MFA Comment Letters

Please contact Scott McDonald with any questions or technical difficulties. You can email your request to smcdonald@managedfunds.org or call 202-730-2600. MFA is continuously updating the database, so check back often when searching for comment letters.

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MFA Letter to NASD Regarding Proposed Rule on Member Private Offerings07.20.07


MFA submits comments to the NASD regarding NASD Proposed Rule 2721, Member Private Offerings, requesting that privately offered commodity pools […]

MFA Comment Letter to Canadian Securities Administrators on Registration Reform06.29.07


MFA submits comments and attachment to the Canadian Securities Administrators on Canadian registration reform.

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Topics: British Columbia Securities Commission Alberta Securities Commission, Saskatchewan Financial Services Commission, Manitoba Securities Commission, Ontario Securities Commission, Autorite des Marches Financiers, New Brunswick Securities Commission, Register of Securities Prince Edward Island, Nova Scotia Securities Commission, Superintendent of Securities Newfoundland and Labrador, Register of Securities Northwest Territories, Register of Securities Yukon Territory, Register of Securities Nunavut, Proposed National Instrument 31-103, registration requirements, global alternative investment industry, hedge funds, fund of funds, managed futures funds, policymakers, absolute return strategies, hedge fund industry, regulatory authorities, educational outreach, alternative investment history, Commodity Futures Trading Commission, CFTC, Federal Reserve Board, Department of the Treasury, Canadian Securities Administrators', CSA, global financial marketplace, President's Working Group on Financial Markets, PWG, private pools of capital, capital markets, financial markets, liquidity, price efficiency, risk distribution, alternative investment opportunities, capital, funds, Canada, (NI31-103), alternative investment vehicles, regulation, privately offered fund, professional investment management for hedge fund managers, defined term, U.S. federal securities laws, investment company, venture capital, private equity, leveraged buyout, oil and gas, real estate funds, hedging, distressed, financing, large activist posistions, risk-adjusted performance, private equity funds, assets under management, AUM, Non-Canadian Hedge Fund Securities, capital raising, retirement plans, pension plans, exposure, international capital markets, National instrument 45-106, Prospects and Registration Exemptions, Labrador, non-resident dealers, limited market dealers, dealer registration requirements, Non-Ontario Regime, securities, Regulatory Authority, offering memorandum, offering document, Ontario Regime, prospectus exemption, disclosure obligations, dealer registration exemption, market intermediaries, flow-through analysis, adviser registration, commodity futures, non-resident exemptions, Commodity futures act, Administrative Costs, Fraud, international portfolio manager, international investment fund manager, advisers, fund units, Ontario registered dealer, registered broker-dealer, broker-dealer, exempt market trades, accredited investors, sophisticated investors, fund-of-funds, financial institutions, hedge fund consultant, private placement, White Paper, financial eligibility, standards, pooled investment products, investment sophistication, natural persons, net worth threshold, annual income threshold, private investment vehicles, accredited natural person, income tests for inflation, grandfather provision, dealer registrayion exemption, offshore investment vehicles, United Kingdom, European Union, EU, well-developed capital markets, regulatory regimes,

MFA Comments to IOSCO on Consultation Report on Principles for the Valuation of Hedge Fund Portfolios06.21.07


MFA submits comment letter to IOSCO on its Consultation Report on Principles for the Valuation of Hedge Fund Portfolios.

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Topics: IOSCO IOSCO's 2007 32nd Annual Conference, Mumbai., India, valuation of investments, hedge funds, global set of principles, conflicts of interest, investors, IOSCO Report, Investment Portfolios, hedge fund management, hedge fund managers, global alternative investment industry, advocate, absolute return strategies, public, private sector, United States, Securities and Exchange Committee, SEC, Commodity Futures Trading Commision, CFTC, Federal Reserve, Department of the Treasury, state agencies, Congress, major dealers, derivative market practices, advisory, government bodies, United Kingdom's Financial Services Authority, FSA, Securities Exchange Board of India, MFA's 2005 Sound Practices, Investor Protection, key market soundness, Management and Internal Trading Controls, Responsibilites to Investors, Valuation Policies and Procedures, Business Continutiy and Disaster Recovery, President's Working Group on Financial Markets, PWG, risk management, internal trading controls, Regulatory Controls, Transactional Practices, business continuity, disaster recovery, valuation, macro-level guidance, operational framework, risk monitoring, U.S. regulatory Filings, anti-money laundering, Checklist for Compliance Manuals, Checklist for Code of Ethics, consistency, independence, transparency, financial instruments, market prices, Instrument, organized exchanges, data vendors, governing body, third parties, mission-critical, Third Party Service Providers, investment portfolio, global capital markets, portfolio strategies, material obstacles, net asset value, NAV, Fair Value, pricing poliies and sources, price validation, financial statement close process,

MFA Comments to SEC on Concept Release Concerning Management’s Reports on Internal Controls09.18.06


MFA submits to the SEC comments on its concept release concerning management’s reports on internal controls.