Investment Company Advertising: Target Date Retirement Fund Names and Marketing, 19564-19569 [2014-07869]
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Federal Register / Vol. 79, No. 68 / Wednesday, April 9, 2014 / Proposed Rules
States, Uruguay, and Venezuela. This
definition also includes locations not
listed above that are part of the French
West Indies, Leeward and Windward
Islands, or Leeward Antilles, but this
definition intentionally omits Cuba.
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Dated: April 3, 2014.
Kevin J. Wolf,
Assistant Secretary of Commerce for Export
Administration.
[FR Doc. 2014–07918 Filed 4–8–14; 8:45 am]
BILLING CODE 3510–33–P
Comments may be
submitted by any of the following
methods:
ADDRESSES:
Electronic Comments
• Use the Commission’s Internet
comment form (https://www.sec.gov/
rules/proposed.shtml);
• Send an email to rule-comments@
sec.gov. Please include File No. S7–12–
10 on the subject line; or
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SECURITIES AND EXCHANGE
COMMISSION
• Send paper comments to Secretary,
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17 CFR Parts 230 and 270
[Release Nos. 33–9570; 34–71861; IC–
31004; File No. S7–12–10]
RIN 3235–AK50
Investment Company Advertising:
Target Date Retirement Fund Names
and Marketing
Securities and Exchange
Commission.
ACTION: Proposed rule; request for
additional comment.
AGENCY:
The Securities and Exchange
Commission (‘‘Commission’’) is
reopening the period for public
comment on rule amendments it
proposed in 2010, Investment Company
Advertising: Target Date Retirement
Fund Names and Marketing, Securities
Act Release No. 9126 (June 16, 2010).
Among other things, the proposed
amendments would, if adopted, require
marketing materials for target date
retirement funds (‘‘target date funds’’) to
include a table, chart, or graph depicting
the fund’s asset allocation over time,
i.e., an illustration of the fund’s socalled ‘‘asset allocation glide path.’’ In
2013, the Commission’s Investor
Advisory Committee (‘‘Committee’’)
recommended that the Commission
develop a glide path illustration for
target date funds that is based on a
standardized measure of fund risk as a
replacement for, or supplement to, the
proposed asset allocation glide path
illustration. The Commission is
reopening the comment period to seek
public comment on this
recommendation.
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SUMMARY:
The comment period for the
proposed rule published on June 23,
2010 (75 FR 35919), is reopened.
Comments should be received on or
before June 9, 2014.
DATES:
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All submissions should refer to File
Number S7–12–10. This file number
should be included on the subject line
if email is used. To help us process and
review your comments more efficiently,
please use only one method. The
Commission will post all comments on
the Commission’s Internet Web site
(https://www.sec.gov/rules/
proposed.shtml). Comments are also
available for Web site viewing and
printing in the Commission’s Public
Reference Room, 100 F Street NE.,
Washington, DC 20549, on official
business days between the hours of
10:00 a.m. and 3:00 p.m. All comments
received will be posted without change;
we do not edit personal identifying
information from submissions. You
should submit only information that
you wish to make available publicly.
J.
Matthew DeLesDernier, Senior Counsel,
at (202) 551–6792, Investment Company
Rulemaking Office, Division of
Investment Management, Securities and
Exchange Commission, 100 F Street NE.,
Washington, DC 20549–8549.
FOR FURTHER INFORMATION CONTACT:
The
Commission is reopening the period for
public comment on proposed rule
amendments that are intended to
provide enhanced information to
investors concerning target date funds
and reduce the potential for investors to
be confused or misled regarding these
funds.1 In particular, the Commission is
requesting comment on the
recommendations of the Committee
relating to the development of a riskbased glide path illustration.
SUPPLEMENTARY INFORMATION:
1 Investment Company Advertising: Target Date
Retirement Fund Names and Marketing, Securities
Act Release No. 9126 (June 16, 2010) [75 FR 35920
(June 23, 2010)] (‘‘Proposing Release’’).
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I. Background
A target date fund is designed to make
it easier for investors to hold a
diversified portfolio of assets that is
rebalanced automatically among asset
classes over time without the need for
each investor to rebalance his or her
own portfolio repeatedly, and is
typically intended for investors whose
retirement date is at or about the fund’s
stated target date. Target date funds
generally invest in a diverse mix of asset
classes, including stocks, bonds, and
cash and cash equivalents (such as
money market instruments). As the
target date approaches and often
continuing for a significant period
thereafter, a target date fund shifts its
asset allocation in a manner that
generally is intended to become more
conservative—usually by decreasing the
percentage allocated to stocks. Target
date funds have become more prevalent
in 401(k) plans as a result of the
designation of these funds as a qualified
default investment alternative by the
Department of Labor pursuant to the
Pension Protection Act of 2006.2 In
2013, assets of target date funds
registered with the Commission
exceeded $500 billion, having grown
from about $250 billion at the beginning
of 2010.3
In June 2010, the Commission
proposed rule amendments intended to
provide enhanced information to
investors concerning target date funds
and to reduce the potential for investors
to be confused or misled regarding these
funds. Among other things, the proposal
would, if adopted, amend rule 482 4
under the Securities Act of 1933
(‘‘Securities Act’’) 5 and rule 34b–1 6
under the Investment Company Act of
1940 (‘‘Investment Company Act’’) 7 to
require certain marketing materials for
target date funds to include a table,
chart, or graph depicting the fund’s
asset allocation over time, i.e., an
illustration of the fund’s so-called ‘‘asset
allocation glide path.’’ 8 The proposed
2 See Default Investment Alternatives Under
Participant Directed Individual Account Plans, 72
FR 60452, 60452–53 (Oct. 24, 2007).
3 Morningstar Fund Research, Target Date Series
Research Paper: 2013 Survey, available at https://
corporate.morningstar.com/us/documents/
ResearchPapers/2013TargetDate.pdf (last visited
Feb. 27, 2014).
4 17 CFR 230.482.
5 15 U.S.C. 77a–z–3.
6 17 CFR 270.34b–1.
7 15 U.S.C. 80a.
8 We also proposed amendments to rule 482
under the Securities Act and rule 34b–1 under the
Investment Company Act to require that certain
target date fund marketing materials disclose
information about the risks and considerations that
are important for an investor who is deciding
whether to invest in a target date fund. We
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table, chart, or graph requirement was
intended to ensure that investors who
receive target date fund marketing
materials also receive basic information
about the glide path. In April 2012, we
reopened the rulemaking comment
period and asked for public comment in
light of empirical research undertaken
by a consultant on the Commission’s
behalf relating to individual investors’
understanding of target date funds.9
In April 2013, the Investor Advisory
Committee 10 recommended, among
other things, that the Commission
develop a glide path illustration for
target date funds that is based on a
standardized measure of fund risk as
either a replacement for, or supplement
to, the proposed asset allocation glide
path illustration. The Committee also
recommended that the Commission
adopt a standard methodology or
methodologies to be used in the riskbased glide path illustration.11 The
Committee stated that much of the
differences in risk among target date
funds can be explained by differences in
asset allocation models and glide paths,
but that choices of assets within the
various asset classes and other risk
proposed amendments to these rules to require a
target date fund that includes the target date in its
name to disclose its allocation of assets at the fund’s
target date immediately adjacent to the first use of
the fund’s name in marketing materials. Finally, we
proposed amendments to rule 156 under the
Securities Act to provide more guidance about
statements that could be misleading in marketing
materials for target date funds and other investment
companies. 17 CFR 230.156.
9 Investment Company Advertising: Target Date
Retirement Fund Names and Marketing, Securities
Act Release No. 9309 (Apr. 3, 2012) [77 FR 20749
(Apr. 6, 2012)].
10 Section 911 of the Dodd-Frank Wall Street
Reform and Consumer Protection Act added section
39 to the Securities Exchange Act of 1934, which
establishes the Investor Advisory Committee. The
Committee advises and consults with the
Commission on regulatory priorities, issues, and
initiatives and submits findings and
recommendations to the Commission. 15 U.S.C.
78pp(a). The Commission reviews the findings and
recommendations of the Committee and determines
what action, if any, to take. 15 U.S.C. 78pp(g).
