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Target-Date Fund

A fund-of-funds that automatically shifts its asset allocation from growth-oriented to conservative as a specified target year approaches.

Definition

Target-date funds (also called lifecycle funds) use a glide path to automatically rebalance the underlying portfolio over time. In the early years, the allocation is weighted heavily toward equities; as the target year approaches, the fund shifts progressively into fixed income and cash equivalents. Most Canadian target-date funds are structured as funds-of-funds under NI 81-102, meaning each target-date fund holds units of other underlying funds managed by the same or affiliated manager. The glide path continues past the target date for funds designed to provide income through retirement (a 'to and through' approach) versus those that reach maximum conservatism at the target date ('to' approach). Key suitability considerations: the target year should match the client's actual retirement or capital-need date; two clients with the same target year may have very different risk tolerances; and the asset mix at the target date varies significantly across fund families.

Source

NI 81-102; CSA Staff Notice 81-316; CIRO IDPC suitability provisions

Where this shows up on the CIRE

  • Outcome 5.1
  • Outcome 3.4

Test yourself

Two real CIRE-bank questions on this exact outcome. Click to reveal the answer and the rule citation.

  1. 1

    A client opens a margin account and immediately requests a leveraged position equal to three times her net liquid assets. The registrant processes the order because the client signed the margin agreement and insists she understands the risks. Which statement best reflects the registrant's obligation?

    Outcome 3.4 · click for answer

    A.The registrant has no further obligation once the client has signed the margin agreement and acknowledged the risks.
    B.The registrant must still assess whether the leveraged strategy is suitable for the client's KYC profile; client acknowledgment of risk does not discharge the suitability obligation.Correct
    C.The suitability obligation is suspended for margin accounts because clients self-certify their understanding.
    D.The obligation is fully discharged if the registrant provides a written risk disclosure document at account opening.

    Signing a margin agreement and acknowledging risks transfers some responsibility to the client but does not extinguish the registrant's suitability obligation under NI 31-103 and CIRO rules. The registrant must still assess whether the leveraged strategy is appropriate given the client's financial situation, risk tolerance, and investment objectives. Suitability analysis applies to each order or recommendation, not only at account opening.

  2. 2

    Under UMIR, a registered trader at a CIRO marketplace participant enters a large buy order for a thinly traded security. The trader fragments the order into many small lots throughout the session to avoid triggering an uptick in the displayed quote. A colleague flags this as potentially problematic. Which UMIR concept is most relevant?

    Outcome 5.1 · click for answer

    A.Best execution, because the trader is failing to obtain the best available price.
    B.Gatekeeper obligations, because the branch manager approved the order.
    C.Manipulative and deceptive trading, because intentionally managing orders to affect the appearance of trading activity or price formation may constitute manipulation under UMIR.Correct
    D.Short sale rules, because the order involves selling borrowed securities.

    UMIR prohibits trading activity that creates a misleading appearance of trading activity or that manipulates the price of a security. Deliberately fragmenting orders to manage quote impact in a way designed to create a false impression of natural market activity can fall within UMIR's manipulation provisions. This is distinct from legitimate order management strategies because the intent is to avoid natural price discovery rather than to achieve best execution for a client.

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