INTRODUCTION TO FRANKLIN TEMPLETON
The Advisers are wholly-owned subsidiaries (whether directly or indirectly) of Franklin Resources,
a holding company with subsidiaries that operate under the Franklin Templeton® and/or subsidiary
brand names. Franklin Resources is a global investment management organization, and the
various distinct brand names it offers investment services and products under include, but are not
limited to, Alcentra®, Benefit Street Partners®, Brandywine Global Investment Management®,
Clarion Partners®, ClearBridge Investments®, Fiduciary Trust International™, Franklin®, Franklin
Bissett®, Franklin Mutual Series®, K2®, Legg Mason®, Lexington Partners®, Martin Currie®,
O’Shaughnessy® Asset Management, Royce® Investment Partners Templeton® and Western
Asset Management Company®. Franklin Resources, through current and predecessor
subsidiaries, has been engaged in the investment management and related services business for
over 75 years.
Franklin Resources’ common stock is traded on the New York Stock Exchange under the ticker
symbol “BEN” and is included in the Standard & Poor’s 500 Index.
INTRODUCTION TO FRANKLIN ADVISORY SERVICES, LLC
FAS is a Delaware limited liability company formed on March 31, 1999 and based in San Mateo,
California. FAS is a wholly-owned subsidiary of Franklin Advisers, Inc., which is a wholly-owned
subsidiary of Franklin Resources.
ADVISORY SERVICES OF THE ADVISERS
The Advisers collectively provide investment advisory and portfolio management services under
investment management agreements with clients in jurisdictions worldwide, which include
registered open-end and closed-end funds and unregistered funds (collectively, “Funds”), as well
as separate accounts (“Separate Accounts”), which typically include Separate Accounts for
institutional and high net-worth clients. In the United States, the Advisers provide advice to
investment companies registered with the SEC pursuant to the Investment Company Act of 1940
(the “1940 Act”), including exchange-traded funds (“ETFs”) (“U.S. Registered Funds”), pooled
investment vehicles with U.S. resident investors that are exempt from registration under the 1940
Act (“Private Funds”), and Separate Accounts. In addition, certain Advisers’ assets under
management include assets in funds or accounts that are sold outside of the United States. Certain
Advisers manage, advise or sub-advise investment products sponsored by other companies (“Sub-
Advised Accounts”), which may be sold to investors under the brand names of those other
companies or on a co-branded basis. Please see Item 7 (“Types of Clients”) for greater detail. For
information about the types of clients of a particular Adviser, please see that Adviser’s brochure.
The Advisers provide investment management services under agreements with each of their Fund,
Sub-Advised Account, Separate Account and other types of clients discussed herein (collectively,
“Accounts”), as applicable. Investment management services include services to managed
accounts with full investment discretion, and to advisory accounts with no investment discretion.
Typically, Accounts are managed on a fully discretionary basis. Certain Accounts managed by the
Advisers invest in funds and accounts managed by affiliated or unaffiliated investment advisers.
With respect to Accounts for which an Adviser has been appointed to provide discretionary
investment management services, the Adviser will determine which securities the Accounts will
purchase, hold or sell. In the context of a Fund, the Advisers will do this under the supervision and
oversight of a board of directors, general partner, trustee or an equivalent body, person or entity,
as applicable. In addition, the Advisers typically take various steps to implement such decisions,
including arranging for the selection of broker-dealers and the execution and settlement of trades
in accordance with applicable criteria set forth in the investment management agreement for each
Account, internal policies, commercial practice, and applicable law. With respect to any Account
for which an Adviser has been appointed to provide non-discretionary investment management
services, the Adviser will make recommendations as to which securities the Accounts should
purchase, hold or sell. In such cases, the Adviser may or may not perform trading activities for an
Account depending on the authority provided by the client. When providing investment
Franklin Templeton Page 2
management services, each Adviser will perform or obtain research as it deems necessary or as
agreed with the client.
Advisers with Separate Account clients will provide investment advice to such clients in accordance
with the investment objectives, guidelines and restrictions which form part of the investment
management agreement or other similar agreement negotiated with the client or as otherwise
developed in consultation with the client. Such Advisers consider each prospective Separate
Account client on an individual basis. Advisers will provide investment advice to Fund clients in
accordance with the investment objectives, guidelines and restrictions as described in the
prospectus, offering memorandum or other offering documents as well as applicable law. The
investment objectives, guidelines and restrictions for Funds will not be tailored to the needs of any
particular investor in such Funds. Please see Item 7 (“Types of Clients”) for more information.
Please see Item 16 (“Investment Discretion”) for details of the circumstances in which clients can
place limitations on the Advisers’ discretionary authority.
Potential or actual conflicts of interest will, from time to time, arise in allocating investment
opportunities among the Advisers’ Accounts. Conflicts of interest in relation to such allocation
determinations are further discussed in Item
6 (“Performance-Based Fees and Side-By-Side
Management”), Item 11 (“Code of Ethics, Participation or Interest in Client Transactions and
Personal Trading”) and Item 12 (“Brokerage Practices”).
