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Assets under management

Assets under management (AUM), also known as funds under management, refers to the total of all the financial assets—such as , bonds, , and other securities—that a , , or fund manager controls or oversees on behalf of its clients. Legally, , AUM encompasses securities portfolios for which an provides continuous and regular supervisory or services. This metric is central to the industry, which includes mutual funds, funds, firms, and advisors, as it quantifies the scale of client capital entrusted to these entities. AUM is calculated by aggregating the current of all managed assets at a given point in time, often reported quarterly or annually, and can include both discretionary assets (where the manager makes decisions) and non-discretionary ones (where the manager provides but not ). For example, a holding $1.5 billion in , $2 billion in bonds, $1.5 billion in corporate bonds, and $1 billion in cash would have an AUM of $6 billion. Calculation methods vary slightly by asset class: public market funds like use fluctuating market values, while often bases AUM on committed capital until realizations occur. The importance of AUM lies in its role as a primary indicator of a firm's size, operational success, and competitive standing within the sector. It directly influences revenue, as management fees are typically a percentage of AUM—ranging from 0.59% to 1.18% annually for advisory services—meaning a firm managing $10 million in assets at 1% fees generates $100,000 yearly. Larger AUM levels also trigger regulatory requirements, such as registration for U.S. investment advisers with $100 million or more in AUM, and serve as a tool to attract clients by signaling stability and expertise. However, excessive AUM growth can limit a fund's to outperform benchmarks due to reduced flexibility in deploying capital into niche opportunities. Globally, AUM has grown substantially, reaching $139.9 trillion across the world's 500 largest managers as of the end of 2024 and $147 trillion by June 2025. Firms like exemplify this scale, managing $13.5 trillion as of Q3 2025, segmented by client type, style, and product. AUM fluctuates due to factors like client inflows and outflows, changes in asset prices from market volatility, and reinvested dividends or interest, making it a dynamic measure of both firm performance and broader economic conditions.

Fundamentals

Definition

Assets under management (AUM) refers to the total of all financial assets controlled or managed by an firm, , , or wealth manager on behalf of its clients. This metric encompasses the aggregate value of investments over which the firm exercises or provides advisory services, reflecting the scale of its operations without representing by the firm itself. AUM is calculated based on current market prices and serves as a primary indicator of an entity's size and influence in the sector. The assets included in AUM typically span a diverse range of investment types, such as equities (stocks), bonds (fixed income securities), cash equivalents, real estate, derivatives, and alternative investments like private equity or commodities. These components are valued at their prevailing market rates, ensuring that AUM captures the real-time worth of the portfolio under management. For instance, a firm's AUM might include publicly traded stocks, government or corporate bonds, money market instruments, property holdings, options contracts, and hedge fund positions, all aggregated to provide a comprehensive view of managed wealth. Importantly, AUM represents assets that are legally owned by clients or beneficiaries, with the managing entity acting solely in a or advisory capacity rather than as the proprietor. This distinction underscores that fluctuations in AUM arise from market movements, client inflows or outflows, and performance, but the underlying ownership remains with the clients. Entities commonly reporting AUM include advisors, who must disclose it under regulatory requirements; funds, which manage assets for millions of participants; exchange-traded funds (ETFs), where providers the value of underlying securities; and robo-advisors, which automate portfolio management for investors.

