Searching for Clarity
Target-dates useful but flawed, witnesses tell SEC and DoL
In a joint hearing about target-date funds before the Department of Labor (DoL) and the Securities and Exchange Commission (SEC) in June, witnesses were in favor of the use of target-date funds, but said the current market for the funds is flawed.
In opening remarks, DoL Deputy Secretary Seth Harris noted that concerns have been raised recently about variation in the glide paths of same-date target-date funds offered by different providers, and how this variation may result in plan participants and investors unknowingly placing their retirement assets at risk. He said the hearing will help the agencies determine whether regulatory or other guidance would be helpful to alleviate these concerns.
“While participants need to have pre-built asset allocations to assist them in reaching a secure retirement, target-date funds, as currently built, represent a flawed, though useful, way of achieving this objective,” asserted Donald Stone, President of Plan Sponsor Advisors, in his testimony.
Stone explained that target-date funds were designed to provide participants with a simple choice to achieve a diversified portfolio, but most target-date funds operate from actuarial assumptions of participant life expectancy that he thinks lead to a too-high equity allocation at age 65.
In his testimony, Chris Tobe, Trustee, Kentucky Retirement Systems, contended the target-date funds make many flawed assumptions about employee turnover and behavior. In addition, he said many target-date fund asset allocation decisions are based on flawed assumptions on equity versus bond-like returns.
The flaw, according to Stone, is that target-date funds are built as asset accumulation vehicles, not distribution vehicles, and there is no evidence to indicate that participants would stay in target-date funds throughout retirement. Nor do target-date funds take into consideration the impact of mandatory distributions at age 70 ½, he said.
Stone noted that participants are more likely to take relatively large distributions upon retirement, and a high equity exposure at retirement date enhances risk as participants no longer have the ability to continue to contribute to the plan to make up for potential losses. Their financial profiles are radically changed from income generating to income consuming—something that target-date funds do not generally take into account, he argued.
Glide Path Structure
Jeffrey S. Coons, Manning & Napier Advisors, Inc., stressed the
importance of flexibility in managing the glide path and underlying
investments of a target-date portfolio given the changing nature of
investment risk as market environments change. He said his firm
believes increased transparency, disclosure, and communication to plan
fiduciaries and participants are a more appropriate response to the
concerns raised regarding target-date fund performance than invoking
investment-related restrictions on the glide path or underlying
investments of target-date funds.
Coons said a flexible glide path that factors in time, withdrawal
needs, and market conditions allows the manager to balance the
conflicting goals of managing capital risk, inflation risk, and
longevity risk. Manning & Napier has concerns about placing
restrictions on asset allocations along the glide path as it could
hamper target-date fund managers’ ability to pursue these long-term
investment objectives, he noted.
Instead, Coons suggested it is important for target-date fund managers
to communicate effectively to both plan fiduciaries and participants
the key assumptions they have made regarding investor time horizons and
withdrawal needs when constructing their glide path. Managers also
should explain how they intend to proactively adjust their allocations
in a changing environment and provide both their experience and actual
track record of making such proactive adjustments over a range of
environments, as opposed to simply rebalancing within a fixed glide
path.
Joseph C. Nagengast, of Target Date Analytics, also contended that the
two biggest contributors to risk in target-date funds are the amount of
equity in the fund, and the design of the glide path. “There is some
theoretical rationale for employing a glide path throughout the
accumulation phase. No credible rationale has ever been proffered for
using a glide path in the distribution phase,” Nagengast commented.
Nagengast suggested that what drove the majority of target-date funds
so far off course and caused the unacceptably large losses to 2010
funds in 2008 was fund managers’ attempt to use the key engine of
target-date funds, the glide path, for purposes other than its primary
function—which, in his opinion, should be getting investors safely to
their target date with their accumulated contributions plus inflation
intact.
Nagengast said that, properly designed and managed, target-date funds
can serve participants very well. He urged that the Senate do nothing
that would stop the adoption of target-date funds in qualified
retirement plans, but put forward some suggestions for improvement.
Nagengast’s suggestions included that: the name of each fund must bear
some relationship to its glide path end point (i.e., if a fund labeled
2010 is really targeted to “land” at 2040, it should be relabeled as a
2040 fund); the glide path must be designed to provide for a
predominance of asset preservation as the target nears and arrives; and
prospectuses should be clear about the objectives of the
funds—specifically, no circular definitions of fund objectives should
be allowed.
