Rule 2a-7 Supporting Statement with chart - 2021 renewal

Rule 2a-7 Supporting Statement with chart - 2021 renewal.pdf

Rule 2a-7 (17 CFR 270.2a-7) under the Investment Company Act of 1940, Money market funds

OMB: 3235-0268

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OMB CONTROL NUMBER: 3235-0268
SUPPORTING STATEMENT
For the Paperwork Reduction Act Information Collection Submission for
Rule 2a-7
A.

JUSTIFICATION
1.

Necessity for the Collection Information

Money market funds are open-end management investment companies that differ from
other open-end management investment companies in that they seek to maintain a stable price
per share, usually $1.00. Rule 2a-7 [17 CFR 270.2a-7] under the Investment Company Act of
1940 [15 U.S.C. 80a-1 et seq.] (the “Act”) exempts money market funds from the valuation
requirements of the Act, and, subject to certain risk-limiting conditions, permits money market
funds to use the “amortized cost method” of asset valuation or the “penny-rounding method” of
share pricing.
Rule 2a-7 also imposes certain recordkeeping and reporting obligations on money market
funds. The board of directors of a money market fund, in supervising the fund's operations, must
establish written procedures designed to stabilize the fund's net asset value (“NAV”). The board
must also adopt guidelines and procedures relating to certain responsibilities it delegates to the
fund's investment adviser. These procedures and guidelines typically address various aspects of
the fund's operations. The fund must maintain and preserve for six years a written copy of both
these procedures and guidelines. The fund also must maintain and preserve for six years a
written record of the board's considerations and actions taken in connection with the discharge of
its responsibilities, to be included in the board's minutes. In addition, the fund must maintain and
preserve for three years written records of certain credit risk analyses, evaluations with respect to
securities subject to demand features or guarantees, and determinations with respect to adjustable
rate securities and asset backed securities. If the board takes action with respect to defaulted

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securities, events of insolvency, or deviations in share price, the fund must file with the
Commission an exhibit to Form N-CR (OMB Control No. 3235-0705) describing the nature and
circumstances of the action. 1 If any portfolio security fails to meet certain eligibility standards
under the rule, the fund also must identify those securities in an exhibit to Form N-CR. After
certain events of default or insolvency relating to a portfolio security, the fund must notify the
Commission of the event and the actions the fund intends to take in response to the situation.
In addition, money market fund boards must adopt written procedures that provide for
periodic testing (and reporting to the board) of the fund’s ability to maintain a stable NAV per
share based on certain hypothetical events and to maintain policies and procedures that
specifically address ongoing minimal credit risk monitoring. Funds must also post monthly
portfolio information on their websites and maintain records of creditworthiness evaluations on
counterparties to repurchase agreements that the fund intends to “look through” for purposes of
rule 2a-7’s diversification limitations. Finally, money market funds must promptly notify the
Commission of the purchase of any money market fund’s portfolio security by an affiliated
person in reliance on rule 17a-9 under the Act and explain the reasons for such purchase.
2.

Purpose and Use of the Information Collection

Certain provisions of rule 2a-7 contain “collection of information” requirements within
the meaning on the Paperwork Reduction Act of 1995 (“Paperwork Reduction Act”), and the
Commission is submitting the collection of information to the Office of Management and Budget

1

Form N-SAR was rescinded on June 1, 2018. See Investment Company Reporting
Modernization, Investment Company Act Release No. 32314 (Oct. 13, 2016) [81 FR 81870 (Nov.
18, 2016]. In lieu of the filing and exhibit requirements of Form N-SAR, Form N-CR provides
for substantially similar requirements for money market funds. Therefore, as of June 1, 2018, the
hourly burden associated with exhibits for Form N-SAR are now accounted for under the hourly
burden for Form N-CR.

3
(“OMB”) for review in accordance with 44 U.S.C. 3507(d) and 5 CFR 1320.11. The
recordkeeping requirements in rule 2a-7 are designed to enable Commission staff in its
examinations of money market funds to determine compliance with the rule, as well as to ensure
that money market funds have established procedures for collecting the information necessary to
make adequate credit reviews of securities in their portfolios. The reporting requirements of rule
2a-7 are intended to assist the Commission in overseeing money market funds, reducing the
likelihood that a fund is unable to maintain a stable NAV (where a fund seeks to maintain a
stable NAV), mitigating funds’ susceptibility to heavy redemptions in times of stress, and
increasing the transparency of risk in money market funds.
3.

Consideration Given to Information Technology

The Commission's Electronic Data Gathering, Analysis and Retrieval System
(“EDGAR”) is designed to automate the filing, processing and dissemination of full disclosure
filings. The system permits publicly-held companies to transmit their filings to the Commission
electronically. EDGAR has increased the speed, accuracy and availability of information,
generating benefits to investors and financial markets. All funds have been required to use
EDGAR for their disclosure filings since November 6, 1995. The exhibit to Form N-CR
required to be filed with the Commission under rule 2a-7 when a money market fund's board
takes action with respect to defaults, insolvencies, or share price deviations or when a portfolio
security fails to meet certain standards may be filed electronically through EDGAR. Form N-CR
is filed electronically through EDGAR. In addition to electronic filing of the exhibit to Form NCR, money market funds are required to post monthly portfolio information on their websites,
taking advantage of investors’ widespread use of the Internet to obtain investment information.

4
4.

Duplication

The Commission periodically evaluates rule-based reporting and recordkeeping
requirements for duplication, and reevaluates them whenever it proposes a rule or form, or a
change in either. The recordkeeping, reporting, and website posting required by rule 2a-7 is not
duplicated elsewhere.
5.

