{"id":2940,"date":"2005-01-31T00:00:00","date_gmt":"2005-01-31T00:00:00","guid":{"rendered":""},"modified":"-0001-11-30T00:00:00","modified_gmt":"-0001-11-30T04:00:00","slug":"potential-implications-sec-proposals-hedge-fund-managers-feb-10-2005","status":"publish","type":"post","link":"https:\/\/hedgeco.net\/news\/01\/2005\/potential-implications-sec-proposals-hedge-fund-managers-feb-10-2005.html","title":{"rendered":"Potential implications of SEC proposals on Hedge Fund Managers come Feb 10, 2005"},"content":{"rendered":"<p>WEST PALM BEACH, FL (www.hedgeco.net) &#8211; According to the SEC, the effective date for registration as Investment Advisors is \u00c3\u00af\u00c2\u00bf\u00c2\u00bdFebruary 10, 2005, except for the amendments to \u00c3\u00af\u00c2\u00bf\u00c2\u00bd275.206(4)-2 [rule206(4)-2] and \u00c3\u00af\u00c2\u00bf\u00c2\u00bd279.1 [Form ADV], which will become effective January 10, 2005.&#8221; The new law stipulates that, \u00c3\u00af\u00c2\u00bf\u00c2\u00bdAdvisors that will be required to register under the new rule and rule amendments must doso by February 1, 2006. Advisors must respond to the amended items of Form ADV in their next ADV filing after March 8, 2005.&#8221;<\/p>\n<p>  The law has new implications for hedge fund managers. For instance, in other for hedge funds to meet the \u00c3\u00af\u00c2\u00bf\u00c2\u00bdprivate\u00c3\u00af\u00c2\u00bf\u00c2\u00bd qualification as specified by the SEC, such fund must only accept investors or  entities which meet the \u00c3\u00af\u00c2\u00bf\u00c2\u00bdaccredited\u00c3\u00af\u00c2\u00bf\u00c2\u00bd investor requirement. Upon meeting such standard, such fund can charge investors any kind of fees which those investors are willing to pay.<\/p>\n<p>  Buchanan Hedge Fund Services, stresses that the SEC\u00c3\u00af\u00c2\u00bf\u00c2\u00bds new laws will impact hedge fund managers in different ways. One of the first areas of change relates to screening for potential hedge fund  investors. When an advisor registers as an investment Advisor with the SEC, the manager will subsequently become subject to Rule 205-3; which places some restrictions on the charges relating to  performance fees. Buchanan Hedge Fund Services also explained that the new SEC laws also carry more stringent financial requirements for investor eligibility.<\/p>\n<p>  The issue now as it relates to the RIA registration is that new laws may impact on the fees that may be charged. According to Emmett Ryan, a spokesman for Buchanan Hedge Fund Services, \u00c3\u00af\u00c2\u00bf\u00c2\u00bdWith RIA  registration, additional SEC rules come into play with respect to the fees that may be charged. As an SEC Registered Investment Advisor, you are prohibited from charging a performance fees to  little investors. For the purposes of this regulation the SEC has set a number of benchmarks for the dividing line between little investors and big investors that they will allow to pay incentive  fees. For individuals, one test is $750,000 under management with the adviser. An alternative test for individuals is that the advisor has a reasonable belief that the investor has a net worth of  $1.5M\u00c3\u00af\u00c2\u00bf\u00c2\u00bd.<\/p>\n<p>  The implication of this is that an accredited investor with $1 million may invest money with a fund which is managed by an advisor who is also registered with the SEC, without altering the status  of that fund as \u00c3\u00af\u00c2\u00bf\u00c2\u00bdPrivate\u00c3\u00af\u00c2\u00bf\u00c2\u00bd. This means that under the standard required for an investor to pay performance fees, \u00c3\u00af\u00c2\u00bf\u00c2\u00bdthat investor would be unable to be charged a performance fee\u00c3\u00af\u00c2\u00bf\u00c2\u00bd according to Ryan.