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Pretium Residential Credit Fund Files for Section 3(c)(7) Exemption

Pretium Residential Credit Total Return Fund (Offshore), LP filed an SEC document on March 19, 2026, citing Investment Company Act Section 3(c)(7).

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Pretium Fund Submits SEC Filing

On March 19, 2026, D - Pretium Residential Credit Total Return Fund (Offshore), LP filed a document with the SEC, as indicated by the accession number 0002120518-26-000001. The filing includes Item 3C related to the Investment Company Act Section 3(c), and specifically Item 3C.7 for Section 3(c)(7). According to SEC EDGAR, the document is 11 KB in size and pertains to the filer’s status under US securities regulations.

Details of the Filing

The filer, identified as CIK 0002120518, is D - Pretium Residential Credit Total Return Fund (Offshore), LP, and the submission was made on the specified date. Section 3(c)(7), as a widely-known provision in the Investment Company Act, applies to certain private funds, though this filing does not detail specific investors or fund operations beyond the exemption claim.

Key Items Addressed

The filing explicitly references Item 3C and Item 3C.7, which relate to exemptions under the Investment Company Act. According to SEC EDGAR, this indicates the fund’s intent to operate under Section 3(c)(7) conditions. As a matter of widely-known context, such sections typically allow funds to avoid registration if they meet certain criteria, but the filing itself provides only the basic structure outlined.

Source and Verification

All information in this article is drawn directly from the SEC EDGAR filing, including the date, accession number, and items listed. According to SEC EDGAR, the document confirms the fund’s filing without additional elaboration.

Sources
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