Operational Risks and Your Custodian: A Perfect Match?



Similar documents
JPMorgan Network Management: Subcustodian Selection, Monitoring, Due Diligence and Risk

Custody Services - Advantages and Disadvantages

Best practice guidelines for depositary banks in relation to the safekeeping of assets from UCITS funds held through the traditional custody network

What s in a Name: White-Label Funds in DC Plans

PART I - PRELIMINARY...1 Objective...1 Applicability...2 Legal and Regulatory Provision...2

THE WORLD MARKETS COMPANY PLC DESCRIPTION OF SERVICES AND CONFLICTS OF INTEREST DISCLOSURE STATEMENT MARCH 1, 2015

Dartmouth College Endowment Investment Policy Statement Updated August 2013

Rethinking Fixed Income

FOREIGN EXCHANGE RISK MANAGEMENT

NATIONAL FINANCIAL SERVICES LLC

Securities Lending 101

Sample Financial institution Risk Management Policy 2011

Deutsche Bank Global Transaction Banking. Securities Services. Overview

Morgan Stanley. Policy for the Management of Third Party Residential Mortgage Servicing Providers

Citi OpenInvestor. Hedge Fund Services. Focused Solutions Specialized Expertise. Transaction Services

EURIBOR - CODE OF OBLIGATIONS OF PANEL BANKS

MERCHANT NAVY OFFICERS PENSION FUND STATEMENT OF INVESTMENT PRINCIPLES

Asset Management. Comptroller s Handbook. Comptroller of the Currency Administrator of National Banks

Understanding SAS 70 Reports on Internal Control

NATIONAL FINANCIAL SERVICES LLC

National Financial Services LLC. A guide to your brokerage account

September 2010 Report No

INTERACTIVE BROKERS LLC A Member of the Interactive Brokers Group

NATIONAL FINANCIAL SERVICES LLC STATEMENT OF FINANCIAL CONDITION AS OF DECEMBER 31, 2015 AND REPORT OF INDEPENDENT REGISTERED PUBLIC ACCOUNTING FIRM

RISK DISCLOSURE STATEMENT FOR FOREX TRADING AND IB MULTI- CURRENCY ACCOUNTS

HSBC Mutual Funds. Simplified Prospectus June 8, 2015

IPS RIA, LLC CRD No

on Asset Management Management

Statement of Policy for the Risk Management Program

Sound Practices for the Management of Operational Risk

The Master Statement of Investment Policies and Objectives of The Lower Colorado River Authority Retirement Plan and Trust. Amended June 16, 2015

Third Party Relationships

APPENDIX A NCUA S CAMEL RATING SYSTEM (CAMEL) 1

Separately managed accounts

STATEMENT OF FINANCIAL CONDITION

How a thoughtful FX strategy can give Fund Managers a competitive edge

Score. Stifel CONQUEST Portfolios. Research-Driven Portfolios PORTFOLIO STRATEGY EXCHANGE TRADED FUNDS. Ease of Diversification

Asset Management Portfolio Solutions Disciplined Process. Customized Approach. Risk-Based Strategies.

Private Market Real Estate Investment Options for Defined Contribution

6/8/2016 OVERVIEW. Page 1 of 9

Office of the State Treasurer 200 Piedmont Avenue, Suite 1204, West Tower Atlanta, Georgia

As of July 1, Risk Management and Administration

February 22, 2015 MEMORANDUM

Credit Union Liability with Third-Party Processors

Good Practice Checklist

Interactive Brokers Group Strength and Security

How To Invest In American Funds Insurance Series Portfolio Series

Form ADV Part 2A Brochure March 30, 2015

GeoWealth Management, LLC. 444 N. Michigan Avenue, Suite 820 Chicago, IL March 2015

Guidelines for Financial Institutions Outsourcing of Business Activities, Functions, and Processes Date: July 2004

Improving Foreign Exchange

Saxo Capital Markets CY Limited

Retirement Plans Investment Policy Statement

Supporting Statement for the. (Proprietary Trading and Certain Interests in and Relationships with Covered Funds) (Reg VV; OMB No.