Historical Development

The concept of assets under management (AUM) originated in the early alongside the development of in the , which enabled individual investors to pool capital for diversified professional management. The first modern open-end , the Massachusetts Investors Trust, was established on March 21, 1924, marking the beginning of structured pooled investment vehicles that quantified assets under oversight as a key performance indicator for fund managers. This innovation addressed the need for accessible equity exposure during the post-World War I economic expansion, though the industry remained nascent amid the 1929 and the . The subsequent provided critical regulatory framework by mandating registration, disclosure, and fiduciary standards for investment companies, including , thereby fostering investor confidence and laying the groundwork for AUM as a formalized metric of industry scale. Following , the 1950s and 1960s witnessed rapid expansion of institutional investing, driven by economic prosperity and the proliferation of pension funds, which elevated AUM to a standard benchmark for measuring activity by the 1970s. The establishment of the first modern corporate pension fund by in 1950 exemplified this shift, as defined-benefit plans grew to manage substantial corporate and public worker retirement assets, with institutional ownership of U.S. listed stocks rising from 12.7% in 1949 to 18% by 1961. Pension fund assets ballooned amid favorable demographics and regulatory support, such as the Employee Retirement Income Security Act (ERISA) of 1974, which imposed prudent investment standards and further institutionalized AUM tracking. A pivotal retail development occurred with the Revenue Act of 1978, introducing Section plans that allowed tax-deferred employee contributions to defined-contribution accounts, dramatically increasing individual participation and channeling billions into managed assets starting in the early . The and marked a era of and that propelled exponential AUM growth, fueled by technological innovations like computerized trading and the bull markets of the period. International expansion of U.S. firms, alongside integrations, diversified asset pools, while the Gramm-Leach-Bliley Act of 1999 repealed key provisions of the Glass-Steagall Act, enabling commercial banks to affiliate with investment firms and securities underwriters, thus broadening the scope of managed assets across integrated financial conglomerates. This , combined with rising equity valuations, contributed to exponential growth in global AUM during the period. In the , AUM experienced heightened volatility, exemplified by the 2008 global financial crisis, which triggered an 18% contraction in worldwide assets to $48.6 trillion due to market declines and investor redemptions. Recovery accelerated post-2010 with the surge in passive investing strategies and exchange-traded funds (ETFs), which offered low-cost index tracking and attracted trillions in inflows, driving global AUM beyond $100 trillion by 2020 amid low interest rates and . Concurrently, the rise of sovereign wealth funds in emerging markets, such as those in the and , added significant scale, with their collective AUM reaching $14.3 trillion as of 2024, reflecting oil revenues, trade surpluses, and strategic national investments.

Measurement and Calculation

Methods of Calculating AUM

The calculation of assets under management (AUM) begins with aggregating the total of all assets overseen by an investment manager on behalf of clients, typically expressed as the : \text{AUM} = \sum \text{[Market Value](/page/Market_value) of Each Asset} where the is determined by current prices from public exchanges or professional appraisals for non-traded assets. This approach ensures AUM reflects the current economic worth of the portfolio, encompassing securities such as , bonds, equivalents, and investments. Inclusion criteria for AUM focus on assets under discretionary management, meaning portfolios where the investment adviser exercises to determine investments or provides continuous supervisory services with client execution . Assets not under such discretion, like those in non-discretionary advisory roles, are excluded. Regarding , gross AUM includes the full value of all assets acquired through borrowed funds without deducting liabilities, providing a comprehensive measure of exposure. In contrast, net AUM subtracts outstanding indebtedness to represent only. Valuation methods vary by asset liquidity to ensure accurate representation. For liquid assets like publicly traded , daily mark-to-market valuation uses closing prices from exchanges to update values in . Illiquid assets, such as holdings, employ accounting, often through the income approach like models that project future cash flows and discount them to using appropriate risk-adjusted rates. These valuations must be based on market or fair values determined no more than 90 days prior to reporting. AUM requires ongoing adjustments to account for dynamic factors. Client inflows from contributions or new investments directly increase AUM by adding to the asset base, while outflows from redemptions or withdrawals reduce it accordingly. fluctuations, such as appreciation or , also alter values through periodic revaluations. For international assets, conversions use prevailing rates at the valuation date to translate foreign holdings into the reporting , typically USD. Reporting frequency depends on the context, with regulatory filings requiring annual updates of regulatory AUM () as part of the updating amendment to Form ADV within 90 days of the end, alongside other-than-annual amendments within 90 days of the end of the fiscal quarter in which material changes occur (though Item 5 updates for are typically handled annually). For internal management, particularly in volatile markets, AUM may be calculated daily to monitor performance and risk. As an illustrative example, consider a fund holding $500 million in equities valued at market prices, $200 million in bonds also marked to market, and $50 million in , yielding an initial AUM of $750 million. If market conditions lead to a 5% decline across the , the adjusted AUM would be $712.5 million, reflecting the updated valuations without changes in holdings.

