Wrap Fee Program
Wrap Fee Program
A bundled fee arrangement where investment advisory, brokerage, and custodial services are provided for a single all-inclusive fee, typically based on a percentage of assets under management. Investment advisers offering wrap fee programs must provide clients with Form ADV Part 2A Appendix 1, a specialized brochure supplement describing the program, fees, services, and conflicts of interest. The "wrap" fee covers transactions, advisory services, and often custody, eliminating separate commissions.
An adviser offers a wrap fee program charging 1.50% annually on a $500,000 account ($7,500 per year). This single fee covers portfolio management, unlimited trading, custody, and quarterly performance reports. The client receives Form ADV Part 2A Appendix 1 at or before enrollment, disclosing that the 1.50% fee may be higher than paying separately for advisory and brokerage services, especially for buy-and-hold investors with minimal trading.
Students often confuse wrap fee programs with fee-only advisers. Wrap fee programs charge an all-inclusive asset-based fee but may include bundled brokerage costs. Fee-only advisers receive compensation exclusively from client fees, never from commissions or product sales. Also commonly confused: wrap fees vs. managed accounts (wrap fees bundle multiple services; managed accounts may charge separately for advisory and execution).
How This Is Tested
- Understanding Form ADV Part 2A Appendix 1 disclosure requirements for wrap fee programs
- Identifying when wrap fee programs are more cost-effective than separate fee structures
- Recognizing conflicts of interest inherent in wrap fee arrangements
- Determining which services are typically included in wrap fee programs
- Comparing wrap fee programs to traditional commission-based and fee-only models
Regulatory Limits
| Description | Limit | Notes |
|---|---|---|
| Brochure delivery requirement | Form ADV Part 2A Appendix 1 required | Must be delivered at or before enrollment in wrap fee program |
| Annual brochure update | Within 120 days of fiscal year end | Updated Appendix 1 or summary of material changes delivered to clients |
| Conflict disclosure requirement | All material conflicts must be disclosed | Including incentives to recommend wrap programs over other fee structures |
Example Exam Questions
Test your understanding with these practice questions. Select an answer to see the explanation.
Michael, an active trader with a $300,000 portfolio, is considering two fee arrangements from his investment adviser. Option A: A wrap fee program at 1.75% annually ($5,250/year) covering advisory, trading, and custody. Option B: A 1.00% advisory fee ($3,000/year) plus $12 per trade with separate custody fees. Michael typically executes 150 trades per year. Which statement is most accurate?
B is correct. Calculate Option B total cost: $3,000 advisory fee + (150 trades × $12) = $3,000 + $1,800 = $4,800 minimum, not including custody fees. The wrap fee of $5,250 includes all services and may be more cost-effective when custody costs are included. For active traders like Michael, wrap fee programs often provide better value by capping total costs regardless of trading frequency.
A is incorrect because it only compares the percentage rates without calculating total costs including trading commissions. C is incorrect because wrap fees often benefit active traders by eliminating per-trade commissions, making them potentially less expensive despite higher percentage fees. D is incorrect because wrap fee programs do not require accredited investor status; they are available to retail clients.
The Series 65 exam tests your ability to evaluate different fee structures in client scenarios. Understanding when wrap fee programs are cost-effective versus traditional fee arrangements is critical for making suitable recommendations based on client trading patterns and service needs.
Which disclosure document must investment advisers deliver to clients when offering wrap fee programs?
C is correct. Investment advisers offering wrap fee programs must deliver Form ADV Part 2A Appendix 1, a specialized wrap fee program brochure that describes the program, services included, fee schedule, and conflicts of interest. This is in addition to (not instead of) the standard Form ADV Part 2A firm brochure.
A is incorrect because Part 1 is filed with regulators but not delivered to clients. B is incorrect because while Part 2A (firm brochure) is required for all clients, wrap fee programs require the additional Appendix 1 supplement. D is incorrect because Part 2B contains personnel brochures for individual advisers, but the wrap fee program disclosure specifically requires Appendix 1.
The Series 65 exam frequently tests specific Form ADV requirements. Understanding that wrap fee programs trigger a special disclosure requirement (Appendix 1) demonstrates knowledge of enhanced transparency obligations for bundled fee arrangements.
