Skip to main content
Skip to content
Case File
sd-10-EFTA01451496Dept. of JusticeOther

EFTA Document EFTA01451496

SOF 111- 1081 Southern Financial LLC NOT APPLICABLE TO THE GENERAL PARTNER OR THE INVESTMENT MANAGER (EXCEPT FOR CERTAIN MINIMUM REQUIREMENTS THAT MAY APPLY IN CERTAIN EU COUNTRIES AS A RESULT OF THE MARKETING OF INTERESTS TO EU INVESTORS). THE MASTER FUND MANAGER HAS APPLIED FOR AUTHORIZATION IN THE UNITED KINGDOM BY THE FINANCIAL CONDUCT AUTHORITY (-FCA") TO THE EXTENT REQUIRED UNDER THE AIFM DIRECTIVE AND ITS IMPLEMENTING LEGISLATION AND AS OF THE INITIAL CLOSING OF THE MASTER FUND EXP

Date
Unknown
Source
Dept. of Justice
Reference
sd-10-EFTA01451496
Pages
1
Persons
0
Integrity
Loading PDF viewer...

Summary

SOF 111- 1081 Southern Financial LLC NOT APPLICABLE TO THE GENERAL PARTNER OR THE INVESTMENT MANAGER (EXCEPT FOR CERTAIN MINIMUM REQUIREMENTS THAT MAY APPLY IN CERTAIN EU COUNTRIES AS A RESULT OF THE MARKETING OF INTERESTS TO EU INVESTORS). THE MASTER FUND MANAGER HAS APPLIED FOR AUTHORIZATION IN THE UNITED KINGDOM BY THE FINANCIAL CONDUCT AUTHORITY (-FCA") TO THE EXTENT REQUIRED UNDER THE AIFM DIRECTIVE AND ITS IMPLEMENTING LEGISLATION AND AS OF THE INITIAL CLOSING OF THE MASTER FUND EXP

Ask AI About This Document

0Share
PostReddit

Extracted Text (OCR)

