SecProbe.io

Filing text and metadata
Intelligence Terminal Search Topics Monthly Activity About

SEC Comment Letter 0000000000-24-004601 to Auor Capital Fund V LLC (CIK 0002017115)

Auor Capital Fund V LLC (CIK 0002017115)
Date: April 25, 2024 · CIK: 0002017115 · Accession: 0000000000-24-004601

AI Filing Summary & Sentiment

Date
April 25, 2024
Author
Not clearly detected
Form
UPLOAD
Company
Auor Capital Fund V LLC (CIK 0002017115)

Letter

United States securities and exchange commission logo April 25, 2024 Carl Kaeding President of Kaeding Development Group, LLC Auor Capital Fund V LLC 7900 International Drive, Suite 910 Bloomington, MN 55425 Re:Auor Capital Fund V LLC Draft Offering Statement on Form 1-A Submitted April 19, 2024 CIK No. 0002017115 Dear Carl Kaeding: Our initial review of your draft offering statement indicates that it fails in numerous material respects to comply with the requirements of Regulation A and Form 1-A. More specifically, you have failed to include the financial statements required by paragraph (c) of Part F/S of Form 1-A. In this regard, we note that the included financial statements are incomplete, do not cover the required periods of time and are missing footnotes. We will provide more detailed comments relating to your draft offering statement following our review of a substantive amendment that addresses these deficiencies. Please contact Ronald (Ron) E. Alper at 202-551-3329 with any questions. Sincerely, Division of Corporation Finance Office of Real Estate & Construction cc: Jeremy E. Warring

Show Raw Text
United States securities and exchange commission logo
April 25, 2024
Carl Kaeding
President of Kaeding Development Group, LLC
Auor Capital Fund V LLC
7900 International Drive, Suite 910
Bloomington, MN 55425
Re:Auor Capital Fund V LLC
Draft Offering Statement on Form 1-A
Submitted April 19, 2024
CIK No. 0002017115
Dear Carl Kaeding:
            Our initial review of your draft offering statement indicates that it fails in numerous
material respects to comply with the requirements of Regulation A and Form 1-A.  More
specifically, you have failed to include the financial statements required by paragraph (c) of Part
F/S of Form 1-A. In this regard, we note that the included financial statements are incomplete, do
not cover the required periods of time and are missing footnotes.
            We will provide more detailed comments relating to your draft offering statement
following our review of a substantive amendment that addresses these deficiencies.
            Please contact Ronald (Ron) E. Alper at 202-551-3329 with any questions.
Sincerely,
Division of Corporation Finance
Office of Real Estate & Construction
cc:       Jeremy E. Warring