AdvisorCensus / Financial advisors / Virginia / Richmond / Capitol Securities Management, Inc.
Capitol Securities Management, Inc. is an SEC-registered investment advisory firm in Glen Allen, VA, registered since 1992, reporting $1 billion to $5 billion in regulatory assets under management in its Form ADV filing dated March 31, 2026.
Quick answers
From the filingHow is Capitol Securities Management, Inc. compensated?
On its Form ADV (Item 5.E, October 2026), Capitol Securities Management, Inc. reports these compensation arrangements: a percentage of assets under its management; hourly charges; fixed fees (other than subscription fees).
Where is Capitol Securities Management, Inc. located?
Capitol Securities Management, Inc.'s principal office is in Glen Allen, VA, according to its Form ADV; the April 2026 filing also lists 24 other offices (Schedule D, Section 1.F).
Is Capitol Securities Management, Inc. registered with the SEC or a state?
Capitol Securities Management, Inc. is an SEC-registered investment advisory firm, registered since 1992. Status as filed: Approved. CRD 14169.
How much does Capitol Securities Management, Inc. manage?
Capitol Securities Management, Inc. reports $2,162,366,778 in regulatory assets under management in its Form ADV filing dated March 31, 2026 (85% discretionary).
How have Capitol Securities Management, Inc.'s assets and staff changed since 2021?
In the Form ADV data for Capitol Securities Management, Inc.: Regulatory assets under management: $1,094,574,278 in the October 2021 data and $2,162,366,778 in the October 2026 data, up 98%. Total employees: 185 in October 2021 and 170 in October 2026. Assets under management move with markets as well as with clients coming and going.
What types of clients does Capitol Securities Management, Inc. serve?
By number of clients on Form ADV Item 5.D: individuals (other than high net worth individuals) (1,890); high net worth individuals (1,287); other (725).
Which custodians does Capitol Securities Management, Inc. use?
Capitol Securities Management, Inc.'s most recent Form ADV filing (Schedule D, Section 5.K(3)) lists Raymond James Financial Services, Inc. as a custodian holding 10% or more of its separately managed account assets.
Does Capitol Securities Management, Inc. report any disciplinary disclosures?
Reports 11 disclosure items on Form ADV Item 11: yes answers to 2 questions about criminal matters and 9 questions about regulatory matters (11.A(2), 11.B(1), 11.C(1), 11.C(2), 11.C(4), 11.C(5), 11.D(2), 11.D(4), 11.E(1), 11.E(2), 11.E(4)). Each question covers the firm and its advisory affiliates, and one event can produce several yes answers. The detail of any item is on the firm's SEC record: https://adviserinfo.sec.gov/firm/summary/14169
What changed in Capitol Securities Management, Inc.'s recent Form ADV filings?
In the April 2026 filing data: Regulatory assets under management went from $1,818,741,357 to $2,162,366,778 (+19%).
From the Form ADV filing
Every figure below is as the firm filed it with regulators, as of October 2026.
How the firm is compensated
Item 5.E- A percentage of assets under your management
- Hourly charges
- Fixed fees (other than subscription fees)
Item 5.E lists how the firm is compensated for its advice; Items 5.B, 6.A, and 7.A show whether its people or related companies can also earn commissions. Percentage of assets, fixed, hourly, subscription, and performance-based fees come from clients (a performance-based fee depends on investment results); commissions come with a sale or a trade, often from the company behind the product. How fees, commissions, and other arrangements differ
Fees and minimums
Form ADV Part 2ASee the firm's brochure (dated March 31, 2026) for its fees and any account minimum, on the SEC's IAPD site.
Regulatory assets under management
Item 5.F$2,162,366,778 as of October 2026, filing dated March 31, 2026.
A measure of scale, not skill or returns. Discretionary means the firm decides trades; non-discretionary means clients approve each one. What assets under management means
Who the firm serves
Item 5.DA firm with no individual clients is an institutional manager even if it manages billions; the mix tells you whom the practice is built around.
Advisory services
Item 5.G- Financial planning services
- Portfolio management for individuals and/or small businesses
- Portfolio management for businesses (other than small businesses) or institutional clients
- Pension consulting services
- Selection of other advisers (including private fund managers)
- Educational seminars/workshops
Registration and firm details
Items 1, 2, 5- Registration
- SEC-registered investment adviser. Status as filed: Approved.
- Registered since
- 1992 (34 years)
- Employees
- Total: 170. Performing investment advisory functions: 126.
- Wrap fee program participation
- Yes.
