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This brochure provides information about Sky-Mountain Capital Management, Inc., dba Sky-Mountain Capital
Management’s (“Sky-Mountain Capital Management” “Advisor” or “Firm”) qualifications and business practices. If
you have any questions about the contents of this brochure, please contact us at (208) 471-4261 or by email at
thomas.nelson@sky-mountaincapital.com. The information in this brochure has not been approved or verified by the
United States Securities and Exchange Commission (SEC) or by any State Securities Authority.
Additional information about Sky-Mountain Capital Management is also available at the SEC’s website. Results will
provide you both Part 1 and 2 of our Form ADV.
We are a registered investment advisory firm. Our registration does not imply any level of skill or training. The oral
and written communications we provide to you, including this brochure, are for you to evaluate us. Please use this
information as factors in your decision to hire us or to continue our business relationship.
ITEM 1 – COVER PAGE ADV PART 2 A
February 17, 2026
CRD #: 312915
251 NORTHWOOD WAY, SUITE H, KETCHUM, ID 83340
thomas.nelson@sky-mountaincapital.com
(208) 471-4261
ITEM 2 – MATERIAL CHANGES
This brochure dated February 17, 2026, has been prepared by Sky-Mountain Capital Management to meet SEC
requirements. This section only addresses material changes that have been incorporated since our last annual posting
of this document on the public disclosure website (IAPD on February 20, 2025.
Changes since our last filing:
Item 4e: Assets under Management (AUM)
Sky-Mountain Capital Management, Inc. as of December 31, 2025, has $207,156,137 in discretionary reportable assets
under management and $3,412,045 in non-discretionary reportable assets under management for a total of
$210,568,182 in assets under management.
ADV PART 2 A BROCHURE
ITEM 3 – TABLE OF CONTENTS
Item 1 – Cover Page ADV Part 2 A ............................................................................................................................................. 3
Item 2 – Material Changes........................................................................................................................................................... 4
Item 3 – Table of Contents .......................................................................................................................................................... 5
Item 4 – Advisory Business ..........................................................................................................................................................6
Item 5 – Fees and Compensation ...............................................................................................................................................11
Item 6 – Performance‐Based Fees and Side‐By‐Side Management............................................................................................13
Item 7 – Types of Clients.............................................................................................................................................................13
Item 8 – Methods of Analysis, Investment Strategies and Risk of Loss ......................................................................................14
Item 9 – Disciplinary Information .............................................................................................................................................. 16
Item 10 – Other Financial Industry Activities and Affiliations....................................................................................................16
Item 11 – Code of Ethics, Participation or Interest in Client Transactions and Personal Trading .............................................17
Item 12 – Brokerage Practices ....................................................................................................................................................18
Item 13 – Review of Accounts ....................................................................................................................................................20
Item 14 – Client Referrals and Other Compensation..................................................................................................................20
Item 15 – Custody .......................................................................................................................................................................20
Item 16 – Investment Discretion ...............................................................................................................................................21
Item 17 – Voting Client Securities...............................................................................................................................................21
Item 18 – Financial Information.................................................................................................................................................21
ADV PART 2 A BROCHURE
ITEM 4 – ADVISORY BUSINESS
4a: Firm Description
Sky-Mountain Capital Management, Inc., dba Sky-Mountain Capital Management an Idaho S-Corporation, was
established in J a nu a r y 2021 by Thomas E. Nelson III. Sky-Mountain Capital Management is owned by Thomas E.
Nelson III. Our main office is located in Ketchum, ID 83340.
4a1: Principal Member
•
Thomas E. Nelson III, President/Chief Compliance Officer: Mr. Nelson may be contacted by email at
thomas.nelson@sky-mountaincapital.com or by telephone at (208) 471-4261.
4b: Types of Advisory Services
Sky-Mountain Capital Management offers a variety of investment advisory services to our clients with discretionary and
non-discretionary authority. Sky-Mountain Capital Management’s services include investment management, financial
planning, consulting services and retirement advisory services. Prior to providing advisory services, clients are required
to enter into a written agreement with Sky-Mountain Capital Management.
When we provide investment advice to you regarding your retirement plan account or individual retirement account,
we are fiduciaries within the meaning of Title I of the Employee Retirement Income Security Act and/or the Internal
Revenue Code, as applicable, which are laws governing retirement accounts. The way we make money creates some
conflicts with your interests, so we operate under a special rule that requires us to act in your best interest and not put
our interests ahead of yours. As fiduciaries we are obligated to do the following:
• Meet a professional standard of care when making investment recommendations (give prudent advice);
• Never put our financial interests ahead of yours when making recommendations (give loyal advice);
• Avoid misleading statements about conflicts of interest, fees, and investments;
• Follow policies and procedures designed to ensure that we give advice that is in your best interest;
• Charge no more than is reasonable for our services; and
• Give you basic information about conflicts of interest.
Investment Management Services
We work with our clients to identify their investment goals and objectives as well as risk tolerance in order to create an
initial portfolio investment strategy designed to integrate with their specific financial goals and objectives. The Firm
focuses on providing clients with investment portfolios designed to balance client specific risk and return requirements.
Portfolios are constructed using a strategic asset allocation approach to provide a globally balanced investment strategy.
Portfolios are constructed with diversified mutual funds, and exchange traded funds. Individual stocks and bonds can
be used if appropriate for individual client needs.
Each portfolio will initially be designed to meet a particular investment goal which Sky-Mountain Capital Management
has determined to be suitable to our client’s circumstances. Once the appropriate portfolio construction has been
determined, we will monitor and rebalance the account based upon our client’s individual needs, stated goals and
objectives. Sky-Mountain Capital Management’s strategy, generally, will be to seek to meet client investment objectives
while providing clients with access to personal advisory services. Sky-Mountain Capital Management may also provide
advice about any type of legacy investment holding or other investments held in client portfolios.
As a fiduciary, Sky-Mountain Capital Management always acts solely in your best interests. Your portfolio is customized
based on your investment objectives. You may make requests or make suggestions in writing regarding the investments
made in your portfolio. Restrictions on trading which, in our opinion, are not in your best interest cannot be honored
and if forced may result in the termination of our agreement.
In cases where we are not given discretion, we must receive permission from the client to make any trades on a non-
discretionary basis. In non-discretionary accounts, you have the right to decide whether to act upon Sky-Mountain
ADV PART 2 A BROCHURE
effect the transaction through a professional unaffiliated with Sky-Mountain Capital Management.
