WestView Investment Advisors, LLC (referred to as “WestView”) maintains physical, electronic,

and procedural safeguards that comply with federal standards to protect its clients’ nonpublic personal

information (“information”). Through this policy and its underlying procedures, WestView attempts to

secure the confidentiality of customer records and information and protect against anticipated threats or

hazards to the security or integrity of customer records and information.

It is the policy of WestView to restrict access to all current and former clients’ information (i.e.,

information and records pertaining to personal background, investment objectives, financial situation, tax

information/returns, investment holdings, account numbers, account balances, etc.) to those employees

and affiliated/nonaffiliated entities who need to know that information in order to provide products or

services in furtherance of the client's engagement of WestView. In that regard, WestView may disclose

the client’s information: (1) to individuals and/or entities not affiliated with WestView, including, but not

limited to the client’s other professional advisors and/or certain service providers that may be

recommended or engaged by WestView in furtherance of the client's engagement of WestView (i.e.,

attorney, accountant, insurance agent, broker-dealer, investment adviser, account custodian, record

keeper, proxy management service provider, etc.); (2) required to do so by judicial or regulatory process;

or (3) otherwise permitted to do so in accordance with the parameters of applicable federal and/or state

privacy regulations. The disclosure of information contained in any document completed by the client for

processing and/or transmittal by WestView to facilitate the commencement/continuation/termination of a

business relationship between the client and/or between WestView and a nonaffiliated third party service

provider (i.e., broker-dealer, investment adviser, account custodian, record keeper, insurance company,

etc.), including, but not limited to, information contained in any document completed and/or executed by

the client in furtherance of the client's engagement of WestView (i.e., advisory agreement, client

information form, etc.), shall be deemed as having been automatically authorized by the client with

respect to the corresponding nonaffiliated third party service provider.

WestView permits only authorized employees and affiliates who have signed a copy of

WestView’s Privacy Policy to have access to client information. Employees violating WestView’s Privacy

Policy will be subject to WestView’s disciplinary process. Additionally, whenever WestView hires other

organizations to provide services to WestView’s clients, WestView will require them to sign confidentiality

agreements and/or the Privacy Policy.

Should you have any questions regarding the above, please contact Benjamin Nostrand, Chief Compliance Officer.