Series 14 is a compliance officer exam: the best answer is usually the one that follows procedures, escalates appropriately, protects the customer/market, and documents the control.
This cheat sheet is a study aid (not legal advice). Always follow your firm’s WSPs and current FINRA/SEC requirements.
Use this alongside the Syllabus for coverage and Practice for speed. Series 14 is “controls + evidence”: identify the risk, apply the right control, and prove it happened.
Exam map (quick priorities)
Series 14 at a glance (FINRA)
- Items: 110
- Time: 3 hours (180 minutes)
- Passing score: 70
- Corequisites: none
- Cost: $350
- Effective date: 09/1989 – present
Job functions and weights
| Function | Weight | Items | What it’s really testing |
|---|
| F1 | 3% | 3 | regulators and basic disciplinary process awareness |
| F2 | 18% | 20 | markets/operations oversight + surveillance logic |
| F3 | 9% | 10 | recordkeeping and reporting awareness |
| F4 | 6% | 7 | capital/custody/margin concepts (high level) |
| F5 | 18% | 20 | firm supervision systems + certifications + reporting + BCP |
| F6 | 14% | 15 | investment banking controls + MNPI/research/offering process (high level) |
| F7 | 8% | 9 | registrations, CE, disqualification and filing workflows |
| F8 | 15% | 16 | sales practice + account supervision + AML/sanctions awareness |
| F9 | 9% | 10 | public communications + telemarketing controls |
Study reality: F2 + F5 are your highest ROI areas. Build process discipline there first, then lock in points with F8/F6.
How Series 14 questions are written (exam mindset)
- Scenarios usually ask for the best or first compliance action: contain risk, follow WSPs, escalate, document.
- Wrong answers are often “business reasonable” but miss a required control (no evidence, no escalation, no record retention, no approval).
- The exam prefers answers that are procedural, documented, and auditable.
Compliance control ladder (high yield)
When the stem feels “wrong,” the safest compliance flow is usually:
- Pause/contain risk (hold activity, stop distribution, restrict trading, freeze changes)
- Gather facts (who/what/when/why; pull records; confirm authority; verify data)
- Consult WSPs (the procedure is often the answer)
- Escalate (supervisor, compliance leadership, legal, AML/sanctions)
- Remediate (correct, retrain, enhance supervision, update controls)
- Document + retain (audit trail, approvals, exception logs, corrective actions)
- Report if required (regulatory or internal reporting workflow; high level)
flowchart TD
A["Trigger: alert, complaint, inquiry, exception"] --> B["Triage + contain risk"]
B --> C["Gather facts + preserve evidence"]
C --> D["Apply WSP workflow + escalate"]
D --> E["Remediate + enhance controls"]
E --> F["Document + retain + report (if required)"]
Series 14 “best answer” checklist
- What is the risk: customer harm, market integrity, MNPI misuse, recordkeeping failure, capital/custody issue?
- What is the control: stop/hold, investigate, supervise, restrict, escalate, remediate?
- What is the evidence: records, approvals, timestamps, exception logs, certifications?
F5 — General supervision (high weight)
WSP lifecycle (how compliance “runs the firm”)
| Step | What it means | Evidence to retain (exam level) |
|---|
| Design | define risks and required controls | written procedures; approvals |
| Implement | operationalize controls | training, system controls, checklists |
| Supervise | run reviews and exceptions | review logs; escalations |
| Test | verify controls actually work | testing results; corrective actions |
| Update | revise for new products/rules | version control; communications |
High-yield supervision themes
- Follow written process: if the stem mentions a policy, the safest answer uses that workflow.
- Delegation doesn’t transfer responsibility: the firm must review and test delegated work.
- Annual certification mindset: maintain evidence of reviews and escalations (high level).
- BCP mindset: plan + contacts + testing + updates (high level).
- Event reporting mindset: escalate “reporting requirement” fact patterns to the reporting workflow with documented facts (high level).
