ABA Banking Journal - February 2013 - (Page 51)

legal issues BY THOMAS PINDER Time hangs in the balance Photo: billdayone/shutterstock.com Will the statute of limitations have any limits? When the Rolling Stones perform “Time Is on My Side,” it sounds like wishful thinking given the aging sound and movements of its near-septuagenarian singers. These days, I don’t know whether to applaud or offer Mick Jagger a breathing mask as he struggles with the high notes. Yet, the Rolling Stones classic would have been an apt soundtrack to the U.S. Securities and Exchange Commission’s oral arguments before the Supreme Court in Gabelli v. SEC. On Jan. 8, 2012, the Supreme Court heard arguments about when an action “accrues” for purposes of the federal statute of limitations in SEC civil-enforcement actions. The SEC argued that the statute of limitations clock under 28 U.S.C. § 2462 does not start or accrue until the SEC “discovers” a violation. If the SEC prevails, government agencies could bring civil-enforcement actions against banks years after the statute of limitations expires. Section 2462 is the general statute of limitations applicable to any action for a civil penalty or fine brought by the United States. The statute states “[e]xcept as otherwise provided by Act of Congress,” action must be “commenced within five years from the date when the claim first accrued[.]” At least 80 statutory provisions that provide for civil fines do not incorporate a different statute of limitations. At least 15 of these statutory provisions, in ten different titles of the U.S. Code, affect banks. In 2008, the SEC filed an enforcement action alleging a portfolio manager and the chief operating officer of Gabelli Funds violated the “Investment Advisors Act.” The defendants argued that the SEC claims—which spanned from 1999 to 2002—were barred by Section 2462 because the alleged misconduct occurred, and therefore accrued, more than five years before the SEC’s complaint. The SEC claimed the complaint was timely because it did not discover the fraud until September 2003, and the “discovery rule” prevents fraud-based claims from accruing until the government discovers the alleged misconduct. The district court disagreed with the SEC, holding that the statute of limitations had expired because the plain language of the statute does not provide for a discovery rule. The Second Circuit ignored a majority of the circuits and reversed the decision, concluding the limitations period did not start until after the SEC discovered the fraud. If the Supreme Court sides with the SEC, the certainty provided by statutes of limitations could be threatened. Requiring government agencies to file timely complaints ensures that potential defendants will not face an indefinite threat of government lawsuits from agencies that already enjoy broad investigator y powers. Predictability is especially important to banks because they operate in a highly regulated industry, and are often required to produce discovery during investigations governed by Section 2462. In some cases, the retention requirements for certain records may lapse before a government claim is filed, or banks may have to fight D&O carriers about whether cer tain “expired” allegations are covered. Let’s hope that time is not on the SEC’s side. n Thomas Pinder is vicepresident, litigation, for the American Bankers Association.You can reach him at tpinder@aba.com February 2013 | ABA BANKING JOURNAL | 51 http://www.SHUTTERSTOCK.COM

Table of Contents for the Digital Edition of ABA Banking Journal - February 2013

ABA Banking Journal - February 2013
Contents
Chairman’s View
Editor’s Column
The Economy
Bank Notes
Picture This
“I’m not just a banker anymore”
Pass the Aspirin
Tech Topics
High-energy banker—a tale of four cities
What’s in it for the customer?
Wealth management goes holistic
Compliance Inbox
ABA At Your Service
Legal Issues
First Person

ABA Banking Journal - February 2013

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