It is true. The SEC did this. (The SEC is required by law to do so every five years.) Fund managers should update their Sub Docs. https://t.co/EEMK1LDMXv
California’s new #venturecapital reporting law is now in effect. Get the key deadlines, who qualifies as a "covered entity," what needs to be reported and practical compliance steps for sponsors to take from Bert Stemmler and Daniel McAvoy's update: https://t.co/7Pe4NnDupm.
We were pleased to take part in the 2025 Cantor Crypto AI and Energy Infrastructure Conference in Miami.
Our CEO, David Kinitsky, joined the panel “The Value in Staking” to discuss how validator operations are evolving — from optimizing block construction and infrastructure performance to emerging opportunities in MEV, transaction ordering, and block-space monetization.
For Everstake, these conversations reinforce our focus on building reliable, scalable solutions that unlock new value streams for institutional and retail clients as the industry continues to mature.
Big thanks to @Official_Cantor for organizing such an insightful event and bringing together some of the brightest minds in the space.
The SEC has extended the compliance date for pending Form PF amendments to October 1, 2025, and may reconsider Form PF as a whole. https://t.co/arLaEXhOH5