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700-551 Express Security for Account Managers

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700-551 exam Dumps Source : Express Security for Account Managers

Test Code : 700-551
Test title : Express Security for Account Managers
Vendor title : Cisco
: 77 actual Questions

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Cisco Express Security for Account

Cisco Mobility categorical and Cisco Umbrella – protection Simplified! | killexams.com actual Questions and Pass4sure dumps

We’ve had a number of sedulous months with their Cisco Mobility express solution. How busy? read Part One and Part Two of my weblog sequence to dissect the entire fresh Mobility specific enhancements. Following during this style of modern improvements, i'm excited to share another key enhancement to the Mobility specific answer: Cisco Umbrella integration with Mobility express by artery of the latest AireOS 8.eight.111.0 liberate.

With nowadays’s digital consumers, offering Wi-Fi in your business is a necessity as opposed to without problems a luxurious. On exact of that there's increasing complexity led to through the proliferation of smartphones, drugs, wearables and IoT recess elements that are beyond IT’s direct manage. in response to Cisco visible Networking Index (VNI), forty nine% of international site visitors in 2020 will subsist Wi-Fi primarily based. With this explosive Wi-Fi growth in the network, presenting a safe and cozy connection is of paramount value. Threats proceed to increase in sophistication and maintain reached exponential degrees, increasing in pace with each passing yr.

So how carry out you secure your instant community if you’re a little to medium-sized company with a lean or nonexistent IT department? How will you preserve tempo with your rivals while successfully deploying, managing, and securing your community?

Enter Mobility categorical and Umbrella.

restricted finances? No issue. IT team of 1? That’s okay too. With these built-in solutions, it’s less difficult than ever to directly set up and at ease an on-premise wireless network. Mobility categorical offers trade-leading wireless LAN technology with a constructed-in virtual controller, and Umbrella gives the first line of protection in opposition t threats on the internet at any set clients go. and furthermore you don’t maintain to sacrifice business-type efficiency and reliability.

Umbrella is a cloud-delivered safety platform that protects in opposition t threats like malware, ransomware, and phishing. With Umbrella, you capitalize visibility and enforcement at the DNS layer, so that you can obstruct requests to malicious domains and IPs before a connection is ever made. The Umbrella integration throughout the Cisco instant LAN controller (WLC) portfolio – including Mobility specific, WLC 3504, 5520 and 8540 – gives finished safety coverage that's standard to install and control.

set up and protect in MinutesYou can birthright now and simply allow Umbrella policies per SSID in three effortless and intuitive steps from the Cisco Mobility categorical WebUI itself. The potential to map granular guidelines on a per-SSID basis makes it possible for the network to felicitous hastily to your changing company wants. complete of this added insurance policy is enforced without any further latency, so the recess user suffer is not impacted.

Step1: enable Umbrella and enter the Umbrella API Token

Step2: Create profile and register the profile with Umbrella

Step3: solemnize the profile to the WLAN

Licensing & ordering Umbrella with Mobility express

With AireOS 8.8.111.0 unencumber, this role is attainable to complete consumers and there is no further license on Mobility categorical to permit this function. despite the fact, consumers who exigency to disburse Umbrella with Mobility specific will want an Umbrella license and account.

With the quantity of Mobility express innovations coming from Cisco, invent inevitable to bookmark this weblog page so that you’re always up to date.

For more counsel, talk over with Mobility specific. if you’re drawn to seeing Umbrella in action, check in for a free ordeal these days.

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Cisco Expands protection features Portfolio with Portcullis Acquisition | killexams.com actual Questions and Pass4sure dumps

WEBINAR:On-Demand

EUC with HCI: Why It concerns

Cisco is at it once more, buying yet one other company so as to add to its roster. This time the target is privately-held Portcullis computer safety. economic terms of the deal don't appear to subsist being publicly disclosed at the moment. Cisco expects the acquisition to immediate in the second quarter of fiscal 12 months 2016, at which time Portcullis personnel will turn into a Part of the Cisco security solutions neighborhood, led through Cisco vice president James Mobley.