11 Recommendation of the Investor Advisory
Committee: Target Date Mutual Funds (Apr. 11,
2013), available at https://www.sec.gov/spotlight/
investor-advisory-committee-2012/iacrecommendation-target-date-fund.pdf. The
Committee also recommended that the Commission
(i) adopt a standard methodology or methodologies
to be used in the asset allocation glide path
illustration; (ii) require target date fund
prospectuses to disclose and clearly explain the
policies and assumptions used to design and
manage the target date offerings to attain the target
risk level over the life of the fund; (iii) consider
testing various approaches to providing disclosure
that a target date fund is not guaranteed in order
to determine the most effective approach and then
mandate that approach; and (iv) amend the fee
disclosure requirements for target date funds to
provide better information about the likely impact
of fund fees on total accumulations over the
expected holding period of the investment. Id.
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management practices can also have a
significant impact on fund risk levels.
The Committee also stated that asset
allocation may mask significant
differences in the risk levels of funds
with apparently similar or even
identical asset allocation glide paths,
particularly when the asset classes are
defined broadly. The Committee
therefore opined that a glide path
illustration based on an appropriate,
standardized measure of fund risk
would be more accurate than an
illustration based on asset allocation
alone. The Committee suggested that, to
promote comparability, risk-based
illustrations should be based on a
standardized measure of risk. The
Committee did not recommend a
particular risk measure or methodology
for a risk-based glide path for target date
funds, but suggested that the
Commission focus on factors such as
volatility of returns or maximum
exposure to loss, which the Committee
stated are directly relevant to the
primary concerns of those approaching
retirement.
II. Request for Comment
The Commission has decided to
reopen the comment period to address
the Committee’s recommendation that
the Commission develop a risk-based
glide path illustration for target date
funds. We also invite additional
comment on any other aspect of the
recommendations and accompanying
material submitted by the Committee,
on our proposal, and on any other
matters that may have an effect on the
proposal.
In our target date fund proposal, we
asked for comment on whether the
proposed disclosure requirements
would adequately convey the risks
associated with a target date fund. For
example, we asked if the proposed
disclosure of asset allocation would
effectively convey the level of a fund’s
investment risk to investors, and if the
emphasis on asset allocation might
cause investors to prioritize investment
risk over longevity risk, inflation risk, or
other risks.12 We also asked whether
fund managers might take on more risk
than the asset allocation would reflect.13
We also sought comment on whether
the rule should require disclosure of a
12 Proposing
Release, supra note 1, at 35926–27.
13 Id. at 35927 (‘‘Would a fund manager’s
investment strategy, portfolio construction,
selection of asset categories disclosed, and
marketing change as a result of the proposal’s
required disclosure of target date (or current) asset
allocation? For example, might fund managers
compose the fund’s fixed-income allocation
differently to take on additional investment risk, in
order to seek higher returns, while showing a lower
equity allocation at or after the target date?’’).
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risk rating based on a scale or index that
could be compared to other target date
funds.14
The comments that we received on
this issue, however, were limited. Some
commenters suggested alternative
approaches to the glide path illustration
that would require a risk-based
illustration, rather than an illustration of
the fund’s changing investments in asset
classes over time. For example,
commenters recommended that we
require: (i) Portfolio risk-related
information, data, or graphs along with
asset allocation information; 15 (ii) the
planned risk level in the glide path
disclosure, for example, by presenting
the planned standard deviation of
returns over the life of the fund; 16 (iii)
a color- and number-coded risk
spectrum showing a fund’s position
relative to an appropriate target date
fund index; 17 or (iv) whether the fund
reflects aggressive, moderate, or
conservative risk characteristics, based
on certain benchmarks.18 Another
commenter expressed skepticism about
the feasibility of establishing a
standardized risk rating for target date
funds, and stated that developing such
a rating would be ‘‘an enormous
undertaking with questionable benefit
that is significantly beyond the scope’’
of the rulemaking.19
Because of the limited nature of the
comments received, and in light of the
Committee’s recommendation, we
believe further comment in this area
would be helpful. As set out further
below, we request comment on whether
we should develop a glide path
illustration for target date funds that is
based on a standardized measure of risk
as either a replacement for, or
supplement to, our proposed asset
allocation glide path. We ask that any
comment provide specific examples and
available data in support of the
comment.
Management of Target Date Funds
According to Risk. We request comment
on the degree to which managers of
target date funds use measures of risk as
part of their investment strategy.
• Are target date fund strategies
primarily based on a changing target
risk level or a changing target asset
14 Id.
at 35928.
Comment Letter of Chao & Company, Ltd.
(July 6, 2012).
16 See Comment Letter of Foliofn Investments Inc.
(Mar. 28, 2011); Comment Letter of Foliofn
Investments Inc. (May 21, 2012).
17 See Comment Letter of Wells Fargo (May 21,
2012).
18 See Comment Letter of SST Benefits Consulting
(Apr. 9, 2012).
19 See Comment Letter of the Investment
Company Institute (Aug. 23, 2010).
15 See
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allocation over time, or some
combination of these approaches? If
target risk levels are used, what risk
measures are generally employed?
• Do managers instead first set an
asset allocation strategy and then
monitor the risks that follow from the
asset allocation? If so, what risk
measures do they generally monitor?
• Are there other ways in which
target date fund managers use risk
measures? If so, please describe those
ways and the particular risk measures
used.
Usefulness and Understandability of
Risk Measures. We request comment on
whether there are quantitative measures
of risk that would be useful to and
understandable by investors as the basis
for a target date fund risk-based glide
path illustration.20 We note that there
are a variety of quantitative measures of
risk used in the financial services
industry. Some target date funds already
provide quantitative risk measures in
certain materials on a historical basis.21
For example, the risk associated with a
portfolio can be captured by the
variability of its returns, measured by
20 In 1995, the Commission issued a release
requesting comment on how to improve risk
disclosure for investment companies, including
ways to increase the comparability of fund risk
levels. Improving Descriptions of Risk by Mutual
Funds and Other Investment Companies,
Investment Company Act Release No. 20974 (Mar.
29, 1995) [60 FR 17172 (Apr. 4, 1995)] (‘‘Risk
Concept Release’’). In particular, the Risk Concept
Release requested comment on whether quantitative
risk measures—such as standard deviation, beta,
and duration—would help investors evaluate and
compare fund risks. We received over 3,700
comment letters, mostly from individual investors.
Commenters confirmed the importance of risk
disclosure to investors when evaluating and
comparing funds and highlighted the need to
improve risk disclosures in fund prospectuses.
Although more than half of the individual
commenters and some industry members expressed
a desire for some form of quantitative risk
information, commenters did not broadly support
any one risk measure, and the Commission
acknowledged that investors have a wide range of
ideas of what ‘‘risk’’ means. See Registration Form
Used by Open-End Management Investment
Companies, Investment Company Release No.
23064 (Mar. 13, 1998) [63 FR 13916, 13929 (Mar.
23, 1998)] (‘‘Registration Form Adopting Release’’).
In 1997, the Commission proposed a requirement
that a fund’s prospectus include a bar chart
showing the fund’s annual returns for 10 calendar
years, noting that over 75% of individual investors
responding to the Risk Concept Release favored a
bar chart presentation of fund risks. See
Registration Form Used by Open-End Management
Investment Companies, Investment Company Act
Release No. 22528 (Feb. 27, 1997) [62 FR 10898,
10904 (Mar. 10, 1997)]. The Commission
subsequently adopted the bar chart requirement,
which was intended to illustrate graphically the
variability of a fund’s returns and thus provide
investors with some idea of the risk of an
investment in the fund. See Registration Form
Adopting Release, at 13922.
21 Based on a staff review of target date fund
marketing materials.
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the standard deviation 22 (or volatility)
or semi-variance of those returns.23 Both
of these risk measures are ‘‘total risk
measures’’ that quantify the total
variability of a portfolio’s returns
around, or below, its average return.
Another risk measure is ‘‘beta,’’ which
specifically measures the sensitivity of
the portfolio’s return to the market’s
return. The market’s beta is by
definition equal to 1. Portfolios with
betas greater than 1 tend to move more
than one-for-one with the market’s
return, and portfolios with betas less
than 1 tend to move less than one-forone with the market’s return.
Determination of a fund’s beta requires
the selection of a benchmark market
index to which one compares the
portfolio’s returns.
• Is there a particular quantitative
risk measure, or group of risk measures,
that are helpful in evaluating the risks
of target date funds? Would fund
investors be likely to understand these
risk measures and be able to effectively
use them in making investment
decisions?
• The Committee recommended that
the Commission, in determining an
appropriate risk measure, focus on
factors such as maximum exposure to
loss or volatility of returns that are
directly relevant to the primary
concerns of those approaching
retirement. Do commenters agree with
this approach? If so, what are the
primary concerns of those approaching
retirement and what specific measures
of risk would be directly relevant to
those concerns? Are there other risk
factors that are relevant to target date
fund investors, including longevity risk
and inflation risk? In determining an
appropriate measure of risk, how should
various aspects of risk be considered?
