Exhibit EX-99.CODE ETH

UBS GLOBAL ASSET MANAGEMENT FUNDS

Code of Conduct



Introduction
This Code of Conduct ("Code") applies to U.S. registered investment companies
("Funds") for which UBS Global Asset Management ("UBS Global AM") acts as
advisor, sub-advisor and/or manager where UBS Global AM employees serve as
officers of the Funds. This Code shall serve as the code of ethics required by
Section 406 of the Sabanes-Oxley Act.

This Code applies to a Fund's principal executive officer, principal financial
officer, principal accounting officer or controller, or persons performing
similar functions, regardless of whether these individuals are employed by the
registrant or a third party.

Compliance with Laws, Rules and Regulations
Each person to whom this Code applies (a "Covered Person") must respect, and
comply with, the laws, rules and regulations applicable to a Fund.

It is the personal responsibility of each Covered Person to adhere to the
standards and restrictions imposed by those laws, rules and regulations.

Integrity and Conflicts of Interest
Each Covered Person must act ethically, with honesty and integrity, including
the ethical handling of actual or apparent conflicts of interest between
personal and professional relationships. A conflict of interest exists when a
person's private interest interferes, or appears to interfere, in any way with
the interests of a Fund.

Any Covered Person who becomes aware of a conflict of interest or potential
conflict of interest not addressed by existing policies or procedures (e.g.,
Rule 17e-1 Procedures) must promptly consult the Compliance Procedure described
in this Code.

Fair Dealing
A Covered Person must not take unfair advantage of a Fund through manipulation,
concealment, abuse of privileged information, misrepresentation of material
facts, or any other unfair practice.

A Covered Person must respect and promote compliance with applicable insider
trading laws, rules and regulations as well as with the internal directives and
policies of UBS Global AM concerning illegal or unethical trading while in
possession of material non-public information.

Fund Opportunities
A Covered Person must abstain from taking for himself or herself personally, or
directing to third parties, opportunities that are discovered through the use of
Fund property, information or position, or otherwise competing with the
interests of a Fund, unless a Fund has already been offered the opportunity and
turned it down or such actions are otherwise consistent with the policies and
practices disclosed in the Fund's disclosure documents or approved by the Fund's
board or otherwise permissible under securities laws and regulations (e.g., soft
dollars, trade allocation policies).

Protection and Proper Use of Fund Assets A Covered Person must endeavor to
protect a Fund's assets.

Fund property should not be used for personal use.


Disclosure in Reports and Documents
A Covered Person must see that a Fund discloses information fully, fairly,
accurately, timely and understandably in reports and documents that a Fund files
with, or submits to, the SEC and in other public communications made by a Fund.

Reporting Any Violations of the Code
A Covered Person must promptly consult the Compliance Procedure described in
this Code about any observed violations of this Code, including any violations
of laws, rules, regulations or other legal requirements or when in doubt about
the best course of action in a particular situation.

It is the policy of UBS Global AM not to allow retaliation for reports of
misconduct by others made in good faith.

Reports may be made anonymously if the situation requires that identity be kept
secret. UBS Global AM has established an ethics hotline that permits the
anonymous reporting of ethical violations.

Waivers of this Code
Any waiver of this Code may be made only by the Board of the relevant Fund or
the General Counsel or a Deputy General Counsel of UBS Global AM and will be
disclosed as required by applicable law or regulations. Any waiver by the
General Counsel or a Deputy General Counsel of UBS Global AM must be reported to
the Board of the relevant Fund no later than their next regularly scheduled
meeting.

For purposes of this provision, the term "waiver" means the approval of a
material departure from a provision in this Code. It also includes an "implicit
waiver," which means the failure to take action within a reasonable period of
time regarding a material departure from a provision of the Code that has been
made known to an executive officer of a fund or the General Counsel or a Deputy
General Counsel of UBS Global AM.

Any person granting a waiver is responsible for promptly alerting the persons
responsible for preparing SEC filings so that required disclosure regarding a
waiver may be timely included in filings (e.g., Form N-CSR filings).

Compliance Procedure
If you are unsure about how to handle a situation with regard to this Code or
are aware of any violations or apparent violations of this Code promptly contact
the General Counsel or a Deputy General Counsel of UBS Global AM.

A Fund's Board, the General Counsel or a Deputy General Counsel of UBS Global AM
has the authority to interpret this Code in any particular situation.

Accountability for Adherence to this Code
Those who violate the standards in this Code will be subject to disciplinary
proceedings or dismissal by UBS Global AM.

A copy of this Code shall be provided to each Covered Person.

Note Regarding Interplay with Other Requirements
This Code deals with the required standards of fairness, honesty and integrity
in a universal and general manner. UBS Global AM and its affiliates have issued,
and will issue from time to time, more specific directives, policies, principals
and procedures to implement such values while reflecting the specific



requirements of a business group, business area or a particular jurisdiction. If
there is any inconsistency between the requirements of this Code or any other
applicable policy, the higher standard shall apply.

This Code is supplemental to, and does not replace, any other code applicable to
Covered Persons, such as a code of ethics regarding personal investing or
restrictions on the receipt of gifts from third-party vendors or service
contractors.

                                                                  [4/03 Version]