Fixed Income Investments. Private Banking USA

How To Understand The Fundamentals Of Securities Custody

Your custodian of choice.

AVANTGARD Treasury, liquidity risk, and cash management. White Paper FINANCIAL RISK MANAGEMENT IN TREASURY

Solutions for Balance Sheet Management

The Re-Emergence of Collective Investment Trust Funds

HSBC Mutual Funds. Simplified Prospectus June 15, 2016

GOLDMAN SACHS EXECUTION & CLEARING, L.P. and SUBSIDIARIES

ESM Management Comments on Board of Auditors Annual Report to the Board of Governors for the period ended 31 December 2014

A Roadmap to Defining an Optimal FX program

TMLS Singapore Bond Fund (the Fund ) is an investment-linked policy sub-fund offered by Tokio Marine Life Insurance Singapore Ltd.

General Risk Disclosure

Best Practices for Credit Risk Management. Rules Notice Guidance Notice Dealer Member Rules

FRIEDLAND CAPITAL INC. GUIDE TO AMERICAN DEPOSITARY RECEIPTS

National Bank of Ethiopia Risk Management Guideline for insurance Companies in Ethiopia

Public Employees Individual Retirement Account Fund/Deferred Compensation Plan (A Component Unit of the State of Alabama)

GUIDELINES ON COMPLIANCE FUNCTION FOR FUND MANAGEMENT COMPANIES

Schroders Schroder Global Blend Fund

Foreign Exchange. Prime Brokerage. Product Overview and Best Practice Recommendations

Defining Treasury Success. Establishing and Automating Treasury Metrics

Retirement Funding Advisors, Inc M-15 Clarkston, MI

Investment Advisory Agreement

THE BOARD OF DIRECTORS OF THE DEPOSITORY TRUST & CLEARING CORPORATION MISSION STATEMENT

Part 2A of Form ADV: Firm Brochure

Best Practices. for Treasury, Agency Debt, and Agency Mortgage- Backed Securities Markets. Revised November 2012

State Street Global Equity Fund ARSN APIR SST0050AU

The Future of Investment Compliance for Asset Owners: The Next Great Transformation

Internal Control Systems and Maintenance of Accounting and Other Records for Interactive Gaming & Interactive Wagering Corporations (IGIWC)

NORTH CAROLINA DEPARTMENT OF STATE TREASURER INVESTMENT MANAGEMENT DIVISION. External Investment Manager and Vehicle Selection Policy and Procedures

Client Alert The Volcker Rule Proprietary Trading Prohibition:

LifePath Index 2060 Fund Q

Statement of Investment Policies and Goals. Saskatchewan Pension Plan Annuity Fund. As of January 1, APPROVED on this 9 th day of December, 2014

Retirement Connections: A Professionally Managed Solution

GUIDANCE FOR MANAGING THIRD-PARTY RISK

INVESTMENT POLICY April 2013

Foreign Exchange Investments Discover the World of Currencies. Private Banking USA

Transcription:

Operational Risks and Your Custodian: A Perfect Match? November 2014 Hewitt EnnisKnupp, An Aon Company 2014 Aon plc

