Review a Form ADV Part 2A brochure against supporting records and produce an issues memo organized by Item number with severity ratings, regulatory basis citations, and remediation recommendations with timelines for each deficiency.
Scanned 9/11/2026
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---
name: review-form-adv-part-2a-for-regulatory-and-disclosure-deficiencies
task_id: funds-asset-management/review-form-adv-part-2a-for-regulatory-and-disclosure-deficiencies
description: Review a Form ADV Part 2A brochure against supporting records and produce an issues memo organized by Item number with severity ratings, regulatory basis citations, and remediation recommendations with timelines for each deficiency.
activates_for: [planner, solver, checker]
---
# Skill: Form ADV Part 2A Regulatory and Disclosure Review
## 1. Subject-matter triage (only if applicable)
- Treat the brochure as a disclosure document that must be tested against the adviser’s actual operations, personnel, and supporting records.
- Separate issues that are purely drafting imperfections from issues that change the substance, completeness, or accuracy of investor disclosure.
- If the source set includes multiple brochure versions, determine which version is operative and whether later materials create a material-change disclosure issue.
- If the source set includes wrap fee, custody, board-service, soft-dollar, acquisition, proxy voting, or personnel materials, inspect those topics as discrete disclosure risks rather than folding them into a generic completeness review.
## 2. Failure modes the skill is correcting
- Reviewer stays inside the brochure and misses discrepancies that appear only when the brochure is compared to source records.
- Reviewer flags issues without tying them to the relevant Item, rule, or brochure requirement.
- Reviewer describes a deficiency abstractly, without showing the supporting fact pattern, the interacting document, and the practical consequence.
- Reviewer fails to prioritize findings with a uniform severity scale, making remediation sequencing unclear.
- Reviewer gives conclusions without a concrete corrective action and timing anchor.
- Reviewer overlooks that multiple brochure Items can be implicated by the same fact pattern and must be analyzed separately where the disclosure obligation differs.
## 3. Legal frameworks / domain conventions that apply
- Use the Part 2A Item structure as the organizing framework, and test each Item for completeness, internal consistency, and consistency with source records.
- Apply the Investment Advisers Act of 1940 and the SEC brochure rules as the governing authorities where relevant, including Rule 204-1 and the Item-specific disclosure obligations reflected in Form ADV Part 2A.
- For conflicts, disclose the nature of the conflict, how it arises, and the mitigation or policy response; a generic risk statement is insufficient.
- For soft-dollar arrangements, disclose the services received, their use, and any arrangement outside the applicable safe harbor under Section 28(e) of the Securities Exchange Act of 1934 where relevant.
- For custody issues, evaluate the disclosure under the custody rule and related brochure items; if the adviser has actual or deemed custody, the disclosure must identify the custody basis, the qualified custodian, and statement delivery mechanics.
- For proxy voting, disclose whether the adviser votes proxies, how clients obtain voting information, and how conflicts are addressed.
- For wrap fee arrangements, determine whether the brochure and any separate wrap brochure accurately describe the economic relationship and whether asset reporting is internally consistent.
- Where a principal’s role creates a conflict or informational risk, the brochure should disclose the role and the mitigating policy or barrier, not merely the existence of the role.
## 4. Analytical scaffolds
- Start by building a source map: brochure versions, amendment history, personnel records, custodial records, fee materials, soft-dollar records, acquisition materials, wrap fee materials, proxy policies, disciplinary or regulatory correspondence, and any other cited support.
- Enumerate the Items that the source set actually implicates, then review each implicated Item separately; do not collapse distinct disclosure obligations into one pass.
- For each Item, compare: (i) what the brochure says, (ii) what the supporting records show, and (iii) what a reasonable investor would need to understand the conflict, risk, or operational fact.
- When a finding is identified, state the factual trigger, the brochure passage or omission at issue, and the specific mismatch between disclosure and records.
- For each issue, close the analysis with three elements: the scale or scope shown by the source records, the related document or Item that interacts with the issue, and the consequence of the deficiency for investors, operations, or regulatory compliance.
- If the documents show a material change event, assess whether the timing required an update or amendment and whether the current brochure reflects that change.
- If the source materials suggest one disclosure topic may overlap another, analyze both; for example, custody can intersect with fee deduction authority, and board service can intersect with MNPI and side-by-side management.
- If the evidence is insufficient to confirm an apparent issue, say so and identify the missing record needed to resolve it rather than speculating.
## 5. Vertical / structural / temporal relationships (only if applicable)
- Analyze the brochure vertically: Item-by-Item, then subtopic-by-subtopic within an Item where the Item contains multiple independent disclosure duties.
- Analyze conflicts temporally: identify whether the cited fact existed when the brochure was issued, whether it continued through the review period, and whether an amendment or supplement should have captured it.
- Analyze entity relationships where relevant: adviser, principal, client, custodian, portfolio company, wrap sponsor, and affiliated account may each carry different disclosure consequences.
- Where a fact appears in one document but not another, treat the inconsistency as a disclosure problem even if neither document is facially false in isolation.
- Where the source set includes multiple products or programs, determine whether the brochure separates them cleanly or creates misleading aggregation.
## 6. Output structure conventions
- Produce a single issues memorandum organized by Form ADV Item number using conventional memorandum headings, not a rigid checklist copied from the rubric.
- Begin with a brief legend defining the severity scale, and use the same ordinal scale uniformly for every issue.
- For each issue, include: the Item number and title, the factual basis, the disclosure gap or inconsistency, the severity rating, the governing Item / rule / authority, the related source record or cross-reference, the practical consequence of the deficiency, and a specific remediation recommendation with a timing anchor.
- Make each issue self-contained and concrete; do not rely on a later section to supply missing authority, facts, or cure.
- Use clear legal citations for the controlling authority or rule proposition supporting each finding; do not state a regulatory conclusion without naming the authority relied on.
- End with a concise Recommended Actions section that groups the corrective steps by responsible role and timing, so the memo reads as an action plan rather than a diagnostic list.
- Ensure the final deliverable is an issues memo, not a rewritten brochure, and not a generic summary of observations.
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