Jacob Spicer
CFTC Letter 25-50: Revival of the QEP Exemption from CPO Registration Offers Reduction in Compliance Burden
Winstead - Investment Management ·
SEC’s Division of Corporate Finance: 506(c) Interpretative Guidance
Winstead - Investment Management ·
FinCEN’s New AML/CFT Rules for Investment Advisers—Postponed
Winstead - Investment Management ·
Updated Filing Deadlines for Schedules 13D and 13G
Winstead - Investment Management ·
The Importance of Timely Filing a Form D
Winstead - Investment Management ·