Relationship Manager

Bank of America Bank of America · Banking · Lexington

Relationship Manager at Merrill Wealth Management (Bank of America) focused on supporting Financial Advisors to develop and enhance client relationships, acting as a key point of contact for clients, and assisting with investment strategy discussions. Requires specific financial licenses and SAFE Act registration.

What you'd actually do

  1. further develop and enhance existing client relationships
  2. acting as a key point of contact for clients on any non-administrative requests/needs
  3. assist with and attend client meetings and discussions covering investment strategy, account performance, new products, and market developments in an effort to promote growth and acquisition
  4. work with the Financial Advisor and/or team Senior Business Manager to develop, implement, and monitor the team’s client service model
  5. Identify and own the client onboarding process

Skills

Required

  • Series 7 and 66 licenses or Series 7, 63 and 65 licenses
  • SAFE ACT Registration
  • Form ADV-2B
  • firm approved designation
  • strong communication skills
  • lead through collaboration and influence without direct authority
  • Detail oriented with strong organizational skills and ability to manage multiple tasks and priorities at once
  • Thorough knowledge and understanding of the suite of Wealth Management products and services
  • Proven ability to manage risk and support sound decisions
  • Ability to research escalated client issues for response/resolution

Nice to have

  • Account Management
  • Business Acumen
  • Client Management
  • Client Solutions Advisory
  • Portfolio Management
  • Referral Identification
  • Referral Management
  • Relationship Building
  • Administrative Services
  • Client Investments Management
  • Customer Service Management
  • Process Simplification

What the JD emphasized

  • SAFE Act registration
  • must obtain all state registrations held by the Financial Advisor(s) and Advisor Team(s) they support
  • Pursuant to the SAFE Act requirements, all employees engaged in residential mortgage loan originations must register with the federal registry system and remain in good standing
  • Failure to obtain and/or maintain SAFE Act registration may result in disciplinary action up to and including termination