EFTA01393589.pdf
dataset_10 PDF 158.7 KB • Feb 4, 2026 • 1 pages
GLDGSt31 Bright Group
Fund, which together with any expenses of the Access Fund, is greater
than the total amount of the Limited Partners' Subscriptions to the
Access Fund) the General Partner may need to fund Access Fund
expenses or future capital calls by the Underlying Fund through the
distributions received from the Underlying Fund (in such case the
Limited Partners will be allocated income without corresponding cash
to pay taxes on such income) or through borrowings. See -Borrowing."
Offering; Investment in the Limited partner interests of the Access Fund (-Interests") are being
Access Fund offered and sold in a private placement to certain U.S. investors
(-Limited Partners", and, together with the General Partner,
'Partners").
The Access Fund is designed for investors (-Investors') that are either
(A) U.S. taxable investors or (B) investors that arc pension plans, Keogh
plans, individual retirement accounts, tax-exempt institutions and other
tax-exempt limited partners ("U.S. Tax-Exempt Investors") that are
willing to receive material amounts of -unrelated business taxable
income" (as defined under Sections 512 and 514 of the Internal Revenue
Code of 1986, as amended (the "Code")) ("UBTI"). The Access Fund
is not designed for (i) U.S. Tax-Exempt Investors that are not willing to
receive material amounts of UBTI or (ii) investors that are not "U.S.
persons" (as described in "Tax, Regulatory and Certain ERISA
Considerations - Certain U.S. Federal Income Tax Considerations")
("Non-U.S. Investors'). If a Limited Partner is a Non-U.S. Investor or
becomes a Non-U.S. Investor for U.S. tax purposes after investing in the
Access Fund, adverse tax consequences could result for the Limited
Partner. Those U.S. Tax-Exempt Investors that do not wish to receive
any UBTI and are willing to forgo claiming U.S. treaty benefits and Non-
U.S. Investors should consider investing in the Offshore Access Fund
(as defined below). See "Tax. Regulatory and Certain ERISA
Considerations - Certain U.S. FederalIncome Tax Considerations" and
"— Certain ERISA Considerations." Prospective investors should consult
their own advisors regarding the U.S. and foreign tax consequences of
an investment in the Access Fund or the Feeder Fund.
Minimum Subscription The minimum capital commitment ("Subscription") by a Limited
Partner will be $250,000. although the General Partner reserves the right
to accept a Subscription of lesser amounts. Investors investing in the
Access Fund rather than directly through the Underlying Fund will be
subject to an additional layer of expenses.
The minimum commitment to the Underlying Fund per investor is
$5,000,000. although the Glendower GP may accept a lesser amount.
Investors seeking to make a Subscription equal to or greater than
$5,000,000 should consider investing directly in the Underlying Fund.
See "Management Fee." The General Partner will not have a
Subscription.
Proprietary and Confidential
4
CONFIDENTIAL - PURSUANT TO FED. R. CRIM. P. 6(e) DB-SDNY-0099230
CONFIDENTIAL SDNY_GM_00245414
EFTA01393589
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- dataset_10/7739/EFTA01393589.pdf
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- Created
- Feb 4, 2026