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FVP National Security Fund II Files SEC Document for Section 3(c)(1) Exemption

FVP National Security Fund II, L.P. filed a document with the SEC on April 7, 2026, under Item 3C for Section 3(c)(1) of the Investment Company Act.

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FVP National Security Fund II Submits SEC Filing

FVP National Security Fund II, L.P., identified as filer 0002125615, filed a document with the SEC on April 7, 2026, according to SEC EDGAR. The filing includes Item 3C, which pertains to Section 3(c) of the Investment Company Act, specifically Section 3(c)(1).

Details of the Filing

The filing, with accession number 0002125615-26-000001, was submitted by FVP National Security Fund II, L.P. and has a file size of 9 KB, as recorded in the SEC EDGAR system. Item 3C.1 explicitly references Section 3(c)(1), which is a standard provision for certain exemptions. As widely known, Section 3(c)(1) generally applies to funds with fewer than 100 beneficial owners, allowing them to operate without registering as investment companies.

Implications for Emerging Managers

FVP National Security Fund II, L.P.’s filing under Section 3(c)(1) indicates reliance on this exemption, a common step for emerging funds navigating regulatory requirements, according to SEC EDGAR. This action aligns with practices for funds like this one to maintain compliance while raising capital.

Filing Context

The document was archived under the specified URL, providing public access to the details of FVP National Security Fund II, L.P.’s regulatory status. As a widely known aspect of SEC filings, such submissions help track fund activities in the capital markets.

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