Net Asset Value Comparison

Net asset value (NAV) represents the per-unit or per-share value of a fund's assets net of liabilities, serving as a fundamental metric for pricing and performance evaluation in investment vehicles such as mutual funds. It is calculated using the formula: \text{NAV} = \frac{\text{Total Assets} - \text{Total Liabilities}}{\text{Number of Shares Outstanding}} This computation subtracts all fund liabilities, including accrued expenses and borrowings, from the current of assets like securities and , then divides by the outstanding shares to yield the value per share. In contrast to assets under management (AUM), which aggregates the total of all assets overseen by a firm or without unitization, NAV focuses on a prorated, investor-facing valuation. AUM captures the overall scale of managed capital across multiple funds or clients, often encompassing gross or net asset totals depending on reporting standards, whereas is specifically unitized to facilitate individual share transactions and daily pricing. This distinction arises because AUM emphasizes firm-level breadth, while prioritizes precision for and subscription processes in open-end structures. AUM primarily measures the operational size and potential of an firm, as fees are typically a of this total, enabling assessments of market presence and growth. NAV, however, drives transactional mechanics in open-end funds, where investors buy or sell shares directly at the end-of-day , ensuring fair pricing reflective of underlying asset performance. Additionally, NAV serves as a for tracking fund returns over time, adjusted for dividends and capital changes, distinct from AUM's role in broader industry rankings. Nuances emerge in fund types where market dynamics intersect with these metrics. In closed-end funds, AUM reflects the total net assets (NAV multiplied by shares outstanding), representing the actual portfolio value managed, but the fund's shares trade on exchanges at market prices that may deviate from NAV, leading to discounts (market price below NAV) or premiums (above NAV) due to supply-demand imbalances. For exchange-traded funds (ETFs), market prices closely approximate NAV throughout the trading day, maintained by an arbitrage mechanism involving authorized participants who create or redeem shares in large blocks at NAV, minimizing deviations to typically under 1%. These overlaps highlight how AUM remains tied to underlying asset values, while NAV's application varies by fund liquidity and trading structure. For illustration, consider a with $1 billion in AUM and 100 million ; its would be $10 per share, derived from net assets divided by shares. This is recalculated daily to reflect asset fluctuations, enabling intraday investor decisions based on end-of-day values, whereas AUM provides a static updated periodically for firm reporting. The standardization of calculation traces to the U.S. , which mandated market-based valuations for registered investment companies to ensure and protect investors, thereby shaping consistent AUM reporting practices that rely on such underlying asset assessments.

Assets under Advisement

Assets under advisement (AUA) refers to the total of client assets for which an investment advisory firm provides guidance, consultation, or recommendations, but over which the firm lacks discretionary to make decisions or execute transactions. This metric applies specifically to non-discretionary advisory relationships, where clients retain ultimate control and decision-making power regarding their portfolios. Unlike assets under management (AUM), which involve direct supervisory control and trading , AUA emphasizes advisory oversight without execution, resulting in a lower level of responsibility for the firm. The calculation of AUA mirrors the valuation approach used for AUM, aggregating the fair market value of qualifying assets, but it excludes any portfolios where the firm holds discretionary trading authority. It typically includes assets such as client-held retirement accounts (e.g., 401(k)s), brokerage holdings, or other investments subject to periodic review and recommendations, provided no trades are arranged or effected by the advisor. Firms must document their methodology for computing AUA to ensure consistency and compliance with record-keeping requirements under SEC Rule 204-2. In practice, AUA is commonly reported by fee-only advisory firms to demonstrate the breadth of their client relationships and scale of influence, without implying direct asset control. This metric helps gauge an advisor's overall advisory footprint, particularly in holistic services where advice extends to non-managed assets. Under U.S. regulations, registered advisors must disclose AUA separately from regulatory AUM in Item 4 of Form ADV Part 2A, allowing firms to describe their advisory business and non-discretionary assets for client . Misrepresentation of AUA as AUM can result in enforcement actions. Globally, while the AUA concept is U.S.-centric, the EU's MiFID II directive emphasizes in services, requiring firms to disclose the nature and of non-discretionary recommendations without a direct equivalent metric. For example, a advisor reporting $2 billion in AUA might provide allocation suggestions for client-held in external brokerage accounts but would not execute any trades on those assets.