How should concerns of investors at
different points in the cycle of
accumulating and distributing
retirement assets be addressed?
• If we require disclosure of a risk
measure, should we require such
disclosure at only a single point in time,
such as the target date, or should we
require disclosure of the measure at
22 See, e.g., Morningstar Investing Glossary:
Standard Deviation, Morningstar, https://
www.morningstar.com/InvGlossary/standard_
deviation.aspx (last visited Jan. 17, 2014)
(‘‘Investors use the standard deviation of historical
performance to try to predict the range of returns
that are most likely for a given fund. When a fund
has a high standard deviation, the predicted range
of performance is wide, implying greater
volatility.’’).
23 Standard deviation measures both ‘‘good’’ and
‘‘bad’’ outcomes, i.e., the variability of returns both
above and below the average return. Semi-variance,
which can be used to measure the variability of
returns below the average return, reflects a view of
risk as synonymous with ‘‘bad’’ outcomes.
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multiple points over the life of the fund?
If the latter, which specific points over
the life of the fund?
• Should a target date fund be
required to disclose the same measure
or measures that the fund’s manager
uses to guide its management of the
fund, or would other measures be more
appropriate?
• Should the risk measure reflect the
variance, or volatility, in returns around
the fund’s average return? Should the
measure, instead, reflect the sensitivity
of the portfolio’s return to the market’s
return? Or should some other type of
risk measure be used? Should these risk
measures reflect the characteristics of
nominal returns or real returns, which
account for the effect of inflation?
Illustration of Risk Measures. We
request comment on whether the
Commission should develop a glide
path illustration for target date funds
that is based on a standardized measure
of fund risk as either a replacement for,
or supplement to, its proposed asset
allocation glide path illustration and
adopt a standard methodology or
methodologies to be used in the riskbased glide path illustration.
• Should the rules require a glide
path illustration for target date funds
that is based on a standardized measure
of fund risk as either a replacement for,
or supplement to, the proposed asset
allocation glide path illustration? Would
the inclusion of two glide path
illustrations in the same document tend
to confuse investors, and, if so, how
could the information be presented in a
way that would minimize any
confusion?
• Would the proposed asset
allocation glide path illustration,
without a risk-based glide path
illustration, adequately convey risk
information to investors? If not, would
an asset allocation glide path
illustration alone adequately convey
risk information if we specify the
particular asset categories required to be
shown? If so, how narrow should those
asset categories be, and what particular
asset categories should we specify?
Could risk information be adequately
conveyed to investors using narrative
disclosures in lieu of a glide path
illustration?
• What are the advantages and
disadvantages of asset allocation glide
paths and risk-based glide paths relative
to each other? If the rules should require
a risk-based glide path, what risk
measure(s) should be prescribed and
how should the risk measures be
presented? Please provide specific
examples.
• Should a risk-based glide path
illustration be required for all target date
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funds, regardless of a fund’s investment
objective or strategies? Should a riskbased glide path illustration instead be
required only for target date funds with
an investment objective or strategy of
managing to a target risk level?
• Should a risk-based glide path
illustration be backward-looking
(showing past actual risk measures of a
target date fund or group of target date
funds) or forward-looking (showing
projected risk targets for a target date
fund or family of target date funds)?
Commenters are asked to address, with
specificity, how each of these
approaches could be applied to a single
target date fund or group of target date
funds. What are the advantages and
disadvantages of each approach, e.g.,
ease of construction, understandability,
or potential to confuse or mislead?
• If we require a risk-based glide path
illustration, should we prescribe the
format of the risk-based glide path
illustration in order to enhance
comparability for investors? For
example, would one form (e.g., graph)
be more easily understandable by
investors than another (e.g., table)?
• If we require a risk-based glide path
illustration, should we require it to be
prominent within the materials where it
is included? Are there other
presentation requirements that would be
more appropriate?
• Should there be differences in
requirements for marketing materials
that relate to a single target date fund,
as compared with those that relate to
multiple target date funds? Should a
risk-based glide path illustration for a
single target date fund be required to
show the fund’s actual historical risk
levels? Would the use of actual
historical risk levels be helpful or
confusing to investors in cases where a
fund has changed its previous glide
path? Should the risk-based glide path
illustration for a single target date fund
instead be permitted to show the current
glide path that is common to all target
date funds in a fund family? Would it
be misleading for marketing materials
for a single target date fund to omit the
fund’s historical risk levels?
• Should the risk-based glide path
illustration for a single target date fund
be required to clearly depict the current
risk level? Should we require the risk
level as of the most recent calendar
quarter ended prior to the submission of
the marketing materials for publication?
Are there any circumstances where we
should permit the risk-based glide path
illustration for a single target date fund
to exclude risk levels for past periods?
If we permit a single target date fund to
exclude past risk levels in any
circumstances, should we nonetheless
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prohibit a fund from excluding past risk
levels if the marketing materials contain
past performance information for the
fund? Are past risk levels helpful to
allow an investor to assess the
performance of the target date fund
relative to the risk taken? Would
disclosure of past performance
information without disclosure of past
risk levels confuse or mislead investors?
• What is the appropriate maximum
interval for depicting a fund’s risk level
over time? Is the maximum five-year
interval that we proposed for an asset
allocation glide path appropriate?
Should it be shorter (e.g., 1 year or 3
years) or longer (e.g., 10, 15, or 20
years)? Are there any periods for which
intervals of shorter duration should be
shown? For example, should the riskbased glide path illustration depict the
five years before the target date and/or
landing point (i.e., the date at which the
asset allocation becomes static) using
one-year intervals? Is it necessary to
require any particular interval? Is it
appropriate to require risk levels at the
fund’s inception, target date, and
landing point?
• Would a required explanatory
statement preceding or accompanying
the risk-based glide path illustration be
helpful to investors? What information
would be necessary? Should we
prescribe the particular content of the
statement? Should any of the following
information be required in an
explanatory statement: (i) The
investment risk level changes over time;
(ii) the landing point; (iii) an
explanation that the investment risk
level becomes fixed at the landing point
and the projected risk level at the
landing point; (iv) whether, and the
extent to which, the intended risk levels
may be modified without a shareholder
vote; and (v) an explanation of risks that
are not captured by the illustration?
Should the statement be required to use
particular language? Should any
particular presentation requirements,
such as font size or style, apply to the
statement that is required to accompany
the risk-based glide path illustration?
• Should radio and television
advertisements be required to include
information about a target date fund’s
risk-based glide path? What information
should be required to be included in
radio and television advertisements? For
example, is there a means of effectively
communicating information comparable
to that contained in a risk-based glide
path illustration in radio or television
advertisements?
• Should information about a target
date fund’s risk-based glide path be
required in marketing materials that are
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19567
submitted for use on or after the landing
point?
• Are there alternative presentations
of risk-based measures that would be
more helpful to target date fund
investors than a risk-based glide path?
For example, would it be more helpful
to require disclosure of risk measure
targets at particular points in time (e.g.,
target date, landing point) rather than
requiring an illustration over the whole
life of a target date fund? If so, which
points in time would be most important
to investors? Should the measures, for
example, focus on the target date,
landing point, and/or the time period
within 5 to 10 years before and after the
target date?
Placement of Risk-Based Glide Path
Illustration. We request comment on the
materials, if any, in which a risk-based
glide path illustration for target date
funds should be included.
• Are marketing materials for target
date funds an appropriate location for
inclusion of a risk-based glide path
illustration or other information about
risk measures? Should illustrations
instead be part of the mandated
disclosures in a fund’s summary
prospectus, statutory prospectus,
statement of additional information,
shareholder reports, or other reports to
the Commission?
Calculation of Risk Measures. We
request comment on whether required
risk measures, if adopted in final rules,
should be based on a standardized
methodology or methodologies
developed by the Commission.
• Should we try to enhance
comparability among target date funds
by prescribing a standardized
methodology for computing a fund’s
historical and/or projected risk levels?
• What are the parameters and
assumptions that the Commission
would need to specify in order to
prescribe a standardized methodology,
e.g., the measures to be used,
benchmarks, time periods over which
calculated?
• For risk measures that are
calculated using a benchmark index
(e.g., beta), what issues, if any, are
associated with the selection of an
appropriate benchmark? Do any
quantitative risk measures rely on
assumptions, other than a benchmark,
that could lead to lack of
standardization if not specified by the
Commission? Can quantitative risk
measures be manipulated, and how do
the various measures differ in their
susceptibility to manipulation? How can
the potential for such manipulation be
reduced or eliminated?
