Practice FINRA Series 10 with free sample questions, timed mock exams, topic drills, and detailed answer explanations in Securities Prep.
Series 10 rewards candidates who can supervise sales-practice activity, account-opening workflows, customer-protection issues, and communications without missing the control or escalation step. If you are searching for Series 10 sample questions, a practice test, mock exam, or simulator, this is the main Securities Prep page to start on web and continue on iOS or Android with the same account. This page includes 24 sample questions with detailed explanations so you can try the exam style before opening the full app question bank.
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Series 10 is primarily a sales-supervision-and-customer-protection exam:
| If you are choosing between… | Main distinction |
|---|---|
| Series 10 vs Series 9 | Series 10 is the broader general-sales-supervision half of the 9/10 path; Series 9 is the options-specific half. |
| Series 10 vs Series 24 | Series 10 is sales-supervision focused; Series 24 is broad principal supervision across the broker-dealer. |
| Series 10 vs Series 14 | Series 10 is branch sales supervision; Series 14 is compliance-officer control and escalation work. |
| Series 10 vs Series 26 | Series 10 is general sales supervision; Series 26 is packaged-products and variable-contract principal supervision. |
Use these free SecuritiesMastery.com resources for concept review, then return to this page when you are ready to practice in Securities Prep.
Use these focused Series 10 sample-question pages when you want to isolate one official topic area before returning to the mixed simulator.
These sample questions cover multiple blueprint areas for Series 10. Use them to check your readiness here, then move into the full Securities Prep question bank for broader timed coverage.
Topic: Function 2 — Supervise the Opening and Maintenance of Customer Accounts
A firm is reviewing a mobile-app push notification promoting margin borrowing to retail customers. Two principals propose different supervisory decisions.
Draft push (as written): “Borrow on margin at 4.25%* and trade more today.” *Footnote (tap to expand): “4.25% applies to margin debit balances over $1,000,000; other tiers up to 11.75%. Rates may change without notice. See the Margin Disclosure Statement.”
Principal 1: Approve the push as-is because the footnote and link provide the required details.
Principal 2: Do not approve until the push is revised so the material terms are clear on the initial screen (not just behind a tap), including that rates are variable and tiered, how/when interest is charged, and a balanced statement of key margin risks.
As the supervising principal, which decision best reflects the key differentiator for clear and fair margin-interest disclosures in a retail communication?
Best answer: A
Explanation: The core supervisory issue is whether the retail communication is fair and balanced about margin interest. Highlighting a low “as low as” rate while placing tiering, variability, and other material terms behind an extra step can be misleading. A principal should require prominent, plain-language disclosures about variable/tiered rates, how interest is charged, and key margin risks before approving use.
Topic: Function 2 — Supervise the Opening and Maintenance of Customer Accounts
A retail customer with an existing cash brokerage account submits a request through the firm’s portal to add margin privileges so the customer can borrow to purchase equities. Two supervisors propose different review controls:
Which supervisory path is best, based on the decisive differentiator in this account change?
Best answer: B
Explanation: This change adds borrowing capability and materially changes the customer’s account terms and risks. Supervisory controls should ensure required customer disclosures and the margin agreement are provided and accepted before margin is enabled. The principal should also evidence review and approval of the account change in firm records.
Topic: Function 2 — Supervise the Opening and Maintenance of Customer Accounts
A firm’s WSPs require a daily post-trade “suitability exception” report for retail accounts that have already been opened. The report flags transactions when (1) the product’s internal risk rating is above the client’s documented risk tolerance or (2) the security’s expected holding period exceeds the client’s stated time horizon. A principal must review the flagged trade, obtain and document the registered representative’s rationale (and any updated customer profile information), and determine whether the transaction should stand.
Which supervisory purpose does this control feature primarily support?
Best answer: C
Explanation: This is a post-trade supervisory review that compares each flagged transaction to the customer’s documented profile. By requiring principal follow-up, documentation, and a determination to affirm or remediate the trade, the firm is applying best-interest and suitability principles to activity occurring after the account is opened.
Topic: Function 1 — Supervise Associated Persons and Personnel Management Activities
In a broker-dealer, which statement best defines the purpose of supervisory control policies and procedures as they relate to supervising supervisory personnel?
