A. About BNY Mellon Advisors, Inc.
BNY Mellon Advisors, Inc. (“BNYMA”), formerly known as Lockwood Advisors, Inc.
(“Lockwood”), is a corporation organized in 1995 under the laws of the state of Delaware and
opened for business in the summer of 1996. BNYMA is registered with the SEC as an investment
adviser and is a wholly owned subsidiary of MBC Investments Corporation (“MBCIC”), which in
turn is a wholly owned subsidiary of BNY Mellon IHC, LLC (“BNYMIHC”). BNYMIHC is a
wholly owned subsidiary of The Bank of New York Mellon Corporation (“BNY Mellon”), a
publicly-owned company. Between September 30, 2002 and January 1, 2024, BNYMA was wholly
owned by Pershing Group, LLC; on January 1, 2024, an internal reorganization resulted in a change
in the intermediate corporate ownership. Despite this reorganization, the ultimate ownership as
well as management and the policies and procedures which govern BNYMA’s ownership have not
changed. BNYMA does not have any offices located outside of the United States.
BNYMA provides access to individual portfolio managers (“Portfolio Managers”) and investment
advisory and discretionary services to broker-dealers, registered investment advisers, and other
financial intermediaries (“Firms” or “Firm” in the singular) which, in turn, provide investment advice
and consulting services to their clients (“Clients”). Client level advice is generally performed by an
employee, agent, affiliate or other delegated persons of a Firm (collectively, “Consultants”).
BNYMA may accept certain non-U.S. clients, in its sole discretion, in accordance with all applicable
laws, however the only offering currently available to non-US residents is the BNY Mellon Target
Risk Offshore Portfolios.
An affiliate of BNYMA, Pershing LLC (“Pershing”) is a SEC registered broker-dealer that is a
member of the Financial Industry Regulatory Authority (“FINRA”), the Securities Investor
Protection Corporation (“SIPC”) and the New York Stock Exchange (“NYSE”), and provides
clearing and custody services for the BNYMA program described in this Brochure. Another
affiliate of BNYMA, Pershing Advisor Solutions LLC (“Pershing Advisor Solutions”), is a SEC
registered broker-dealer that is a member of FINRA and SIPC, and provides retail brokerage
services for certain Clients in the Managed360 Program. BNYMA, Pershing and Pershing Advisor
Solutions are affiliated companies, each of which is indirectly owned by BNY Mellon.
BNYMA’s range of investment options includes the following:
•
Separately Managed Accounts (“SMA”) – Researched SMA managers and open architecture
SMA managers;
•
BNY Mellon AdvisorFlex Portfolios (formerly known as Lockwood AdvisorFlex
Portfolios) – A flexible mutual fund and exchange-traded fund (“ETF”) wrap product;
BNY Mellon Target Risk Focus Portfolios (formerly known as Lockwood WealthStart®
Portfolios) – A fixed mutual fund and ETF wrap product;
• BNY Mellon Target Risk Portfolios (formerly known as Lockwood Asset Allocation
Portfolios) – A fixed mutual fund and ETF wrap product;
BNY Mellon/American Funds Core Portfolios (formerly known as Lockwood/American
Funds Core Portfolios) – A fixed mutual fund and ETF wrap product constructed using
American Funds mutual funds;
•
BNY Mellon Flexible Unified Managed Account (formerly known as Lockwood Flexible
Unified Managed Account) – A flexible unified managed account (“UMA”) wrap product;
•
BNY Mellon Advisors Third-Party Strategists Offering (formerly known as Third-Party
Strategists) – Open architecture mutual fund and ETF models;
•
BNY Mellon Target Retirement Date Portfolios – A multi-discipline mutual fund and ETF
wrap account product in which asset class/style allocations shift to a more conservative profile
over time to seek to reduce risk as the applicable target retirement date approaches;
•
BNY Mellon Precision Direct IndexingSM S&P 500® – Customized portfolios constructed using
equity securities that track a target benchmark (i.e., the S&P 500); and
•
BNY Mellon Target Risk Offshore Portfolios (formerly known as Lockwood Offshore Asset
Allocation Portfolios) – A fixed mutual fund and ETF wrap product only available to non-US
residents constructed using funds qualified under the European Union’s Undertakings for
Collective Investment in Transferable Securities (“UCITs”).
Investment options specifically made available to you may vary depending on your Firm. BNYMA
provides SMAs in which each account has a Portfolio Manager responsible for the day-to-day
investment decisions. In most cases, the Portfolio Managers used are independent from BNYMA
and its affiliates. In cases where a Portfolio Manager is affiliated with BNYMA, it will be designated
as an affiliate. In addition, because BNYMA also functions as a Portfolio Manager in certain
products, BNYMA, itself, is the underlying manager on some Client accounts. Unless otherwise
noted, all references in the Brochure to a Portfolio Manager should be read to include BNYMA’s
acting as a manager with respect to the following products: BNY Mellon AdvisorFlex Portfolios,
BNY Mellon Target Risk Portfolios, BNY Mellon Target Risk Offshore Portfolios, BNY Mellon
Target Risk Focus Portfolios, BNY Mellon/American Funds Core Portfolios, BNY Mellon Flexible
Unified Managed Account, BNY Mellon Target Retirement Date Portfolios and the BNY Mellon
Third-Party Strategists Offering. BNYMA also provides investment advice to other financial
intermediaries that may participate in one or more BNYMA programs. In addition, BNYMA
provides initial and ongoing research to its affiliate, BNY Mellon Investment Servicing Trust
Company, relating to mutual funds available in its Health Savings Accounts offering.
This Brochure describes the Managed360 Program (the “Program”), which allows you, with the
assistance of your Consultant, to select one or more third party Portfolio Managers or BNYMA
products where BNYMA serves as manager. BNYMA serves as program sponsor of the Program.
In the Program, a Portfolio Manager manages your investment portfolio on a discretionary basis.
BNYMA imposes certain minimum eligibility criteria on the Portfolio Managers, which are
described in Item 6. You will open one or more brokerage accounts (“Brokerage Accounts”) with
your broker-dealer (the “Broker”), who in turn will have a relationship with Pershing where Pershing
provides clearing and custody services to your Broker on a fully-disclosed basis.
As Program sponsor, you can expect BNYMA to perform services in one or more of the following
capacities:
working with your Consultant to offer investment advisory services tailored to meet your
individual needs, including suggesting specific investment style allocations, certain periodic
rebalancing and investment plan adjustment;
entering into an investment advisory agreement with you;
•
providing access to Pershing for clearing, custody, and other brokerage services;
•
reviewing Portfolio Managers, third party model providers (“Third Party Model Providers”) and
other investment vehicles for inclusion in the program or a specific product;
•
providing your Consultant access to summary information and quantitative information about
the Portfolio Managers and the investment styles provided by the Portfolio Managers;
•
acting as manager for certain discretionary proprietary managed products described below;
and
•
providing access to model portfolios (“Models”) created by Third Party Model Providers
and acting as manager with respect to such Models.
In accordance with Rule 3a-4 under the Investment Company Act of 1940, as amended, BNYMA
may contractually delegate certain administrative services to another party. BNYMA has delegated
certain administrative functions to its affiliates, including the Managed Accounts division of
Pershing (“Managed Accounts”), including:
• providing service, operational support and training to the Consultants;
•
maintaining information about the Portfolio Managers’ investment styles, and making it
available to the Consultants;
•
providing an investment proposal generation tool, web-based account setup and account
maintenance tools to the Consultants;
•
providing account and asset reporting capabilities to the Consultants and the Firm, including
access to daily and quarterly investment performance reports;
•
delivering BNYMA’s Brochure to you annually and at the time you enter into the
investment advisory agreement with BNYMA;
•
for each Portfolio Manager selected by you, providing initial delivery of the Portfolio
Manager’s Form ADV, Part 2 brochure (“Manager Brochure”);
providing fee payments to the Portfolio Managers, Third Party Model Providers and the
Consultant or the Firm; and
providing support to the Portfolio Managers, which includes Portfolio Manager training,
daily reporting, resolution and Portfolio Manager notification regarding trading, Portfolio
Manager relationship management, Portfolio Manager data set-up assistance within the
applicable systems, and coordinating with Portfolio Managers when your Firm submits
account requests.
In some cases, the Firm serves as the Broker and, if the Broker is dually registered as an investment
adviser, the investment advisory representatives of the Firm serve as the Consultants. Alternatively,
the Broker may partner with a third-party registered investment adviser (“RIA”) and the investment
advisory representatives of the RIA serve as Consultants. For other Firms, Pershing Advisor
Solutions serves as the Broker and the Firm’s employees, agents, affiliates or other delegated
persons who are investment adviser representatives serve as the Consultants. The Firm and/or the
Consultant may obtain certain of the services described above, such as performance reporting and fee
billing of the Consultant’s and/or Firm’s fee, from a third-party service provider instead of from
Managed Accounts, and/or they may perform certain of these functions internally. Pershing Advisor
Solutions may provide certain support functions to the Consultant and the Firm instead of BNYMA
or Managed Accounts.
B. The Consultant
The Consultant assists you in determining investment objectives and asset allocation and which
Portfolio Managers and investment solution(s) to select to manage your account(s) in the Program.
You and your Consultant are responsible for reviewing your financial situation, risk tolerance and
time horizon to determine your asset allocation and investment objectives. BNYMA has delegated to
your Consultant and Consultant’s Firm responsibility for all applicable aspects of suitability with
respect to you, including a determination of the suitability of (i) your participation in the Program,
(ii) the selected Portfolio Manager, (iii) securities transactions and (iv) the applicable fees. The
Consultant is also responsible for ongoing monitoring and review of each Portfolio Manager’s
investment strategy and performance, your asset allocation and investment objectives and other
applicable due diligence information. The Consultant is also responsible for obtaining your written
authorization for certain account maintenance requests and forwarding such authorizations to the
Broker, BNYMA or Managed Accounts for processing.
Your Consultant may give you an investment questionnaire to collect financial information from
you, so he or she can assist you in establishing appropriate investment goals, objectives and an
investment policy for your investment portfolio(s) (“Investment Questionnaires”). In general, once
you and your Consultant determine which Program and investment choices best suit your needs, the
Consultant submits the necessary paperwork to BNYMA or Managed Accounts. You and BNYMA
enter into a client agreement which sets out the parameters of BNYMA’s relationship with you (the
“Client Agreement”). The Client Agreement will designate the Broker with whom you have opened
the Brokerage Account(s).
Based on the information collected in the Investment Questionnaire, your Consultant formulates an
asset allocation proposal and identifies Portfolio Manager(s) that your Firm and Consultant believe
are appropriate for your investment account. Generally, your Consultant will present you with a
written investment proposal. Your Consultant will ask you to accept and approve this investment
proposal. As part of the acceptance and approval process, and by signing the Client Agreement, you
authorize BNYMA to delegate to the selected Portfolio Manager(s) discretionary trading authority
over the applicable portion of your account. In some cases, BNYMA may be the selected Portfolio
Manager. For specific information regarding BNYMA’s discretion with respect to the Third Party
Model Providers Models, see Item 6.
Through your agreement with the Consultant and/or the Firm, you shall authorize the Consultant to
reallocate assets within the account, to harvest tax gains and losses and to change individual Portfolio
Managers provided such changes are in accordance with your objective. BNYMA is not responsible
for Consultant’s actions taken to reallocate assets within the account, to harvest tax gains and losses
or to change individual Portfolio Managers.
C. Broker
The Broker or its designee is responsible for the following:
•
maintaining records of your brokerage account application and agreement and other required
account opening documents;
• facilitating brokerage-related books and records mailings to you;
•
helping facilitate and support standard brokerage services such as account opening, funding
and cash management functions;
•
directing, through its relationship with Pershing, its clearing firm, custody and clearing,
reporting and program administration for your account;
• ensuring delivery, through its relationship with Pershing, of transactions confirms and
monthly statements to you and/or such other parties as directed by you; and
•
accepting instructions from the Consultant on your behalf if you have given the Broker
appropriate authorization.