• Should the risk measures reflect the
target date fund’s predictions about
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future risk or goals related to future
risk? In what manner should these risk
measures incorporate historical data
from a particular target date fund or
group of target date funds? To what
extent can historical data predict future
risk?
• If a forward-looking risk measure is
used, should the risk measure be
calculated using portfolio-based
computation, which calculates a
portfolio risk measure at each point in
time based on the historical behavior of
the securities or asset classes that the
portfolio is expected to include at that
point in time? Should the risk measure
instead be a risk objective or target? Do
the merits of each approach differ
among funds or groups of funds with
significant operating histories, new
funds, and/or funds that have flexibility
to change their risk-based glide paths?
• If a standard based on historical risk
characteristics were adopted, what
requirements should be imposed on
funds with a short operating history?
• Persons submitting comments are
also asked to describe as specifically as
possible the computation method they
would recommend for any quantitative
risk measure they favor. For example,
persons favoring standard deviation
should specify whether monthly
returns, quarterly returns, or returns
over some other period should be used.
As another example, persons favoring
beta should describe the benchmark or
benchmarks that should be used.
Persons submitting comments are also
asked to discuss the benefits and
limitations associated with their
recommended method of computation.
Impact on Investors. We request
comment on the impact that disclosure
of risk measures and risk-based glide
paths would have on investors.
• Would investors in target date
funds be likely to understand risk
measures, or any related illustrations
based on those measures? What means
could be used to present risk measures
for target date funds in a way that would
be understandable to investors? Could
investors interpret risk-based
illustrations as predicting the future
returns of the fund? Can future risk
levels of a target date fund be projected
in a manner that is likely to be accurate?
Could the use of projected or target risk
measures be misleading and, if so,
under what circumstances?
• Would investors be confused if a
measure of risk is characterized as
‘‘risk’’? Should the disclosure of risk
measures use the term ‘‘risk,’’ or some
other term such as volatility, variance,
or variability? Should the terminology
distinguish investment risk from other
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risks, e.g., inflation risk or longevity
risk?
• How would investor behavior be
affected by disclosure of a particular
risk measure? Could disclosure of risk
measures influence investors to choose
investments that better align with their
individual investment objective or
could it reduce alignment between
investment objectives and investor
behavior? For example, could disclosure
of risk measures influence investors to
choose lower or higher risk investments
than would be consistent with their
goals for accumulating retirement
assets? Commenters are asked to
provide their views and any supporting
data about the impact of risk measures
on investor behavior.
• One potential effect of risk
disclosures may be to cause investors or
fund managers to place too much
importance on the prospect of
investment loss. This effect could
potentially be offset by
counterbalancing information on the
prospect of investment gains. To what
extent should investors receive
information on future expected returns
on investment to accompany
information on risk? Would investors
understand what the information would
portray? Would such information cause
investors to believe that the expected
returns imply some level of guarantee or
projection of future performance? How
should this expected return be
computed if it is required? If investors
are to receive this information, how best
should it be disclosed or presented?
Should expected return information be
provided as a statistic separate from risk
measures or integrated with risk
measures as with a confidence interval
for returns?
• Would forward-looking disclosures
such as projected future volatility (or
other risk measures) or expected returns
give rise to potential liability concerns?
If so, what relief would be necessary to
allow funds to provide such
disclosures?
• To what extent might special
emphasis on investment risk level or
asset allocation cause investors to
prioritize investment risk at a particular
moment in time over longevity risk,
inflation risk, or other risks? Should we
require additional disclosure to focus
investor attention on inflation risks and
longevity risks? Are there useful
measures of risk that reflect longevity
and inflation risk as well as investment
risk?
Effects on Portfolio Management. We
recognize that required disclosures may
affect the management of a fund, such
as by causing a fund to adopt
investment strategies that result in
PO 00000
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Fmt 4702
Sfmt 4702
disclosure that could be perceived more
favorably by investors.
• Comments are requested regarding
whether, and how, disclosure of a
quantitative risk measure or risk-based
glide path for target date funds might
influence portfolio management. What
would be the associated benefits and
detriments? For example, might
disclosure of a risk measure by target
date funds cause those funds to become
more conservative either throughout
their glide paths or at certain points on
the glide path? If so, how would this
affect investors, including investors who
are accumulating assets for retirement?
Commenters are asked to provide data
about the impact of risk measures on
portfolio management decisions.
Benefits and Costs. We request
comment on the benefits and costs of
possible risk disclosure requirements.
• What would be the benefits and
costs of requiring a glide path
illustration for target date funds that is
based on a standardized measure of
fund risk as either a replacement for, or
supplement to, our proposed asset
allocation glide path illustration and
adopting a standard methodology or
methodologies to be used in the riskbased glide path illustration? What
effects would such a requirement have
on efficiency, competition, and capital
formation? For instance, would such
disclosure increase allocative efficiency
by increasing the transparency of the
underlying risks of target date investing?
Would it have an effect on competition
among target date funds or between
target date funds and other types of
investment options? Commenters are
requested to provide empirical data and
other factual support for their views to
the extent possible.
• If we were to require disclosure of
a risk-based glide illustration, what
changes in behavior by either investors
or target date fund managers may result,
and what would be the associated
benefits and costs?
• To what extent do target date fund
managers already undertake risk
analysis in the course of prudent risk
management? Do target date funds
already calculate the types of risk
measures discussed above? If so, how
and in what form? Is there an industry
standard for calculation of risk
measures, and, if so, what is it?
• If a target date fund does not
already calculate the risk measures
discussed above, what would the
costs—such as programming costs—of
calculating such measures be?
• How would the costs and the effects
on efficiency, competition, and capital
formation of requiring disclosure of a
risk-based glide path compare with the
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Federal Register / Vol. 79, No. 68 / Wednesday, April 9, 2014 / Proposed Rules
costs and effects of the proposed
requirements? For example, would a
risk-based glide path enhance
comparability across different target
date funds?
Dated: April 3, 2014.
By the Commission.
Kevin M. O’Neill,
Deputy Secretary.
[FR Doc. 2014–07869 Filed 4–8–14; 8:45 am]
BILLING CODE 8011–01–P
DEPARTMENT OF HOMELAND
SECURITY
Coast Guard
33 CFR Part 147
[Docket Number USCG–2013–0874]
RIN 1625–AA00
Safety Zones, Facilities on the Outer
Continental Shelf in the Gulf of Mexico
Coast Guard, DHS.
ACTION: Notice of Proposed Rulemaking.
AGENCY:
The Coast Guard proposes to
establish safety zones around four
Chevron North America (Chevron)
facilities located on the Outer
Continental Shelf (OCS) in the Gulf of
Mexico. The facilities are as follows:
The Jack & St Malo Semi-Sub Facility
located in Walker Ridge Block 718; The
Petronius Compliant Tower Facility
located in Viosca Knoll Block 786; The
Blind Faith Semi-Sub Facility located in
Mississippi Canyon Block 650; and The
Tahiti SPAR Facility located in Green
Canyon Block 641.
The purpose of these safety zones is
to protect each facility from vessels
operating outside the normal shipping
channels and fairways. Placing a safety
zone around each facility will
significantly reduce the threat of
allisions, oil spills, and releases of
natural gas, and thereby protect the
safety of life, property, and the
environment.
SUMMARY:
Comments and related material
must be received by the Coast Guard on
or before May 9, 2014.
ADDRESSES: You may submit comments
identified by docket number USCG–
2013–0874 using any one of the
following methods:
(1) Federal eRulemaking Portal:
https://www.regulations.gov.
(2) Fax: 202–493–2251.
(3) Mail or Delivery: Docket
Management Facility (M–30), U.S.
Department of Transportation, West
Building Ground Floor, Room W12–140,
1200 New Jersey Avenue SE.,
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DATES:
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Washington, DC 20590–0001. Deliveries
accepted between 9 a.m. and 5 p.m.,
Monday through Friday, except federal
holidays. The telephone number is 202–
366–9329. See the ‘‘Public Participation
and Request for Comments’’ portion of
the SUPPLEMENTARY INFORMATION section
below for further instructions on
submitting comments. To avoid
duplication, please use only one of
these three methods.
FOR FURTHER INFORMATION CONTACT: If
you have questions on this proposed
rule, call or email Mr. Rusty Wright,
U.S. Coast Guard, District Eight
Waterways Management Branch;
telephone 504–671–2138,
rusty.h.wright@uscg.mil. If you have
questions on viewing or submitting
material to the docket, call Cheryl F.