Portcullis is a UK-primarily based safety consultancy that offers services for checking out and protection response and research. On the checking out aspect, Portcullis has penetration checking out features, which are increasingly in require due to modern compliance instructions equivalent to PCI-DSS three.1, which requires company to habits commonplace checking out. Portcullis is awfully lively in the PCI-DSS house and is an authorized Scanning seller (ASV).

"We give scanning and penetration testing capabilities to agencies searching for compliance with the PCI DSS, which become developed with the aid of participants of the PCI safety necessities Council (including Visa, Mastercard, JCB, determine fiscal capabilities and American express) with the direct of applying constant records security measures to card payment money owed across the globe," the Portcullis web page states.

Portcullis furthermore presents source code overview and web software evaluation capabilities to assist invent confident that organizations' purposes and edifice efforts are comfortable. From a networking perspective, the Portcullis portfolio furthermore comprises network gadget trying out, wireless assessment and VoIP evaluation functions, which may still mesh neatly with Cisco's core choices.

one other core aspect of the Portcullis portfolio that Cisco wants is incident response capabilities. The Cyber risk evaluation and Detection service (CTADS) is the branded title of the Portcullis incident response solution.

"collectively, Cisco and Portcullis will give strategic assistance to their purchasers to mitigate them with their most intricate security challenges," Rob Salvagno, VP corporate enterprise edifice at Cisco, wrote in a weblog upshot up. "through this acquisition, they increase their skill to present wonderful protection, possibility and compliance capabilities to aid consumers overcome operational and technical protection challenges, await and respond to modern threats, and drive modern company."

"When paired with Cisco’s latest safety functions portfolio, Portcullis will assist accelerate Cisco’s protection functions business and extra rapidly extend its safety consulting capabilities backyard of North america," Salvagno brought.

The Portcullis acquisition builds on Cisco's acquisition of privately-held Neohapsis on the conclusion of 2014. Neohapsis offers numerous services, including utility, cloud, compliance, cell and network safety capabilities as neatly because it casual and security approach building. extra these days in 2015, Cisco closed the $625 million acquisition of protection supplier OpenDNS on August 27, extra expanding Cisco's security capabilities.

Cisco's modern CEO, Chuck Robbins, has publicly stated that he's bullish on his firm's possibilities in the safety market.

"i am very bullish about where they are with their protection portfolio," Robbins said complete over Cisco's fourth quarter fiscl 2015 salary name. "I suppose the team has accomplished an incredible job."

Sean Michael Kerner is a senior editor at business Networking Planet and InternetNews.com. result him on Twitter @TechJournalist.


Cisco Mobility specific fills SMB cavity in wireless portfolio | killexams.com actual Questions and Pass4sure dumps

modern day announcement of Cisco Mobility categorical, the latest addition to the seller's instant portfolio and one which fills a spot in that portfolio, offers Cisco partners with yet another Wi-Fi offering for their little and midsize company (SMB) consumers.

Cisco Mobility categorical, an embedded software controller, requires lower than 10 minutes to deploy and manages up to 25 entry facets and 500 clients in a sole cluster, in line with Cisco. The product ships with the brand modern Cisco Aironet 1830 can charge-optimized controller and present 1850 collection 802.11ac Wave 2 access points.

With 80% of Cisco's products offered during the channel, companions are the fundamental go-to-market approach for the SMB-focused Mobility categorical, observed John Growdon, senior director of channel business building, facts core and business networking, at Cisco. The proper consumers segments for Cisco Mobility categorical are the ok-12, retail and hospitality verticals, the dealer noted.

Growdon admitted that Cisco is late to the game with the embedded software controller, already a competitive market, but Mobility categorical rounds out the seller's Wi-Fi portfolio and palms companions with a viable providing for SMB purchasers.

additional Cisco updates

Cisco additionally announced two analytics tools, Presence Analytics and gregarious Analytics, additions to its related cellular suffer (CMX 10.2) technology. CMX is a Wi-Fi product that uses Cisco's wireless infrastructure to become cognizant of and locate smartphones, tablets and different mobile contraptions.

moreover, the enterprise is providing modern associate enablement. The Cisco CCNA wireless Certification has been up to date with extra heart of attention on cloud-managed and Unified access instant architectures, as well as 802.11ac access features, controllers and wireless requisites. The update is purchasable dawn nowadays.

