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Cannon Global A2 Fund Files Under Section 3(c)(7)

Cannon Global A2 Fund, LP filed a document with the SEC on April 22, 2026, related to Investment Company Act exemptions.

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Cannon Global A2 Fund Submits SEC Filing

Cannon Global A2 Fund, LP, identified by filer CIK 0001813958, filed a document on April 22, 2026, according to SEC EDGAR. The filing includes Item 3C, which pertains to the Investment Company Act Section 3(c), and specifically Item 3C.7 referencing Section 3(c)(7). This filing, with an accession number of 0001813958-26-000001, is sized at 6 KB.

Details of the Filing

The document from Cannon Global A2 Fund, LP addresses requirements under Item 3C of the SEC filing, directly linking to the Investment Company Act Section 3(c). Item 3C.7 in the filing explicitly mentions Section 3(c)(7), as recorded in the SEC EDGAR system. The filing date of April 22, 2026, aligns with standard regulatory submissions for entities like this fund.

Context and Relevance

Section 3(c)(7) is a provision in the Investment Company Act that exempts certain private funds, a widely-known regulatory tool for funds meeting specific investor criteria, though details are limited in this filing. According to SEC EDGAR, the filing’s focus on this section indicates Cannon Global A2 Fund’s compliance efforts. As a 6 KB document, it reflects a concise submission typical of such regulatory matters.

Filing Implications

The SEC filing by Cannon Global A2 Fund, LP, with its emphasis on Item 3C.7 and Section 3(c)(7), was made on April 22, 2026, and is accessible via the provided EDGAR link. This action underscores the fund’s engagement with federal regulations, according to SEC EDGAR.

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