Introduction Institutional investors have always been concerned about risk, but with the increasing complexity of investment opportunities, the broadening of asset allocations beyond simply stocks and bonds, and the global nature of investment portfolios, monitoring all the risks associated with an investment program has become a more significant undertaking. This paper identifies the operational risks that institutional investors face specifically those risks that come with safekeeping, monitoring, and reporting on a plan s assets and discusses the implications for evaluating custodians. Whether a plan utilizes separate accounts, requires consolidated reporting, or needs assistance with benefit payments, cash movement, or private asset reporting, most institutional investors rely heavily on the custodian bank to provide operational support for the investment program. Therefore, institutional investors should evaluate a custodian s capabilities through an operational risk lens. This paper establishes the operational risk lens institutional investors should use when evaluating their custodian by: 1. Defining the key operational risks faced by institutional investors; and 2. Summarizing, for each identified risk, the capabilities, processes, and infrastructure a custodian should possess to be a perfect match for a program that faces that risk. Role of a Custodian Bank The primary role of a custodian bank is to hold in safekeeping the assets of its clients. Similar to a personal investment account, the custodian maintains the position information on behalf of clients while also facilitating trading, providing pricing information, and managing cash activity. The key responsibilities of a custodian bank are to: Hold assets in custody. This occurs onshore, offshore with an affiliate, or offshore with a subcustodian. When needed, the main custodian is responsible for selecting the sub-custodian. Provide daily and/or monthly asset pricing. Pricing information is provided to custodians by thirdparty vendors that are reviewed for accuracy and methodology. Monitor and settle depository transactions. Custodians are also critical in monitoring and settling trades. They are connected electronically to the depositories, providing operational efficiencies and economies of scale when initiating and settling trades. Consulting Investment Consulting 1

Monitor and post income payments. Custodians track and record interest on bonds and equity security dividends. The custody system monitors the scheduled payment date and ensures the correct payment is posted to the right account. Provide audited reporting. The custodian provides final market value, transactions, cash positions, and cash activity on a daily or monthly basis. Other services that custodian banks often provide include proxy voting, tax reclaim services, corporate actions, cash management, performance reporting, risk reporting, compliance monitoring, securities lending, and foreign exchange. The largest, most sophisticated and capable global custodian banks bring many advantages when they provide operational services. The economies of scale they are afforded by servicing trillions of dollars in assets keeps costs low and service levels high. Their dedication to the custody business is evidenced by investments in personnel and technology, and also is driven by the percentage and level of revenue the custody business provides to the overall bank organization. They benefit from the global network (e.g., sub-custodian network, depositories) they have developed over many years of servicing global clients. Because institutional investors rely heavily on their custodian banks to provide operational support, custodian banks should be evaluated based on their ability to mitigate the investor s key operational risks. Here, we provide a framework for performing this evaluation. Operational Risks: Finding Their Perfect Match We identify 12 key operational risks that are faced by institutional investors and offer guidance on the processes, capabilities, and expertise a custodian must possess to help mitigate them (i.e., what makes a custodian the perfect match ). Not every investment program will be exposed to every one of these operational risks, but a significant portion will apply to all institutional investment programs. 1. Headline Risk This is the risk that the custodian experiences a high-profile negative event that spreads throughout the media and negatively impacts the institution s credibility. Headline risk is important to consider because a significant organizational issue at a custodian can cause undue concern and scrutiny, and force change. Organizational stability is also important because of the exposure institutional investment programs have to the custodian bank. Should there be any significant issues, there could be risk to the safety of the assets, the ability to process transactions, and other operational complexities. Consulting Investment Consulting 2

Evaluating and monitoring a custodian s financial and organizational stability is paramount in mitigating headline risk. Key factors include capital ratios, credit ratings, total assets under custody, revenue generated by custody operations, and the SSAE16 report. In recent years, the number of lawsuits filed against custodian banks or their parent organizations has increased; therefore, institutional investors should be aware of the level and breadth of any legal issues faced by the custodian banks. 2. Contract Risk Contract risk is the risk that something material is missing from the custody contract or that key operational topics have not been clearly or completely described. Lack of clarity in key areas presents significant risk. Investors should conduct a comprehensive evaluation of the custody contract on a periodic basis (typically every three to five years) and if possible, compare the current document to other custodian contracts. There are a number of key operational factors to evaluate within the custodial agreement to ensure they have been clearly defined, including the roles and responsibilities of the custodian and client, the description of services provided by the custodian, and the level or existence of indemnification should the custodian make a mistake. In addition, legal counsel should be intimately involved in the negotiation process to ensure that the contract suitably protects the client from losses due to negligence, fraud, and willful misconduct. 3. Regulatory Risk Regulatory risk is the risk that a custodian bank is adversely affected by or is out of compliance with a regulation, likely resulting from a lack of preparedness. The regulatory environment is extremely fluid and custodian banks must stay abreast of changes. We expect a custodian bank to have a group dedicated to regulatory affairs. While it is not necessary that this group reside within the custody division, we do expect that the custody division participate in regulatory oversight efforts. Changes to regulations can impact the viability of business lines or products. Utilizing a team of individuals to analyze regulatory implications on the firm s overall business strategy and to participate in industry trade groups is something we view favorably. Consulting Investment Consulting 3