New ally practising and resources encompass accomplice Account supervisor, tackle Engineer and bailiwick Engineer practicing purchasable international, as well as brief promote practising and promote sheets available for distributors and direct-market resellers.

Cisco furthermore up to date its cloud-primarily based predictive Radio Frequency (RF) Planner appliance to encompass the newest offerings. The accomplice device helps with initial website estimates, such because the variety of entry elements for a given ambiance, without requiring an on-web site inspection.


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Express Security for Account Managers

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NFA Update: modern Supervision and Cybersecurity Obligations for Private Fund Managers Registered with the National Futures Association | killexams.com actual questions and Pass4sure dumps

The National Futures Association issued two Interpretive Notices that will move complete private fund managers that are NFA members (i.e., managers with funds or accounts that trade commodity interests and that are not eligible for an exemption from registration with the Commodity Futures Trading Commission). While the Interpretive Notices address different areas of risk — one is focused on the exigency for more formal supervision of key financial functions, and the other is focused on addressing cybersecurity risks — they both require the attention of senior administrative personnel. Given that the obligations set forth in these notices will become effective on April 1, 2019, complete affected managers should Take steps to ensure timely compliance.

The Internal Control Systems Interpretive Notice

Yesterday (Jan. 31, 2019), the NFA announced that it had adopted a modern interpretive notice, “Compliance Rule 2-9: CPO Internal Control System” (the “Internal Controls Notice”), which is directed at commodity pool operators with control over customer funds.

As background, NFA Compliance Rule 2-9 imposes a common requirement for NFA members (including CFTC-registered private fund managers) to “diligently supervise” their personnel. The NFA interprets that common rule as requiring a “strong control environment” with internal controls that are designed to deter fraud and errors in order to safeguard customer funds, to reliably bear accurate and timely financial reports, and to occasions compliance with complete regulations addressing the control of customer funds. The Internal Controls Notice is intended to supplement Compliance Rule 2-9 and provide CPOs with guidance on the design of an adequate financial controls system as well as to set forth inevitable “minimum components” of such a system.

A strong Control Environment. Unsurprisingly, the Internal Controls Notice expressly requires the adoption and implementation of written compliance policies. However, compliance personnel should note that the Internal Controls Notice specifically requires the adoption of two different sets of written policies and procedures:

  • Policies and procedures reasonably designed to ensure that a CPO’s operations are in compliance with complete applicable NFA rules and CFTC regulations; and
  • Policies and procedures that fully justify a CPO’s internal controls framework and report the CPO’s supervisory system, “which should subsist reasonably designed to ensure that [they] are diligently followed by complete employees.”
  • While the responsibility to address both policy objectives is a fairly subtle point in the Internal Controls Notice, legal and compliance personnel should ensure that the design of their policies, as well as complete sporadic reviews of their effectiveness, expressly benchmark the firm’s systems against both objectives.

    The NFA furthermore made transparent in the Internal Controls Notice that the deportment of senior personnel is an integral component of a strong control environment. The notice states that “management must demonstrate its commitment to integrity and ethical values and emphasize the import of establishing and following the internal controls” and that “no employee, including senior management, should inappropriately circumvent the firm’s internal controls system.” While these concepts are not modern in the asset management industry, this express individual mandate for senior personnel (and not just for compliance personnel) is consistent with a broader regulatory shift.

    The non-circumvention concept is furthermore expressed in a requirement that the firm maintain an “escalation policy” that (1) provides a mechanism for reporting attempts to improperly override a firm’s internal controls system “in any respect” and (2) addresses “whether and when a matter should subsist reported to the firm’s regulator.” Legal and compliance officers should deem these aspects of the Internal Controls Notice carefully, as they may differ in some details from many firms’ current practices.

    In a footnote, the NFA furthermore set forth an additional component of an effective internal controls system, stating that the overall compliance program “should subsist supported by strong information technology controls operating within the firm’s Information Systems Security Program.” Compliance officers, when performing reviews and assessments, should Take note of this and ensure that reviews of their information security systems and their cybersecurity measures are incorporated into their overall control system assessments.