Common traps (F5)
- paying an unregistered person for securities activity without the right structure/controls
- allowing guarantees or sharing arrangements that misuse customer funds/securities
- failing to escalate a reportable event through the correct internal workflow
Soft dollars (high level)
Soft-dollar questions usually test conflict + documentation:
- ensure policies define what is permitted and who approves it
- document how conflicts are identified and controlled
- retain evidence that decisions follow the firm’s process
F2 — Markets and operations (high weight)
Sales practice and trading conduct themes
High-yield patterns the exam expects you to recognize:
- front running / trading ahead of customer orders or block transactions
- trading ahead of research and conflicts around dissemination (high level)
- fair pricing/commissions and outlier pricing outcomes (high level)
- best execution process discipline (routing decisions, reviews, documentation)
Trading operations and audit trail themes (high level)
- order handling: capture correct order type/modifiers and time stamps
- blocks and crossing activity can carry heightened scrutiny (high level)
- trade reporting accuracy/timeliness supports audit trails and surveillance (high level)
- “clearly erroneous” scenarios require timely escalation and documentation (high level)
SEC market-rule themes you should recognize (high level)
| Theme | What it points to | Compliance takeaway |
|---|
| Reg SHO | short sales | marking/locate/close-out awareness; exception monitoring |
| Reg NMS | market structure | routing/trade-through awareness; venue controls |
| Reg M | distributions | restricted activity around offerings; heightened monitoring |
| Rule 10b-5 | fraud/manipulation | investigation and escalation mindset |
| Rule 15c2-11 | OTC quoting | process discipline before quoting/resuming quotes |
Surveillance and exception management (Series 14 angle)
Think like a surveillance program:
- define what to monitor (orders, executions, cancels, allocations, reports)
- set thresholds and patterns (volume spikes, price moves, concentration, wash-like patterns)
- investigate with full context (customer profile, time stamps, communications, approvals)
- remediate and document (training, restrictions, enhanced supervision)
F8 — Sales practice: customer and employee accounts (high yield)
Series 14 tests “account controls thinking”:
- recommendations must follow suitability/best-interest logic (high level)
- discretionary authority must be documented and supervised
- employee accounts and accounts at other firms create monitoring/conflict controls (high level)
- AML and sanctions awareness is part of the risk picture (high level)
Complaint angle: the safest answer is usually “log, investigate, respond, retain, and report if required” (high level).
F6 — Investment banking controls and MNPI (high yield)
High-yield compliance mindset:
- maintain information barriers and restricted lists where needed
- control research/report distribution and conflicts (high level)
- ensure offering workflow controls: approvals, disclosure discipline, distribution restrictions, record retention
- understand private offering process and notice/filing expectations (high level)
Tender offer trap (high level): if the stem hints at nonpublic tender offer information, the safe move is usually to restrict activity and escalate.
F3 — Broker-dealer operations (records and reporting)
Series 14 expects “audit trail first” thinking:
- confirmations and transaction records must be accurate and retained
- customer account information and changes must be documented and approved where required
- written complaints are logged, retained, and routed for response and reporting
- short-interest and ownership reporting triggers must be recognized and escalated (high level)
Quick recordkeeping reflex: if a decision is made, the exam often expects there to be evidence of who reviewed it and when.
F4 — Credit regulation and capital requirements (high level)
Exam-level takeaways:
- know what the net capital and customer protection rules are trying to do (firm solvency + customer asset protection)
- margin rules (including Regulation T concepts) drive account supervision and required records
- prime brokerage and joint back-office arrangements require clear responsibilities and documentation even when functions are shared
Common trap: treating “outsourced/shared” as “no longer our responsibility.”
F7 — Registration workflows (high level)
Typical exam moves:
- confirm registration category requirements for activities performed (high level)
- escalate statutory disqualification issues
- keep filings current and documented (U4/U5/BD updates and evidence of review)
- track CE and remediation for missed requirements (high level)
F9 — Communications and telemarketing (high level)
High-yield rules logic:
- communications must be fair and balanced; disclaimers don’t fix a misleading main message
- approvals, supervision, and record retention are core controls
- telemarketing requires process controls (do-not-call, time restrictions, script supervision; high level)
F1 — Regulatory agencies and disciplinary process awareness
Know the “shape” of the ecosystem:
- what FINRA does vs what the SEC does (high level)
- that some rules come from other SROs (e.g., MSRB) depending on product/activity (high level)
- that disciplinary/arbitration processes require evidence preservation and documentation discipline
Common exam traps (Series 14)
- choosing “handle it informally” instead of following a written procedure
- approving or allowing activity without required documentation or supervisory sign-off
- using disclaimers to “fix” a misleading communication
- failing to preserve evidence and create an audit trail during an investigation
- failing to escalate reporting-sensitive events through the correct workflow
Glossary (Series 14 level)
- AML: anti-money laundering program requirements (high level).
- BCP: business continuity plan; maintained, tested, and updated (high level).
- Best execution: process to seek the most favorable terms reasonably available; compliance tests process and outcomes (high level).
- CAT: Consolidated Audit Trail (audit trail concept; high level).
- CIP: Customer Identification Program; identity verification at onboarding.
- CTR / SAR: Bank Secrecy Act reporting concepts (high level).
- Disqualification / statutory disqualification: disqualifying events that can restrict association/registration (high level).
- DNC: do-not-call process controls in telemarketing supervision (high level).
- Form BD / Form U4 / Form U5: broker-dealer and individual registration/termination forms (high level).
- Form CRS: relationship summary delivery concept under Reg BI framework (high level).
- Information barrier: controls used to prevent the misuse of MNPI (high level).
- MNPI: material nonpublic information; triggers restrictions and escalation.
- Net capital: solvency requirement concept; monitored under SEC/FINRA rules (high level).
- OFAC: sanctions framework; screening and escalation concepts (high level).
- Reg M / Reg NMS / Reg SHO: SEC regulations affecting distributions, market structure, and short sales (high level).
- Soft dollars: brokerage commissions used for research-type benefits under certain conditions (high level).
- TRACE: trade reporting concept for certain fixed income securities (high level).
- WSPs: written supervisory procedures; the “source of truth” for controls and evidence.