EFTA Disclosure
Text extracted via OCR from the original document. May contain errors from the scanning process.
SOF 111- 1081 Southern Financial LLC NOT APPLICABLE TO THE GENERAL PARTNER OR THE INVESTMENT MANAGER (EXCEPT FOR CERTAIN MINIMUM REQUIREMENTS THAT MAY APPLY IN CERTAIN EU COUNTRIES AS A RESULT OF THE MARKETING OF INTERESTS TO EU INVESTORS). THE MASTER FUND MANAGER HAS APPLIED FOR AUTHORIZATION IN THE UNITED KINGDOM BY THE FINANCIAL CONDUCT AUTHORITY (-FCA") TO THE EXTENT REQUIRED UNDER THE AIFM DIRECTIVE AND ITS IMPLEMENTING LEGISLATION AND AS OF THE INITIAL CLOSING OF THE MASTER FUND EXPECTS TO BE AUTHORIZED AND REGULATED IN THE UNITED KINGDOM BY THE FCA THEREUNDER. THE MASTER FUND MANAGER WILL BE THE MASTER FUND'S AIFM UNDER THE AIFM DIRECTIVE AND WILL ASSUME RESPONSIBILITY, AND BE SUBJECT TO ALL APPLICABLE REQUIREMENTS, AS SUCH. THE INTERESTS ARE NOT INSURED OR GUARANTEED BY THE UNITED STATES FEDERAL DEPOSIT INSURANCE CORPORATION OR ANY OTHER GOVERNMENTAL AGENCY. THE INTERESTS ARE NOT DEPOSITS, OBLIGATIONS OF, OR ENDORSED OR GUARANTEED IN ANY WAY BY, DEUTSCHE BANK AG ("DEUTSCHE BANK") OR ANY OF ITS AFFILIATES, OR OF ANY OTHER BANK OR OTHER FINANCIAL INSTITUTION. THE INTERESTS ARE SUBJECT TO INVESTMENT RISKS, INCLUDING THE POSSIBLE LOSS OF THE AMOUNT INVESTED. THE GENERAL PARTNER HAS DELEGATED TO THE INVESTMENT MANAGER RESPONSIBILITY FOR COMPLIANCE WITH U.S. COMMODITY FUTURES TRADING COMMISSION ("CFTC) REQUIREMENTS APPLICABLE TO COMMODITY POOL OPERATORS ("CPOS"). THE INVESTMENT MANAGER HAS FILED WITH THE CFTC A CLAIM FOR NO-ACTION RELIEF FROM REGISTRATION AS A CPO WITH RESPECT TO THE FEEDER FUNDS PURSUANT TO CFTC NO-ACTION LETTER NO. 12-38 (THE -NO-ACTION RELIEF"). AS A RESULT OF THE INVESTMENT MANAGER'S RELIANCE ON THE NO-ACTION RELIEF EXEMPTION FROM REGISTRATION AS A CPO, THE INVESTMENT MANAGER IS NOT REQUIRED TO DELIVER A CFTC DISCLOSURE DOCUMENT TO PROSPECTIVE INVESTORS, NOR IS IT REQUIRED TO PROVIDE LIMITED PARTNERS WITH CERTIFIED ANNUAL REPORTS THAT SATISFY THE REQUIREMENTS OF CFTC RULES APPLICABLE TO REGISTERED CPOS. IN ADDITION, BY VIRTUE OF ITS RELIANCE ON THE NO-ACTION RELIEF, THE INVESTMENT MANAGER IS EXEMPT PURSUANT TO CFTC RULE 4.14(a)(5) FROM REGISTRATION WITH THE CFTC AS A COMMODITY TRADING ADVISOR (-CTA") WITH RESPECT TO ADVICE THAT IT PROVIDES TO THE FEEDER FUNDS, AND AS SUCH WILL NOT BE REQUIRED TO SATISFY CERTAIN DISCLOSURE AND OTHER REQUIREMENTS UNDER CFTC RULES. THE CFTC DOES NOT PASS UPON THE MERITS OF PARTICIPATING IN A POOL OR UPON THE ADEQUACY OR ACCURACY OF AN OFFERING MEMORANDUM. CONSEQUENTLY, THE CFTC HAS NOT REVIEWED OR APPROVED THIS OFFERING OR THIS MEMORANDUM. THE INVESTMENT MANAGER QUALIFIES FOR THE NO-ACTION RELIEF (AND, CORRELATIVELY, THE EXEMPTION UNDER CFTC RULE 4.14(a)(5)) WITH RESPECT TO THE FEEDER FUNDS ON THE BASIS THAT (A) THE FEEDER FUNDS INVEST IN OTHER COMMODITY POOLS, (B) INTERESTS IN EACH FEEDER FUND ARE EXEMPT FROM REGISTRATION UNDER THE SECURITIES ACT AND ARE OFFERED AND SOLD WITHOUT MARKETING TO THE PUBLIC IN THE UNITED STATES, (C) PARTICIPATION IN EACH FEEDER FUND IS LIMITED TO -ACCREDITED INVESTORS' (AS DEFINED IN REGULATION D UNDER THE SECURITIES ACT) AND "QUALIFIED PURCHASERS" (AS DEFINED IN THE 1940 ACT), AND (D) EACH OF THE FEEDER FUND'S DIRECT OR INDIRECT INVESTMENTS IN COMMODITY INTEREST POSITIONS ARE LIMITED IN ACCORDANCE WITH THE NO-ACTION RELIEF SUCH THAT EITHER (1) THE AGGREGATE INITIAL MARGIN, PREMIUMS AND, FOR RETAIL FOREX TRANSACTIONS (AS DEFINED IN 17 CFR 5.1(m)), REQUIRED MINIMUM SECURITY DEPOSIT REQUIRED TO ESTABLISH SUCH POSITIONS, DETERMINED AT THE TIME THE MOST RECENT POSITION IS ESTABLISHED, WILL NOT EXCEED 5% OF THE LIQUIDATION VALUE OF THE PORTFOLIO AFTER TAKING INTO ACCOUNT UNREALIZED PROFITS AND UNREALIZED LOSSES ON ANY SUCH POSITIONS THEY HAVE ENTERED INTO OR (2) THE AGGREGATE NET NOTIONAL VALUE OF SUCH POSITIONS, DETERMINED CONFIDENTIAL - PURSUANT TO FED. R. GRIM. P. 6(e) DB-SDNY-0108121 CONFIDENTIAL SDNY_GM_00254305 EFTA01451496

Technical Artifacts (7)

View in Artifacts Browser

Email addresses, URLs, phone numbers, and other technical indicators extracted from this document.

