Jeffrey Myers, CFP, Owner Personal CRD #3154149. Long Island Wealth Management, Inc.



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Item 1 Cover Page for Brochure Supplement Jeffrey Myers, CFP, Owner Personal CRD #3154149 jmyers@longislandwealthmgmt.com Long Island Wealth Management, Inc. Firm CRD #173363 14 Vanderventer Avenue, Suite 126 Port Washington, NY 11050 Telephone: (516) 238-7629 Fax: (516) 706-0906 www.longislandwealthmgmt.com September 25, 2014 This brochure supplement provides information about Jeffrey Myers, CFP that supplements the Long Island Wealth Management, Inc. brochure. You should have received a copy of that brochure. Please contact Jeffrey Myers, CFP, Owner if you did not receive Long Island Wealth Management, Inc. s brochure or if you have any questions about the contents of this supplement. Additional information about Jeffrey Myers, CFP is available on the SEC s website at www.adviserinfo.sec.gov.

Item 2 Educational Background and Business Experience Jeffrey Myers, CFP, born 1975, graduated from the University of Phoenix with a Bachelor of Arts Degree in Accounting. Mr. Myers is the Owner and Investment Advisor Representative of Long Island Wealth Management, Inc. He is also an Investment Advisor with Fusion Analytics Securities from July 2010 until Present; an Investment Advisor with Comprehensive Asset Management & Servicing, Inc. from March 2010 until July 2010; Owner of Long Island Wealth Management, Inc. from February 2006 until July 2010. The CERTIFIED FINANCIAL PLANNER, CFP and federally registered CFP (with flame design) marks (collectively, the CFP marks ) are professional certification marks granted in the United States by Certified Financial Planner Board of Standards, Inc. ( CFP Board ). The CFP certification is a voluntary certification; no federal or state law or regulation requires financial planners to hold CFP certification. It is recognized in the United States and a number of other countries for its (1) high standard of professional education; (2) stringent code of conduct and standards of practice; and (3) ethical requirements that govern professional engagements with clients. Currently, more than 62,000 individuals have obtained CFP certification in the United States. To attain the right to use the CFP marks, an individual must satisfactorily fulfill the following requirements: Education Complete an advanced college-level course of study addressing the financial planning subject areas that CFP Board s studies have determined as necessary for the competent and professional delivery of financial planning services, and attain a Bachelor s Degree from a regionally accredited United States college or university (or its equivalent from a foreign university). CFP Board s financial planning subject areas include insurance planning and risk management, employee benefits planning, investment planning, income tax planning, retirement planning, and estate planning; Examination Pass the comprehensive CFP Certification Examination. The examination, administered in 10 hours over a two-day period, includes case studies and client scenarios designed to test one s ability to correctly diagnose financial planning issues and apply one s knowledge of financial planning to real world circumstances; Experience Complete at least three years of full-time financial planning-related experience (or the equivalent, measured as 2,000 hours per year); and Ethics Agree to be bound by CFP Board s Standards of Professional Conduct, a set of documents outlining the ethical and practice standards for CFP professionals. Individuals who become certified must complete the following ongoing education and ethics requirements in order to maintain the right to continue to use the CFP marks: Continuing Education Complete 30 hours of continuing education hours every two years, including two hours on the Code of Ethics and other parts of the Standards of Professional Conduct, to maintain competence and keep up with developments in the financial planning field; and Ethics Renew an agreement to be bound by the Standards of Professional Conduct. The Standards prominently require that CFP professionals provide financial planning services at a

fiduciary standard of care. This means CFP professionals must provide financial planning services in the best interests of their clients. CFP professionals who fail to comply with the above standards and requirements may be subject to CFP Board s enforcement process, which could result in suspension or permanent revocation of their CFP certification. Item 3 Disciplinary Information There are no legal or disciplinary events or proceedings to report concerning Mr. Myers. Description of a professional attainment, designation, or license being revoked or suspended. Not applicable to Mr. Myers. Item 4 Other Business Activities Jeffrey Myers, CFP, Owner of LIWM is also licensed and registered as an insurance agent to sell life insurance, long term care insurance, health insurance and other lines of insurance for various insurance companies. Therefore, he will be able to purchase insurance products for any client in need of such services and will receive separate, yet typical compensation in the form of commissions for the purchase of insurance products. This creates a conflict of interest. A conflict of interest exists because of the receipt of additional compensation by Jeffrey Myers. Clients are not obligated to use LIWM or Jeffrey Myers for insurance products services. However, in such instances, there is no advisory fee associated with these insurance products. If a relationship between the advisory business and the supervised person s other financial industry activities creates a material conflict of interest with clients, describe the nature of the conflict and generally how you address it. See the response to Item 4 above. If the supervised person receives commissions, bonuses or other compensation based on the sale of securities or other investment products, including as a broker-dealer or registered representative, and including distribution or service ( trail ) fees from the sale of mutual funds, disclose this fact. If this compensation is not cash, explain what type of compensation the supervised person receives. Explain that this practice gives the supervised person an incentive to recommend investment products based on the compensation received, rather than on the client s needs. Not applicable to Mr. Myers. If the supervised person is actively engaged in any business or occupation for compensation not discussed in response to Item 4.A, above, and the other business activity or activities provide a substantial source of the supervised person s income or involve a substantial amount of the supervised person s time, disclose this fact and describe the nature of that