Collins, Program Manager, Docket
Operations, telephone (202) 366–9826.
SUPPLEMENTARY INFORMATION:
Table of Acronyms
DHS Department of Homeland Security
USCG United States Coast Guard
FR Federal Register
NPRM Notice of Proposed Rulemaking
OCS Outer Continental Shelf
A. Public Participation and Request for
Comments
We encourage you to participate in
this rulemaking by submitting
comments and related materials. All
comments received will be posted
without change to https://
www.regulations.gov and will include
any personal information you have
provided.
1. Submitting Comments
If you submit a comment, please
include the docket number for this
rulemaking, indicate the specific section
of this document to which each
comment applies, and provide a reason
for each suggestion or recommendation.
You may submit your comments and
material online at https://
www.regulations.gov, or by fax, mail, or
hand delivery, but please use only one
of these means. If you submit a
comment online, it will be considered
received by the Coast Guard when you
successfully transmit the comment. If
you fax, hand deliver, or mail your
comment, it will be considered as
having been received by the Coast
Guard when it is received at the Docket
Management Facility. We recommend
that you include your name and a
mailing address, an email address, or a
telephone number in the body of your
document so that we can contact you if
we have questions regarding your
submission.
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19569
To submit your comment online, go to
https://www.regulations.gov, type the
docket number [USCG–2013–0874] in
the ‘‘SEARCH’’ box and click
‘‘SEARCH.’’ Click on ‘‘Submit a
Comment’’ on the line associated with
this rulemaking.
If you submit your comments by mail
or hand delivery, submit them in an
unbound format, no larger than 81⁄2 by
11 inches, suitable for copying and
electronic filing. If you submit
comments by mail and would like to
know that they reached the Facility,
please enclose a stamped, self-addressed
postcard or envelope. We will consider
all comments and material received
during the comment period and may
change the rule based on your
comments.
2. Viewing Comments and Documents
To view comments, as well as
documents mentioned in this preamble
as being available in the docket, go to
https://www.regulations.gov, type the
docket number (USCG–2013–0874) in
the ‘‘SEARCH’’ box and click
‘‘SEARCH.’’ Click on Open Docket
Folder on the line associated with this
rulemaking. You may also visit the
Docket Management Facility in Room
W12–140 on the ground floor of the
Department of Transportation West
Building, 1200 New Jersey Avenue SE.,
Washington, DC 20590, between 9 a.m.
and 5 p.m., Monday through Friday,
except Federal holidays.
3. Privacy Act
Anyone can search the electronic
form of comments received into any of
our dockets by the name of the
individual submitting the comment (or
signing the comment, if submitted on
behalf of an association, business, labor
union, etc.). You may review a Privacy
Act notice regarding our public dockets
in the January 17, 2008, issue of the
Federal Register (73 FR 3316).
4. Public Meeting
We do not now plan to hold a public
meeting. But you may submit a request
for one, using one of the methods
specified under ADDRESSES. Please
explain why you believe a public
meeting would be beneficial. If we
determine that one would aid this
rulemaking, we will hold one at a time
and place announced by a later notice
in the Federal Register.
B. Basis and Purpose
Under the authority provided in 14
U.S.C. 85, 43 U.S.C. 1333, and
Department of Homeland Security
Delegation No. 0170.1, Title 33, CFR
Part 147 permits the establishment of
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Agencies
[Federal Register Volume 79, Number 68 (Wednesday, April 9, 2014)]
[Proposed Rules]
[Pages 19564-19569]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 2014-07869]
=======================================================================
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SECURITIES AND EXCHANGE COMMISSION
17 CFR Parts 230 and 270
[Release Nos. 33-9570; 34-71861; IC-31004; File No. S7-12-10]
RIN 3235-AK50
Investment Company Advertising: Target Date Retirement Fund Names
and Marketing
AGENCY: Securities and Exchange Commission.
ACTION: Proposed rule; request for additional comment.
-----------------------------------------------------------------------
SUMMARY: The Securities and Exchange Commission (``Commission'') is
reopening the period for public comment on rule amendments it proposed
in 2010, Investment Company Advertising: Target Date Retirement Fund
Names and Marketing, Securities Act Release No. 9126 (June 16, 2010).
Among other things, the proposed amendments would, if adopted, require
marketing materials for target date retirement funds (``target date
funds'') to include a table, chart, or graph depicting the fund's asset
allocation over time, i.e., an illustration of the fund's so-called
``asset allocation glide path.'' In 2013, the Commission's Investor
Advisory Committee (``Committee'') recommended that the Commission
develop a glide path illustration for target date funds that is based
on a standardized measure of fund risk as a replacement for, or
supplement to, the proposed asset allocation glide path illustration.
The Commission is reopening the comment period to seek public comment
on this recommendation.
DATES: The comment period for the proposed rule published on June 23,
2010 (75 FR 35919), is reopened. Comments should be received on or
before June 9, 2014.
ADDRESSES: Comments may be submitted by any of the following methods:
Electronic Comments
Use the Commission's Internet comment form (https://www.sec.gov/rules/proposed.shtml);
Send an email to rule-comments@sec.gov. Please include
File No. S7-12-10 on the subject line; or
Use the Federal eRulemaking Portal (https://www.regulations.gov). Follow the instructions for submitting comments.
Paper Comments
Send paper comments to Secretary, Securities and Exchange
Commission, 100 F Street NE., Washington, DC 20549-1090.
All submissions should refer to File Number S7-12-10. This file number
should be included on the subject line if email is used. To help us
process and review your comments more efficiently, please use only one
method. The Commission will post all comments on the Commission's
Internet Web site (https://www.sec.gov/rules/proposed.shtml). Comments
are also available for Web site viewing and printing in the
Commission's Public Reference Room, 100 F Street NE., Washington, DC
20549, on official business days between the hours of 10:00 a.m. and
3:00 p.m. All comments received will be posted without change; we do
not edit personal identifying information from submissions. You should
submit only information that you wish to make available publicly.
FOR FURTHER INFORMATION CONTACT: J. Matthew DeLesDernier, Senior
Counsel, at (202) 551-6792, Investment Company Rulemaking Office,
Division of Investment Management, Securities and Exchange Commission,
100 F Street NE., Washington, DC 20549-8549.
SUPPLEMENTARY INFORMATION: The Commission is reopening the period for
public comment on proposed rule amendments that are intended to provide
enhanced information to investors concerning target date funds and
reduce the potential for investors to be confused or misled regarding
these funds.\1\ In particular, the Commission is requesting comment on
the recommendations of the Committee relating to the development of a
risk-based glide path illustration.
---------------------------------------------------------------------------
\1\ Investment Company Advertising: Target Date Retirement Fund
Names and Marketing, Securities Act Release No. 9126 (June 16, 2010)
[75 FR 35920 (June 23, 2010)] (``Proposing Release'').
---------------------------------------------------------------------------
I. Background
A target date fund is designed to make it easier for investors to
hold a diversified portfolio of assets that is rebalanced automatically
among asset classes over time without the need for each investor to
rebalance his or her own portfolio repeatedly, and is typically
intended for investors whose retirement date is at or about the fund's
stated target date. Target date funds generally invest in a diverse mix
of asset classes, including stocks, bonds, and cash and cash
equivalents (such as money market instruments). As the target date
approaches and often continuing for a significant period thereafter, a
target date fund shifts its asset allocation in a manner that generally
is intended to become more conservative--usually by decreasing the
percentage allocated to stocks. Target date funds have become more
prevalent in 401(k) plans as a result of the designation of these funds
as a qualified default investment alternative by the Department of
Labor pursuant to the Pension Protection Act of 2006.\2\ In 2013,
assets of target date funds registered with the Commission exceeded
$500 billion, having grown from about $250 billion at the beginning of
2010.\3\
---------------------------------------------------------------------------
\2\ See Default Investment Alternatives Under Participant
Directed Individual Account Plans, 72 FR 60452, 60452-53 (Oct. 24,
2007).
\3\ Morningstar Fund Research, Target Date Series Research
Paper: 2013 Survey, available at https://corporate.morningstar.com/us/documents/ResearchPapers/2013TargetDate.pdf (last visited Feb.
27, 2014).
