Resource Toolkit: Investment Policy Statemen Checklist

Introduction: The IPS as the Bedrock of Investment Strategy and Governance

The Investment Policy Statement (IPS) is more than just a formal document; it is the foundation upon which disciplined and successful institutional or family office investment programmes are built. Serving as both a strategic guide and a governing charter, the IPS provides the essential framework for navigating the complexities of modern investment management.

Investment fiduciaries, whether overseeing pension funds, endowments, foundations, or substantial family assets, operate in an environment characterised by significant challenges. Market volatility, the need to balance long-term growth objectives with short-term spending requirements, aligning diverse stakeholder opinions, and meeting ever-present regulatory demands create a complex landscape.

In this context, the IPS emerges as an indispensable tool. It provides a structured approach to align investment decisions with the organisation’s mission, manage risk effectively, and, critically, fulfil the profound fiduciary responsibilities entrusted to those managing the assets. A well-constructed IPS helps keep investment programmes on an even keel, promoting a disciplined approach even when markets are turbulent or internal opinions diverge.

Recognising the critical nature of this document, Acclimetry has developed this Resource Toolkit. It is designed as a practical aid for new Chief Investment Officers (CIOs), investment analysts drafting policies, institutional financial planners, and family office staff seeking to develop a new IPS or refine an existing one. This toolkit comprises an explanatory guide discussing the importance, components, and best practices surrounding the IPS, alongside a downloadable IPS template and a comprehensive governance checklist. These resources draw upon Acclimetry’s experience in institutional governance and policy development, offering a robust starting point for establishing sound investment practices.

Resource Toolkit: Investment Policy Statement Template and Checklist

Why a Robust Investment Policy Statement is Non-Negotiable

The creation and diligent maintenance of an IPS are not mere administrative tasks; they are central to effective investment management and fiduciary responsibility. A comprehensive IPS provides multiple layers of benefit, from demonstrating legal prudence to ensuring strategic alignment and operational efficiency.

 

A. Fulfilling Fiduciary Obligations: The Prudence and Loyalty Standard

At the heart of institutional investment management lies fiduciary duty. This duty fundamentally requires loyalty, acting solely in the best interests of the beneficiaries or the institution, putting their interests first, and avoiding conflicts of interest. It also demands prudence and care, acting with the skill, diligence, and care that a prudent person familiar with such matters would use, which includes diversifying investments according to accepted theory. Regulatory frameworks like the Employee Retirement Income Security Act (ERISA) in the U.S. and principles embedded in the Uniform Prudent Management of Institutional Funds Act (UPMIFA) codify these expectations.

A meticulously drafted and consistently followed IPS serves as crucial evidence of “procedural prudence”. It documents the thoughtful, systematic process undertaken by fiduciaries in making investment decisions, demonstrating that choices were made with care and diligence, rather than arbitrarily. This documentation is vital for trustees in meeting their obligations and mitigating potential liability. However, the protection afforded by an IPS is contingent upon adherence. 

While having an IPS is a widely recognised best practice and may be implicitly or explicitly required by regulations, simply creating the document is insufficient. A failure to comply with the provisions laid out in the institution’s own IPS can itself be construed as a violation of fiduciary duty. This underscores the necessity of crafting an IPS that is not only comprehensive but also practical and achievable, supported by a review process that facilitates necessary amendments rather than encouraging deviations from the stated policy.

Furthermore, the understanding of fiduciary duty continues to evolve. Increasingly, fiduciaries recognise that analysing financially material environmental, social, and governance (ESG) factors can be integral to assessing long-term investment risks and opportunities. Considering material climate change risk, for instance, is viewed by many as firmly rooted in the duty to analyse all relevant risks. The IPS provides the appropriate venue to document the institution’s approach to considering such factors, whether they are integrated into the risk/return analysis or reflect specific mission-related investment goals.

 

B. Strategic Roadmap: Guiding Decisions Through Market Cycles

The IPS is frequently described as a “road map” for the investment programme. This analogy highlights its function in providing clear direction, outlining the path toward achieving long-term financial objectives while navigating the inevitable uncertainties of the market.

Its value becomes particularly evident during periods of market stress or volatility. Markets inevitably experience downturns and disruptions. 

