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WM Alternatives Hudson Bay Fund Files SEC Document on Section 3(c)(7)

WM Alternatives Hudson Bay Onshore Feeder Fund L.P. filed a SEC document on May 4, 2026, related to Investment Company Act Section 3(c)(7).

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WM Alternatives Hudson Bay Onshore Feeder Fund L.P. Submits SEC Filing

WM Alternatives Hudson Bay Onshore Feeder Fund L.P., identified by CIK 1963210, filed a document with the SEC on May 4, 2026, according to SEC EDGAR. The filing includes references to Item 3C and specifically Item 3C.7, which pertains to Section 3(c)(7) of the Investment Company Act. As a widely-known context, Section 3(c)(7) allows certain private funds to exempt themselves from registration if they meet specific criteria.

Details of the Filing

The document, titled “D/A - WM Alternatives Hudson Bay Onshore Feeder Fund L.P.,” was submitted with an accession number of 0001963210-26-000001 and has a file size of 8 KB, as recorded in the SEC EDGAR system. This filing directly addresses Item 3C.7, linking it to the broader Section 3(c)(7) provisions. According to SEC EDGAR, such filings are part of the regulatory process for investment companies.

Context and Significance

Item 3C in the filing specifies compliance with the Investment Company Act, with Item 3C.7 focusing on Section 3(c)(7), a standard exemption for funds not making public offerings. As widely-known context, this section typically applies to funds whose investors are qualified purchasers, though the filing itself only confirms the reference to this section. The SEC filing on May 4, 2026, aligns with routine disclosures required under U.S. securities regulations, according to SEC EDGAR.

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