Effect on Small Entities

The recordkeeping and reporting requirements of rule 2a-7 are the same for all money
market funds, including those that are small entities. The Commission reviews all rules
periodically, as required by the Regulatory Flexibility Act 2, to identify methods to minimize
recordkeeping or reporting requirements affecting small businesses. However, the burden of the
conditions on smaller funds may be proportionally greater than for larger funds. A significant
portion of the recordkeeping burden involves organizing information that the funds already
collect when initially purchasing securities. In addition, when a money market fund analyzes a
security, the analysis need not be presented in any particular format. Money market funds
therefore have a choice of methods for maintaining these records that vary in technical
sophistication and formality. The Commission believes that imposing different requirements on
smaller money market funds would not be consistent with investor protection.
6.

Consequences of Not Conducting Collection

As described in section 1, rule 2a-7 requires the fund’s board to adopt (i) written
procedures designed to stabilize the fund’s NAV (where applicable); (ii) written guidelines
regarding the delegation of certain responsibilities; and (iii) written guidelines that provide for
periodic stress testing. In addition, rule 2a-7 requires the fund to notify the Commission if the
2

See 5 U.S.C. 604(a).

5
board takes certain actions or if certain events of default or insolvency occur, or there is a
purchase of a fund’s portfolio security by an affiliated person in reliance on rule 17a-9. None of
these is a recurring obligation. They are, however, essential to the Commission's ability to
determine compliance with the rule.
The rule also requires money market funds to perform periodic analyses of portfolio
securities and reviews of the credit risks associated with those securities, to maintain records of
creditworthiness determinations specific to counterparties in repurchase agreements, and to
maintain policies and procedures that specifically address ongoing minimal credit risk
monitoring. The frequency of these reviews is within a fund’s discretion. The reviews are
necessary to ensure that securities that remain in a fund’s portfolio continue to present minimal
credit risks.
Rule 2a-7 requires that money market funds post monthly portfolio information on their
websites within five business days after the end of each month. We believe that this monthly
frequency allows current and prospective investors in the fund to have timely information about
the fund without excessively burdening money market funds. Money market funds voluntarily
provide this information on their websites more frequently than monthly.
Rule 2a-7 also requires daily website updates for the fund’s daily and weekly liquid
assets, the fund’s net inflows or outflows, and the fund’s daily current net asset value per share.
The website disclosures provide current and prospective investors with timely information about
the fund without excessively burdening money market funds.
7.

Inconsistencies with Guidelines in 5 CFR 1320.5(d)(2)

Rule 2a-7 requires money market funds to retain certain written records for more than
three years. The fund must maintain and preserve for six years a written copy of the procedures

6
established by the board of directors designed to stabilize the fund's NAV (where applicable),
records of the reports to the board on stress tests and records of determinations of credit quality
of counterparties to repurchase agreements, and a written record of the board's considerations
and actions taken in connection with the discharge of its responsibilities. The long-term
retention of these records is necessary to allow Commission inspection staff to determine
compliance with rule 2a-7. Rule 2a-7 also requires funds to post portfolio information monthly
and requires funds to post certain portfolio information daily. Given the short-term nature of
money market fund portfolio holdings, this increased frequency of information collection is
necessary to provide portfolio information that is meaningful to investors.
8.

Consultation Outside the Agency

The Commission and the staff of the Division of Investment Management participate in
an ongoing dialogue with representatives of the investment company industry through public
conferences, meetings and informal exchanges. These various forums provide the Commission
and the staff with a means of ascertaining and acting upon paperwork burdens confronting the
industry. The Commission requested public comment on the collection requirements in rule 2a-7
before it submitted this request for revision and approval to the Office of Management and
Budget. The Commission received no comments in response to its request.
9.

Payment or Gift

Not applicable.
10.

Confidentiality

Information received pursuant to this collection of information will be kept private to
the extent permitted by law.
11.

Sensitive Questions

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No information of a sensitive nature, including social security numbers, will be required
under this collection of information. The information collection collects basic Personally
Identifiable Information (PII) that may include the name, e-mail address, and telephone number
of the person authorized to receive information and respond to questions about the filing.
However, the agency has determined that the information collection does not constitute a system
of record for purposes of the Privacy Act. Information is not retrieved by a personal identifier. In
accordance with Section 208 of the E-Government Act of 2002, the agency has conducted a
Privacy Impact Assessment (PIA) of the EDGAR system, in connection with this collection of
information. The EDGAR PIA, published on 1/29/2016, is provided as a supplemental document
and is also available at https://www.sec.gov/privacy.
12.

Burden of Information Collection

In our most recent Paperwork Reduction Act submission for rule 2a-7, the Commission
estimated that the annual compliance burden to comply with the collection of information
requirements of rule 2a-7 is 337,328 hours. Commission staff estimates that there now are 320
money market funds and 80 fund complexes, all of which are subject to rule 2a-7. 3 Commission
staff further estimates that there will be approximately 10 new money market funds established

3

These estimates are based on Form N-MFP filings with the Commission for the month ended
May 2021.

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each year. 4 Commission staff estimates that rule 2a-7 contains the following collection of
information requirements: 5
•

Record of credit risk analyses, and determinations regarding adjustable rate securities,
asset-backed securities, asset-backed securities not subject to guarantees, securities
subject to a demand feature or guarantee, and counterparties to repurchase agreements.
85 responses annually for each fund to document these determinations, with the
total annual responses per fund, on average, requiring 680 burden hours of
professional (business analyst or portfolio manager) time. 6 Thus, to record credit
risk analyses and determinations regarding adjustable rate securities, asset-backed
securities, asset-backed securities not subject to guarantees, securities subject to a
demand feature or guarantee, and counterparties to repurchase agreements, the
staff estimates a total burden and cost of approximately 260,440 hours and
$62,233,600 7

4

These estimates are based on Form N-MFP filings with the Commission for the month ended
May 31, 2021. Between May 31, 2018 and May 31, 2021, the Commission estimates that there
were approximately 61 fewer money market mutual funds on a net basis. Despite the net
reduction in money market funds over this period, Commission data indicates that on an annual
basis, approximately 10 new money market funds per year register with the Commission. The
actual number of new money market funds launched may vary significantly from our estimates
depending upon developments in market interest rates and the regulatory environment. These
estimates are limited only to money market funds reporting on Form N-MFP, and do not include
feeder funds, which invest all their assets in the portfolio of a master fund.

