Supplement to the
Fidelity® Series All-Sector Equity Fund
April 1, 2022
STATEMENT OF ADDITIONAL INFORMATION
John Mirshekari no longer serves as a co-manager of the fund.
Chad Colman serves as a co-manager of the fund.
Christopher Lee serves as a co-manager of the fund.
The following information supplements similar information for the fund found in the Management Contracts section.
Chad Colman is co-manager of Fidelity® Series All-Sector Equity Fund and receives compensation for those services. As of July 31, 2022, portfolio manager compensation generally consists of a fixed-base salary determined periodically (typically annually), a bonus, and in certain cases, participation in several types of equity-based compensation plans. A portion of the portfolio managers compensation may be deferred based on criteria established by FMR or an affiliate or at the election of the portfolio manager.
The portfolio managers base salary is determined by level of responsibility and tenure at FMR or its affiliates. The primary components of the portfolio managers bonus are based on (i) the pre-tax investment performance of the portfolio managers fund(s) and account(s) measured against a benchmark index and within a defined peer group, if applicable, assigned to each fund or account, and (ii) the investment performance of other funds and accounts. The pre-tax investment performance of the portfolio managers fund(s) and account(s) is weighted according to the portfolio managers tenure on those fund(s) and account(s) and the average asset size of those fund(s) and account(s) over the portfolio managers tenure. Each component is calculated separately over the portfolio managers tenure on those fund(s) and account(s) over a measurement period that initially is contemporaneous with the portfolio managers tenure, but that eventually encompasses rolling periods of up to five years for the comparison to a benchmark index and peer group, if applicable. A smaller, subjective component of the portfolio managers bonus is based on the portfolio managers overall contribution to management. The portion of the portfolio manager's bonus that is linked to the investment performance of Fidelity® Series All-Sector Equity Fund is based on the fund's pre-tax investment performance measured against the Russell 1000® Index, the fund's pre-tax investment performance within the Morningstar® Large Blend Category, and the pre-tax investment performance of the portion of the fund's assets managed by the portfolio manager measured against the Russell 1000® Industrials Index. The portfolio manager also is compensated under equity-based compensation plans linked to increases or decreases in the net asset value of the stock of FMR LLC, FMRs parent company. FMR LLC is a diverse financial services company engaged in various activities that include fund management, brokerage, retirement, and employer administrative services.
The portfolio managers compensation plan may give rise to potential conflicts of interest. The portfolio managers compensation is linked to the pre-tax performance of the fund, rather than its after-tax performance. The portfolio managers base pay tends to increase with additional and more complex responsibilities that include increased assets under management and a portion of the bonus relates to marketing efforts, which together indirectly link compensation to sales. When a portfolio manager takes over a fund or an account, the time period over which performance is measured may be adjusted to provide a transition period in which to assess the portfolio. The management of multiple funds and accounts (including proprietary accounts) may give rise to potential conflicts of interest if the funds and accounts have different objectives, benchmarks, time horizons, and fees as the portfolio manager must allocate time and investment ideas across multiple funds and accounts. In addition, a funds trade allocation policies and procedures may give rise to conflicts of interest if the funds orders do not get fully executed due to being aggregated with those of other accounts managed by FMR or an affiliate. The portfolio manager may execute transactions for another fund or account that may adversely impact the value of securities held by a fund. Securities selected for other funds or accounts may outperform the securities selected for the fund. Portfolio managers may be permitted to invest in the funds they manage, even if a fund is closed to new investors. Trading in personal accounts, which may give rise to potential conflicts of interest, is restricted by a funds Code of Ethics.
