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Screendoor Fund I, L.P. Files SEC Document Under Section 3(c)(7)

Screendoor Fund I, L.P. submitted a SEC filing on May 1, 2026, citing reliance on Section 3(c)(7) of the Investment Company Act.

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Screendoor Fund I, L.P. Files SEC Document Under Section 3(c)(7)

Screendoor Fund I, L.P., identified by CIK 2009666, filed a document with the SEC on May 1, 2026, specifying reliance on Item 3C of the Investment Company Act, particularly Section 3(c)(7), according to SEC EDGAR. The filing, with accession number 0002009666-26-000001, is a 6 KB submission that indicates the fund’s status under this exemption.

Filing Details

The document was filed by Screendoor Fund I, L.P. on May 1, 2026, and includes Item 3C.7, which references Section 3(c)(7) of the Investment Company Act. This section is part of the filing’s structure, as detailed in the SEC EDGAR records. The filing size is 6 KB, and it pertains directly to the fund’s compliance with investment regulations.

Context of the Exemption

It is widely known that Section 3(c)(7) of the Investment Company Act provides an exemption for certain private funds, though this filing by Screendoor Fund I, L.P. on May 1, 2026, confirms the fund’s specific invocation of this provision, according to SEC EDGAR. The filing’s reference to Item 3C underscores the fund’s alignment with this regulatory framework.

Overview of Submission

Screendoor Fund I, L.P.’s filing includes the accession number 0002009666-26-000001 and was submitted on May 1, 2026, highlighting its use of Section 3(c)(7). This action reflects standard procedures for funds navigating SEC requirements, as evidenced in the source material, according to SEC EDGAR.

Sources
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