In such times, emotional reactions or instinctive responses can lead fiduciaries and stakeholders toward imprudent actions. The IPS serves as a vital anchor, promoting discipline and reinforcing a long-term perspective. By providing an objective course of action agreed upon during calmer, more deliberative periods, it helps decision-makers resist the temptation to deviate from the established strategy based on short-term noise. 

This pre-agreed framework, developed ideally with input from key stakeholders to ensure broad understanding and buy-in, acts as an objective arbiter, depoliticising decisions and helping resolve potential disagreements among board or committee members when pressures mount.

Crucially, the IPS ensures that the investment portfolio remains aligned with the organisation’s unique mission and purpose. Whether the goal is to fund university operations, support charitable grants, provide retirement benefits, or preserve family wealth across generations, the IPS translates that mission into tangible investment objectives and constraints, guiding the construction and management of the portfolio accordingly.

 

C. Enhancing Communication and Accountability Among Stakeholders

Institutional investment programmes often involve numerous parties: boards, committees, internal staff, external consultants, investment managers, and custodians. The IPS serves as a critical communication document, fostering clarity and mutual understanding among all these stakeholders.

A central function of the IPS is to explicitly define the roles, responsibilities, and lines of accountability for every stage of the investment process. This includes specifying who determines the investment policy, who executes the strategy, who monitors performance and compliance, who has the authority to hire and discharge external advisors, and who is responsible for reporting. 

Such clarity minimises ambiguity, reduces the risk of overlapping or neglected duties, and ensures that each party operates within their designated scope. The strength and clarity of this governance section are paramount; weak or poorly defined governance structures are a common failing in ineffective IPS documents, hindering accountability and operational smoothness. 

Given the multiple layers of responsibility inherent in institutional investing, precise delineation is essential. Furthermore, the IPS establishes the benchmarks and standards against which the success of the investment programme and the performance of its managers will be objectively measured.

 

D. Framework for Risk Management and Performance Evaluation

The IPS provides the essential framework for managing investment risk. It requires fiduciaries to articulate the institution’s risk tolerance – both its willingness and financial capacity to assume risk and translate this into specific, measurable risk parameters or budgets. This ensures that risk is considered explicitly and managed prudently in pursuit of return objectives.

Simultaneously, the IPS creates the yardstick for performance evaluation. By defining success through specific benchmarks and return objectives, it allows for objective assessment of whether the investment programme is on track and whether managers are adding value relative to their mandates and associated risks. The IPS should also outline the monitoring and control procedures that will be used to track compliance with policy guidelines and progress toward objectives.

 

E. Ensuring Continuity and Institutional Memory

Institutions inevitably experience turnover among board members, committee members, and staff. A well-crafted IPS plays a crucial role in ensuring continuity and preserving institutional memory during such transitions. It serves as a consistent guide, helping new individuals quickly understand the established investment policies, objectives, and rationale. By documenting the “why” behind strategic decisions, the IPS prevents the loss of valuable institutional knowledge and ensures that the investment programme remains aligned with its long-term goals despite personnel changes. It can function as an effective onboarding tool for new fiduciaries.

Deconstructing the Comprehensive IPS: Essential Elements

While the specific format and level of detail may vary depending on the institution’s complexity and needs, a comprehensive and effective IPS typically addresses a core set of essential elements. These elements provide the structure and substance necessary to guide the investment programme effectively. The downloadable IPS template included in this Acclimetry investment policy toolkit is structured around these fundamental components, offering a practical policy drafting resource.

 

A. Defining Scope, Purpose, and Mission Alignment

This foundational section sets the stage for the entire document.

  • Scope: It must clearly define the specific entity (e.g., The XYZ Foundation Endowment Fund, ABC Corporation Pension Trust, Smith Family Office Investment Pool) and precisely identify the assets or accounts governed by this particular IPS. If an institution manages multiple pools of assets with distinct objectives or constraints (e.g., long-term endowment vs. short-term operating reserves), it is often best practice to have separate IPS documents or clearly delineated sections within a master IPS for each pool.
  • Purpose of the IPS: The statement should explicitly articulate its own purpose, such as establishing investment guidelines, defining roles and responsibilities, clarifying objectives, providing guidance for investment managers, establishing the basis for performance evaluation, and defining the relevant investment time horizon.
  • Purpose of the Funds/Mission Alignment: This critical element connects the investment activities to the institution’s reason for being. It should articulate the fundamental purpose of the specific assets being managed (e.g., to generate income for annual grants, preserve the purchasing power of the corpus in perpetuity, fund specific capital projects, meet pension obligations) and explicitly link the investment strategy to the overall mission of the organisation.