4. System Integration Risk System integration risk relates to the integration of systems, and is the risk that the conversion of raw custody data to accounting reports is not completed in an accurate, timely, and automated fashion. System integration risk also covers the risk that the accounting data does not accurately and seamlessly flow through to other platforms such as performance reporting, compliance monitoring, and private asset administration. Additionally, there is the risk that the underlying feeds providing inputs to client-ready reports are of insufficient quality. System integration risk can be evaluated by understanding the systems and processes the custodian has in place to flow data through the various custody platforms, how the systems are built and maintained, the frequency of data transmission, how much manual intervention is involved, and the reconciliations that are performed. 5. Trading Risk Custodian banks process millions of trades every day and are ultimately responsible for ensuring that trades are processed correctly (meaning cash and securities get to the right place at the right time). Trading risk is simply the risk that a trade is not settled or processed appropriately and causes losses or liquidity issues within the investment program. Sound procedures for processing and settlement help ensure that trades will not fail. Such procedures should be refined over time as markets develop and innovations occur. When possible, we expect a custodian to be a direct participant in a given market, and to have an automated process with real-time updates. The settlement cycle varies by security type, and custodian banks should have visibility into the process throughout the cycle to ensure timely and accurate settlement. It is best practice to use strategies such as pre-matching and to have real-time communications with depositories or local agents. Institutional investors should also ensure that the custodian has separate, specialized teams that liaison with investment managers and trading desks. 6. Data Management Risk In any situation where information is stored on a technology system, there is risk that the data is not accurately maintained. The more complex the program, the more exposure investment programs have to data management risk. Complexity can be driven by an array of factors such as asset size, type of Consulting Investment Consulting 4

investments held, number of accounts, volume of U.S. and non-u.s. trades, derivative usage, and plan accounting structure. First and foremost, every custodian bank should have an SSAE 16 report that provides information on internal processes and controls. A third-party auditor produces the report, and notes any exceptions or material weaknesses. Custody clients should review this document to ensure there are no notable exceptions and that the internal processes and controls are robust. Furthermore, a custodian should have quality control procedures in place across all custodial operation groups that ensure transactions are booked correctly, positions are accurately priced, and custody information is accurately communicated across systems. More specifically, custodians should have established tolerance levels to monitor pricing accuracy, checks and balances in place to catch processing errors, and quality control reports that are reviewed on a daily basis. 7. Global Custody Risk This is one of the key risks that exists for plans with international assets, because they almost always require the use of sub-custodians. Most of the world s largest custodians do not have custody operations in every country, requiring these organizations to contract with a local custodian. Engaging subcustodians or affiliate custody services introduces additional risks, including: Failure or default of sub-custodian Lack of contingency planning and/or sufficient contractual protection by main custodian to handle adverse organizational events Weak controls and processes in place at sub-custodian Investors should evaluate the custodian s process for reviewing the sub-custodians in their network, including the frequency of the sub-custodian reviews, the size of the team responsible for evaluating the sub-custodian relationships, the team s experience and capabilities, and the overall evaluation criteria. The evaluation process should include collaboration with the enterprise risk management team to ensure full coverage of the organization s potential operational risks and an onsite visit by key team members. The evaluation criteria need to include a review of internal controls, security and data protection, technology infrastructure, financial stability and strength, trade settlement procedures, communication structure, and positive historical performance in performing custody services. Consulting Investment Consulting 5