Retirement Advisory Services (ERISA)
Depending on the type of plan and how it is arranged, Sky-Mountain Capital Management may or may not have
discretionary control of retirement plans’ assets or their accounts and it is clearly set forth in the plan agreement.
Financial Planning Services
Sky-Mountain Capital Management offers a broad range of financial planning and consulting services for our clients.
Planning services can be provided on a stand-alone basis, or in conjunction with our investment management services.
Financial Planning services are generally complimentary for clients that have investment management services. The
exception would be if financial planning is requested for complex situations beyond our normal scope listed below.
The services take into account information collected from the client such as financial status, investment objectives, tax
status, and financial resources among other data. With respect to estate planning and tax planning, our role will be
that of a coordinator between you and your designated professional(s).
Financial Planning includes, in all or part, but is not limited to, the preparation of a financial plan for an investment
advisory client which may include reviews and recommendations on any or all of the following areas depending on the
client’s circumstances:
▪
Investment Planning: Determine with the client, based on their goals, time horizon and risk tolerance, how to
structure a suitable portfolio (using mutual funds and ETF’s) using principles of diversification, asset allocation,
and sometimes asset location.
▪
Investment Policy Statements: Determining specific parameters within which a client’s investments will be
managed that can include the weighting of stocks to bonds to cash, the limitation on the use of any particular
type of security, the methodology used for rebalancing and so on.
▪ Portfolio review and evaluation: Assessment of a client’s existing portfolio to determine suitability of their
current investments and in some cases, evaluating the differences between such and the methods Sky-
Mountain Capital Management utilizes to manage assets. Evaluation can include weighting of asset classes,
types of securities used, concentrated positions, tax efficiency of investments, expense ratios and so forth.
▪ Capital Needs Analysis (Goal Funding): A method using time value of money calculations to determine how
much a client would need to save, at a given level of return, every month or year in order to achieve a certain
financial goal, such as paying for 4 years of college for their child.
▪
Tax Management and Planning: Forward-looking tax strategy that can help a client minimize their tax
expenses and maximize what they have to invest. This can include planning for Roth Conversions, Strategic
Charitable giving, Deferring income into tax advantaged retirement accounts, and tax-loss harvesting.
▪
Trust and Estate Planning: Helping a client understand how assets are distributed upon death and at times,
working with their estate planning attorneys to achieve both their financial and estate planning goals. This also
involves review of beneficiary designations and ensuring clients have the proper and updated documents
drafted to ensure they are always in control of how assets will be distributed.
▪ Retirement Planning: Gathering data that relates to a client’s assets, liabilities, expenses, goals and savings,
and evaluating such to determine the most appropriate strategy to achieving the greatest probability of being
able to retire in the lifestyle they desire and maintain such for the rest of their lives.
▪
Social Security: Helping a client decide when to file for social security is a critical part of the retirement
planning process. Married clients are advised on how to make their selections based on their particular
circumstances as a couple and can involve a complex analysis that depends on longevity, income needs, and
whether the client intends to work in their retirement.
ADV PART 2 A BROCHURE
▪
Employee Benefits: If a client is an employee and has access to benefits, an analysis of available benefits can
be done together with the client, offering advice on what benefits should be selected based upon the particular
client’s wishes, goals and family needs. This can include various types of insurance, Flexible Spending accounts,
Employee Stock Purchase plans, Restricted Stock Awards, Options, and so on.
▪
Education Planning: Helping clients plan financially for the expenses involved in education and the function of
various tax advantaged ways of saving for such expenses such as with a 529 plan and annual gifting.
▪ Budgeting and Cash Flow Planning: Determining with the client what their net income and monthly/annual
expenses are so as to determine where costs might be reduced to produce additional cash flow that can be
allocated towards goals.
▪ Debt Management: Where a client has debts, gathering data on the nature and interest rates being paid on
all liabilities, then completing a cash flow analysis to come up with the best strategy for tackling the paying
down of debt in the most efficient way possible.
▪ Business Planning: If a client has or wishes to set up a small business, advice can be provided on entity
selection, setting up of a retirement plan, employee benefits, and potentially a cross-purchase/buy-sell
agreement.
▪ Charitable Giving: When a client wishes to be philanthropic, Sky-Mountain Capital Management can assist the
client in how to leverage their investments to maximize contributions and provide tax advantages
simultaneously. This can include gifting of required minimum distributions (RMD’s), setting up of Donor
Advised Funds or gifting of highly appreciated shares, to name.
▪
Insurance Analysis: Gathering data on all current insurance policies that a client may have such as life,
disability, and long term care policies and running an analysis to ensure that there is an adequate transfer of
financial risk to the insurance company and a client still has the opportunity to meet their financial goals should
something unforeseen occur such as a premature death or an disability.
▪ Risk Management (Life and Disability Insurance): Sky-Mountain Capital Management does not sell insurance
products but can offer advice on what types of insurance a client may need or be lacking and how much would
be adequate to ensure their goals are still met in the event of a disability or premature death.
▪ Disability Planning and Income Protection: Using various planning tools, an analysis of any current income
protection a client may have through work (or owned individually) is completed to determine whether there
any “gaps” that might leave the client’s family unable to meet financial goals and if so, providing advice with
finding the appropriate coverage.
Financial planning services can vary and is customized depending on each client’s complexity and circumstances. The
financial planning services will be defined and agreed upon by both parties in advance. For example, a client’s not using
Sky-Mountain Capital Management’s investment management services may request a comprehensive financial plan,
or certain components of our planning services.
The amount of time it could take to provide each of the financial planning services will depend on the client’s unique
circumstances and will vary from client to client. Our services are customized based on what a client may request. In
addition, the amount of time it takes to provide these services is dependent on the quality and scope of the information
that is provided by the client to the advisor.
Clients are encouraged to review their plans on a regular basis.
Sky-Mountain Capital Management has a conflict of interest because it offers both financial planning and investment
management services. When providing financial planning services, Sky-Mountain Capital Management has an incentive
to recommend itself for investment management services as Sky-Mountain Capital Management receives additional
compensation. Sky-Mountain Capital Management mitigates this conflict of interest by disclosing this conflict to you
ADV PART 2 A BROCHURE
and disclosing that clients always have the right to decide whether to act on any of the recommendations made by Sky-
Mountain Capital Management and if you elect to act on any of the recommendations, you have the right to effect the
transactions through a professional unaffiliated with Sky-Mountain Capital Management. Our fiduciary obligation is
to always act and recommend in the clients’ best interest.
