Correspondence 0001213900-23-067787 from BBH Trust (CIK 0001342947)
BBH Trust (CIK 0001342947)
Date: Aug. 15, 2023 · CIK: 0001342947 · Accession: 0001213900-23-067787
AI Filing Summary & Sentiment
File numbers found in text: 333-129342, 811-21829
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CORRESP
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If August 15, 2023
Via EDGAR
Division of Investment Management
U.S. Securities and Exchange Commission
100 F Street, NE
Washington, D.C. 20549
Attn:
Kimberly A. Browning, Division of Investment Management
Re:
BBH Trust (the “Registrant”)
Post-Effective Amendment No. 100
(File Nos. 333-129342, 811-21829)
Dear Ms. Browning:
Listed below are the comments
of the staff (the “Staff”) of the U.S. Securities and Exchange Commission (“SEC”) received on August 8, 2023,
relating to Post-Effective Amendment No. 100 to the Trust’s Registration Statement on Form N-1A filed on June 20, 2023, pursuant
to Rule 485(a) under the Securities Act of 1933, and the Trust’s responses thereto. Post-Effective Amendment No. 100 relates to
the BBH Partner Fund – International Equity (the “Fund”). Capitalized terms in the responses that are not defined herein
have the meaning given to them in Post-Effective Amendment No. 100.
Prospectus
1. Comment: Principal Investment Strategies
If the Fund has an investment policy
related to the 20% bucket, please include disclosure related to the policy in the Items 4 and 9 disclosure.
Response: The Registrant confirms that the Fund does not have a specific investment strategy relating to their 20%
bucket, unless specifically described in the prospectus.
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2. Comment: Expense Table
Please revise the second sentence of
the preamble to the Fund’s Item 3 Expense Table to be bold as required by Item 3 of Form N-1A.
Response: The Registrant confirms that the requested revision has been made.
3. Comment: Expense Table
Please revise the Shareholder Fees Table
to reflect the requirements of Item 3 of Form N-1A.
Response: The Registrant confirms that the requested revision has been made.
4. Comment: Principal Investment Strategies
Please add language clarifying the specific
equity securities in which Select Equity Group invests and add attendant risks if necessary.
Response: The Registrant confirms that the requested disclosure has been added.
5. Comment: Principal Investment Strategies
If accurate, please indicate in the
disclosure that derivatives are included in the Fund’s 80% bucket. If the Fund invests in derivatives as part of the principal investment
strategy, please list the types of derivatives and add attendant risk disclosure. If the Fund does not invest in derivatives on a principal
basis, please relocate the disclosure to the SAI.
Response: The Registrant confirms that derivatives are included in the 80% bucket. Additionally, the Registrant
has relocated the derivatives disclosure to the SAI as the Fund does not invest in derivatives on a principal basis.
6. Comment: Principal Investment Strategies
Please provide disclosure in Items 4
and 9 related to the countries in which the Fund principally invests and include attendant risk disclosure. If the Fund objects, please
supplementally describe the fund’s reasoning.
Response: The Registrant respectfully declines to include disclosure related to specific countries in which the
Fund invests. The Fund is actively managed and the Investment Adviser’s investment process does not include specific allocations
to particular countries. As such, the country allocation and weighting changes over time and it would be inaccurate to disclose particular
countries as they may or may not make up more than 25% of the portfolio at any given time.
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7. Comment: Principal Investment Strategies
Please revise the disclosure using open
ended terms (i.e., “including”, “such as”, “among other” etc.) to include only the types of securities
in which the Fund invest.
Response: The Registrant confirms that open ended terms have been deleted.
8. Comment: Principal Investment Strategies
Please briefly summarize the Investment
Adviser’s allocation policy between the sub-advisers and add attendant risk disclosure. If the Investment Adviser does not have
a policy, please confirm to the Staff supplementally.
Response: The Investment Adviser confirms that it does not have a specific sub-adviser allocation policy and may
allocate the Fund’s assets between the sub-advisers depending on a variety of circumstances.
9. Comment: Principal Investment Strategies
Please confirm to the Staff that the
Fund only uses derivatives for hedging purposes. If the Fund uses derivatives for speculative purposes, please add disclosure to Items
4 and 9 and add attendant risk disclosure. If it is not part of the principal investment strategy, please relocate the disclosure to the
SAI.
Response: The Registrant confirms that the Fund only uses derivatives for hedging purposes. Additionally, the Registrant
has relocated the derivatives disclosure to the SAI as the Fund does not invest in derivatives on a principal basis.
10. Comment: Principal Investment Strategies
Please clarify how the fund defines
a “index-agnostic”.
Response: The Registrant represents that the disclosure has been revised to provide a plain English explanation
of “index-agnostic”.