Best answer: D
Explanation: Supervisory control policies and procedures are the firm’s checks on its supervision, including oversight of supervisors. Their focus is independence and accountability—testing whether supervisory reviews occur as designed and requiring follow-up and escalation when gaps are identified. This is distinct from routine line supervision performed over representatives.
Topic: Function 3 — Supervise Sales Practices and General Trading Activities
Your firm allows registered representatives to maintain personal brokerage accounts at outside broker-dealers. As the principal updating the WSPs, you want a control that (1) documents firm approval of the outside account and any exceptions, and (2) enables ongoing surveillance of the employee’s trading activity.
Which supervisory control feature best matches that objective?
Best answer: A
Explanation: Supervising employee personal trading in outside accounts requires both an approval trail and a reliable feed of activity for review. A written notice/approval process establishes documentation, while receiving duplicate trade confirmations and account statements allows the firm to monitor for conflicts, misuse of information, and other problematic patterns. Together, these elements support enforceable controls and evidentiary recordkeeping.
Topic: Function 2 — Supervise the Opening and Maintenance of Customer Accounts
A retail customer has a margin call due to a market decline and wants to avoid the firm liquidating her exchange-listed ETF position. She proposes transferring in shares of an OTC microcap stock she owns at another firm. Your firm’s margin department has designated the OTC microcap as non-marginable (100% margin requirement).
As the supervising principal, what is the primary limitation that should drive your decision on whether this plan will prevent a liquidation?
Best answer: B
Explanation: Margin calls and liquidation planning depend on what positions provide margin collateral (loan value). Because the proposed OTC microcap is designated non-marginable, it will not count toward required equity and will not cure the margin deficiency. The supervisor should therefore assume the firm may still need cash or margin-eligible securities to meet the call and avoid liquidation.
Topic: Function 2 — Supervise the Opening and Maintenance of Customer Accounts
A firm mails paper trade confirmations and monthly statements to a retail customer. In the last 30 days, two trade confirmations and the monthly statement were returned as “undeliverable.” The registered rep says the customer “moved” and provides a new address obtained from a neighbor, and asks the OSJ principal to update the account so a new trade can be entered today.
Which supervisory action best complies with durable supervision standards for undeliverable communications?
Best answer: C
Explanation: Multiple pieces of returned mail indicate the firm may not be delivering required confirmations and statements, and it can also signal account takeover or fraud. A supervisor should require documented customer contact using reliable channels and independent address validation before updating records. Placing reasonable restrictions and escalating to compliance helps ensure communications resume accurately and timely once the address is confirmed.
Topic: Function 1 — Supervise Associated Persons and Personnel Management Activities
A broker-dealer wants a supervisory control to ensure corrective actions taken against a registered representative are consistent and defensible. The control requires a contemporaneous written record that states (1) what conduct triggered the action, (2) what restrictions/conditions are imposed, (3) who is responsible for supervision, (4) the review cadence and how reviews will be evidenced, and (5) when and how the action will be reevaluated and closed.
Which supervisory tool best matches this control feature?
Best answer: D
Explanation: The described feature is a formal, documented corrective-action framework tied to a specific representative, including ownership, scope, evidence of review, and a defined reevaluation/closure process. That is the purpose of a heightened supervision plan, which creates an auditable record showing why the firm acted, what it required, and how it supervised to the plan.
Topic: Function 3 — Supervise Sales Practices and General Trading Activities
A Nasdaq-listed stock (LMNO) is subject to an exchange trading halt.
Exhibit: Halt notice and firm exception report
Halt (LMNO): 11:07:40 ET
Resume (LMNO): 11:22:10 ET
Executions (LMNO)
Time Qty Price
11:06:55 500 18.42
11:09:12 600 18.40
11:21:59 250 18.39
11:22:35 300 18.45
Under the firm’s WSP, any execution that occurs during an exchange trading halt must be escalated immediately as a potential prohibited trade and investigated. Based on the exhibit, how many shares must the principal escalate as executed during the halt?
Best answer: A
Explanation: During an exchange-imposed trading halt, the member must not effect transactions until the security resumes trading. The supervisor should identify executions that occurred after the halt time but before the resume time and escalate them as exceptions. Here, that requires summing the quantities of the executions that fall within the halt window.