Consulting Services
Sky-Mountain Capital Management provides a wide array of customized consulting services which may vary greatly in
depth and scope and may be offered in a variety of different situations or circumstances that relate to your financial
picture. We may consult with you regarding topics that are not covered under our general financial planning services
or may not rise to the level of financial planning in the extent of data-gathering and breadth and depth of
recommendations. We may consult on such items as a real estate purchase, a sale analysis or review of a financial
account. Financial accounts may be accounts that are held at other firms or qualified retirement accounts held through
the Client’s employer. The scope and cost of our consulting services are defined in writing prior to the engagement
and will depend on the complexity of the situation. Consulting services will be offered to any client who the advisor
deems to have circumstances that could be aided by our consulting services. Some factors in this determination may be
the advisor’s experience and level of expertise with the situation. Clients always have the right to decide whether to
engage Sky-Mountain Capital Management for consulting services.
Retirement Plan Advisory Services
The Retirement Plan Advisory Services we offer help employer plan sponsors to establish, monitor and review their
company’s retirement plan. As the needs of the plan sponsor dictate, areas of advising could include investment
selection and monitoring plan structure and participant education.
Our firm provides its advisory services as an investment advisor as defined under Section 3(21) and Section 3(38) of the
Employee Retirement Income Security Act of 1974, as amended (“ERISA”). We offer investment management of 401(k)
accounts, profit sharing plans and defined contribution plans on a Plan level by managing the investment line-up making
changes as necessary. Our firm will establish the plan’s needs and objectives through an initial meeting to collect data,
review plan information and assist in developing or updating the plan’s provision. Ongoing services may include
recommendations regarding the selection and review of unaffiliated mutual funds that, in the Firm’s judgment, are
suitable for plan assets to be invested. We periodically review the investment options selected and make
recommendations to keep or replace plans investment options as appropriate.
For employer-sponsored retirement plans, we provide advisory services as an investment advisor as defined under
Section 3(38) of the Employee Retirement Income Security Act of 1974, as amended (“ERISA”).
When serving as an ERISA 3(38) investment manager, the plan sponsor is relieved of all fiduciary responsibility for the
investment decisions made by our firm. We are the discretionary investment manager in accordance with the terms of
a separate ERISA 3(38) Investment Management Agreement between our firm and the plan sponsor. Our investment
management is limited in that it has the discretion solely to replace funds in plan fund lineups and initiate the transfer
of existing balances to the replacements without prior approval from the client.
Additionally, our firm offers Retirement Plan Consulting Services to our Plan Sponsors. Our Firm may assist the Plan
Sponsor by acting as a service provider liaison, providing participant enrollment meetings, and assisting with participant
education. While the primary clients for these services will be pension, profit sharing and 401(k) plans, we offer these
services, where appropriate, to individuals and trusts and organizations. Pension Consulting Services are comprised of
four distinct services. Clients may choose to use any or all of these services.
•
SELECTION OF INVESTMENT VEHICLES - We assist plan sponsors in constructing appropriate asset allocation
models. We will then review various mutual funds (both index and managed) to determine which investments
are appropriate. The number of investments to be recommended will be determined by the client.
ADV PART 2 A BROCHURE
• MONITORING INVESTMENT PERFORMANCE - We monitor client investments continually, based on the
procedures and timing intervals detailed in the Investment Policy Statement. Although our firm is not involved
in any way in the purchase or sale of these investments, we supervise the client's portfolio and will make
recommendations to the client as market factors and the client's needs dictate.
• PARTICIPANT ENROLLMENT - We will assist Plan Sponsor in enrolling Plan participants in the Plan, including
conducting an agreed upon number of enrollment meetings. As part of such meetings, we will provide
participants with information about the Plan, which may include information on the benefits of Plan
participation, the benefits of increasing Plan contributions, the impact of preretirement withdrawals on
retirement income, the terms of the Plan, and the operation of the Plan.
• PLAN EDUCATION - We will assist participant education, which may include preparation of education
materials and/or conducting investment education seminars and meetings for Plan Participants. Such meetings
may be on a group and/or individual basis. Such meetings shall not include specific investment advice about
investment options under the Plan as being appropriate for a particular participant but may include the use of
education investment models.
Plan participants have the ability to exercise control over the assets in their account, and we have no authority
or discretion to direct the investment of assets of any participant’s account under the Retirement Plan
Consulting services offered by our firm.
• ADDITIONAL INFORMATION CONCERNING PENSION & RETIREMENT PLAN CONSULTING- All pension
consulting services shall be in compliance with applicable State rules and statutes and/or the Investment
Advisers Act of 1940, rules and regulations thereunder regulating the services provided by this Agreement. This
section applies to an Account that is a pension or other employee benefit plan (a “Plan”) governed by the
Employee Retirement Income Security Act of 1974, as amended (“ERISA”). If the Account is part of a Plan and
we accept appointments to provide advisory services to such Account, Advisor acknowledges that it is a
fiduciary within the meaning of Section 3(21) of ERISA (but only with respect to the provision of services
described in section 1 of this agreement). Client represents that (i) Advisor’s appointment and services are
consistent with the Plan documents, (ii) Client has furnished Advisor true and complete copies of all documents
establishing and governing the Plan and evidencing your authority to retain Advisor. Client further represents
that he will promptly furnish Advisor with any amendments to the Plan, and Client agrees that, if any
amendment affects our rights or obligations, such amendment will be binding on Advisor only with our prior
written consent. If ERISA or other applicable law requires bonding with respect to the assets in the account,
Client will obtain and maintain at his/her/its expense bonding that satisfies this requirement and covers Advisor
and any of our affiliates.
4c: Client Tailored Relationships and Restrictions
As a fiduciary, Sky-Mountain Capital Management always acts solely in your best interests. Your portfolio is customized
based on your investment objectives. You may make requests or make suggestions regarding the investments made in
your portfolio. Restrictions on trading which, in our opinion, are not in your best interest cannot be honored and if
forced may result in the termination of our agreement.
You are under no obligation to act upon Sky-Mountain Capital Management's or associated person's recommendations.
4d: Wrap Fee Program
Sky-Mountain Capital Management does not sponsor or provide portfolio management services to a wrap fee
program.