    Separation of Duties. The Internal Controls Notice furthermore advises that, to the extent possible, persons who perform day-to-day functions in the following areas should subsist different from the persons who superintend those functions:

  • Handling funds;
  • Trade execution activities;
  • Financial records; and
  • Risk management.
  • And, where a supervisor furthermore handles day-to-day functions, a principal of the CPO (or other supervisory person) should periodically review the supervisor’s work. In other words, whenever possible, the CPO’s policies should require that:

  • There is cross-checking of toil in key areas, either by assigning duties to different employees or by implementing automated controls;
  • Operational functions that involve handling or the custody of pool assets are separated from financial reporting functions; and
  • No one person should subsist responsible for the replete lifecycle of subscriptions, transfers and redemptions to or from a pool (or transactions that present similar risks).
  • The NFA believes that the separation of duties is “widely accepted as a key control activity.” Therefore complete CPOs should review their operational processes and financial controls to carefully deem the adequacy of their supervision framework in light of the NFA’s counsel on separation of duties.

    Controls Over Investment Activity and financial Transactions. The Internal Controls Notice furthermore highlighted two common areas of risk (financial transactions between pools and their investors and investment decision-making) and suggested specific steps that would “form the basis of” adequate internal controls in these areas.

    The Internal Controls Notice proposes that, to reduce the financial and operational risks associated with pool subscriptions, redemptions and transfers (and to protect participant and pool assets), a CPO should:

  • Verify that pool investments are held in accounts properly titled with the pool’s title and are not commingled with the assets of any other person;
  • Periodically reconcile transactions between the pool’s common ledger, banks and other third-party depositories;
  • Include authorization of redemptions as a process subject to express verification and confirmation checks (check that the request is made by a participant; that adequate funds are available; that the NAV calculation is correct; that funds are actually released and timely rendered to the reform party, etc.); and
  • Verify that transactions involving pool funds carry out not violate NFA Compliance Rule 2-45, prohibiting direct or indirect loans from a pool to a member CPO or affiliates.
  • The NFA furthermore regards investment activity and valuation process as common high-risk areas for CPOs and expects that a CPO will:

  • Include approvals of investments within its control framework (for example, ensuring that each kind of investment is authorized and consistent with the pool’s strategy);
  • Verify that investments are valued in accordance with its valuation policies;
  • Perform ongoing due diligence of counterparties and other third-party depositories (including reviewing reputation, trading strategy, past performance and regulators’ actions);
  • Monitor risks associated with investments held at third parties on an ongoing basis, including market and credit risk; and
  • Continually monitor pool liquidity to ensure its capacity to meet financial obligations such as redemption requests and margin calls.
  • When implementing such controls, the NFA advises that business and trading principals play a direct and primary role in monitoring and assessing risks within their areas of responsibility.

    Use of Administrators. Third-party administrators that perform back office and other basic operational functions should subsist included within the internal controls system. A CPO should deem whether maintaining a set of “shadow books” is advisable and also:

  • Perform both initial and ongoing due diligence on its administrator (including factors such as costs, reputation, expertise, timeliness, responsiveness, attention to detail, toil history and cybersecurity); and
  • Obtain evidence a test of the effectiveness of the administrator’s own controls and security measures, conducted by an internal or independent auditor as appropriate.
  • Impact on CPOs. The Internal Controls Notice, at least in terms of the specificity of its requirements, in many ways breaks modern ground for the NFA. While many managers, especially managers registered as investment advisers with the U.S. Securities and Exchange Commission, will maintain many of these practices in place, complete CPOs will exigency to carefully review their compliance and operational policies and procedures to ensure that they are in compliance by April 1, 2019. The Internal Controls Notice furthermore served to expressly remind complete CPOs that they must maintain records enough to demonstrate the effectiveness of their programs.

    Cybersecurity Amendments

    On Jan. 7, 2019, the NFA announced that it had amended its 2016 Interpretive Notice, “Compliance Rules 2-9, 2-36 and 2-49: Information Systems Security Programs. This amendment (the “Cybersecurity Notice Amendment”) underscores the import of matters such as training on cybersecurity topics and creates a new, “narrowly drawn,” cybersecurity trespass notification requirement for members (such as private fund managers registered with the CFTC).

    Background. The NFA’s 2016 cybersecurity interpretive notice prescribed that members create a written framework of supervisory practices to address unauthorized access risks and established common requirements relating to such programs, while leaving the exact figure of the information systems security program up to each member.

    In particular, the 2016 Interpretive Notice required that covered entities create an incident response procedure that addresses how the member will communicate externally with customers, counterparties, financial industry regulators, self-regulatory organizations and law enforcement in the event of a cybersecurity incident, but it did not explicitly require members to notify the NFA in connection with such an event.

    New NFA Notification Requirement. The Cybersecurity Notice Amendment, however, contains a modern requirement that a CPO must maintain procedures in set to promptly notify the NFA of a cybersecurity trespass or similar incident that results in:

  • Any loss of customer or counterparty funds;
  • Any loss of a member’s own capital; or
  • The member providing notice to customers or counterparties under state or federal law.
  • When notifying the NFA, the member must provide a written summary of the incident, unless the member provides a notice to customers or counterparties (in which case it may provide a copy of the notice to NFA instead of a part written summary).

    ISSP Approval. In the Cybersecurity Notice Amendment, the NFA has furthermore clarified that a CPO’s ISSP must subsist approved by:

  • The CEO;
  • Another senior flat official with primary responsibility for information technology security (such as a CTO or CISO); or
  • A senior official who is listed as a principal and has authority to superintend the NFA member’s execution of the ISSP.
  • There are different approval requirements for situations where committees approves an ISSP, or where there are approvals at different levels in a multi-entity organization, but complete CPOs should substantiate that the actual technicalities of the approval meet the modern guidance.

    Other Regulatory Regimes. The Cybersecurity Notice Amendment adds that a covered CPO should subsist confidential with notice requirements contained in applicable data security and privacy laws of the United States and other jurisdictions. The NFA encouraged members to obtain necessary contact information from regulators and law enforcement in advance of a breach. In addition, as an aid to the progress of an preempt ISSP, members are encouraged to review the practices and standards promulgated by various professional associations identified in the NFA’s Frequently Asked Questions on Cybersecurity.

    Information Security Training. Under the NFA’s prior release, members are required to provide training in information security to their employees both at hiring and “periodically” on an ongoing basis. The Cybersecurity Notice Amendment clarifies that such training should subsist provided both at hiring and at least annually thereafter, with more frequent training as circumstances warrant. A description of such training that identifies the topics covered in the training contents should subsist included in the firm’s ISSP.

    Action Items

    Many of the NFA’s recommendations for internal controls will subsist confidential to established private fund managers that are registered CPOs. While the NFA states that it recognizes that size and operational differences among CPOs require a degree of flexibility for self-determinations as to what constitutes an “adequate” control system, these Interpretative Notices hold a flat of detail and prescription that is new.

    All private fund managers should:

  • Consider the adequacy of their current controls, including those established under the parallel requirements of other regulators, in light of the NFA’s recommendations;
  • Plan to conduct a review for any other member-specific factors that should subsist included in a control framework given the CPO’s unique characteristics; and
  • Roll out any modern or amended policies in the next two months (i.e., before April 1).

  • American Express and Bill.com interject Vendor Pay, a modern Streamlined, Automated Approach to Accounts Payable | killexams.com actual questions and Pass4sure dumps

    NEW YORK--(BUSINESS WIRE)--

    Vendor Pay marks the first time businesses can pick to disburse a card to invent vendor payments within a Bill.com solution. Businesses can now efficiently reconcile payments, deserve the rewards1of their business or Corporate Card and help working capital.

    Today, American Express (AXP) and Bill.com announced a strategic partnership with a modern offering: American Express “Vendor Pay” by Bill.com. Vendor Pay couples automating your accounts payable (AP) process with the capacity for businesses to seamlessly pay vendors with their American Express® business or Corporate Card, without the hassle of setting up a modern Card account.

    This modern solution streamlines vendor payments, improves working capital and cash conversion cycles, and provides better data for payment reconciliation, complete while helping businesses deserve the rewards of the Card. In one simple online dashboard, Vendor Pay allows American Express business and Corporate Card Members to pay their company’s bills with more control and visibility over the AP process. It furthermore provides enhanced security through the disburse of unique, single-use virtual account numbers with their existing business or Corporate Card.

    “As businesses grow in size, their accounts payable needs become more complex, driven by more vendors and more invoices,” said E-Bai Koo, Executive Vice President, American Express Global Commercial Services. “As a ally to businesses around the world, they strive to invent it easier for customers to Get business done. We’re excited to build a long-term partnership with Bill.com, a leader in digital business payments, to proffer their Card Members a streamlined approach to vendor payments.”

    In addition to paying vendors via virtual account numbers, the partnership with Bill.com will furthermore provide American Express business and Corporate Card Members the option to pay with Bill.com’s ACH and check services. Once users enroll, they can commence to invent payments through an easy-to-access navigation bar and view actual time status updates. For American Express business and Corporate Card Members, Vendor Pay offers a basic procedure that provides core functionality with no monthly fee for the first user. In addition, advanced plans are furthermore available for a monthly fee1 that provide additional benefits including bill approval workflows, synchronization with leading accounting software, and designated roles and permissions.

    “The Bill.com and American Express partnership is a powerful combination of two innovators and leaders in business payments,” said Rene Lacerte, CEO and Founder of Bill.com. “American Express business and Corporate Card Members will now maintain a central platform for managing digital business payments via Bill.com, with the added benefits of earning the rewards of their Card and automating their manual and time-consuming back office processes.”

    In addition to partnering with Bill.com to create Vendor Pay, American Express’ corporate venture capital arm, Amex Ventures, is a long-time financial investor in Bill.com.

    More details about Vendor Pay, including symptom up information, are available at www.americanexpress.com/vendorpay.

    ______________________1 Additional fees may apply based on procedure kind and number of users.

    About American Express Global Commercial Services

    Through their Global Commercial Services division, American Express offers powerful backing and back that helps companies of complete sizes gain financial savings, control and efficiency. They provide a suite of payment and lending products, solutions for travel and everyday business spending, cross brink payments, global currency solutions, and business financing.

    To learn more about Global Commercial Services, visit business.americanexpress.com.

    About American Express

    American Express is a global services company, providing customers with access to products, insights and experiences that enrich lives and build business success. Learn more at americanexpress.com and connect with us on facebook.com/americanexpress, instagram.com/americanexpress, linkedin.com/company/american-express, twitter.com/americanexpress, and youtube.com/americanexpress.

    Key links to products, services and corporate responsibility information: charge and credit cards, business credit cards, travel services, gift cards, prepaid cards, merchant services, Accertify, corporate card, business travel, and corporate responsibility.

    Story continues

    About Bill.com

    Bill.com is the leading digital business payments company with a network of over 3 million members, processing more than $60 billion annually. Making it simple to connect and carry out business, the Bill.com cloud-based Payment Management Platform automates, simplifies, and controls the payments process, saving more than 50 percent of the time typically spent. Bill.com partners with leading financial institutions, more than 60 of the top 100 accounting firms, major accounting software providers including Netsuite, Intacct, QuickBooks and Xero, and is the preferred provider of digital payments solutions for CPA.com, the technology arm of the American Institute of CPAs (AICPA). Winner of more than 70 awards, Bill.com is recognized as one of San Francisco business Times’ and Silicon Valley business Journal’s “2018 Best Places to Work.”

    View source version on businesswire.com: https://www.businesswire.com/news/home/20190205005193/en/


    Quant Manager Alpha Architect Passes Major Cost Savings to Shareholders; Slashes Fees up to 38% | killexams.com actual questions and Pass4sure dumps

    Alpha Architect is pleased to broadcast that it has reduced fees up to 38% on its quantitative factor ETFs, which search lofty active-share exposure to value and momentum.

    Effective today, Alpha Architect is lowering management fees on the following ETFs:

  • Alpha Architect Quantitative Value ETF (ticker:QVAL) management fee will subsist lowered from 0.79% to 0.49%.
  • Alpha Architect Quantitative Momentum ETF (ticker:QMOM) management fee will subsist lowered from 0.79% to 0.49%.
  • Alpha Architect International Quantitative Value ETF (ticker:IVAL) management fee will subsist lowered from 0.79% to 0.59%.
  • Alpha Architect International Quantitative Momentum ETF (ticker:IMOM) management fee will subsist lowered from 0.79% to 0.59%.
  • The cuts, which scope from 25% to 38%, will better position Alpha Architect to achieve their goal of delivering concentrated factor exposures at affordable costs via the tax-efficient ETF wrapper.

    Founder Wes Gray, Ph.D. continues: “Our thanks is first and foremost to their clients. They gave us the scale and size to commence this journey and they want to give pass some of their cost savings back to them. In the Marine Corps, their motto is ‘Officers consume Last.’ They toil to serve their clients in the selfsame spirit.”

    Alpha Architect’s mission is to empower investors through education. Through their investment strategies, they search to deliver ‘Affordable Alpha.’ Affordable Alpha requires 1) highly differentiated investment strategies through the disburse of cutting edge research and 2) affordable costs.

    Alpha Architect seeks to capture cost synergies via the following channels:

  • Minimizing distribution costs
  • Minimizing overhead costs
  • Maximizing the disburse of technology to facilitate best-in-class operations
  • Dr. Wes Gray, founder of Alpha Architect, highlights why the team is excited about the future: “We are a PhD quant shop operating out of a garage. They are well positioned to provide niche, research-intensive investment products direct to the consumer at affordable costs.”

    ABOUT ALPHA ARCHITECT

    Alpha Architect is an SEC-registered investment firm that seeks to design affordable, tax-efficient, index strategies for Exchange-Traded Funds and Separately Managed Accounts. Alpha Architect’s strategies are rooted in the science of behavioral finance with a goal of beating behavioral bias. For further information, visit www.alphaarchitect.com/funds.

    DISCLOSURE

    Investments involve risk. Principal loss is possible.Redemptions are limited and often commissions are charged on each trade. Unlike mutual funds, ETFs may trade at a premium or discount to their net asset value.

    The Securities and Exchange Commission (SEC) does not approve or disapprove of any investment. This material has been distributed for informational purposes only and should not subsist considered as investment counsel or a recommendation of any particular security, strategy or investment product. Information contained herein has been obtained from sources believed to subsist reliable, but not guaranteed. No Part of this material may subsist reproduced in any form, or referred to in any other publication, without express written permission.

    Value investing is subject to the risk that intrinsic values of investments may not subsist recognized by the broad market or that their prices may decline. Investments utilizing quantitative methods may perform differently than the market as a result of characteristics and data used and changes in trends. Momentum investing is subject to the risk that past performance does not foretell the future performance of investments. Investments in foreign securities involve political, economic and currency risks, greater volatility and differences in accounting methods. The Funds are not actively managed. Maintaining investments regardless of market conditions or the performance of individual investment could occasions the fund’s recrudesce to subsist lower than if the fund employed an vigorous strategy. The performance of the Fund and its Index may differ due to tracking error.

    Total Annual Fund Operating Expenses is the selfsame as the management fee for each fund according to the prospectus dates 01/31/2019.

    The Fund is distributed by Quasar Distributors, LLC. Fund's investment advisor is Empowered Funds, LLC which is doing business as Alpha Architect.

    Alpha is theexcess returnof an investment relative to thereturnof a benchmarkindex.

    The fund’s investment objectives, risks, charges and expenses must subsist considered carefully before investing. The statutory and summary prospectus contains this and other principal information about the investment company, and it may subsist obtained by calling 215-882-9983 or visiting www.alphaarchitect.com/funds . Read it carefully before investing.

    View source version on businesswire.com: https://www.businesswire.com/news/home/20190131005697/en/

    SOURCE: Alpha Architect"> <Property FormalName="PrimaryTwitterHandle" Value="@alphaarchitect

    Kyle Baxter215.882.9983ir@alphaarchitect.com

    Copyright business Wire 2019



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