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Correspondence 0001580642-23-002906 from VALUED ADVISERS TRUST (CIK 0001437249)

VALUED ADVISERS TRUST (CIK 0001437249)
Date: May 26, 2023 · CIK: 0001437249 · Accession: 0001580642-23-002906

AI Filing Summary & Sentiment

File numbers found in text: 333-151672, 811-22208

Date
May 26, 2023
Author
/s/ Carol J. Highsmith
Form
CORRESP
Company
VALUED ADVISERS TRUST (CIK 0001437249)

Letter

Division of Investment Management, Disclosure Review and Accounting Office 100 Pearl Street, Suite 20-100 New York, NY 10004-2616 Re: Valued Advisers Trust (the “Trust”) (File Nos. 333-151672 / 811-22208)

Dear Ms. Rotter:

On May 4, 2023 you provided comments relating to the review by the staff of the Securities and Exchange Commission of the annual Form N-CSR filing for series portfolios of the Trust with a fiscal year ended October 31, 2022, including Dana Large Cap Equity Fund, Dana Epiphany ESG Small Cap Equity Fund, Dana Epiphany ESG Equity Fund, Foundry Partners Fundamental Small Cap Value Fund, Sound Mind Investing Fund, SMI Multi-Strategy Fund, and SMI Dynamic Allocation Fund (each of the foregoing may be referred to as a “Fund” and collectively as the “Funds”). This letter responds to those comments. For your convenience and reference, I have summarized the comments in this letter and provided the Trust’s response below each such comment.

1. Comment: (Dana Epiphany ESG Small Cap Equity Fund and Dana Epiphany ESG Equity Fund) The staff noted that the line graph presented for each Fund does not assume its required minimum investment at the beginning of the first fiscal year. Please explain in correspondence why the line graph does not conform to Form N-1A Item 27, Instruction 1.

Response: The Trust acknowledges that the line graph for each Fund should have assumed an initial investment of $1,000,000 for the Fund’s Institutional Class shares. The Trust regrets this administrative oversight and will be sure that the line graphs conform to the requirements of Form N-1A Item 27 in the future.

2. Comment: (SMI Dynamic Allocation Fund) – The staff noted that the performance graph for the Fund appears to have a typographical error. The performance graph notes 10/31/21 twice instead of noting 10/31/22. Please confirm in correspondence that going forward the graph will disclose the correct timeframes.

Response: The Trust regrets the typographical error and confirms that going forward the performance graph will disclose the correct timeframes.

3. Comment: (Foundry Partners Fundamental Small Cap Value Fund) – Please explain in correspondence what the interest expense represents on the Statement of Operations for the Fund. The staff noted that the response to Question C.20 in the Form N-CEN filed on January 13, 2023 indicates that the Fund does not have access to a line of credit.

Response: The amount listed as interest expense in the Statement of Operations represents overdraft fees incurred by the Fund during the report period. The overdraft situations occurred due to large shareholder redemptions that exceeded the Fund’s available cash. In the future, the Trust will note overdraft fees as such in the Statement of Operations.

Please contact me at (513) 869-4300 if there are any questions regarding the responses contained in this letter, or if you require additional information.

Sincerely,
/s/ Carol J. Highsmith

Show Raw Text
CORRESP
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filename1.htm

VALUED ADVISERS TRUST

225 Pictoria Dr.

Suite 450

Cincinnati, Ohio 45246

May 26, 2023

Ms. Mindy Rotter

U.S. Securities and Exchange Commission

Division of Investment Management, Disclosure
Review and Accounting Office

100 Pearl Street, Suite 20-100

New York, NY 10004-2616

 Re: Valued Advisers Trust (the “Trust”) (File Nos. 333-151672 / 811-22208)

Dear Ms. Rotter:

On May 4, 2023 you provided comments
relating to the review by the staff of the Securities and Exchange Commission of the annual Form N-CSR filing for series portfolios of
the Trust with a fiscal year ended October 31, 2022, including Dana Large Cap Equity Fund, Dana Epiphany ESG Small Cap Equity Fund, Dana
Epiphany ESG Equity Fund, Foundry Partners Fundamental Small Cap Value Fund, Sound Mind Investing Fund, SMI Multi-Strategy Fund, and SMI
Dynamic Allocation Fund (each of the foregoing may be referred to as a “Fund” and collectively as the “Funds”).
This letter responds to those comments. For your convenience and reference, I have summarized the comments in this letter and provided
the Trust’s response below each such comment.

 1. Comment: (Dana Epiphany ESG Small Cap Equity Fund and Dana Epiphany ESG Equity Fund) The staff
noted that the line graph presented for each Fund does not assume its required minimum investment at the beginning of the first fiscal
year. Please explain in correspondence why the line graph does not conform to Form N-1A Item 27, Instruction 1.

Response: The Trust acknowledges
that the line graph for each Fund should have assumed an initial investment of $1,000,000 for the Fund’s Institutional Class shares.
The Trust regrets this administrative oversight and will be sure that the line graphs conform to the requirements of Form N-1A Item 27
in the future.

2. Comment:
(SMI Dynamic Allocation Fund) – The staff noted that the performance graph for the Fund appears to have a typographical error. The
performance graph notes 10/31/21 twice instead of noting 10/31/22. Please confirm in correspondence that going forward the graph will
disclose the correct timeframes.

Response: The Trust regrets the typographical error and confirms that going forward the performance graph will disclose the correct
timeframes.

    1

3. Comment:
(Foundry Partners Fundamental Small Cap Value Fund) – Please explain in correspondence what the interest expense represents on the
Statement of Operations for the Fund. The staff noted that the response to Question C.20 in the Form N-CEN filed on January 13, 2023 indicates
that the Fund does not have access to a line of credit.

Response: The amount listed as interest
expense in the Statement of Operations represents overdraft fees incurred by the Fund during the report period. The overdraft situations
occurred due to large shareholder redemptions that exceeded the Fund’s available cash. In the future, the Trust will note overdraft
fees as such in the Statement of Operations.

Please
contact me at (513) 869-4300 if there are any questions regarding the responses contained in this letter, or if you require additional
information.

Sincerely,

/s/ Carol J. Highsmith

 Carol J. Highsmith

Vice President and Secretary

    2