Tag: intrastate offerings

SEC staff issues CDI regarding use of the internet in connection with intrastate offerings — how feasible is it?

by Cydney Posner The SEC staff has posted another new CDI regarding internet communications, this one advising how issuers may conduct intrastate offerings under Rule 147 and still use the internet to communicate offers.   The question is whether an issuer can use its website or social media to offer securities […]