Assets under Custody or Administration

refers to the total value of client assets, including securities and cash, that a holds in safekeeping on behalf of investors, primarily for purposes such as , clearing, and record-keeping. These services ensure that assets are protected from the custodian's own operations and are available for transactions without the custodian making decisions. In contrast, assets under administration (AUA) encompass a broader scope, where provide additional backend services beyond mere holding, such as asset valuation, performance reporting, compliance monitoring, and tax documentation. Together, AUC and AUA represent passive custodial functions that support institutional investors like mutual funds, plans, and funds by mitigating operational and risks. The calculation of assets under custody typically involves the aggregate nominal or of all securities, cash equivalents, and other holdings maintained by the custodian, often reported on a gross basis without deducting liabilities or for daily market fluctuations in reporting. This metric excludes any fees related to advisory or services, focusing instead on the raw volume of assets safeguarded. Leading global custodians, such as and State Street, dominate this space; for instance, BNY Mellon reported $57.8 trillion in assets under custody and administration as of September 30, 2025, serving large institutional clients to fulfill mandates for risk mitigation in fund operations. These services are often required for sizable vehicles to ensure of assets and . Unlike assets under management (AUM), which involve active oversight and discretionary decision-making, custody and administration are non-discretionary roles centered on safekeeping and administrative support without influencing strategies. Regulatory frameworks drive their adoption; in the United States, the Dodd-Frank Act of 2010 mandates that SEC-registered advisers maintain client funds and securities with qualified custodians to prevent misappropriation and enhance investor protections. Internationally, the (IOSCO) establishes standards for the custody of collective scheme assets, emphasizing from the custodian's proprietary assets, functional , and robust processes to safeguard investor interests. For example, a with a $10 billion portfolio might engage a custodian like State Street to hold its securities for settlement and safekeeping, while administration services handle daily reconciliations, calculations, and regulatory filings to ensure and .

Significance and Applications

Role in the Financial Industry

(AUM) serves as the primary metric for sizing and benchmarking firms, reflecting their operational scale, market dominance, and capacity to influence investment flows. Firms with substantial AUM benefit from in , , and , enabling them to offer competitive products and attract institutional clients. For example, BlackRock's AUM reached a record $13.46 in the third quarter of 2025, underscoring its leadership and ability to drive industry standards. The top 10 firms, led by at $11.6 , collectively oversee about 40% of AUM, which totaled $140 as of late 2025, highlighting their outsized role in shaping investment trends and rankings. AUM plays a central in fee generation, forming the basis for the industry's and directly linking firm profitability to asset growth. Management s, typically ranging from 0.4% to over 1% of AUM annually depending on the asset class and client type, provide stable income streams for operational costs and expansion. In alternative investments like hedge funds, performance fees—commonly structured as 20% of net gains above a —further amplify when AUM expands through strong returns, incentivizing active strategies that enhance overall firm value. Larger AUM levels enhance investor attraction by signaling institutional trust, expertise, and long-term stability, which are critical in a competitive where clients prioritize proven track records. Firms prominently feature AUM figures in marketing to build credibility and justify premium services, while in , AUM accretion—the post-transaction boost in combined assets—serves as a key driver for deal rationale and valuation, often accelerating growth through synergies. On a macroeconomic scale, AUM growth tracks the vitality of capital markets, with expansions indicating robust investor confidence and efficient capital allocation that bolsters across equities, bonds, and alternatives. Global AUM's rise to $140 trillion in 2025 exemplifies this, fostering by channeling funds into emerging areas and supporting economic . Notably, sustainable investing AUM has grown from $35.3 trillion in 2020 to approximately $35 trillion as of 2025, representing about 25% of total AUM, with projections reaching $33.9 trillion by 2026 driven by regulatory tailwinds and client demand for ESG integration that promotes broader market evolution. Despite these benefits, AUM concentration introduces systemic risks, as the top 10 firms' control of roughly 40% of assets amplifies potential disruptions from coordinated outflows or operational failures. downturns exacerbate this vulnerability, with sharp AUM declines—often tied to volatile fluctuations—threatening firm liquidity and leading to forced asset sales that can prolong economic stress. In 2025, AI-driven tools are elevating AUM efficiency by automating , , and client servicing, potentially unlocking productivity gains across the sector with a projected CAGR of 26.92% for AI adoption through 2032. Meanwhile, debates persist over incorporating assets into mainstream AUM portfolios, as 55% of hedge funds now allocate an average of 7% of their AUM to digital assets, raising questions about , , and with traditional benchmarks.

