North Capital
1.8K posts

North Capital
@norcap
Focused on bringing access, liquidity, and transparency to private markets.
Salt Lake City Katılım Eylül 2012
1.1K Takip Edilen1.1K Takipçiler

This is sad. I know as a politician these companies are going to spend a billion dollars against me for saying it but 🤷🏽♀️
Pervasive gambling is not good for society. It turns life into a casino, traps people in addiction & debt, surges domestic violence, and fosters manipulation.
Polymarket@Polymarket
We’re honored to announce MLB has named Polymarket as their Exclusive Prediction Market Exchange Partner. Polymarket 🤝 MLB
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watershed moment for the the crypto industry - grateful to all the teams who dedicated immense amounts of capital and energy to lobbying, advocacy, and litigation over the last decade
onward (not sure on the upward for now)
U.S. Securities and Exchange Commission@SECGov
TODAY 🚨: The Commission issued an interpretation that clarifies the application of federal securities laws to crypto assets. This is a major step to provide greater clarity regarding the Commission’s treatment of crypto assets. Read the release here: ow.ly/XhhV50YvxvO
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Today we announced that we have stickered NCGXX to indicate that it is an eligible asset for stablecoins.
einpresswire.com/article/899807… via @ein_news
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Crowdfund Capital Advisors: Founder Tells SEC, Congress to Improve Secondary Markets for Crowdfunded Securities crowdfundinsider.com/2026/02/259498…
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North Capital Launches Tokenization Subsidiary, North Capital Token Services LLC, for tokenization of debt, equities, and private fund interests, and on-chain credential certification. einpresswire.com/article/889135… via @ein_news
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Private market issuers are increasingly building a secondary market strategy into their distribution plans. businesswire.com/news/home/2025…
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🚨 Users are reporting problems with Google Workspace Admin Console. Is Google Workspace Admin Console down for you? RT if you are having issues. isdown.app/status/google-… #google-workspacedown
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@sabatage @GoogleWorkspace Just contact Support. Oh wait you can't because the Admin Panel is down. DAF.
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Google Workspace @GoogleWorkspace Admin Console is down for many users, including us. Anyone else?

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Department of Government Efficiency has solicited specific changes to government regulations that would be significantly impactful for innovation, economic growth, and government efficiency. Here are my three best ideas:
(1) 15 U.S. Code § 80a–3 - Definition of investment company - delete the 99 investor limit in 3(c)1; delete 3(c) 7 in its entirety. The limit of 99 investor "slots" in 3(c)1 exempt investment companies is stupid. It encourages managers to jack up minimum investment requirements when it would be better for issuers and investors to allow for greater diversification. It causes funds managers to forego launches because with a 99 investor limit, what is the point? In the words of Warren Buffett, something not worth doing at all is not worth doing well. What is the magic about 99 investors? Precisely nothing.
(2) 17 CFR § 230.506 - Exemption for limited offers and sales without regard to dollar amount of offering. The Reg D exemption should be extended to investor resales of issuer securities to facilitate the development of secondary markets. Investors and advisors alike are wary of private securities due to their lack of liquidity. But the lack of liquidity is a direct result of government restrictions on secondary trading. It is stupid that a resale of securities is subject to more stringent requirements than a primary exempt offering. Normalize the rules and secondary markets will expand and provide better outcomes for investors. Limited liquidity is good for nobody. Greater liquidity is good for everyone.
(3) 26 CFR § 1.7704-1 - Publicly traded partnerships. Create an exemption for PTPs under $1bn. PTP rules preclude the development of robust secondary markets for private funds. The QMS exemption is very limited and not practical for small funds. Create a limited exemption for small private funds (<$1bn) and capital formation and secondary market liquidity will explode.
These three changes --- eliminating the 99 investor cap in 3(c)1 of the Advisors Act, broaden the Reg D exemption to include resales of exempt securities, and establishing a limited exemption to the PTP rules to provide for secondary trading of small private funds ---would dramatically improve capital formation, liquidity, and transparency of private markets.
#privatemarkets #secondarymarkets #doge #departmentofgovernmentefficiency #PTP #liquidity #Transparency @DOGE @VivekGRamaswamy @elonmusk

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(1) 15 U.S. Code § 80a–3 - Definition of investment company - delete the 99 investor limit in 3(c)1; delete 3(c) 7 in its entirety.
(2) 17 CFR § 230.506 - Exemption for limited offers and sales without regard to dollar amount of offering. Extend the Reg D exemption to investor resales of issuer securities, to facilitate the development of secondary markets.
(3) 26 CFR § 1.7704-1 - Publicly traded partnerships. Create an exemption for PTPs under $1bn.
These three changes would unleash uprecedented capital flows and capital formation. Why?
(1). The limit of 99 investor "slots" in 3(c)1 exempt investment companies is stupid. It encourages managers to jack up minimum investment requirements when it would be better for issuers and investors to allow for greater diversification.
(2). Everyone criticizes exempt offerings due to their lack of liquidity. But the lack of liquidity is specifically due to government restrictions on secondary trading. It is stupid that a resale of securities is subject to more stringent requirements than a primary exempt offering. Normalize the rules and secondary markets, on the same terms as the primary exempt offerings, will expand and provide better outcomes for investors.
(3). PTP rules preclude the development of robust secondary markets for private funds. The QMS exemption is not practical for small funds. Create an exemption for small private funds (<$1bn) and capital formation and secondary market liquidity will explode.
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@DanCrenshawTX 100%. If you would like to have a more in depth discussion about how this works in practice with small broker-dealers, have your people call our people. We can regale you with stories that will blow your mind.
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American innovation will die if we allow regulatory capture.
Our letter is very simple: stop creating barriers to entry for small innovators and don’t put a wet blanket on the engine of American enterprise.
Samir Unni@SamirUnni
Great letter by @DanCrenshawTX & @brettguthrie, calling out @HHS_TechPolicy for promoting the creation of blatantly corrupt health AI assurance labs, run by @CHAI_nonprofit and legacy tech companies, in a pay-to-play model
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