 

B. Establishing Clear Governance: Roles, Responsibilities, and Authority

A robust governance section is vital for operational clarity and accountability.

  • Identify Key Parties: The IPS must clearly identify all parties involved in the investment process. This typically includes the ultimate governing body (e.g., Board of Directors, Trustees), any delegated committees (e.g., Investment Committee, Finance Committee), internal staff (e.g., Chief Investment Officer, finance staff), external advisors or consultants, investment managers responsible for security selection, and the custodian responsible for safeguarding assets.
  • Define Specific Duties: Ambiguity regarding responsibilities is a significant weakness. The IPS must clearly delineate the specific duties of each party concerning critical functions such as: setting and approving investment policy, executing the investment strategy, monitoring performance and ensuring compliance with the IPS, selecting, evaluating, and terminating external managers or consultants, and fulfilling reporting requirements.
  • Delegation of Authority: If responsibilities are delegated (e.g., from the Board to an Investment Committee, or from the Committee to staff or an Outsourced CIO), the IPS must clearly state the scope and limits of this delegated authority.
  • Decision-Making Process: For committees, outlining procedures for meetings (frequency, quorum rules), voting, and record-keeping can enhance procedural prudence.
  • Fiduciary Acknowledgement: Including a statement where relevant parties acknowledge their fiduciary status can reinforce understanding of their obligations.

 

C. Setting Measurable Investment Objectives: Balancing Risk and Return

This section translates the broad purpose of the funds into specific, actionable investment goals.

  • Overall Objective: Begin with a clear statement of the overarching investment goal, such as preserving the real (inflation-adjusted) value of assets while supporting a specific spending level, achieving a target funding ratio for a pension plan, or maximising long-term growth subject to risk constraints.
  • Return Requirements: Define the target return in specific, measurable terms. Vague goals are difficult to manage and evaluate. Examples include:
    • An absolute return target (e.g., achieve an average annual nominal return of 7% or a real return of 4% over rolling five-year periods).
    • A relative return target linked to spending needs (e.g., earn a return sufficient to cover the annual spending rate, plus inflation, plus investment management fees).
    • A target relative to a specific market benchmark or a custom policy benchmark.
    • A target relative to a peer group of similar institutions.
    • For defined benefit plans, a target is related to the plan’s funded status.
  • Risk Objectives: Complementing return targets, the IPS must define risk objectives and constraints in measurable ways where possible. Examples include:
    • Limits on portfolio volatility (e.g., standard deviation not to exceed X% annually, or tracking error relative to a benchmark).
    • Maximum drawdown limits (e.g., portfolio value should not decline by more than Y% from its peak over any 12-month period).
    • Probabilistic statements (e.g., the probability of a negative return in any given year should be less than Z%).
    • For pension plans, limits on surplus volatility (the volatility of assets relative to liabilities).
    • Qualitative descriptions of risk tolerance (e.g., “moderate,” “conservative”) should ideally be supported by quantitative measures.
  • Consistency: Objectives must be realistic and internally consistent. The return target must be achievable given the defined risk tolerance, constraints, and reasonable expectations for capital market returns.

 

D. Articulating Risk Tolerance: Defining the Boundaries

Risk tolerance is a critical input that shapes the entire investment strategy.

  • Willingness and Ability: The IPS should consider both the fiduciaries’ and stakeholders’ psychological willingness to accept risk (their comfort level with potential fluctuations and losses) and the institution’s financial ability or capacity to withstand adverse outcomes without jeopardising its mission, spending commitments, or long-term viability.
  • Quantification: As noted under Objectives, risk tolerance should be translated into quantifiable metrics and constraints within the IPS wherever possible (e.g., volatility limits, drawdown constraints) to provide clear guidance.
  • Influencing Factors: The appropriate level of risk tolerance is influenced by several factors that should be considered, including the length of the investment time horizon (longer horizons generally allow for more risk), liquidity needs (higher needs constrain risk-taking), the degree of reliance on investment returns to fund operations or distributions, and the nature and predictability of any liabilities (e.g., pension obligations).

 

E. Identifying Constraints: Liquidity, Time Horizon, Legal, Regulatory, Tax, and Unique Needs

Constraints define the boundaries within which the investment strategy must operate.