<\/p>\n<p>  The lengthy SEC laws and regulations remain complex to decipher, and for hedge fund managers who are generally preoccupied with the business of making money for their investors, these new laws will  undoubtedly divert some of their attention away from trading. According to Buchanan Hedge Fund Services, \u00c3\u00af\u00c2\u00bf\u00c2\u00bdCode of Ethics will establish restrictions on the personal investments of those involved in  the investment process. It will also require the investment advisor to: create and maintain a written Code of Ethics, institute a process for informing all subject persons, and monitor compliance  of each subject person with those restrictions on an ongoing basis.&#8221;<\/p>\n<p>  Commenting on the impact of the new SEC laws on Hedge Fund Managers, Ryan also said, &#8220;This change is just the first shot fired by the SEC. Hedge management firms are facing a regulatory regime that  will demand the adoption of extensive and time-consuming business practices. Hedge fund management firms, and especially those firms with head counts below twenty, would be wise to make an early  and careful examination of the regulatory requirements, the burdens those requirements place on their firm, and the alternatives for meeting these challenges.&#8221;<\/p>\n<p>  Ryan added, \u00c3\u00af\u00c2\u00bf\u00c2\u00bdFirms should be wary of boilerplate paperwork or a quick software fix. Ultimately, there&#8217;s no real replacement for the flexible, responsive approach folks with experience in compliance  management can provide. For many firms with limited personnel whose time has a high value, outsourcing many of the day to day tasks of meeting regulatory requirements will be an obvious business  decision.&#8221;<\/p>\n<p>  Buchanan Associates is a compliance consulting firm located in New York. For more information, contact Emmett Ryan at: 212 809-7171 ext 245.<\/p>\n<p>  Paul Oranika<br \/>  Editor-in-Chief<br \/>  HedgeCo.Net<br \/>  Email: Editor@hedgeco.net<\/p>\n<p>  HedgeCo.Net is the most popular hedge fund database and community in the world. Membership on www.hedgeco.net is FREE and EASY. We also offer FREE LISTINGS for Hedge Funds!<\/p>\n<p>  <strong>Be sure to check out our sister sites. <a href=\"http:\/\/www.hedgefundlounge.com\">www.hedgefundlounge.com<\/a>, <a href=\"http:\/\/www.hedgefundtools.com\">www.hedgefundtools.com,<\/a><\/strong> and  <a href=\"http:\/\/www.hedgefundemployment.com\"><strong>www.hedgefundemployment.com.<\/strong><\/a><\/p>\n","protected":false},"excerpt":{"rendered":"<p>WEST PALM BEACH, FL (www.hedgeco.net) &#8211; According to the SEC, the effective date for registration as Investment Advisors is \u00c3\u00af\u00c2\u00bf\u00c2\u00bdFebruary 10, 2005, except for the amendments to \u00c3\u00af\u00c2\u00bf\u00c2\u00bd275.206(4)-2 [rule206(4)-2] and \u00c3\u00af\u00c2\u00bf\u00c2\u00bd279.1 [Form ADV], which will become effective January 10, 2005.&#8221; [&hellip;]<\/p>\n","protected":false},"author":1,"featured_media":0,"comment_status":"closed","ping_status":"open","sticky":false,"template":"","format":"standard","meta":{"footnotes":""},"categories":[3],"tags":[],"class_list":["post-2940","post","type-post","status-publish","format-standard","hentry","category-hedgeco-news"],"_links":{"self":[{"href":"https:\/\/hedgeco.net\/news\/wp-json\/wp\/v2\/posts\/2940","targetHints":{"allow":["GET"]}}],"collection":[{"href":"https:\/\/hedgeco.net\/news\/wp-json\/wp\/v2\/posts"}],"about":[{"href":"https:\/\/hedgeco.net\/news\/wp-json\/wp\/v2\/types\/post"}],"author":[{"embeddable":true,"href":"https:\/\/hedgeco.net\/news\/wp-json\/wp\/v2\/users\/1"}],"replies":[{"embeddable":true,"href":"https:\/\/hedgeco.net\/news\/wp-json\/wp\/v2\/comments?post=2940"}],"version-history":[{"count":0,"href":"https:\/\/hedgeco.net\/news\/wp-json\/wp\/v2\/posts\/2940\/revisions"}],"wp:attachment":[{"href":"https:\/\/hedgeco.net\/news\/wp-json\/wp\/v2\/media?parent=2940"}],"wp:term":[{"taxonomy":"category","embeddable":true,"href":"https:\/\/hedgeco.net\/news\/wp-json\/wp\/v2\/categories?post=2940"},{"taxonomy":"post_tag","embeddable":true,"href":"https:\/\/hedgeco.net\/news\/wp-json\/wp\/v2\/tags?post=2940"}],"curies":[{"name":"wp","href":"https:\/\/api.w.org\/{rel}","templated":true}]}}