CAMBRIDGE INVESTMENT RESEARCH ADVISORS, INC.

CAMBRIDGE INVESTMENT RESEARCH ADVISORS, INC. of FAIRFIELD, IA is an SEC-registered investment adviser (CRD 134139). Regulatory assets under management: $138.7B. This firm reports disciplinary history on Form ADV.

Registration

Business model

Compensation: % of AUM, Hourly, Fixed, Commissions, Other.

Clients served: Individuals, High net worth, Pooled vehicles, Pensions, Charities.

Officers, owners & control persons (53)

Showing 25 of 53 people.

NameRoleLocation
Eric SchwartzTRUSTEEFairfield, IA
Ryan BoenEVP, CHIEF FINANCIAL OFFICERFairfield, IA
Miller AaronEXECUTIVE VICE PRESIDENT, RISK MANAGEMENT, GENERAL COUNSEL, CHIEF RISK OFFICER; EXECUTIVE VICE PRESIDENT RISK MANAGEMENT/GENERAL COUNSEL/CHIEF RISK OFFICER/DIRECTOR; PRESIDENT, ADVOCACY AND ADMINISTRATION, GENERAL COUNSEL, DIRECTOR (+1 more)Chicago, IL
Amy Lynn WebberCHIEF EXECUTIVE OFFICER, SECRETARY, DIRECTOR
Colleen Mcguire BellPRESIDENT, INNOVATION AND EXPERIENCE, DIRECTOR
Jeffrey Francis VivacquaPRESIDENT, GROWTH AND DEVELOPMENT, DIRECTOR
Seth Aaron MillerPRESIDENT, ADVOCACY AND ADMINISTRATION, GENERAL COUNSEL, DIRECTOR
Andrea Lynn ShaferSENIOR VICE PRESIDENT, CHIEF SUPERVISION OFFICER
Carla Jean StoneFIRST VICE PRESIDENT, FINANCE/CHIEF ACCOUNTING OFFICER
Tammy Ann RobbinsEXECUTIVE VICE PRESIDENT, CHIEF BUSINESS DEVELOPMENT OFFICER
Stephen Michael YouhnCHIEF COMPLIANCE OFFICER
Richard Henry KuhlmanSENIOR VICE PRESIDENT, CHIEF LEGAL OFFICER
Eddie Thomas RollinsEXECUTIVE VICE PRESIDENT, MANAGING DIRECTOR - BRIDGEPORT
Kelly A SchwartzTRUSTEE
Martin Worthington LynnSR. VICE PRESIDENT, COMPLIANCE/CCO/DIRECTOR; SR. VICE PRESIDENT, COMPLIANCE/CHEIF COMPLIANCE OFFICER/DIRECTOR; SR. VICE PRESIDENT, COMPLIANCE/CHIEF COMPLIANCE OFFICER/DIRECTOR (+1 more)
YOUHN STEPHEN MICHAELCHIEF COMPLIANCE OFFICER
BAXLEY JOHN DOUGLAS1ST VICE PRESIDENT, FIDUCIARY SERVICES, CHIEF COMPLIANCE OFFICER
SELBERG KYLE RUSSELLEXECUTIVE VICE PRESIDENT, CHIEF BUSINESS DEVELOPMENT OFFICER; EXECUTIVE VICE PRESIDENT, CHIEF BUSINESS DEVELOPMENT OFFICER/DIRECTOR; SVP, BUS DEV & CHIEF BUS DEV OFFICER/DIRECTOR
ANDERSON THOMAS JOHNCHIEF COMPLIANCE OFFICER; FIRST VP, COMPLIANCE/CHIEF COMPLIANCE OFFICER; VP, COMPLIANCE/CHIEF COMPLIANCE OFFICER
ROLLINS EDDIE THOMASEXECUTIVE VICE PRESIDENT, MANAGING DIRECTOR - BRIDGEPORT
GUY JAMES EUGENEDIRECTOR; EXEC VICE PRESIDENT/CHIEF MARKETING OFFICER/DIRECTOR; FIRST EXEC VICE PRESIDENT/CHIEF MARKETING OFFICER/DIRECTOR (+1 more)
SCHWARTZ ERICCHAIRMAN OF THE BOARD OF DIRECTORS; CHIEF EXECUTIVE OFFICER/CHAIRMAN, BOARD OF DIRECTORS; EXECUTIVE CHAIRMAN OF THE BOARD OF DIRECTORS (+3 more)
DOLLIVE PETER DOMENICOFIRST VICE PRESIDENT, DUE DILIGENCE/TREASURER; RECAP, DUE DILIENCE AND PRODUCT SERVICES; SR.VICE PRESIDENT/TREASURER (+2 more)
WEBBER AMY LYNNCHIEF EXECUTIVE OFFICER, SECRETARY, DIRECTOR; EXEC VICE PRESIDENT/CHIEF OPERATING OFFICER/SEC'Y/DIRECTOR; PRESIDENT/CHIEF EXECUTIVE OFFICER/SECRETARY/DIRECTOR (+3 more)
BALLARD DAWN MICHELLEVICE PRESIDENT, FINANCE & ACCOUNTING/FINOP

Disclosures (943)

InitiatedTypeAllegationsStatusAmount
2024-02-09regulatoryTHE SEC ALLEGED THAT FROM AT LEAST JANUARY 2019 THROUGH THE DATE OF THE ORDER, CIRA AND CIR FAILED TO ADOPT ADEQUATE WRITTEN POLICIES AND PROCEDURES REGARDING THE CONDUCT OF BUSINESS COMMUNICATIONS VIA PERSONAL TEXT MESSAGES ("OFF-CHANNEL COMMUNICATIONS") AND AS A RESULT FAILED TO MAINTAIN AND PRESE…Final$10.0M
2022-03-01civilON MARCH 1, 2021 THE SEC FILED A LAWSUIT IN THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF IOWA ALLEGING THAT THE FIRM, IN ITS ROLE AS A REGISTERED INVESTMENT ADVISER, FAILED TO DISCLOSE MATERIAL CONFLICTS OF INTEREST AND FAILED TO ADOPT AND IMPLEMENT WRITTEN POLICIES AND PROCEDURES R…Final$1.8M
2022-03-01civilON MARCH 1, 2021 THE SEC FILED A LAWSUIT IN THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF IOWA ALLEGING THAT THE FIRM, IN ITS ROLE AS A REGISTERED INVESTMENT ADVISER, FAILED TO DISCLOSE MATERIAL CONFLICTS OF INTEREST AND FAILED TO ADOPT AND IMPLEMENT WRITTEN POLICIES AND PROCEDURES R…Pending
2021-08-30regulatoryTHE FIRM FAILED TO ADOPT WRITTEN POLICIES AND PROCEDURES REASONABLY DESIGNED TO PROTECT CUSTOMER RECORDS AND INFORMATION, AS REQUIRED BY THE SAFEGUARDS RULE, WHEN CLOUD-BASED EMAIL SERVICES WERE USED BY SOME OF ITS FINANCIAL PROFESSIONALS.Final$250K
2019-03-11regulatoryIN 2018, CIRA SELF-REPORTED A POTENTIAL BREACH OF FIDUCIARY DUTY RELATING TO MUTUAL FUND SHARES HELD BY CLIENTS WHERE LOWER COST SHARE CLASSES OF THE SAME FUND WERE AVAILABLE. THE SEC DETERMINED THAT CIRA HAD INADEQUATE DISCLOSURES ADDRESSING CONFLICTS OF INTEREST RELATED TO THE RECEIPT OF 12B-1 FEE…Final
2012-03-09regulatoryIN AUGUST OF 2011 CIRA SELF-REPORTED THE MISAPPROPRIATION OF FINANCIAL PLANNING FEES BY A FORMER INVESTMENT ADVISOR REPRESENTATIVE (IAR). IN GOOD FAITH CIRA RETURNED THESE MISAPPROPRIATED FUNDS TO THE AFFECTED CLIENTS. AS A RESULT, THE SEC DETERMINED THAT CIRA FAILED TO REASONABLY SUPERVISE THE FORM…Final$225K
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