In certain cases, the Firm or its affiliate serves as Broker of record on your brokerage account (for
purposes of this Brochure, references to Firm as Broker will also apply to Firm’s affiliate, as
applicable). Alternatively, Pershing Advisor Solutions, BNYMA’s affiliate, serves as Broker of
record on your brokerage account if selected by your Firm. Pershing, as clearing firm, performs due
diligence of each non-affiliated Broker that has entered into a clearing agreement with Pershing.
D. Products and Services
1. Separately Managed Accounts
The SMA product provides you with access to third party Portfolio Managers who manage separately
managed accounts on a discretionary basis. BNYMA collects a program fee (the “Program Fee”) for
the SMA program for the services provided by BNYMA, Broker, Pershing, the Firm (if applicable)
and the Portfolio Managers with respect to the SMAs. To the extent that Pershing Advisor Solutions
is the broker, the Program Fee will also include administrative and operational services provided by
Pershing Advisor Solutions. The maximum Program Fee for the SMA program is set forth in the
tables below. The fees are negotiable based on a number of factors that may result in a particular
Client paying a fee greater or less than the fees shown below. In certain cases, the Program Fee for
SMA differs between the different distribution channels through which your Firm participates in the
Program. For example, the Firm may participate in the Turnkey Asset Management Program
(“TAMP”) channel of the Program, in which BNYMA arranges for Pershing Advisor Solutions to
be Broker. The minimum investment, which varies by Portfolio Manager, is included in Exhibit A.
This product is not available to non-US residents.
For the TAMP channel, the Program Fee for Equity and Balanced Styles and Program Fee for Fixed
Income Styles are as follows:
Effective September 30, 2017, in distribution channels other than the TAMP channel, the Program
Fee for Equity and Balanced Styles and SMA Program Fee for Fixed Income Styles are as follows:
Account Size Program Fee for
Equity and Balanced
Styles
Program Fee for
Fixed Income Styles
First $500,000 0.88% 0.52%
Next $500,000 0.83% 0.49%
Next $4,000,000 0.78% 0.46%
Over $5,000,000 0.68% 0.42%
Where your Firm participates in the TAMP channel, BNYMA or Pershing Advisor Solutions provides
additional administrative services. Accordingly, BNYMA charges a lower Program Fee for Equity
and Balanced Styles and a lower Program Fee for Fixed Income Styles for accounts in other channels;
however, this decision is made in BNYMA’s sole discretion and varies by product type. Pershing
Advisor Solutions participates in both the TAMP channel and another channel and provides different
services depending upon whether the TAMP channel is selected.
The maximum Program Fee for Laddered Bond Styles is set forth in the table below. The fees are
negotiable based on a number of factors that may result in a particular Client paying a fee greater
or less than the fees shown below.
Account Size Program Fee for
Laddered Bond
Styles
First $500,000 0.35%
Account Size Program Fee for
Equity and Balanced
Styles
Program Fee for
Fixed Income Styles
First $500,000 0.95% 0.57%
Next $500,000 0.90% 0.54%
Next $4,000,000 0.85% 0.51%
Over $5,000,000 0.75% 0.47%
Next $500,000 0.35%
Next $4,000,000 0.30%
Over $5,000,000 0.25%
Under BNYMA’s agreements with the Portfolio Managers, each Portfolio Manager receives a portion
of the Program Fee as compensation for the discretionary investment services it provides. The
Portfolio Managers’ fee rates are “institutional,” which means that they are based on the total assets
managed by each Portfolio Manager in the Program for each investment style and may be reduced
as total Program assets managed by each Portfolio Manager reach certain levels. For fixed income
styles, the Portfolio Managers’ fees generally range from 0.15% to 0.35% of assets under
management. For laddered bond styles, the Portfolio Managers’ fees are generally 0.15% of assets
under management. For equity and balanced styles, the Portfolio Managers’ fees generally range
from 0.30% to 0.65% of assets under management.
Where the Firm serves as Broker, BNYMA and Pershing each retain a portion of the Program Fee
(less the fee BNYMA pays to the Portfolio Manager) for the services each provide to you. This
portion of the fee compensates BNYMA for its services as program sponsor as described in Section
A and Pershing for its clearing and custody services. Where Pershing Advisor Solutions is the
Broker, Pershing Advisor Solutions and BNYMA each retain a portion of the difference between the
total SMA Program Fee and the fee BNYMA pays to the Portfolio Manager. This portion of the fee
compensates (i) BNYMA for its services as program sponsor as described in Section A; (ii)
Pershing Advisor Solutions for its services as Broker as described in Section C; and (iii) Pershing
Advisor Solutions for the support functions it provides to the Consultants and the Firms. Pershing
Advisor Solutions pays Pershing for its clearing and custody services.
In addition to the Program Fee, the Consultant may add a reasonable advisory fee, subject to the
applicable written agreement between you and Consultant and/or the Firm.
With respect to Separately Managed Accounts, you can expect that BNYMA or Pershing will
receive an administrative fee (“Administrative Fee”) to cover expenses associated with the portfolio
accounting system, the billing support provided to Portfolio Managers, tax lot or performance
reporting and other administrative services. The Administrative Fee is generally four (4) basis points
(0.04%) annually for fixed income strategies and six (6) basis points (0.06%) annually for
equity/balanced strategies based on the market value of your assets invested in the strategy. This
Administrative Fee will not be in addition to the Program Fee that is presented to you in the Client
Agreement and this Brochure. In certain instances, the Administrative Fee will be reduced or
waived.
If a particular Portfolio Manager fee is lower for an account, BNYMA retains a larger portion of the
SMA Program Fee than it would for another account managed by a Portfolio Manager with a higher
fee. Similarly, BNYMA or Pershing receives greater fees when the standard Administrative Fees are
charged than when the Administrative Fee is reduced or waived for a Portfolio Manager. As a result,
BNYMA could have an incentive to make available certain Portfolio Managers where such fees
favor BNYMA and Pershing, however only the unaffiliated Consultants and their Clients are
selecting such Portfolio Managers for investment. BNYMA manages these conflicts of interest in
two ways. First, BNYMA applies the same due diligence criteria to all Portfolio Managers
regardless of fee structure. Second, the Program is structured whereby BNYMA makes a large
selection of Portfolio Managers available, but the final decision regarding which Portfolio Manager
will manage each Client’s account rests with the Client in consultation with the Consultant.
2. BNY Mellon AdvisorFlex Portfolios
BNYMA acts as a Portfolio Manager in offering BNY Mellon AdvisorFlex Portfolios (“AdvisorFlex
Portfolios”), formerly known as Lockwood AdvisorFlex Portfolios, which is a flexible mutual fund
and ETF wrap account product available in the Program with a $50,000 minimum investment. This
product is not available to non-US residents.
As Portfolio Manager, BNYMA makes investment decisions regarding asset allocation and
investment selections. This process is described in more detail in Item 6 of this Brochure.
The Program Fee for AdvisorFlex Portfolios accounts is billed quarterly in advance, as follows:
BNY Mellon AdvisorFlex Portfolios
Account(s) Size Program Fee
First $500,000 0.40%
Next $500,000 0.35%
Over $1,000,000 0.25%
BNYMA’s fees are negotiable under certain circumstances, in BNYMA’s sole discretion. You may
pay more or less than other Clients depending on certain factors, including the type and size of the
account(s), the historical or anticipated transaction activity, the range of services provided to you,
terms of the relationship between BNYMA and the Firm, and your total relationship assets under
management.
The Program Fee for AdvisorFlex Portfolios includes the BNYMA advisory fee, BNYMA’s sponsor
fee and Pershing’s clearing and custody fee and managed account platform fee. To the extent that
Pershing Advisor Solutions is the broker, the Program Fee will also include administrative and
operational services provided by Pershing Advisor Solutions. The Program Fee does not include fees
or expenses associated with the mutual funds and ETFs an account invests in, which include those
advisory fees and other operating expenses which are part of the internal expense ratio of the fund
(as described in the fund’s prospectus), such as transfer agent, distribution (12b-1), shareholder
servicing, networking and recordkeeping fees and any transaction costs associated with the
underlying investments held by the fund. Your account will bear these fees and expenses as an
investor in such mutual funds and ETFs and, as a result, you may bear higher expenses than if you
invested directly in the securities held by the respective mutual fund or ETF.
In addition to the Program Fee for AdvisorFlex Portfolios accounts, the Consultant may add a
reasonable advisory fee, subject to the applicable written agreement between you and Consultant
and/or the Firm.
With respect to mutual funds included in AdvisorFlex Portfolios, the respective mutual funds may
charge a redemption fee if shares are redeemed within a specified period of time. The amount of
the redemption fee, as well as the minimum holding period, is disclosed in each of the respective
mutual fund’s prospectuses. For complete details, you should review each mutual fund’s
prospectus.
The mutual funds included in AdvisorFlex Portfolios are made available through Pershing.
BNYMA’s affiliates, Pershing and Pershing Advisor Solutions receive 12b-1 fees. In addition,
certain mutual funds and their affiliates, including those that BNYMA invests in on behalf of
AdvisorFlex Portfolios clients, pay networking fees, omnibus fees and compensate Pershing for
providing services to their funds that are available on a no-transaction-fee basis.
• 12b-1 Fees. These fees are paid by mutual funds to compensate Pershing and Pershing
Advisor Solutions for providing distribution-related, administrative, and informational
services, as applicable, associated with each fund. 12b-1 fees are included in the “annual
operating expenses” or “expense ratio” charged by each fund. In instances where BNYMA
selects a share class that pays a 12b-1 fee, the broker-dealer maintaining the brokerage
account will receive payment of the 12b-1 fee. In instances where the brokerage account is
maintained by BNYMA’s affiliate Pershing Advisor Solutions, Pershing Advisor Solutions
will receive 12b-1 fees. In limited circumstances, BNYMA’s affiliate Pershing may receive
a portion of a 12b-1 fee as compensation for services provided for custodied funds.
• Omnibus Fees. A number of funds compensate Pershing for providing record-keeping and
related services. Pershing generally holds a single “omnibus” account with the fund, and
therefore maintains all pertinent individual shareholder information for the fund. The
compensation for these services is commonly referred to as “omnibus fees.” Omnibus fees
compensate Pershing for providing these services, which would otherwise be required to be
provided by the fund. Omnibus fees are paid from investor assets in the funds, but in some
cases may be subsidized in part by affiliates or the distributor of the funds.
• Networking Fees. Positions for fund families that are not held on an omnibus basis are held
on a networked basis, which means Pershing maintains a separate account on behalf of each
shareholder. Networking fees compensate Pershing for providing these services, which
would otherwise be required to be provided by the fund. Networking fees are paid out of the
assets of the fund manager, but in some cases may be subsidized in part by affiliates or the
distributor of the funds.
• No-Transaction-Fees. Pershing receives compensation from mutual funds that it makes
available on a no-transaction-fee basis for services provided to the funds. This compensation
is paid out of the assets of the fund manager, but in some cases may be subsidized in part by
affiliates or the distributor of the funds.
Mutual fund companies offer a variety of share classes with different expense levels, and the amount
of compensation Pershing and Pershing Advisor Solutions receives will vary depending on whether
funds and share classes available to the investing public will be available to BNYMA for use in
AdvisorFlex Portfolios, and clients should not assume that BNYMA is selecting share classes with
the lowest available expense ratio. The share class of a mutual fund selected by BNYMA can have
higher expenses (including because of compensation paid to Pershing and Pershing Advisor
Solutions), than other share classes of that mutual fund for which a client is eligible or that might
otherwise be available if a client invested in the mutual fund through a third party or through the
mutual fund directly. An investor who holds a more expensive share class of a fund will pay higher
fees over time – and earn lower investment returns – than an investor who holds a less expensive
share class of the same fund. When evaluating the reasonability of fees and the total compensation
BNYMA receives, you should consider not just the Program Fee, but also the additional
compensation BNYMA’s affiliates receive from the funds in AdvisorFlex Portfolios.
When selecting the share class of a mutual fund used in AdvisorFlex Portfolios, BNYMA has a conflict
of interest to the extent that its selection of a particular share class results in greater compensation to
Pershing and Pershing Advisor Solutions. BNYMA addresses this conflict through a combination of
disclosure to clients and through policies and procedures designed to prevent BNYMA from
considering the fees received by affiliates when selecting a fund or share class. BNYMA reviews the
mutual funds contained in its discretionary portfolios semi-annually to review share classes
considerations.