11. Comment: Principal Investment Strategies
Please clarify the criteria that the
Fund uses to define an “emerging market”.
Response: The Registrant respectfully draws the Staff’s attention
to the fourth sentence of the first paragraph of the Principal Investment Strategy Section of the Prospectus, which provides the definition
of emerging market.
Page 3 of 6
12. Comment: Principal Investment Strategies
To the extent that they differ, please
enhance the disclosure to clarify the differences between each sub-adviser’s investment process, specifically related to environmental,
social and governance (“ESG”).
Response: The Registrant respectfully declines to add further disclosure related to differences in the sub-adviser’s
investment process as it believes the current disclosure sufficiently differentiates their respective investment processes. While both
sub-advisers consider ESG factors, it is one of several aspects that each considers in their investment process, which is currently stated
in the prospectus.
13. Comment: Principal Investment Strategies
Please consider revising the word “concentrated”
to avoid confusion related to the concentration requirements of Item 8 of Form N-1A.
Response: The Registrant confirms that the word “concentrated” has been replaced with “focused”.
14. Comment: Principal Investment Strategies
Please clarify how the fund defines
a “changing drivers”.
Response: The Registrant represents that the disclosure has been revised to provide a plain English explanation
of “changing drivers”.
15. Comment: Principal Investment Strategies
Please consider whether the inclusion
of principal risk disclosure related to ESG is appropriate. If the Fund does not believe inclusion is appropriate, please disclose the
reasoning to the Staff supplementally.
Response: The Registrant represents that ESG is one of several factors that the Investment Adviser considers in
its overall investment decision process. The Registrant does not believe that there are specific principal risks to disclose relating
to the Investment Adviser’s consideration of ESG factors other than those already disclosed under Management Risk.
16. Comment: Investment Adviser
In accordance with Item 5(b) of Form
N-1A, please state that the individuals are “jointly and primarily” responsible for the day-to-day management of the Fund.
Response: The Registrant confirms that this change has been made.
Page 4 of 6
17. Comment: Principal Investment Strategies
Please disclose whether ESG factors
are reviewed for every investment made by the Fund. Additionally, please ensure that the Items 4 and 9 disclosure related to ESG aligns.
Response: The Registrant confirms that the requested disclosure has been added and that the ESG disclosure has been
aligned.
18. Comment: Principal Investment Strategies
Please define in plain English how the
Fund defines “over-diversification”.
Response: The Registrant confirms that the disclosure has been revised to provide a plain English explanation of
“over-diversification”.
19. Comment: Management of the Fund
Please disclose supplementally whether
the Investment Adviser is currently waiving a portion of its advisory fee. If the Adviser does waive a portion of its advisory fee, please
include disclosure required by Item 19(a)(3)(iii) of Form N-1A in the SAI.
Response: The Registrant represents that the Investment Adviser is not currently waiving a portion of the advisory
fee and the disclosure has been moved from the Prospectus to the SAI.
20. Comment: Management of the Fund
Please briefly describe each sub-adviser’s
experience providing sub-advisory services to registered investment companies and the sub-advisory services that they provide.
Response: The Registrant confirms that the requested disclosure has been added.
21. Comment: Purchase of Shares
Please provide specificity related to
the time in which the Fund considers purchase orders received.
Response: The Registrant confirms that the requested disclosure has been
added.
22. Comment: Purchase of Shares
Please revise the disclosure related
to the purchase of shares to be in compliance with Rule 22c-1 under the Investment Company Act of 1940.
Response: The Registrant confirms that the disclosure has been revised to be in compliance with Rule 22c-1.
Page 5 of 6
23. Comment: Purchase of Shares
Please confirm supplementally that the
Fund is aware that it must comply with Rule 22c-1 under the Investment Company Act of 1940 regardless of the policies and procedures of
the transfer agent and financial intermediaries.
Response: The Registrant so confirms.
Statement
of Additional Information
24. Comment: Investment Advisory and Administrative Services – Sub-Advisory Fees
Please include disclosure required by
Item 19(a)(3)(iii) related to the manner in which the sub-advisory fees are calculated.
Response: The Registrant confirms that the requested disclosure has been added.
25. Comment: Investment Advisory and Administrative Services – Sub-Advisory Fees
Please relocate the penultimate sentence
of first paragraph to the Investment Advisory Fee section. If it is not applicable, please consider whether it is relevant to the SAI.
Response: The Registrant considers the disclosure to be relevant and confirms that it has been relocated as requested.
26. Comment: General
Please confirm that the next post-effective
amendment filed by the Fund will be complete upon filing.
Response: The Registrant so confirms.
Please contact the undersigned at (617) 772-1378 if you have any questions
or comments.
Sincerely,
/s/ Brian J. Carroll
Brian J. Carroll
Secretary, BBH Trust
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