HomeMy WebLinkAboutDocumentation_Pension Public Safety_Tab 09_11/08/2005•
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HANSON~ PERRY $~. JENSEN~ P.A.
4OO EXECUTIVE CENTER DRIVE, SUITE ZO7 -WEST PALM BEACH, FLORIDA 33401-2922
JILL HANSON
mihanson(a~hpilaw.com
ANN H. PERRY
apenv(a?hpilaw.com
BONNISPATARAJENSEN
bsiensen(a~hpilaw.com
MEMO
TO: Board of Trustees
Tequesta General Employees Pension Fund
FROM: Bonni S. Jensen
Fund Legal Counsel
DATE: July 2005
TELEPHONE (561)686-6550
FACSIMILE (561)6$6-Z$QZ
RE: Fiduciary Monitoring of Pension Consultants
You may be aware of recent controversies regarding the role of pension fund
consultants or monitors. For the most part, questions pertain to actual or perceived
conflicts of interest by such consultants. Recently, the Securities and Exchange
Commission (SEC) released a staff report regarding its examination of pension consulting
practices and the disclosure of conflicts of interest.
After the release of the SEC staff report, the SEC and the U.S. Department of Labor
published a set of ten questions for use by plan fiduciaries to assist in evaluating the
objectivity of investment advice being provided by pension consultants.
Attached to this memo are the ten sample questions for consultants recommended
by the SEC and Department of Labor. There are also eleven supplemental questions that
will facilitate additional disclosure.
We are recommending that pension trustees continue to monitor potential conflicts
of interest with all service providers. We further recommend that trustees engage in
meaningful discussion with their pension consultant regarding this topic. Use of the
attached questionnaire enables trustees to prudently exercise your fiduciary duty.
Please add this to your agenda for your next meeting.
• CONSULTANT QUESTIONNAIRE
1. Are you registered with the SEC or a state securities regulator as an investment
adviser? If so, have you provided the Fund with all the disclosures required under
those laws (including Part II of Form ADV)?
2. Do you or a related company have relationships with money managers that you
recommend, consider for recommendation, or otherwise mention to the plan for
consideration? If so, describe those relationships.
3. Do you or a related company receive any payments from money managers you
recommend, consider for recommendation, or otherwise mention to the plan for
consideration? If so, what is the extent of these payments in relation to your other
• income (revenue)?
4. Do you have any policies or procedures to address conflicts of interest or to prevent
these payments or relationships form being considered when you provide advice to
your clients?
5. If you allow plans to pay your consulting fees using the plan's brokerage
commissions, do you monitor the amount of commission paid and alert plans when
consulting fees have been paid in full? If not, how can a plan make sure it does not
over-pay its consulting fees?
HANSON, PERRY ~ ~ENSEN, P.A.
• WEST PALM BEACH, FL 33401-2922
Page -2-
6. If you allow plans to pay your consulting fees using the plan's brokerage
commissions, what steps do you take to ensure that the plan receives best
execution for its securities trades?
7. Do you have any arrangements with broker-dealers under which you or a related
company will benefit if money managers place trades for their clients with such
broker-dealers?
8. If you are hired, will you acknowledge in writing that you have a fiduciary obligations
as an investment adviser to the plan while providing the consulting services we are
seeking?
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9. Do you consider yourself a fiduciary under ERISA with respect to the
recommendations you provide the plan?
10. What percentage of your plan clients utilize money managers, investment funds,
brokerage services or other providers from whom you receive fees?
• HANSON, PERRY & .IENSEN, P.A.
WEST PALM BEACH, FL 33401-2922
Page -3-
• 11. For the last completed calendar year, please list all services provided by your firm,
the nature thereof, and the dollar revenue or percentages of total income that each
service represents. In your response please include the percentage of revenues
both the firm and the ultimate parent company (if applicable) received from the
following sources (total should add to 100%):
Investment consulting services 100%
a. Revenues from investment management organizations
b. Revenues from brokerage activity
c. Revenue from tax exempt institutional investors
d. Revenue from high net worth individuals
e. Revenue from other sources (please specify}
12. Does the firm, its affiliates, or the ultimate parent of the firm act as a securities
broker-dealer or introducing broker for clients?
If yes, please provide the following information about the firm's brokerage activity
• operating policies:
a. Does the firm, its affiliates, or the ultimate parent of the firm accept soft
dollars a method of payment for services provided? Once a client's
consulting fees are paid in full for a given year, how are the additional
commissions allocated?
b. What percentage of commissions are credited to the client or are offset
against consulting fees? What percentage does the firm retain?
c. Does the brokerage operating accept "free trades"? (i.e., trades
unconnected to a commission recapture or directed commission program.)
• HANSON, PERRY & JENSEN, P.A.
WEST PALM BEACH, FL 33401-2922
Page -4-
13. Does the firm, its affiliates, or the ultimate parent of the firm receive revenue, non-
cash in-kind benefits, orsimilar perquisites from investment managers forconsulting
services or business functions provided, including, for example software sold,
attendance at conferences, access to managerdatabases, orfor any other reason?
(Please specify type, source, and amount of revenue or such non-cash in-kind
benefits, or perquisites.)
14. If the firm accepts revenues from investment managers or acts as a securities
broker or introduang broker, please provide the following information about the
firm's operating policies.
a. Is there physical separation between the consulting area and the area(s) with
manager revenue/broker activities? Please describe.
• b. Is there personnel overlap between the consulting area and the area(s)
manager revenue/broker activities?
c. What parties have oversight authority for both the consulting area and the
area(s) with manager revenue/brokerage activities?
d. What fire walls are in place to prevent the personnel and systems of the
consulting area and area(s) with manager revenue/brokerage activities from
sharing information?