5

The Commission’s estimates of the relevant wage rates are based on salary information for the
securities industry compiled by the Securities Industry and Financial Markets Association’s
Office Salaries in the Securities Industry 2013. The estimated figures are modified by firm size,
employee benefits, overhead, and adjusted to account for the effects of inflation. See Securities
Industry and Financial Markets Association, Report on Management & Professional Earnings in
the Securities Industry 2013.

6

Estimates of the number of responses prepared annually regarding these analyses are based on
conversations with individuals in the mutual fund industry. The actual number of responses
prepared may vary significantly depending on the type and number of portfolio securities held by
individual funds.

7

This estimate is based on the following calculations: 320 funds x 680 hours = 217,600 hours;
217,600 hours x $286 per hour = $62,233,600. The estimated hourly cost was based on the
weighted average annual salaries reported for an intermediate business analyst ($235 per hour)
and senior portfolio manager ($336 per hour). See supra footnote 5.

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•

Establishment of written procedures designed to stabilize NAV and guidelines and
procedures for board delegation of authority.
1 response annually for each of 10 new money market funds 8 to formulate and
establish written procedures and guidelines, with each response, on average,
requiring:
15.5 burden hours:

0.5 hour of the board of directors’ time;
7.2 hours professional legal time;
7.8 hours support staff time.

Thus the staff estimates a total burden and cost of approximately 155 hours and
$71,760 to adopt procedures designed to stabilize the fund’s NAV and guidelines
regarding the delegation of certain responsibilities to the fund’s adviser. 9
•

Board review of procedures and guidelines of any investment adviser or officers to whom
the fund’s board has delegated responsibility under rule 2a-7 and amendment of such
procedures and guidelines.
1 response annually for each of 80 money market funds to review and amend
written procedures and guidelines, 10 with each response, on average, requiring:
5 burden hours:

1 hour of the board of directors’ time;
4 hours compliance and professional legal time.

Thus, the staff estimates a total burden and cost of approximately 400 hours and
$500,960 to review and amend written procedures and guidelines. 11

8

See supra footnote 4.

9

This estimate is based on the following calculations: 10 funds x 15.5 hours = 155 hours; 10 funds
x ((0.5 hours x $4,770 per hour for board time) + (7.2 hours x $425 per hour for an attorney) +
(7.8 hours x $222 per hour for a paralegal)) = $71,760. In calculating costs for complying with
the information collection requirements of rule 2a-7, Commission staff estimates that a fund
board’s hourly rate is $4,770 per hour (on average, a board has 9 directors and the fund pays each
director approximately $530 per hour).

10

For purposes of this PRA we assumed that on average 25% (320 funds x .25 = 80 funds,
approximately) of money market funds would review and update their procedures on an annual
basis.

11

This estimate is based on the following calculations: 80 funds x 5 hours = 400 hours; 80 funds x
((1 hour x $4,770 per hour for board time) + (4 hours x $373 per hour for a compliance attorney))
= $500,960.

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•

Board determination – Fees and Gates 12
7 burden hours:

4
2
1

hours of a fund’s attorney time to prepare
materials for board review;
hours of board of directors’ time;
hour of a fund’s attorney time to prepare written
records of board determinations. 13

The Commission estimates that the average annual burden to prepare materials
and written records for a board’s required determinations will be approximately
seven hours per fund at an internal labor cost burden of approximately $11,665
per fund. 14 Based on a total of 2 funds per year that the Commission estimates
will have weekly liquid assets below 30% of total assets, the Commission
estimates the annual burden will be approximately 14 burden hours, 15 and
$23,330 in total time costs for all money market funds. 16 Because there is no
separate initial burden associated with this requirement, amortizing the annual
burden over three years will equal the estimated annual burden of approximately
14 hours at a total time cost of $23,330 for all funds.

12

Rule 2a-7 requires that if a money market fund’s weekly liquid assets fall below 30% or 10%
respectively, of total assets, the fund’s board may be required to make and document a number of
determinations, when in the best interest of the fund, regarding the imposition of liquidity fees
and gates. Staff analysis of Form N-MFP data shows that from May 2019 – May 2021, there was
1 prime money market fund with weekly liquid assets below 30% of total assets, which is the
trigger for board determinations regarding the imposition of liquidity fees and gates. The estimate
continues to assume 2 funds per year will meet this threshold in order to avoid potentially
underestimating the burden.

13

This estimate includes preparing and evaluating materials relevant to the determinations required
in imposing (and removing) either or both liquidity fees and redemption gates.

14

This estimate is based on the following calculation: (5 hours x $425 per hour for an attorney =
$2,125) + (2 hours x $4,770 per hour for a board of 9 directors = $9,540) = $11,665.

15

This estimate is based on the following calculation: 7 burden hours per fund x 2 funds = 14
burden hours.

16

This estimate is based on the following calculation: $11,665 in total costs per fund x 2 money
market funds = $23,330.

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•

Written record of board determinations and actions related to failure of a security to meet
certain eligibility standards or an event of default or insolvency. 17
2 responses annually for 20 funds to record the board of directors’ determinations
and actions in the board meeting minutes, with each response on average
requiring:
1.25 burden hours:

0.5

hours of a fund’s attorney time to prepare
materials for board review;
0.5 hours of board of directors’ time; and
0.25 hours of a fund’s attorney time to prepare
written records of board determinations

The Commission estimates that the average annual burden to prepare materials
and written records for a board’s required determinations will be approximately
1.25 burden hours per response at an internal labor cost burden of approximately
$2,703.75. 18 Based on the Commission’s estimate of 2 responses per year for 20
funds, the Commission estimates the annual burden will be approximately 50
burden hours, 19 and $108,150 in total time costs. 20
•

Establishment of written procedures to test periodically the ability of the fund to maintain
a stable NAV per share based on certain hypothetical events (“stress testing”).