Reviewing the agreements in place between the sub-custodian and the custodian is also important to ensure that contractual protections exist and plans are established should the sub-custodian experience an adverse organizational event. In addition, investors should be sure that the sub-custodian s accounts and assets are segregated and solely in the name of the client. Finally, the custodian should be able to demonstrate expertise in the nuances of investing in international markets, including knowledge about the opening of new accounts, tax implications, and holding idle cash where possible to limit the client s credit risk to the sub-custodian. 8. Foreign Exchange Risk Similar to global custody risk, foreign exchange (FX) risk is present when a client has international assets that require FX services associated with trade settlement and income payments. There are a few different operational avenues through which an investment manager can access the FX markets, including straight-through processing with the custodian, negotiating trades directly with the custodian s FX desk, or utilizing a competitive bidding process with third-party dealers. The main risk in trading foreign exchange is the execution quality of the trade (i.e., the risk of receiving sub-optimal rates on FX trades). This risk is especially high when clients utilize a custodian s automated straight-through processing capabilities. Executing FX trades in restricted markets can also lead to elevated transaction costs due to their historical lack of transparency. Custodians should provide a high level of transparency in reporting FX trading information. Ensure that a document explaining the agreed-upon execution time, execution frequency, mark-ups/downs, benchmark rate, and reporting requirements is available. Reporting should at a minimum include the execution price, mark-up/down, size and direction of the trade, and benchmark rate. Institutional investors should also evaluate the custodian s capabilities in trading FX including size and experience of the team, counterparty evaluation, and access to the key FX dealers. We prefer custodians that offer multiple execution options for straight-through processing. 9. Security Risk Security risk is the risk that custody data is accessed or shared with unauthorized parties or that a transaction involving custody assets is initiated by an unauthorized individual or entity. The unauthorized movement of assets or disclosure of positions can adversely impact an investment program. Consulting Investment Consulting 6

A thorough evaluation of a custodian bank s security structure should include both a review of procedures and live examples of security protocols. A top-tier custodian bank should have in-house security experts that establish, implement, and monitor all security-related initiatives. While it is important that individuals at a custodian bank are capable of understanding the security protocols, it is expected that securityrelated checks and balances are completely or almost completely automated through an exception-based system. Granting access to custody data is a key process related to both internal security at the custodian and external security at the client. In general, individuals who are internal to a custodian bank should be provided the minimum level of access required for them to carry out their assigned tasks. Externally, clients should be provided unique login IDs and passwords. The custodian bank defines the level of access associated with each login ID. 10. Cash Management Risk Carefully managing and controlling the movement and use of cash and ensuring that overnight cash positions are invested are critical risk management functions. Cash management risk is the risk that cash movements are not properly managed either through lack of adequate procedures or poor implementation of those procedures. Institutional investors should ensure that their custodian has a tightly controlled process for establishing and maintaining a list of authorized signers. There should also be specific processes for executing various cash-related transactions including, but not limited to, wires, intra-fund transfers, and expense payments. Custodians should have the ability to impose secondary or even tertiary approvals on cash transactions, set dollar limits, and restrict certain authorized signers from specific types of transactions or accounts, based on the client s preference. Utilizing an online cash movement system can also be very beneficial in streamlining the process, automating authorization levels, and setting dollar thresholds. Constant monitoring of cash movements is critical as well, and should be a key component of the custodian s daily monitoring process. Finally, the evaluation should include reviewing the investment guidelines of the short-term investment funds available for overnight sweep, as well as the cash management experience of the team. Investment guidelines should be conservative in nature, and the team managing the funds should be focused on credit evaluation, have a robust process for including or excluding credits from the short-term investment funds, and maintain adequate levels of liquidity. Consulting Investment Consulting 7