Topic: Function 3 — Supervise Sales Practices and General Trading Activities
A sales supervisor reviews a quarterly employee-trading exception report and sees that a registered representative has been actively trading the same thinly traded microcap stocks that the rep has been recommending to retail customers. The rep also appears to be using an undisclosed external brokerage account. The supervisor gives the rep a verbal warning to “stop trading those names,” but does not escalate the matter to Compliance, document any investigative steps, or place interim controls (e.g., heightened review, temporary restrictions) while the issue is reviewed.
What is the most likely outcome of this supervisory decision if FINRA later examines the firm after customer complaints arise?
Best answer: B
Explanation: When suspicious employee trading is detected, a supervisor is expected to escalate to Compliance, document the investigation, and implement interim controls while the facts are reviewed. A verbal warning with no documented follow-up leaves the firm unable to demonstrate reasonable supervision and creates a clear path for continued misconduct and customer harm. That combination commonly results in exam findings and remediation obligations.
Topic: Function 3 — Supervise Sales Practices and General Trading Activities
A sales supervisor approves a retail email blast comparing the firm’s ETF platform to mutual funds. The email states: “ETFs have no fees, trade instantly, and are always cheaper and more liquid than mutual funds.” It does not mention bid-ask spreads, commissions, intraday price fluctuation, or that ETFs can trade at premiums/discounts, while mutual funds transact at next-calculated NAV.
The firm later receives multiple customer complaints about unexpected trading costs and execution prices on ETF purchases.
As a supervisor, what is the most likely outcome of this control failure?
Best answer: C
Explanation: The email presents absolute, one-sided claims about costs and liquidity while omitting key ETF trading realities (bid-ask spread, commissions, market-price execution, and premium/discount risk) versus mutual fund NAV pricing. That imbalance makes the communication misleading and predictably leads to customer confusion and complaints. The most likely outcome is a required correction of the communication with potential regulatory action and remediation tied to customer harm.
Topic: Function 2 — Supervise the Opening and Maintenance of Customer Accounts
A firm is adding a self-service portal that lets retail customers submit address and beneficiary changes with e-signature. Your WSPs require an OSJ principal to approve each change within one business day, and the firm must be able to promptly produce a complete audit trail (customer request, supporting documents, who approved, and time/date) for exams and customer disputes. Some RRs work remotely and currently save PDFs to local drives before emailing them to operations.
As the supervising principal, what is the BEST decision to satisfy these constraints?
Best answer: D
Explanation: Account maintenance documentation must be retained in a way that is complete, secure, and readily retrievable, including evidence of supervisory approval. A centralized repository with controlled access, indexing, and an audit trail best ensures the firm can promptly produce the full record set and demonstrate who approved what and when, regardless of where the RR works.
Topic: Function 2 — Supervise the Opening and Maintenance of Customer Accounts
A branch manager is approving a new retail account. The customer profile shows: objective = “capital preservation,” risk tolerance = “low,” time horizon = “1–3 years,” and liquidity needs = “high.” In another part of the same form, the registered representative selected “aggressive growth” and “comfortable with significant losses.” The manager approves the account without obtaining clarification or updating the record, and the rep later recommends volatile, non-income equity products.
What is the most likely outcome of this supervisory control failure?
Best answer: A
Explanation: Supervisors must validate that a customer’s investment profile is complete and internally consistent before approving the account and allowing recommendations. Conflicting objectives, risk tolerance, liquidity needs, and time horizon are red flags that must be resolved and documented. If not, the firm is exposed to customer harm and regulatory findings because it cannot demonstrate that later recommendations were grounded in reliable customer information.
Topic: Function 3 — Supervise Sales Practices and General Trading Activities
A branch manager receives an emailed retail customer complaint about trades in a non-discretionary account. The firm wants to triage the complaint the same day to decide what records to pull first and whether any immediate restrictions are needed.
Complaint excerpt: “On August 6, 2025, five corporate bonds were bought in my account while I was on a flight. I did not approve these trades, and my rep never called me. The confirmations show prices that seem too high, and I was told these bonds were ‘safe like cash.’”
Which primary risk/limitation should drive the manager’s initial investigation plan?
Best answer: B
Explanation: The most urgent theme is the allegation that trades occurred without the customer’s approval in a non-discretionary account. That drives an initial investigation focused on authorization and authentication (order-entry source, recordings, notes, and any written trading authority) and whether immediate restrictions are needed to prevent further harm. Pricing, suitability, and disclosure can be reviewed after trade authority is validated.
