AUMdb

Nuveen Fund Advisors, Llc

SEC-registered Mutual Fund / Asset Manager · Mega ($100B+) CRD 104626 · SEC file 801-14147 · Chicago, IL · LINKEDIN.COM
☆ Save with Pro ADV data as of Mar 30, 2026
Regulatory AUM
$186B
Discretionary
$186B
Clients
235
Avg AUM / client
$793M
Accounts
235
Employees
137

AUM over time

$101B $194B
Dec 2011 Dec 2025

Annual snapshots from Form ADV filings · as of Mar 30, 2026

Investments (13F portfolio — 1 positions, $0)

13F period Sep 30, 2019
#IssuerClassValueShares% of 13F% of AUM
1 0 0 $0 0 0.0%

Top 25 of 1 positions from the manager's latest Form 13F · source filing (EDGAR) ↗. 13F covers long US-listed positions only. "% of AUM" is share of the firm's total regulatory AUM (Form ADV Item 5.F).

Who they serve

Client typeClientsAUM% of AUM
Investment companies 142 $147B 79.1%
Pooled investment vehicles (non-investment companies) 93 $38.9B 20.9%

Retirement plan clients

Plans that reported this firm as an investment service provider on Form 5500 Schedule C.

Plan Location Plan year
Leeward Construction, Inc. Employees Retirement Plan Leeward Construction, Inc. 2024

People (6)

NameRole / titleCredentialsWith firm sinceOwnership
Perry, Michael, Andrew Executive Vice President Feb 2017 (10y) Less than 5%
Mogavero, Erik, Peter Chief Compliance Officer Aug 2017 (9y) Less than 5%
Salami, Oluseun, S. Executive Vice President And Chief Financial Officer Nov 2020 (6y) Less than 5%
Whitten, Cinda, Dawn Head Of Global Investment Operations Sep 2022 (4y) Less than 5%
Mccann, John, Michael Managing Director, General Counsel & Assistant Secretary Mar 2023 (3y) Less than 5%
Ramsay, Mary, Beth Chief Risk Officer, Nuveen Sep 2023 (3y) Less than 5%

Entity owners (Schedule A/B)

EntityTitle / statusSinceSch.Ownership
Nuveen Investments, Inc. Managing Member Jan 1997 A 75% or more
Nuveen Holdings, Inc. Shareholder Nov 2007 B ≈ 56.25% – 100% via Nuveen Investments, Inc.
Nuveen Finance, Llc Shareholder Jan 2017 B ≈ 31.64% – 100% via Nuveen Holdings 1, Inc.
Nuveen, Llc Member Oct 2014 B ≈ 23.73% – 100% via Nuveen Finance, Llc
Teachers Insurance And Annuity Association Of America Member Oct 2014 B ≈ 17.8% – 100% via Nuveen, Llc
Tiaa Board Of Governers Shareholder Oct 2014 B ≈ 13.35% – 100% via Teachers Insurance And Annuity Association Of America
Nuveen Holdings 1, Inc. Shareholder Jan 2017 B ≈ 42.19% – 100% via Nuveen Holdings, Inc.

Undisclosed: 0% – 25% of the firm is not attributable from the filed Schedule A bands.

Estimated effective ownership (look-through of filed bands):