---------------------------------------------------------------------------
In June 2010, the Commission proposed rule amendments intended to
provide enhanced information to investors concerning target date funds
and to reduce the potential for investors to be confused or misled
regarding these funds. Among other things, the proposal would, if
adopted, amend rule 482 \4\ under the Securities Act of 1933
(``Securities Act'') \5\ and rule 34b-1 \6\ under the Investment
Company Act of 1940 (``Investment Company Act'') \7\ to require certain
marketing materials for target date funds to include a table, chart, or
graph depicting the fund's asset allocation over time, i.e., an
illustration of the fund's so-called ``asset allocation glide path.''
\8\ The proposed
[[Page 19565]]
table, chart, or graph requirement was intended to ensure that
investors who receive target date fund marketing materials also receive
basic information about the glide path. In April 2012, we reopened the
rulemaking comment period and asked for public comment in light of
empirical research undertaken by a consultant on the Commission's
behalf relating to individual investors' understanding of target date
funds.\9\
---------------------------------------------------------------------------
\4\ 17 CFR 230.482.
\5\ 15 U.S.C. 77a-z-3.
\6\ 17 CFR 270.34b-1.
\7\ 15 U.S.C. 80a.
\8\ We also proposed amendments to rule 482 under the Securities
Act and rule 34b-1 under the Investment Company Act to require that
certain target date fund marketing materials disclose information
about the risks and considerations that are important for an
investor who is deciding whether to invest in a target date fund. We
proposed amendments to these rules to require a target date fund
that includes the target date in its name to disclose its allocation
of assets at the fund's target date immediately adjacent to the
first use of the fund's name in marketing materials. Finally, we
proposed amendments to rule 156 under the Securities Act to provide
more guidance about statements that could be misleading in marketing
materials for target date funds and other investment companies. 17
CFR 230.156.
\9\ Investment Company Advertising: Target Date Retirement Fund
Names and Marketing, Securities Act Release No. 9309 (Apr. 3, 2012)
[77 FR 20749 (Apr. 6, 2012)].
---------------------------------------------------------------------------
In April 2013, the Investor Advisory Committee \10\ recommended,
among other things, that the Commission develop a glide path
illustration for target date funds that is based on a standardized
measure of fund risk as either a replacement for, or supplement to, the
proposed asset allocation glide path illustration. The Committee also
recommended that the Commission adopt a standard methodology or
methodologies to be used in the risk-based glide path illustration.\11\
The Committee stated that much of the differences in risk among target
date funds can be explained by differences in asset allocation models
and glide paths, but that choices of assets within the various asset
classes and other risk management practices can also have a significant
impact on fund risk levels. The Committee also stated that asset
allocation may mask significant differences in the risk levels of funds
with apparently similar or even identical asset allocation glide paths,
particularly when the asset classes are defined broadly. The Committee
therefore opined that a glide path illustration based on an
appropriate, standardized measure of fund risk would be more accurate
than an illustration based on asset allocation alone. The Committee
suggested that, to promote comparability, risk-based illustrations
should be based on a standardized measure of risk. The Committee did
not recommend a particular risk measure or methodology for a risk-based
glide path for target date funds, but suggested that the Commission
focus on factors such as volatility of returns or maximum exposure to
loss, which the Committee stated are directly relevant to the primary
concerns of those approaching retirement.
---------------------------------------------------------------------------
\10\ Section 911 of the Dodd-Frank Wall Street Reform and
Consumer Protection Act added section 39 to the Securities Exchange
Act of 1934, which establishes the Investor Advisory Committee. The
Committee advises and consults with the Commission on regulatory
priorities, issues, and initiatives and submits findings and
recommendations to the Commission. 15 U.S.C. 78pp(a). The Commission
reviews the findings and recommendations of the Committee and
determines what action, if any, to take. 15 U.S.C. 78pp(g).
\11\ Recommendation of the Investor Advisory Committee: Target
Date Mutual Funds (Apr. 11, 2013), available at https://www.sec.gov/spotlight/investor-advisory-committee-2012/iac-recommendation-target-date-fund.pdf. The Committee also recommended that the
Commission (i) adopt a standard methodology or methodologies to be
used in the asset allocation glide path illustration; (ii) require
target date fund prospectuses to disclose and clearly explain the
policies and assumptions used to design and manage the target date
offerings to attain the target risk level over the life of the fund;
(iii) consider testing various approaches to providing disclosure
that a target date fund is not guaranteed in order to determine the
most effective approach and then mandate that approach; and (iv)
amend the fee disclosure requirements for target date funds to
provide better information about the likely impact of fund fees on
total accumulations over the expected holding period of the
investment. Id.
---------------------------------------------------------------------------
II. Request for Comment
The Commission has decided to reopen the comment period to address
the Committee's recommendation that the Commission develop a risk-based
glide path illustration for target date funds. We also invite
additional comment on any other aspect of the recommendations and
accompanying material submitted by the Committee, on our proposal, and
on any other matters that may have an effect on the proposal.
In our target date fund proposal, we asked for comment on whether
the proposed disclosure requirements would adequately convey the risks
associated with a target date fund. For example, we asked if the
proposed disclosure of asset allocation would effectively convey the
level of a fund's investment risk to investors, and if the emphasis on
asset allocation might cause investors to prioritize investment risk
over longevity risk, inflation risk, or other risks.\12\ We also asked
whether fund managers might take on more risk than the asset allocation
would reflect.\13\ We also sought comment on whether the rule should
require disclosure of a risk rating based on a scale or index that
could be compared to other target date funds.\14\
---------------------------------------------------------------------------
\12\ Proposing Release, supra note 1, at 35926-27.
\13\ Id. at 35927 (``Would a fund manager's investment strategy,
portfolio construction, selection of asset categories disclosed, and
marketing change as a result of the proposal's required disclosure
of target date (or current) asset allocation? For example, might
fund managers compose the fund's fixed-income allocation differently
to take on additional investment risk, in order to seek higher
returns, while showing a lower equity allocation at or after the
target date?'').
\14\ Id. at 35928.
---------------------------------------------------------------------------
The comments that we received on this issue, however, were limited.
Some commenters suggested alternative approaches to the glide path
illustration that would require a risk-based illustration, rather than
an illustration of the fund's changing investments in asset classes
over time. For example, commenters recommended that we require: (i)
Portfolio risk-related information, data, or graphs along with asset
allocation information; \15\ (ii) the planned risk level in the glide
path disclosure, for example, by presenting the planned standard
deviation of returns over the life of the fund; \16\ (iii) a color- and
number-coded risk spectrum showing a fund's position relative to an
appropriate target date fund index; \17\ or (iv) whether the fund
reflects aggressive, moderate, or conservative risk characteristics,
based on certain benchmarks.\18\ Another commenter expressed skepticism
about the feasibility of establishing a standardized risk rating for
target date funds, and stated that developing such a rating would be
``an enormous undertaking with questionable benefit that is
significantly beyond the scope'' of the rulemaking.\19\
---------------------------------------------------------------------------
\15\ See Comment Letter of Chao & Company, Ltd. (July 6, 2012).
\16\ See Comment Letter of Foliofn Investments Inc. (Mar. 28,
2011); Comment Letter of Foliofn Investments Inc. (May 21, 2012).
\17\ See Comment Letter of Wells Fargo (May 21, 2012).
\18\ See Comment Letter of SST Benefits Consulting (Apr. 9,
2012).
\19\ See Comment Letter of the Investment Company Institute
(Aug. 23, 2010).
---------------------------------------------------------------------------
Because of the limited nature of the comments received, and in
light of the Committee's recommendation, we believe further comment in
this area would be helpful. As set out further below, we request
comment on whether we should develop a glide path illustration for
target date funds that is based on a standardized measure of risk as
either a replacement for, or supplement to, our proposed asset
allocation glide path. We ask that any comment provide specific
examples and available data in support of the comment.
Management of Target Date Funds According to Risk. We request
comment on the degree to which managers of target date funds use
measures of risk as part of their investment strategy.
Are target date fund strategies primarily based on a
changing target risk level or a changing target asset
[[Page 19566]]
allocation over time, or some combination of these approaches? If
target risk levels are used, what risk measures are generally employed?
Do managers instead first set an asset allocation strategy
and then monitor the risks that follow from the asset allocation? If
so, what risk measures do they generally monitor?
Are there other ways in which target date fund managers
use risk measures? If so, please describe those ways and the particular
risk measures used.