SMA Programs
Certain Advisers act as adviser or sub-adviser with respect to certain clients and program sponsors
(“Sponsors”) in connection with third-party investment adviser, broker-dealer and other financial
services firm separately managed accounts (“SMAs”), unified managed accounts (“UMAs”) or
other wrap fee programs (collectively, “SMA Programs”), which is discussed more fully in the
brochure of the Advisers providing such services.
Model Delivery Programs
One or more Advisers provide model investment portfolios to unaffiliated or affiliated investment
advisers and other financial institutions for use in connection with their advisory programs to their
clients, which is discussed more fully in the brochure of the Advisers providing these services.
Digital Advisory Programs
One or more Advisers provide advisory or sub-advisory services through digital investment advisory
programs (the “Digital Programs”), which use a proprietary investment algorithm to recommend a
portfolio for the client, or the client of Digital Program Sponsor (as defined below), or recommend
a portfolio composition at the asset class level, based on information provided by or on behalf of
such investor. These programs are offered directly by an Adviser, or they can be integrated with
electronic platforms of affiliated and unaffiliated investment advisers and other financial institutions
(the “Digital Program Sponsors”), or provided via web-interface, for use in connection with Digital
Program Sponsors’ sponsored advisory service programs that they provide to their clients. In
certain deployments of the Digital Programs, such as arrangements where the Adviser is engaged
to provide non-discretionary advisory services to a Digital Program Sponsor, the program sponsor’s
clients are not clients of the Adviser. In other deployments, such as where the Adviser is engaged
as a discretionary adviser or sub-adviser by a Digital Program Sponsor, the client participating in
the program is a client of both the Digital Program Sponsor and the Adviser. In cases where the
Advisers are recommending a portfolio developed by Franklin Templeton Investment
Solutions(“FTIS”), the Digital Programs select for the investor or recommend to the Digital Program
Sponsor, as applicable, a portfolio of collective investment trusts and/or U.S. Registered Funds,
out of several prospective portfolios after considering the investor’s risk profile, investment time
horizon, initial investment amount and goal target amount, desired priority for the goal, a
precalculated level of acceptable loss of the initial investment at goal tenure date (which is aligned
to the desired priority of the goal), and expected future investment contributions and withdrawals.
More information regarding these digital advisory programs is discussed in the brochure of the
Advisers providing such services.
ADVISORY SERVICES OF FAS
FAS provides investment advisory and portfolio management services to ETFs.
Franklin Templeton Page 3
SERVICES OF AFFILIATES
Franklin Templeton operates its investment management business through the Advisers, as well as
through multiple affiliates of the Advisers, some of which are investment advisers registered with the
SEC, some of which are registered with non-U.S. regulatory authorities, and some of which are
registered with multiple regulatory authorities. An Adviser uses the services of appropriate personnel
of one or more of its affiliates for investment advice, portfolio execution and trading, and/or client
servicing in their local or regional markets or in their areas of special expertise, except to the extent
restricted by the client under its investment management agreement, or if inconsistent with applicable
law. Arrangements among affiliates take a variety of forms, including delegation arrangements, formal
sub-advisory arrangements, and servicing agreements. In these circumstances, the client with whom
an Adviser has executed the investment management agreement will typically require that the Adviser
remain fully responsible for the Account from a legal and contractual perspective. No additional fees
are charged for the affiliates’ services except as disclosed in the investment management agreement.
Please see Item 10 (“Other Financial Industry Activities and Affiliations”) for more details.
ASSETS UNDER MANAGEMENT
The Advisers provide management services or continuous and regular supervisory services for the
Accounts that they manage. As part of these overall services, the Advisers will typically provide
one or more of the following: (i) management services as an adviser to an Account, (ii) management
services as a sub-adviser to an affiliated or unaffiliated adviser managing or supervising an
Account, (iii) continuous and regular supervisory services for an Account where management
services have been delegated by an Adviser to an affiliated adviser, (iv) management services as
a co-manager to an Account for which an affiliated adviser also provides management services or
(v) non-discretionary management services, which for certain Advisers include a UMA or similar
program (the brochures for such Advisers provide more detail about the applicable Adviser’s
involvement in UMA or similar programs).
FAS’ ASSETS UNDER MANAGEMENT
As of September 30, 2023, FAS managed the following amounts on a discretionary and non-
discretionary basis:
U.S. Dollar Amount
Discretionary $ 7,713,757,436
Non-Discretionary $ 0
Total* $ 7,713,757,436
* Differs from Regulatory Assets Under Management (“RAUM”) disclosed in Item 5.F of FAS’ Form
ADV Part 1A due to specific calculation instructions for RAUM.
Assets under management described in this item may include assets that an affiliated adviser is
also reporting on its Form ADV.