When a city works well, you don’t notice. You step off the curb, and a car stops. You find shade on a hot street. Trash disappears. The lights turn red, and strangers obey. It feels like common sense… but actually, it’s design.

The urban planner Jane Jacobs spent her career proving this. In 1961, she published The Death and Life of Great American Cities, where she argued that cities don’t thrive because of rules alone. They thrive because their systems (zoning, sidewalks, streetlights, corner stores) make the right thing easier than the wrong one.

RIA firms face a parallel challenge. A culture of compliance doesn’t emerge from strict rules, policies, or annual trainings. It takes root when ethical behavior is embedded in daily actions, expectations, and infrastructure.

This article offers six practical steps to help your firm build a compliance culture that sustains itself, not through enforcement, but through design.
 

What Is a Culture of Compliance?

 
In regulatory terms, a “culture of compliance” refers to the internal environment that shapes how employees interpret and act on their firm’s ethical and legal obligations.

But culture isn’t a memo. It’s not what’s in the handbook. It’s what happens in real decisions: the unspoken rulebook employees follow when no one’s watching.

In 2023, the SEC brought a record $6.4 billion in enforcement actions, including significant penalties for failure to supervise and inaccurate marketing disclosures: two areas where “culture” plays a defining role. If staff believe shortcuts are normalized, no checklist will stop misconduct.
 

Why Compliance Culture Matters

 
For firms under 150 employees, culture isn’t abstract. It’s your most powerful shield against reputational risk, regulatory penalties, and operational drift.

  • Reputation: 81% of investors consider a firm’s ethical stance when selecting a financial advisor (CFA Institute, 2022).
  • Regulatory insight: The SEC weighs a firm’s culture during enforcement and exam outcomes.
  • Retention: Employees are more likely to stay where clear norms are modeled and reinforced.

Done well, compliance culture becomes a differentiator.
 

Key Steps to Building a Culture of Compliance

 
Below are six foundational steps to embed a culture of compliance into the core systems of your RIA firm. Each one builds on the others, like a city zoning plan that evolves into a living, breathing neighborhood.
 

Step 1: Leadership Buy-In

Designate your urban planners.

If leaders don’t model compliance, no one else will. The tone is set not just by speeches but by calendar allocations, meeting agendas, and who gets promoted.

Behavioral Insight: Research from the Journal of Organizational Behavior confirms that ethical behavior among leaders directly predicts employee engagement with compliance.

Make it real: Begin quarterly meetings with a 3-minute regulatory update. Track completion rates on required tasks. Visibility signals value.
 

Step 2: Customized Policies and Procedures

Lay the zoning laws for your specific risks.

Off-the-shelf templates don’t build culture. In fact, they erode it—employees spot irrelevance fast.

Regulatory reference: FINRA Regulatory Notice 22-10 calls for tailoring supervisory procedures to actual firm activities and risks.

Make it real: Use cross-functional policy reviews quarterly. Client-facing staff often spot blind spots that policy drafters miss.
 

Step 3: Onboarding for Compliance Awareness

Establish the infrastructure from Day 1.

First impressions are sticky. The primacy effect tells us that what people learn early becomes their default reference point later.

Make it real: Assign a compliance mentor for new hires. Use real scenarios—not hypotheticals—to build relevance.
 

Step 4: Ongoing Education and Training

Treat compliance like a city-wide public campaign.

Annual training dumps don’t work. Learning research shows that spaced repetition—short, repeated exposures—dramatically boosts retention.

Make it real: Use microlearning modules quarterly (3–7 mins.) Embed into tools your team already uses (e.g., Slack, email digests).
 

Step 5: Scalable, Technology-Backed Processes

Build the transit and utilities of your culture.

Compliance tech isn’t just a time-saver; it’s behavioral infrastructure. When reporting, attestations, and reviews are automated, friction disappears and standards get followed.

Make it real: Map every recurring compliance task to a system (not a person). If a human has to remember it, it’s a risk.
 

Step 6: Making Compliance a Daily Habit

Ensure your culture is walkable.

The best cities are walkable—designed so that good behavior is the easiest option. Your compliance program should feel the same.

Use BJ Fogg’s Behavior Model:

  • Trigger: Slack pings, calendar nudges, embedded dashboards.
  • Ability: One-click approvals, mobile-friendly workflows.
  • Motivation: Team visibility and “streak” tracking.

Make it real: Include a “compliance pulse check” in weekly team meetings—one win, one watch-out, and one fix.

Compliance Habits Blueprint (Fogg Behavior Model in Practice)

 

 

Key Takeaway:

When all three components are present—Trigger, Ability, and Motivation—the likelihood of compliance behavior skyrockets. Miss one, and habits break down.

Design for behavior, not just intention. Fogg’s model helps build a compliance system people actually use, not just one they’re told to.
 

How Smartria Helps

 
Smartria equips RIA firms with the tools to build all six steps into daily operations. It’s not just a platform; it’s the infrastructure layer of your compliance ecosystem.

With Smartria, you can:

  • Create customized workflows aligned with firm-specific risks.
  • Automate recurring tasks like marketing reviews and attestations.
  • Track completion and performance metrics in real time.
  • Centralize policy management and audit documentation.
  • Align your actual behavior with your written intent—reducing SEC exam surprises.

Smartria helps small firms act like big ones—without the bloat.
 

Conclusion: Culture Doesn’t Enforce Itself; It’s Engineered

 
Cities thrive not because everyone reads the rulebook, but because sidewalks, sightlines, and rhythms guide behavior automatically. The same is true for compliance.

Building a culture of compliance means designing systems where the right actions are obvious, easy, and rewarded. Leadership signals it. Policies reinforce it. Onboarding starts it. Tech scales it. Habits seal it.

In short, don’t build compliance for your team. Build it with your team—and design it to live inside the systems they already use. Feel free to use Smartria for help.

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