If you have multiple AdvisorFlex Portfolios accounts, BNYMA may combine your accounts for fee
calculation purposes, subject to certain restrictions.
3. BNY Mellon Target Risk Focus Portfolios
BNY Mellon Target Risk Focus Portfolios (“Target Risk Focus Portfolios”), formerly known as
Lockwood WealthStart Portfolios, is a discretionary mutual fund and ETF wrap account product with
a $10,000 minimum investment that seeks to assist emerging and mass-affluent investors grow their
wealth. This product is not available to non-US residents. BNYMA, serving as the Portfolio Manager,
determines asset allocation strategy and selects investment vehicles for the portfolios, based on its
proprietary approach to asset allocation, macroeconomic outlook and investment discipline. This
process is described in more detail in Item 6 of this Brochure.
The Program Fee for Target Risk Focus Portfolios accounts is billed quarterly in advance, as follows:
BNY Mellon Target Risk Focus Portfolios
Account(s) Size Program Fee
First $250,000 0.30%
Next $250,000 0.25%
Next $500,000 0.20%
Next $4,000,000 0.15%
Over $5,000,000 0.10%
BNYMA’s fees are negotiable under certain circumstances, in BNYMA’s sole discretion. You may
pay more or less than other Clients depending on certain factors, including the type and size of the
account(s), the historical or anticipated transaction activity, the range of services provided to you,
terms of the relationship between BNYMA and the Firm, and your total relationship assets under
The Program Fee for Target Risk Focus Portfolios includes BNYMA’s advisory fee, BNYMA’s
sponsor fee, and Pershing’s clearing and custody fee and managed account platform fee. To the
extent that Pershing Advisor Solutions is the broker, the Program Fee will also include
administrative and operational services provided by Pershing Advisor Solutions. The Program Fee
does not include fees or expenses that may be associated with the mutual funds and ETFs an account
invests in, which include those advisory fees and other operating expenses which are part of the
internal expense ratio of the fund (and as described in the fund’s prospectus), such as transfer agent,
distribution (12b-1), shareholder servicing, networking and recordkeeping fees and any transaction
costs associated with the underlying investments held by the fund. Your account will bear these
fees and expenses as an investor in such mutual funds and ETFs and, as a result, you may bear
higher expenses than if you invested directly in the securities held by the respective mutual fund or
ETF.
In addition to the Program Fee for Target Risk Focus Portfolios accounts, the Consultant may add a
reasonable advisory fee, subject to the applicable written agreement between you and Consultant
and/or the Firm. With respect to Target Risk Focus Portfolios accounts, the Consultant’s fee will not
be greater than 1.00%.
With respect to mutual funds included in Target Risk Focus Portfolios, the respective mutual funds
may charge a redemption fee if shares are redeemed within a specified period of time. The amount
of the redemption fee, as well as the minimum holding period, is disclosed in each of the respective
mutual fund’s prospectuses. For complete details, you should review each mutual fund’s
prospectus.
The mutual funds included in Target Risk Focus Portfolios are made available through Pershing.
BNYMA’s affiliates, Pershing and Pershing Advisor Solutions receive 12b-1 fees. In addition,
certain mutual funds and their affiliates, including those that BNYMA invests in on behalf of Target
Risk Focus Portfolios clients, pay networking fees, omnibus fees and compensate Pershing for
providing services to their funds that are available on a no-transaction-fee basis.
• 12b-1 Fees. These fees are paid by mutual funds to compensate Pershing and Pershing
Advisor Solutions for providing distribution-related, administrative, and informational
services, as applicable, associated with each fund. 12b-1 fees are included in the “annual
operating expenses” or “expense ratio” charged by each fund. In instances where BNYMA
selects a share class that pays a 12b-1 fee, the broker-dealer maintaining the brokerage
account will receive payment of the 12b-1 fee. In instances where the brokerage account is
maintained by BNYMA’s affiliate Pershing Advisor Solutions, Pershing Advisor Solutions
will receive 12b-1 fees. In limited circumstances, BNYMA’s affiliate Pershing may receive
a portion of a 12b-1 fee as compensation for services provided for custodied funds.
• Omnibus Fees. A number of funds compensate Pershing for providing record-keeping and
related services. Pershing generally holds a single “omnibus” account with the fund, and
therefore maintains all pertinent individual shareholder information for the fund. The
compensation for these services is commonly referred to as “omnibus fees.” Omnibus fees
compensate Pershing for providing these services, which would otherwise be required to be
provided by the fund. Omnibus fees are paid from investor assets in the funds, but in some
cases may be subsidized in part by affiliates or the distributor of the funds.
• Networking Fees. Positions for fund families that are not held on an omnibus basis are held
on a networked basis, which means Pershing maintains a separate account on behalf of each
shareholder. Networking fees compensate Pershing for providing these services, which
would otherwise be required to be provided by the fund. Networking fees are paid out of the
assets of the fund manager, but in some cases may be subsidized in part by affiliates or the
distributor of the funds.
• No-Transaction-Fees. Pershing receives compensation from mutual funds that it makes
available on a no-transaction-fee basis for services provided to the funds. This compensation
funds and share classes available to the investing public will be available to BNYMA for use in
Target Risk Focus Portfolios, and clients should not assume that BNYMA is selecting share classes
with the lowest available expense ratio. The share class of a mutual fund selected by BNYMA can
have higher expenses (including because of compensation paid to Pershing and Pershing Advisor
Solutions), than other share classes of that mutual fund for which a client is eligible or that might
otherwise be available if a client invested in the mutual fund through a third party or through the
mutual fund directly. An investor who holds a more expensive share class of a fund will pay higher
fees over time – and earn lower investment returns – than an investor who holds a less expensive
share class of the same fund. When evaluating the reasonability of fees and the total compensation
BNYMA receives, you should consider not just the Program Fee, but also the additional
compensation BNYMA’s affiliates receive from the funds in Target Risk Focus Portfolios.
When selecting the share class of a mutual fund used in Target Risk Focus Portfolios, BNYMA has a
conflict of interest to the extent that its selection of a particular share class results in greater
compensation to Pershing and Pershing Advisor Solutions. BNYMA addresses this conflict through a
combination of disclosure to clients and through policies and procedures designed to prevent BNYMA
from considering the fees received by affiliates when selecting a fund or share class. BNYMA reviews
the mutual funds contained in its discretionary portfolios semi-annually to review share classes
considerations.
If you have multiple Target Risk Focus Portfolios accounts, BNYMA may combine your accounts
for fee calculation purposes, subject to certain restrictions.
The services offered by BNYMA for Target Risk Focus Portfolios may differ from the services
offered in other BNYMA managed products. These differences may include, without limitation, fewer
securities positions within individual models, a more limited number of security types, more limited
performance reporting, and fewer or different triggers for account rebalancing.
4. BNY Mellon Target Risk Portfolios
BNY Mellon Target Risk Portfolios (“Target Risk Portfolios”), formerly known as Lockwood Asset
Allocation Portfolios, is a discretionary mutual fund and ETF wrap account product with a $50,000
minimum investment. This product is not available to non-US residents. BNYMA, serving as the
Portfolio Manager, determines asset allocation strategy and selects investment vehicles for the
portfolios, based on its proprietary approach to asset allocation, macroeconomic outlook and
investment discipline. These portfolios may consist of open and closed-end mutual funds, ETFs and
other types of securities, as determined by BNYMA, in its sole discretion. The securities currently
used in the Target Risk Portfolios are subject to change at BNYMA’s sole discretion. This process
is described in more detail in Item 6 of this Brochure.
The Program Fee for Target Risk Portfolios accounts is billed quarterly in advance, as follows:
BNY Mellon Target Risk Portfolios
Account(s) Size Program Fee
First $250,000 0.40%
Next $250,000 0.35%
Next $500,000 0.30%
Next $4,000,000 0.25%
Over $5,000,000 0.20%
BNYMA’s fees are negotiable under certain circumstances, in BNYMA’s sole discretion. You may
pay more or less than other Clients depending on certain factors, including the type and size of the
account(s), the historical or anticipated transaction activity, the range of services provided to you,
terms of the relationship between BNYMA and the Firm, and your total relationship assets under
management.
The Program Fee for Target Risk Portfolios includes BNYMA’s advisory fee, BNYMA’s sponsor
fee, and Pershing’s clearing and custody fee and managed account platform fee. To the extent that
Pershing Advisor Solutions is the broker, the Program Fee will also include administrative and
operational services provided by Pershing Advisor Solutions.
The Program Fee does not include fees or expenses that may be associated with the mutual funds and
ETFs an account invests in, which include those advisory fees and other operating expenses which
are part of the internal expense ratio of the fund (and as described in the fund’s prospectus), such as
transfer agent, distribution (12b-1), shareholder servicing, networking and recordkeeping fees and
any transaction costs associated with the underlying investments held by the fund. Your account will
bear these fees and expenses as an investor in such mutual funds and ETFs and, as a result, you may
bear higher expenses than if you invested directly in the securities held by the respective mutual fund
or ETF.
In addition to the Program Fee for Target Risk Portfolios accounts, the Consultant may add a
reasonable advisory fee, subject to the applicable written agreement between you and Consultant
and/or the Firm.
With respect to mutual funds included in Target Risk Portfolios, the respective mutual funds may
charge a redemption fee if shares are redeemed within a specified period of time. The amount of
the redemption fee, as well as the minimum holding period, is disclosed in each of the respective
mutual fund’s prospectuses. For complete details, you should review each mutual fund’s
prospectus.
The mutual funds included in Target Risk Portfolios are made available through Pershing.
BNYMA’s affiliates, Pershing and Pershing Advisor Solutions receive 12b-1 fees. In addition,
certain mutual funds and their affiliates, including those that BNYMA invests in on behalf of Target
Risk Portfolios clients, pay networking fees, omnibus fees and compensate Pershing for providing
services to their funds that are available on a no-transaction-fee basis.
• 12b-1 Fees. These fees are paid by mutual funds to compensate Pershing and Pershing
Advisor Solutions for providing distribution-related, administrative, and informational
services, as applicable, associated with each fund. 12b-1 fees are included in the “annual
operating expenses” or “expense ratio” charged by each fund. In instances where BNYMA
selects a share class that pays a 12b-1 fee, the broker-dealer maintaining the brokerage
account will receive payment of the 12b-1 fee. In instances where the brokerage account is
maintained by BNYMA’s affiliate Pershing Advisor Solutions, Pershing Advisor Solutions
will receive 12b-1 fees. In limited circumstances, BNYMA’s affiliate Pershing may receive
a portion of a 12b-1 fee as compensation for services provided for custodied funds.
• Omnibus Fees. A number of funds compensate Pershing for providing record-keeping and
related services. Pershing generally holds a single “omnibus” account with the fund, and
therefore maintains all pertinent individual shareholder information for the fund. The
compensation for these services is commonly referred to as “omnibus fees.” Omnibus fees
compensate Pershing for providing these services, which would otherwise be required to be
provided by the fund. Omnibus fees are paid from investor assets in the funds, but in some
cases may be subsidized in part by affiliates or the distributor of the funds.
• Networking Fees. Positions for fund families that are not held on an omnibus basis are held
on a networked basis, which means Pershing maintains a separate account on behalf of each
shareholder. Networking fees compensate Pershing for providing these services, which
would otherwise be required to be provided by the fund. Networking fees are paid out of the
assets of the fund manager, but in some cases may be subsidized in part by affiliates or the
distributor of the funds.
• No-Transaction-Fees. Pershing receives compensation from mutual funds that it makes
available on a no-transaction-fee basis for services provided to the funds. This compensation
is paid out of the assets of the fund manager, but in some cases may be subsidized in part by
affiliates or the distributor of the funds.
