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Fund Administrators and Valuation Independence
Several years ago, certain investors may not have felt the need to actively evaluate a fund's service
providers. As the importance of the duties performed by fund service providers has gained greater
acceptance, so too has the level of attention paid to them. In the current environment, it is
considered standard practice during operational due diligence to expand a fund review to include not
only the fund management organization itself, but external service providers with which the funds
interact. One of the most important such service providers is typically the fund administrator.

The role that fund administrators play in the operational due diligence process is often a conflicted
one. On the one hand, an administrator wants to convey to investors their independence in the
valuation and fund NAV calculation process. On the other hand, administrators are typically hired by
the fund management companies themselves, the same entities and individuals they are supposed
to act independent of.

As such, during the fund administrator review process, investors may find it beneficial to review not
only the actual operational processes and procedures in place for typical administration services
such as fund accounting and shareholder services, but to also gauge the level of involvement and
control which a fund manager exercises on this relationship. Consider for example the valuation work
performed by administrators. Many investors may be unaware of this fact, but in determining the
valuations of particular positions most administrators typically have a small degree of discretion.

This discretion typically comes into play, when an administrator attempts to price a fund's positions
independently of the fund. For example, let's say a fund manager's records indicate that a certain
security, which is typically priced via broker quotes, was purchased and was worth $60.23 a share.
Let's say that the administrator reaches out to other brokers independent of the fund manager and
determines the price is $0.01 less than the fund manager's price , or $60.23. The administrator may
have the discretion to override the fund manager's price and utilize their own. Most administrators
typically operate within acceptable valuation difference bands. That is a certain amount of
discrepancy between the price determined by the administrator and the fund manager is acceptable
as long as it is within predefined ranges. In most cases, the administrator's price (which is typically
more conservative), is the one which is utilized. Indeed, fund administration agreements and offering
memoranda may dictate as such. However, as there is discretion in the process , in practice a
negotiation often occurs between the administrator and the fund manager with regards to what the
final price should be. In certain cases, depending on the nature of the security and the specifics of
the administration arrangement the fund manager may have final say over the administrator.

Some fund managers are actively engaged with their administrators and speak to them several
times a week. Others may only talk to their fund administrators at month-end when fund NAV's are
being calculated. An investor which takes the time to evaluate not only the nuts and bolts of fund
administration procedures but also, the degree of interaction and control exerted by a fund manager
in practice may gain useful insights which other investors may not uncover during the operational
due diligence process.

Originally posted in the February 2012 edition of Corgentum Consulting's Operational Due
Diligence Insights.

For More       info@corgentum.com
Information    Corgentum.com | Blog | Twitter Feed
               Tel. 201-360-2430
About Corgentum Consulting:

Corgentum Consulting is a specialist consulting firm which performs operational due diligence
reviews of fund managers. The firm works with investors including fund of funds, pensions,
endowments, banks ultra-high net-worth individuals, and family offices to conduct the industry's
most comprehensive operational due diligence reviews. Corgentum's work covers all fund strategies
globally including hedge funds, private equity, real estate funds, and traditional funds. The firm's sole
focus on operational due diligence, veteran experience, innovative original research and
fundamental bottom up approach to due diligence allows Corgentum to ensure that the firm's clients
avoid unnecessary operational risks. Corgentum is headquartered at 26 Journal Square, Suite 1005
in Jersey City, New Jersey, 07306. Phone 201-360-2430. For more information visit,
www.Corgentum.com or follow us on Twitter @Corgentum.

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Hedge fund operational_due_diligence_corgentum_insights_admin_valuation_independence

  • 1. Fund Administrators and Valuation Independence Several years ago, certain investors may not have felt the need to actively evaluate a fund's service providers. As the importance of the duties performed by fund service providers has gained greater acceptance, so too has the level of attention paid to them. In the current environment, it is considered standard practice during operational due diligence to expand a fund review to include not only the fund management organization itself, but external service providers with which the funds interact. One of the most important such service providers is typically the fund administrator. The role that fund administrators play in the operational due diligence process is often a conflicted one. On the one hand, an administrator wants to convey to investors their independence in the valuation and fund NAV calculation process. On the other hand, administrators are typically hired by the fund management companies themselves, the same entities and individuals they are supposed to act independent of. As such, during the fund administrator review process, investors may find it beneficial to review not only the actual operational processes and procedures in place for typical administration services such as fund accounting and shareholder services, but to also gauge the level of involvement and control which a fund manager exercises on this relationship. Consider for example the valuation work performed by administrators. Many investors may be unaware of this fact, but in determining the valuations of particular positions most administrators typically have a small degree of discretion. This discretion typically comes into play, when an administrator attempts to price a fund's positions independently of the fund. For example, let's say a fund manager's records indicate that a certain security, which is typically priced via broker quotes, was purchased and was worth $60.23 a share. Let's say that the administrator reaches out to other brokers independent of the fund manager and determines the price is $0.01 less than the fund manager's price , or $60.23. The administrator may have the discretion to override the fund manager's price and utilize their own. Most administrators typically operate within acceptable valuation difference bands. That is a certain amount of discrepancy between the price determined by the administrator and the fund manager is acceptable as long as it is within predefined ranges. In most cases, the administrator's price (which is typically more conservative), is the one which is utilized. Indeed, fund administration agreements and offering memoranda may dictate as such. However, as there is discretion in the process , in practice a negotiation often occurs between the administrator and the fund manager with regards to what the final price should be. In certain cases, depending on the nature of the security and the specifics of the administration arrangement the fund manager may have final say over the administrator. Some fund managers are actively engaged with their administrators and speak to them several times a week. Others may only talk to their fund administrators at month-end when fund NAV's are being calculated. An investor which takes the time to evaluate not only the nuts and bolts of fund administration procedures but also, the degree of interaction and control exerted by a fund manager in practice may gain useful insights which other investors may not uncover during the operational due diligence process. Originally posted in the February 2012 edition of Corgentum Consulting's Operational Due Diligence Insights. For More info@corgentum.com Information Corgentum.com | Blog | Twitter Feed Tel. 201-360-2430
  • 2. About Corgentum Consulting: Corgentum Consulting is a specialist consulting firm which performs operational due diligence reviews of fund managers. The firm works with investors including fund of funds, pensions, endowments, banks ultra-high net-worth individuals, and family offices to conduct the industry's most comprehensive operational due diligence reviews. Corgentum's work covers all fund strategies globally including hedge funds, private equity, real estate funds, and traditional funds. The firm's sole focus on operational due diligence, veteran experience, innovative original research and fundamental bottom up approach to due diligence allows Corgentum to ensure that the firm's clients avoid unnecessary operational risks. Corgentum is headquartered at 26 Journal Square, Suite 1005 in Jersey City, New Jersey, 07306. Phone 201-360-2430. For more information visit, www.Corgentum.com or follow us on Twitter @Corgentum.