Tag Archives: Rule 147

Massive Amendments To Rule 147 May Be Approved TODAY!

Almost a year ago, the SEC proposed certain amendments to the current Rule 147 which were intended to help foster, and increase the viability of, Intrastate crowdfunding. While little has been heard about these amendments since their release (except from … Continue reading

Posted in Gen Crowdfunding | Tagged , , , , , , | Leave a comment

Intrastate Crowdfunding: The Often Overlooked Option

With the Federal Title III rules recently becoming effective, there is certainly a lot of excitement surrounding national level “retail” crowdfunding to non-accredited investors. That’s obviously great news for the industry, but it’s important to remember that the majority of the … Continue reading

Posted in Gen Crowdfunding | Tagged , , , , , , , | 1 Comment

CFIRA Offers Its Comments To SEC On Proposed Regulatory Changes

As you are probably aware, the SEC is currently considering sweeping changes to some of the most long-standing rules and regulations governing private transactions. These changes include fundamental revisions of both Rule 501, the definition of “accredited investor” and arguably … Continue reading

Posted in Gen Crowdfunding | Tagged , , , , , , , | Leave a comment

Crowdfunding: A look at 2015 and Beyond!

With it just turning 2016 and all, what better time to reflect on all the advancements made this year and to look ahead to all those still to come in 2016. If you follow this industry at all you know that … Continue reading

Posted in Gen Crowdfunding | Tagged , , , , , , , , , , | 1 Comment

SEC Proposes Sweeping Amendments To Rule 147 To Facilitate Intrastate Crowdfunding – Why They May All Be Moot

With all the excitement last week surrounding the SEC’s release of the final Title III rules implementing “Regulation Crowdfunding,” the SEC’s vote in favor of proposing amendments to the current Rule 147 to help foster Intrastate Crowdfunding amounted to little … Continue reading

Posted in Gen Crowdfunding | Tagged , , , , , | 3 Comments