Regulators circulated an internal notice to securities firms identifying four
nascent problems in recent branch setups: insufficient necessity, unclear
business‑scope delineation, separation of registered address from operating
office, and weak implementation of centralized management. The notice sets
explicit rules for branch establishment, filing and centralized management and
orders three corrective actions: fully assess necessity and establish branches
lawfully and orderly; enforce centralized, unified management, operations and
controls; and clearly define business scopes to prevent intra‑industry
competition and conflicts of interest.