  • Liquidity: The IPS must address the institution’s liquidity requirements. This involves estimating anticipated cash outflows (e.g., grants, operating expenses, benefit payments, capital calls for private investments) and specifying the need to hold a certain portion of the portfolio in highly liquid assets to meet these needs without forced selling of illiquid investments at inopportune times. Policies regarding the management and maximum allocation to illiquid asset classes should also be stated.
  • Time Horizon: The expected duration over which the assets will be invested is a primary constraint influencing risk tolerance and asset allocation. The IPS should clearly state the time horizon, whether it is perpetual (common for endowments and foundations), long-term (e.g., 10+ years), medium-term, or tied to a specific future liability or goal.
  • Legal/Regulatory: All applicable legal and regulatory requirements must be documented and adhered to. This includes relevant federal laws (like ERISA for pension plans), state laws (like UPMIFA for endowments), specific regulations governing foundation payout requirements (e.g., the IRS 5% minimum distribution for private foundations), and any restrictions on specific types of transactions. Prohibited transactions should be explicitly listed.
  • Tax Status: The tax status of the institution (e.g., tax-exempt foundation, taxable family office) is a crucial constraint that impacts investment strategy, particularly regarding asset location (holding tax-inefficient assets in tax-advantaged accounts) and the suitability of certain investments (e.g., tax-exempt bonds).
  • Unique Circumstances: This category captures any other specific policies, restrictions, values, or preferences unique to the institution. Examples include: mandates related to socially responsible investing (SRI) or ESG factors; restrictions on investments in specific industries (e.g., tobacco, armaments); policies regarding proxy voting; guidelines for securities lending programmes; or specific instructions related to gifts or donor-advised funds.

 

F. Strategic Asset Allocation: The Policy Portfolio Blueprint (Targets, Ranges, Benchmarks)

The Strategic Asset Allocation (SAA) is often considered the most important decision in determining long-term investment outcomes, as it is the primary driver of portfolio risk and return. This section outlines the long-term blueprint for the portfolio’s construction.

  • Policy Portfolio: The IPS should define the SAA, also known as the “policy portfolio.” This is the baseline or target mix of assets across different classes, carefully designed to achieve the stated investment objectives while respecting the defined risk tolerance and constraints.
  • Asset Classes: The policy must clearly list the permissible asset classes included in the portfolio and provide definitions for how they are categorised (e.g., Global Equity (further broken down into US Large Cap, US Small Cap, Developed International, Emerging Markets), Global Fixed Income (Core, High Yield, Inflation-Linked), Real Assets (Real Estate, Infrastructure, Commodities), Alternative Investments (Hedge Funds, Private Equity, Private Credit), Cash and Cash Equivalents).
  • Targets and Ranges: For each defined asset class, the IPS must specify a long-term target allocation percentage. It should also define a permissible range (e.g., +/- 5% or +/- 10%) around each target. These ranges serve two purposes: they trigger rebalancing actions when breached, and they define the boundaries for any permitted tactical deviations from the long-term strategy.
  • Benchmarks: Appropriate benchmarks must be assigned to each asset class and to the total portfolio. These benchmarks are crucial for evaluating performance objectively. The IPS may also specify criteria for selecting benchmarks, ensuring they are relevant, investable, measurable, unambiguous, and specified in advance.
  • SAA Determination Process: While the detailed analysis may reside elsewhere, the IPS should reference the process used to determine the SAA, which often involves sophisticated techniques like asset-liability modelling (ALM) for pensions or endowments, analysis of long-term capital market assumptions (expected returns, risks, correlations), and potentially risk budgeting approaches. Because capital market assumptions and optimal allocations can change over time, the specific SAA targets and ranges are often included in an appendix to the IPS, allowing for updates without requiring a full revision of the core policy document.

 

G. Guidelines for Allowable Investments and Implementation

This section provides more granular detail on how the asset allocation strategy will be implemented.

