FRANKLIN TEMPLETON INVESTMENTS
ONE FRANKLIN PARKWAY
SAN MATEO, CA 94403-1906
February 3, 2016
VIA EDGAR
Ms. Christina DiAngelo Fettig
Mr. Jeffrey Long
U.S. Securities and Exchange Commission
Division of Investment Management
Office of Disclosure and Review
100 F Street, NE
Washington, DC 20549-8626
Subject: Franklin, Templeton, and New Jersey/Alternative Strategies Funds (the
“Funds”) (as listed on the attached Appendix)
Dear Ms. DiAngelo Fettig and Mr. Long:
On behalf of the Funds, the following are the responses to the Staff’s comments conveyed telephonically on December 30, 2015 with regard to the various filings made by the Funds with the U.S. Securities and Exchange Commission (“SEC”) on Forms N-CSR and N-SAR, as well as corresponding disclosures made in their prospectuses filed as part of their Registration Statements on Form N-1A. References made to the Funds’ shareholder reports are referring to those shareholder reports reviewed by the SEC Staff, as listed on the Appendix. Each comment is summarized below, followed by the Funds’ response to the comment.
Comments to Series/Class Information:
1. Comment: Please update the ticker symbols for all classes of all Funds, as applicable. For example, the ticker symbols of the Class C shares of the Franklin Biotechnology Fund and the Class R6 shares of the Franklin Focused Core Equity Fund, each a series of Franklin Strategic Series, are not currently provided.
Response: The ticker symbols for Class C shares of the Franklin Biotechnology Fund and for Class R6 shares of the Franklin Focused Core Equity Fund have been updated. In addition, the other Funds’ ticker symbols, to the extent available, have been confirmed and, where applicable, updated.
2. Comment: The Templeton Constrained Bond Fund series of Templeton Income Trust has been liquidated. Please mark the series/class identifiers as inactive as soon as the Fund completes its last filing.
Response: The series/class information has been updated to reflect the Fund’s inactive status.
Ms. Christina DiAngelo Fettig
Mr. Jeffrey Long
February 3, 2016
Page2
Comments Regarding Funds’ Filing History:
1. Comment: With respect to Funds that have filed a Form N-17f-2, verification of securities by an independent public accountant and the filing of the certificate of such accountant is required at least three times during each fiscal year. It appears that certain Funds have not filed a Form N-17f-2 the requisite three times. For example, Franklin Strategic Series did not make three N-17f-2 filings in 2013. In addition, Templeton Funds made only one filing over the past three years, which was in 2015. Please explain.
Response: The required Rule 17f-2 exams were properly filed for the Funds listed above. Below are the Accession Numbers, Filing Dates, Examination Dates and Periods to which these filings relate:
Franklin Strategic Series
Accession No. | Filed: | Date of Examination: | Period Examined: |
0000872625-14-000020 | June 27, 2014 | June 6, 2014 | August 1, 2013 - January 31, 2014 |
0000872625-13-000054 | December 9, 2013 | November 22, 2013 | April 1, 2013 - July 31, 2013 |
0000872625-13-000025 | July 10, 2013 | June 18, 2013 | January 1, 2013 - March 31, 2013 |
Templeton Funds*
Accession No. | Filed: | Date of Examination: | Period Examined: |
0000225930-15-000013 | June 12, 2015 | May 29, 2015 | February 1, 2015 - March 31, 2015 |
0000225930-16-000033 | January 22, 2016 | October 23, 2015 | April 1, 2015 - June 30, 2015 |
* For the Templeton Funds, the Form N-17f-2 was not required until the reporting period beginning February 1, 2015, which was why there were only two examinations in 2015.
In addition, the Funds required to file Form N-17f-2 confirm that they made the requisite filings in 2013, 2014 and 2015.
Comments to Form N-CSR:
1. Comment: With respect to the expense ratios reflected under “Your Fund’s Expenses” in the Management’s Discussion of Fund Performance (“MDFP”) section of the shareholder reports for certain Funds, consider including a reference (footnote or otherwise) to the fact that more up-to-date expense ratios for the Fund are included in the financial highlights section of the report
Ms. Christina DiAngelo Fettig
Mr. Jeffrey Long
February 3, 2016
Page3
Response: The Funds will consider adding a footnote to the performance section of the MDFP to refer the reader to the Financial Highlights for more current information.