“We believe improvements can be made on the industry’s disclosure of
the investment approach taken with respect to selecting and monitoring
underlying holdings, including more disclosure and education regarding
the total number of holdings to better inform plan sponsors and
participants as well as guard against investors paying active
management fees for these vehicles that are overdiversified and
underdisclosed. Likewise, disclosure to plan sponsors and participants
regarding the fee structure of underlying investments in a
fund-of-funds environment can help them guard against biases in
allocation decisions related to fee differences among underlying
funds,” Nagengast concluded.
Benchmarking Target-Date Funds
Addressing the problem of benchmarking target-date funds, Rod Bare,
Director, Asset Allocation Strategies, Morningstar, said target-date
funds are difficult to benchmark in the traditional sense because of
the glide path diversity in the marketplace that has developed to meet
the needs of a wide range of investors.
Bare contended that fiduciaries and individual investors ultimately
need tools with several attributes to help with this evaluation. They
need benchmark indexes built to reflect the multi-asset-class and
risk-shifting nature of target-date funds. Investors also need the
ability to evaluate the asset-class and security-selection components
separately to understand the quality of each piece, he said.
According to Bare, Morningstar expects market forces will create these
types of evaluation tools. The increased scrutiny provided by these
tools could lead to target-date fund consolidation in the marketplace,
and “investors will benefit handsomely from the subsequent increase in
product quality and selection advice.”
With the industry opportunity that is linked to such strong asset
growth in target-date funds comes the responsibility to provide
scrutiny and benchmarking guidance to the target-date market. “Expanded
fund portfolio analysis and specialized fund family metrics are
industry developments that should emerge in the near term for the
benefit of individual investors, plan fiduciaries, and fund
manufacturers,” said Bare.
He noted that glide-path differences make comparisons difficult, yet
glide-path diversity is a good thing, as it is universally accepted
that investors have different risk capacities, tolerances, retirement
goals, and financial situations. “The difficulty is that a retirement
plan typically selects only one fund family and, therefore, only one
glide path for all its investors. We think it would be appropriate for
the industry to evolve to a point where investors have more glide path
choice, so they can keep their investments in sync with their evolving
risk capacities and preferences,” he said.
Given the importance of target-date funds to the financial security of
an increasingly large number of investors, Bare contends there are an
inadequate number of target-date benchmarks. He said the benchmarking
challenge can be approached by breaking a fund down into discrete
pieces. Target-date methodologies can be split into three key
components that can be evaluated separately: asset class diversity,
security selection, and risk control or the methodology that adjusts
the asset allocation to synchronize the portfolio’s risk profile over
the investment horizon.
Morningstar suggests the major asset classes in terms of target-date
fund relevance are stocks, bonds, commodities, real estate, Treasury
Inflation-Protected Securities, and cash.
Addressing Participant Behavior
David A. Krasnow, President, Pension Advisers, noted that most
participants have little to no investment experience, and do not spend
the time reviewing the fund options that is necessary to make
investment decisions suitable for their age, risk tolerance, and time
horizon. Once funds are selected initially, most participants do not
monitor those funds or adjust their asset allocations during their
working years, he said.
According to Krasnow, even when financial consultants advise
participants to make portfolio changes, participants fail to utilize
the recordkeepers’ telephone and Web-based systems to implement those
changes.
He said the participants his company encounters repeatedly voice the
desire to have someone invest and manage their retirement savings for
them, and, conceptually, target-date funds would satisfy that need.
However, Krasnow suggested additional disclosures are needed to explain
fully the methodology used to construct the portfolios so that plan
sponsors can select and monitor fund performance properly. Plan
sponsors are not aware of the differences, often selecting a
target-date fund family solely on past performance. In addition, they
have not performed any due diligence to determine which methodology is
appropriate for the plan participants.
Actual participant behavior is one factor that should be taken into
consideration when selecting a target-date fund, Krasnow contended. As
an example, he said, sponsors should ask: When participants terminate
employment, are they leaving their savings invested in the retirement
plan until they actually retire, or are they rolling that money over to
another investment account which may not follow the same investment
strategy?
In addition, for many years, participants were told “don’t put your
eggs in one basket, diversify,” Krasnow noted. As a result,
participants currently are not utilizing target-date funds
appropriately. They select multiple target-date funds without realizing
the fund manager is diversifying for them. Other participants think
that the fund “matures” on the date cited in the fund name and savings
then are invested 100% in lower-risk securities.
“Participants need to be better educated about the purpose of this type of investment option,” Krasnow concluded.
A Webcast of the DoL/SEC hearing on target-date funds, as well as the written comments, can be accessed on www.sec.gov.