- Custodians (Schedule D, Section 5.K(3))
-
Custodians holding 10% or more of the firm's separately managed account assets, as filed on Form ADV (Schedule D, Section 5.K(3)). A custodian holds client assets; it does not endorse or supervise the firm. AdvisorCensus has no relationship with any custodian.
- Other offices (Schedule D, Section 1.F)
-
24 other offices, as of the April 2026 filing
- States registered or notice-filed
-
52 states or jurisdictions
SEC-registered investment advisers are examined by the SEC. SEC, state, and exempt registration
Disclosures
Item 1111 Reports 11 disclosure items on Form ADV Item 11. View on IAPD.
Questions answered yes on this filing
Criminal matters Items 11.A and 11.B
- 11.A(2) In the past ten years, has the firm or an advisory affiliate been charged with a felony?
- 11.B(1) In the past ten years, has the firm or an advisory affiliate been convicted of, or pleaded guilty or no contest to, a misdemeanor involving investments or an investment-related business, fraud, false statements or omissions, wrongful taking of property, bribery, perjury, forgery, counterfeiting, extortion, or a conspiracy to commit any of these?
Regulatory matters Items 11.C to 11.G
- 11.C(1) Has the SEC or the CFTC ever found that the firm or an advisory affiliate made a false statement or omission?
- 11.C(2) Has the SEC or the CFTC ever found that the firm or an advisory affiliate was involved in a violation of SEC or CFTC regulations or statutes?
- 11.C(4) Has the SEC or the CFTC ever entered an order against the firm or an advisory affiliate in connection with investment-related activity?
- 11.C(5) Has the SEC or the CFTC ever imposed a civil money penalty on the firm or an advisory affiliate, or ordered the firm or an advisory affiliate to cease and desist from an activity?
- 11.D(2) Has another federal regulator, a state regulator, or a foreign financial regulator ever found that the firm or an advisory affiliate was involved in a violation of investment-related regulations or statutes?
- 11.D(4) In the past ten years, has another federal regulator, a state regulator, or a foreign financial regulator entered an order against the firm or an advisory affiliate in connection with investment-related activity?
- 11.E(1) Has a self-regulatory organization (such as FINRA) or a commodities exchange ever found that the firm or an advisory affiliate made a false statement or omission?
- 11.E(2) Has a self-regulatory organization or a commodities exchange ever found that the firm or an advisory affiliate was involved in a violation of its rules, other than a minor rule violation under a plan the SEC approved?
- 11.E(4) Has a self-regulatory organization or a commodities exchange ever disciplined the firm or an advisory affiliate by expelling or suspending it from membership, barring or suspending it from association with other members, or otherwise restricting its activities?
Each question covers the firm and its advisory affiliates: its current employees other than clerical staff, its officers, partners, and directors, and anyone who controls the firm or is controlled by it. One event can produce yes answers to several questions. SEC-registered advisers and exempt reporting advisers may leave out events more than ten years old, and may answer 11.A(2) and 11.B(2) for pending charges only. What happened, and who was involved, is on the Disclosure Reporting Pages of the IAPD record. Reading a firm's disclosures
Assets and staff over time
Items 5.A, 5.F| Data period | Assets under management | Employees | Filing dated |
|---|---|---|---|
| October 2026 | $2,162,366,778 | 170 | March 31, 2026 |
| October 2025 | $1,818,741,357 | 170 | July 8, 2025 |
| October 2024 | $1,402,537,067 | 177 | March 28, 2024 |
| October 2023 | $1,285,947,379 | 175 | September 19, 2023 |
| October 2022 | $1,266,169,257 | 174 | August 4, 2022 |
| October 2021 | $1,094,574,278 | 185 | August 17, 2021 |
Regulatory assets under management: $1,094,574,278 in the October 2021 data and $2,162,366,778 in the October 2026 data, up 98%.
Total employees: 185 in October 2021 and 170 in October 2026.
As filed in each year's data for the same month. Assets under management move with markets as well as with clients coming and going; they measure scale, not skill or returns. Most firms update these figures once a year.
Changes in the filing
Last 12 months- April 2026
- Regulatory assets under management went from $1,818,741,357 to $2,162,366,778 (+19%).
Compared month to month from the SEC's monthly adviser data and the state compilation feed. Owners and control persons are summarized, never named.
Websites listed on Form ADV
Item 1.ISource: Form ADV, as of October 2026. Values appear as filed; a value the firm did not report is shown as "Not reported."
Cite this page
AdvisorCensus. Capitol Securities Management, Inc. (CRD 14169): Form ADV filing data as of October 2026. https://advisorcensus.com/firm/capitol-securities-management-inc-glen-allen-va-14169