
Chris Ormond
Articles
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Dec 19, 2024 |
jdsupra.com | Chris Ormond
In our recent alert Loan Origination Under AIFMD2: A Guide on loan origination under the revised Alternative Investment Fund Managers Directive (AIFMD2), we noted that the European Securities and Markets Authority (ESMA) would consult on further measures required to implement AIFMD2.
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Dec 2, 2024 |
mondaq.com | Andrew Henderson |Glynn Barwick |Chris Ormond |Matthew Dixon-Ward
GP Goodwin Procter LLP More At Goodwin, we partner with our clients to practice law with integrity, ingenuity, agility, and ambition. Our 1,600 lawyers across the United States, Europe, and Asia excel at complex transactions, high-stakes litigation and world-class advisory services in the technology, life sciences, real estate, private equity, and financial industries.
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Sep 19, 2024 |
mondaq.com | Chris Ormond |Thomas Howard |Lynette Elam
Upon the occurrence of a key person event, a suspension period is typically triggered, during which the fund is not able to make new investments. In a previous article, we analyzed the average length of the suspension period and the ways they tend to vary among asset classes. In this article, we examine how fund sponsors resolve a key person event to terminate the suspension period and resume all investment activities.
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Sep 17, 2024 |
goodwinlaw.com | Lynette Elam |Mandee Gruen |Chris Ormond |Thomas Howard
Upon the occurrence of a key person event, a suspension period is typically triggered, during which the fund is not able to make new investments. In a previous article, we analyzed the average length of the suspension period and the ways they tend to vary among asset classes. In this article, we examine how fund sponsors resolve a key person event to terminate the suspension period and resume all investment activities.
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Jul 26, 2024 |
mondaq.com | Andrew Henderson |Glynn Barwick |Sebastian Bruchwitz |Chris Ormond
Those who have had to navigate and consider the EU Sustainable Finance Disclosure Regulation (SFDR) have faced its challenges and noted its deficiencies. Specifically, these have included data gaps, the SFDR's use as a labelling rather than disclosure framework, and its failure to accommodate transition assets. Generally, the need for greater legal certainty, more straightforward and tailored application, and better international co-ordination.
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