Usefulness and Understandability of Risk Measures. We request
comment on whether there are quantitative measures of risk that would
be useful to and understandable by investors as the basis for a target
date fund risk-based glide path illustration.\20\ We note that there
are a variety of quantitative measures of risk used in the financial
services industry. Some target date funds already provide quantitative
risk measures in certain materials on a historical basis.\21\ For
example, the risk associated with a portfolio can be captured by the
variability of its returns, measured by the standard deviation \22\ (or
volatility) or semi-variance of those returns.\23\ Both of these risk
measures are ``total risk measures'' that quantify the total
variability of a portfolio's returns around, or below, its average
return. Another risk measure is ``beta,'' which specifically measures
the sensitivity of the portfolio's return to the market's return. The
market's beta is by definition equal to 1. Portfolios with betas
greater than 1 tend to move more than one-for-one with the market's
return, and portfolios with betas less than 1 tend to move less than
one-for-one with the market's return. Determination of a fund's beta
requires the selection of a benchmark market index to which one
compares the portfolio's returns.
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\20\ In 1995, the Commission issued a release requesting comment
on how to improve risk disclosure for investment companies,
including ways to increase the comparability of fund risk levels.
Improving Descriptions of Risk by Mutual Funds and Other Investment
Companies, Investment Company Act Release No. 20974 (Mar. 29, 1995)
[60 FR 17172 (Apr. 4, 1995)] (``Risk Concept Release''). In
particular, the Risk Concept Release requested comment on whether
quantitative risk measures--such as standard deviation, beta, and
duration--would help investors evaluate and compare fund risks. We
received over 3,700 comment letters, mostly from individual
investors. Commenters confirmed the importance of risk disclosure to
investors when evaluating and comparing funds and highlighted the
need to improve risk disclosures in fund prospectuses. Although more
than half of the individual commenters and some industry members
expressed a desire for some form of quantitative risk information,
commenters did not broadly support any one risk measure, and the
Commission acknowledged that investors have a wide range of ideas of
what ``risk'' means. See Registration Form Used by Open-End
Management Investment Companies, Investment Company Release No.
23064 (Mar. 13, 1998) [63 FR 13916, 13929 (Mar. 23, 1998)]
(``Registration Form Adopting Release''). In 1997, the Commission
proposed a requirement that a fund's prospectus include a bar chart
showing the fund's annual returns for 10 calendar years, noting that
over 75% of individual investors responding to the Risk Concept
Release favored a bar chart presentation of fund risks. See
Registration Form Used by Open-End Management Investment Companies,
Investment Company Act Release No. 22528 (Feb. 27, 1997) [62 FR
10898, 10904 (Mar. 10, 1997)]. The Commission subsequently adopted
the bar chart requirement, which was intended to illustrate
graphically the variability of a fund's returns and thus provide
investors with some idea of the risk of an investment in the fund.
See Registration Form Adopting Release, at 13922.
\21\ Based on a staff review of target date fund marketing
materials.
\22\ See, e.g., Morningstar Investing Glossary: Standard
Deviation, Morningstar, https://www.morningstar.com/InvGlossary/standard_deviation.aspx (last visited Jan. 17, 2014) (``Investors
use the standard deviation of historical performance to try to
predict the range of returns that are most likely for a given fund.
When a fund has a high standard deviation, the predicted range of
performance is wide, implying greater volatility.'').
\23\ Standard deviation measures both ``good'' and ``bad''
outcomes, i.e., the variability of returns both above and below the
average return. Semi-variance, which can be used to measure the
variability of returns below the average return, reflects a view of
risk as synonymous with ``bad'' outcomes.
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Is there a particular quantitative risk measure, or group
of risk measures, that are helpful in evaluating the risks of target
date funds? Would fund investors be likely to understand these risk
measures and be able to effectively use them in making investment
decisions?
The Committee recommended that the Commission, in
determining an appropriate risk measure, focus on factors such as
maximum exposure to loss or volatility of returns that are directly
relevant to the primary concerns of those approaching retirement. Do
commenters agree with this approach? If so, what are the primary
concerns of those approaching retirement and what specific measures of
risk would be directly relevant to those concerns? Are there other risk
factors that are relevant to target date fund investors, including
longevity risk and inflation risk? In determining an appropriate
measure of risk, how should various aspects of risk be considered? How
should concerns of investors at different points in the cycle of
accumulating and distributing retirement assets be addressed?
If we require disclosure of a risk measure, should we
require such disclosure at only a single point in time, such as the
target date, or should we require disclosure of the measure at multiple
points over the life of the fund? If the latter, which specific points
over the life of the fund?
Should a target date fund be required to disclose the same
measure or measures that the fund's manager uses to guide its
management of the fund, or would other measures be more appropriate?
Should the risk measure reflect the variance, or
volatility, in returns around the fund's average return? Should the
measure, instead, reflect the sensitivity of the portfolio's return to
the market's return? Or should some other type of risk measure be used?
Should these risk measures reflect the characteristics of nominal
returns or real returns, which account for the effect of inflation?
Illustration of Risk Measures. We request comment on whether the
Commission should develop a glide path illustration for target date
funds that is based on a standardized measure of fund risk as either a
replacement for, or supplement to, its proposed asset allocation glide
path illustration and adopt a standard methodology or methodologies to
be used in the risk-based glide path illustration.
Should the rules require a glide path illustration for
target date funds that is based on a standardized measure of fund risk
as either a replacement for, or supplement to, the proposed asset
allocation glide path illustration? Would the inclusion of two glide
path illustrations in the same document tend to confuse investors, and,
if so, how could the information be presented in a way that would
minimize any confusion?
Would the proposed asset allocation glide path
illustration, without a risk-based glide path illustration, adequately
convey risk information to investors? If not, would an asset allocation
glide path illustration alone adequately convey risk information if we
specify the particular asset categories required to be shown? If so,
how narrow should those asset categories be, and what particular asset
categories should we specify? Could risk information be adequately
conveyed to investors using narrative disclosures in lieu of a glide
path illustration?
What are the advantages and disadvantages of asset
allocation glide paths and risk-based glide paths relative to each
other? If the rules should require a risk-based glide path, what risk
measure(s) should be prescribed and how should the risk measures be
presented? Please provide specific examples.
Should a risk-based glide path illustration be required
for all target date
[[Page 19567]]
funds, regardless of a fund's investment objective or strategies?
Should a risk-based glide path illustration instead be required only
for target date funds with an investment objective or strategy of
managing to a target risk level?
Should a risk-based glide path illustration be backward-
looking (showing past actual risk measures of a target date fund or
group of target date funds) or forward-looking (showing projected risk
targets for a target date fund or family of target date funds)?
Commenters are asked to address, with specificity, how each of these
approaches could be applied to a single target date fund or group of
target date funds. What are the advantages and disadvantages of each
approach, e.g., ease of construction, understandability, or potential
to confuse or mislead?
If we require a risk-based glide path illustration, should
we prescribe the format of the risk-based glide path illustration in
order to enhance comparability for investors? For example, would one
form (e.g., graph) be more easily understandable by investors than
another (e.g., table)?
If we require a risk-based glide path illustration, should
we require it to be prominent within the materials where it is
included? Are there other presentation requirements that would be more
appropriate?
Should there be differences in requirements for marketing
materials that relate to a single target date fund, as compared with
those that relate to multiple target date funds? Should a risk-based
glide path illustration for a single target date fund be required to
show the fund's actual historical risk levels? Would the use of actual
historical risk levels be helpful or confusing to investors in cases
where a fund has changed its previous glide path? Should the risk-based
glide path illustration for a single target date fund instead be
permitted to show the current glide path that is common to all target
date funds in a fund family? Would it be misleading for marketing
materials for a single target date fund to omit the fund's historical
risk levels?
Should the risk-based glide path illustration for a single
target date fund be required to clearly depict the current risk level?
Should we require the risk level as of the most recent calendar quarter
ended prior to the submission of the marketing materials for
publication? Are there any circumstances where we should permit the
risk-based glide path illustration for a single target date fund to
exclude risk levels for past periods? If we permit a single target date
fund to exclude past risk levels in any circumstances, should we
nonetheless prohibit a fund from excluding past risk levels if the
marketing materials contain past performance information for the fund?
Are past risk levels helpful to allow an investor to assess the
performance of the target date fund relative to the risk taken? Would
disclosure of past performance information without disclosure of past
risk levels confuse or mislead investors?
What is the appropriate maximum interval for depicting a
fund's risk level over time? Is the maximum five-year interval that we
proposed for an asset allocation glide path appropriate? Should it be
shorter (e.g., 1 year or 3 years) or longer (e.g., 10, 15, or 20
years)? Are there any periods for which intervals of shorter duration
should be shown? For example, should the risk-based glide path
illustration depict the five years before the target date and/or
landing point (i.e., the date at which the asset allocation becomes
static) using one-year intervals? Is it necessary to require any
particular interval? Is it appropriate to require risk levels at the
fund's inception, target date, and landing point?
