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Adviser Profile

Registration status Registration Changed to JASMIJN CAPITAL MANAGEMENT, LLC
As of Date 08/10/2024
Adviser Type - No longer eligible
Number of Employees 4
of those in investment advisory functions 2
AUM* 69,864,390 -31.07%
of that, discretionary 69,864,390 -31.07%
Private Fund GAV* 0 -100.00%
Avg Account Size 212,354 -29.40%
SMA’s Yes
Private Funds 0
Contact Info 303 xxxxxxx
Websites

Client Types

- Individuals (other than high net worth individuals)

Advisory Activities

- Portfolio management for individuals and/or small businesses

Compensation Arrangments

- A percentage of assets under your management

Recent News

Reported AUM

Discretionary
Non-discretionary
107M 91M 76M 61M 46M 30M 15M
2018 2019 2020 2021 2022

Private Funds



Employees

Brochure Summary

Overview

Private Investment Funds. Agilis also provides investment advice regarding private investment funds. Agilis, on a non-discretionary basis, may , but currently does not, recommend that certain qualified clients consider an investment in private investment funds. Agilis’s role relative to unaffiliated private investment funds shall be limited to its initial and ongoing due diligence and investment monitoring services. If a client determines to become an unaffiliated private fund investor, the amount of assets invested in the fund(s) shall not be included as part of “assets under management” for purposes of Agilis calculating its investment advisory fee. Agilis’s clients are under absolutely no obligation to consider or make an investment in any private investment fund. Private investment funds generally involve various risk factors, including, but not limited to, potential for complete loss of principal, liquidity constraints and lack of transparency, a complete discussion of which is set forth in each fund’s offering documents, which will be provided to each client for review and consideration. Unlike liquid investments that a client may own, private investment funds do not provide daily liquidity or pricing. Each prospective client investor will be required to complete a Subscription Agreement, pursuant to which the client shall establish that he/she is qualified for investment in the fund, and acknowledges and accepts the various risk factors that are associated with such an investment. In the event that Agilis references private investment funds owned by the client on any supplemental account reports prepared by Agilis, the value(s) for all private investment funds owned by the client shall reflect the most recent valuation provided by the fund sponsor. However, if subsequent to purchase, the fund has not provided an updated valuation, the valuation shall reflect the initial purchase price. If subsequent to purchase, the fund provides an updated valuation, then the statement will reflect that updated value. The updated value will continue to be reflected on the report until the fund provides a further updated value. As result of the valuation process, if the valuation reflects initial purchase price or an updated value subsequent to purchase price, the current value(s) of an investor’s fund holding(s) could be significantly more or less than the value reflected on the report. Unless otherwise indicated, the client’s advisory fee shall be based upon the value reflected on the report. Should a client elect to invest in the Fund, it should be noted that the fees are higher than the standard fees charged by Agilis Wealth Management We specialize in the following types of services: Agilis Wealth Management Platform – Advisor Managed Portfolios. We manage2 $73,502,345 on a discretionary basis and $0 on a non-discretionary basis as of December 31, 2022. Agilis Wealth has had a Business Continuity Plan in place since 2018, and will continue to have one in place in the future. A. Description of our advisory firm, including how long we have been in business and our principal owner(s)1. We are dedicated to providing individuals and other types of clients with investment advisory services. Our firm is a corporation formed in the State of Utah. Our firm has been in business as an investment adviser since 2003 and is owned as follows: David A Melling—50% Jordan V Schwartz—50%. We also use the names Jasmijn Capital Management, LLC (A holding company for the RIA), and Salt Valley Associates, LLC. (The company that owned the Salt Valley Fund, LP prior to purchase). B. Description of the types of advisory services we offer. Please note that: (1) For purposes of this item, our principal owners include the persons we list as owning 25% or more of our firm on Schedule A of Part 1A of Form ADV (Ownership Codes C, D or E). (2) If we are a publicly
held company without a 25% shareholder, we simply need to disclose that we are publicly held. (3) If an individual or company owns 25% or more of our firm through subsidiaries, we must identify the individual or parent company and intermediate subsidiaries. If we are a state-registered adviser, on Form ADV Part 2A Page 2, we must identify all intermediate subsidiaries. If we are a State-registered adviser, we must identify intermediate subsidiaries that are publicly held, but not other intermediate subsidiaries. (i) Agilis Wealth Management Platform – Advisor Managed Portfolios Program The Wealth Management Platform – Advisor Managed Portfolios Program (“Advisor Managed Portfolios”) provides comprehensive investment management of your assets through the application of asset allocation planning software as well as the provision of execution, clearing and custodial services through Axos Advisor Services(“Axos”). Advisor Managed Portfolios provides risk tolerance assessment, efficient frontier plotting, fund profiling and performance data, and portfolio optimization and re- balancing tools. Utilizing these tools, and based on your responses to a risk tolerance questionnaire (“Questionnaire”) and discussions that we have together regarding, among other things, investment objective, risk tolerance, investment time horizon, account restrictions, and overall financial situation, we construct a portfolio of investments for you. Portfolios may consist of mutual funds, exchange traded funds, equities, options, debt securities, and other investments. Each portfolio is designed to meet your individual needs, stated goals and objectives. Additionally, you have the opportunity to place reasonable restrictions on the types of investments to be held in the portfolio. C. Explanation of whether (and, if so, how) we tailor our advisory services to the individual needs of clients, whether clients may impose restrictions on investing in certain securities or types of securities. (i) Individual Tailoring of Advice to Clients: We offer individualized investment advice to clients utilizing the following services offered by our firm: Agilis Wealth Management Platform. Services are determined by a risk tolerance analysis, through direct discussions about services desired from the client, and/or written instructions from the client. (ii) Ability of Clients to Impose Restrictions on Investing in Certain Securities or Types of Securities: We usually do not allow clients to impose restrictions on investing in certain securities or types of securities due to the level of difficulty this would entail in managing their account. In the rare instance that we would allow restrictions, it would be limited to the following services: Agilis Wealth Management Platform. We do not manage assets through our other services. D. Participation in wrap fee programs. We do NOT offer wrap fee programs. E. Disclosure of the amount of client assets we manage on a discretionary basis and the amount of client assets we manage on a non-discretionary basis. We manage2 $ 73,502,345 on a discretionary basis and $0 on a non-discretionary basis as of December 31, 2021. 2 Please note that our method for computing the amount of “client assets we manage” can be different from the method for computing “assets under management” required for Item 5.F in Part 1A of Form ADV. However, we have chosen to follow the method outlined for Item 5.F in Part 1A of Form ADV. If we decide to use a different method at a later date to compute “client assets we manage,” we must keep documentation describing the method we use and inform you of the change. The amount of assets we manage may be disclosed by rounding to the nearest $100,000. Our “as of” date must not be more than three months before the date we last updated our Brochure in response to Item 4.E of Form ADV Part 2A.