2. Comment: With respect to the Franklin Federal Limited Term Tax Free Income Fund, please explain why under “Performance Summary – Performance” in the MDFP in the February 28, 2015 Shareholder Report, the total operating expenses (without waiver) for Class A and Advisor Class shares do not reflect the Total annual Fund operating expenses (without waiver) set forth in the Fee Table in the July 1, 2014 prospectus.
Response: Effective April 1, 2014, the investment management fee for such Fund was reduced and inadvertently not reflected as a restatement in the Fund’s July 1, 2014 prospectus. The reduced management fee was reflected accurately in the July 1, 2015 prospectus. Due to the fee waiver in place during this time, the total operating expenses after fee waiver were accurately disclosed in the July 1, 2014 prospectus and in the February 28, 2015 annual report in the MDFP and matched the Fund’s financial highlights.
3. Comment: With respect to the MDFP section of the shareholder reports for the Franklin Conservative, Moderate and Growth Allocation Funds and the Franklin Target Date Retirement Funds, it appears that the equity and fixed income benchmarks for these Funds have changed. Pursuant to Instruction 7 of Item 27(b)(7) of Form N-1A, please disclose the reason for the changes in the benchmarks.
Response: The reason for changes to the benchmarks was inadvertently omitted from the Shareholder Reports reviewed and will be disclosed in the next Shareholder Report for such Funds. As disclosed in such Funds’ prospectuses, the benchmarks were changed because such Funds’ investment manager believes the composition of the new indices more accurately reflects such Funds’ holdings.
4. Comment: With respect to the Performance Summary included within the MDFP section of the shareholder report for the Franklin Conservative, Moderate and Growth Allocation Funds, the investment goals stated in the report do not match the investment goals stated in the Funds’ prospectus. For example, the Franklin Conservative Allocation Fund’s prospectus states that the Fund’s objective is to seek the highest level of long-term total return that is consistent with anacceptable level of risk, while the Fund’s shareholder report states that the Fund seeks the highest level of long-term total return consistent with alower level of risk. Please ensure the investment goals for each Fund are presented consistently.
Response: The next Shareholder Report for such Funds will be updated to reflect the prospectus language.
5. Comment: In the Schedule of Investments for Funds investing in floating rate loans, consider providing now, prior to effectiveness of proposed rule amendments, further terms of each instrument, including the terms of the interest rate (e.g., the base rate, spread and any applicable floors).
Ms. Christina DiAngelo Fettig
Mr. Jeffrey Long
February 3, 2016
Page4
Response: Such Funds respectfully note that the information included in the proposed rule amendments is not yet required and may change when finalized.
6. Comment: In the Schedule of Investments for the applicable Funds, for credit default swaps, consider providing further detail regarding the reference assets, particularly where the underlying reference asset is not just a single issuer name.
Response: The Funds will consider adding additional detail regarding the reference assets similar to the “Abbreviations” section as included on the last page of the financial statements.
7. Comment: In the Schedule of Investments for the Franklin Corefolio Allocation Fund, provide the basis for categorizing the Templeton Growth Fund as “foreign equity” – we note that Templeton Growth Fund had approximately 36% of its assets in U.S. securities.
Response: In accordance with Franklin Templeton’s internal procedures, we currently use either “domestic equity” or “foreign equity.” Given that more than 50% of Templeton Growth Fund is invested in foreign equity securities, the category is representative of the primary holdings and the Fund believes this is the appropriate categorization.
8. Comment: In the Schedule of Investments for Funds investing in warrants, please be consistent in marking them as non-income producing where applicable. We note specifically Franklin Global Real Estate Fund and Franklin Emerging Markets Debt Opportunities Fund.
Response: In the Funds’ Schedule of Investments, non-income producing warrants are footnoted as such. Warrants that are income producing are not footnoted. We confirmed that the two warrants included in Franklin Emerging Market Debt Opportunities Fund are income producing and therefore correctly were not footnoted in the Schedule of Investments. We also confirmed that the warrant held in Franklin Global Real Estate Fund is accurately footnoted as non-income producing.
9. Comment: In the Schedule of Investments for Funds investing in preferred stock, please be consistent in providing the dividend rate.
Response: For Funds investing in preferred stock, the Statement of Investments reflects the dividend rate for securities with a stated rate, if any. In case of securities with variable rates, the rate or the terms of the rate will be reflected in future Shareholder Reports.
10. Comment: In the Schedule of Investments for Franklin Strategic Income VIP Fund, we note that iShares iBoxx High Yield Corporate Bond ETF holding is listed under “Common Stocks and Other Equity Interests” whereas other Funds list ETFs in their own separate category. Consider being consistent in how ETFs are categorized.