ADV PART 2 A BROCHURE
4e: Assets under Management (AUM)
Sky-Mountain Capital Management, Inc. as of December 31, 2025, has $207,156,137 in discretionary reportable assets
under management and $3,412,045 in non-discretionary reportable assets under management for a total of
$210,568,182 in assets under management.
ITEM 5 – FEES AND COMPENSATION
5a, b, c & d: Fee Schedules, Payments & Options
Investment Management
ASSETS UNDER MANAGEMENT
ANNUAL FEE RATE (%)
First $0 – $1,000,000
1.00%
Over $1,000,001
0.50%
Fees are negotiable. Fees may differ based on a number of factors:
Size of the relationship – Larger accounts may receive more favorable pricing.
•
• Accounts within the same household will be combined under a signed householding form for a reduced
fee unless the client instructs otherwise.
Less active accounts may receive more favorable pricing.
•
• Our employees and their family related accounts are charged a reduced fee for services.
For purposes of determining value, securities and other instruments traded on a market for which actual transaction
prices are publicly reported are valued at the last reported sale price on the principal market in which they are traded.
If the investments are not managed assets, they are not included in Sky-Mountain Capital Management’s fee
calculation.
Compensation for our services will be calculated in accordance with what is set in the client agreement. We may
modify the terms of any agreement by written changes submitted to the client for signature. While we strive to maintain
competitive fees, the same or similar services may be available from other firms at higher or lower fees.
Sky-Mountain Capital Management requires written authorization from the client to deduct advisory fees from an
account held by a qualified custodian. Sky-Mountain Capital Management sends the qualified custodian written notice
of the amount of the fee to be deducted from the client’s account. Sky-Mountain Capital Management fees are paid
from your account by the custodian when we submit an invoice to them.
Sky-Mountain Capital Management fees are paid quarterly in advance based on the value as of the last business day of
the prior quarter, with payment due within 10 days from the date of the invoice. Our fee is determined by taking the
percentage rate we charge, divided by four, times the market value of the account. The market value is the sum of
the values of all managed assets in the account, not adjusted by any margin debit.
In cases where there are partial fees at the commencement or termination of our agreement, they will be billed or
refunded on a pro-rated basis contingent on the number of days the account was open. Quarterly fee adjustments for
additional assets received into the account during a quarter or for partial withdrawals will also be provided on the above
pro rata basis.
If there is insufficient cash in your account to pay your fees, securities in your portfolio may be sold to pay our fee.
In addition to our fees, there may be custodial fees or mutual fund fees. See 5c: Third Party Fees below.
ADV PART 2 A BROCHURE
Financial Planning Fees
For clients who engage Sky-Mountain Capital Management for investment management services, fees for financial
planning and consulting services are generally complimentary.
Fees for stand-alone services (when a Client does not use Sky-Mountain Capital Management’s investment management
services for complimentary financial planning) are charged on an hourly basis. The hourly rate for financial planning is $450.
Preparing an initial financial plan generally takes 10 – 15 hours depending on the complexity, nature and time required
to gather and analyze relevant information. As plans become more complex, require additional expertise, cover multiple
topics, they take more time to complete and may require additional hours. For clients who subsequently engage
Sky-Mountain Capital Management for investment management services, we do not waive or offset fees paid for stand-
alone financial planning and consulting services.
These arrangements will be defined and agreed upon by both parties via the financial planning agreement. The fees
are negotiable.
Sky-Mountain Capital Management does not require a retainer for this service. Financial Planning fees will be billed in
arrears upon delivery of the plan or completion of the agreed services, with payment due within 10 days from the date
of the invoice. Financial Planning fees may be paid by personal check, Quickbooks or the client may elect by written
authorization to have their fee debited from investment management non-qualified accounts approved for such fee
debit payments. Fees may be billed on a quarterly basis. In all instances, Sky-Mountain Capital Management will send the
client a written invoice concurrent with the request for payment. The invoice will include the fee, the formula used to
calculate the fee(s), the fee calculation itself, the time period covered by the fee(s) and the services provided.
Sky-Mountain Capital Management does not take receipt of more than $1200 in fees per client six (6) months in
advance. Clients may terminate these contracts at any time. When an agreement is terminated, Sky-Mountain Capital
Management will invoice for all earned fees as of the date of termination based on the services completed. Sky-
Mountain Capital Management will deliver the completed portion of any documents to the client.
Consulting Services
Fees for consulting services are based on an hourly rate of $450 per hour. All fees will be disclosed to each client in
writing prior to the engagement, and clients always have the right to decide whether to engage Sky-Mountain Capital
Management for Consulting Services. The services may be billed at the time work is performed, although contracts may
specify the total number of hours expected in total. Fees are due within ten (10) days of invoice. Consulting fees are
negotiable.
Consulting fees may be paid by personal check or the client may elect by written authorization to have their fee debited
from investment management non-qualified accounts approved for such fee debit payments. In all instances, Sky-
Mountain Capital Management will send the client a written invoice concurrent with the request for payment. The
invoice will include the fee, the formula used to calculate the fee(s), the fee calculation itself, the time period covered
by the fee(s) and the services provided. Clients may terminate these contracts at any time.
When an agreement is terminated, we will refund any pre‐paid, unearned fees based on hours billed in advance.
Refunds will be made within 30 days of the effective date of termination. If billing in arrears, Sky-Mountain Capital
Management will invoice for all earned fees based on hours completed as of the date of termination.
Lower fees for comparable services may be available from other sources. If a conflict exists between the interests of the
Advisor or its associated persons and the interest of the client, the client always has the right to decide whether to act
on any of the recommendations made by Sky-Mountain Capital Management and if you elect to act on any of the
recommendations, you have the right to effect the transactions through a professional unaffiliated with Sky-Mountain
Capital Management. Our fiduciary obligation is to always act and recommend in the clients’ best interest.
ADV PART 2 A BROCHURE
Retirement Plan Advisory Services
Fees for portfolio monitoring, retirement plan ERISA planning and consulting services depend on the types of services
that serve the client. We typically use our standard fee schedule. Fees are negotiable depending on the size of the plan
and services rendered. Fees are paid quarterly in advance or arrears as designated in our agreement with you. Fees
billed in advance are based on the value of the assets in the account as of the last business day of the prior quarter.