  • Permitted Instruments: Specify the types of investment vehicles and securities that are permissible within the portfolio. This could include individual stocks and bonds, mutual funds (active and passive), exchange-traded funds (ETFs), separately managed accounts (SMAs), commingled funds, limited partnerships (for private equity, venture capital, hedge funds), and potentially derivatives for specific purposes like hedging or efficient portfolio management.
  • Prohibited Investments/Strategies: It is equally important to clearly list any investments, asset classes, or strategies that are explicitly forbidden. This might include specific types of complex derivatives, short selling, the use of leverage beyond certain limits, investments in industries excluded due to SRI/ESG criteria, or securities not meeting specific quality criteria.
  • Manager Styles: The IPS may articulate the institution’s philosophy regarding active versus passive management, potentially specifying preferences or criteria for using each approach within different asset classes.
  • Concentration Limits: To manage risk, the IPS might set limits on the maximum exposure allowed to any single security, issuer, industry sector, or geographic region.
  • Due Diligence and Manager Selection: The policy should outline the criteria and process for selecting, monitoring, and potentially terminating investment managers. Criteria often include evaluating the manager’s performance record (absolute, relative to benchmark, risk-adjusted), investment process and philosophy, organisational stability and personnel, fee structure, adherence to stated style, and reporting capabilities.

 

H. Rebalancing Policy: Maintaining Strategic Discipline

Rebalancing is the mechanism for ensuring the portfolio does not drift too far from its intended strategic asset allocation due to market movements.

  • Purpose: The IPS should state the purpose of rebalancing, which is primarily to control risk by bringing portfolio allocations back in line with the long-term targets defined in the SAA.
  • Methodology: The specific rebalancing methodology should be described. Common approaches include:
    • Calendar-based: Rebalancing occurs at predetermined intervals (e.g., quarterly, semi-annually, or annually) regardless of allocation drift.
    • Percentage-range based (Corridor Rebalancing): Rebalancing is triggered only when an asset class allocation moves outside its predefined permissible range (corridor) around the target allocation. This is often preferred as it avoids unnecessary trading while still controlling significant deviations.
    • Combination: Some policies may use a combination, such as reviewing allocations quarterly but only trading if corridors are breached. The policy should also state whether any tactical deviations within the allowed ranges are permitted.
  • Responsibility: Clearly assign responsibility for monitoring asset allocation drift and executing the necessary rebalancing transactions (e.g., internal staff, investment consultant, OCIO, or lead investment manager).
  • Allowable Ranges: The policy should reference or reiterate the allowable allocation ranges established in the SAA section, as these define the triggers or boundaries for rebalancing.

 

I. Monitoring, Evaluation, and Review Procedures (Performance & Policy)

This section closes the loop, defining how the effectiveness of the investment programme and the policy itself will be assessed over time.

  • Performance Monitoring: Detail the requirements for performance reporting, including frequency (typically quarterly) and content. Specify the required performance metrics (e.g., total returns, time-weighted returns compliant with GIPS standards where applicable, returns net of fees, comparison to assigned benchmarks and potentially peer groups, risk metrics like standard deviation or Sharpe ratio).
  • Manager Evaluation: Describe the ongoing process for evaluating investment managers based on the selection criteria outlined earlier. This includes assessing performance relative to objectives and benchmarks, consistency of investment style, personnel changes, fee reasonableness, and overall compliance with the IPS and its mandate. Define criteria or conditions that might lead to a manager’s probation or termination.
  • IPS Review: Crucially, the IPS must mandate a process for its own periodic review. Specify the frequency (e.g., reviewed annually for continued relevance, with a more in-depth review every 2-3 years or 3-5 years). Define who is responsible for conducting the review and the process for proposing and approving amendments. The review should ensure the IPS remains aligned with the institution’s objectives, constraints, risk tolerance, and the prevailing market environment.
  • Reporting Lines: Clarify the flow of information and reporting responsibilities among the various parties (e.g., Investment Managers report to Staff/Consultant, Staff/Consultant reports to the Investment Committee, Investment Committee reports to the Board).

 

Table 1: Key Components of a Comprehensive IPS

Component

Description

Key Considerations/Questions

Scope, Purpose, & Mission

Defines the entity, assets covered, purpose of the IPS, and alignment with the institution’s mission.

Which specific funds/accounts does this policy govern? What is the fundamental goal of these assets (e.g., perpetuity, specific project)? How does the investment strategy support the organisation’s core mission?

Governance

Outlines roles, responsibilities, authority delegation, and decision-making processes for all parties.

Who is responsible for policy setting, execution, monitoring, manager selection/termination, and reporting? Is authority clearly delegated? Are decision processes (meetings, voting) defined? Are fiduciary duties acknowledged?

