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Adviser Profile

As of Date 09/24/2024
Adviser Type - Large advisory firm
Number of Employees 7 -30.00%
of those in investment advisory functions 7 -22.22%
Registration SEC, Approved, 02/27/2023
Other registrations (1)
AUM* 172,139,553 -6.24%
of that, discretionary 172,139,553 -6.24%
Private Fund GAV* 99,760,522 7.57%
Avg Account Size 17,213,955 -6.24%
SMA’s No
Private Funds 8
Contact Info 415 xxxxxxx
Websites

Client Types

- Pooled investment vehicles

Advisory Activities

- Portfolio management for pooled investment vehicles

Compensation Arrangments

- A percentage of assets under your management
- Performance-based fees

Recent News

Reported AUM

Discretionary
Non-discretionary
184M 157M 131M 105M 79M 52M 26M
2023

Private Funds



Employees

Private Funds Structure

Fund Type Count GAV
Fund TypeVenture Capital Fund Count8 GAV$99,760,522

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Brochure Summary

Overview

A. Describe your advisory firm, including how long you have been in business. Identify your principal owner(s). Advisory Business GREE Capital Partners, LLC (“GCP”), was formed in November of 2018 as a Delaware limited liability company. GREE LP Fund US (“GLF” and together with GCP, the “Firm”) is a relying adviser of GCP. GLF was formed in July of 2022, as a Delaware limited liability company. The Firm provides investment advice and management to private pooled investment funds and special purpose vehicles not registered under the Investment Company Act of 1940, as amended (the “Investment Company Act”) (collectively referred to as the “Funds” or “Clients”). The Firm tailors its advisory services to the specific investment objectives and restrictions of its Funds, consistent with each Fund’s governing document. Generally, the Firm employs a venture capital and emerging growth equity strategy with an investment objective to seek income and gain through the acquisition, holding, distribution or other disposition of securities of pre-seed and seed stage start-up companies with a primary focus in the North American gaming, media and entertainment industries. The Funds managed by GCP will typically employ a venture strategy by making direct investments in start-up companies. The Funds managed by GLF employ a fund of funds strategy by investing in other private funds with underlying venture-related investments. For each of the Funds, an affiliate of the Firm serves as its general partner with authority to make investment decisions on its behalf. Principal Owners/Ownership Structure GCP is wholly owned by GREE Capital US Holding, LLC which is wholly owned by GREE, Inc. a publicly traded company headquartered in Tokyo, Japan. GLF is wholly owned by GREE LP Fund US Holdings, LLC which is wholly owned by GREE, Inc. Mr. Tanaka Yoshikazu is the principal owner of GREE Inc. B. Describe the types of advisory services you offer. If you hold yourself out as specializing in a particular type of advisory service, such as financial planning, quantitative analysis, or market timing, explain the nature of that service in greater detail. If you provide investment advice only with respect to limited types of investments, explain the type of investment advice you offer, and disclose that your advice is limited to those types of investments. The Funds advised by GCP are private pooled investment funds or special purpose vehicles that employ a venture capital and emerging growth equity strategy. The Funds advised by GLF are private pooled investment funds that employ a fund of funds strategy by investing
in other private funds that employ a venture capital and emerging growth equity strategy. C. Explain whether (and, if so, how) you tailor your advisory services to the individual needs of clients. Explain whether clients may impose restrictions on investing in certain securities or types of securities. The Firm does not tailor its advisory services to the individual needs of investors in its Funds; the Firm’s investment advice is tailored to the investment objectives of each Fund. The objectives of each Fund are described in the limited partnership agreement, or other governing document, of a Fund (collectively the “Governing Documents”). Investors determine the suitability of an investment in a Fund, based on, among other things, these Governing Documents which outline applicable investment risks. Fund investors generally cannot impose restrictions on investing in certain securities or types of securities. Investors participate in the overall investment program for the applicable Fund but can be excused from a particular investment due to legal, regulatory or other applicable constraints, pursuant to the terms of the applicable Governing Documents. In accordance with industry common practice, a Fund’s general partner may enter into side letters or similar agreements with certain investors in the Funds that have the effect of establishing rights under, or altering or supplementing the terms of, the relevant agreement with respect to such investors. Examples of side letter rights that could be entered into include certain fee provisions, information rights, liquidity and withdrawal provisions, concentration limits, notification provisions and most favored nations provisions. These rights, benefits or privileges are not always made available to all investors nor are they required to be disclosed to all investors, consistent with general market practice. D. If you participate in wrap fee programs by providing portfolio management services, (1) describe the differences, if any, between how you manage wrap fee accounts and how you manage other accounts, and (2) explain that you receive a portion of the wrap fee for your services. The Firm does not participate in wrap-fee programs. E. If you manage client assets, disclose the amount of client assets you manage on a discretionary basis and the amount of client assets you manage on a non-discretionary basis. Disclose the date “as of” which you calculated the amounts. The Firm manages $165,764,827 in regulatory assets under management on a fully discretionary basis. The Firm does not manage Client assets on a non-discretionary basis.