2021-06-17
Amendments to Policy Statement to Regulation 31-103 respecting Registration Requirements, Exemptions and Ongoing Registrant Obligations
Regulators have amended Policy Statement to Regulation 31-103 to clarify that relevant securities industry experience may include employment at firms relying on registration exemptions. Specifically, experience gained at licensed mortgage brokers or dealers can be considered relevant if it aligns with the applied-for category. Regulators retain the authority to impose terms and conditions on individuals or sponsoring firms to limit specific activities in these cases.

AMENDMENTS TO POLICY STATEMENT TO REGULATION 31-103 RESPECTING
REGISTRATION REQUIREMENTS, EXEMPTIONS AND ONGOING REGISTRANT
OBLIGATIONS
- Section 3.3 of Policy Statement to Regulation 31-103 respecting Registration
Requirements, Exemptions and Ongoing Registrant Obligations is amended by inserting, after the
last bullet under “Relevant securities industry experience”, the following paragraph:
“In limited circumstances, relevant securities industry experience may include experience
obtained during employment at a firm that has relied on a registration exemption. For example,
experience obtained at a registered or licensed mortgage broker, mortgage brokerage, mortgage
agency or mortgage dealer under applicable legislation may be considered relevant if the
experience can be demonstrated to be relevant to the category applied for. In these circumstances,
the regulator may also impose terms and conditions on the individual or the registered firm
sponsoring the individual in order to limit their specific activities.”.