Contact Us
Axxcess Wealth Management, LLC
6005 Hidden Valley Road Suite 290
Carlsbad CA, 92011
858.217.5347
Carlsbad CA, 92011
858.217.5347
admin@axxcesswealth.com
Quick Links
Important Information
Advisory services provided by Axxcess Wealth Management, LLC (AWM), an Investment Adviser registered with the SEC. Advisory services are only offered to clients or prospective clients where Axxcess Wealth Management, LLC and its Investment Advisor Representatives are properly licensed or exempt from registration.
For complete disclosures please visit:
Axxcess finalizes Fidelity IWS custodial relationship
Axxcess Platform, NewsAxxcess added Fidelity IWS (Institutional Wealth Services) to the Axxcess Customized Portfolio Platform to broaden the services available to clients and advisors.
Axxcess is pleased to re-engage with Fidelity to provide a superior qualified plan platform for AxxcessLINK 401k clients and enable clients to leverage the Axxcess Platform for their portfolio management.
Final Notes
Fidelity is a leading custodian for registered investment advisors, direct clients, and retirement plans offering an extensive trading, custody, and retirement plan platform.
How your CPA can help you navigate the new DOL Fiduciary Rule
News, taxesOverview
Plan sponsors, as a whole, are unaware that participants pay disparate fees, and service providers, particularly record-keepers that receive revenue-sharing payments, are not going to address it, experts say. It is incumbent on sponsors, then, to ask their plan advisers and record-keepers about fee levelization.
January 14th, 2016-PlanSponsor
The tax professional is in a unique role as a trusted advisor to a business owner. The broker or advisor to a retirement plan has no incentive to review their own fees. Certainly, the recordkeeper or 401k platform provider is not going to raise the issue of their own fees with the business owner. Uniquely, the CPA, EA, or plan auditor is. Understanding the key points made in the DOL is an imperative for the tax professional that advises business owners. The DOL makes two main points:
•Plans are paying excessive fees.
•Plan sponsors need a mechanism to identify and deal with conflicts of interest.
Addressing plan liability from the fiduciary perspective
1. Exposing significant cost savings
2. Plan review compensation arrangements
3. Plan sponsors will need a mechanism for identifying and detecting conflicts of interest.
4. Increased liability for insurance or Broker Dealer sold plans.
5. Aimed at stopping $17b/y investors waste in excess fees.