Fees billed in arrears are based on the value of assets in the account as of the end of the billing cycle on the last business
day of the quarter. For Plans where our fee is billed to the custodian, the fee is deducted directly from the participant
accounts. Written authorization permitting us to be paid directly from the custodial account is outlined in the
Agreement. Our maximum investment advisory fee is 1%, or we may negotiate a lower advisory fee. The specific
advisory fees are set forth in your Investment Advisory Agreement.
5c: Third Party Fees
You are responsible for the payment of all third-party fees (i.e. custodian fees, mutual fund fees, transaction fees,
etc.). Those fees are also separate and distinct from the fees we charge. Sky-Mountain Capital Management does the
best we can to minimize all fees and transaction costs.
All brokerage commissions, stock transfer fees, and other similar charges incurred in connection with transactions for
the account will be paid out of the assets in the account and are in addition to the investment management fees paid
to us. While we take measures to ensure the fees charged are accurate, it is your responsibility to ensure the amount
of fee charged is correct. In addition to invoices and reports sent by us, you will receive statements directly from
the custodian or mutual funds or other investments you hold. We strongly urge you to compare our invoices and
reports to custodian statements for accuracy.
5.d: Termination
The investment advisory contract may be terminated by the client within five (5) business days of signing the contract
without incurring any advisory fees or penalty. Ongoing, Sky-Mountain Capital Management or our clients can
terminate our agreement upon receipt of written notice to the other party.
When an agreement is terminated, we will refund any pre‐paid, unearned fees based on the number of days remaining
in the quarter after termination. Refunds will be made within 30 days of the effective date of termination.
You will be responsible for paying all fees including full quarterly custodial administrative fees, account closure fees,
mutual fund fees and all trading costs due to the termination. If there is insufficient cash in the account, the liquidation
of some securities may be used to pay the fees. Prior to termination of an agreement, we can provide a good‐faith
estimate of these fees.
5e: Other Investment Compensation
Sky-Mountain Capital Management does not accept commission for the sale of securities or other investment
products, including asset‐based sales charges or service fees from the sale of mutual funds.
ITEM 6 – PERFORMANCE‐BASED FEES AND SIDE‐BY‐SIDE MANAGEMENT
Sky-Mountain Capital Management does not charge advisory fees on the performance of funds or securities in your
account.
ITEM 7 – TYPES OF CLIENTS
Sky-Mountain Capital Management generally provides asset management and financial planning services to the
following types of clients:
ADV PART 2 A BROCHURE
Individuals
Families
▪
▪
▪ High‐Net‐Worth Individuals
▪ Trusts
▪ Estates
▪ Business
▪ Retirement Plans
Minimum Account Size:
Sky-Mountain Capital Management does not have an account minimum. However, we may decline to accept
clients with smaller portfolios.
ITEM 8 – METHODS OF ANALYSIS, INVESTMENT STRATEGIES AND RISK OF LOSS
8a: Analysis
In determining the recommendations to give to you, we first gather and consider information regarding several factors
including our client’s:
Investment goals and objectives;
• Current financial situation;
•
• Current and long-term needs;
•
•
Tolerance and appetite for risk; and
Level of investment knowledge.
Sky-Mountain Capital Management uses multiple sources of information to obtain analysis and strategies. They include
sources such as financial newspapers, financial magazines, research prepared by others, corporate rating services,
prospectuses, company press releases, annual reports and filings with the SEC.
Sky-Mountain Capital Management’s methods of analysis include Fundamental Analysis, Modern Portfolio Theory and
Cyclical Analysis,
Fundamental Analysis involves the analysis of financial statements, the general financial health of companies, and/or
the analysis of management or competitive advantages.
Modern Portfolio Theory is a theory of investment that attempts to maximize portfolio expected return for a given
amount of portfolio risk, or equivalently minimize risk for a given level of expected return, each by carefully choosing
the proportions of various assets.
Cyclical Analysis involves the analysis of business cycles to find favorable conditions for buying and/or selling a security.
8b: Investment Strategies
Asset Allocation
Sky-Mountain Capital Management recommends a mix of asset classes for your portfolio based on an assessment of
your long‐term financial objectives. Sky-Mountain Capital Management focuses on providing clients with portfolios
designed to balance client specific risk and return requirements. Portfolios are constructed using a strategic asset
allocation approach to provide a globally balanced investment strategy. Portfolios are constructed with diversified
mutual funds, and exchange traded funds. Individual stocks and bonds can be used if appropriate for individual client
needs.
Our recommended asset allocation is not influenced by current market conditions. This asset allocation is altered
only when your long‐term investment objectives have changed.
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Asset Allocation is based on the principle that different assets perform differently in different market and economic
conditions. It is difficult to predict how any particular asset class will perform in any given year.
Diversification is a strategy for managing risk. Diversification does not ensure a profit or protect against a loss in a
declining market. Asset Allocation is unlikely to generate the greatest returns since not all of the asset classes will do
equally well.
Rebalancing
Asset allocations for your portfolio will change as financial markets rise and fall and the specific assets of different parts
of your portfolio change. This creates the opportunity to selectively rebalance your portfolio in order to bring asset class
percentages back to your policy targets. Asset classes that have risen beyond predetermined limits are
sold by an amount that brings the allocation back in line with policy targets, and those that have fallen in value are
purchased in the same way. This is a method of buying low and selling high that is not based on trying to predict the
direction of markets or asset returns.
This rebalancing has the effect of enhancing portfolio returns while maintaining the agreed‐upon risk. In order to
limit rebalancing transactions and the costs associated with buying and selling mutual funds through the chosen
custodian, Sky-Mountain Capital Management has pre‐determined ranges in which allocations may vary and at which
rebalancing is initiated.
Specific Investments
We generally select ETFs, mutual funds or similar securities, we may at times select individual securities or build
individual stock portfolios for our clients. In these cases, Sky-Mountain Capital Management examines each securities’
management, financial condition, and market position and ensures that any purchases of individual securities work
towards the client’s portfolio goals, investment horizons and exposure to risk. Individual stocks present potential risks
as prices of individual securities can move up or down due to general economic conditions, industry specific conditions,
government regulations or corporate management, among other factors.
8c: Risk of Loss
All investments include a risk of loss that clients should be prepared to bear. Performance of any investment is not
guaranteed. We use our best efforts and expertise to manage your assets. However, we cannot guarantee any level of
performance or that you will not experience financial loss.
Fundamental Analysis concentrates on factors that determine a company’s value and expected future earnings. This
strategy would normally encourage equity purchases in stocks that are undervalued or priced below their perceived
value. The risk assumed is that the market will fail to reach expectations of perceived value.