Mutual fund companies offer a variety of share classes with different expense levels, and the amount
of compensation Pershing and Pershing Advisor Solutions receives will vary depending on whether
the fund companies, mutual funds or share classes pay 12b-1 fees, omnibus fees, networking fees,
or are offered on a no-transaction-fee basis, and on the amount of such compensation. Not all mutual
funds and share classes available to the investing public will be available to BNYMA for use in
Target Risk Portfolios, and clients should not assume that BNYMA is selecting share classes with
the lowest available expense ratio. The share class of a mutual fund selected by BNYMA can have
higher expenses (including because of compensation paid to Pershing and Pershing Advisor
Solutions), than other share classes of that mutual fund for which a client is eligible or that might
otherwise be available if a client invested in the mutual fund through a third party or through the
mutual fund directly. An investor who holds a more expensive share class of a fund will pay higher
fees over time – and earn lower investment returns – than an investor who holds a less expensive
share class of the same fund. When evaluating the reasonability of fees and the total compensation
BNYMA receives, you should consider not just the Program Fee, but also the additional
compensation BNYMA’s affiliates receive from the funds in Target Risk Portfolios.
When selecting the share class of a mutual fund used in Target Risk Portfolios, BNYMA has a conflict
of interest to the extent that its selection of a particular share class results in greater compensation to
Pershing and Pershing Advisor Solutions. BNYMA addresses this conflict through a combination of
disclosure to clients and through policies and procedures designed to prevent BNYMA from
considering the fees received by affiliates when selecting a fund or share class. BNYMA reviews the
mutual funds contained in its discretionary portfolios semi-annually to review share classes
considerations.
If you have multiple Target Risk Portfolios accounts, BNYMA may combine your accounts for fee
calculation purposes, subject to certain restrictions.
5. BNY Mellon/American Funds Core Portfolios
BNY Mellon/American Funds Core Portfolios, formerly known as Lockwood/American Funds Core
Portfolios, is a discretionary mutual fund and ETF wrap account product with a $10,000 minimum
investment. This product is not available to non-US residents. BNYMA, serving as the Portfolio
Manager, allocates investor assets systematically across multiple asset classes and styles using
American Funds mutual funds and other select ETFs in a single account. BNYMA determines the
asset allocation strategy and selects investment vehicles for each investment style in the portfolio,
based upon proprietary modeling strategies, economic outlook and investment research discipline.
BNYMA is solely responsible for the fund selection and construction of the BNY Mellon/American
Funds Core Portfolios and neither American Funds Distributors, Inc. nor its affiliates are involved in
such activities, nor do American Funds Distributors, Inc. or its affiliates serve as investment adviser
to Client accounts. The securities currently used in the BNY Mellon/American Funds Core
Portfolios are subject to change at BNYMA’s sole discretion. This process is described in more
detail in Item 6 of this Brochure.
The Program Fee for BNY Mellon/American Funds Core Portfolios accounts is billed quarterly in
advance, as follows:
BNY Mellon/American Funds Core Portfolios
Account(s) Size Program Fee
First $250,000 0.30%
Next $250,000 0.25%
Next $500,000 0.20%
Next $4,000,000 0.15%
Over $5,000,000 0.10%
BNYMA’s fees are negotiable under certain circumstances, in BNYMA’s sole discretion. You may
pay more or less than other Clients depending on certain factors, including the type and size of the
account(s), the historical or anticipated transaction activity, the range of services provided to you,
terms of the relationship between BNYMA and the Firm, and your total relationship assets under
The Program Fee for BNY Mellon/American Funds Core Portfolios includes BNYMA’s advisory
fee, BNYMA’s sponsor fee, and Pershing’s clearing and custody fee and managed account platform
fee. To the extent that Pershing Advisor Solutions is the broker, the Program Fee will also include
administrative and operational services provided by Pershing Advisor Solutions. The Program Fee
does not include fees or expenses that may be associated with the mutual funds and ETFs an
account invests in, which include those advisory fees and other operating expenses which are part of
the internal expense ratio of the fund (and as described in the fund’s prospectus), such as transfer
agent, distribution (12b-1), shareholder servicing, networking and recordkeeping fees and any
transaction costs associated with the underlying investments held by the fund, as applicable. Your
account will bear these fees and expenses as an investor in such mutual funds and ETFs and, as a
result, you may bear higher expenses than if you invested directly in the securities held by the
respective mutual fund or ETF.
In addition to the Program Fee for BNY Mellon/American Funds Core Portfolios accounts, the
Consultant may add a reasonable advisory fee, subject to the applicable written agreement between
you and Consultant and/or the Firm. With respect to BNY Mellon/American Funds Core Portfolios
accounts, the Consultant’s fee will not be greater than 1.00%.
With respect to mutual funds included in BNY Mellon/American Funds Core Portfolios, the
respective mutual funds may charge a redemption fee if shares are redeemed within a specified
period of time. The amount of the redemption fee, as well as the minimum holding period, is
disclosed in each of the respective mutual fund’s prospectuses. For complete details, you should
review each mutual fund’s prospectus.
The mutual funds included in BNY Mellon/American Funds Core Portfolios are made available
through Pershing. BNYMA’s affiliates, Pershing and Pershing Advisor Solutions receive 12b-1
fees. In addition, certain mutual funds and their affiliates, including those that BNYMA invests in on
behalf of BNY Mellon/American Funds Core Portfolios clients, pay networking fees, omnibus fees
and compensate Pershing for providing services to their funds that are available on a no-transaction-
fee basis.
• 12b-1 Fees. These fees are paid by mutual funds to compensate Pershing and Pershing
Advisor Solutions for providing distribution-related, administrative, and informational
services, as applicable, associated with each fund. 12b-1 fees are included in the “annual
operating expenses” or “expense ratio” charged by each fund. In instances where BNYMA
selects a share class that pays a 12b-1 fee, the broker-dealer maintaining the brokerage
account will receive payment of the 12b-1 fee. In instances where the brokerage account is
maintained by BNYMA’s affiliate Pershing Advisor Solutions, Pershing Advisor Solutions
will receive 12b-1 fees. In limited circumstances, BNYMA’s affiliate Pershing may receive
a portion of a 12b-1 fee as compensation for services provided for custodied funds.
• Omnibus Fees. A number of funds compensate Pershing for providing record-keeping and
related services. Pershing generally holds a single “omnibus” account with the fund, and
therefore maintains all pertinent individual shareholder information for the fund. The
compensation for these services is commonly referred to as “omnibus fees.” Omnibus fees
compensate Pershing for providing these services, which would otherwise be required to be
provided by the fund. Omnibus fees are paid from investor assets in the funds, but in some
cases may be subsidized in part by affiliates or the distributor of the funds.
• Networking Fees. Positions for fund families that are not held on an omnibus basis are held
on a networked basis, which means Pershing maintains a separate account on behalf of each
shareholder. Networking fees compensate Pershing for providing these services, which
would otherwise be required to be provided by the fund. Networking fees are paid out of the
assets of the fund manager, but in some cases may be subsidized in part by affiliates or the
distributor of the funds.
• No-Transaction-Fees. Pershing receives compensation from mutual funds that it makes
available on a no-transaction-fee basis for services provided to the funds. This compensation
or are offered on a no-transaction-fee basis, and on the amount of such compensation. Not all mutual
funds and share classes available to the investing public will be available to BNYMA for use in BNY
Mellon/American Funds Core Portfolios, and clients should not assume that BNYMA is selecting
share classes with the lowest available expense ratio. The share class of a mutual fund selected by
BNYMA can have higher expenses (including because of compensation paid to Pershing and
Pershing Advisor Solutions), than other share classes of that mutual fund for which a client is eligible
or that might otherwise be available if a client invested in the mutual fund through a third party or
through the mutual fund directly. An investor who holds a more expensive share class of a fund will
pay higher fees over time – and earn lower investment returns – than an investor who holds a less
expensive share class of the same fund. When evaluating the reasonability of fees and the total
compensation BNYMA receives, you should consider not just the Program Fee, but also the
additional compensation BNYMA’s affiliates receive from the funds in BNY Mellon/American
Funds Core Portfolios.
When selecting the share class of a mutual fund used in BNY Mellon/American Funds Core
Portfolios, BNYMA has a conflict of interest to the extent that its selection of a particular share class
results in greater compensation to Pershing and Pershing Advisor Solutions. BNYMA addresses this
conflict through a combination of disclosure to clients and through policies and procedures designed
to prevent BNYMA from considering the fees received by affiliates when selecting a fund or share
class. BNYMA reviews the mutual funds contained in its discretionary portfolios semi-annually to
review share classes considerations.
If you have multiple BNY Mellon/American Funds Core Portfolios accounts, BNYMA may combine
your accounts for fee calculation purposes, subject to certain restrictions.
6. BNY Mellon Flexible Unified Managed Account
BNY Mellon Flexible Unified Managed Account (“Flexible UMA”), formerly known as Lockwood
Flexible Unified Managed Account, is a discretionary flexible multi-discipline managed account
product housed in a single portfolio with a $50,000 minimum investment. This product is not
available to non-US residents. BNYMA, serving as overlay manager, determines the investment
options available for use within the Flexible UMA, which include mutual funds, ETFs, Target Risk
Portfolios models, Target Risk Focus Portfolios models, BNY Mellon/American Funds Core
Portfolios models and Third Party Model Provider Models. This process is described in more
detail in Item 6 of this Brochure. Either you or your Consultant retains final authority for the
investment options selected in your Flexible UMA account.
The Program Fee for Flexible UMA accounts is billed quarterly in advance, as follows:
BNY Mellon Flexible Unified Managed Account
Account(s) Size Program Fee
First $250,000 0.30%
Next $250,000 0.25%
Next $500,000 0.20%
Next $4,000,000 0.15%
Over $5,000,000 0.10%
BNYMA charges an additional 0.10% for assets invested in a Target Risk Portfolios model within the
Flexible UMA. Certain Third Party Model Providers also charge additional asset based fees. Please
see Exhibit B for a list of Third Party Model Providers available as investment options within the
Flexible UMA and the associated fees and investment minimums. Because the fees for these
investment options vary and are charged in addition to the Program Fee, the total fee for the Flexible
UMA product will vary based on the investment options selected.
BNYMA’s fees are negotiable under certain circumstances, in BNYMA’s sole discretion. You may
pay more or less than other Clients depending on certain factors, including the type and size of the
account(s), the historical or anticipated transaction activity, the range of services provided to you,
terms of the relationship between BNYMA and the Firm, and your total relationship assets under
management.
The Program Fee for Flexible UMA includes the BNYMA advisory fee, BNYMA’s sponsor fee, and
Pershing’s clearing and custody fee and managed account platform fee. To the extent that Pershing
Advisor Solutions is the broker, the Program Fee will also include administrative and operational
services provided by Pershing Advisor Solutions. The Program Fee for Flexible UMA does not
include Target Risk Portfolios fees (as applicable) or Third Party Model Provider fees (as applicable)
(together, “Additional Flexible UMA Fees”), fees or expenses which may be associated with the
mutual funds and ETFs an account invests in, which include those advisory fees and other operating
expenses which are part of the internal expense ratio of the fund (and as described in the fund’s
prospectus), such as transfer agent, distribution (12b-1), shareholder servicing, networking and
recordkeeping fees and any transaction costs associated with the underlying investments held by the
fund. Your account will bear these fees and expenses as an investor in such mutual funds and ETFs
and, as a result, you may bear higher expenses than if you invested directly in the securities held by
the respective mutual fund or ETF.
With respect to certain Third Party Model Providers made available in the Flexible UMA, the Third
Party Model Provider fee will include an administrative fee received by Pershing (“Administrative
Fee”) for services associated with trade administration support for the Models, the portfolio
accounting system, the billing support provided to Third Party Model Providers, tax lot or
performance reporting and other administrative services. In certain instances the Administrative Fee
will be reduced or waived. Because the Administrative Fees that Pershing receives differ across Third
Party Model Providers, BNYMA has an incentive to make available certain Third Party Model
Providers where such fees favor Pershing. BNYMA manages this conflict of interest in two ways.
First, BNYMA applies the same criteria in making Third Party Model Providers available regardless
of fee structure. Second, the product is structured in such a way where the decision regarding which
Third Party Model Providers to select rests with the Client in consultation with the Consultant.
In addition to the Program Fee and Additional Flexible UMA Fees for Flexible UMA accounts, the
Consultant may add a reasonable advisory fee, subject to the applicable written agreement between
you and Consultant and/or the Firm.
With respect to mutual funds included in Flexible UMA, the respective mutual funds may charge a
redemption fee if shares are redeemed within a specified period of time. The amount of the
redemption fee, as well as the minimum holding period, is disclosed in each of the respective mutual
fund’s prospectuses. For complete details, you should review each mutual fund’s prospectus.