SWIFT/BICDEPOSITS
SWIFT/BICDEUTSCHE
SWIFT/BICENDORSED
SWIFT/BICESTABLISHED
SWIFT/BICINSTITUTION
SWIFT/BICLIQUIDATION
SWIFT/BICOBLIGATIONS

Related Documents (6)

Dept. of JusticeOtherUnknown

EFTA Document EFTA01359983

If any of the transactions are deemed fraudulent, you must immediately notify your business manager and report the fraud to PBFraudReporting. Please follow the steps detailed in the fraud procedures. db0oli cv portal. intranet.db.com. imag. pdf 0901 e5be8047bb 1 a filename is null.0df Please note that we must have a reply by 3:15 p.m (EST) today in order to meet the Federal Reserve Check Clearing returns guidelines. Regards, Signature Verification This communication may contain confident

1p
Dept. of JusticeOtherUnknown

EFTA Document EFTA01359269

You MUST take one of the below two action steps: I. Charge a $30 overdraft fee. -Create a Financial Client Instructions-Banking TEAS case under the account in -DBforce. -Enter the following language in the Description field in the Special Instructions section, "Charge a $30 overdraft fee." -Select "Exempt" from the Instructions Via field in the Call Back Details section. II. Request/Enter a Waiver. -Create a Financial Client Instructions-Banking TEAS case under the account in DBforce. -E

1p
OtherUnknown

Sent: Wednesday, July 25. 2018 7:37 AM

DOJ EFTA Data Set 10 document EFTA01345250

1p
Dept. of JusticeOtherUnknown

EFTA Document EFTA01454215

Asset Allocation Advantage Compare a private placement portfolio that's diversified and one with only asset classes for the highest tax exemption multiples (TEMs) Asset Location Stategy Dilletence in Futile Values (S) Yen S 10 IdennailAketion n Pnete Pia went 1936.68174 5.4973656 11.344.4822 20292.400 Asset Nueva Wit TEM in ribytePixement 1904.459.*, 1232233501 30)69173J 62%01519 ASSUITTOCITS. • Itttle 171 Caplal gags lax ci tot VC,: cupw gauf tan cl (9%. ace in:or:etas kw '

1p
Dept. of JusticeAug 22, 2017

15 July 7 2016 - July 17 2016 working progress_Redacted.pdf

Kristen M. Simkins From: Sent: To: Cc: Subject: Irons, Janet < Tuesday, July 12, 2016 10:47 AM Richard C. Smith     Hello Warden Smith,     mother is anxious to hear the results of your inquiry into her daughter's health.   I'd be grateful if you could  email or call me at your earliest convenience.  I'm free today after 2 p.m.  Alternatively, we could meet after the Prison  Board of Inspectors Meeting this coming Thursday.    Best wishes,    Janet Irons    1 Kristen M. Simkins From: Sent:

1196p
Dept. of JusticeOtherUnknown

EFTA Document EFTA01392451

GLDUS128 Patrick Gerschel Section 7: Risk Factors Glendower Capital Secondary Opportunities Fund IV. LP otherwise verified by any outside party and should not be construed as representative of the returns that may be achieved in the future. The return data does not reflect a composite and has not been presented in accordance with Association for Investment Management Research (AMR) standards. No assurance can be given that the past investments made by any of the SOF Funds would be suitabl

1p

Forum Discussions

This document was digitized, indexed, and cross-referenced with 1,400+ persons in the Epstein files. 100% free, ad-free, and independent.

Annotations powered by Hypothesis. Select any text on this page to annotate or highlight it.