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 Trust 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, do 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 it nor its management will assert the
Staff’s comments or changes in disclosure in response to the Staff’s
comments as an affirmative defense in any action or proceeding by the SEC
or any person.
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Comment
1:
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Please
remove the text below the investment adviser’s logo reading “Jensen
Investment Management®”
and “Investment Adviser to the Jensen Value Fund” from the cover page of
the prospectus, as this is not information required by Item 1 of Form
N-1A.
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Response:
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The
Trust responds by making the requested revisions. The Trust
also notes supplementally that text reading “Uncompromising Quality” will
be added to the cover page, as allowed by the Instruction to Item 1(a) of
Form N-1A.
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Comment
2:
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Please
delete the phrase “and Voluntary Service Provider” from the last line item
in the table. Please also remove the word “Less” from the
second-to-last line item showing the effect of the contractual fee
waiver/expense reimbursement, and do not indent the line
item.
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Response:
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The
Trust responds by making the requested
revisions.
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Comment
3:
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Please
delete the separate line item for the “Shareholder Servicing Fees” and
include the fee as a sub-item under “Other
Expenses.”
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Response:
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The
Trust respectfully declines to make the suggested revision, noting that
Instruction 3(b) to Item 3 of Form N-1A allows for any distribution or
similar expenses other than pursuant to a rule 12b-1 plan to be included
as either an appropriate caption or as a sub-caption under “Other
Expenses.”
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Comment
4:
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Please
delete footnote (1) to the table as this is not required disclosure under
Item 3 of Form N-1A.
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Response:
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The
Trust responds by making the requested
revision.
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Comment
5:
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Please
expand the discussion in the “Principal Investment Strategies” section to
explain in more specific detail the types of equity securities in which
the Fund may invest, including, but not limited to, the Fund’s ability to
invest in convertible preferred stock, convertible debt securities and
foreign securities.
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Response:
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The
Trust responds by adding types of equity securities the Fund may invest to
this section, as shown in Appendix A attached
hereto.
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Comment
6:
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Please
expand discussion in the “Principal Investment Strategies” section to
explain in more specific detail the quantitative and fundamental factors
the investment adviser considers when “applying quantitative factors to
this select universe of companies that are rooted in fundamentally-based
investment principles.”
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Response:
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The
Trust responds by adding more specific quantitative and fundamental
factors disclosure to this section, as shown in Appendix A attached
hereto.
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Comment
7:
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Please
clarify whether the Fund considers itself to be a small-cap fund, given
its restriction on investing in companies with market capitalizations of
$1 billion or more.
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Response:
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The
Trust responds by stating supplementally that the Fund is not considered
to be a small-cap fund, as there is no upper constraint on the size of
market capitalization, which allows the Fund to invest in companies that
may be considered small-cap, mid-cap or
large-cap.
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Comment
8:
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Please
discuss any strategy the investment adviser utilizes which may result in
high portfolio turnover.
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Response:
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The
Trust responds by adding disclosure to this section discussing the Fund’s
strategy that may result in high portfolio turnover, as shown in Appendix
A attached hereto.
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Comment
9:
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Please
state supplementally whether the Fund will concentrate its assets in any
particular sector or industry.
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Response:
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The
Trust responds by stating supplementally that the Fund does not intend to
concentrate its assets in any particular sector or
industry.
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Comment
10:
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Please
add disclosure to the Summary Section with respect to the Fund’s ability
to invest in cash and cash equivalents as a principal investment
strategy.
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Response:
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The
Trust responds by stating the Fund does not intend to invest in cash and
cash equivalents as a principal strategy of the
Fund.
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Comment
11:
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To
the extent that the Fund will invest in master limited partnerships,
convertible debt securities, convertible preferred stock and/or foreign
securities as a principal investment strategy, please include disclosure
with respect to these types of investments in the “Principal Investment
Strategies” section, along with related risk
disclosure.
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Response:
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The
Trust responds by adding risk disclosure to the Principal Risk section, as
shown in Appendix A attached
hereto.
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Comment
12:
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Please
add to this section a discussion of risks related to market
capitalization.
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Response:
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The
Trust responds by adding risk disclosure to the Principal Risk section, as
shown in Appendix A attached
hereto.
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Comment
13:
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With
respect to disclosure of the Fund’s portfolio managers, please only
include dates for which the portfolio managers have served the Fund (i.e.,
since its inception), as dates relating to the portfolio managers’
employment with the investment adviser is not required by Item 5 of Form
N-1A.
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Response:
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The
Trust responds by revising the portfolio managers section, as shown in
Appendix A attached hereto.
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Comment
14:
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Please
provide specific details of the investment process used by the Adviser in
managing the Fund.
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Response:
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The
Trust responds by adding more specific quantitative and fundamental
factors disclosure to this section, as shown in Appendix A attached
hereto.
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Comment
15:
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Please
add a caption to the total returns table in this section to clarify that
the returns shown are those of the Adviser’s private accounts, and not the
Fund.
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Response:
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The
Trust responds by revising the caption directly above the total returns
table in this section, as shown in Appendix A attached
hereto.
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Comment
16:
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Please
add a discussion of fair valuation of foreign securities to this
section.
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Response:
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The
Trust responds by adding the foreign securities disclosure to this
section, as shown in Appendix A attached
hereto.
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Comment
17:
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Please
delete the following statement from this section, as it is not applicable
to the Fund: “In addition, the Fund invests primarily in large
capitalization “blue chip” companies and mid-capitalization companies that
historically have not exhibited the high level of short-term volatility
usually sought by market-timing
investors.”
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Response:
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The
Trust responds by making the requested
revision.
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Comment
18:
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Please
remove the statement “This page is not a part of the Prospectus” from this
page.
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Response:
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The
Trust responds by making the requested
revision.
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§
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New
Fund Risk
|
§
|
Stock
Market Risk
|
§
|
Management
Risk
|
§
|
New
Fund Risk
|
§
|
Stock
Market Risk
|
§
|
Management
Risk
|
§
|
Company
and Sector Risk
|
§
|
Preferred
Stock Risk
|
§
|
Convertible
Securities
Risk
|
§
|
Foreign
Securities
Risk
|
§
|
Large-Cap
Company
Risk
|
§
|
Small-and
Mid-Cap Company
Risk
|
§
|
Portfolio
Turnover
Risk
|
One Year
|
Since
Inception
January 1, 2008
|
|
Composite
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35.01%
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5.57%
|
Russell
3000 Value Index
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19.76%
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-12.62%
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§
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Securities
listed on the U.S. stock exchanges, including the NYSE and the NASDAQ are
valued at the last sale price on such market, or if such a price is
lacking for the trading period immediately preceding the time of
determination, such securities are valued at their current bid
price;
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§
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Securities
that are traded in the over-the-counter market are valued at their current
bid price;
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§
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Short-term
money market securities maturing within 60 days are valued on the
amortized cost basis; and
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§
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Securities
for which market quotations are not readily available shall be valued at
their fair value as determined in good faith by or under the direction of
the Board of Trustees.
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