The mutual funds included in Flexible UMA are made available through Pershing. BNYMA’s
affiliates, Pershing and Pershing Advisor Solutions receive 12b-1 fees. In addition, certain mutual
funds and their affiliates, including those that BNYMA invests in on behalf of Flexible UMA clients,
pay networking fees, omnibus fees and compensate Pershing for providing services to their funds
that are available on a no-transaction-fee basis.
• 12b-1 Fees. These fees are paid by mutual funds to compensate Pershing and Pershing
Advisor Solutions for providing distribution-related, administrative, and informational
services, as applicable, associated with each fund. 12b-1 fees are included in the “annual
operating expenses” or “expense ratio” charged by each fund. In instances where BNYMA
selects a share class that pays a 12b-1 fee, the broker-dealer maintaining the brokerage
account will receive payment of the 12b-1 fee. In instances where the brokerage account is
maintained by BNYMA’s affiliate Pershing Advisor Solutions, Pershing Advisor Solutions
will receive 12b-1 fees. In limited circumstances,
BNYMA’s affiliate Pershing may receive
a portion of a 12b-1 fee as compensation for services provided for custodied funds.
• Omnibus Fees. A number of funds compensate Pershing for providing record-keeping and
related services. Pershing generally holds a single “omnibus” account with the fund, and
therefore maintains all pertinent individual shareholder information for the fund. The
compensation for these services is commonly referred to as “omnibus fees.” Omnibus fees
compensate Pershing for providing these services, which would otherwise be required to be
provided by the fund. Omnibus fees are paid from investor assets in the funds, but in some
cases may be subsidized in part by affiliates or the distributor of the funds.
• Networking Fees. Positions for fund families that are not held on an omnibus basis are held
on a networked basis, which means Pershing maintains a separate account on behalf of each
shareholder. Networking fees compensate Pershing for providing these services, which
would otherwise be required to be provided by the fund. Networking fees are paid out of the
assets of the fund manager, but in some cases may be subsidized in part by affiliates or the
distributor of the funds.
• No-Transaction-Fees. Pershing receives compensation from mutual funds that it makes
available on a no-transaction-fee basis for services provided to the funds. This compensation
funds and share classes available to the investing public will be available to BNYMA for use in
Flexible UMA, and clients should not assume that BNYMA is selecting share classes with the lowest
available expense ratio. The share class of a mutual fund selected by BNYMA can have higher
expenses (including because of compensation paid to Pershing and Pershing Advisor Solutions), than
other share classes of that mutual fund for which a client is eligible or that might otherwise be
available if a client invested in the mutual fund through a third party or through the mutual fund
directly. An investor who holds a more expensive share class of a fund will pay higher fees over time
– and earn lower investment returns – than an investor who holds a less expensive share class of the
same fund. When evaluating the reasonability of fees and the total compensation BNYMA receives,
you should consider not just the Program Fee, but also the additional compensation BNYMA’s
affiliates receive from the funds in Flexible UMA. In addition, the mutual funds and/or ETFs
included within some Third Party Model Provider Models may be advised or otherwise affiliated
with the Third Party Model provider (“Third Party Model Provider Affiliated Funds”). As a result,
the Third Party Model Provider or its affiliates would receive fees from the Third Party Model
Provider Affiliated Funds in addition to any applicable Third Party Model Provider fee shown in
Exhibit B.
When selecting the share class of a mutual fund used in Flexible UMA, BNYMA has a conflict of
interest to the extent that its selection of a particular share class results in greater compensation to
Pershing and Pershing Advisor Solutions. BNYMA addresses this conflict through a combination of
disclosure to clients and through policies and procedures designed to prevent BNYMA from
considering the fees received by affiliates when selecting a fund or share class. BNYMA reviews the
mutual funds contained in its discretionary portfolios semi-annually to review share classes
considerations.
If you have multiple Flexible UMA accounts, BNYMA may combine your accounts for fee
calculation purposes, subject to certain restrictions.
7. BNY Mellon Advisors Third-Party Strategists Offering
In the BNY Mellon Advisors Third-Party Strategists Offering (“BNYMA Third-Party Strategists”),
formerly known as Third Party Strategists, BNYMA provides you with access to asset allocation
Models generated by Third Party Model Providers. This product is not available to non-US residents.
Together with your Consultant, you select the Model or Models in which you would like to invest.
BNYMA acts as discretionary manager of your Account. BNYMA receives the Models from the
Third Party Model Providers and generally enters the trade orders accordingly. This process and
BNYMA’s role as discretionary manager is described in more detail in Item 6 of this Brochure.
The Program Fee for BNYMA Third-Party Strategists accounts is billed quarterly in advance, as
follows:
BNY Mellon Advisors Third-Party Strategists Offering
Account Size Program Fee
First $250,000 0.30%
Next $250,000 0.25%
Next $500,000 0.20%
Next $4,000,000 0.15%
Over $5,000,000 0.10%
In addition, certain Third Party Model Providers charge a fee (the “Model Fee”). The Model Fee and
minimum investment varies by Model and is shown in Exhibit B. Because the Model Fee varies based
on the Model you have selected, the total fee for the BNYMA Third-Party Strategists product will
vary accordingly.
BNYMA’s fees are negotiable under certain circumstances, in BNYMA’s sole discretion. You may
pay more or less than other Clients depending on certain factors, including the type and size of the
account(s), the historical or anticipated transaction activity, the range of services provided to you,
terms of the relationship between BNYMA and the Firm, and your total relationship assets under
management.
The Program Fee for the BNYMA Third-Party Strategists product includes the BNYMA advisory
fee, BNYMA’s sponsor fee, and Pershing’s clearing and custody fee and managed account platform
fee. To the extent that Pershing Advisor Solutions is the broker, the Program Fee will also include
administrative and operational services provided by Pershing Advisor Solutions. The Program Fee
does not include the Model Fee, or fees or expenses which may be associated with the mutual funds
and ETFs an account invests in, which include those advisory fees and other operating expenses which
are part of the internal expense ratio of the fund (and as described in the fund’s prospectus), such as
transfer agent, distribution (12b-1), shareholder servicing, networking and recordkeeping fees and
any transaction costs associated with the underlying investments held by the fund. Your account will
bear these fees and expenses as an investor in such mutual funds and ETFs and, as a result, you may
bear higher expenses than if you invested directly in the securities held by the respective mutual fund
or ETF.
With respect to certain Third Party Model Providers made available as BNYMA Third-Party
Strategists, the Model Fee will include an administrative fee received by Pershing (“Administrative
Fee”) for services associated with trade administration support for the Models, the portfolio
accounting system, the billing support provided to Third Party Model Providers, tax lot or
performance reporting and other administrative services. In certain instances the Administrative Fee
will be reduced or waived. Because the Administrative Fees that Pershing receives differ across Third
Party Model Providers, BNYMA has an incentive to make available certain Third Party Model
Providers where such fees favor Pershing. BNYMA manages this conflict of interest in two ways.
First, BNYMA applies the same criteria in making Third Party Model Providers available regardless
of fee structure. Second, the product is structured in such a way where the decision regarding which
Third Party Model Providers to make available to Clients rests with the Sponsors and the decision
regarding which Third Party Model Provider to select rests with the Client in consultation with the
Consultant.
In addition to the Program Fee and Model Fee, the Consultant may add a reasonable advisory fee,
subject to the applicable written agreement between you and Consultant and/or Firm. In addition, the
mutual funds and/or ETFs included within some Third Party Model Provider Models may be Third
Party Model Provider Affiliated Funds. As a result, the Third Party Model Provider or its affiliates
would receive fees from the Third Party Model Provider Affiliated Funds in addition to any applicable
Third Party Model Fee shown in Exhibit B.
With respect to mutual funds that may be available through Third Party Model Provider Models, the
respective mutual funds may charge a redemption fee if shares are redeemed within a specified
period of time. The amount of the redemption fee, as well as the minimum holding period, is
disclosed in each of the respective mutual fund’s prospectuses. For complete details, you should
review each mutual fund’s prospectus.
The mutual funds included in Third Party Model Providers Models are made available through
Pershing. BNYMA’s affiliates, Pershing and Pershing Advisor Solutions receive 12b-1 fees. In
addition, certain mutual funds and their affiliates, including those that BNYMA invests in on behalf
of BNYMA Third-Party Strategists clients, pay networking fees, omnibus fees and compensate
Pershing for providing services to their funds that are available on a no-transaction-fee basis.
• 12b-1 Fees. These fees are paid by mutual funds to compensate Pershing and Pershing
Advisor Solutions for providing distribution-related, administrative, and informational
services, as applicable, associated with each fund. 12b-1 fees are included in the “annual
operating expenses” or “expense ratio” charged by each fund. In instances where BNYMA
selects a share class that pays a 12b-1 fee, the broker-dealer maintaining the brokerage
account will receive payment of the 12b-1 fee. In instances where the brokerage account is
maintained by BNYMA’s affiliate Pershing Advisor Solutions, Pershing Advisor Solutions
will receive 12b-1 fees. In limited circumstances, BNYMA’s affiliate Pershing may receive
a portion of a 12b-1 fee as compensation for services provided for custodied funds.
• Omnibus Fees. A number of funds compensate Pershing for providing record-keeping and
related services. Pershing generally holds a single “omnibus” account with the fund, and
therefore maintains all pertinent individual shareholder information for the fund. The
compensation for these services is commonly referred to as “omnibus fees.” Omnibus fees
compensate Pershing for providing these services, which would otherwise be required to be
provided by the fund. Omnibus fees are paid from investor assets in the funds, but in some
cases may be subsidized in part by affiliates or the distributor of the funds.
• Networking Fees. Positions for fund families that are not held on an omnibus basis are held
on a networked basis, which means Pershing maintains a separate account on behalf of each
shareholder. Networking fees compensate Pershing for providing these services, which
would otherwise be required to be provided by the fund. Networking fees are paid out of the
assets of the fund manager, but in some cases may be subsidized in part by affiliates or the
distributor of the funds.
• No-Transaction-Fees. Pershing receives compensation from mutual funds that it makes
available on a no-transaction-fee basis for services provided to the funds. This compensation
funds and share classes available to the investing public will be available to BNYMA for use in Third
Party Model Provider Models, and clients should not assume that BNYMA is selecting share classes
with the lowest available expense ratio. The share class of a mutual fund selected by BNYMA can
have higher expenses (including because of compensation paid to Pershing and Pershing Advisor
Solutions), than other share classes of that mutual fund for which a client is eligible or that might
otherwise be available if a client invested in the mutual fund through a third party or through the
mutual fund directly. An investor who holds a more expensive share class of a fund will pay higher
fees over time – and earn lower investment returns – than an investor who holds a less expensive
share class of the same fund. When evaluating the reasonability of fees and the total compensation
BNYMA receives, you should consider not just the Program Fee, but also the additional
compensation BNYMA’s affiliates receive from the funds in the Third Party Model Provider
Models.
When selecting the share class of a mutual fund used in Third Party Model Provider Models, BNYMA
has a conflict of interest to the extent that its selection of a particular share class results in greater
compensation to Pershing and Pershing Advisor Solutions. BNYMA addresses this conflict through
a combination of disclosure to clients and through policies and procedures designed to prevent
BNYMA from considering the fees received by affiliates when selecting a fund or share class.
BNYMA reviews the mutual funds contained in its discretionary portfolios semi-annually to review
share classes considerations.
If you have multiple BNYMA Third-Party Strategists accounts, BNYMA may combine your
accounts for fee calculation purposes, subject to certain restrictions.
8. BNY Mellon Target Retirement Date Portfolios
BNY Mellon Target Retirement Date Portfolios (“Target Retirement Date Portfolios”) is a
discretionary, multi-discipline mutual fund and ETF wrap account product with a $10,000 minimum
investment. This product is not available to non-US residents. Within portfolios, asset class/style
allocations shift to a more conservative profile over time to seek to reduce risk as the target
retirement date approaches. BNYMA, serving as the portfolio manager, allocates investor assets
systematically across multiple asset classes and styles in a single account. BNYMA determines the
asset allocation strategy and selects investment vehicles for each investment style in the model,
based upon proprietary modeling strategies, economic outlook and investment research discipline.
