Re:
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Trust
for Professional Managers (the
“Trust”)
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File
Nos.: 333-62298, 811-10401
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1.
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The
Trust acknowledges that in connection with the comments made by the
Staff
of the SEC, the Staff has not passed on the accuracy or adequacy
of the
disclosure made herein, and the Fund and its management are solely
responsible for the content of such
disclosure;
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2.
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The
Trust acknowledges that the Staff’s comments and changes in disclosure in
response to the Staff’s comments does not foreclose the SEC or other
regulatory body from the opportunity to seek enforcement or take
other
action with respect to the disclosure made herein;
and
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3.
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The
Trust represents that neither the Fund nor its management will assert
the
Staff’s comments or changes in disclosure in response to the Staff’s
comments as a defense in any action or proceeding by the SEC or any
person.
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1.
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Please
confirm whether the Fund’s investments will be limited to U.S.
companies. If the Fund may invest in any non-U.S. companies,
please include appropriate
disclosure.
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The
Trust responds by confirming that the Fund’s investments will be limited
to U.S. companies.
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2.
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With
respect to the statement that the Adviser combines its knowledge
of the
history of the stock market with an “understanding of crowd psychology
with respect for mathematical probabilities,” please revise to clarify in
plain English what this means and how it will be applied to select
investments for the Fund.
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The
Adviser uses the history of the stock market as an asset and combines
it
with a deep understanding of crowd psychology in managing
portfolios. The use of history and crowd psychology is combined
with a respect for mathematical probabilities (returns gravitate
to the
mean and standard deviation analysis), that blended together are
unusual
in the marketplace.
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3.
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With
respect to the statement that “shareholders will receive the next NAV
calculated after the Account Application has been accepted by the
Fund,”
please revise to clarify that shareholders will receive the NAV next
calculated after the Account Application has been received by the
Fund in
good order.
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The
Trust responds by removing the applicable statement from the Prospectus,
and by adding the following disclosure to this
section:
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4.
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Please
expand the conflicts of interest disclosure to describe any material
conflicts that may arise in connection with the Portfolio Manager’s
investments, on the one hand, and the investments of other accounts,
as
required by Item 15(a)(4) of Form
N-1A.
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·
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when
only a small percentage of the order is executed, shares may be allocated
to the account with the smallest order or the smallest position or
to an
account that is out of line with respect to security or sector weightings
relative to other portfolios, with similar
mandates;
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·
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allocations
may be given to one account when that account has limitations in
its
investment guidelines which prohibit it from purchasing other securities
which are expected to produce similar investment results and can
be
purchased by other accounts;
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·
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with
respect to sale allocations, allocations may be given to accounts
relatively lower in cash;
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·
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in
cases when a pro rata allocation of a potential execution would result
in
a de minimis allocation in one or more accounts, the Adviser may
exclude
the account(s) from the allocation and the transactions may be executed
on
a pro rata basis among the remaining accounts;
or
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·
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in
cases where a small portion of an order is executed in all accounts,
shares may be allocated to one or more accounts on a random
basis.
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5.
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Please
expand the discussion of the Portfolio Manager’s compensation to describe
with specificity the criteria on which each type of compensation
is based
(i.e., performance, assets under management,
etc.)
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The
Portfolio Manager’s compensation consists of a cash salary and a
percentage of the Adviser’s overall profits based on contributions to the
firm, industry experience and level of responsibility as
CEO/CIO.
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