Topic: Function 4 — Supervise Communications with the Public
A broker-dealer uses an email surveillance tool to flag retail-related correspondence for supervisory review. During an internal audit, the branch manager cannot show a complete record of (1) which principal reviewed each flagged email, (2) what specific language was flagged, and (3) how the issue was resolved.
Which action best brings the firm into compliance with durable correspondence supervision standards?
Best answer: C
Explanation: Correspondence supervision must be demonstrable after the fact. The most durable approach is an auditable, tamper-evident record that links each flagged message to a specific reviewer, identifies what triggered the review, and shows the final supervisory outcome and any corrective action taken. This supports both oversight and regulatory/inspection testing.
Topic: Function 1 — Supervise Associated Persons and Personnel Management Activities
Which statement about the Central Registration Depository (CRD) is most accurate?
Best answer: D
Explanation: CRD is the industry’s central registration and disclosure repository for associated persons. Because regulators and investors rely on CRD records to assess an individual’s background and eligibility, firms must treat the completeness, accuracy, and prompt updating of CRD information as a supervisory priority.
Topic: Function 1 — Supervise Associated Persons and Personnel Management Activities
A firm is onboarding an experienced registered representative. The candidate’s Form U4 and CRD report show: (1) two customer complaints settled within the last 4 years, (2) a personal bankruptcy discharged 2 years ago, and (3) a prior termination for “failure to follow firm procedures.” The hiring manager wants the rep approved to start soliciting retail clients next week.
Which supervisory action is NOT appropriate before onboarding is finalized?
Best answer: A
Explanation: Multiple recent complaints, a recent bankruptcy, and a termination are onboarding red flags that require enhanced due diligence. A supervisor should independently verify the facts, obtain supporting documentation, and document the firm’s decision-making and any risk-based restrictions. Simply accepting the applicant’s attestation does not satisfy a reasonable qualification review before final approval.
Topic: Function 4 — Supervise Communications with the Public
A retail branch uses an outside dialing platform for outbound prospecting. Two customers complain that they told a registered representative “do not call me again,” but they received another call the next week.
The firm’s WSPs state that telemarketing call lists must be scrubbed against the National Do-Not-Call Registry at least every 31 days and against the firm’s internal do-not-call (DNC) list before each campaign.
Which supervisory action best complies with durable telemarketing supervision standards for maintaining and using DNC lists?
Best answer: B
Explanation: A supervised telemarketing program needs controls that prevent repeat calls by design, not after-the-fact reviews. The best approach is a centralized, promptly updated internal DNC process that is actually used to scrub outbound call lists, with documentation and periodic testing to verify the control is working in production.
Topic: Function 2 — Supervise the Opening and Maintenance of Customer Accounts
A firm’s automated margin system fails to generate a Regulation T initial margin call after a retail customer purchases $100,000 of common stock in a margin account. The customer has only $30,000 equity in the account and, because the call was never generated, is allowed to withdraw $5,000 two business days later.
Exhibit: Firm WSP (excerpt)
If this control failure is not promptly corrected, what is the most likely outcome?
Best answer: C
Explanation: The firm’s failure to issue and enforce the Regulation T call, combined with permitting a withdrawal, results in the firm financing the customer’s purchase beyond permitted initial margin. That is an improper extension of credit requiring corrective action consistent with the WSP, including liquidation if the call is not met and restricting future trading privileges.
Topic: Function 2 — Supervise the Opening and Maintenance of Customer Accounts
A long-time retail customer submits an online request to (1) change the mailing address, (2) switch statements to e-delivery, and (3) add a new linked bank account for outgoing ACH transfers. The request is submitted after hours from an unfamiliar device and geolocation. The registered representative says the customer e-signed the request and asks operations to process it immediately.
As the supervising principal, which action best meets high-level supervisory standards for required customer notices/disclosures during account changes?
Best answer: D
Explanation: When multiple high-risk changes occur together (address, delivery method, and linked bank instructions), supervision should require independent verification and customer notification using existing contact channels. Adding a temporary disbursement restriction until verification is completed helps prevent fraudulent withdrawals. Documented principal approval and record retention provide an auditable control for the account-maintenance change.
Topic: Function 2 — Supervise the Opening and Maintenance of Customer Accounts
You are the designated principal reviewing a new retail account in the firm’s online account-opening system. Based on the exhibit, which interpretation is supported?
