AUMdb

Templeton Global Advisors Limited

SEC-registered Mutual Fund / Asset Manager · Large ($10B–$100B) CRD 111383 · SEC file 801-42343 · Nassau · www.facebook.com
☆ Save with Pro ADV data as of Dec 23, 2025
Regulatory AUM
$25.8B
Discretionary
$25.8B
Clients
12
Avg AUM / client
$2.2B
Accounts
15
Employees
8

AUM over time

$19.4B $62.4B
Sep 2011 Sep 2025

Annual snapshots from Form ADV filings · as of Dec 23, 2025

Who they serve

Client typeClientsAUM% of AUM
High net worth individuals Fewer than 5 clients $124M 0.48%
Investment companies 4 $15.1B 58.4%
Pooled investment vehicles (non-investment companies) 8 $10.6B 41.1%
Other investment advisers Fewer than 5 clients $1.5M 0.01%

People (6)

NameRole / titleCredentialsWith firm sinceOwnership
Moeschter, Peter, Manfred Executive Vice President, Portfolio Manager & Director Jan 2019 (8y) Less than 5%
Sethi, Alok, N/A Director Jan 2019 (8y) Less than 5%
Merchant, Thomas, Clifton Chief Legal Officer May 2022 (4y) Less than 5%
Peel, Christopher Director And President And Ceo Mar 2023 (3y) Less than 5%
Avigdor, Leeor, Paul Treasurer May 2023 (3y) Less than 5%
Davis, Bjorn, Anthony Chief Compliance Officer May 2023 (3y) Less than 5%

Entity owners (Schedule A/B)

EntityTitle / statusSinceSch.Ownership
Templeton Global Holdings Limited Parent Corporation Of Registrant Oct 1992 A 75% or more
Templeton International, Inc. Parent Corporation Oct 1992 B ≈ 56.25% – 100% via Templeton Global Holdings Limited
Templeton Worldwide, Inc. Parent Corporation Oct 1992 B ≈ 42.19% – 100% via Templeton International, Inc.
Franklin Resources, Inc. Parent Corporation Jul 2020 B ≈ 23.73% – 100% via Legg Mason, Inc.
Legg Mason, Inc. Shareholder Jun 2021 B ≈ 31.64% – 100% via Templeton Worldwide, Inc.

Undisclosed: 0% – 25% of the firm is not attributable from the filed Schedule A bands.

Estimated effective ownership (look-through of filed bands):

  • Templeton International, Inc.: 75% – 100% of Templeton Global Holdings Limited × 75% – 100% direct ≈ 56.25% – 100% of the firm
  • Templeton Worldwide, Inc.: 75% – 100% of Templeton International, Inc. × 75% – 100% of Templeton Global Holdings Limited × 75% – 100% direct ≈ 42.19% – 100% of the firm
  • Franklin Resources, Inc.: 75% – 100% of Legg Mason, Inc. × 75% – 100% of Templeton Worldwide, Inc. × 75% – 100% of Templeton International, Inc. × 75% – 100% of Templeton Global Holdings Limited × 75% – 100% direct ≈ 23.73% – 100% of the firm
  • Legg Mason, Inc.: 75% – 100% of Templeton Worldwide, Inc. × 75% – 100% of Templeton International, Inc. × 75% – 100% of Templeton Global Holdings Limited × 75% – 100% direct ≈ 31.64% – 100% of the firm

Roster from the IAPD representatives feed; ownership and acquisition dates from Form ADV Schedule A/B. "Since" is the earliest filed registration or acquisition date.

Documents (1 archived)

FormPeriodSize
Form ADV (full filing) 12/23/2025 4.29 MB View · PDF · Source ↗

Archived copies of the firm's regulatory filings, versioned by content hash.

