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Mutual Fund Update

Mutual Fund Update. Gail Weiss Managing Director SunGard Wealth Management. Agenda. Market Demographics Profile of Shareholders Trends in the US 12b-1 Fees Proposed Reforms Money Market Fund Reforms International Trends. Market Demographics. Worldwide Mutual Fund assets

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Mutual Fund Update

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  1. Mutual Fund Update Gail Weiss Managing Director SunGard Wealth Management

  2. Agenda • Market Demographics • Profile of Shareholders • Trends in the US • 12b-1 Fees Proposed Reforms • Money Market Fund Reforms • International Trends

  3. Market Demographics • Worldwide Mutual Fund assets • (Trillions of US dollars, end of quarter) Source: Investment Company Institute, Worldwide Mutual Fund Assets and Flows Third Quarter 2010. Washington, DC, January 27, 2011.

  4. Market Demographics Worldwide Assets of Equity, Bond, Money Market and Balanced/Mixed Funds (Billions of US dollars, end of quarter) Source: Investment Company Institute, Worldwide Mutual Fund Assets and Flows Third Quarter 2010. Washington, DC, January 27, 2011.

  5. Market Demographics Percent of Worldwide Fund Assets by Type of Fund Source: Investment Company Institute, Worldwide Mutual Fund Assets and Flows Third Quarter 2010. Washington, DC, January 27, 2011.

  6. Market Demographics Percent of Worldwide Fund Assets by Region Source: Investment Company Institute, Worldwide Mutual Fund Assets and Flows Third Quarter 2010. Washington, DC, January 27, 2011.

  7. Profile of Shareholders 51.6 Million U.S. Households Owned Mutual Funds Percentage of all U.S. households, 2010 Total number of U.S. households: 117.5 million • The median age of individuals heading households that owned mutual funds was 50. • Forty-six percent of these individuals had college or postgraduate degrees. • Seventy-five percent of U.S. households that owned mutual funds consisted of couples that were married or living with a partner. • Investment decision-making was a shared responsibility in 62 percent of mutual fund–owning households. Source: Investment Company Institute, Profile of Mutual Fund Shareholders, 2010. Washington, DC, February, 2011.

  8. Profile of Shareholders • In 2010 the “typical” mutual fund–owning head of household: • was middle-aged, employed, educated, married or living with a partner, and shared investment decision-making with his or her spouse or partner; • was of moderate financial means, with $80,000 in household income and $200,000 in household financial assets; • owned investments other than mutual funds, including individual stocks, and had over half of the household’s financial assets (excluding the primary residence) invested in mutual funds; • had $100,000 invested in four mutual funds, including at least one equity fund; • owned mutual funds inside an employer-sponsored retirement plan, such as a 401(k) plan, 403(b) plan, 457 plan, SEP IRA , SAR -SEP IRA , or SIMPLE IRA ; • owned mutual funds outside employer-sponsored retirement plans, primarily through the sales force channel; and • was confident that mutual funds could help him or her reach financial goals. Source: Investment Company Institute, Profile of Mutual Fund Shareholders, 2010. Washington, DC, February, 2011.

  9. Trends in the US • Long-term funds – stock, bond and hybrid funds – had a net inflow of $26.57 billion in February. Up from an inflow of $24.39 billion in January. • Stock funds posted an inflow of $12.97 billion in February. Up from an inflow of $19.71 billion in January. • World equity funds (US funds that invest primarily overseas) posted an inflow of 3.71 billion in February. Down from an inflow of $8.26 billion in January. • Funds that invest primarily in the US had an inflow of $9.26 billion in February. Down from an inflow of $11.45 billion in January. • Hybrid funds posted an inflow of $5.93 billion in February. Down from an inflow of $6.52 billion in January. • Bond funds had an inflow of $7.67 billion in February compared to an outflow of $1.84 billion in January. • Taxable bond funds had an inflow of $11.99 billion in February. Up from an inflow of $10.56 billion in January. • Municipal bond funds had an outflow of $4.32 billion in February compared to an outflow of $12.4 billion in January.

  10. Trends in the US (continued) • Money market funds had an inflow of $12.02 billion in February compared to an outflow of $75.61 billion in January. • Funds offered primarily to institutions had an inflow of $15.78 billion. • Funds offered primarily to individuals had an outflow of $3.76 billion. Source: Investment Company Institute, Trends in Mutual Funds Investing. Washington, DC, March 30, 2011.

  11. Trends in the US (continued) • Mutual fund investors in 2010 paid lower average expense ratios in stock funds, but bond fund expense ratios remained unchanged. • The asset-weighted average expense ratio for stock funds fell from 86 basis points in 2009 to 84 basis points in 2010. The asset-weighted average expense ratio for bond funds stayed the same, at 64 basis points. • Stock fund investors on average paid 95 basis points in fees and expenses in 2010. Down 3 basis points from 2009. • Bond fund fees and expense declined by 1 basis point to 72 basis points in 2010. • The average maximum sales load on stock funds was 5.3%, however the average actual sales load was only 1.0% due to load fee discounts on large purchases and fee waivers for purchases in 401(k) plans. • Money market fund fees and expenses fell 7 basis points in 2010, to 26 basis points. Down from 33 basis points in 2009. Source: Investment Company Institute, In 2010, Stock Fund Expense Ratios Dropped; Bond Fund Expense Ratios were Flat. Washington, DC, March 24, 2011.

