Uniform Application for Investment Advisor Registration (Form ADV Part 2A)
PFA is required by law to make full disclosure to its clients of all material facts, including conflicts of interest between PFA and its clients, in an annual summary document. This document must be kept current by updating it at least annually and promptly when information in the document becomes materially inaccurate. This document, or a summary of material changes, will be provided to each client initially, and on an annual basis, but copies are available to our clients at any time upon their request.
Important Information About Procedures for Opening a New Account
To help the government fight the funding of terrorism and money laundering activities, PFA has implemented procedures to obtain, verify, and record information that identifies each person who opens an account. What this means for you: When you open an account, we will ask for your name, address, date of birth and other information that will allow us to identify you. We may also ask to see your driver’s license or other identifying documents.
Business Continuity Plan
PFA has developed a Business Continuity Plan on how we will respond to events that significantly disrupts our business. Our firm’s policy is to respond to a Significant Business Disruption (SBD) by safeguarding employees’ lives and firm property, making a financial and operational assessment, quickly recovering and resuming operations, protecting all of the firm’s books and records, and allowing our clients to transact business.
We now communicate with our clients using the telephone, e-mail, our web site, fax, U.S. mail, and in person visits at our firm. In the event of an SBD, we will assess which means of communication are still available to us, and use the means closest in speed and form (written or oral) to the means that we have used in the past to communicate with the client.
PFA can also access client account information and trading capabilities securely on-line via the internet. Through the custodian website, we can perform day to day activities, such as check requests, withdrawals, trading, and even retrieve historical monthly account statements and confirmations.
If the SBD prevents you from contacting our office, you may contact our firm’s emergency contact persons:
|James T. Reding
CEO & Chief Compliance Officer
Phone: (314) 805-9346
Senior Wealth Manager
Phone: (618) 978-0905
Our clients also have the ability to contact their custodian directly to process limited trade related transactions and cash disbursements:
P.O. Box 628290
Orlando, FL 32682-8290
Phone: (877) 648-4711
|TD Ameritrade Institutional
4075 Sorrento Valley Blvd., Suite A
San Diego, CA 92121
Phone: (888) 354-8361