Disciplinary disclosures

Regulatory as of Dec 24, 2024

Allegations: ON AUGUST 27, 2018, THE SEC ISSUED AN ORDER THAT FOUND THAT LEGG MASON HAD VIOLATED SECTION 13(B)(2)(B) OF THE SECURITIES EXCHANGE ACT OF 1934 BY FAILING TO DEVISE AND MAINTAIN A SYSTEM OF APPROPRIATE INTERNAL ACCOUNTING CONTROLS WITH RESPECT TO THE USE OF INTRODUCING BROKERS AND OTHER INTERMEDIARIES IN EMERGING MARKETS, INCLUDING LIBYA, AND THAT IMPOSED A CEASE-AND-DESIST ORDER ON LEGG MASON WITH RESPECT TO ANY VIOLATIONS OR FUTURE VIOLATIONS OF SECTION 13(B)(2)(B). PREVIOUSLY, LEGG MASON HAD SUBMITTED AN OFFER OF SETTLEMENT IN CONNECTION WITH THE MATTER WHICH THE SEC DETERMINED TO ACCEPT. THE ORDER RESOLVED A FCPA INVESTIGATION CONCERNING THE ACTIVITIES OF LEGG MASON'S FORMER PERMAL BUSINESS IN CONNECTION WITH MANAGING ASSETS OF LIBYAN GOVERNMENTAL ENTITIES IN STRUCTURES ESTABLISHED BY A THIRD-PARTY FINANCIAL INSTITUTION. THOSE INVESTMENTS WERE MADE IN CALENDAR YEARS 2005-2007 AND ALL WERE TERMINATED BY 2012. THE MATTER DOES NOT RELATE TO ANY CURRENT BUSINESS ACTIVITIES OR CLIENT RELATIONSHIPS OF LEGG MASON OR ANY AFFILIATE, AND WAS FOCUSED ON THE ACTIONS OF FORMER PERMAL EMPLOYEES WHO LEFT THAT FIRM IN 2013. LEGG MASON BECAME AN ADVISORY AFFILIATE OF REGISTRANT IN JUNE 2021. Status: Final Sanction Detail: THE ORDER REQUIRED LEGG MASON TO PAY DISGORGEMENT OF $27,594,729 AND PREJUDGMENT INTEREST OF $6,907,765 TO THE SEC. THE SEC DID NOT IMPOSE ITS OWN PENALTY BASED UPON THE PENALTY PAID TO RESOLVE A DOJ INVESTIGATION ARISING OUT OF THE SAME MATTER, AS DESCRIBED IN THE RESPONSE TO ITEM 2 ABOVE. Summary: ON AUGUST 27, 2018, THE SEC ISSUED AN ORDER THAT CONTAINED FINDINGS THAT LEGG MASON HAD VIOLATED SECTION 13(B)(2)(B) OF THE SECURITIES EXCHANGE ACT BY FAILING TO DEVISE AND MAINTAIN APPROPRIATE INTERNAL ACCOUNTING CONTROLS WITH RESPECT TO THE USE OF INTRODUCING BROKERS AND OTHER INTERMEDIARIES IN EMERGING MARKETS, INCLUDING LIBYA, AND THAT IMPOSED A CEASE-AND-DESIST ORDER ON LEGG MASON WITH RESPECT TO ANY VIOLATIONS OR FUTURE VIOLATIONS OF SECTION 13(B)(2)(B). PREVIOUSLY, LEGG MASON HAD SUBMITTED AN OFFER OF SETTLEMENT WHICH THE SEC DETERMINED TO ACCEPT. THE ORDER RESOLVED A FCPA INVESTIGATION CONCERNING THE ACTIVITIES OF LEGG MASON'S FORMER PERMAL BUSINESS IN CONNECTION WITH MANAGING ASSETS OF LIBYAN GOVERNMENTAL ENTITIES IN STRUCTURES ESTABLISHED BY A THIRD-PARTY FINANCIAL INSTITUTION. PURSUANT TO THE ORDER, THE SEC ORDERED LEGG MASON TO CEASE AND DESIST FROM COMMITTING OR CAUSING ANY VIOLATIONS AND FUTURE VIOLATIONS OF SECTION 13(B)(2)(B) OF THE SECURITIES EXCHANGE ACT OF 1934 AND TO PAY DISGORGEMENT OF $27,594,729 AND PREJUDGMENT INTEREST OF $6,907,765 FOR A TOTAL PAYMENT OF $34,502,944. SEPARATELY, ON JUNE 4, 2018 LEGG MASON AGREED TO PAY A PENALTY AND DISGORGEMENT TO RESOLVE A DOJ INVESTIGATION ARISING OUT OF THE SAME MATTER, AS DESCRIBED IN THE RESPONSE TO ITEM 2 ABOVE.

Disclosure text reproduced verbatim from the firm's own Form ADV filings.

How they charge

  • Percentage of assets under management

Services

  • Portfolio management for individuals/small businesses
  • Portfolio management for investment companies
  • Portfolio management for pooled investment vehicles
  • Portfolio management for businesses/institutional clients
  • Other services

Custody

Reported custodians

Amounts as reported in ADV Item 5.K.(3) (custodians holding 10%+ of SMA assets).

Firm reports it does not have custody of client funds or securities (Item 9.A).

Source

All data on this page comes from this firm's Form ADV filings, reproduced without modification. Latest filing: Dec 23, 2025.

View current Form ADV (SEC/IAPD) ↗