17

A fund’s board of directors makes these determinations and takes action when a portfolio security
no longer meets eligibility requirements under the rule, or there has been an event of default or
insolvency. These events occur infrequently. Staff analysis of Form N-CR filings from May
2019 until May 2021, do not reflect any board actions related to failure of a security to meet
certain eligibility standards or an event of default or insolvency. Based on prior collections of
information, we estimated an average of approximately 2 occurrences for 20 funds each year;
however, this number may vary significantly in any particular year. A fund must also provide
information in a Notice to the Commission regarding these events, as an exhibit to Form N-CR.
The burden hours and responses required for filing these exhibits are included in the PRA
submissions for Form N-CR. In the event of a default or insolvency with respect to an issuer of a
portfolio security, the fund also must notify the Commission.

18

This estimate is based on the following calculation: (0.75 hours x $425 per hour for an attorney =
$318.75) + (0.5 hours x $4,770 per hour for a board of 9 directors = $2,385) = $2,703.75.

19

This estimate is based on the following calculation: 1.25 burden hours per response x 2 responses
= 2.5 burden hours.

20

This estimate is based on the following calculation: $2,703.75 in total costs per response x 2
responses = $5,407.50.

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1 response annually for each of 10 new money market funds 21 to formulate and
establish written procedures and guidelines, with each response, on average,
requiring:
22 burden hours:

3 hours of the board of directors’ time;
8 hours professional legal time;
7 hours risk management specialist time;
4 hours senior risk management specialist time.

Thus the staff estimates a total burden and cost of approximately 220 hours and
$205,910 to adopt procedures to test periodically the ability of the fund to
maintain a stable NAV per share based on certain hypothetical events. 22
•

Review, revise, and approve written procedures to stress test a fund’s portfolio.
1 response annually for each of 80 money market fund complexes to review,
revise, and amend written procedures and guidelines, with each response, on
average, requiring:
12 burden hours:

1 hour of the board of directors’ time;
5 hours senior portfolio manager time;
3 hours senior risk management specialist time;
3 hours professional legal time.

Thus, the staff estimates a total burden and cost of approximately 960 hours and
$705,600 to review, revise, and amend written procedures and guidelines. 23
•

Reports to fund boards on the results of stress testing.
5 responses annually (including 1 response as a result of unanticipated changes in
market conditions or other events) for each of 80 fund complexes to report to fund
boards on the results of stress testing, with each response, on average, requiring:

21

We have not amortized the one-time hour and cost burdens figures associated with new funds,
because we estimated there would be 10 new funds each year. Therefore, the burden would occur
each year instead of occurring over a three year period. We have done this throughout this PRA.

22

This estimate is based on the following calculations: 10 funds x 22 hours = 220 hours; 10 funds x
((3 hours x $4,770 per hour for board time) + (8 hours x $425 per hour for an attorney) + (7 hours
x $203 per hour for a risk management specialist) + (4 hours x $365 per hour for a senior risk
management specialist)) = $205,910.

23

This estimate is based on the following calculations: 80 fund complexes x 12 hours = 960 hours;
80 fund complexes x ((1 hour x $4,770 per hour) + (5 hours x $336 per hour for a senior portfolio
manager) + (3 hours x $365 per hour for a senior risk management specialist) + (3 hours x $425
per hour for an attorney)) = $705,600.

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10 burden hours:

5 hours portfolio manager time;
2 hours compliance time;
2 hours professional legal time;
1 hour support staff time.

Thus, the staff estimates a total burden and cost of approximately 4,000 hours and
$1,353,600 to report to fund boards on the results of stress testing. 24
•

Fund’s website disclosures including portfolio holding information, daily and weekly
liquid assets, net shareholder flow, daily current NAV, financial support received by the
fund, the imposition and removal of liquidity fees, and the suspension and resumption of
fund redemptions.
o Disclosure of Portfolio Holdings Information 25
Using an estimate of 320 money market funds, the Commission estimates that
each fund will incur 12 additional hours of internal staff time per year (one hour
per monthly filing), at an internal labor cost burden of $3,048 per fund, 26 to
update the website to include the disclosure, for a total of 3,840 aggregate hours
per year, 27 at an aggregate internal labor cost burden of $975,360. 28
In addition, we estimate for each of the 10 new money market funds to initially
develop a webpage and provide monthly disclosures for the initial year, each will
require 24 hours of webmaster time, at an internal labor cost burden of $6,096 per

24

This estimate is based on the following calculations: 80 fund complexes x (5 responses x 10
hours) = 4,000 hours; 80 fund complexes x ((5 responses x 5 hours x $336 per hour for a senior
portfolio manager) + (5 responses x 2 hours x $316 per hour for a compliance manager) + (5
responses x 2 hours x $425 per hour for an attorney) + (5 responses x 1 hour x $222 per hour for
paralegal)) = $1,353,600.

25

Because the new information that a fund will be required to disclose on its website overlaps with
the information that a fund will be required to disclose on Form N-MFP, we anticipate that the
burden for each fund to draft and finalize the disclosure that will appear on its website will
largely be incurred when the fund files Form N-MFP.

26

This estimate is based on the following calculation: 12 hours x $254 per hour for a webmaster =
$3,048.

27

This estimate is based on the following calculation: 12 hours per year x 320 money market funds
= 3,840 hours.

28

This estimate is based on the following calculation: 3,840 hours x $254 per hour for a webmaster
= $975,360.

