0000950134-08-004551.txt : 20120730
0000950134-08-004551.hdr.sgml : 20120730
20080311180636
ACCESSION NUMBER: 0000950134-08-004551
CONFORMED SUBMISSION TYPE: CORRESP
PUBLIC DOCUMENT COUNT: 1
FILED AS OF DATE: 20080311
FILER:
COMPANY DATA:
COMPANY CONFORMED NAME: SCHWAB CAPITAL TRUST
CENTRAL INDEX KEY: 0000904333
IRS NUMBER: 943297102
STATE OF INCORPORATION: MA
FISCAL YEAR END: 1031
FILING VALUES:
FORM TYPE: CORRESP
BUSINESS ADDRESS:
STREET 1: 211 MAIN STREET
CITY: SAN FRANCISCO
STATE: CA
ZIP: 94105
BUSINESS PHONE: 1-800-648-5300
MAIL ADDRESS:
STREET 1: 211 MAIN STREET
CITY: SAN FRANCISCO
STATE: CA
ZIP: 94105
CORRESP
1
filename1.txt
1701 Market Street Morgan, Lewis
Philadelphia, PA 19103-2921 & Bockius LLP
215.963.5000 Counselors at Law
Fax: 215.963.5001
Sean Graber
Associate
215.963.5598
March 10, 2008
FILED AS EDGAR CORRESPONDENCE
Ms. Valerie Lithotomos
U.S. Securities and Exchange Commission
100 F Street, NE
Washington, D.C. 20549
Re: Schwab Capital Trust (File Nos. 33-62470 and 811-7704) PEA No. 89
Dear Ms. Lithotomos:
Set forth below are your comments on Post-Effective Amendment ("PEA") No. 89,
filed under the Securities Act of 1933, as amended, and the Investment Company
Act of 1940, as amended, of Schwab Capital Trust (the "Trust") which was filed
for the purpose of making material changes to the Schwab Balanced Fund
(formerly, the Schwab Viewpoints Fund), a series of the Trust (the "Fund").
1. COMMENT: In the "About the Fund" section of the prospectus, is the use of
the terms "asset allocation" and "blend" consistent in the following
sentence: "This approach is intended to offer the investor asset
allocation using a blend of different asset classes."
RESPONSE: In response to your comment, we have revised the sentence as
follows:
This approach is intended to offer the investor asset allocation
across different asset classes.
2. COMMENT: As a "balanced" fund, please include a statement in the
prospectus that the fund will invest at least 25% of its assets in equity
securities and at least 25% of its assets in fixed income securities.
RESPONSE: In response to your comment, we have included the following
sentence in the prospectus:
Under normal circumstances, the fund will invest at least 25% of its
assets in fixed income securities and at least 25% of its assets in
equity securities.
3. COMMENT: The prospectus states that "To pursue its goal, the fund
generally invests in a diversified group of other Schwab and/or Laudus
Funds . . .." In light of the fact that the
Valerie Lithotomos
March 10, 2008
Page 2
fund only has three underlying funds, please explain whether the use of
the term "diversified" is appropriate.
RESPONSE: The Fund is a "diversified company," as such term is defined in
Section 5(b)(1) of the Investment Company Act of 1940. As such, the Fund,
as to 75% of its total assets, may not purchase securities of any issuer
(other than obligations of, or guaranteed by, the U.S. government or its
agencies, or instrumentalities or securities of other investment
companies) if, as a result, more than 5% of its total assets would be
invested in the securities of such issuer, or more than 10% of the
issuer's voting securities would be held by the fund (emphasis added).
Accordingly, we do not believe the use of the term "diversified" is
inappropriate.
4. COMMENT: Please revise the risk section to clarify whether each risk
relates to the Fund, an underlying fund or both.
RESPONSE: We have complied with this comment.
5. COMMENT: Due to the preliminary nature of the prospectus reviewed, please
provide the Fund's final fee table.
RESPONSE: Set forth below is the final version of the Fund's fee table.
FEE TABLE (%)
SHAREHOLDER FEES
(% of transaction amount)
Redemption fee 1 2.00
ANNUAL OPERATING EXPENSES
(% of average net assets)2
Management fees None
Distribution (12b-1) fees None
Other expenses 0.24
Acquired fund fees and expenses (AFFE)3 0.69
------
Total annual operating expenses 4 0.93
Less expense reduction (0.24)
------
NET OPERATING EXPENSES (INCLUDING AFFE)4,5 0.69
1 Charged only on shares you sell or exchange 30 days or less after
buying them and paid directly to the fund.
2 Restated to reflect current expenses.
3 AFFE reflect the estimated amount of the fees and expenses that will
be incurred indirectly by the fund through its investments in the
underlying funds.
4 The total and net operating expenses will differ from the expense
ratios in the fund's "Financial highlights" because the fee table
reflects the new board approved changes to the fund's investment
strategy, share class structure and operating expenses.
5 Schwab and the investment adviser have agreed to limit the "net
operating expenses" (excluding interest, taxes and certain
non-routine expenses) to 0.00%, through 2/27/09. The agreement to
limit the fund's "net operating expenses" is limited to the fund's
direct operating expenses and, therefore,
Valerie Lithotomos
March 10, 2008
Page 3
does not apply to AFFE, which are indirect expenses incurred by the
fund through its investments in the underlying funds.
I hereby acknowledge on behalf of the Trust that: (i) the Trust is responsible
for the adequacy and accuracy of the disclosure in its registration statements;
(ii) SEC staff comments or changes to disclosure in response to staff comments
in the registration statements reviewed by the staff do not foreclose the SEC
from taking any action with respect to the registration statements; and (iii)
the Trust may not assert SEC staff comments as a defense in any proceeding
initiated by the SEC or any person under the federal securities laws of the
United States.
Please do not hesitate to call the undersigned at 215.963.5598 with any
questions or comments.
Very truly yours,
/s/ Sean Graber
---------------
Sean Graber