At the time of this Brochure, the portfolios consist solely of mutual funds. However, these portfolios
may include open and closed-end mutual funds, ETFs and other types of securities, as determined
by BNYMA, in its sole discretion. The securities currently used in the Target Retirement Date
Portfolios are subject to change at BNYMA’s sole discretion. This process is described in more
detail in Item 6 of this Brochure.
The Program Fee for Target Retirement Date Portfolios accounts is billed quarterly in advance, as
follows:
BNY Mellon Target Retirement Date Portfolios
Account(s) Size Program Fee
First $250,000 0.30%
Next $250,000 0.25%
Next $500,000 0.20%
Next $4,000,000 0.15%
Over $5,000,000 0.10%
BNYMA’s fees are negotiable under certain circumstances, in BNYMA’s sole discretion. You may
pay more or less than other Clients depending on certain factors, including the type and size of the
account(s), the historical or anticipated transaction activity, the range of services provided to you,
terms of the relationship between BNYMA and the Firm, and your total relationship assets under
The Program Fee for Target Retirement Date Portfolios includes BNYMA’s advisory fee, BNYMA’s
sponsor fee, and Pershing’s clearing and custody fee and managed account platform fee. To the
extent that Pershing Advisor Solutions is the broker, the Program Fee will also include administrative
and operational services provided by Pershing Advisor Solutions. The Program Fee does not include
fees or expenses that may be associated with the mutual funds an account invests in, which include
those advisory fees and other operating expenses which are part of the internal expense ratio of the
fund (and as described in the fund’s prospectus), such as transfer agent, distribution (12b-1),
shareholder servicing, networking and recordkeeping fees and any transaction costs associated with
the underlying investments held by the fund. Your account will bear these fees and expenses as an
investor in such mutual funds and, as a result, you may bear higher expenses than if you invested
directly in the securities held by the respective mutual fund.
In addition to the Program Fee for Target Retirement Date Portfolios accounts, the Consultant may
add a reasonable advisory fee, subject to the applicable written agreement between you and
Consultant and/or the Firm. With respect to Target Retirement Date Portfolios accounts, the
Consultant’s fee will not be greater than 1.00%.
With respect to mutual funds included in Target Retirement Date Portfolios, the respective mutual
funds may charge a redemption fee if shares are redeemed within a specified period of time. The
amount of the redemption fee, as well as the minimum holding period, is disclosed in each of the
respective mutual fund’s prospectuses. For complete details, you should review each mutual fund’s
prospectus.
The mutual funds included in Target Retirement Date Portfolios are made available through
Pershing. BNYMA’s affiliates, Pershing and Pershing Advisor Solutions receive 12b-1 fees. In
addition, certain mutual funds and their affiliates, including those that BNYMA invests in on behalf
of Target Retirement Date Portfolios clients, pay networking fees, omnibus fees and compensate
Pershing for providing services to their funds that are available on a no-transaction-fee basis.
• 12b-1 Fees. These fees are paid by mutual funds to compensate Pershing and Pershing
Advisor Solutions for providing distribution-related, administrative, and informational
services, as applicable, associated with each fund. 12b-1 fees are included in the “annual
operating expenses” or “expense ratio” charged by each fund. In instances where BNYMA
selects a share class that pays a 12b-1 fee, the broker-dealer maintaining the brokerage
account will receive payment of the 12b-1 fee. In instances where the brokerage account is
maintained by BNYMA’s affiliate Pershing Advisor Solutions, Pershing Advisor Solutions
will receive 12b-1 fees. In limited circumstances, BNYMA’s affiliate Pershing may receive
a portion of a 12b-1 fee as compensation for services provided for custodied funds.
• Omnibus Fees. A number of funds compensate Pershing for providing record-keeping and
related services. Pershing generally holds a single “omnibus” account with the fund, and
therefore maintains all pertinent individual shareholder information for the fund. The
compensation for these services is commonly referred to as “omnibus fees.” Omnibus fees
compensate Pershing for providing these services, which would otherwise be required to be
provided by the fund. Omnibus fees are paid from investor assets in the funds, but in some
cases may be subsidized in part by affiliates or the distributor of the funds.
• Networking Fees. Positions for fund families that are not held on an omnibus basis are held
on a networked basis, which means Pershing maintains a separate account on behalf of each
shareholder. Networking fees compensate Pershing for providing these services, which
would otherwise be required to be provided by the fund. Networking fees are paid out of the
assets of the fund manager, but in some cases may be subsidized in part by affiliates or the
distributor of the funds.
• No-Transaction-Fees. Pershing receives compensation from mutual funds that it makes
available on a no-transaction-fee basis for services provided to the funds. This compensation
is paid out of the assets of the fund manager, but in some cases may be subsidized in part by
affiliates or the distributor of the funds.
Mutual fund companies offer a variety of share classes with different expense levels, and the amount
of compensation Pershing and Pershing Advisor Solutions receives will vary depending on whether
the fund companies, mutual funds or share classes pay 12b-1 fees, omnibus fees, networking fees,
or are offered on a no-transaction-fee basis, and on the amount of such compensation. Not all mutual
funds and share classes available to the investing public will be available to BNYMA for use in
Target Retirement Date Portfolios, and clients should not assume that BNYMA is selecting share
classes with the lowest available expense ratio. The share class of a mutual fund selected by BNYMA
can have higher expenses (including because of compensation paid to Pershing and Pershing Advisor
Solutions), than other share classes of that mutual fund for which a client is eligible or that might
otherwise be available if a client invested in the mutual fund through a third party or through the
mutual fund directly. An investor who holds a more expensive share class of a fund will pay higher
fees over time – and earn lower investment returns – than an investor who holds a less expensive
share class of the same fund. When evaluating the reasonability of fees and the total compensation
BNYMA receives, you should consider not just the Program Fee, but also the additional
compensation BNYMA’s affiliates receive from the funds in Target Retirement Date Portfolios.
When selecting the share class of a mutual fund used in Target Retirement Date Portfolios, BNYMA
has a conflict of interest to the extent that its selection of a particular share class results in greater
compensation to Pershing and Pershing Advisor Solutions. BNYMA addresses this conflict through a
combination of disclosure to clients and through policies and procedures designed to prevent BNYMA
from considering the fees received by affiliates when selecting a fund or share class. BNYMA reviews
the mutual funds contained in its discretionary portfolios semi-annually to review share classes
considerations.
If you have multiple Target Retirement Date Portfolios accounts, BNYMA may combine your
accounts for fee calculation purposes, subject to certain restrictions.
The services offered by BNYMA for Target Retirement Date Portfolios may differ from the services
offered in other BNYMA managed products. These differences may include, without limitation, fewer
securities positions within individual models, a more limited number of security types, more limited
performance reporting, and fewer or different triggers for account rebalancing.
9. BNY Mellon Precision Direct Indexing S&P 500
BNY Mellon Precision Direct Indexing S&P 500 is a discretionary separately managed account
product which offers customized portfolios constructed using equity securities that track a target
benchmark (i.e., the S&P 500). BNYMA’s affiliate, Mellon Investments Corporation (“Mellon
Investments”), serves as Portfolio Manager for the BNY Mellon Precision Direct Indexing S&P 500
product, which creates a conflict for BNYMA, as our affiliates receive compensation if we make our
affiliates’ products available within the Managed360 Program. In order to address this conflict,
BNYMA does not receive a sponsor fee or any other fees or compensation related to this product.
Mellon Investments may use quantitative models and tools to incorporate Client specifications for the
benchmark, Client-specific value screens, and tax management. Clients also are able to customize their
portfolio to meet specific requirements, such as security restrictions, industry/country limitations, and
individual tax requirements. Client portfolios may include securities representing US or non-US equity
market indexes. The team employs software designed to systematically harvest losses within the
portfolio and replace the securities sold at a loss with others of similar type and risk. For taxable
accounts, any savings realized by the reduction in taxes paid or postponed may improve returns when
measured in an after-tax basis. This after-tax return benefit presumes that participating Clients have
capital gains generated from other sources suitable for offset. Changes in tax law and/or the treatment
of capital gains could impact the after-tax returns from this strategy.
BNY Mellon Precision Direct Indexing S&P 500 has a $250,000 minimum investment. This product
is not available to non-US residents or retirement plans covered under ERISA. IRA accounts not
covered under ERISA are permitted in this product.
The Program Fee and Manager Fee for BNY Mellon Precision Direct Indexing S&P 500 accounts
are billed quarterly in advance, as follows:
BNY Mellon Precision Direct Indexing S&P 500
Account Size Program Fee Manager Fee
First $500,000 0.25% 0.30%
Next $500,000 0.20% 0.30%
Next $4,000,000 0.20% 0.25%
Over $5,000,000 0.17% 0.18%
The Program Fee for the BNY Mellon Precision Direct Indexing S&P 500 product includes the
clearing and custody fee and managed account platform fee paid to Pershing. To the extent that
Pershing Advisor Solutions is the broker, the Program Fee will also include administrative and
operational services provided by Pershing Advisor Solutions. The Manager Fee includes the portfolio
management fee paid to Mellon Investments.
In addition to the Program Fee and Manager Fee, the Consultant may add a reasonable advisory fee,
subject to the applicable written agreement between you and Consultant and/or the Firm.
10. BNY Mellon Target Risk Offshore Portfolios
BNY Mellon Target Risk Offshore Portfolios (“Target Risk Offshore Portfolios”), formerly known
as Lockwood Offshore Asset Allocation Portfolios, is a discretionary mutual fund and ETF wrap
account product with a $50,000 minimum investment that is available only to NON-RESIDENTS of
the United States. The funds included in the models are classified as Undertakings for Collective
Investment in Transferable Securities (“UCITs”), which are regulated by the European Securities and
Markets Authority (“ESMA”.) The UCITs funds are not registered in the United States under the
Investment Company Act of 1940 and are not available to US residents, however all of the funds will
be US dollar denominated. BNYMA, serving as the Portfolio Manager, determines asset allocation
strategy and selects investment vehicles for the portfolios, based on its proprietary approach to asset
allocation, macroeconomic outlook and investment discipline. These portfolios may consist of open
and closed-end mutual funds, and ETFs, as determined by BNYMA, in its sole discretion. This
process is described in more detail in Item 6 of this Brochure.
The Program Fee for Target Risk Offshore Portfolios accounts is billed quarterly in advance, as
follows:
BNY Mellon Target Risk Offshore Portfolios
Account(s) Size Program Fee
First $500,000 0.40%
Next $500,000 0.35%
Next $4,000,000 0.30%
Next $5,000,000 0.25%
Over $10,000,000 0.20%
BNYMA’s fees are negotiable under certain circumstances, in BNYMA’s sole discretion. You may
pay more or less than other Clients depending on certain factors, including the type and size of the
account(s), the historical or anticipated transaction activity, the range of services provided to you,
terms of the relationship between BNYMA and the Firm, and your total relationship assets under
management.
The Program Fee for Target Risk Offshore Portfolios includes BNYMA’s advisory fee, BNYMA’s
sponsor fee, and Pershing’s clearing and custody fee and managed account platform fee. The Program
Fee does not include fees or expenses that may be associated with the mutual funds and ETFs an
account invests in, which include the Ongoing Charges as described in the ESMA directives, advisory
fees and operational expenses such as transfer agent, distribution, shareholder servicing, networking
and recordkeeping fees and any transaction taxes associated with the underlying investments held.
Your account will bear these fees and expenses as an investor in such mutual funds and ETFs and, as
a result, you may bear higher expenses than if you invested directly in the securities held by the
respective mutual fund or ETF.
In addition to the Program Fee for Target Risk Offshore Portfolios accounts, the Consultant may add
a reasonable advisory fee, subject to the applicable written agreement between you and the Consultant
and/or the Firm.
With respect to mutual funds included in Target Risk Offshore Portfolios, the respective funds may
charge a redemption fee if shares are redeemed within a specified period of time. The amount of
the redemption fee, if any, as well as the minimum holding period, is disclosed in each of the
respective fund’s prospectuses. For complete details, you should review each fund’s prospectus.
The mutual funds included in Target Risk Offshore Portfolios are made available through Pershing.