14
fund, 29 for a total of 240 aggregate hours, 30 at an aggregate internal labor cost
burden of $60,960. 31
The total aggregate annual one-time and recurring burdens results in a total of
4,080 32 burden hours at an internal labor cost burden of $1,036,320. 33
o Disclosure of daily and weekly liquid assets and net shareholder flow 34
The Commission estimates that 320 funds will incur an ongoing annual burden of
36 hours, 35 at an internal labor cost burden of $11,475, 36 to update the depiction
29

This estimate is based on 24 hours x $254 per hour for a webmaster = $6,096.

30

This estimate is based on 24 hours x 10 new funds per year = 240 hours.

31

This estimate is based on 240 hours x $254 per hour for a webmaster = $60,960

32

This estimate is based on 3,840 recurring burden hours + 240 one-time burden hours = 4,080 total
burden hours.

33

This estimate is based on $975,360 recurring internal burden labor costs + $60,960 one-time
internal burden labor costs = $1,036,320 total internal labor cost burden.

34

The burdens associated with the requirement that a fund disclose, on its website, a schedule,
chart, graph, or other depiction showing the percentage of the fund’s total assets invested in daily
and weekly liquid assets, as well as the fund’s net inflow or outflow, include one-time burdens as
well as ongoing burdens.

35

The Commission estimates that the lower bound of the range of the ongoing annual hour burden
to update the required website information will be 21 hours per year (5 minutes per day x 252
business days in a year = 1,260 minutes, or 21 hours). The Commission estimates that the upper
bound of the range of the ongoing annual hour burden to update the required website information
will be 42 hours per year (10 minutes per day x 252 business days in a year = 2,520 minutes, or
42 hours).
Additionally, we estimate that each fund will incur an additional ongoing annual hour burden of
between 3 hours and 6 hours associated with implementing enhanced controls required to
publicly disseminate the data at issue. Specifically, depending on the controls the fund already
has in place, the Commission estimates that it will take a compliance manager and an attorney
between 3 and 6 hours to review and update (or if necessary, to develop and implement) the
controls associated with the public dissemination of daily liquid asset and weekly liquid asset data
each year.
Because we do not have the information necessary to provide a point estimate of the costs to
modify a particular fund’s systems we thus have provided ranges of estimated costs. For purposes
of our estimates for the PRA analysis, we have taken the mid-point of the range discussed above
(mid-point of 24 hours (21 hours + 3 hours) and 48 hours (42 hours + 6 hours) = 36 hours).

36

This estimate is based on the following calculation: (31.5 hours (mid-point of 21 hours and 42
hours for updating the required website information) x $315 (blended rate for a senior systems
analyst ($291) and senior programmer ($339)) = $9,923) + (4.5 hours (mid-point of 3 hours and 6
hours for implementing enhanced controls associated with public dissemination of data) x $345
(blended rate for a compliance manager ($316) and a compliance attorney ($373) = $1,553) =
$11,475 per fund.

15
of daily and weekly liquid assets and the fund’s net inflow or outflow on the
fund’s website each business day during that year; in aggregate, the Commission
estimates that money market funds will incur an average ongoing annual burden
of 11,520 hours, 37 at an internal burden cost of $3,672,000, 38 to comply with this
disclosure requirement.
The Commission expects that each new money market fund will incur a one-time
burden of 70 hours, 39 at an internal labor cost burden of $22,650, 40 to design the
required schedule, chart, graph, or other depiction, and to make the necessary
software programming changes to the fund’s website to disclose the percentage of
the fund’s total assets that are invested in daily liquid assets and weekly liquid
assets, as well as the fund’s net inflow or outflow, as of the end of each business
day during the preceding six months. Using an estimate of 10 new money market
funds, the Commission estimates an aggregate total one-time burden of 700
hours, 41 at an internal labor cost burden of $226,500 42 to comply with these
website disclosure requirements.
The total aggregate annual one-time and recurring burdens results in a total of
12,220 43 burden hours at an internal labor cost burden of $3,898,500. 44
37

This estimate is based on the following calculation: 36 hours x 320 money market funds = 11,520
hours.

38

This estimate is based on the following calculation: $11,475 per fund x 320 money market funds
= $3,672,000.

39

The Commission estimates that the lower bound of the range of the initial, one-time hour burden
to design and present the historical depiction of daily and weekly liquid assets and the fund’s net
inflows and outflows will include the following: 16 hours (project assessment) + 40 hours
(project development, implementation, and testing) = 56 hours. The Commission estimates that
the upper bound of the range of the initial, one-time hour burden to design and present the
historical depiction of daily and weekly liquid assets and the fund’s net inflows and outflows will
include the following: 24 hours (project assessment) + 60 hours (project development,
implementation, and testing) = 84 hours. For purposes of our estimates for the PRA analysis, we
have taken the midpoint of the range discussed above (mid-point of 56 hours and 84 hours = 70
hours).

40

This estimate is based on the following calculations: (20 hours (mid-point of 16 hours and 24
hours for project assessment) x $345 (blended rate for a compliance manager ($316) and a
compliance attorney ($373) = $6,900) + (50 hours (mid-point of 40 hours and 60 hours for
project development, implementation, and testing) x $315 (blended rate for a senior systems
analyst ($291) and senior programmer ($339)) = $15,750) = $22,650 per fund.

41

This estimate is based on the following calculation: 70 hours x 10 money market funds = 700
hours.

42

This estimate is based on the following calculation: $22,250 per fund x 10 money market funds =
$222,500.

43

This estimate is based on 11,520 recurring burden hours + 700 one-time burden hours = 12,220
total burden hours.

16

o Disclosure of Daily current NAV 45
The Commission estimates that each fund will incur an annual ongoing burden of
32 hours, 46 at an internal labor cost burden of $10,080, 47 to update the depiction
of the fund’s daily current NAV on the fund’s website each business day during
that year; in aggregate, the Commission estimates that 320 money market funds
will incur an ongoing annual burden of 10,240 hours, 48 at an internal labor cost
burden of $3,225,600, 49 to comply with this disclosure requirement.