  • Nuveen Holdings, Inc.: 75% – 100% of Nuveen Investments, Inc. × 75% – 100% direct ≈ 56.25% – 100% of the firm
  • Nuveen Finance, Llc: 75% – 100% of Nuveen Holdings 1, Inc. × 75% – 100% of Nuveen Holdings, Inc. × 75% – 100% of Nuveen Investments, Inc. × 75% – 100% direct ≈ 31.64% – 100% of the firm
  • Nuveen, Llc: 75% – 100% of Nuveen Finance, Llc × 75% – 100% of Nuveen Holdings 1, Inc. × 75% – 100% of Nuveen Holdings, Inc. × 75% – 100% of Nuveen Investments, Inc. × 75% – 100% direct ≈ 23.73% – 100% of the firm
  • Teachers Insurance And Annuity Association Of America: 75% – 100% of Nuveen, Llc × 75% – 100% of Nuveen Finance, Llc × 75% – 100% of Nuveen Holdings 1, Inc. × 75% – 100% of Nuveen Holdings, Inc. × 75% – 100% of Nuveen Investments, Inc. × 75% – 100% direct ≈ 17.8% – 100% of the firm
  • Tiaa Board Of Governers: 75% – 100% of Teachers Insurance And Annuity Association Of America × 75% – 100% of Nuveen, Llc × 75% – 100% of Nuveen Finance, Llc × 75% – 100% of Nuveen Holdings 1, Inc. × 75% – 100% of Nuveen Holdings, Inc. × 75% – 100% of Nuveen Investments, Inc. × 75% – 100% direct ≈ 13.35% – 100% of the firm
  • Nuveen Holdings 1, Inc.: 75% – 100% of Nuveen Holdings, Inc. × 75% – 100% of Nuveen Investments, Inc. × 75% – 100% direct ≈ 42.19% – 100% of the firm

Roster from the IAPD representatives feed; ownership and acquisition dates from Form ADV Schedule A/B. "Since" is the earliest filed registration or acquisition date.

Retirement plans served (1)

PlanSponsorParticipantsPlan assetsAs of
Leeward Construction, Inc. Employees Retirement Plan Leeward Construction, Inc. 169 $20.2M 07/01/2024

From Form 5500 service-provider disclosures.

Documents (1 archived)

FormPeriodSize
Form ADV (full filing) 03/30/2026 2.4 MB View · PDF · Source ↗

Archived copies of the firm's regulatory filings, versioned by content hash.

Disciplinary disclosures

Regulatory · Item 11.D(2), 11.D(4) as of Mar 28, 2024

Allegations: ALLEGED VIOLATIONS OF VARIOUS PROVISIONS OF NEW YORK INSURANCE LAWS. Status: Final Sanction Detail: ON MARCH 17, 2016, TIAA ENTERED INTO A STIPULATION WITH THE NEW YORK DEPARTMENT OF FINANCIAL SERVICES ("NYDFS") TO, AMONG OTHER THINGS, FINDINGS BY NYDFS THAT TIAA VIOLATED VARIOUS PROVISIONS OF NEW YORK INSURANCE LAW. THE STIPULATION CITED VIOLATIONS OF NYDFS REGULATION 60 AND REGULATION 152 RELATED TO REPLACEMENT AND RECORDKEEPING REQUIREMENTS. TIAA PAID A CIVIL PENALTY IN THE AMOUNT OF $18,112. THE STIPULATION COVERED THE EXAM PERIOD 01/2005 THROUGH 12/2008. NYDFS HAS ASSESSED THE REMEDIATION PLAN DURING THE SUBSEQUENT EXAMINATION IN 2013 WITH NO FINDINGS OR VIOLATIONS IDENTIFIED RELATED TO REPLACEMENT, ILLUSTRATION, DISCLOSURE AND RECORDKEEPING REQUIREMENTS. Summary: THIS MATTER DOES NOT INVOLVE NUVEEN FUND ADVISORS, LLC OR NUVEEN, LLC.