Regulatory Considerations

In the United States, the imposes specific regulatory requirements on investment advisers related to assets under management (AUM) through Rule 206(4)-2, known as the Custody Rule, under the Investment Advisers Act of 1940. This rule mandates that registered investment advisers with custody of client funds or securities must undergo an annual surprise examination by an independent public accountant registered with the , unless the adviser qualifies for an exemption. Registered advisers may avoid the surprise examination by maintaining client assets at a qualified custodian and either notifying clients in writing of the custodian's identity or distributing audited financial statements prepared in accordance with generally accepted accounting principles to clients within 120 days of the fiscal year-end. Additionally, SEC regulations require annual filings of Form ADV, which includes detailed disclosures of regulatory AUM in Part 1A, Item 5, broken down by categories such as discretionary and non-discretionary assets, as well as by client type and . These filings provide into an adviser's scale and operations, with updates required within 90 days of fiscal year-end and prompt amendments for material changes exceeding 10% in AUM. Publicly traded firms further report AUM on a quarterly basis in filings, typically in the Management's Discussion and Analysis (MD&A) section or notes, to reflect changes in market conditions and client flows. In 2025, the 's Private Fund Adviser Rules mandate quarterly statements on fund performance and fees, annual audits, and fairness opinions for adviser-led secondary transactions, enhancing AUM-related for registered private fund advisers. Globally, the European Union's Alternative Investment Fund Managers Directive (AIFMD) establishes AUM thresholds that trigger enhanced regulatory oversight for fund managers (AIFMs). Specifically, AIFMs managing unleveraged funds (AIFs) exceeding €500 million in AUM are subject to full and ongoing requirements, including detailed disclosures on , , and profiles to national competent authorities. The (IOSCO) complements these with principles promoting transparency in , such as Principle 27, which requires a disclosed basis for asset valuation, , and in collective investment schemes to protect investors and ensure market integrity. For private funds, the Global Investment Performance Standards (GIPS), administered by , provide voluntary guidelines for performance that incorporate AUM data in composite constructions to ensure fair representation and full disclosure, though non-compliance does not trigger penalties but affects credibility. Risk management regulations also intersect with AUM oversight, particularly through leverage limits. In the U.S., the under Section 619 of the Dodd-Frank Act prohibits banking entities from engaging in and limits their investments in covered funds (such as hedge funds) to no more than 3% of the entity's , indirectly capping exposure relative to overall AUM to mitigate . Anti-money laundering (AML) requirements under the , enforced by the (FinCEN), mandate that financial institutions, including investment advisers, implement programs to monitor AUM inflows for suspicious activity, including customer and reporting of transactions exceeding $10,000. Evolving regulations increasingly link AUM to specialized disclosures. Post-2020, the EU's Sustainable Finance Disclosure Regulation (SFDR) requires to disclose how risks are integrated into AUM management, with Article 10 mandating principal adverse impacts for entities with significant AUM promoting environmental or characteristics. In 2025, updates such as the SEC's Staff Accounting Bulletin 122 rescinded prior SAB 121 guidance, easing custody requirements for s and clarifying their classification within AUM for investment advisers, while the EU's (MiCA) Regulation integrates digital asset AUM into unified frameworks for crypto-asset service providers. Non-compliance with these AUM-related rules can result in severe penalties, including fines and license revocations; for instance, the has imposed multimillion-dollar fines in cases of inflated AUM .

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