Dinsmore & Shohl LLP
  January 12, 2023 - Louisville, Kentucky

DCS Alert: Division of Investment Management Marketing Rule FAQ- January 11, 2023
  by Kevin S. Woodard

On January 11, 2023 the SEC Division of Investment Management issued an additional Marketing Rule FAQ.  The newly issued FAQ addresses gross and net performance requirements applicable to private fund case studies, single investments and/or groups of investments, i.e. extracted performance.  Specifically, the Question provides as follows:

Q. When an adviser displays the gross performance of one investment (e.g., a case study) or a group of investments from a private fund, must the adviser show the net performance of the single investment and the group of investments?

In responding “yes,” the Division of Investment Management provides that displaying the performance of one investment or a group of investments in a private fund is an example of extracted performance under the Marketing Rule.  The extracted performance provisions of the Marketing Rule are intended to address the presentation by advisers of selective profitable performance with the benefit of hindsight, and these requirements are applicable to a subset of investments.  Therefore, an adviser may not show gross performance of one or a group of investments without showing net performance.

The Division of Investment Management also reminds advisers of the application of the General Prohibitions of the Marketing Rule to any such marketing materials.  Specifically, that extracted performance marketing materials must be presented in a fair and balanced manner. 

Summary of Marketing Rule Extracted Performance Requirements – Application of the General Prohibitions

As a reminder, the following requirements relating to extracted performance are provided in the Marketing Rule or otherwise described in the Adopting Release –

Also as a reminder, the Marketing Rule defines extracted performance as “the performance results of a subset of investments extracted from a portfolio.”  Therefore, performance that is extracted from multiple portfolios is not extracted performance as defined in the Marketing Rule because it is not a subset of investments extracted from a portfolio.  Performance presented in this manner is generally deemed by the SEC to be hypothetical performance, and subject to all of the Marketing Rule requirements applicable to hypothetical performance marketing material.

View the FAQs here




Read full article at: https://www.dinsmore.com/publications/dcs-alert-division-of-investment-management-marketing-rule-faq-january-11-2023/