Would a required explanatory statement preceding or
accompanying the risk-based glide path illustration be helpful to
investors? What information would be necessary? Should we prescribe the
particular content of the statement? Should any of the following
information be required in an explanatory statement: (i) The investment
risk level changes over time; (ii) the landing point; (iii) an
explanation that the investment risk level becomes fixed at the landing
point and the projected risk level at the landing point; (iv) whether,
and the extent to which, the intended risk levels may be modified
without a shareholder vote; and (v) an explanation of risks that are
not captured by the illustration? Should the statement be required to
use particular language? Should any particular presentation
requirements, such as font size or style, apply to the statement that
is required to accompany the risk-based glide path illustration?
Should radio and television advertisements be required to
include information about a target date fund's risk-based glide path?
What information should be required to be included in radio and
television advertisements? For example, is there a means of effectively
communicating information comparable to that contained in a risk-based
glide path illustration in radio or television advertisements?
Should information about a target date fund's risk-based
glide path be required in marketing materials that are submitted for
use on or after the landing point?
Are there alternative presentations of risk-based measures
that would be more helpful to target date fund investors than a risk-
based glide path? For example, would it be more helpful to require
disclosure of risk measure targets at particular points in time (e.g.,
target date, landing point) rather than requiring an illustration over
the whole life of a target date fund? If so, which points in time would
be most important to investors? Should the measures, for example, focus
on the target date, landing point, and/or the time period within 5 to
10 years before and after the target date?
Placement of Risk-Based Glide Path Illustration. We request comment
on the materials, if any, in which a risk-based glide path illustration
for target date funds should be included.
Are marketing materials for target date funds an
appropriate location for inclusion of a risk-based glide path
illustration or other information about risk measures? Should
illustrations instead be part of the mandated disclosures in a fund's
summary prospectus, statutory prospectus, statement of additional
information, shareholder reports, or other reports to the Commission?
Calculation of Risk Measures. We request comment on whether
required risk measures, if adopted in final rules, should be based on a
standardized methodology or methodologies developed by the Commission.
Should we try to enhance comparability among target date
funds by prescribing a standardized methodology for computing a fund's
historical and/or projected risk levels?
What are the parameters and assumptions that the
Commission would need to specify in order to prescribe a standardized
methodology, e.g., the measures to be used, benchmarks, time periods
over which calculated?
For risk measures that are calculated using a benchmark
index (e.g., beta), what issues, if any, are associated with the
selection of an appropriate benchmark? Do any quantitative risk
measures rely on assumptions, other than a benchmark, that could lead
to lack of standardization if not specified by the Commission? Can
quantitative risk measures be manipulated, and how do the various
measures differ in their susceptibility to manipulation? How can the
potential for such manipulation be reduced or eliminated?
Should the risk measures reflect the target date fund's
predictions about
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future risk or goals related to future risk? In what manner should
these risk measures incorporate historical data from a particular
target date fund or group of target date funds? To what extent can
historical data predict future risk?
If a forward-looking risk measure is used, should the risk
measure be calculated using portfolio-based computation, which
calculates a portfolio risk measure at each point in time based on the
historical behavior of the securities or asset classes that the
portfolio is expected to include at that point in time? Should the risk
measure instead be a risk objective or target? Do the merits of each
approach differ among funds or groups of funds with significant
operating histories, new funds, and/or funds that have flexibility to
change their risk-based glide paths?
If a standard based on historical risk characteristics
were adopted, what requirements should be imposed on funds with a short
operating history?
Persons submitting comments are also asked to describe as
specifically as possible the computation method they would recommend
for any quantitative risk measure they favor. For example, persons
favoring standard deviation should specify whether monthly returns,
quarterly returns, or returns over some other period should be used. As
another example, persons favoring beta should describe the benchmark or
benchmarks that should be used. Persons submitting comments are also
asked to discuss the benefits and limitations associated with their
recommended method of computation.
Impact on Investors. We request comment on the impact that
disclosure of risk measures and risk-based glide paths would have on
investors.
Would investors in target date funds be likely to
understand risk measures, or any related illustrations based on those
measures? What means could be used to present risk measures for target
date funds in a way that would be understandable to investors? Could
investors interpret risk-based illustrations as predicting the future
returns of the fund? Can future risk levels of a target date fund be
projected in a manner that is likely to be accurate? Could the use of
projected or target risk measures be misleading and, if so, under what
circumstances?
Would investors be confused if a measure of risk is
characterized as ``risk''? Should the disclosure of risk measures use
the term ``risk,'' or some other term such as volatility, variance, or
variability? Should the terminology distinguish investment risk from
other risks, e.g., inflation risk or longevity risk?
How would investor behavior be affected by disclosure of a
particular risk measure? Could disclosure of risk measures influence
investors to choose investments that better align with their individual
investment objective or could it reduce alignment between investment
objectives and investor behavior? For example, could disclosure of risk
measures influence investors to choose lower or higher risk investments
than would be consistent with their goals for accumulating retirement
assets? Commenters are asked to provide their views and any supporting
data about the impact of risk measures on investor behavior.
One potential effect of risk disclosures may be to cause
investors or fund managers to place too much importance on the prospect
of investment loss. This effect could potentially be offset by
counterbalancing information on the prospect of investment gains. To
what extent should investors receive information on future expected
returns on investment to accompany information on risk? Would investors
understand what the information would portray? Would such information
cause investors to believe that the expected returns imply some level
of guarantee or projection of future performance? How should this
expected return be computed if it is required? If investors are to
receive this information, how best should it be disclosed or presented?
Should expected return information be provided as a statistic separate
from risk measures or integrated with risk measures as with a
confidence interval for returns?
Would forward-looking disclosures such as projected future
volatility (or other risk measures) or expected returns give rise to
potential liability concerns? If so, what relief would be necessary to
allow funds to provide such disclosures?
To what extent might special emphasis on investment risk
level or asset allocation cause investors to prioritize investment risk
at a particular moment in time over longevity risk, inflation risk, or
other risks? Should we require additional disclosure to focus investor
attention on inflation risks and longevity risks? Are there useful
measures of risk that reflect longevity and inflation risk as well as
investment risk?
Effects on Portfolio Management. We recognize that required
disclosures may affect the management of a fund, such as by causing a
fund to adopt investment strategies that result in disclosure that
could be perceived more favorably by investors.
Comments are requested regarding whether, and how,
disclosure of a quantitative risk measure or risk-based glide path for
target date funds might influence portfolio management. What would be
the associated benefits and detriments? For example, might disclosure
of a risk measure by target date funds cause those funds to become more
conservative either throughout their glide paths or at certain points
on the glide path? If so, how would this affect investors, including
investors who are accumulating assets for retirement? Commenters are
asked to provide data about the impact of risk measures on portfolio
management decisions.
Benefits and Costs. We request comment on the benefits and costs of
possible risk disclosure requirements.
What would be the benefits and costs of requiring a glide
path illustration for target date funds that is based on a standardized
measure of fund risk as either a replacement for, or supplement to, our
proposed asset allocation glide path illustration and adopting a
standard methodology or methodologies to be used in the risk-based
glide path illustration? What effects would such a requirement have on
efficiency, competition, and capital formation? For instance, would
such disclosure increase allocative efficiency by increasing the
transparency of the underlying risks of target date investing? Would it
have an effect on competition among target date funds or between target
date funds and other types of investment options? Commenters are
requested to provide empirical data and other factual support for their
views to the extent possible.
If we were to require disclosure of a risk-based glide
illustration, what changes in behavior by either investors or target
date fund managers may result, and what would be the associated
benefits and costs?
To what extent do target date fund managers already
undertake risk analysis in the course of prudent risk management? Do
target date funds already calculate the types of risk measures
discussed above? If so, how and in what form? Is there an industry
standard for calculation of risk measures, and, if so, what is it?
If a target date fund does not already calculate the risk
measures discussed above, what would the costs--such as programming
costs--of calculating such measures be?
How would the costs and the effects on efficiency,
competition, and capital formation of requiring disclosure of a risk-
based glide path compare with the
[[Page 19569]]
costs and effects of the proposed requirements? For example, would a
risk-based glide path enhance comparability across different target
date funds?
Dated: April 3, 2014.
By the Commission.
Kevin M. O'Neill,
Deputy Secretary.
[FR Doc. 2014-07869 Filed 4-8-14; 8:45 am]
BILLING CODE 8011-01-P