Ms. Christina DiAngelo Fettig
Mr. Jeffrey Long
February 3, 2016
Page5
Response: We recently updated our internal procedures to include all investments in Regulated Investment Companies, including ETFs and excluding short term investments in Money Market Funds, under the category “Management Investment Companies.” Our Funds of Funds follow the same procedure but categorize these investments as “Investments in Underlying Funds and Exchange Traded Funds.” Therefore, going forward there will be consistent categorization.
11. Comment: In the Statement of Assets and Liabilities for Funds of Funds, clearly identify investments in affiliated funds, rather than referencing “Underlying Funds.”
Response: The internal procedures for Non-Funds of Funds were recently updated to reflect the following categories for underlying funds: Unaffiliated issuers, Controlled affiliates and Non-controlled affiliates. The Statement of Assets and Liabilities as presented in the most recent 10/31/15 Shareholder Report of Franklin Total Return Fund (Form N-CSR filed with the SEC on 1/05/2016) reflects this change. Similar updates to the Funds of Funds will be made in accordance with Regulation S-X 6.04.
12. Comment: In the Notes to Financial Statements, for those Funds with a tiered investment management fee, disclose the effective rate paid during the period.
Response: The Funds with tiered investment management fees will include the effective rate in future Shareholder Reports.
13. Comment: In the Notes to Financial Statements, for those Funds engaged in securities lending, disclose that the income received from the investment of cash collateral is net of fees paid to the securities lending agent.
Response: Such Funds will disclose that income reported on the Statement of Operations is net of fees and rebates.
14. Comment: In the Notes to Financial Statements under “Transactions with Affiliates,” consider disclosing that any fees waived or expenses reimbursed are not subject to future recapture.
Response: Going forward, the following disclosure will be included in the Notes to Financial Statements: “Total expenses waived or paid are not subject to reimbursement by the Fund subsequent to the Fund’s fiscal year-end.”
15. Comment: In the Notes to Financial Statements, consider disclosing the counterparty(ies) for the Global Credit Facility.
Response: The Funds participate in a joint syndicated program involving 16 different counterparties. The Funds believe disclosing all 16 counterparties might not be useful to thereader of the Shareholder Reports and could make the existing note disclosure confusing and less useful. Accordingly, the Funds have decided not to disclose the counterparties.
Ms. Christina DiAngelo Fettig
Mr. Jeffrey Long
February 3, 2016
Page6
16. Comment: For some Funds (e.g. Franklin Managed Volatility Global Allocation VIP Fund), the financial statements are captioned “consolidated,” while other Funds with wholly owned subsidiaries, do not caption their financial statements as “consolidated.” The Staff does not believe that the materiality of such subsidiary is relevant to using “consolidated” in the description.
Response: Those Funds consolidating a wholly owned subsidiary, regardless of materiality, will include “consolidated” in the Financial Statement headings in future Shareholder Reports.
17. Comment: In the Notes to Financial Statements for those Funds that have unfunded loan commitments, i.e., Franklin Strategic Income Fund, Franklin Strategic Income VIP Fund and Franklin Templeton Emerging Markets Debt Opportunities Fund, please confirm to the Staff that each such Fund has sufficient unrestricted cash or other liquid securities to cover its obligations.
Response: Such Funds confirm that they have sufficient unrestricted cash or other liquid securities to cover their unfunded loan commitments.
18. Comment: In the Notes to Financial Statements for Franklin Strategic Income Fund under “Other Derivative Information,” and for other Funds that may have significant derivative activity during the period, consider providing further information other than the average month end fair value of such derivatives and average month end number of open derivative contracts. For example, providing break down by specific type of derivative or number of contracts and/or notional value.
Response: The applicable Funds will consider adding further information related to derivative volume disclosure in future Shareholder Reports.
19. Comment: In the “Board Review of Investment Management Agreement” section of the Shareholder Report for Franklin U.S. Government Securities VIP Fund, this Fund appears to be the only Fund without a separate discussion of fund performance. Please explain.
Response: The discussion of fund performance for the Franklin U.S. Government Securities VIP Fund was prepared and approved for use and included in the applicable Board Meeting minutes, but was inadvertently omitted from the final Shareholder Report, due to administrative error.