  12. Trends in the US (continued) • Stock Fund Expense Ratios are related to Stock Fund Assets Source: Investment Company Institute, In 2010, Stock Fund Expense Ratios Dropped; Bond Fund Expense Ratios were Flat. Washington, DC, March 24, 2011.

  13. 12b-1 Fees Proposed Reform • SEC proposed significant changes to the current mutual fund distribution framework, including rescission of Rule 12b-1 under the 1940 Act, in July, 2010 (Release Nos. 33-9128). • SEC proposed new rule 12b-2 which would allow funds to continue to charge limited “marketing and service fees” subject to a 25 basis point annual cap. • The adoption of amendments to Rule 6c-10 to permit funds to deduct an “ongoing sales charge” from fund assets in excess of the marketing and service fee as an alternative to a traditional front-end sales load, but which would be subject to a cumulative fee cap on sales charges.

  14. 12b-1 Fees Proposed Reform (continued) • A substantial reduction in the duties imposed on fund boards by eliminating the requirement for boards to adopt and annually approve distribution plans and make special findings relating to the payment of asset-based distribution fees, • The adoption of rule and form amendments to require enhanced disclosure of sales charges, marketing and service fees and other fees in mutual fund registration statements, shareholder reports, and transaction confirmations, and other documents • The adoption of amendments to Rule 6c-10 that will permit mutual funds to establish classes of shares to sell through broker-dealers that would determine their own sales compensation, rather than simply imposing the sales charges described in the prospectus as required under current law.

  15. 12b-1 Fees Proposed Reform (continued) • Compliance Dates and Transition Period • The SEC contemplates the new rules becoming effective within 60 days of publication of the final rule release, and funds are permitted to rely on the new rules at such time. • The SEC will most likely allow a compliance period after the effective date for funds to come into compliance with the new rules with respect to shares issued after the compliance date. • For shares issued prior to the compliance date, a five-year grandfathering period will most likely apply to allow funds to continue to deduct fees pursuant to Rule 12b-1 as it exists today. New sales would not be permitted in a grandfathered share class after the compliance date, but dividends or other distributions on the grandfathered shares could be reinvested in the same share class.

  16. 12b-1 Fees Proposed Reform (continued) • Compliance Dates and Transition Period • After the five-year period, the grandfathered shares would be required to be converted or exchanged into a class that does not deduct an ongoing sales charge. However, such class could charge a Rule 12b-2 marketing and service fee, except that such marketing and service fee cannot be higher than the Rule 12b-1 fee charged on the grandfathered shares in the most recent fiscal year before the class’s conversion. • Recordkeeping Obligations to Track Fund Shareholders • If adopted, the Proposal would require mutual funds (or their service providers or financial intermediaries) to track the cumulative amount of sales charges that an investor pays on the purchase of fund shares. Similar to the way they handle the administration of monitoring for breakpoint discounts in fund sales loads, mutual funds are likely to push this requirement down to their selling broker-dealers and other financial intermediaries.

  17. Money Market Reforms • SEC Rule 2a-7 and other new rules and amendments to the Investment Company Act of 1940 • Goals: • Tighten the maturity and credit quality standards of money market funds • Impose new liquidity requirements • Effective Date: May 5, 2010

  18. Money Market Reforms • SEC Rule 2a-7 Requirements • Portfolio Quality • Second Tier Securities Limits • Restricting a fund from investing more than 3% of its assets in Second Tier securities, compared with the current limit of 5%. • Restricting a fund from investing more than one-half of 1% of its assets in Second Tier securities issued by any single issuer, compared with the current limit of the greater of 1% or $1 million. • Restricting a fund from buying Second Tier securities that mature in more than 45 days, compared with the current limit of 397 days.

  19. Money Market Reforms • SEC Rule 2a-7 Requirements • Portfolio Quality (continued) • Eligible Securities • Board of Directors are required to designate four or more NRSROs, any one or more of whose short term credit ratings the money market fund would look to in determining whether a security is eligible • At least once each calendar year, that designated NRSRO credit ratings are sufficiently reliable • Money market funds are responsible for identifying designated NRSROs in Form N-MFP • Asset Backed Securities • No longer will there be a requirement to rate asset backed securities at least by one NRSRO in order to be eligible

  20. Money Market Reforms • SEC Rule 2a-7 Requirements • Portfolio Maturity • Weighted Average Maturity (WAM) limits • Reduced from 90 to 60 days • Weighted Average Life (WAL) limits • The new rule restricts WAL to 120 day. Previously there was no limit.