business. If the other business activities represent less than 10 percent of the supervised person s time and income, you may presume that they are not substantial. Not applicable to Mr. Myers. Item 5 Additional Compensation Mr. Myers does not receive compensation or other economic benefit from anyone for providing advisory services other than what has been described in the LIWM Brochure. Item 6 Supervision Jeffrey Burke is the Chief Compliance Officer of LIWM. He can be reached at (516) 238-7629. He and Jeffrey Myers are the only individuals that provides investment advice to clients. Item 7 Requirements for State-Registered Advisers Mr. Myers has not been involved in an award or found liable in an arbitration claim, civil, or self-regulatory organization event or administrative proceeding, or been the subject of a bankruptcy petition.

Item 1 Cover Page for Brochure Supplement Jeffrey Ryan Burke Investment Advisor Representative Personal CRD #4849507 jburke@longislandwealthmgmt.com Long Island Wealth Management, Inc. Firm CRD #173363 14 Vanderventer Avenue, Suite 126 Port Washington, NY 11050 Telephone: (516) 238-7629 Fax: (516) 706-0906 www.longislandwealthmgmt.com September 25, 2014 This brochure supplement provides information about Jeffrey Ryan Burke that supplements the Long Island Wealth Management, Inc. brochure. You should have received a copy of that brochure. Please contact Jeffrey Myers, CFP Owner if you did not receive Long Island Wealth Management, Inc. s brochure or if you have any questions about the contents of this supplement. Additional information about Jeffrey Ryan Burke is available on the SEC s website at www.adviserinfo.sec.gov.

Item 2 Educational Background and Business Experience Jeffrey Ryan Burke, born 1981, graduated from Providence College with a Bachelor of Science Degree in Finance and a Minor in Development of Western Civilization. Mr. Burke is an Investment Advisor Representative with Long Island Wealth Management, Inc. He is also an Investment Advisor with Fusion Analytics Investment Partners from November 2011 until Present; an Investment Advisor with Fidelity Brokerage Services from January 2005 until November 2011. Item 3 Disciplinary Information There are no legal or disciplinary events or proceedings to report concerning Mr. Burke. Description of a professional attainment, designation, or license being revoked or suspended. Not applicable to Mr. Burke. Item 4 Other Business Activities Jeffrey Ryan Burke, Investment Advisor Representative of LIWM is licensed and registered as an insurance agent to sell life insurance, long term care insurance, health insurance and other lines of insurance for various insurance companies. Therefore, he will be able to purchase insurance products for any client in need of such services and will receive separate, yet typical compensation in the form of commissions for the purchase of insurance products. This creates a conflict of interest. A conflict of interest exists because of the receipt of additional compensation by Jeffrey Ryan Burke. Clients are not obligated to use LIWM or Mr. Burke for insurance products services. However, in such instances, there is no advisory fee associated with these insurance products. If a relationship between the advisory business and the supervised person s other financial industry activities creates a material conflict of interest with clients, describe the nature of the conflict and generally how you address it. See the response to Item 4 above. If the supervised person receives commissions, bonuses or other compensation based on the sale of securities or other investment products, including as a broker-dealer or registered representative, and including distribution or service ( trail ) fees from the sale of mutual funds, disclose this fact. If this compensation is not cash, explain what type of compensation the supervised person receives. Explain that this practice gives the supervised person an incentive to recommend investment products based on the compensation received, rather than on the client s needs. Not applicable to Mr. Burke.

If the supervised person is actively engaged in any business or occupation for compensation not discussed in response to Item 4.A, above, and the other business activity or activities provide a substantial source of the supervised person s income or involve a substantial amount of the supervised person s time, disclose this fact and describe the nature of that business. If the other business activities represent less than 10 percent of the supervised person s time and income, you may presume that they are not substantial. Not applicable to Mr. Burke. Item 5 Additional Compensation Mr. Burke does not receive compensation or other economic benefit from anyone for providing advisory services other than what has been described in the LIWM Brochure. Item 6 Supervision Jeffrey Burke is the Chief Compliance Officer of LIWM. He can be reached at (516) 238-7629. He and Jeffrey Myers are the only individuals that provide investment advice to clients. Item 7 Requirements for State-Registered Advisers Mr. Burke has not been involved in an award or found liable in an arbitration claim, civil, or selfregulatory organization event or administrative proceeding, or been the subject of a bankruptcy petition.