📄 Extracted Text (665 words)
GLOUS143 Henry Nicholas
Furthermom, in response to increased regulatory concerns with respect to the sources of funds used in
investments and other activities, the Glendower GP may request the Access Fund in its capacity as limited
partner to provide additional documentation verifying, among other things, its source of funds used to
purchase the investments. Each Investor will be required to make such representations to the Access Fund
as the General Partner, the Investment Manager, and the Access Fund shall require in connection with
applicable anti-money laundering programs, including, representations to the Access Fund that such
investor is not, and is not acting on behalf of, a prohibited country, territory. individual or entity listed on
the U.S. Treasury Department's Office of Foreign Assets Control ("OFAC") wcbsitc, and that it is not
directly or indirectly affiliated with any country, territory, individual or entity named on an OFAC list or
prohibited by any OFAC sanctions programs. Such Investor will also represent to the Access Fund that
amounts contributed by it to the Access Fund were not directly or indirectly derived from activities that
may contravene U.S. federal, state or international laws and regulations, including, any applicable anti-
money laundering laws and regulations.
Requests for documentation and additional information may be made at any time during which an investor
holds an Interest. The General Partner will take such steps as it determines are necessary to comply with
applicable law, regulations, orders, directives or special measures to implement anti-money laundering law.
Alternative Investment Fund Managers Directive. Neither the General Partner nor the Investment
Manager is authorized or expected to become authorized under the European Union's Directive 2011/6I/EU
on Alternative Investment Fund Managers (the "AIFM Directive") as of the date of this Memorandum,
and the substantive requirements applicable to an authorized "Alternative Investment Fund Manager"
("AIFM") under the AIFM Directive or any national implementing law are not applicable to the General
Partner or the Investment Manager. Neither the General Partner nor the Investment Manager will market
Interests (or permit Interests to be marketed on their behalf) to any prospective investor located, resident or
domiciled or with a registered office in or organized under the laws of a relevant member state (each, a
"Member State") of the European Economic Area ("EEA")2, when such marketing is reasonably likely to
give rise to the application of any requirement of the AIFM Directive to the Access Fund or the General
Partner or the Investment Manager.
CERTAIN ERISA CONSIDERATIONS
The General Partner intends to organize and operate the Access Fund so that an investment in the Access
Fund will be a permissible investment for pension, profit sharing and other retirement plans which arc
subject to ERISA. As explained below, the General Partner expects that the ownership of the Access Fund
by benefit plan investors shall be limited, so that the assets of the Access Fund will not be "plan assets"
within the meaning of ERISA.
A fiduciary of a U.S. pension, profit sharing, or other employee benefit plan or trust subject to ERISA (each
such plan or trust, an "ERISA Plan") should consider fiduciary standards under ERISA in the context of
the ERISA Plan's particular circumstances before authorizing an investment of a portion of such ERISA
Plan's assets in the Access Fund. The fiduciary standards include the prudence, diversification, and
governance requirements of Section 404(a)(1) of ERISA. ERISA Plan fiduciaries must give appropriate
consideration to, among other things, the role that an investment in the Access Fund has in the ERISA
Plan's investment portfolio, taking into account the ERISA Plan's purposes, the risk ofloss and the potential
2 lie following countries are in the EEA: Austria, Belgium, Bulgaria, Croatia, Cyprus, Czech Republic, Denmark. Estonia,
Finland, France. Germany, Greece, Hungary., Iceland, Republic ofIreland, Italy. Latvia, Liechtenstein, Lithuania. Luxembourg,
Malta, The Netherlands. Norway. Poland, Portugal, Romania, Slovakia, Slovenia, Spain. Sweden and the United Kingdom of
Great Britain and Northern Ireland.
Proprietary and Confidential
49
CONFIDENTIAL - PURSUANT TO FED. R. CRIM. P. 6(e) DB-SDNY-0038811
CONFIDENTIAL SDNY GM_00184995
EFTA01354217
ℹ️ Document Details
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392f1967319a3a64c9b3c925ffac10674e5a29c2bd1b40d9d3321306b3443b70
Bates Number
EFTA01354217
Dataset
DataSet-10
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document
Pages
1
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