44

This estimate is based on $3,672,000 recurring internal labor cost burden + $222,500 one-time
internal labor cost burden = $3,898,500 total internal labor cost burden.

45

The burdens associated with the requirement that a fund disclose, on its website, a schedule,
chart, graph, or other depiction showing the fund’s daily current NAV as of the end of the
previous business day include one-time burdens as well as ongoing burdens. The Commission
expects that these one-time and ongoing burdens will be substantially similar to the burdens
associated with the requirement regarding website disclosure of daily liquid assets and weekly
liquid assets, discussed above. This is because the Commission expects the core activities
associated with both of these website disclosure requirements (designing the required schedule,
chart, graph, or other depiction; making necessary software programming changes; and updating
the website disclosure each day) will be identical for each requirement, and expects that the
burdens associated with these activities will not vary substantially based on the substance of the
disclosure necessitated by each requirement. Thus, the Commission believes that funds will not
incur an additional burden obtaining current NAV data for purposes of the requirement regarding
website disclosure of the fund’s daily current NAV.

46

The Commission estimates that the lower bound of the range of the ongoing annual hour burden
to update the required website information will be 21 hours per year (5 minutes per day x 252
business days in a year = 1,260 minutes, or 21 hours). The Commission estimates that the upper
bound of the range of the ongoing annual hour burden to update the required website information
will be 42 hours per year (10 minutes per day x 252 business days in a year = 2,520 minutes, or
42 hours). For purposes of our estimates for the PRA analysis, we have taken the mid-point of
the range discussed above (mid-point of 21 hours and 42 hours = 32 hours).

47

This estimate is based on the following calculation: 32 hours (mid-point of 21 hours and 42
hours) x $315 (blended rate for a senior systems analyst ($291) and senior programmer ($339)) =
$10,080.

48

This estimate is based on the following calculation: 32 hours x 320 money market funds = 10,240
hours.

49

This estimate is based on the following calculation: $10,080 x 320 money market funds =
$3,225,600.

17
The Commission expects that each new money market fund will incur a one-time
burden of 70 hours, 50 at an internal burden cost of $22,650, 51 to design the
required schedule, chart, graph, or other depiction, and to make the necessary
software programming changes to the fund’s website to disclose the fund’s daily
current NAV as of the end of each business day during the preceding six months.
Using an estimate of 10 new money market funds, the Commission estimates that
money market funds will incur, in aggregate, a total one-time burden of 700
hours, 52 at an internal labor cost burden of $226,500, 53 to comply with these
website disclosure requirements.
The aggregate annual one-time and recurring burdens results in a total of 10,940 54
burden hours at an internal labor cost burden of $3,452,100. 55

50

The Commission estimates that the lower bound of the range of the initial, one-time hour burden
to design and present the historical depiction of the fund’s daily current NAV will include the
following: 16 hours (project assessment) + 40 hours (project development, implementation, and
testing) = 56 hours. The Commission estimates that the upper bound of the range of the initial,
one-time hour burden to design and present the historical depiction of daily liquid assets and
weekly liquid assets will include the following: 24 hours (project assessment) + 60 hours (project
development, implementation, and testing) = 84 hours. For purposes of our estimates for the
PRA analysis, we have taken the midpoint of the range discussed above (mid-point of 56 hours
and 84 hours = 70 hours).

51

This estimate is based on the following calculations: (20 hours (mid-point of 16 hours and 24
hours for project assessment) x $345 (blended rate for a compliance manager ($316) and a
compliance attorney ($373) = $6,900) + (50 hours (mid-point of 40 hours and 60 hours for
project development, implementation, and testing) x $315 (blended rate for a senior systems
analyst ($291) and senior programmer ($339)) = $15,750) = $22,650 per fund.

52

This estimate is based on the following calculation: 70 hours x 10 new money market funds = 700
hours.

53

This estimate is based on the following calculation: $22,650 per fund x 10 money market funds =
$226,500.

54

This estimate is based on 10,240 recurring burden hours + 700 one-time burden hours = 10,940
total burden hours.

55

This estimate is based on $3,225,600 recurring internal labor cost burden + $226,500 one-time
internal labor cost burden = $3,452,100 total internal labor cost burden.

18
o Disclosure of Financial Support Received by the Fund, the Imposition and
Removal of Liquidity Fees, and the Suspension and Resumption of Fund
Redemptions 56
The Commission estimates that it will receive 10 reports per year filed in response
to an event specified on Part C (“Provision of financial support to Fund”) of Form
N-CR. Because the required website disclosure overlaps with the information that
a fund must disclose on Form N-CR when the fund receives financial support
from a sponsor or fund affiliate, we anticipate that the burdens a fund will incur to
draft and finalize the disclosure that will appear on its website will largely be
incurred when the fund files Form N-CR. The Commission estimates that a fund
will incur an additional burden of one hour, at an internal burden cost of $254, 57
each time that it updates its website to include the new disclosure. Accordingly,
the Commission estimates that the requirement to disclose information about
financial support received by a money market fund on the fund’s website will
result in a total aggregate burden of 10 hours per year, 58 at a total aggregate
internal labor cost burden of $2,540. 59
A money market fund must also disclose, on its website, certain information that
the fund is required to report to the Commission on Form N-CR regarding the
imposition and removal of liquidity fees, and the suspension and resumption of
fund redemptions. The Commission estimates that it will receive, in aggregate, an
average of 1 report per year filed in response to events specified on Part E
(“Imposition of liquidity fee”), Part F (“Suspension of Fund redemptions”), and
Part G (“Removal of liquidity fees and/or resumption of Fund redemptions”) of
Form N-CR. Because the required website disclosure overlaps with the
information that a fund must disclose on Form N-CR when the fund imposes or
removes liquidity fees, or suspends and resumes fund redemptions, we anticipate
that the burdens a fund will incur to draft and finalize the disclosure that will
56

Analysis of funds’ Form N-CR filings reflect 9 filings of Part C reports in the period from May
2018 through May 2021, all of which took place during the market disruption in March, 2020.
Analysis of funds’ Form N-CR filings do not reflect any Part E, G, or F reports. Despite the lack
of reports, the Commission estimates about 10 reports filed in response to events specified in Part
C of Form N-CR and 1 report per year filed in response events specified in Part E, F, or G of
Form N-CR.

