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Transactions with Affiliated Funds
9 Months Ended
Sep. 30, 2019
Text Block [Abstract]  
Transactions with Affiliated Funds
Note 22.
Transactions with Affiliated Funds
The firm has formed nonconsolidated investment funds with third-party investors. As the firm generally acts as the investment manager for these funds, it is entitled to receive management fees and, in certain cases, advisory fees or incentive fees from these funds. Additionally, the firm invests alongside the third-party investors in certain funds.
The tables below present information about affiliated funds.
 
                 
 
Three Months
 
 
 
 
Ended September
 
 
 
   
         
 
Nine Months
Ended September
 
                                     
$ in millions
   
2019
 
 
 
 
 
 
 
 
 
 
 
 
   
 
 
2018
     
 
 
 
 
 
 
 
 
 
2019
  
 
 
 
 
 
 
 
 
 
 
 
 
   
2018
 
Fees earned from funds
   
$
739
     
$
858
   
   
$
2,181
              
$
2,760
 
 
 
 
 
 
As of
 
                 
$ in millions
   
September 2019
   
 
 
 
December 2018
 
Fees receivable from funds
   
$
 
 
 
728
     
        $
 
 610
 
Aggregate carrying value of interests in funds
   
$
5,381
     
$
4,994
 
The firm may periodically determine to waive certain management fees on selected money market funds. Management fees waived were $11 million for
both 
the three months ended September 2019
 and 
September 2018, $32 million for the nine months ended September 2019 and $40 million for the nine months ended September 2018.
The Volcker Rule restricts the firm from providing financial support to covered funds (as defined in the rule) after the expiration of the conformance period. As a general matter, in the ordinary course of business, the firm does not expect to provide additional voluntary financial support to any covered funds, but may choose to do so with respect to funds that are not subject to the Volcker Rule; however, in the event that such support is provided, the amount is not expected to be material.
The firm had outstanding guarantees, as permitted under the Volcker Rule, on behalf of its funds of $89 million as of September 2019 and $154 million as of December 2018. Substantially all of these amounts relate to a guarantee that the firm has voluntarily provided in connection with a financing agreement with a third-party lender executed by one of the firm’s real estate funds that is not covered by the Volcker Rule. As of both September 2019 and December 2018, except as noted above, the firm has not provided any additional financial support to its affiliated funds.
In addition, in the ordinary course of business, the firm may also engage in other activities with its affiliated funds including, among others, securities lending, trade execution, market-making, custody, and acquisition and bridge financing. See Note 18 for the firm’s investment commitments related to these funds.