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pdfOMB CONTROL NUMBER: 3235-0233
SUPPORTING STATEMENT
For the Paperwork Reduction Act Information Collection Submission for
Form 2-E, Report pursuant to rule 609 of Regulation E
A.
JUSTIFICATION
1.
Necessity for the Information Collection
Section 3(c) of the Securities Act of 1933 (“Securities Act”) permits the Securities
and Exchange Commission (the “Commission”) to exempt completely or conditionally
securities issued by small business investment companies (“SBICs”) from the provisions
of the Securities Act. 1 Regulation E under the Securities Act 2 provides specific
exemptions from the registration provisions of the Securities Act for SBICs and business
development companies (“BDCs”). Under Regulation E, securities issued by SBICs that
are registered under the Investment Company Act of 1940 (“Investment Company Act”) 3
and securities issued by certain investment companies that elect to be treated as BDCs
under the Investment Company Act are exempt from registration under the Securities
Act, provided that certain conditions are met.
Rule 609 under the Securities Act 4 requires SBICs and BDCs that have engaged in
offerings of securities that are exempt from registration pursuant to Regulation E to report
semi-annually on Form 2-E5 the progress of the offering. The form solicits information
such as the dates an offering commenced and was completed (if completed), the number of
1
15 U.S.C. 77c(c).
2
17 CFR 230.601 to 610a.
3
15 U.S.C. 80a-1 et seq.
4
17 CFR 230.609.
5
17 CFR 239.201.
shares sold and still being offered, amounts received in the offering, and expenses and
underwriting discounts incurred in the offering. Upon completion of the offering and the
filing of a final report, no further reports are required under this regulation.
2.
Purpose and Use of the Information Collection
The information provided on Form 2-E assists the staff in monitoring the progress
of the offering and in determining whether the offering has stayed within the limits set for
an offering exempt under Regulation E.
3.
Consideration Given to Information Technology
The Commission’s Electronic Data Gathering, Analysis and Retrieval System
(“EDGAR”) automates the filing, processing, and dissemination of full disclosure filings.
The system permits publicly held companies to transmit their filings to the Commission
electronically. This automation provides for speed, accuracy, and availability of
information, generating benefits to investors and financial markets. Form 2-E is required
to be filed electronically on EDGAR. 6 The public may access filings on EDGAR
through the Commission’s website (http://www.sec.gov).
4.
Duplication
The Commission periodically evaluates rule-based reporting and recordkeeping
requirements for duplication and reevaluates them whenever it proposes a rule or a
change in a rule. The information required by Form 2-E is not generally duplicated
elsewhere.
5.
Effect on Small Entities
The Commission reviews all rules periodically, as required by the Regulatory
6
See rule 101(a)(1)(v) of Regulation S-T (17 CFR 232.101(a)(1)(v)).
2
Flexibility Act, to identify methods to minimize recordkeeping or reporting requirements
affecting small businesses. 7 Congress enacted the Small Business Investment Act of
1958 8 in order to stimulate and supplement the flow of capital to small businesses. A
primary purpose of the small offering exemption under Regulation E is to provide a
simple and relatively inexpensive procedure by which small businesses can raise limited
amounts of needed capital.
Offerings under Regulation E require less extensive disclosure than Securities Act
registrations. Generally, the less burdensome provisions under Regulation E reflect a
commitment by the Commission to facilitate capital formation by SBICs and BDCs while
maintaining a level of investor protection traditionally afforded smaller offerings.
6.
Consequences of Not Conducting Collection
Reports on Form 2-E must be filed semi-annually during an offering and as a final
report at the completion of the offering. Less frequent filing would not allow the
Commission to monitor the progress of the offering to ensure that the issuer was not
attempting to avoid the normal registration provisions of the securities laws.
7.
Inconsistencies with Guidelines in 5 CFR 1320.5(d)(2)
None.
8.
Consultation Outside the Agency
The Commission and staff of the Division of Investment Management participate
in an ongoing dialogue with representatives of the SBIC and BDC industry through
public conferences, meetings, and informal exchanges. These various forums provide the
7
5 U.S.C. 601 et seq.
8
15 U.S.C. 661 et seq.
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Commission and the staff with a means of ascertaining and acting upon paperwork
burdens that may confront the industry. The Commission requested public comment on
the collection of information requirements in Form 2-E before it submitted this request
for extension and approval to the Office of Management and Budget. The Commission
received no comments in response to its request.
9.
Payment or Gift
No payment or gift to respondents was provided.
10.
Confidentiality
No assurance of confidentiality was provided.
11.
Sensitive Questions
No information of a sensitive nature, including social security numbers, will be
required under this collection of information. The information collection collects basic
Personally Identifiable Information (PII) that may include names, job titles and work
addresses. However, the agency has determined that the information collection does not
constitute a system of record for purposes of the Privacy Act. Information is not retrieved
by a personal identifier. In accordance with Section 208 of the E-Government Act of
2002, the agency has conducted a Privacy Impact Assessment (PIA) of the EDGAR
system, in connection with this collection of information. The EDGAR PIA, published
on 3/29/2023, is provided as a supplemental document and is also available at
https://www.sec.gov/oit/privacy-impact-assessments.
12.
Burden of Information Collection
The following estimates of average burden hours and costs are made solely for
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purposes of the Paperwork Reduction Act of 1995 9 and are not derived from a
comprehensive or even representative survey or study of the cost of Commission rules
and forms. Compliance with Form 2-E is mandatory to qualify for the exemption.
Responses to the disclosure requirements will not be kept confidential.
[The estimated burden of information collection for Form 2-E remains unchanged
from our prior estimates; that estimated burden is set forth in Table 1 below.
Table 1: Form 2-E PRA Estimates
Estimated Annual No. of
Responses
Previously Requested Change
approved
Form 2-E
11
1
Estimated Annual Time Burden
(Hrs.)
Previously Requested Change
approved
0
4
4
0
Estimated External Cost to Respondents
($)
Previously
Requested
Change
approved
$0
$0
1
One respondent submitted a Form 2-E filing in 2017; there has not been a Form 2E filing since that filing in calendar year 2017. We are submitting an estimate of one
respondent and a four-hour estimated time burden for administrative purposes.
13.
Cost to Respondents
We estimate that there are no external cost burdens imposed by the information
collection for Form 2-E.
14.
Cost to the Federal Government
The annual cost of reviewing and processing disclosure documents, including new
registration statements, post-effective amendments, proxy statements, and shareholder
reports of investment companies amounted to approximately $29 million in fiscal year
2022, based on the Commission’s computation of the value of staff time devoted to this
activity and related overhead.
9
44 U.S.C. 3501 et seq.
5
$0
15.
Change in Burden
There is no change to the estimated annual time burden and external cost burden
from the existing approved burden estimates for this information collection. The
Commission continues to estimate that this information collection imposes a four-hour
time burden for administrative purposes and no external cost burden.
16.
Information Collection Planned for Statistical Purposes
The results of any information collected will not be published.
17.
Approval to Omit OMB Expiration Date
The Commission is not seeking approval to omit the expiration.
18.
Exceptions to Certification Statement for Paperwork Reduction Act
Submissions
The Commission is not seeking an exception to the certification statement.
B.
COLLECTION OF INFORMATION EMPLOYING STATISTICAL
METHODS
The collection of information will not employ statistical methods.
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File Type | application/pdf |
File Title | SUPPORTING STATEMENT |
Author | abernethyd |
File Modified | 2023-08-08 |
File Created | 2023-08-08 |