Regulatory · Item 11.D(2), 11.D(4) as of Mar 28, 2024

Allegations: THE ALLEGED VIOLATIONS INCLUDED THE FOLLOWING: (I) FAILURE TO OBTAIN THE APPLICANT'S WRITTEN CONSENT FOR ALTERATIONS ON AN ANNUITY POLICY; (II) FAILURE TO NOTIFY AN EXISTING INSURER OF A PROPOSED REPLACEMENT WITHIN FIVE BUSINESS DAYS OF RECEIPT OF THE COMPLETED APPLICATION INDICATING A REPLACEMENT; (III) FAILURE TO PROVIDE EVIDENCE THAT THE FIRM PROVIDED OWNERS OF ANNUITY CONTRACTS A NOTICE OF THE RIGHT TO RETURN THE ANNUITY CONTRACT WITHIN 30 DAYS AFTER DELIVERY OF THE ANNUITY CONTRACT, WHEN A REPLACEMENT WAS INVOLVED IN THE TRANSACTION; AND (IV) FAILURE TO INCLUDE INFORMATION OF THE FIRM'S LIABILITIES AND RESERVES IN ITS ADVERTISEMENTS. Status: Final Sanction Detail: IN 2013, THE MARYLAND INSURANCE ADMINISTRATION (MDIA) PERFORMED A SUITABILITY EXAMINATION OF TEACHERS INSURANCE AND ANNUITY ASSOCIATION OF AMERICA'S (TIAA) INDIVIDUAL IRA AND ATRA ANNUITY BUSINESS. THE MDIA CONCLUDED FROM THE EXAMINATION THAT THE CONDUCT VIOLATED MARYLAND INSURANCE ARTICLE SECTION 12-206(C)(1) AND THE CODE OF MARYLAND REGULATION SECTION 31. THE ALLEGED VIOLATIONS INCLUDED THE FOLLOWING: (I) FAILURE TO OBTAIN THE APPLICANT'S WRITTEN CONSENT FOR ALTERATIONS ON AN ANNUITY POLICY; (II) FAILURE TO NOTIFY AN EXISTING INSURER OF A PROPOSED REPLACEMENT WITHIN FIVE BUSINESS DAYS OF RECEIPT OF THE COMPLETED APPLICATION INDICATING A REPLACEMENT; (III) FAILURE TO PROVIDE EVIDENCE THAT THE FIRM PROVIDED OWNERS OF ANNUITY CONTRACTS A NOTICE OF THE RIGHT TO RETURN THE ANNUITY CONTRACT WITHIN 30 DAYS AFTER DELIVERY OF THE ANNUITY CONTRACT, WHEN A REPLACEMENT WAS INVOLVED IN THE TRANSACTION; AND (IV) FAILURE TO INCLUDE INFORMATION OF THE FIRM'S LIABILITIES AND RESERVES IN ITS ADVERTISEMENTS. THE MDIA IMPOSED AN ADMINISTRATIVE PENALTY IN THE AMOUNT OF $4,000 FOR TIAA. Summary: THIS MATTER DOES NOT INVOLVE NUVEEN FUND ADVISORS, LLC OR NUVEEN, LLC.

Regulatory · Item 11.D(2), 11.D(4) as of Mar 28, 2024

Allegations: ALLEGED VIOLATIONS OF VARIOUS PROVISIONS OF CONNECTICUT INSURANCE LAWS. Status: Final Sanction Detail: IN 2014, THE CONNECTICUT INSURANCE DEPARTMENT (CID) REVIEWED TEACHERS INSURANCE AND ANNUITY ASSOCIATION OF AMERICA (TIAA) RECORDS OF LICENSED /APPOINTED PRODUCERS AND INSURANCE DEPARTMENT RECORDS AND IDENTIFIED ONE (1) INDIVIDUAL EMPLOYEE WHO DID NOT HAVE AN APPOINTMENT WITH TIAA IN ACCORDANCE WITH CONNECTICUT STATE REQUIREMENTS. THE CID CONCLUDED THAT THE CONDUCT VIOLATED SECTION 38A-702M OF THE CONNECTICUT GENERAL STATUTES AND IMPOSED A FINE OR ADMINISTRATIVE FINE ON TIAA FOR THE VIOLATION IN THE AMOUNT OF $1,500 PURSUANT TO SECTIONS 38A-2, 38A-41 AND 38A-817 FOR THE CONNECTICUT GENERAL STATUTES. Summary: THIS MATTER DOES NOT INVOLVE NUVEEN FUND ADVISORS, LLC OR NUVEEN, LLC.