57

This estimate is based on the following calculation: 1 hour per website update x $254 per hour for
a webmaster = $254.

58

This estimate is based on the following calculation: 1 hour per website update x 10 website
updates made by money market funds = 10 hours.

59

This estimate is based on the following calculation: 10 hours per year x $254 per hour for a
webmaster = $2,540.

19
appear on its website will largely be incurred when the fund files Form N-CR.
The Commission estimates that a fund will incur an additional burden of one
hour, at an internal burden cost of $254, 60 each time that it updates its website to
include the new disclosure. Accordingly, the Commission estimates that the
requirement to disclose information about the imposition and removal of liquidity
fees, and the suspension and resumption of fund redemptions, on the fund’s
website will result in a total aggregate burden of 1 hour per year, 61 at a total
aggregate internal labor cost burden of $254. 62
o Total Change in Burden for Website Disclosure
Thus, the staff estimates a total burden and cost of approximately 27,251 hours 63
at a time cost of $8,389,714 associated with the website disclosure
requirements. 64
•

Retail Funds policies and procedures
The Commission estimates that approximately 2 new money market funds will seek to
qualify as retail money market funds under rule 2a-7 and therefore be required to adopt
written policies and procedures reasonably designed to limit beneficial owners to natural

60

This estimate is based on the following calculation: 1 hour per website update x $254 per hour for
a webmaster = $254.

61

This estimate is based on the following calculation: 1 hour per website update x 1 website updates
made by money market funds = 1 hour.

62

This estimate is based on the following calculation: 1 hour per year x $254 per hour for a
webmaster = $254.

63

This estimate is based on the following calculation: 4,080 hours (annual aggregate burden for the
disclosure of portfolio holdings information) + 12,220 (annual aggregate burden for the
disclosure of daily liquid assets and weekly liquid assets and net shareholder flow) + 10,940
(annual aggregate burden for the disclosure of daily current NAV) + 10 hours (annual aggregate
burden for the disclosure of financial support provided to money market funds) + 1 hour (annual
aggregate burden for the imposition and removal of liquidity fees, and suspension and resumption
of fund redemptions) = 27,251 hours.

64

This estimate is based on the following calculation: $1,036,320 (annual aggregate costs
associated with the disclosure of portfolio holdings information) + $3,898,500 (average annual
aggregate costs associated with the disclosure of daily liquid assets and weekly liquid assets and
net shareholder flow) + $3,452,100 (average annual aggregate costs associated with the
disclosure of daily current NAV) + $2,540 (annual aggregate costs associated with the disclosure
of financial support provided to money market funds) + $254 (annual aggregate costs associated
with the imposition and removal of liquidity fees, and suspension and resumption of fund
redemptions) = $8,389,714.

20
persons. 65 The Commission estimates that it will take approximately 12 hours of a fund
attorney’s time to prepare the procedures and one hour for a board to adopt the
procedures. Therefore, the Commission estimates an initial time cost of approximately
$9,870 per fund complex. 66 We estimate the one-time burden to prepare and adopt these
procedures will be approximately 26 hours 67 at $19,740 in total time costs for all fund
complexes. 68

65

Form N-MFP data reflects that none of the 10 new money market funds created per year created
between May, 2018 through May, 2021, elected to be retail funds. Despite this, we continue to
estimate that 2 new money market funds per year would elect to be a retail fund in order to avoid
potentially underestimating the burden associated with these requirements.

66

This estimate is based on the following calculation: (12 hours x $425 per hour for an attorney =
$5,100) + (1 hour x $4,770 per hour for a board of 9 directors = $4,770) = $9,870.

67

This estimate is based on the following calculation: 12 burden hours to prepare written
procedures + 1 burden hour to adopt procedures = 13 burden hours per money market fund
complex; 13 burden hours per fund x 2 new retail funds = 26 total burden hours for all new retail
funds.

68

This estimate is based on the following calculation: 2 new retail funds x $9,870 in total costs per
fund complex = $19,740.

21
Aggregate Burden

•

The Commission estimates the total annual burden of the rule’s information collection
requirements are 27,820 responses 69 and 293,469 hours 70 at an annual cost of
$73,509,622. 71
These estimates are made solely for the purposes of the Paperwork Reduction Act
(“PRA”) and are not derived from a comprehensive or even representative survey or study of the
cost of Commission rules.

Table 1: Summary of Revised Annual Responses, Burden Hours, and Burden Hour Costs
Estimates for the Recordkeeping, Reporting & Compliance Requirements under Rule 2a-7.
69

This estimate is based on the following calculation: (85 responses x 320 funds) + (1 response x
10 funds) + (1 response x 80 funds) + (2 responses x 20 funds) + (1 response x 10 funds) + (1
response x 80 fund complexes) + (5 responses x 80 fund complexes) = 27,820 responses.

70

This estimate is based on the following calculation: 260,440 hours (annual aggregate burden
hours for recording credit risk analyses and other determinations) + 155 hours (annual aggregate
burden hours for establishing procedures to stabilize NAV ) + 400 hours (annual aggregate
burden hours for board review of policies and guidelines of an investment adviser or office to
whom the board delegated responsibility under rule 2a-7 ) + 14 (annual aggregate burden hours
for board determination of fees and gates) + 50 hours (annual aggregate burden hours for board
determinations of default or insolvency) + 220 hours (annual aggregate burden hours to establish
stress testing policies and procedures) + 960 hours (annual aggregate burden hours to review,
revise, and approve written procedures to stress test a fund portfolio) + 4,000 hours (annual
aggregate burden hours to report to the fund boards the results of stress testing) + 27,251 hours
(annual aggregate burden hours associated with website disclosure) + 26 hours (annual aggregate
burden hours associated with developing policies and procedures for retail funds) =
293,516hours.

