EFTA00850115.pdf
dataset_9 pdf 150.7 KB • Feb 3, 2026 • 2 pages
From: "jeffrey E." <jeevacation@grnail.com>
To: "Lawrence H. Summers"
Subject: Re:
Date: Thu, 30 Jul 2015 11:17:50 +0000
did they review your contract. ? re me, no , In all my contracts i am cleat that i am not . . so it might be an issue
of no more than your contract. but I would take care
On Wed, Jul 29, 2015 at 10:05 PM, Lawrence H. Summers > wrote:
I don't know
Why can't I trust Wachtell Lipton.
If I am an investment advisor what does it mean
Are you an investment advisor
Sent from my iPhone
Please direct all scheduling inquiries to my office at:
Follow me on twitter ®Ihsutruners
www.larrysummers.com
On Jul 29, 2015, at 7:30 PM, jeffrey E. <jeevacation@gmail.com> wrote:
I have attached excerpts from West Publishing's Regulation of Investment Advisers. The idea that as long as
you are not providing advice about "the purchase or sale of individual securities" you should be ok, is I
believe too narrow a scope. See Sections 1:7, 1:8, and 1:9 of the attached excerpts. For example, in
Section1:8 it states that:
"... For example, a person may be deemed to be giving advice about securities even if the advise does not
relate to specific securities, but rather relates to the benefits of investing in securities as compared with non-
securities such as real estate or insurance. In addition, the SEC staff has taken the position that to be
considered advice about securities, the advice need not be in the form of buy or sell recommendations for
particular securities, but can be analyses or valuations of particular securities or of the securities markets
generally. Likewise, a person who provides asset allocation or timing advice (i.e., advice about when a client
should have a higher or lower percentage of his assets in certain securities or types of securities, such as
equity mutual funds or money market funds) is viewed as giving advice about securities. Similarly, a person
who advises clients as to the selection of an investment adviser, or who evaluates the performance of
investment advisers for clients, may be considered to be indirectly giving advice about securities...."
See also the page from the SEC website entitled General Information on the Regulation of Investment
Advisers, https://www.sec.govidivisions/investmentharegulation/memoia.htm, which includes the following
statement:
"Finally, a person or firm satisfies the "advice about securities" element if the advice or reports relate to
securities. The Division has stated that providing one or more of the following also could satisfy this
EFTA00850115
element: advice about market trends; advice in the form of statistical or historical data (unless the data is
no more than an objective report of facts on a non-selective basis); advice about the selection of an
investment adviser; advice concerning the advantages of investing in securities instead of other types of
investments; and a list of securities from which a client can choose, even if the adviser does not make
specific recommendations from the list. An employee of an SEC-registered investment adviser does not
need to register separately, so long as all of the employee's investment advisory activities are within the
scope of his employment."
I have also attached SEC release 1092 in which the SEC staff provides additional guidance on
the definition of "investment adviser." See page 6 of the Release which states:
. . The staff believes that a person who provides advice, or issues or promulgates reports or analyses,
which concern securities, but which do not relate to specific securities, generally is an investment adviser
under Section 202(a)(11), assuming the services are performed as part of a business and for
compensation."
please note
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JEE
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please note
The information contained in this communication is
confidential, may be attorney-client privileged, may
constitute inside information, and is intended only for
the use of the addressee. It is the property of
JEE
Unauthorized use, disclosure or copying of this
communication or any part thereof is strictly prohibited
and may be unlawful. If you have received this
communication in error, please notify us immediately by
return e-mail or by e-mail to jeevacation@gmail.com, and
destroy this communication and all copies thereof,
including all attachments. copyright -all rights reserved
EFTA00850116
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