Regulatory · Item 11.D(2), 11.D(4) as of Mar 28, 2024

Allegations: THE ALLEGED VIOLATIONS INCLUDED THE FOLLOWING: (I) FAILURE TO PROVIDE A NOTICE OF ENACTMENT OF NONFORFEITURE OPTIONS, AS REQUIRED BY SECTION 5/234.1; AND (II) FAILURE TO PROVIDE THE INSURED WITH THE NOTICE OF AVAILABILITY OF THE DEPARTMENT OF INSURANCE ON THE 45 DELAY LETTER, AS REQUIRED BY SECTION 919.70(A)(2). Status: Final Sanction Detail: IN 2013, THE ILLINOIS DEPARTMENT OF INSURANCE (IDI) CONDUCTED AN EXAMINATION OF TEACHERS INSURANCE AND ANNUITY ASSOCIATION OF AMERICA(TIAA)AND CONCLUDED FROM THE EXAMINATION THAT THE CONDUCT VIOLATED SECTIONS 234 AND 919 OF THE ILLINOIS ADMINISTRATIVE CODE. THE ALLEGED VIOLATIONS INCLUDED THE FOLLOWING: (I) FAILURE TO PROVIDE A NOTICE OF ENACTMENT OF NONFORFEITURE OPTIONS, AS REQUIRED BY SECTION 5/234.1; AND (II) FAILURE TO PROVIDE THE INSURED WITH THE NOTICE OF AVAILABILITY OF THE DEPARTMENT OF INSURANCE ON THE 45 DELAY LETTER, AS REQUIRED BY SECTION 919.70(A)(2). THE IDI IMPOSED AN ADMINISTRATIVE FINE IN THE AMOUNT OF $10,000 FOR TIAA. Summary: THIS MATTER DOES NOT INVOLVE NUVEEN FUND ADVISORS, LLC OR NUVEEN, LLC.

Regulatory · Item 11.D(2), 11.D(4) as of Mar 28, 2024

Allegations: THE ALLEGED VIOLATIONS INCLUDED THE FOLLOWING: FAILURE TO PROVIDE THE "NOTICE OF AVAILABILITY OF THE DEPARTMENT OF INSURANCE" AND FAILURE TO PROVIDE BENEFICIARIES WITH A REASONABLE WRITTEN EXPLANATION OF DELAY OF CLAIM PAYMENT BEYOND 45 DAYS, AS REQUIRED BY SECTION 50 ILL. ADM. CODE 919.70(A)(2); AND FAILURE TO NOTIFY BENEFICIARIES OF THE AVAILABILITY OF INTEREST AT THE TIME OF CLAIM SUBMISSION, AS REQUIRED BY 215 ILCS 5/224(1)(I). Status: Final Sanction Detail: ON MARCH 2, 2020, THE ILLINOIS DEPARTMENT OF INSURANCE (IDI) ISSUED A MARKET CONDUCT EXAMINATION VERIFIED REPORT AND STIPULATION AND CONSENT ORDER IN CONNECTION WITH A MARKET CONDUCT EXAMINATION OF TEACHERS INSURANCE AND ANNUITY ASSOCIATION OF AMERICA ("TIAA"). WITHOUT ADMITTING FAULT, LIABILITY, OR WRONGDOING, TIAA AGREED TO A STIPULATION AND CONSENT ORDER (THE "CONSENT ORDER") FINDING THAT IT VIOLATED SECTIONS 50 ILL. ADM. CODE 919.70(A)(2) FOR NOT PROVIDING A "NOTICE OF AVAILABILITY OF THE DEPARTMENT OF INSURANCE" AND FOR NOT PROVIDING BENEFICIARIES WITH A REASONABLE WRITTEN EXPLANATION OF DELAY OF CLAIM PAYMENT BEYOND 45 DAYS; AND VIOLATED 215 ILCS 5/224(1)(I) FOR NOT NOTIFYING BENEFICIARIES OF THE AVAILABILITY OF INTEREST AT THE TIME OF CLAIM SUBMISSION. THE IDI IMPOSED A CIVIL FORFEITURE OF $18,000 FOR TIAA. Summary: THIS MATTER DOES NOT INVOLVE NUVEEN FUND ADVISORS, LLC OR NUVEEN, LLC.

Disclosure text reproduced verbatim from the firm's own Form ADV filings.

How they charge

  • Percentage of assets under management

Services

  • Portfolio management for investment companies
  • Portfolio management for pooled investment vehicles
  • Selection of other advisers

Custody

Firm reports it does not have custody of client funds or securities (Item 9.A).

No custodian data reported or mined yet.

Source

All data on this page comes from this firm's Form ADV filings, reproduced without modification. Latest filing: Mar 30, 2026.

View current Form ADV (SEC/IAPD) ↗