Comment to Prospectuses
Ms. Christina DiAngelo Fettig
Mr. Jeffrey Long
February 3, 2016
Page7
1. Comment: For the Franklin VolSmart Allocation VIP Fund, please provide further detail on the adjustment of such Fund’s fees from those shown in the Financial Highlights to those disclosed in the Fund’s fee table in the May 1, 2015 prospectus.
Response: As noted in the footnote to the Fund’s fee table, the annual fund operating expenses had been restated to reflect changes in the management fee of the Fund, as well as changes in other expenses and acquired fund fees and expenses due to the Fund’s revised investment strategies. In particular, effective on May 1, 2015, the Fund’s management fee changed from an annual rate of 1.00% (with breakpoints ending at 0.90% based on assets under management) to an annual flat rate of 0.80% of the value of the Fund’s average daily net assets. In addition, effective on May 1, 2015, the Fund’s investment strategies were revised, which resulted in: (1) the removal of the strategy to invest in a Cayman subsidiary to gain exposure to certain investments; and (2) an increase in the assets invested in other underlying Franklin Templeton Investments funds. Consequently, the Funds’ anticipated “other expenses” and “acquired fund fees and expenses,” respectively, for the upcoming fiscal year were restated to more accurately reflect the Funds’ anticipated expenses going forward. Please note that at the time of such investment strategy and fee changes, an affiliate of the Fund was the sole shareholder of the Fund.
Comment to Form N-SAR:
1. Comment: For Franklin Short Duration U.S. Government ETF, item 63 of the Fund’s Form N-SAR disclosed an average maturity of 15.3 years while the Fund’s prospectus disclosed an average portfolio duration of three (3) years or less. Please explain how the Fund may have such a high average portfolio maturity while still targeting a low duration.
Response: The Franklin Short Duration U.S. Government ETF maintains a duration of 3 years or less by allocating a significant portion of the portfolio to adjustable rate Mortgage Backed Securities where the maturity date could be up to 30 years. Since the coupon in these bonds reset periodically, the interest rate risk is significantly less than what would be expected by looking at the maturity alone. The Fund tends to favor bonds that have a weighted average number of months to the next coupon reset that is less than one year. This means that in aggregate, the duration can be less than one year. Additionally, as disclosed in the Fund’s prospectus, for purposes of calculating the Fund’s average portfolio duration, the Fund includes the effect of the interest rate/bond futures contracts held by the Fund. The Fund does not include futures contracts in its response to item 63 to Form N-SAR.
We believe that we have responded fully to each of the SEC’s Staff comments as set forth above. However, should you have any further questions or require any further information, please do not hesitate to contact the undersigned at 650-312-5651, or, in her absence, Laura Fergerson at 916-463-5030.
Ms. Christina DiAngelo Fettig
Mr. Jeffrey Long
February 3, 2016
Page8
In connection with the Funds’ responses to the SEC Staff’s comments to the Funds’ filings noted in this letter, as requested by the Staff, each Fund acknowledges that: (i) the Fund is responsible for the adequacy of the disclosure in the Fund’s filings; (ii) Staff comments or changes to disclosure in response to Staff comments in the filings reviewed by the Staff do not foreclose the SEC from taking any action with respect to the filings; and (iii) the Fund may not assert Staff comments as a defense in any proceeding initiated by the SEC under the federal securities laws of the United States.