Exhibit: New account documentation status (02/10/2026 10:14 ET)
Account type selected: Individual
Trading permissions: Equities
Margin feature toggle: ON
Customer agreement (includes arbitration language):
- Delivered: e-sign 02/10/2026 09:58
- Customer acknowledgment: 02/10/2026 10:02
Margin agreement:
- Delivered: e-sign 02/10/2026 09:58
- Customer signature: PENDING
Margin disclosure statement:
- Delivered: e-sign 02/10/2026 09:58
- Customer acknowledgment: PENDING
Best answer: A
Explanation: Margin trading requires the firm to deliver the required margin documents and obtain the customer’s agreement/acknowledgment before extending margin. The exhibit shows the customer agreement was acknowledged, but the margin agreement signature and the margin disclosure acknowledgment are both pending while margin is already toggled on. A supervisor should interpret this as a control failure that must be corrected before approving margin use.
Topic: Function 3 — Supervise Sales Practices and General Trading Activities
A retail customer’s online limit order to buy 1,000 shares of ABC executed on June 3, 2025. The order ticket shows the customer entered the correct symbol, but the registered rep mistakenly routed and executed 1,000 shares of ABX at $38.20. The customer would have received ABC at $37.90 at the time of execution. The trade will be corrected and the customer will be made whole.
Two supervisors propose different documentation approaches:
As the supervising principal, which supervisory path best meets the audit-purpose requirement to document the trade error lifecycle (cause, approvals, customer impact, and resolution)?
Best answer: B
Explanation: The firm should maintain an audit-ready error file that shows what happened, who approved the correction, how the customer was made whole, and how the error was resolved. A system cancel/rebill trail alone typically does not evidence supervisory approvals or the customer-impact analysis. Path 1 explicitly captures the full lifecycle needed for supervision and audit support.
Topic: Function 2 — Supervise the Opening and Maintenance of Customer Accounts
Which statement is most accurate about refreshing a retail customer’s investment profile before approving a recommendation or transaction?
Best answer: C
Explanation: Supervisory approval must be based on reasonably current customer information, especially when a proposed recommendation conflicts with, or depends on, profile details that may no longer be accurate. When information is missing, outdated, or contradicted by known facts, the firm should refresh and document the profile before approval. If the customer will not provide updates, that refusal should be documented as part of the approval record.
Topic: Function 2 — Supervise the Opening and Maintenance of Customer Accounts
A general securities sales supervisor is reviewing a new account package submitted through the firm’s digital onboarding system for a retail customer that is a domestic LLC.
Exhibit: New account KYC snapshot (selected fields)
Account registration: ABC Fitness Studio LLC (domestic LLC)
Entity exemption status: Not indicated as exempt
Authorized signer: Maria Lopez (Managing Member)
Signer ID validation: Driver’s license scan = VERIFIED
Entity documentation: Articles of Organization = RECEIVED
Tax ID: EIN 12-3456789
Beneficial Ownership Certification: PENDING (not received)
Beneficial owners (25%+): —
Control person: —
Based on the exhibit, which interpretation is best supported for the supervisor’s account-approval decision?
Best answer: D
Explanation: For a non-exempt legal entity customer, the supervisor must ensure the firm has collected and documented beneficial ownership information (owners and a control person) in addition to other CIP elements. The exhibit shows the certification is pending and the beneficial owner/control-person fields are blank. That supports withholding approval until required verification steps are completed and documented.
Use this map after the sample questions to connect individual items to branch supervision, retail activity review, communications, complaints, customer account controls, and escalation decisions these Securities Prep samples test.
flowchart LR
S1["Branch account trade or conduct event"] --> S2
S2["Identify supervisory trigger and risk"] --> S3
S3["Review customer facts product and representative activity"] --> S4
S4["Approve reject escalate or remediate"] --> S5
S5["Document evidence and client communication"] --> S6
S6["Monitor trends training and controls"]
| Cue | What to remember |
|---|---|
| Branch supervision | Supervision covers people, accounts, orders, communications, complaints, and exception reports. |
| Customer protection | Watch vulnerable clients, senior investors, excessive trading, unsuitable recommendations, and unauthorized activity. |
| Communications | Retail communications, correspondence, social media, and seminars require proper review and retention. |
| Complaints | Complaints need prompt identification, investigation, response, and reporting where required. |
| Escalation | Patterns and serious exceptions should not remain informal coaching issues. |