71

This estimate is based on the following calculation: $62,233,600 (annual aggregate burden costs
for recording credit risk analyses and other determinations) + $71,760 (annual aggregate burden
costs for establishing procedures to stabilize NAV ) + $500,960 (annual aggregate burden costs
for board review of policies and guidelines of an investment adviser or office to whom the board
delegated responsibility under rule 2a-7) + $23,330 (annual aggregate burden costs for board
determination of fees and gates) + $108,150 (annual aggregate burden cost for board
determinations of default or insolvency) + $205,910 (average annual aggregate burden costs to
establish stress testing policies and procedures) + $705,600 (annual aggregate burden costs to
review, revise, and approve written procedures to stress test a fund portfolio)+ $1,353,600
(annual aggregate burden hours to report to the fund boards the results of stress testing) +
$8,389,714 (annual aggregate burden costs associated with website disclosure) + 19,740 (annual
aggregate burden costs associated with developing policies and procedures for retail funds) =
$73,612,364.

22

Annual number of responses
Previously approved

37,519

Requested

27,820

Change

(-9,699)

Annual time burden (hrs.)
Previously approved

337,328

Requested

293,516

Change

(43,859)

Annual cost burden ($)

13.

Previously approved

$38,100,454

Requested

$73,612,364

Change

$35,511,910

Cost to Respondents

Commission staff estimates that in addition to the costs described in section 12, money
market funds will incur costs to preserve records, as required under rule 2a-7. 72 These costs will
vary significantly for individual funds, depending on the amount of assets under fund
management and whether the fund preserves its records in a storage facility in hard copy or has

72

A significant portion of the recordkeeping burden involves organizing information that the funds
already collect when initially purchasing securities. In addition, when a money market fund
analyzes a security, the analysis need not be presented in any particular format. Money market
funds therefore have a choice of methods for maintaining these records that vary in technical
sophistication and formality. Accordingly, the cost of preparing these documents may vary
significantly among individual funds. The burden hours associated with filing reports to the
Commission as an exhibit to Form N-CR are included in the PRA burden estimate for that form.

23
developed and maintains a computer system to create and preserve compliance records. 73
Commission staff estimates that the amount an individual fund may spend ranges from $100 per
year to $300,000. Based on a cost of $0.0051295 per dollar of assets under management for
small funds, $0.0005041 per dollar assets under management for medium funds, and $0.0000009
per dollar of assets under management for large funds, the staff estimates compliance with the
record storage requirements of rule 2a-7 costs the fund industry approximately $33.0 million per
year. 74
Based on responses from individuals in the money market fund industry, the staff
estimates that some of the largest fund complexes have created computer programs for
maintaining and preserving compliance records for rule 2a-7. Based on a cost of $0.0000132 per
dollar of assets under management for large funds, the staff estimates that total annualized
capital/startup costs range from $0 for small funds to $71.6 million for all large funds. 75
Commission staff further estimates that, even absent the requirements of rule 2a-7, money

73

The amount assets under management in individual money market funds ranges widely, varying
from below $50 million to well over $150 billion. We further note that the assets under
management figures were calculated based on net assets at the fund level and not the sum of the
market values of the underlying funds.

74

The staff estimated the annual cost of preserving the required books and records by identifying
the annual costs incurred by several funds and then relating this total cost to the average net assets
of these funds during the year. With a total of $328.5 million under management in small funds,
$52.4 billion under management in medium funds and $5.4 trillion under management in large
funds, the costs of preservation were estimated as follows: ((0.0051295 x $328.5 million) +
(0.0005041 x $52.4 billion) + (0.0000009 x $5.4 trillion) = $33.0 million. For purposes of this
PRA submission, Commission staff used the following categories for fund sizes: (i) small–
money market funds with $50 million or less in assets under management; (ii) medium–money
market funds with more than $50 million up to and including $1 billion in assets under
management; and (iii) large–money market funds with more than $1 billion in assets under
management.

75

This estimate is based on the following calculation: $0.0000132 x $5.4 trillion in assets under
management for large funds = $71.6 million.

24
market funds would spend at least half of the amount for capital costs ($35.8 million) 76 and for
record preservation ($16.5 million) 77 to establish and maintain these records and the systems for
preserving them as a part of sound business practices to ensure diversification and minimal credit
risk in a portfolio for a fund that seeks to maintain a stable price per share.
14.

Cost to the Federal Government

Rule 2a-7 does not impose any costs on the federal government.
15.

Changes in Burden

The estimated total annual burden is being decreased from 337,328 hours to 293,516
hours. This net decrease of 43,812 hours is attributable to a combination of factors, including a
decrease in the number of money market funds and fund complexes, and updated information
from money market funds regarding hourly burdens, including revised staff estimates of the
burden hours required to comply with rule 2a-7. The estimated total annual cost is being
increased from $38.1 million to $73.6 million. This net increase of $35.5 million is attributable
to updated estimates of hourly wage rates for money market fund staff and updated information
from money market funds regarding assets under management.
16.

Information Collection Planned for Statistical Purposes

Not applicable.
17.

Approval to Omit OMB Expiration Date

Not applicable.

76

This estimate is based on the following calculation: $71.6 million in capital costs / 2 = $35.8
million.

77

This estimate is based on the following calculation: $33.0 million in record preservation costs / 2
= $16.5 million

25
18.

Exceptions to Certification Statement for Paperwork Reduction Act

Submissions
Not applicable.
B.

COLLECTIONS OF INFORMATION EMPLOYING STATISTICAL METHODS
Not applicable.


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