Portfolio managers may receive interests in certain funds or accounts managed by FMR or one of its affiliated advisers (collectively, Proprietary Accounts). A conflict of interest situation is presented where a portfolio manager considers investing a client account in securities of an issuer in which FMR, its affiliates or their (or their fund clients) respective directors, officers or employees already hold a significant position for their own account, including positions held indirectly through Proprietary Accounts. Because the 1940 Act, as well as other applicable laws and regulations, restricts certain transactions between affiliated entities or between an advisor and its clients, client accounts managed by FMR or its affiliates, including accounts sub-advised by third parties, are, in certain circumstances, prohibited from participating in offerings of such securities (including initial public offerings and other offerings occurring before or after an issuers initial public offering) or acquiring such securities in the secondary market. For example, ownership of a company by Proprietary Accounts has, in certain situations, resulted in restrictions on FMRs and its affiliates client accounts ability to acquire securities in the companys initial public offering and subsequent public offerings, private offerings, and in the secondary market, and additional restrictions could arise in the future; to the extent such client accounts acquire the relevant securities after such restrictions are subsequently lifted, the delay could affect the price at which the securities are acquired.
A conflict of interest situation is presented when FMR or its affiliates acquire, on behalf of their client accounts, securities of the same issuers whose securities are already held in Proprietary Accounts, because such investments could have the effect of increasing or supporting the value of the Proprietary Accounts. A conflict of interest situation also arises when FMR investment advisory personnel consider whether client accounts they manage should invest in an investment opportunity that they know is also being considered by an affiliate of FMR for a Proprietary Account, to the extent that not investing on behalf of such client accounts improves the ability of the Proprietary Account to take advantage of the opportunity. FMR has adopted policies and procedures and maintains a compliance program designed to help manage such actual and potential conflicts of interest.
The following table provides information relating to other accounts managed by Mr. Colman as of July 31, 2022:
Registered Investment Companies* |
Other Pooled Investment Vehicles |
Other Accounts |
|
Number of Accounts Managed | 11 | 13 | 7 |
Number of Accounts Managed with Performance-Based Advisory Fees | 2 | none | none |
Assets Managed (in millions) | $62,619 | $2,184 | $1,501 |
Assets Managed with Performance-Based Advisory Fees (in millions) | $6,746 | none | none |
* Includes assets of Fidelity® Series All-Sector Equity Fund managed by Mr. Colman ($3,168 (in millions) assets managed).
As of July 31, 2022, the dollar range of shares of Fidelity® Series All-Sector Equity Fund beneficially owned by Mr. Colman was none.
Christopher Lee is co-manager of Fidelity® Series All-Sector Equity Fund and receives compensation for those services. As of August 31, 2022, portfolio manager compensation generally consists of a fixed base salary determined periodically (typically annually), a bonus, and in certain cases, participation in several types of equity-based compensation plans. A portion of the portfolio manager's compensation may be deferred based on criteria established by FMR or at the election of the portfolio manager.
The portfolio managers base salary is determined by level of responsibility and tenure at FMR or its affiliates. The portfolio managers bonus is based on several components. The components of the portfolio managers bonus are based on (i) the pre-tax investment performance of the portfolio managers fund(s) and account(s) measured against a benchmark index and within a defined peer group assigned to each fund or account, if applicable, (ii) the investment performance of other FMR equity funds and accounts, and (iii) the general management in the portfolio managers role as Managing Director of Research. The pre-tax investment performance of the portfolio managers fund(s) and account(s) is weighted according to the portfolio managers tenure on those fund(s) and account(s) and the average asset size of those fund(s) and account(s) over the portfolio managers tenure. Each component is calculated separately over the portfolio managers tenure on those fund(s) and account(s) over a measurement period that initially is contemporaneous with the portfolio managers tenure, but that eventually encompasses rolling periods of up to five years for the comparison to a benchmark index and rolling periods of up to three years for the comparison to a peer group if applicable. The portion of the portfolio manager's bonus that is linked to the investment performance of Fidelity® Series All-Sector Equity Fund is based on the fund's pre-tax investment performance measured against the Russell 1000® Index, and the fund's pre-tax investment performance within the Morningstar® Large Blend Category. The portfolio manager also is compensated under equity-based compensation plans linked to increases or decreases in the net asset value of the stock of FMR LLC, FMR's parent company. FMR LLC is a diverse financial services company engaged in various activities that include fund management, brokerage, retirement, and employer administrative services.