In addition, certain mutual funds and their affiliates, including those that BNYMA invests in on
behalf of Target Risk Offshore Portfolios clients, pay networking fees, omnibus fees and compensate
Pershing for providing services to their funds that are available on a no-transaction-fee basis.
• Distribution Fees. These fees are paid by mutual funds to compensate Pershing or the broker-
dealer for providing distribution-related administrative and informational services, as
applicable, associated with each fund. Distribution fees are included in the total expense
ratio charged by each fund. In instances where BNYMA selects a share class that pays a
distribution fee the broker-dealer maintaining the brokerage account will receive payment
of the fee. In limited circumstances, BNYMA’s affiliate Pershing may receive a portion of
a distribution fee as compensation for services provided for custodied funds.
• Omnibus Fees. A number of funds compensate Pershing for providing record-keeping and
related services. Pershing generally holds a single “omnibus” account with the fund, and
therefore maintains all pertinent individual shareholder information for the fund. The
compensation for these services is commonly referred to as “omnibus fees.” Omnibus fees
compensate Pershing for providing these services, which would otherwise be required to be
provided by the fund. Omnibus fees are paid from investor assets in the funds, but in some
cases may be subsidized in part by affiliates or the distributor of the funds.
• Networking Fees. Positions for fund families that are not held on an omnibus basis are held
on a networked basis, which means Pershing maintains a separate account on behalf of each
shareholder. Networking fees compensate Pershing for providing these services, which
would otherwise be required to be provided by the fund. Networking fees are paid out of the
assets of the fund manager, but in some cases may be subsidized in part by affiliates or the
distributor of the funds.
• No-Transaction-Fees. Pershing receives compensation from funds that it makes available on
a no-transaction-fee basis for services provided to the funds. This compensation is paid out
of the assets of the fund manager, but in some cases may be subsidized in part by affiliates
or the distributor of the funds.
Mutual fund companies offer a variety of share classes with different expense levels, and the amount
of compensation Pershing receives will vary depending on whether the fund companies, mutual
funds or share classes pay distribution fees, omnibus fees, networking fees, or are offered on a no-
transaction-fee basis, and on the amount of such compensation. Not all mutual funds and share
classes available to the investing public will be available to BNYMA for use in Target Risk Offshore
Portfolios, and clients should not assume that BNYMA is selecting share classes with the lowest
available expense ratio. The share class of a fund selected by BNYMA can have higher expenses
(including because of compensation paid to Pershing), than other share classes of that mutual fund
for which a client is eligible or that might otherwise be available if a client invested in the mutual
fund through a third party or through the mutual fund directly. An investor who holds a more
expensive share class of a fund will pay higher fees over time – and earn lower investment returns –
than an investor who holds a less expensive share class of the same fund. When evaluating the
reasonability of fees and the total compensation BNYMA receives, you should consider not just the
Program Fee, but also the additional compensation BNYMA’s affiliates receive from the funds in
Target Risk Offshore Portfolios.
When selecting the share class of a mutual fund used in Target Risk Offshore Portfolios, BNYMA has
a conflict of interest to the extent that its selection of a particular share class results in greater
compensation to Pershing. BNYMA addresses this conflict through a combination of disclosure to
clients and through policies and procedures designed to prevent BNYMA from considering the fees
received by affiliates when selecting a fund or share class. BNYMA reviews the mutual funds contained
in its discretionary portfolios semi-annually to review share class considerations.
Regulation of mutual funds and exchange traded funds qualifying as UCITs is governed by directives
issued by the European Securities and Markets Authority (“ESMA”) and its predecessor, the Committee
of European Securities Regulators (“CESR”.) The UCITs directives provide for restrictions on the
eligible assets for investment, place limits on borrowing, and contain detailed diversification rules all
of which affect the UCIT manager’s discretion. These directives make investments in UCITs more
exposed to market risks associated with those underlying investments. More details can be found in the
prospectus and key investor information document for each UCIT fund.
Investors in Target Risk Offshore Portfolios must be aware that their personal information is required
for the administration and implementation of their accounts and that it will be stored and processed in
the United States. Unlike the European Union and some other jurisdictions, which may include the
investor’s country of domicile, the United States does not have a single comprehensive set of rules and
regulations governing the protection and use of personal information and may therefore not be as
protective as the country of the investor’s residence.
Investment in Target Risk Offshore Portfolios is limited to residents of certain countries identified by
BNYMA and because the mutual funds and ETFs are not registered in the eligible countries each
investor must be a qualified or professional investor in their country of residence or otherwise eligible
to invest in unregistered securities. This Brochure is provided to investors in Target Risk Offshore
Portfolios for informational purposes only and is not an offer or solicitation in respect of any products,
services or programs discussed.
If you have multiple Target Risk Offshore Portfolios accounts, BNYMA may combine your
accounts for fee calculation purposes, subject to certain restrictions.
11. Investment Strategy Portfolios
BNYMA may also offer a diversified series of Investment Strategy Portfolios, which are suggested
separate account Portfolio Manager mixes consisting of options for taxable accounts and total return
options for larger accounts as described in Item 5. Not available to non-US residents. BNYMA
designs these proprietary asset allocations to meet a Client’s stated investment objectives. In the
Investment Strategy Portfolios, BNYMA selects certain Portfolio Managers and/or investment
vehicles for the asset allocation. You and your Consultant may override BNYMA’s suggestions as
to Portfolio Manager(s) or investment vehicle(s), in whole or in part. BNYMA does not charge any
fee in addition to the Program Fee for this service.
12. Advisory Consulting Services
BNYMA may provide advisory consulting services (“ACS”), consisting of proposal support,
portfolio analysis, and program consultation, to Firms and Consultants. Upon request of a Firm or
Consultant, analysts on the ACS team may provide consultative services regarding the available
Portfolio Managers for a given asset class, or a deeper analysis on the performance and/or holdings
of a “Covered Manager,” as defined in Item 6. Further, upon request of a Firm or Consultant, analysts
may provide an analysis of an investor’s current portfolio of assets, or guidance on which Portfolio
Manager may be an appropriate match for the investor. This analysis may also include guidance on
how the Consultant can rebalance the account among existing Portfolio Managers or by changing to
another Portfolio Manager or investment product. BNYMA does not charge a fee in addition to the
Program Fee for this service. BNYMA does not assume responsibility for your Firm’s or Consultant’s
regulatory compliance or for providing advice or recommendations directly to you. The Firm and/or
Consultant is responsible for independently evaluating any output provided by the ACS team, and for
determining whether or not to implement any practices suggested as a result thereof.
13. Performance Link
Performance Link allows for consolidated performance reporting of managed accounts and retail
accounts. BNYMA makes this consolidated reporting available on a quarterly basis. You select the
performance benchmark to be applied to the affected accounts.
The fee for Performance Link functionality is on a per account basis (based on Account Level Assets),
as follows:
Performance Link
Account Size Fee
First $500,000 0.03%
Next $500,000 0.02%
Over $1,000,000 0.00 %
The minimum fee charged per quarter per account is $35.00. The maximum fee charged per quarter
per account is $62.50.
E. Additional Fee Information
1. The Program Fee
You pay an asset-based fee to participate in the Program (the “Program Fee”). The applicable Program
Fee depends on the product you have selected and is described above in Section D. The Program Fee
is a bundled fee, which, unless noted otherwise in Section D, generally covers program administration
services provided by BNYMA, custody and clearing of transactions and managed account platform
services provided by BNYMA’s affiliate, Pershing, administrative services provided by the Firm, if
applicable, and the discretionary asset management services provided by the Portfolio Manager,
including BNYMA when acting as a discretionary manager. There may, however, be additional
charges such as wire transfer fees or commissions for trades not executed through Pershing. The
Program Fee does not cover trades executed through broker-dealers other than Pershing. Please refer
to Section F.2 (Transaction Charges Resulting From Trades Effected Through Broker-Dealers Other
Than Pershing) below regarding the reasoning and added costs and fees you may incur when your
Portfolio Manager elects to execute trades away from Pershing. The Program Fee is separate from the
fee charged by the Consultant. These services may cost you more or less than purchasing similar
services separately, assuming the services could be purchased directly from the various providers
thereof. The Program is available only for a fee that is based upon a percentage of assets under
In evaluating a wrap program, Clients should consider a number of factors. In many instances, a client
is able to obtain some or all of the services available through a particular wrap fee program on an
“unbundled” basis through the program sponsor or through other firms and, depending on the
circumstances, (for example portfolios holding fixed income securities may not be traded as frequently
as portfolios holding equities due to a more limited market for those securities and/or the investment
philosophy of certain fixed income managers), the aggregate of any separately paid fees may be lower
(or higher) than the single, all-inclusive fee charged in the wrap fee program. Payment of an asset-
based fee may or may not produce accounting, bookkeeping or income tax results that differ from those
resulting from the separate payment of (i) securities commissions and other execution costs on a trade-
by-trade basis and (ii) advisory fees. Any securities or other assets used to establish a wrap fee program
account may be sold, and the Client will be responsible for payment of any taxes due. BNYMA
recommends that each Client consult with his or her tax adviser or accountant regarding the tax
treatment of wrap fee program accounts.
2. Modification of Fee Schedules
BNYMA reserves the right, in its sole discretion, to negotiate or modify (either up or down) the basic
fee schedule(s) set forth herein for any Client due to a variety of factors, including but not limited to:
the level of reporting and administrative operations required to service an account, the investment
strategy or style, the number of portfolios or accounts involved, and/or the number and types of
services provided to the Client. Because BNYMA’s fees are negotiable, the actual fee paid by any
Client or group of Clients may be different from the fees reflected in BNYMA’s basic fee schedule(s)
set forth herein.
3. Householding
If you have more than one account in the Program, your accounts may be “householded” for purposes
of calculating the fee. A “household” is generally a group of accounts having the same address of
record or same Social Security number, subject to certain rules. Individual retirement accounts
(“IRAs”), SIMPLE IRAs and other personal retirement accounts generally may be combined for
householding purposes; however, other retirement plan accounts subject to the Employee Retirement
Income Security Act of 1974 (“ERISA”) and charitable remainder trusts may not be included. The
accounts that may be householded are subject to BNYMA’s approval. BNYMA calculates a household
fee by totaling the market value of all the accounts in the household and charging the accounts
according to the applicable fee schedule. The fee for each householded account is allocated on a pro-
rata basis to each account. Each account’s pro-rata amount is calculated by computing the market value
of each account as a percentage of the total market value of all accounts in the household.
4. Delegation of Services
As discussed in Section A of this Item 4, BNYMA has delegated certain administrative services to
Managed Accounts. As such, BNYMA pays a portion of its fee to Managed Accounts.
5. Inception and Post-Inception Billing
At inception, fees are billed in advance from the date the account is opened through the end of that
calendar quarter. Thereafter, fees are billed in advance for the next calendar quarter based on the
value of the assets at the end of the prior calendar quarter. Unless you instruct otherwise, the custodian
debits your account for the fees charged by BNYMA, its clearing agent, the selected Portfolio
Manager(s), and/or Third Party Model Providers(s) and the Consultant, and remits the fees to the
respective parties accordingly. BNYMA does not make fee adjustments for deposits or withdrawals
made during a calendar quarter in accounts in the program.
6. Account Termination
You may terminate your account agreement, without penalty, within five (5) days of BNYMA’s
execution of the investment advisory agreement. Thereafter, you may terminate the account at any
time in which case fees will be prorated from the start of the current billing period through the
termination date. BNYMA may charge a termination fee of $300.00 for a termination occurring
during the first year after an account is opened. Because BNYMA typically charges its fee quarterly
in advance based on the assets as of the close of business at the end of the prior quarter, the daily
proration upon termination after the first year may result in a rebate of the unused portion of the
quarterly fee.
BNYMA may, at its sole discretion, terminate your account as long as BNYMA notifies you in
advance, subject to the terms of your agreement with BNYMA. After such termination, BNYMA
shall not have any authority over, or responsibility for, investments held in the account, and BNYMA
shall not be liable to you for any loss incurred by you.
7. Clearing and Custody Fee
Pershing provides clearing services to the Broker with respect to the Program. Pershing may also
provide clearing and related services to the Broker for accounts not in the Program, subject to a
separately negotiated clearing agreement and fee schedule.
