| Return Reference | Explanation |
|---|---|
| Officer directors etc family relationship Part VI line 2 | THE RELATIONSHIP BETWEEN THE TUSTEES OF THE FUND IS A BUSINESS RELATIONSHIP. THE FUND IS ESTABLISHED AND MAINTAINED PURSUANT TO ERISA. THE FUND IS A TAFT-HARTLEY FUND ADMINISTERED BY A BOARD OF TRUSTEES COMPOSED OF AN EQUAL NUMBER OF UNION AND EMPLOYER REPRESENTATIVES. BECAUSE OF THIS ORGANIZATIONAL REQUIREMENT, A BUSINESS RELATIONSHIP EXISTS BETWEEN THE TRUSTEES. GENO ALESSANDRINI, SR GENO ALESSANDRINI, JRTRUSTEE TRUSTEEFATHER/SON |
| Member election for additional members Part VI line 7a | UNION AND THE EMPLOYER ASSOCIATIONS HAVE THE POWER TO APPOINT TRUSTEES. |
| Form 990 governing body review Part VI line 11 | THE FORM 990 IS PRESENTED AND APPROVED AT THE BOARD OF TRUSTEES MEETING, SUBJECT TO REVIEW AND APPROVAL BY THE FUNDS ATTORNEY. |
| Conflict of interest policy compliance Part VI line 12c | ANNUALLY EACH TRUSTEE MUST ANSWER THE FIDUCIARY LIABILITY INSURANCE RENEWAL QUESTIONNAIRE, WHICH CONTAINS QUESTIONS REGARDING ACTUAL, AS WELL AS POTENTIAL, CONFLICTS OF INTEREST. |
| CEO executive director top management comp Part VI line 15a | THE FUND DID NOT HAVE ANY EMPLOYEES WHO MET THE DEFINITIONS IN THE FUND YEAR. IF THE FUND HAD EMPLOYEES THAT MET THE LISTED DEFINITIONS, THEN ANY COPENSATION WOULD HAVE BEEN ESTABLISHED IN ACCORDANCE WITH THE PROCESS AS DESCRIBED IN PAVRT VI, LINE 15A OF FORM 990. |
| Other officer or key employee compensation Part VI line 15b | THE FUND DID NOT HAVE ANY EMPLOYEES WHO MET THE DEFINITIONS IN THE FUND YEAR. IF THE FUND HAD EMPLOYEES THAT MET THE LISTED DEFINITIONS, THEN ANY COPENSATION WOULD HAVE BEEN ESTABLISHED IN ACCORDANCE WITH THE PROCESS AS DESCRIBED IN PAVRT VI, LINE 15A OF FORM 990. |
| Governing documents etc available to public Part VI line 19 | THE FUND IS ESTABLISHED AND MAINTAINED PURSUANT TO THE EMPLOYEE RETIREMENT SECURITY ACT OF 1974, AS AMENDED. IT OPERATES IN COMPLIANCE WITH THE REPORTING AND DISCLOSURE REQUIREMENTS OF SUBTITLE B, PART 1 OF ERISA WITH RESPECT TO DISCLOSURE OF IT GOVERNING DOCUMENTS AND FINANCIAL INFORMATION. IT OPERATES IN COMPLIANCE WITH THE FIDUCIARY RESPONSIBILITY REQUIREMENTS OF SUBTITLE B, PART 4 OF ERISA. THE FUND DOES NOT HAVE A CONFLICT OF INTEREST POLICY. |
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