Very truly yours,
/s/KAREN L. SKIDMORE
Karen L. Skidmore
Vice President
On behalf of the Funds listed in the attached Appendix
APPENDIX
FUNDS AND FINANCIAL STATEMENTS REVIEWED BY SEC STAFF
October 31, 2014 financial statements:
Franklin Investors Securities Trust 811-04986 Filed 12/30/2014
Franklin Convertible Securities Fund
Franklin Adjustable U.S. Govt Sec Fund
Franklin Equity Income Fund
Franklin Total Return Fund
Franklin Floating Rate Daily Access Fund
Franklin Real Return Fund
Franklin Low Duration Total Return Fund
Franklin Balanced Fund
Franklin Templeton Global Trust 811-04450 Filed 12/30/2014
Templeton Hard Currency Fund
Franklin Templeton International Trust 811-06336 Filed 12/30/2014
Templeton Foreign Smaller Companies Fund
Franklin India Growth Fund
Franklin World Perspectives Fund
Franklin Value Investors Trust 811-05878 Filed 2/30/2014
Franklin Balance Sheet Investment Fund
Franklin Small Cap Value Fund
Franklin MicroCap Value Fund
Franklin Large Cap Value Fund
Franklin MidCap Value Fund
Franklin All Cap Value Fund
December 31, 2014 financial statements:
Franklin Templeton Variable Insurance Products Trust 811-05583 3 N-CSRs filed
3/4/2015;
N-CSR/A filed 3/20/2015
Franklin Founding Funds Allocation VIP Fund
Franklin Global Real Estate VIP Fund
Franklin Growth & Income VIP Fund
Franklin High Income VIP Fund
Franklin Income VIP Fund
Franklin Large Cap Growth VIP Fund
Franklin Mutual Global Discovery VIP Fund
Franklin Mutual Shares VIP Fund
Franklin Rising Dividends VIP Fund
Franklin Small Cap Value VIP Fund
Appendix - 1
Franklin Small-Mid Cap Growth VIP Fund
Franklin Strategic Income VIP Fund
Franklin U.S. Government Securities VIP Fund
Franklin Developing Markets VIP Fund
Franklin Foreign VIP Fund
Templeton Global Bond VIP Fund
Templeton Growth VIP Fund
Franklin Flex Cap Growth VIP Fund
Franklin Managed Volatility Global Allocation VIP Fund
Franklin Fund Allocator Series 811-07851 Filed 3/4/2015
Franklin Corefolio Allocation Fund
Franklin Founding Funds Allocation Fund
Franklin Conservative Allocation Fund
Franklin Growth Allocation Fund
Franklin Moderate Allocation Fund
2015 Retirement Target Fund
2020 Retirement Target Fund
2025 Retirement Target Fund
2030 Retirement Target Fund
2035 Retirement Target Fund
2040 Retirement Target Fund
2045 Retirement Target Fund
2050 Retirement Target Fund
Franklin Mutual Series Funds 811-05387 Filed 3/5/2015
Franklin Mutual Shares Fund
Franklin Mutual Quest Fund
Franklin Mutual Beacon Fund
Franklin Mutual Global Discovery Fund
Franklin Mutual European Fund
Franklin Mutual Financial Services Fund
Franklin Mutual International Fund
Templeton Developing Markets Trust 811-06378 Filed 3/3/2015
Templeton Dragon Fund, Inc. 811-08394 Filed 3/3/2015
Templeton Global Opportunities Trust 811-05914 Filed 3/3/2015
Templeton Institutional Funds 811-06135 Filed 3/3/2015
Foreign Equity Series
Emerging Markets Series
Foreign Smaller Companies Series
Global Equity Series
Appendix - 2
February 28, 2015 financial statements:
Franklin Tax Free Trust 811-04149 Filed 5/1/2015
Franklin Alabama Tax-Free Income Fund
Franklin Florida Tax-Free Income Fund
Franklin Georgia Tax-Free Income Fund
Franklin Kentucky Tax-Free Income Fund
Franklin Louisiana Tax-Free Income Fund
Franklin Maryland Tax-Free Income Fund
Franklin Missouri Tax-Free Income Fund
Franklin North Carolina Tax-Free Income Fund
Franklin Virginia Tax-Free Income Fund
Franklin Arizona Tax-Free Income Fund
Franklin Colorado Tax-Free Income Fund
Franklin Connecticut Tax-Free Income Fund
Franklin Double Tax-Free Income Fund
Franklin Fed Intermediate Term Tax-Free Income Fund
Franklin Federal Limited Term Tax Free Income Trust
Franklin High Yield Tax-Free Income Fund
Franklin Insured Tax-Free Income Fund
Franklin Massachusetts Tax-Free Income Fund
Franklin Michigan Tax-Free Income Fund
Franklin Minnesota Tax-Free Income Fund
Franklin New Jersey Tax-Free Income Fund
Franklin Ohio Tax-Free Income Fund
Franklin Oregon Tax-Free Income Fund
Franklin Pennsylvania Tax-Free Income Fund
March 31, 2015 financial statements:
Franklin California Tax-Free Income Fund 811-02790 Filed 5/29/2015
Franklin Mutual Recovery Fund 811-21306 Filed 5/29/2015
Franklin Limited Duration Income Trust 811-21357 Filed 5/29/2015
Templeton Global Investment Trust 811-08226 Filed 6/2/2015
Templeton Global Balanced Fund
Templeton BRIC Fund
Templeton Emerging Markets Small Cap Fund
Templeton Frontier Markets Fund
Templeton Emerging Markets Balanced Fund
Templeton Russia and East European Fund, Inc. 811-08788 Filed 6/2/2015
April 30, 2015 financial statements:
Franklin Strategic Series 811-06243 Filed 6/30/2015
Appendix - 3
Franklin Flex Cap Growth Fund
Franklin Focused Core Equity Fund
Franklin Growth Opportunities Fund
Franklin Small Cap Growth Fund
Franklin Small-Mid Cap Growth Fund
Franklin Biotechnology Discovery Fund
Franklin Natural Resources Fund
Franklin Strategic Income Fund
Franklin Global Government Bond Fund
Franklin Federal Tax-Free Income Fund 811-03395 Filed 6/29/2015
Franklin Real Estate Securities Trust 811-08034 Filed 6/29/2015
Franklin Real Estate Securities Fund
May 31, 2015 financial statements:
Franklin Fund Allocator Series 811-07851 Filed 8/5/2015
Franklin Templeton Multi-Asset Real Return Fund
Franklin Alternative Strategies Funds 811-22641 Filed 8/6/2015
Franklin K2 Alternative Strategies Fund
Franklin Pelagos Commodities Strategy Fund
Franklin ETF Trust 811-22801 Filed 8/6/2015
Franklin Short Duration U.S. Government ETF
Franklin Municipal Securities Trust 811-06481 Filed 8/5/2015
Franklin California High Yield Municipal Fund
Franklin Tennessee Municipal Bond Fund
Franklin High Income Trust 811-01608 Filed 8/6/2015
Franklin High Income Fund
Franklin New York Tax-Free Income Fund 811-03479 Filed 8/5/2015
Franklin Templeton International Trust 811-06336 Filed 8/5/2015
Franklin Templeton Global Allocation Fund
June 30, 2015 financial statements:
Franklin California Tax-Free Trust 811-04356 Filed 8/28/2015
Franklin CA Insured Tax-Free Income Fund
Franklin CA Tax-Exempt Money Fund
Franklin CA Inter.-Term Tax-Free Income Fund
Institutional Fiduciary Trust 811-04267 Filed 8/28/2015
Money Market Portfolio
Appendix - 4
Franklin U. S. Government Money Fund 811-02605 Filed 8/31/2015
The Money Market Portfolios 811-07038 Filed 8/28/2015
The Money Market Portfolio
Franklin Templeton Money Fund Trust �� 811-08962 Filed 8/31/2015
Franklin Templeton Money Fund
July 31, 2015 financial statements:
Franklin Floating Rate Master Trust 811-09869 Filed 9/29/2015
Franklin Floating Rate Master Series
Franklin Global Trust 811-10157 Filed 9/29/2015
Franklin International Small Cap Growth Fund
Franklin Large Cap Equity Fund
Franklin Emerging Market Debt Opportunities
Franklin Global Real Estate Fund
Franklin International Growth Fund
Franklin Global Listed Infrastructure Fund
Franklin Gold and Precious Metals Fund 811-01700 Filed 9/30/2015
August 31, 2015 financial statements:
Franklin Universal Trust 811-05569 Filed 10/29/2015
Templeton China World Fund 811-07876 Filed 10/30/2015
Templeton Emerging Markets Fund 811-04985 Filed 10/29/2015
Templeton Emerging Markets Income Fund 811-07866 Filed 10/29/2015
Templeton Funds 811-02781 Filed 10/30/2015
Templeton World Fund
Templeton Foreign Fund
Templeton Global Income Fund 811-05459 Filed 10/30/2015
Templeton Global Smaller Companies Fund 811-03143 Filed 10/29/2015
Templeton Growth Fund, Inc. 811-04892 Filed 10/29/2015
Templeton Income Trust 811-04706 Filed 10/30/15
Templeton Global Bond Fund
Templeton International Bond Fund
Templeton Global Total Return Fund
Templeton Emerging Markets Bond Fund
Templeton Constrained Bond Fund
Appendix - 5
September 30, 2015 financial statements:
Franklin Custodian Funds 811-00537 Filed 12/2/2015
Franklin Growth Fund
Franklin DynaTech Fund
Franklin Utilities Fund
Franklin Income Fund
Franklin U.S. Government Securities Fund
Franklin Managed Trust 811-04894 Filed 11/30/2015
Franklin Rising Dividends Fund
Franklin New York Tax-Free Trust 811-04787 Filed 12/1/2015
Franklin NY Intermediate-Term Tax-Free Income
Franklin Strategic Mortgage Portfolio 811-07288 Filed 12/1/2015
Appendix - 6