Investment Objectives

Sets specific, measurable goals for return and risk, consistent with the overall purpose and risk tolerance.

What is the target rate of return (absolute, relative to spending/inflation, relative to benchmark)? What are the quantifiable risk limits (volatility, drawdown, probability of loss)? Are objectives realistic and consistent?

Risk Tolerance

Defines the institution’s willingness and ability to assume investment risk.

What is the comfort level with short-term losses? What is the financial capacity to withstand downturns without impairing the mission? How does time horizon and liquidity affect risk capacity?

Constraints

Identifies limitations: liquidity needs, time horizon, legal/regulatory rules, tax status, and unique factors.

What are the anticipated cash flow needs? What is the investment time frame? Are there specific legal (ERISA, UPMIFA), regulatory, or tax constraints? Are there unique restrictions (ESG, specific securities, donor rules)?

Strategic Asset Allocation

Defines the long-term target mix of assets, allowable ranges, and benchmarks for each asset class.

What are the target allocations and ranges for each asset class (equity, fixed income, alternatives, etc.)? What benchmarks will be used for performance comparison? How was the SAA determined?

Implementation Guidelines

Specifies allowable investment types, prohibited activities, manager selection criteria, and concentration limits.

What types of securities/vehicles are permitted (stocks, bonds, funds, private assets)? What is explicitly forbidden (leverage, shorting)? What are the criteria for choosing/monitoring managers? Are there concentration rules?

Rebalancing Policy

Describes the methodology and responsibility for bringing asset allocations back to target ranges.

How often will rebalancing occur (calendar, ranges)? What triggers a rebalance? Who is responsible for monitoring and execution?

Monitoring & Review

Details procedures for performance evaluation, manager assessment, and periodic review of the IPS itself.

How frequently will performance be reported and reviewed? What metrics will be used? How are managers evaluated? How often and by whom will the IPS itself be reviewed and updated?

From Blueprint to Action: Drafting and Implementing Your IPS

Developing a comprehensive IPS is a critical first step, but its true value lies in its effective implementation and ongoing relevance. This requires a thoughtful drafting process and a commitment to using the IPS as a dynamic governance tool.

 

A. The Drafting Process: Best Practices for Collaboration and Customisation

Creating an effective IPS is a collaborative effort, not a solitary task.

  • Stakeholder Involvement: Engaging key stakeholders – including Board members, Investment Committee members, senior management or relevant staff (like the CIO), and potentially trusted external advisors – throughout the drafting process is crucial [User Query Detail]. This collaborative approach fosters understanding, builds consensus, and ensures the final document accurately reflects the institution’s realities and objectives, significantly increasing the likelihood that the policy will be respected and followed.
  • Customisation is Key: While templates, such as the IPS template provided in this toolkit, offer valuable structure and ensure key areas are addressed, they must be viewed as a starting point, not a final product. Every institution is unique in its mission, financial situation, risk tolerance, stakeholder dynamics, and constraints. Relying heavily on generic language or failing to tailor the IPS to these specific circumstances inevitably sacrifices relevance and utility. The process demands thoughtful deliberation and customisation to create a truly useful policy guide.
  • Clarity and Simplicity: The language used in the IPS should be clear, precise, and unambiguous. While the subject matter is complex, excessive financial jargon should be avoided to ensure the document is readily understandable by all relevant parties, including board members who may not have deep investment expertise.
  • Expert Guidance: Given the complexities of investment strategy, risk management, and fiduciary responsibilities, involving experienced legal counsel and/or investment consultants can be highly beneficial. Experts can help ensure the IPS incorporates best practices, complies with relevant regulations, and effectively translates the institution’s goals into a sound investment framework. Acclimetry, for instance, offers expertise in supporting institutions through this process.

 

B. Avoiding Common Pitfalls: Ensuring Clarity, Flexibility, and Relevance

Several common pitfalls can undermine the effectiveness of an IPS. Awareness of these issues can help fiduciaries craft a more robust and useful document.

