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BAM Preferred Credit Fund Files SEC Document on Investment Company Act Exemptions

BAM Preferred Credit Fund, LP filed a regulatory document with the SEC on April 13, 2026, citing exemptions under sections 3(c), 3(c)(5), and 3(c)(7) of the Investment Company Act.

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BAM Preferred Credit Fund Submits SEC Filing

BAM Preferred Credit Fund, LP filed a document with the SEC on April 13, 2026, as indicated in the filing with accession number 0000905148-26-001660. The filing, according to SEC EDGAR, includes references to the Investment Company Act Section 3(c). This filing pertains to the fund’s status under U.S. securities regulations.

Details of the Filing

The document specifies that BAM Preferred Credit Fund, LP is relying on Section 3(c)(5) and Section 3(c)(7) of the Investment Company Act. According to SEC EDGAR, the filing was submitted by the entity with CIK number 0002019278 and has a file size of 9 KB. These sections are part of the exemptions that allow certain funds to operate without full registration.

Exemptions Claimed

In the filing, BAM Preferred Credit Fund, LP explicitly references Item 3C, which covers Investment Company Act Section 3(c), along with its subsections 3(c)(5) and 3(c)(7). As widely-known context, the Investment Company Act of 1940 governs investment companies in the U.S., and sections like 3(c)(7) typically apply to funds for qualified purchasers, though this filing does not specify investor details. According to SEC EDGAR, this indicates the fund’s intent to claim these exemptions for its operations.

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