vs IA
$ npx -y skills add JoelLewis/finance_skills --skill reg-bi --agent claude-codeHow it fires
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Analyze the broker-dealer standard of conduct under SEC Regulation Best Interest's four obligations: Disclosure, Care, Conflict of Interest, and Compliance. Owns what triggers a 'recommendation' under Reg BI and the canonical comparison of Reg BI vs FINRA suitability vs IA
name: reg-bi description: "Analyze the broker-dealer standard of conduct under SEC Regulation Best Interest's four obligations: Disclosure, Care, Conflict of Interest, and Compliance. Owns what triggers a 'recommendation' under Reg BI and the canonical comparison of Reg BI vs FINRA suitability vs IA fiduciary duty. Use when the user asks whether a broker-dealer recommendation satisfies Reg BI, how to evaluate reasonably available alternatives, rollover recommendation compliance, dual-registrant capacity disclosure, share class or account type recommendations, or Reg BI examination preparation. Also trigger when users mention 'best interest standard for brokers', 'is this a Reg BI recommendation', 'care obligation documentation', 'sales contest elimination requirement', or ask how Reg BI differs from suitability or fiduciary duty. (For the IA fiduciary duty itself and DOL rules, use fiduciary-standards.)"
Regulatory status current as of June 2026 — verify effective dates, dollar thresholds, and pending rulemakings against current SEC/FINRA/FinCEN sources before advising.
Reg BI applies whenever a broker-dealer or associated person makes a "recommendation" to a "retail customer" of any securities transaction or investment strategy involving securities, including account type recommendations. The SEC adopted the existing FINRA framework for what constitutes a recommendation but expanded its scope:
The "facts and circumstances" test considers whether the communication could reasonably be viewed as a suggestion to act. General education, broad asset allocation models without a specific recommendation, and responses to unsolicited orders generally do not trigger Reg BI.
Before or at the time of a recommendation, the broker-dealer must provide the retail customer with full and fair disclosure of all material facts relating to the scope and terms of the relationship, including:
Disclosure alone does not satisfy the obligation. The disclosure must be "full and fair" — it must be specific enough that a retail customer can understand the conflict and how it could affect the recommendation.
The care obligation requires the broker-dealer and associated person to exercise reasonable diligence, care, and skill when making a recommendation. It operates at three levels:
The SEC has emphasized that the care obligation is not a "best execution" or "lowest cost" sta
A collection of Claude Code skill plugins for financial services. 91 skills across 7 domain plugins teach Claude investment management, regulatory compliance, advisory workflows, trading operations, and more — so it can assist with finance questions, build
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