Form 40-17G FIRST AMERICAN FUNDS
UNITED STATES
SECURITIES AND EXCHANGE COMMISSION
Washington, D.C. 20549
FORM N-17f-2
Certificate of Accounting of Securities and Similar
Investments in the Custody of
Management Investment Companies
Pursuant to Rule 17f-2 [17 CFR 270.17f-2]
| 1. Investment Company Act File Number: 811-03313 |
Date examination completed: November 9, 2017 | |||||||||||
| 2. State identification Number: | ||||||||||||
| AL | AK | AZ | AR | CA | CO | |||||||
| CT | DE | DC | FL | GA | HI | |||||||
| ID | IL | IN | IA | KS | KY | |||||||
| LA | ME | MD | MA | MI | MN | |||||||
| MS | MO | MT | NE | NV | NH | |||||||
| NJ | NM | NY | NC | ND | OH | |||||||
| OK | OR | PA | RI | SC | SD | |||||||
| TN | TX | UT | VT | VA | WA | |||||||
| WV | WI | WY | PUERTO RICO | |||||||||
| Other (specify): | ||||||||||||
| 3. Exact name of investment company as specified in registration statement: | ||||||||||||
| First American Funds, Inc. | ||||||||||||
| 4. Address of principal executive office (number, street, city, state, zip code): | ||||||||||||
|
800 Nicollet Mall Minneapolis, MN 55402 | ||||||||||||
INSTRUCTIONS
This Form must be completed by investment companies that have custody of securities or similar investments.
Investment Company
| 1. | All items must be completed by the investment company. |
| 2. | Give this Form to the independent public accountant who, in compliance with Rule 17f-2 under the Act and applicable state law, examines securities and similar investments in the custody of the investment company. |
Accountant
| 3. | Submit this Form to the Securities and Exchange Commission and appropriate state securities administrators when filing the certificate of accounting required by Rule 17f-2 under the Act and applicable state law. File the original and one copy with the Securities and Exchange Commission’s principal office in Washington, D.C., one copy with the regional office for the region in which the investment company’s principal business operations are conducted, and one copy with the appropriate state administrator(s), if applicable. |

Report of Independent Registered Public Accounting Firm
The Board of Directors First American Funds, Inc.
We have examined management’s assertion, included in the accompanying Management Statement Regarding Compliance With Certain Provisions of the Investment Company Act of 1940, that the Government Obligations Fund, Institutional Prime Obligations Fund, Retail Tax Free Obligations Fund, Retail Prime Obligations Fund, Treasury Obligations Fund, and U.S. Treasury Money Market Fund of First American Funds, Inc. (collectively the Funds) complied with the requirements of subsections (b) and (c) of rule 17f-2 under the Investment Company Act of 1940 (the Act) as of July 31, 2017, and from May 31, 2017 through July 31, 2017. Management is responsible for the Funds’ compliance with those requirements. Our responsibility is to express an opinion on management’s assertion about the Funds’ compliance based on our examination.
Our examination was conducted in accordance with the standards of the Public Company Accounting Oversight Board (United States) and, accordingly, included examining, on a test basis, evidence about the Funds’ compliance with those requirements and performing such other procedures as we considered necessary in the circumstances. Included among our procedures were the following tests performed as of July 31, 2017, and with respect to agreement of security purchases and sales, for the period from May 31, 2017 (the date of our last examination) through July 31, 2017:
| • | Confirmation of all securities held by institutions in book entry form (Depository Trust Company and Federal Reserve Bank of Boston); |
| • | Confirmation of all securities held with brokers; |
| • | Reconciliation of all such securities to the books and records of the Funds and U.S. Bank National Association (the Custodian); |
| • | Confirmation of all repurchase agreements with brokers/banks; and |
| • | Agreement of 14 security purchases and 11 security sales or maturities since our last report from the books and records of the Funds to purchase and sales reports from the Funds’ custodian. |
We believe that our examination provides a reasonable basis for our opinion. Our examination does not provide a legal determination on the Funds’ compliance with specified requirements.
A member firm of Ernst & Young Global Limited
In our opinion, management’s assertion that the Funds complied with the requirements of subsections (b) and (c) of Rule 17f-2 of the Act as of July 31, 2017, with respect to securities reflected in the investment accounts of the Funds, is fairly stated, in all material respects.
This report is intended solely for the information and use of management and the Board of Directors of the Funds and the Securities and Exchange Commission and is not intended to be, and should not be used by anyone other than these specified parties.
Chicago, Illinois
November 9, 2017
A member firm of Ernst & Young Global Limited
Management Statement Regarding Compliance with Certain Provisions of the Investment Company Act of 1940
November 9, 2017
We, as members of management of the Government Obligations Fund, Institutional Prime Obligations Fund, Retail Prime Obligations Fund, Retail Tax Free Obligations Fund, Treasury Obligations Fund and U.S. Treasury Money Market Fund of the First American Funds, Inc. (collectively the Funds), are responsible for complying with the requirements of subsections (b) and (c) of rule 17f-2, “Custody of Investments by Registered Management Investment Companies,” of the Investment Company Act of 1940 (the Act). We are also responsible for establishing and maintaining effective internal controls over compliance with those requirements. We have performed an evaluation of the Funds’ compliance with the requirements of subsections (b) and (c) of rule 17f-2 as of July 31, 2017, and from May 31, 2017 through July 31, 2017.
Based on this evaluation, we assert that the Funds were in compliance with the requirements of subsections (b) and (c) of rule 17f-2 of the Act as of July 31, 2017, and from May 31, 2017 to July 31, 2017, with respect to securities reflected in the investment accounts of the Funds.
| By: | /s/ Eric J. Thole | |
| Eric J. Thole | ||
| President of the Funds | ||
| First American Funds, Inc. | ||
| By: | /s/ Jill M. Stevenson | |
| Jill M. Stevenson | ||
| Treasurer of the Funds | ||
| First American Funds, Inc. | ||
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