 |
|
|
Frequently Asked Questions (F.A.Q.)
- What is market timing?
Market timing
includes frequent buying and selling of shares of the same mutual
fund or the rapid buying and selling of mutual fund shares in order
to exploit inefficiencies in mutual fund pricing. While not illegal
per se, this practice can harm other mutual fund shareholders
because it can dilute the value of their shares or it can disrupt
the management of the mutual fund’s investment portfolio, which can
cause the specific mutual fund to incur costs borne by other
shareholders to accommodate the timer’s frequent buying and selling.
- What are the responsibilities of the Independent Distribution
Consultant (IDC) who developed the Distribution Plan?
The IDC is
responsible for the development of a plan for the distribution of
the Fair Fund provided for in the SEC settlement. The Distribution
Plan includes:
- An explanation of the methodology used to calculate the
payments to eligible shareholders;
- The procedures for locating eligible shareholders, and;
- The procedures for distributing the proceeds and interest to
eligible shareholders.
- When was the Distribution Plan approved by the SEC?
The Distribution Plan was approved by the SEC on January 28,
2010. Click on the “Related Documents” tab for a link to the Order
approving the Distribution Plan as well as a link to the approved
Distribution Plan.
- Can I get a copy of the Distribution Plan
or the SEC Order? How can I see these documents?
Links to the
Distribution Plan and other related documents are available on
www.federatedfairfundsettlement.com under the “Related Documents” tab.
- Who is included in this distribution? How do I know if I am part
of the distribution?
You are part of the distribution if you held any
of the affected Federated funds between March 2002 and September 2003
and the Independent Distribution Consultant determined that you were
adversely affected by the alleged market timing. The affected funds are
listed in the tables found at the end of the Distribution Plan. Click on
the “Related Documents” tab on
www.federatedfairfundsettlement.com for a
link to the Distribution Plan.
- If the alleged late trading
occurred from 1998 to 2003, why are distributions only being made to
investors during the period from March 2002 to September 2003?
Only
the Federated employee engaged in trading subject to the settlement
prior to March 2002. The Independent Distribution Consultant determined
that, because the impact of the employee’s trading on the Federated
Funds was small (less than $14,000), it would be more cost-effective to
distribute the amount directly to the affected funds. All of the other
trading addressed in the settlement occurred from March 2002 to
September 2003, which is why investors during this period are receiving
distributions.
- How will my payment(s) be calculated?
The
Independent Distribution Consultant has developed a Distribution Plan
for the Fair Fund according to a methodology developed in consultation
with Federated and the independent Trustees of the affected Federated
mutual funds, which was approved by the SEC. The Distribution Plan is to
“provide for investors their proportionate share of losses suffered by
the fund due to market timing and late trading, and a proportionate
share of advisory fees paid by funds that suffered such losses during
the period of such market timing.”
- When can I expect to
receive a distribution payment?
The Distribution Plan requires the
Fund Administrator to use its best efforts to start the distribution
before July 27, 2010.
- I made/lost money on my purchase and/or
sale. Does this affect my distribution amount?
No. Eligible
shareholders received an amount based on the adverse impact of alleged
market timers on their funds, as calculated by the Independent
Distribution Consultant.
- I held my shares in one brokerage
firm, but transferred my account to another company. Does the
Distribution Plan account for this?
The Distribution Plan accounts
for changes in ownership and changes in brokerage accounts for the
entire period in question. The Distribution Plan will attempt to
distribute one payment to each eligible shareholder, regardless of where
the securities were purchased or held.
- Do I need to take any
further action?
There is no action necessary on your part to
participate in the settlement.
- Do I need to ask for and
submit a claim form?
The Distribution Plan does not require that
eligible shareholders submit a claim form in order to participate in the
distribution. The Independent Distribution Consultant will oversee the
process to determine the amounts due to each eligible shareholder
subject to the Distribution Plan.
- Can I exclude myself from
these distributions?
These distributions are being made pursuant to
an SEC order and not a class action settlement; there is not an option
to exclude you from the distributions.
- Who should I contact
if I have additional questions?
Please contact the Fund Administrator
for the Federated Investors Fair Fund Settlement Distribution at
(888)850-3536.
|
|
 |
|