11. Client Support Risk This is the risk that the individuals assigned to servicing a client lack the knowledge, capabilities, and willingness to deliver the custody services required by the client. While institutional trust and custody has increasingly become a technology-driven business, we believe that a strong client support model is still necessary to ensure seamless delivery of custody services to end users. The client support team should be experienced, responsive, and stable. Moreover, it is important that the bank s existing relationships (in terms of size and plan structure) be a compatible fit with the client. The senior individuals on a client support team should have experience with similar types of plans, client types, and investment programs. We recommend evaluating the number of client relationships per client service officer, client team turnover, client base attrition, training modules for client service professionals, escalation procedures for client requests, senior management experience, and tenure of client service professionals. The client service support model should also be analyzed to determine its appropriateness for each client. 12. Fee Risk Custody fees can be complex and can lack transparency. We define fee risk as the risk that the fees assessed for custody services are not competitive and lack transparency. Typically, custody fees consist of a basis point charge on some predefined asset base, plus itemized fees for accounts, transactions, and other custody services such as performance reporting or compliance monitoring. A flat fee for all custody services is also becoming more common. Fee risk is especially significant in instances that such fees are passed on to participants or beneficiaries. Custody fees should be evaluated relative to current market rates for an investor of similar size and structure. It is also important to analyze whether an itemized fee or a flat fee is appropriate, given the services utilized and overall structure of the investment program. For example, a complex defined contribution plan may be more inclined to choose a flat fee over an asset-based fee, since assets will almost surely increase over time but without an increase in complexity of the plan. Compare this to a frozen, simplified defined benefit plan that may prefer to have an itemized fee schedule that has a higher weight than an asset-based fee, given that assets will decline over time. The structure of the fee is just as important to negotiate and analyze as the absolute fee. Consulting Investment Consulting 8

Implementation and Application Traditionally, institutional investors have evaluated the primary services a custodian provides based on the investment plan structure, reporting needs and requirements, and necessary client service support. These overall capabilities are evaluated either through an explicit scoring system, or more qualitatively in conjunction with a review of an RFP response, onsite visits, and finalist presentations (we provide a sample scoring methodology in the Appendix). Such adjunct evaluation factors are often weighted equally (or almost equally) in the evaluation. However, we encourage institutional investors to use an evaluation framework that is customized to place the highest weights on the operational risk areas of greatest importance to their specific circumstances. The most efficient way to accomplish this is to identify the operational risks that the plan faces and then classify each risk as high, medium, or low. Focus on the custodian s ability to mitigate the highest operational risks first, and weight those risks highest in the evaluation. The investor should subsequently evaluate the custodian s ability to mitigate the medium and low-level risks, but weight those lower. This shifts the evaluation from the custodian s overall capabilities to the custodian s capabilities in those areas that are most critical to the particular client s operational risks. As an example, consider a small investor for whom public scrutiny is inherent in managing its investment program and that only uses commingled funds (to see the effect this has on the evaluation). In the traditional framework, equal emphasis might be placed on organization, reporting, and technology. However, in the operational risk framework, this plan should more strongly emphasize a custodian s organizational stability (headline/regulatory risk) and client service support (client support risk), while reducing the overall emphasis on accounting/reporting and technology support (system integration/data management risk) because of its low level of overall complexity and data management needs. One of the primary benefits of this new framework is that it can be applied to any type of plan large, small, simple, complex, or public/corporate/endowment/foundation and in different regions around the world. It does not make the evaluation process more complex; it simply changes the focus of the evaluation. Consulting Investment Consulting 9

