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: In what ways might the statutory definition of investment adviser fail to ensure adequate regulatory oversight of the people who potentially create investment risks
: In what ways might the statutory definition of "investment adviser" fail to ensure adequate regulatory oversight of the people who potentially create investment risks for smaller investors? In particular, are any classes of potential investors missing from the definition? Might any of the exclusions be problematic in practice? How might the definition be changed to address some of these issues?
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