G. a. Repple & Company
Registered investment adviser · Casselberry, FL · CRD #17486
Form ADV data as of 2026-09-01Regulatory assets
$716.3 million
Total accounts
3,207
Employees
53
Disclosure events
15
Firm details
- Website: http://www.garepple.com
- Telephone: 407-339-9090
- SEC file number: 801-63426
- Most recent Form ADV filing: 2026-03-30
- SEC record: View this firm on the SEC's IAPD site
Disciplinary disclosures
This firm reports 10 disclosure questions answered Yes, covering 15 reported events. Form ADV Item 11 covers charges and pending proceedings as well as findings, so a Yes answer is not itself a finding of wrongdoing. The underlying detail is filed with the SEC.
- SEC or CFTC found a false statement or omission
- SEC or CFTC found a violation of its regulations or statutes
- SEC or CFTC found the firm caused a business to lose or have its authorization restricted
- SEC or CFTC entered an order in connection with investment-related activity
- SEC or CFTC imposed a civil money penalty or a cease-and-desist order
- Another regulator found a false statement, omission, or dishonest, unfair, or unethical conduct
- Another regulator found a violation of investment-related regulations or statutes
- Another regulator entered an order in connection with investment-related activity (past 10 years)
- A self-regulatory organization found a violation of its rules
- Currently subject to a regulatory proceeding that could result in a disclosure under 11.C., 11.D., or 11.E.
Assets and accounts
| Provides continuous and regular supervisory or management services | Yes |
| Discretionary regulatory assets under management | $692.4 million |
| Non-discretionary regulatory assets under management | $23.9 million |
| Total regulatory assets under management | $716.3 million |
| Discretionary accounts | 3,099 |
| Non-discretionary accounts | 108 |
| Total accounts | 3,207 |
| Regulatory assets under management attributable to non-U.S. persons | $0 |
People
| Total employees (excluding clerical) | 53 |
| Employees performing investment advisory functions (including research) | 39 |
| Employees who are registered representatives of a broker-dealer | 53 |
| Employees registered as investment adviser representatives with a state | 39 |
| Employees registered as IARs for another investment adviser | 2 |
| Employees who are licensed insurance agents | 37 |
| Firms or persons who solicit advisory clients on the firm's behalf | 0 |
Custody
| Has custody of client cash or bank accounts | No |
| Has custody of client securities | No |
| A related person has custody of client cash or bank accounts | No |
| A related person has custody of client securities | No |
| The firm acts as a qualified custodian | No |
| A related person acts as a qualified custodian | No |
How the firm is compensated
Advisory services offered
Other business activities
Affiliated related persons
Reported conflicts of interest
Form ADV Items 8 asks advisers to disclose arrangements that may create a conflict with client interests. This firm answered Yes to:
- Buys or sells for itself securities it also recommends to clients
- Recommends brokers or dealers to clients
- Receives soft dollar benefits
Client types
| Type of client | Clients | Assets |
|---|---|---|
| Individuals (other than high net worth individuals) | 3,139 | $684.2 million |
| Pension and profit sharing plans (not the participants or government plans) | 40 | $5.6 million |
| Corporations or other businesses not listed above | 28 | $26.5 million |