Appendix: Sample Scoring Framework and Methodology It is likely that most custodian bank evaluations involve ranking evaluation factors in terms of relative importance to the success of the overall partnership between client and custodian bank. Each factor is assigned a weighting, and then scored using a simple scale such as poor, average, above average, and excellent. We believe this is an acceptable evaluation framework, and we refer to this as the traditional evaluation framework. The table below depicts the hypothetical scoring of a custodian bank under the traditional framework. Table 1 Weight Score (1= poor; 4= excellent) Organization 15% 3 Client Service 20% 2 Accounting, Reporting, Data Management 10% 3 Trading 10% 4 Online Platform 15% 4 Global Custody 10% 2 Cash Management 5% 2 Contract Negotiation/Fees 15% 1 Score -- 3.4 By considering how a custodian bank helps investors mitigate operational risks, we believe an alternative perspective on the capabilities of a custodian bank can be introduced. We refer to this as the riskadjusted custodian evaluation framework. Operational risks are associated, or mapped, to the evaluation factors identified in the traditional framework (see Table 3). The result is an evaluation that more heavily weights factors associated with the operational risks deemed most significant to a given investment program. Consulting Investment Consulting 10

One method for adjusting the weightings of the traditional evaluation factors is based on assigning a severity for the associated risks. We use three levels of risk severity: low, moderate, and high. For each level, we have a predefined minimum and maximum weighting for the associated evaluation factor, as depicted below. Table 2 Risk Severity Minimum Weight Maximum Weight High 20% 30% Moderate 10% 20% Low 0% 10% Once mapping is complete and risks have been identified as high, moderate, or low, the development of a risk-adjusted evaluation framework is complete. Table 3 on the following page shows how operational risks are mapped to traditional evaluation factors, and we depict a hypothetical example of how weightings are altered based on the risk severity. Consulting Investment Consulting 11

Table 3 Associated Risk(s) Risk Severity Risk- Adjusted Weighting Score Organization Headline; Regulatory; Contract High 25% 3 Client Service Client Support High 30% 2 Accounting, Reporting, Data Management System Integration; Data Management Low 5% 3 Trading Trading Low 5% 4 Online Platform Security High 20% 4 Global Custody Global Custody; FX Moderate 10% 2 Cash Management Cash Management Low 2.50% 2 Fees Fee Low 2.50% 1 Score -- 100% 2.8 As shown in the hypothetical example (Tables 1 and 3), the overall score for the custodian bank on a riskadjusted basis is lower than the score calculated on a traditional basis. This suggests that when the evaluation focuses on how effectively the custodian bank helps mitigate operational risks, this particular custodian is less capable. Consulting Investment Consulting 12

Contact Information Kristen Doyle, CFA Partner and Head of Trust Services Investment Consulting + 1.312.381.1283 kristen.doyle@aonhewitt.com Joel Brightfield Senior Consultant Investment Consulting + 1.314.719.3851 joel.brightfield@aonhewitt.com Consulting Investment Consulting 13

About Hewitt EnnisKnupp Hewitt EnnisKnupp, Inc., an Aon plc company (NYSE: AON), is an SEC-registered investment adviser, and provides investment consulting services to over 480 clients in North America with total client assets of approximately $1.7 trillion as of 6/30/2014. More than 270 investment consulting professionals in the U.S. advise institutional investors such as corporations, public organizations, union associations, health systems, endowments, and foundations with investments ranging from $1 million to $310 billion. For more information, please visit hewittennisknupp.com. About Aon Hewitt Aon Hewitt empowers organizations and individuals to secure a better future through innovative talent, retirement, and health solutions. We advise, design, and execute a wide range of solutions that enable clients to cultivate talent to drive organizational and personal performance and growth, navigate retirement risk while providing new levels of financial security, and redefine health solutions for greater choice, affordability, and wellness. Aon Hewitt is the global leader in human resource solutions, with over 30,000 professionals in 90 countries serving more than 20,000 clients worldwide. For more information on Aon Hewitt, please visit aonhewitt.com. Consulting Investment Consulting 14