Practice Areas - Private Equity
- Securities/Capital Markets
- Investment Banking and Broker-Dealer
- Financial Regulatory
| - Investment Funds
- Regulatory Compliance
- Fund Formation and Management
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| Contact Info | Telephone: 214-651-5831 Fax: 214-200-0456 http://www.haynesboone.com/evan_hall/
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| University | Baylor University, B.A., Political Science, magna cum laude, 2004 |
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| Law School | Baylor University School of Law, J.D., magna cum laude, 2007 |
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| Admitted | 2007, Texas |
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| ISLN | 919562347 |
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| Transactions | Formation, organization and operation of hedge funds, private equity funds, commodity pools, other private investment funds, investment advisers, commodity pool operators and commodity trading advisors; Registration of investment advisers with the SEC and the Texas State Securities Board; registration of commodity pool operators and commodity trading advisors with the CFTC and NFA; Preparation of securities and commodities filings with the SEC, CFTC and NFA, including Schedule 13G, Schedule 13D, Form 13F, Forms 3, 4 and 5 and Form ADV; and compliance with federal and state laws applicable to private investment funds, commodity pools and investment advisers. |
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Documents by this lawyer on Martindale.com | |
Adjustments to Qualified Client StandardEvan Hall,Taylor H. Wilson, September 6, 2011 Pursuant to an order recently issued by the Securities and Exchange Commission (the “SEC”), the dollar amount thresholds in the definition of “qualified client” under Rule 205-3 under the Investment Advisers Act of 1940, as amended (the “Advisers Act”), are set...
Adjustments to Qualified Client StandardEvan Hall,Taylor H. Wilson, September 5, 2011 Pursuant to an order recently issued by the Securities and Exchange Commission (the “SEC”), the dollar amount thresholds in the definition of “qualified client” under Rule 205-3 under the Investment Advisers Act of 1940, as amended (the “Advisers Act”), are set...
SEC Adopts Definition of Family OfficeEvan Hall,Taylor H. Wilson, July 11, 2011 On June 22, 2011, the Securities and Exchange Commission (“SEC”) adopted a final rule defining “family offices” that will be excluded from the definition of “investment adviser” under the Investment Advisers Act of 1940, as amended (the “Advisers...
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