CrowdCheck Blog
The SEC released a proposed rule (Look for Release #33-9354), pursuant to Title II of the JOBS Act that will lift the ban on general solicitation for accredited investor only Regulation D raises. We have done an analysis memo of the proposed rule, and compared Regulation D to Title III investment crowdfunding. Check out the link below to get to the memo.
CrowdCheck Memo on New Reg D
This entry is filed under Due Diligence, Offerings: Traditional Regulation D, Blog
The SEC released a proposed rule (Look for Release #33-9354), pursuant to Title II of the JOBS Act that will lift the ban on general solicitation for accredited investor only Regulation D raises. We have done an analysis memo of the proposed rule, and compared Regulation D to Title III investment crowdfunding. Check out the link below to get to the memo.
CrowdCheck Memo on New Reg D
This entry is filed under Due Diligence, Offerings: Traditional Regulation D, Blog
As the SEC works its way through the regulatory process many players in the investment industry have provided comment on how they think the SEC should handle crowdfunding. One such player is fellow Alexandria Virginia denizen The Motley Fool. Its letter to the SEC on the JOBS Act (.pdf) is fascinating and well worth a read. Focusing on the crowdfunding provisions, however, there are some things I think merit a response (there is a lot of good stuff as well, but me just agreeing over and over…
This entry is filed under Due Diligence, Securities Law, Blog
As the SEC works its way through the regulatory process many players in the investment industry have provided comment on how they think the SEC should handle crowdfunding. One such player is fellow Alexandria Virginia denizen The Motley Fool. Its letter to the SEC on the JOBS Act (.pdf) is fascinating and well worth a read. Focusing on the crowdfunding provisions, however, there are some things I think merit a response (there is a lot of good stuff as well, but me just agreeing over and over…
This entry is filed under Due Diligence, Securities Law, Blog
As the SEC works its way through the regulatory process many players in the investment industry have provided comment on how they think the SEC should handle crowdfunding. One such player is fellow Alexandria Virginia denizen The Motley Fool. Its letter to the SEC on the JOBS Act (.pdf) is fascinating and well worth a read. Focusing on the crowdfunding provisions, however, there are some things I think merit a response (there is a lot of good stuff as well, but me just agreeing over and over…
This entry is filed under Due Diligence, Securities Law, Blog
When I get an article sent to me once I generally read it, when I get it sent to me twice, by two separate people, weeks apart, I know I had better read it closely. “The Road to Crowdfunding Hell” by Daniel Isenberg is just that sort of article. Isenberg, a professor of entrepreneurship practice and director of the Babson Entrepreneurship Ecosystem Project (BEEP), as well as a VC and angel investor, is clearly someone whose opinion needs to be taken seriously. His opinion is that equity…
This entry is filed under Due Diligence, Offerings: Traditional Regulation D, Blog
When I get an article sent to me once I generally read it, when I get it sent to me twice, by two separate people, weeks apart, I know I had better read it closely. “The Road to Crowdfunding Hell” by Daniel Isenberg is just that sort of article. Isenberg, a professor of entrepreneurship practice and director of the Babson Entrepreneurship Ecosystem Project (BEEP), as well as a VC and angel investor, is clearly someone whose opinion needs to be taken seriously. His opinion is that equity…
This entry is filed under Due Diligence, Offerings: Traditional Regulation D, Blog
When I get an article sent to me once I generally read it, when I get it sent to me twice, by two separate people, weeks apart, I know I had better read it closely. “The Road to Crowdfunding Hell” by Daniel Isenberg is just that sort of article. Isenberg, a professor of entrepreneurship practice and director of the Babson Entrepreneurship Ecosystem Project (BEEP), as well as a VC and angel investor, is clearly someone whose opinion needs to be taken seriously. His opinion is that equity…
This entry is filed under Due Diligence, Offerings: Traditional Regulation D, Blog