  21. Money Market Reforms • SEC Rule 2a-7 Requirements • Portfolio Liquidity • Daily Liquidity • At minimum 10% of taxable money market fund assets must be in cash, US Treasury securities or securities that convert into cash within one day • Weekly Liquidity • At minimum 30% of all money market fund assets must be in cash, US Treasury securities or other specified government securities with remaining maturities of 60 days or less, or securities that convert into cash within one week.

  22. Money Market Reforms • SEC Rule 2a-7 Requirements • Portfolio Liquidity • Illiquid Securities • Money market funds are restricted from purchasing illiquid securities if, after the purchase, more than 5% of the fund’s portfolio will be illiquid securities which are defined as any security that cannot be sold or disposed of within seven days at carrying value. • Stress Testing • Fund managers are now required to examine the fund’s ability to maintain a stable net asset value (NAV) per share in the event of shocks, such as interest rate changes, higher redemptions and changes in credit quality of the portfolio and report findings to the Fund’s Board.

  23. Money Market Reforms • SEC Rule 2a-7 Requirements • Disclosure Requirements • Portfolio Holdings Disclosure • Money market funds are required to post portfolio holdings on their websites each month and maintain those reports for six months after posting. • Shadow NAV Disclosure • Money market funds are required to report detailed portfolio schedules to the SEC each month using Form N-MFP which includes reporting of a “shadow” NAV, or mark-to-market value of the fund’s net assets, rather than the stable $1.00 NAV at which shareholder transaction occur. This information will be made public by the SEC on a 60-day delay.

  24. Money Market Reforms • SEC Rule 2a-7 Requirements • Processing of Transactions • Money market funds or their transfer agents must have the capacity to redeem and sell at a price based on the current NAV, including shares at prices that do not correspond to a stable NAV

  25. Money Market Reforms • Key compliance dates • May 5, 2010 – Effective date of amendments and new rules • The amendments to rules 2a-7, 17a-9 and 30b1-6T and new rules 22e-3 and 30b1-7 and new Form N-MFP under the Investment Act of 1940. • May 28, 2010 – Portfolio quality, maturity, liquidity and repurchase agreements • Fund portfolios are required to be in compliance with portfolio quality, maturity, liquidity and repurchase agreements. • June 30, 2010 – WAM and WAL limits • Fund portfolios must meet the new maximum WAM and WAL limits. • Oct. 7, 2010 – Website disclosure • The compliance date for public website disclosure.

  26. Money Market Reforms • Key compliance dates (continued) • Dec. 7, 2010 – Reporting to the SEC • All money market funds must begin filling information on Form N-MFP pursuant to rule 30b1-7. • Dec. 31, 2010 – Designation of national recognized statistical rating organizations (NRSROs) • Each fund must disclose the designated NRSROs in its Statement of Additional Information pursuant to amended rule • 2a-7(a)(11)(iii). • Oct. 31, 2011 – Processing of transactions • Funds must comply with the new requirement to be able to process transactions at a price other than $1.00 per • share.

  27. International Trends • DTCC • Membership opened up to non-US regulated fund companies in early 2009 • Multicurrency gross settlement (Euro and Sterling) functionality built, pending SEC approval • Mutual Fund Profile pricing capabilities being expanded to Euro and Sterling in May, 2011 • SWIFT • Focus on promotion of ISO 20022 standard • Expanding use of Alternative Fund messages

  28. International Trends • Europe • UK – Retail Distribution Review • Clarity for consumers • Remuneration agreements that allow competitive forces to work in favor of the consumer • Standards of professionalism that inspires consumer confidence and trust • EU – Key Investor Information Document (KIID) • Replaces simplified prospectus • Standard and harmonized format and presentation • 2 page limit • Local language required • At share class level • No civil liability to KIID if consistent with the prospectus

  29. International Trends • Asia Pac Region • Operational Reform • Processes are largely manual today • Evaluation of various automation tools including SWIFT, DTCC, EuroClear, ClearStream, etc. • New service providers emerging offering a variety of solutions • Regulatory Reform • Currently little consistency between countries • Consideration for a MiFiD passport-type model for region

  30. Conclusion • There are many reforms occurring in the mutual fund industry today • Regulatory • Fee • Operational • Goals include • Transparency • Consumer confidence • More stabile financial markets

  31. Questions & Answers • Thank you for participating SGN Brokerage Services offered in the United States and Canada are provided by SunGard Institutional Brokerage Inc., Member FINRA /SIPC. SGN Brokerage Services offered throughout Europe, the Middle East, Africa and Asia Pacific are provided by SunGard Global Execution Services Limited which is authorised and regulated by the Financial Services Authority, No. 469919 • Incorporated and registered in England and Wales No. 3127109 • Registered Office: 25 Canada Square, London E14 5LQ. SunGard Global Execution Services Limited (AR BN No. 132 508 742) is exempted from licensing under Australia Securities & Investments Commission Class Order 03/1099 and is regulated by the Financial Services Authority under UK laws, which differ from Australian laws.

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