8. Consultant Fee
Generally, Consultants charge advisory fees for their services, which will vary from Consultant to
Consultant, depending on various factors, including the size of your account relationship and the
consulting services provided to you. Consultants may combine their fee with the other fees
described above in an all-inclusive manner for presentation purposes. Alternatively, your
Consultant may charge its fee separately from the services described herein, and this fee may be
higher or lower than the all-inclusive fee depending on your relationship with the Consultant and
the level of services provided to you. The amount of the Consultant’s fee may be higher or lower
than what the Consultant would receive if you participated in other programs or paid separately for
investment advice, brokerage and other services.
BNYMA recommends, and certain state laws require, that you sign a separate contract with your
Consultant relating to the Consultant’s fee.
F. Other Fees
There may be other costs assessed which are not included in the Program Fee, such as fees,
expenses and charges levied by mutual funds, ETFs and money market funds as described above in
Section D. This section describes additional fees not included in the Program Fee.
1. Additional Fees Charged by the Custodian
There may be other costs assessed which are not included in the Program Fee, such as fees,
expenses and charges levied by mutual funds, ETFs and money market funds. As described above,
certain Third Party Model Providers may assess a Model Fee. In addition, there are other fees
charged by the custodian, as applicable, that are not included in your Program Fee, such as costs
associated with the purchase and sale of certain mutual funds and other similar securities held in
your account, dealer mark-ups, mark-downs, odd- lot differentials, exchange or auction fees,
transfer taxes, costs for transactions executed other than at the custodian, any fees imposed by the
SEC, electronic fund and wire transfer fees, fees for client-initiated transfers, costs associated with
temporary investment of your funds in a cash management account, trust services charges, annual
IRA custodial fees, IRA termination fees, custodial fees for prototype pension and profit sharing
plans and Keoghs, custodial fees associated with special circumstances or events, such as transfer
on death, returned check fees, paper delivery surcharges for brokerage statements and trade
confirmations, and other charges mandated by law. Fees related to paper delivery of confirmations
and statements are determined by your broker-dealer. Please reach out to your Consultant should
you have any questions relating to these charges.
Further, interest will normally be charged on a negative balance in your account. If Pershing has
custody of the assets, it will credit interest and dividends to the account. Please review your
investment advisory agreement for further information on how BNYMA charges and collects fees.
Mutual Fund Surcharge
If you are invested in an SMA and your account holds mutual funds, your account may be charged a
$10.00 surcharge by the custodian for each purchase and sale transaction in the mutual funds of
certain mutual fund families (“Mutual Fund Surcharge”). The Mutual Fund Surcharge is in addition
to the SMA Program Fee and will be listed on your custodial statement. You will not be charged a
Mutual Fund Surcharge for your Target Risk Portfolios, AdvisorFlex Portfolios, Target Risk Focus
Portfolios, BNY Mellon/American Funds Core Portfolios, Target Risk Offshore Portfolios, Flexible
UMA, Target Retirement Date Portfolios or BNYMA Third-Party Strategists accounts.
2. Transaction Charges Resulting from Trades Effected Through Broker-Dealers Other
Than Pershing
As noted above, the Program Fee does not cover transaction charges or other charges, including
commissions, markups and markdowns, resulting from trades affected through or with a broker-
dealer other than Pershing, which is the custodian. For this reason, the Portfolio Manager you have
selected may determine that placing your trade orders with Pershing is in your best interest.
Your Portfolio Manager may, however, place your trade orders with a broker-dealer firm other than
Pershing if your Portfolio Manager believes that doing so is consistent with its obligation to obtain
best execution. This is frequently referred to as “trading away” or “step out trades.” The Portfolio
Manager – and not BNYMA – decides as to when it trades with Pershing or away from Pershing.
BNYMA does not restrict a Portfolio Manager’s ability to trade away, as the Portfolio Manager’s
fiduciary duty to you, as well as its expertise in trading its portfolio securities, makes the Portfolio
Manager responsible for determining the suitability of trading away from Pershing.
In some instances, step out trades are executed without any additional commission, mark-up, or
mark-down, but in many instances, the executing broker-dealer may impose a commission or a
mark-up or mark-down on the trade. In addition, some Portfolio Managers executing trades in US
Treasuries will incur a system cost from the portal through which the trades are processed. These
trading costs are not covered by the Program Fee outlined in Section (E)(1) above and will likely
result in additional costs to you, although these additional trading costs may not be reflected on
trade confirmations you receive or on your account statements. Typically, the executing broker will
embed the added costs into the price of your trade execution, making it difficult to determine the
exact added cost for your transaction executed away from Pershing.
You should review the Form ADV Part 2A Brochure of the Portfolio Manager you have selected for
more information regarding that Portfolio Manager’s brokerage practices and conflicts of interest,
and consider the additional expenses that you may incur. Also, as part of the review of your
Portfolio Manager’s disclosure and expected fees, you should also discuss the Portfolio Manager’s
practices regarding “trade away” or “step out trades” in order to determine how often they engage in
such practices and how they seek to ensure that you receive best execution for those transactions
when they decide to do so.
In addition, please refer to Exhibit A and Exhibit D for more information regarding BNYMA’s
review of the Portfolio Managers that traded away from Pershing.
3. Fees Related to International Investment Styles
Certain Portfolio Managers which offer international investment styles may purchase securities on
foreign exchanges (known as “Ordinaries”), which may be held in your account as Ordinaries or
may be converted to American Depositary Receipts (“ADRs”) prior to being added to your
account.
Portfolio Managers may include exposure to both domestic and foreign stocks in order to achieve
greater diversification with the goal of increasing the likelihood that a portfolio's overall investment
returns will have less volatility. The reason is because international investment returns sometimes
move in a different direction than U.S. market returns. Even when international and U.S.
investments move in the same direction the degree of change may be different. You should balance
these considerations against the possibility of higher costs, sudden changes in value, and the special
risks of international investing.
Like any other investment, you should learn as much as you can about any investment style before
you invest. You should research the political, economic, and social conditions that may impact the
investment style your Portfolio Manager may employ so you will understand better the factors that
may affect the fees that may be associated with making such an investment. Prior to investing in an
international investment style that may include ADRs, investors should ask their Portfolio Managers
what fees are charged to them as an ADR investor, how those fees will be assessed and how the fees
or related costs will be disclosed on your account statement.
International investing in various products can be more expensive than investing in U.S. companies.
For instance, in smaller markets you may have to pay a premium to purchase shares of popular
companies and in some countries there may be unexpected taxes, such as withholding taxes on
dividends. Transaction costs such as fees, brokers’ commissions, and taxes often are higher than in
the U.S. markets. Likewise, much like investing in specific ADRs, many mutual funds that invest
abroad often have higher fees and expenses than funds that invest in U.S. stocks, in part because of
the extra expense of trading in foreign markets.
BNYMA’s research indicates that many Portfolio Managers will charge certain hard dollar fees
associated with executing in local foreign markets, which, as mentioned above, are not included in
the Program Fee. These fees typically include, but are not limited to, brokerage expenses, local
market execution fees and taxes, exchange-specific taxes/stamp fees, duties/levies, ADR conversion
fees, and/or additional settlement and custody charges. Please refer to your Portfolio Manager’s
Form ADV Part 2A Brochure to understand the potential added costs and fees that may be incurred
under such an investment style.
Pershing may separately assess a fee for such transactions.
Certain non-U.S. jurisdictions may impose taxes on securities transactions. If you own an
investment style containing any securities subject to such a tax your account will be assessed this
tax, which will be remitted to the government of the applicable non-U.S. jurisdiction.
Pershing may use a third-party broker-dealer licensed in Canada, which entity may be paid certain
execution fees.
BNYMA enters into transactions with unaffiliated counterparties or third-party service providers
who can be using affiliates of ours to execute such transactions. Additionally, when BNYMA
effects transactions in American Depositary Receipts (“ADRs”) or other securities, the involved
issuers or their service providers could be using affiliates of BNYMA for support services. Services
provided by BNYMA’s affiliates to such unaffiliated counterparties, third party service providers
and/or issuers include, for example, clearance of trades, purchases or sales of securities, serving as
depositary bank to issuers of ADRs, providing foreign exchange services in connection with
dividends and other distributions from foreign issuers to owners of ADRs, or other transactions not
contemplated by BNYMA. Although one of our affiliates receives compensation for engaging in
these transactions and/or providing services, the decision to use or not use an affiliate of BNYMA
is made by the unaffiliated counterparty, third-party service provider or issuer. Further, BNYMA
will likely be unaware that the affiliate is being used to enter in such transaction or service.
G. Affiliate Compensation
BNYMA does not charge or receive compensation in connection with the sale of securities, mutual
funds or other investment products. However, certain of our affiliates may accept compensation
(also referred to as “commissions”) for the sale of securities, mutual funds or other investment
products. Accepting commissions for the sale of securities, mutual funds or other investment
products gives rise to a conflict of interest in that it may give an incentive to recommend investment
products based on the compensation our affiliates may receive, rather than solely on a Client’s
needs. BNYMA addresses this conflict of interest by structuring the wrap fee programs it sponsors
so that fees are based on assets under management, rather than transactions. The unaffiliated
Portfolio Managers participating in this program, however, may independently direct trades to an
affiliate of BNYMA whereby such affiliate receives commissions. Please refer to the Portfolio
Manager’s Form ADV Part 2A Brochure for information about your Portfolio Manager’s brokerage
practices and conflicts of interest.
H. Sweep Options
You may choose from a selection of money market funds or other short-term cash vehicles (“Sweep
Options”) that are available through your Broker for non-IRA or non-ERISA accounts for
investment of any cash held overnight in a brokerage account at your Broker. The universe of
Sweep Options made available to you is in the sole discretion of your Broker, except where
Pershing Advisor Solutions is the Broker. These funds are fully described in each fund’s
prospectus, which you should review in detail. You will receive a prospectus for the money market
fund when you open your account and it will contain a complete description of any relevant fees
and/or expenses.
In utilizing money market or other funds, Pershing may receive a benefit from its possession and
temporary investment of cash balances in your accounts prior to investment, whether in a sweep
arrangement or otherwise. Pershing may be paid certain fees relating to these funds, such as
networking or 12b-1 fees. Pershing does not receive any fees or compensation from the non-FDIC
insured sweep vehicle(s) designated for IRA and ERISA accounts.
You could lose money by investing in a money market fund. Although the fund seeks to preserve the
value of your investment at $1.00 per share, it cannot guarantee it will do so. The fund may impose a
fee upon sale of your shares or may temporarily suspend your ability to sell shares if the fund's
liquidity falls below required minimums because of market conditions or other factors. An
investment in the fund is not insured or guaranteed by the Federal Deposit Insurance Corporation or
any other government agency. The fund's sponsor has no legal obligation to provide financial support
to the fund, and you should not expect that the sponsor will provide financial support to the fund at
any time.
Where Pershing Advisor Solutions is the Broker, the Sweep Options available to you will include
some investment vehicles where an affiliate of BNYMA is the investment manager. You have the
option of selecting a BNYMA-affiliated fund or another fund.
Portfolio Managers and Third Party Model Providers include allocations to cash in their portfolios
and Models. These allocations to cash are considered invested assets for purposes of calculating
Portfolio Managers’ and Third Party Model Providers’ asset-based fees.
I. Class Actions and Other Litigation
It is BNYMA’s policy that it does not advise, initiate or take any other action on your behalf
relating to securities held in your account managed by BNYMA in any legal proceeding (including,
without limitation, class actions, class action settlements and bankruptcies). BNYMA does not file
proofs of claim relating to securities held in your account and does not notify you or your custodian
of class action settlements or bankruptcies relating in any way to such account.
J. Review of Consultant Fees Exceeding 2% and Total Fees Exceeding 3%
BNYMA carefully reviews fees in order to comply with the SEC staff’s position regarding
investment advisory fees. See SEC reply to No-Action Request, John G. Kinnard & Co. Inc.
(October 30, 1973) and SEC reply to No-Action Request, Consultant Publications, Inc., (December
30, 1974). BNYMA has implemented a procedure to identify individual Consultant fees that
exceed 2% and total fees that exceed 3%. If there are any exceptions, BNYMA will request
additional information from the Consultant and the Firm.