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Access Free BetaAn investment adviser offers a wrap fee program charging 1.25% annually. A client enrolls with $800,000 in assets. The account generates 80 trades during the year, and the portfolio value grows to $860,000 by year-end. What is the total wrap fee charged for the year if the fee is calculated on the average account value of $830,000?
B is correct. Calculate: $830,000 (average account value) × 0.0125 (1.25%) = $10,375 annually. Wrap fee programs typically charge based on assets under management, not on trading activity. The number of trades (80) is irrelevant because wrap fees are all-inclusive, covering unlimited trading.
A ($10,000) incorrectly uses the initial account value: $800,000 × 1.25% = $10,000. C ($10,750) incorrectly uses the ending value: $860,000 × 1.25% = $10,750. D ($11,200) appears to incorrectly add trading costs, but wrap fees inherently include all trading commissions in the single percentage fee.
Wrap fee calculation questions test your understanding that these programs charge based on assets under management (often average or beginning value) rather than trading activity. This is a key distinction from commission-based models and highlights the predictable cost structure of wrap programs.
All of the following are typically included in wrap fee programs EXCEPT
D is correct (the EXCEPT answer). Wrap fee programs NEVER include performance guarantees or principal protection, as these would violate securities regulations prohibiting guarantees against loss. Wrap fees are service bundles, not performance-based compensation structures with downside protection.
A is accurate: Investment advisory services and portfolio management are core components of wrap fee programs. B is accurate: Unlimited trading without additional per-transaction charges is a defining feature of wrap programs, making them attractive for active management strategies. C is accurate: Most wrap fee programs include custody and account administration in the all-inclusive fee structure.
The Series 65 exam tests your understanding of what wrap fee programs can and cannot offer. Recognizing that wrap fees bundle services but cannot guarantee outcomes or protect principal is critical for avoiding regulatory violations and managing client expectations.
An investment adviser is evaluating whether to recommend a wrap fee program to a prospective client who is a conservative, buy-and-hold investor with a $400,000 portfolio expecting minimal trading (fewer than 10 trades annually). Which of the following statements regarding this recommendation are accurate?
1. The adviser has a conflict of interest if compensated more for wrap fee enrollments
2. A wrap fee program may be less cost-effective than separate advisory and trading fees for this client
3. The adviser must deliver Form ADV Part 2A Appendix 1 if the client enrolls
4. Wrap fee programs are only suitable for active traders
C is correct. Statements 1, 2, and 3 are accurate.
Statement 1 is TRUE: If the adviser receives higher compensation or incentives for enrolling clients in wrap programs versus other fee arrangements, this creates a material conflict of interest that must be disclosed. Advisers must avoid recommending wrap programs solely for their own benefit.
Statement 2 is TRUE: For buy-and-hold investors with minimal trading, wrap fee programs (which include unlimited trading) may cost more than paying separate advisory fees plus minimal per-trade commissions. With only 10 trades annually, separate fees might total less than the wrap program's higher percentage fee.
Statement 3 is TRUE: Form ADV Part 2A Appendix 1 (wrap fee program brochure) must be delivered at or before enrollment to any client entering a wrap fee arrangement, regardless of investor type or trading frequency.
Statement 4 is FALSE: While wrap programs often benefit active traders most, they are not exclusively suitable for active traders. Conservative investors may value the comprehensive service bundle, performance reporting, and fee predictability, even if not cost-optimal.
The Series 65 exam tests nuanced understanding of suitability, conflicts of interest, and disclosure obligations in wrap fee scenarios. You must evaluate both the economic suitability (is it cost-effective?) and the regulatory requirements (proper disclosure) while recognizing adviser conflicts that could impair objectivity.
💡 Memory Aid
Think of wrap fees like an all-you-can-eat buffet: One fixed price covers unlimited trips (trades) to the food bar. Great for hungry active traders who eat often, but buy-and-hold investors who only eat once might overpay. Remember: Form ADV Appendix 1 = the menu showing exactly what's included and the conflict (adviser gets paid more to recommend the buffet). Active trader = buffet winner. Passive investor = might pay too much.
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Where This Appears on the Exam
This term is tested in the following Series 65 exam topics: