Philip Saunders – Market reaction to Fed announcement
Philip Saunders discusses the market reaction to the recent announcement from the US Federal Reserve Bank.
Jun 28, 2019
Given the compelling reasons for investing offshore, which include diversification benefits, reduced emerging market and currency risk, and maintenance of ‘hard’ currency spending power, how best should investors go about investing offshore?
The answer depends on investors’ personal circumstances, risk profile and longer-term financial planning objectives. We therefore suggest that investors consult a professional financial advisor who can help identify investment solutions that address their specific requirements, which may include:
Investing in an FSCA-approved* collective investment scheme (unit trust fund) that includes offshore assets (e.g. the Diversified Income, Cautious Managed, Opportunity, Equity and Value funds). For example, a Regulation 28-compliant multi-asset or balanced fund is allowed to invest up to 30% in international assets. By making use of this type of fund, investors are effectively appointing a professional money manager who has the time, experience and access to information to decide when and how much to invest offshore on their behalf, and into which assets. Given relative valuations, most South African multi-asset funds are at the 30% offshore limit, and therefore the key decision is to select a manager who has a proven long-term track record and capability of investing offshore.
As a subset of this option, a worldwide flexible fund, such as the Worldwide Flexible Fund, is potentially a more efficient investment solution as it is not constrained by geographical or asset class limits. While the optimal strategic allocation to foreign assets depends on each investor’s personal circumstances, for many it could be at least a third of their assets, as evidenced in Figure 1 below.
Figure 1: Optimal blend for a three-year investment horizon
Source: Professor Dave Bradfield, Brian Munro and Dieter Hendricks, Cadiz Securities, 2010
Therefore, a Regulation 28-compliant multi-asset high-equity or other domestic fund that is limited to 30% offshore exposure, may not be the most efficient solution. In fact, an unconstrained investment mandate improves the return characteristics of a multi-asset (balanced) portfolio at only marginally higher risk.
Investing in an FSCA-approved rand-denominated international unit trust fund (e.g. the Global Multi-Asset Income, Global Strategic Managed and Global Franchise Feeder funds, which invest directly into their respective underlying funds). By doing so, investors do not make use of their individual offshore allowance. Rather, they invest in rands and when they disinvest, the proceeds are paid in rands. While investors benefit from being invested in funds that only hold offshore assets, they remain exposed to South African political risk.
Investing in a foreign-domiciled international unit trust fund that is registered in South Africa (e.g. the Global Multi-Asset Income, Global Strategic Managed and Global Franchise funds). By doing so, investors invest directly into an FSCA-approved offshore fund in its dealing currency e.g. dollars, pounds or euros. Having completed the fund’s application form, investors effectively instruct their bank (local or international) to make payment to the fund’s bank account. When disinvesting, investors will then also receive the proceeds in the fund’s dealing currency.
Many South Africans have favoured rand-denominated international funds because of the perceived complexity of applying for tax and Reserve Bank clearance to invest offshore directly. However, now that investors can invest up to R1 million annually in an international fund without the need for any prior approvals, they can access foreign-domiciled international funds with relative ease and thereby diversify away South African political risk. In addition to the annual discretionary allowance of up to R1 million, investors also have a foreign capital allowance of up to R10 million per calendar year (a total sum of R11 million). Investors need to obtain foreign tax clearance from the South African Revenue Service when they wish to utilise their annual foreign allowance of R10 million. Reserve Bank approval is only required when investors wish to transfer funds offshore in excess of the maximum total sum of R11 million per calendar year.
Ninety Ones’s rand-denominated international funds can be accessed directly from Ninety One and via Ninety One Investment Platform, or through most of the linked investment service provider (LISP) companies in South Africa. Similarly, our foreign-domiciled funds can be accessed directly, via the Ninety One Investment GlobalSelect platform or through other LISP companies’ offshore fund platforms in South Africa.
The following table provides a summary of the means by which a South African investor can obtain offshore exposure.
|SA unit trust funds||Worldwide flexible funds||SA feeder unit trust funds||Foreign-domiciled funds|
|Offshore exposure||0 - 30%||0 - 100%||95 - 100%||100%|
|Use of investor's offshore allowance||No||No||No||Yes|
|Use of Manager's offshore allowance||Yes||Yes||Yes||No|
|Does Ninety One have offshore capacity||Yes||Yes||Yes||N/a|
|Investment currency||Rand||Rand||Rand||$, €, £|
|Disinvestment proceeds currency||Rand||Rand||Rand||$, €, £|
|Exposure to SA political risk||Yes||Yes||Yes||No|
|Core funds||Diversified Income, Cautious Managed, Opportunity, Value funds||Worldwide Flexible Fund||Global Multi-Asset Income, Global Strategic Managed and Global Franchise Feeder funds||Global Multi-Asset Income, Global Strategic Managed and Global Franchise funds|
*Financial Sector Conduct Authority