Modern Portfolio Theory assumes that investors are risk averse, meaning that given two portfolios that offer the same
expected return, investors will prefer the less risky one. Thus, an investor will take on increased risk only if compensated
by higher expected returns. Conversely, an investor who wants higher expected returns must accept more risk. The
exact trade-off will be the same for all investors, but different investors will evaluate the trade-off differently based on
individual risk aversion characteristics. The implication is that a rational investor will not invest in a portfolio if a second
portfolio exists with a more favorable risk-expected return profile – i.e., if for that level of risk an alternative portfolio
exists which has better expected returns.
Cyclical Analysis assumes that the markets react in cyclical patterns which, once identified, can be leveraged to provide
performance. The risks with this strategy are two- fold: 1) the markets do not always repeat cyclical patterns; and 2) if
too many investors begin to implement this strategy, then it changes the very cycles these investors are trying to exploit.
Clients should be aware that there is a material risk of loss using any investment strategy. The investment types listed
below (leaving aside Treasury Inflation Protected/Inflation Linked Bonds) are not guaranteed or insured by the FDIC or
any other government agency.
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Mutual Funds: Investing in mutual funds carries the risk of capital loss and thus you may lose money investing in mutual
funds. All mutual funds have costs that lower investment returns. The funds can be of bond “fixed income” nature
(lower risk) or stock “equity” nature.
Exchange Traded Funds (ETFs): An ETF is an investment fund traded on stock exchanges, similar to stocks. Investing in
ETFs carries the risk of capital loss (sometimes up to a 100% loss in the case of a stock holding bankruptcy). Areas of
concern include the lack of transparency in products and increasing complexity, conflicts of interest and the possibility
of inadequate regulatory compliance. Precious Metal ETFs (e.g., Gold, Silver, or Palladium Bullion backed “electronic
shares” not physical metal) specifically may be negatively impacted by several unique factors, among them (1) large
sales by the official sector which own a significant portion of aggregate world holdings in gold and other precious
metals, (2) a significant increase in hedging activities by producers of gold or other precious metals, (3) a significant
change in the attitude of speculators and investors.
Equity investments generally refers to buying shares of stocks in return for receiving a future payment of dividends
and/or capital gains if the value of the stock increases. The value of equity securities may fluctuate in response to
specific situations for each company, industry conditions and the general economic environments.
Fixed income investments generally pay a return on a fixed schedule, though the amount of the payments can vary. This
type of investment can include corporate and government debt securities, leveraged loans, high yield, and investment
grade debt and structured products, such as mortgage and other asset-backed securities, although individual bonds
may be the best-known type of fixed income security. In general, the fixed income market is volatile and fixed income
securities carry interest rate risk. (As interest rates rise, bond prices usually fall, and vice versa. This effect is usually
more pronounced for longer-term securities.) Fixed income securities also carry inflation risk, liquidity risk, call risk,
and credit and default risks for both issuers and counterparties. The risk of default on treasury
inflation
protected/inflation linked bonds is dependent upon the U.S. Treasury defaulting (extremely unlikely); however, they carry
a potential risk of losing share price value, albeit rather minimal.
ITEM 9 – DISCIPLINARY INFORMATION
9a: Civil or Criminal Actions
Sky-Mountain Capital Management and its managers have never been found guilty, convicted or pled no contest to a
criminal or civil action in a domestic, foreign or military court.
9b: Administrative Enforcement Proceedings
Sky-Mountain Capital Management and its managers have never been found by the SEC, any other state or federal
agency or any foreign regulatory agency to have caused loss of the ability of an investment‐related business to do
business or been sanctioned, barred or limited in investment‐related activities.
9c: Self‐Regulatory Organization Enforcement Proceedings
Sky-Mountain Capital Management and its managers have never been found by a self‐regulatory agency to have caused
loss of the ability of an investment‐related business to do business. Additionally, Sky-Mountain Capital Management
and its managers have never been found in violation of self‐regulatory agencies rules such that they were barred,
suspended, limited in advisory functions or fined.
ITEM 10 – OTHER FINANCIAL INDUSTRY ACTIVITIES AND AFFILIATIONS
10a: Broker Dealers and Registered Representatives
Sky-Mountain Capital Management is not registered as a broker‐dealer and our employees are not registered
representatives of any broker‐dealer.
10b: Registration as a Futures Commission Merchant, Commodity Pool Operator, or a Commodity Trading Advisor
Neither Sky-Mountain Capital Management nor our employees hold any of the above registrations.
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10c: Registration Relationships Material to this Advisory Business and Possible Conflicts of Interests
The principal business of Sky-Mountain Capital Management is that of a registered investment advisor and provider of
financial planning services.
Sky-Mountain Capital Management will disclose any material conflict of interest relating to Sky-Mountain Capital
Management, our representatives, or any of our associates which could reasonably be expected to impair the rendering
of unbiased and objective advice.
10d: Selection of Other Advisors and How this Advisor is Compensated for those Selections
Sky-Mountain Capital Management is not paid for the selection of other advisors, asset managers or portfolio managers.
ITEM 11 – CODE OF ETHICS, PARTICIPATION OR INTEREST IN CLIENT TRANSACTIONS AND PERSONAL TRADING
11a: Code of Ethics Description
We have adopted a Code of Ethics to which all investment advisor representatives and employees are bound to adhere.
The key component of our Code of Ethics states that Sky-Mountain Capital Management and its investment advisor
representatives and employees shall always:
▪ Act with integrity, competence, dignity, and ethics when dealing with the public, clients, prospects,
employers, and employees.
▪ Exercise its authority and responsibility for the benefit and interest of its clients first and to refrain from
having outside interests that conflict with the interests of its clients. Sky-Mountain Capital Management must
avoid any circumstances that might adversely affect or appear to affect its duty of complete loyalty to its
clients.
▪ Refrain from disclosing any nonpublic personal information about a client to any nonaffiliated third party
unless the client expressly gives permission to Sky-Mountain Capital Management to do so. All client
information will otherwise be treated as confidential.
▪ Maintain the physical security of nonpublic information, including information stored on computers.
This Code of Ethics is in place to guide the personal conduct of our team and embodies our fiduciary duties and
responsibilities to you and sets forth our practice of supervising the personal securities transactions of employees with
prior or concurrent access to client trade information. A copy of the Sky-Mountain Capital Management Code of Ethics
is available, free of charge, upon request.