The portfolio manager's compensation plan may give rise to potential conflicts of interest. The portfolio manager's compensation is linked to the pre-tax performance of the fund, rather than its after-tax performance. The portfolio manager's base pay tends to increase with additional and more complex responsibilities that include increased assets under management and a portion of the bonus relates to marketing efforts, which together indirectly link compensation to sales. When a portfolio manager takes over a fund or an account, the time period over which performance is measured may be adjusted to provide a transition period in which to assess the portfolio. The management of multiple funds and accounts (including proprietary accounts) may give rise to potential conflicts of interest if the funds and accounts have different objectives, benchmarks, time horizons, and fees as the portfolio manager must allocate time and investment ideas across multiple funds and accounts. In addition, a fund's trade allocation policies and procedures may give rise to conflicts of interest if the fund's orders do not get fully executed due to being aggregated with those of other accounts managed by FMR or an affiliate. The portfolio manager may execute transactions for another fund or account that may adversely impact the value of securities held by a fund. Securities selected for other funds or accounts may outperform the securities selected for the fund. Portfolio managers may be permitted to invest in the funds they manage, even if a fund is closed to new investors. Trading in personal accounts, which may give rise to potential conflicts of interest, is restricted by a fund's Code of Ethics.
Portfolio managers may receive interests in certain funds or accounts managed by FMR or one of its affiliated advisers (collectively, "Proprietary Accounts"). A conflict of interest situation is presented where a portfolio manager considers investing a client account in securities of an issuer in which FMR, its affiliates or their (or their fund clients) respective directors, officers or employees already hold a significant position for their own account, including positions held indirectly through Proprietary Accounts. Because the 1940 Act, as well as other applicable laws and regulations, restricts certain transactions between affiliated entities or between an advisor and its clients, client accounts managed by FMR or its affiliates, including accounts sub-advised by third parties, are, in certain circumstances, prohibited from participating in offerings of such securities (including initial public offerings and other offerings occurring before or after an issuers initial public offering) or acquiring such securities in the secondary market. For example, ownership of a company by Proprietary Accounts has, in certain situations, resulted in restrictions on FMRs and its affiliates client accounts ability to acquire securities in the companys initial public offering and subsequent public offerings, private offerings, and in the secondary market, and additional restrictions could arise in the future; to the extent such client accounts acquire the relevant securities after such restrictions are subsequently lifted, the delay could affect the price at which the securities are acquired.
A conflict of interest situation is presented when FMR or its affiliates acquire, on behalf of their client accounts, securities of the same issuers whose securities are already held in Proprietary Accounts, because such investments could have the effect of increasing or supporting the value of the Proprietary Accounts. A conflict of interest situation also arises when FMR investment advisory personnel consider whether client accounts they manage should invest in an investment opportunity that they know is also being considered by an affiliate of FMR for a Proprietary Account, to the extent that not investing on behalf of such client accounts improves the ability of the Proprietary Account to take advantage of the opportunity. FMR has adopted policies and procedures and maintains a compliance program designed to help manage such actual and potential conflicts of interest.
The following table provides information relating to other accounts managed by Mr. Lee as of August 31, 2022:
Registered Investment Companies* |
Other Pooled Investment Vehicles |
Other Accounts |
|
Number of Accounts Managed | 18 | 28 | 6 |
Number of Accounts Managed with Performance-Based Advisory Fees | 3 | none | none |
Assets Managed (in millions) | $97,297 | $2,585 | $1,343 |
Assets Managed with Performance-Based Advisory Fees (in millions) | $6,427 | none | none |
* Includes Fidelity® Series All-Sector Equity Fund ($2,963 (in millions) assets managed).
As of August 31, 2022, the dollar range of shares of Fidelity® Series All-Sector Equity Fund beneficially owned by Mr. Lee was none.
DLFB-22-011.881204.114 |
November 14, 2022 |