Member Private Offerings Filed with the NASD

Published on:
July 27, 2007

SIFMA provides comments to the National Association of Securities Dealers, Inc. (NASD) on proposed NASD Rule 2721 relating to member private offerings.  The proposed rule would generally require certain disclosure be made in a private placement memorandum (PPM) relating to a Member Private Offering. SIFMA believes the proposal is overbroad and offers its observations and recommendations on specific issues within the proposal including: 1) the definition; 2) disclosure requirements; 3) filing requirements; 4) use of offering proceeds; and 5) exemptions.

Details

More Content

  • Amicus Briefs
    Oct 05, 2026

    In re The Boeing Company Securities Litigation

  • Letters
    Oct 05, 2026

    Reducing Duplicative Regulation and Expanding Exemptions for Commodity Pool Operators and Commodity Trading Advisors

    SIFMA AMG comments on CFTC proposals to reduce duplicative regulation for certain CPOs and CTAs and account for inflation.
  • Letters
    Sep 30, 2026

    Proposed Rule Change to Amend FINRA Rules 0150, 2165, 4512 and to Adopt FINRA Rule 2166

    SIFMA Comments to SEC in support of the proposed rule changes to improve the utilization of Rules 2165 and 4512, as well as the new Rule 2166 to allow for a temporary delay for suspected fraud.

Get the latest trends, stats, and research on financial markets and securities.