15. Does your firm or any affiliates provide investment related products or services to
both pension plan advisory clients and money managers? If so, please describe the
services provided for money managers.
• --
HANSON, PERRY 8 ,IENSEN, P.A.
WEST PALM BEACH, FL 33401-2922
Page -5-
• 16. Is your firm associated with an affiliated broker-dealer? If commission
recapture/soft dollar arrangements are offered, please describe how the program
provides assurances of best execution.
17. Please describe your policies and procedures that ensure that the firm's advisory
activities are insulated from any other business activities.
18. Please describe your policies and procedures that ensure that all discbsures
required to fulfill fiduciary obligations are provided to advisory clients.
19. Please desa-ibe your policies and procedures to prevent/disdose conflicts of
interest with respect to the use of brokerage commissions, gifts, gratuities,
• entertainment, contributions, donations and other emoluments provided to clients
or received from money managers.
20. Please describe any affiliations or business relationships with other pension
consultants, consulting firms, investment management investigation companies or
class action !aw firms.
21. Please provide the names of all institutional dients lost in the past two years
(specify the year for each). Please also provide reasons for such loss.
a. Year 1:
b. Year 2:
• HANSON PERRY
& JENSEN, P.A.
WEST PALM BEACH, FL 33401-2922
Page -6-
• ADDITIONAL INFORMATION
Please provide copies of the following additional informafion:
• Currentfirm policies and operating procedures related to conflicts of interest.
• Most recently filed SEC Form ADV, Parts I and II
• Current firm policies and procedures related to the reporting of compljance
issues to the Board.
• Any documents referred to in your answers set forth above.
•
BSJ/ka
July 6, 2005
H:\Tequesta GE 10121VendorslMonitor\T Quest.wpd
• HANSON, PERRY & ,IENSEN, P.A.
WEST PALM BEACH, FL 33401-2922
Page -7-
OD~.~N ONMU~~~ t/~ ~ ,~~!
simplifying your investment decisions
•
MEMORANDUM
TO: All Trustees
FROM: Joe Bogdahn
RE: SEC / DOL Questionnaire for Pension Consultants
DATE: 10 August, 2005
Attached please find our firm's response to the questionnaire provided in the
Department of Labor and the Securities and Exchange Commission's `Tips for Plan
Fiduciaries' white paper.
As you may note, our responses are quite brief. As an independent firm, we do not
participate, and have not participated, in the practices being investigated by the SEC. I
mention the have not, for we know that many plans have been significantly harmed
through past practices of several consulting firms, who now are scrambling to change
• their methods. Please note that:
• Since the inception of our firm, we have extended a standing invitation to all of
our clients to have their auditors review our financial records and tax returns as
assurance that we do not collect any `hidden' revenues.
• We eschew all forms of soft-dollar payments, as we know that such relationships
cloud objectivity and opens the door for potential conflicts.
• We do not participate in any `pay-to-play' schemes.
• We serve as a fiduciary to our clients without caveat or exception,
We take our responsibilities to our clients very seriously. We enjoy what we do, and are
working hard to create a firm and an environment that we and our families can be proud
of. Please do not hesitate to contact us if you have any questions, or visit
www.stoppa~~,hiddenfees.com for additional resources.
•
340 West Central Avenue • Suite 300 • Winter Haven, Florida 33880
Telephone (863)293-8289 • Facsimile (863) 292-8717
www.bogdahnconsulting.com
DOL /SEC Tips for Plan Fiduciaries
Pension Consultant Questionnaire
1. Are you registered with the SEC or a state securities regulator as an investment adviser? If so, have you
provided the Fund with all the disclosures required under those laws (including Part II of Form ADV)?
Bogdahn Consulting, LLC is a Registered Investment Advisory firm, registered with the Securities
Exchange Commission and the State of Florida. We provide out Form ADV to all clients with our
proposed agreements, and upon request.
2. Do you or a related company have relationships with money managers that you recommend, consider for
recommendation, or otherwise mention to the plan for consideration? if so, describe those relationships.
NO.
3. Do you or a related company receive any payments from money managers you recommend„consider for
recommendation, or otherwise mention to the plan for consideration? If so, what is the extent of these
payments in relation to your other income (revenue)?
NO.
4. Do you have any policies or procedures to address conflicts of interest or to prevent these payments or
relationships from being considered when you provide advice to your clients?
YES.
5. If you allow plans to pay your consulting fees using the plan's brokerage commissions, do you monitor
the amount of commission paid and alert plans when consulting fees have been paid in full? If not, how
can a plan make sure it does not over-pay its consulting fees?
Bogdahn Consulting is compensated in hard dollars only.
6. If you allow plans to pay your consulting fees using the plan's brokerage commissions, what steps do
you take to ensure that the plan receives best execution for its securities trades?
We do not use brokerage commissions and do not accept soft dollar payments. We believe this type of
relationship clouds objectivity and opens the door for potential conflicts.
7. Do you have any arrangements with broker-dealers under which you or a related company will benefit if
money managers place trades for their clients with such broker-dealers?
NO.
8. If you are hired, will you acknowledge in writing that you have a fiduciary obligation as an investment
advisor to the plan while providing the consulting services we are seeking?
Absolutely!
9. Do you consider yourself a fiduciary under ERISA with respect to the recommendations you provide the
plan?
Absolutely!
l0. What percentage of your plan clients utilize money managers, investment funds, brokerage services or
other providers from whom you receive fees?
0%
• I certify that the responses above are true and correct.
Joseph Bogdahn
Chief Compliance Officer