The SEC responded to a series of questions from the ABA Subcommittee on Private Investment Entities regarding the landscape and application of the new amendments to Rule 203(b)(3). Significantly, the SEC addressed issues related to the 2-year lock-up exemption and issues related to the withdrawal of the Incentive/Performance Allocation by a Fund’s Investment Adviser. Please Click here for more information.
Investment Law Group Announces Addition of Bill Winter to Firm’s Corporate Practice Group
ILG is pleased to announce the addition of Bill Winter to expand the firm’s growing Corporate Practice Group.
Equity Strategies Lead Q2 2020 Hedge Fund Rebound
Equity Strategies Lead Q2 2020 Rebound in Hedge Fund Performance Hedge fund performance rebounded in Q2 2020 following the market storm brought on by the coronavirus pandemic. A strong April…
Investment Law Group Ranked #4 Global Law Firm for 2019 Hedge Fund Launches Serviced
Globally Ranked Again for Hedge Fund Launches Investment Law Group is pleased to be ranked in the December 2019 Preqin Special Report: Service Providers in Alternative Assets beside some of…