11b, c & d: Participation or Interest in Client Transactions
Sky-Mountain Capital Management, or its employees, may buy and sell some of the same securities for our own
accounts that we buy and sell for our clients. We will always buy or sell from our clients’ accounts before we buy or
sell from our accounts. In some cases, Sky-Mountain Capital Management, or its employees, may buy or sell securities
for our own accounts and not for clients’ accounts, as it may not meet the objectives or plans for the client. There are
possible conflicts of interest, which our Code of Ethics addresses. We will always evaluate our activity from the view of
our clients to ensure that any and all required disclosures are made. For example, we will disclose anything that would
cause you to be unfairly influenced to make any decision regarding actions or inactions in your account.
Sky-Mountain Capital Management does not buy or sell between Sky-Mountain Capital Management, our employees
or our clients’ accounts.
Sky-Mountain Capital Management always tries to get the best price for the client. Sky-Mountain Capital Management
has in place internal controls and processes to allow contemporaneous trading (submitting Sky-Mountain Capital
Management or employee orders at the same time as client order) in block or aggregate trades. In other cases, except
in the case of unaffiliated mutual funds, we will always trade individual securities in a client account before we trade
Sky-Mountain Capital Management or employee accounts.
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Sky-Mountain Capital Management does not recommend securities to advisory clients nor buy or sell securities for
advisory client accounts in which Sky-Mountain Capital Management or a related person has a material financial
interest.
ITEM 12 – BROKERAGE PRACTICES
12a: Selecting Brokerage Firms
The Custodian and Brokers We Use
Sky-Mountain Capital Management does not maintain custody of your assets that we manage. Your assets must be
maintained in an account at a “qualified custodian,” generally a broker-dealer or bank. We recommend that our clients
use Fidelity Investments (Fidelity) as the qualified custodian. Sky-Mountain Capital Management is independently
owned and operated and not affiliated with Fidelity.
Custodians will hold your assets in a brokerage account and buy and sell securities when instructed to do so. While we
recommend that you use Fidelity as custodian/broker, you will decide whether to do so and open your account by
entering into an account agreement directly with them. If you do not wish to place your assets with Fidelity, then we
cannot manage your account. Even though your account is maintained at Fidelity, we can still use other brokers to
execute trades for your account, as described under Your Custody and Brokerage Costs below. Sky-Mountain Capital
Management does not receive any client referrals from Fidelity.
How We Select Brokers/Custodians
We seek to select a custodian/broker who will hold your assets and execute transactions on terms that are overall most
advantageous when compared to other available providers and their services. We consider a wide range of factors,
including, among others, these:
•
•
combination of transaction execution services along with asset custody services (generally without a separate
fee for custody).
capability to execute, clear and settle trades (buy and sell securities for your account)
•
capabilities to facilitate transfers and payments to and from accounts (wire transfers, check requests, bill payment)
•
breadth of investment products made available (stocks, bonds, mutual funds, exchange traded funds (ETFs), etc.)
•
availability of investment research and tools that assist us in making investment decisions
•
quality of services
•
competitiveness of the price of those services (commission rates, margin interest rates, other fees, etc.).
•
reputation, financial strength and stability of the provider.
•
their prior service to us and our other clients.
•
availability of other products and services that benefit us, as discussed below (see “Products and Services Available to
Us from Custodians we use”)
To avoid creating a possible conflict of interest in recommending broker‐dealers, we have established the following
restrictions in order to ensure our fiduciary responsibilities:
1. Sky-Mountain Capital Management adheres to our Code of Ethics as outlined in Item 11 above.
2.
If Sky-Mountain Capital Management receives separate compensation for transactions, we will fully disclose them.
3. Sky-Mountain Capital Management emphasizes the unrestricted right of you to select and choose your own broker or
dealer.
4. Sky-Mountain Capital Management will always act in accordance with all applicable federal and state
regulations governing registered investment advisory practices.
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Your Custody and Brokerage Costs
For our clients’ accounts it maintains, custodians generally do not charge you separately for custody services but is
compensated by charging you commissions or other fees on trades that it executes or that settle into your account.
For some accounts, custodians may charge you a percentage of the dollar amount of assets in the account in lieu of
commissions. Custodian rates may be determined by committing a certain value of assets at the custodian. This
commitment benefits you because the overall rates you pay are lower than they would be if we had not made the
commitment. You may also be charged a flat dollar amount as a “prime Broker” or “trade away” fee for each trade
that we have executed by a different broker-dealer but where the securities bought or the funds from the securities
sold are deposited (settled) into your account. These fees are in addition to the commissions or other compensation
you pay the executing broker-dealer. Because of this, in order to minimize your trading costs, we have Fidelity execute
most trades for your account.
Products and Services Available to Us
Custodians may provide Sky-Mountain Capital Management and our clients with access to brokerage – trading, custody,
reporting and related services – many of which are not typically available to retail customers. These services help us
manage or administer our clients’ accounts while others help us manage and grow our business.
Services that Benefit You. You gain access to a broad range of investment products, execution of securities transactions,
and custody of client assets. The investment products available through custodians include some to which we might
not otherwise have access or that would require a significantly higher minimum initial investment by our clients.
Services that May Not Directly Benefit You. Other products and services that benefit us but may not directly benefit you
or your account. These products and services assist us in managing and administering our clients’ accounts. They include
investment research, both from the custodian and that of third parties. We may use this research to service all or some
substantial number of our clients’ accounts, including accounts not maintained at the custodian from which we received
the benefit. In addition to investment research, custodians also make available software and other technology that:
•
•
•
•
•
provide access to client account data (such as duplicate trade confirmations and account statements);
facilitate trade execution and allocate aggregated trade orders for multiple client accounts;
provide pricing and other market data;
facilitate payment of our fees from our clients’ accounts; and
assist with back-office functions, recordkeeping and client reporting.
Services that Generally Benefit Only Us. Some services are intended to help us manage and further develop our business
enterprise. These services include:
•
•
•
•
educational conferences and events
technology, compliance, legal, and business consulting;
publications and conferences on practice management and business succession; and
access to employee benefits providers, human capital consultants and insurance providers.
Custodians may provide some of these services itself. In other cases, it will arrange for third-party vendors t o provide
the services to us. They may also discount or waive its fees for some of these services or pay all or a part of a third
party’s fees. They may also provide us with other benefits such as occasional business entertainment of our personnel.