  • Vagueness vs. Specificity: One of the most frequent failings is language that is too vague or general to provide meaningful guidance. Objectives should be stated in measurable terms whenever possible [User Query Detail]. Roles and responsibilities must be clearly and explicitly defined to avoid confusion and ensure accountability. A policy filled with platitudes offers little practical value.
  • Excessive Rigidity vs. Flexibility: Conversely, an IPS can be too rigid. Overly prescriptive rules or narrow allocation ranges can hinder the ability of investment managers to adapt to changing market conditions or seize opportunities, potentially harming long-term returns. The policy should build in appropriate flexibility, often through well-defined asset allocation ranges and a clear process for review and amendment. Utilising appendices for elements prone to more frequent change, like specific SAA targets or manager lists, can maintain core policy stability while allowing necessary adjustments.
  • “Set and Forget” Mentality: The IPS is not a document to be created and filed away. It must be an active tool used to guide decisions and monitor progress. Ignoring the IPS after its creation defeats its purpose and can even increase fiduciary risk if decisions deviate from the stated policy without justification.
  • Lack of Buy-in: As mentioned, if key stakeholders are not involved in the development process or do not understand or agree with the final policy, adherence is less likely, particularly during stressful periods.
  • Ignoring Costs: Investment management involves costs, including advisory fees, manager fees (including performance fees for alternatives), custodial fees, and transaction costs. An effective IPS should acknowledge the importance of monitoring and managing these costs, ensuring they are reasonable and transparent.

 

Table 2: Common IPS Pitfalls and How to Avoid Them

Pitfall

Description

Consequence

Avoidance Strategy

Vagueness

Using unclear language; objectives not measurable; roles undefined.

Lack of clear guidance; difficulty in monitoring compliance and performance; accountability issues.

Use specific, measurable language (SMART goals); clearly define terms; explicitly assign all roles and responsibilities.

Excessive Rigidity

Overly narrow ranges; overly prescriptive rules; difficult amendment process.

Hinders adaptation to market changes; may force suboptimal decisions; discourages manager initiative.

Use appropriate ranges for asset allocation; focus on principles and guidelines, not rigid rules; establish a clear, workable review/amendment process; use appendices for details.

“Set and Forget”

Creating the IPS but failing to refer to it or review it regularly.

Policy becomes outdated and irrelevant; decisions may deviate from policy, increasing fiduciary risk.

Integrate the IPS into regular committee meetings; mandate periodic reviews; use it actively for decision-making and evaluation.

Lack of Buy-in

Key stakeholders not involved in drafting or do not understand/agree.

Policy may be ignored or undermined, especially under pressure; lack of shared commitment to the strategy.

Involve all key stakeholders (Board, Committee, Staff) in the development process; ensure clear communication and understanding.

Poor Governance Def’n

Unclear delineation of duties among Board, Committee, Staff, Advisors, etc.

Confusion, duplication of effort, tasks falling through cracks, lack of accountability.

Explicitly map out responsibilities for policy, execution, monitoring, hiring/firing, and reporting for each party involved.

Ignoring Costs

Failing to address the monitoring and management of investment-related fees.

Potentially excessive fees eroding returns; lack of transparency; failure to assess value for money.

Include sections on fee monitoring and reasonableness; require regular reporting on all layers of fees; incorporate fee analysis into manager evaluation.

 

C. The IPS as a Dynamic Tool: The Critical Role of Periodic Review and Updates

The concept of the IPS as a “living document” is crucial. While it provides long-term guidance, it cannot remain static indefinitely. Markets evolve, institutional needs change, capital market expectations shift, and regulations are updated. An IPS that is never reviewed risks becoming stale, irrelevant, and potentially counterproductive.

However, the need for dynamism must be balanced against the need for discipline. Constant tinkering with the IPS in reaction to short-term market events undermines the long-term perspective it is meant to instill. This tension is best managed through a formal, scheduled, and structured review process.

  • Triggers for Review: Beyond the regularly scheduled review (e.g., annually or every 3-5 years), specific events should trigger an ad-hoc review. These might include significant changes in the institution’s financial situation, mission, or strategic objectives; material changes in risk tolerance; major shifts in long-term capital market expectations; or significant legal or regulatory changes impacting investments.
  • Review Process: A prudent review process typically involves assessing compliance with the current policy, re-evaluating the continued appropriateness of the stated objectives and constraints, examining the underlying assumptions (e.g., return expectations, inflation), and considering whether any amendments are necessary.
  • Documentation: It is essential to maintain thorough records of all IPS reviews, discussions, and any amendments made, including the rationale for changes. This documentation forms part of the evidence of ongoing fiduciary diligence.

References

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