We endeavor at all times to put the interests of our clients first. You should be aware, however, that the receipt of
the types of benefits discussed above can create a potential conflict of interest by influencing our choice of a custodian.
12.b: Sales Aggregation
Rebalancing is done on a client by client basis. Sky Mountain does not aggregate.
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ITEM 13 – REVIEW OF ACCOUNTS
13a: Periodic Reviews
Accounts are managed and reviewed by Thomas E. Nelson III, CCO. The frequency of reviews is determined based on
your investment objectives, on an ongoing basis but no less than annually. Accounts are reviewed to determine if
the positions, transactions and strategies are consistent with the Client’s stated investment objective(s) and whether any
rebalancing or adjustments may be necessary.
Financial planning clients receive their financial plans and recommendations at the time the service is completed..
Depending on the type of financial planning service requested, we may meet on a regular basis with you to discuss any
potential changes to your financial plan.
13b: Review Triggers
More frequent reviews are triggered by a change in your investment objectives; tax considerations; large deposits or
withdrawals; large sales or purchases; loss of confidence in corporate management; or, changes in economic climate.
13c: Regular Reports
All investment advisory clients receive reports as needed, but no less than annually, on representative investments
recommended specifically by Sky-Mountain Capital Management. Reports are generated either through Orion based
on custodian data. Performance reports may contain such items as: Performance Review, Summary by Account,
Asset Allocation, Security Performance, Realized Gains/Losses, Holdings, and Transactions that occurred during the
period. Custodian data is provided to Tamarac and Orion directly and reports are generated only using the custodian
data.
Investment advisory clients also receive standard account statements from the custodian of their accounts on at least
a quarterly basis.
Financial planning clients do not normally receive investment reports.
ITEM 14 – CLIENT REFERRALS AND OTHER COMPENSATION
14a: Economic Benefits Provided by Third Parties for Advice Rendered to Clients
We receive an economic benefit from Fidelity in the form of the support products and services it makes available to us
and other independent investment advisors that have their clients maintain accounts at these custodians. These
products and services, how they benefit us, and the related conflicts of interest are described above (see Item 12 –
Brokerage Practices). The availability to us of these products and services is not based on us giving particular investment
advice, such as buying particular securities for our clients.
Sky-Mountain Capital Management does not receive economic benefits from third parties for the advice we render
to our clients. As disclosed in Item 12 above, broker-dealers may provide services, tools or other non-financial benefits
to us as a benefit for using the broker-dealer’s services. However, we endeavor at all times to put the interests of our
clients first. You should be aware, however, that the receipt of benefits can create a potential conflict of interest by
influencing our choice of a broker-dealer.
14b: Compensation to Non‐Advisory Personnel for Client Referrals
Sky-Mountain Capital Management does not directly or indirectly compensate any person for client referrals.
ITEM 15 – CUSTODY
Sky-Mountain Capital Management clients’ accounts are held by a qualified custodian, as designated by the client in
writing. Sky-Mountain Capital Management may have custody of Client assets (i) where we have authority to withdraw
advisory fees advisory fees upon our instruction to the custodian and (ii) where we request Client funds to be disbursed
pursuant to a standing letter of authorization. With the exception aforementioned custody, and other than to withdraw
advisory fees or to disburse funds or securities pursuant to a standing letter of authorization, Sky-Mountain Capital
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Management shall have no liability to the client for any loss or other harm to any property in the account, including any
harm to any property in the account resulting from the insolvency of the custodian or any acts of the agents or
associated persons of the custodian and whether or not the full amount or such loss is covered by the Securities Investor
Protection Corporation (“SIPC”) or any other insurance which may be carried by the custodian. The client understands
that SIPC provides only limited protection for the loss of property held by a broker-dealer.
As a fiduciary, Sky-Mountain Capital Management will always act in the client’s best interests and in doing so, the above
does not limit or modify that duty to our clients. Custodial statements will include fees charged by Sky-Mountain Capital
Management.
ITEM 16 – INVESTMENT DISCRETION
Sky-Mountain Capital Management asks our clients to give us discretionary authority to execute transactions without
our client’s prior approval. These transactions may include the purchase and selling of securities, arranging for payments
or generally acting on behalf of our clients in most matters necessary to the handling of the account. This includes the
buying or selling of securities, the rebalancing and selection of portfolios, the selection of portfolio managers or
subadvisors or the disbursement of funds to the client as requested or arranged. Discretionary authority is granted once
an election is made on the Investment Advisory Agreement, and the agreement is signed by the client. In cases where
we are not given discretion, we must receive permission from the client to make any trades on a non- discretionary
basis.
You may make requests or make suggestions regarding the investments made in your portfolio. Restrictions on trading
which, in our opinion, are not in your best interest cannot be honored and if forced may result in the termination
of our agreement.
ITEM 17 – VOTING CLIENT SECURITIES
The clients of Sky-Mountain Capital Management retain the authority to proxy vote. You should ensure that proxy
ballots are mailed directly to you by selecting this option on your custodial application forms. You are welcome to
delegate said proxy voting authority to a third‐party representative (non‐advisory personnel) by filing the appropriate
custodial form. Sky-Mountain Capital Management will not accept authority to vote client proxies. This policy is set forth
in Sky-Mountain Capital Management’s standard advisory agreements. Proxy material will be sent from the transfer
agent and in rare cases could come from Fidelity.
Should Sky-Mountain Capital Management inadvertently receive proxy information for a security held in clients' accounts,
it would immediately forward such information on to clients, but will not take any further action with respect to the
voting of such proxy. Upon termination of the advisory relationship, Sky-Mountain Capital Management will make a good
faith and reasonable attempt to forward proxy information inadvertently received on behalf of clients to the
forwarding address provided by clients. Clients may contact Sky-Mountain Capital Management for advice or
information about a particular proxy vote; however, Sky-Mountain Capital Management shall not be deemed to have
proxy voting authority solely as a result of providing such advice to clients.
ITEM 18 – FINANCIAL INFORMATION
18a: Balance Sheet
Sky-Mountain Capital Management does not solicit prepayment of more than $1200 in fees per client six (6)
months or more in advance.
18b: Financial Conditions
Sky-Mountain Capital Management has no financial issues that could impair our ability to carry out our fiduciary duty
to our clients.
18c: Bankruptcy Petition
Sky-Mountain Capital Management has never been the subject of a bankruptcy petition.
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