Form 1-U PRA supporting statement.2021

Form 1-U PRA supporting statement.2021.docx

Form 1-U

OMB: 3235-0722

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SUPPORTING STATEMENT FOR THE PAPERWORK REDUCTION ACT

INFORMATION COLLECTION SUBMISSION FOR FORM 1-U



A. JUSTIFICATION


  1. CIRCUMSTANCES MAKING THE COLLECTION OF INFORMATION NECESSARY


The Securities Act of 1933, as amended (the “Securities Act”), generally requires that a registration statement be filed with the Securities and Exchange Commission (the “Commission”) disclosing prescribed information before securities may be offered for sale to the public. While the Securities Act already authorizes the Commission to exempt certain securities and transactions from registration, Section 401 of the Jumpstart Our Business Startups Act added Section 3(b)(2) to the Securities Act, creating a new exemption from registration. The Commission has adopted various rules (collectively, “Regulation A”) establishing a limited offering exemption from the registration requirements of the Securities Act. Regulation A provides an exemption for offerings that satisfy certain conditions, such as filing an offering statement with the Commission, limiting the dollar amount of the offering and, in certain instances, filing ongoing reports with the Commission. Form 1-U is filed with the Commission under Regulation A.


2. PURPOSE AND USE OF THE INFORMATION COLLECTION


The purpose of Forms 1-U is to better inform the public about companies that have conducted Tier 2 offerings under Regulation A. Form 1-U provides information to the public within four business days of fundamental changes in the nature of the issuer’s business and other significant events. The Commission will use very little of the collected information itself, except on an occasional basis in the enforcement of federal securities laws.


3. CONSIDERATION GIVEN TO INFORMATION TECHNOLOGY


Forms 1-U will be filed electronically using the Commission’s Electronic Data Gathering, Analysis and Retrieval System (“EDGAR”).


4. DUPLICATION OF INFORMATION


The Commission makes every effort to coordinate with other regulatory entities when necessary or appropriate in the public’s interest and for the protection of investors and to streamline regulations to enhance the production of capital. We are not aware of any forms or rules that conflict with or substantially duplicate the requirements of Form 1-U.






5. REDUCING THE BURDEN ON SMALL ENTITIES


Regulation A is an exemption from Securities Act registration relating to small issues and small issuers. Regulation A provides an exemption to small issuers while allowing them to conduct larger offerings that are exempt from Securities Act registration. We believe that many of the issuers in Regulation A offerings are small entities, but we currently do not collect information on total assets of companies that use Regulation A to determine if they are small entities.


6. CONSEQUENCES OF NOT CONDUCTING COLLECTION


The information required by Regulation A and its offering statement are used by public investors and serve the purpose of protecting our financial markets from fraud, which helps to instill investor confidence. The information required by Regulation A is also intended to ensure the adequacy of information to investors regarding offerings pursuant to that exemption. The exemption from Securities Act registration made in reliance on the amendments would not be available without this collection of information.


7. SPECIAL CIRCUMSTANCES


There are no special circumstances.


8. CONSULTATIONS WITH PERSONS OUTSIDE THE AGENCY


No comments were received during the 60 day comment period prior to OMB’s review of this submission.


9. PAYMENT OR GIFT TO RESPONDENTS


No payment or gift has been provided to any respondents.


10. CONFIDENTIALITY


Rule (§ 230.251(e)) allows for requests for confidential treatment to be made under existing Rule 406 (§ 230.406) for information required to be filed with the Commission and existing Rule 83 (§ 230.86) for information not required to be filed with the Commission. The collections of information required by Regulation A and its offering statement are public documents.









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: name, work address, and job title. 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 February 5, 2020, is provided as a supplemental document and is also available at https://www.sec.gov/privacy.

12. ESTIMATE OF RESPONDENT REPORTING BURDEN


We estimate that approximately 144 issuers annually file Form 1-U. We further estimate that 85% of the 5.0 hours per response (4.25 hours) is prepared by the issuer for an annual reporting burden of 612 hours (4.25 hours per response x 144 issuers). We derived our burden hour estimates by estimating the average number of hours it would take an issuer to compile the necessary information and data, prepare and review disclosure, file documents and retain records. In connection with rule amendments to the form, we occasionally receive PRA estimates from public commenters about incremental burdens that are used in our burden estimates. We believe that the actual burdens will likely vary among individual issuers based on the nature of their operations. For administrative convenience, the presentation of the total related to the paperwork burden hours has been rounded to the nearest whole number. The burden estimate for the hours is made solely for the purpose of the Paperwork Reduction Act.


13. ESTIMATE OF TOTAL ANNUALIZED COST BURDEN


We estimate that 15% of the 5.0 hours per response (0.75 hours) is prepared by outside counsel. We estimate that it will cost $400 per hour ($400 per hour x 0.75 hours per response x 144 issuers) for total of $43,200. We estimate an hourly cost of $400 for outside legal and accounting services used in connection with public company reporting. This estimate is based on our consultations with registrants and professional firms who regularly assist registrants in preparing and filing disclosure documents with the Commission. Our estimates reflect average burdens, and therefore, some companies may experience costs in excess of our estimates and some companies may experience costs that are lower than our estimates. For administrative convenience, the presentation of the total related to the paperwork burden cost total has been rounded to the nearest dollar. The cost estimate is made solely for the purpose of the Paperwork Reduction Act.


14. COSTS TO FEDERAL GOVERNMENT


The annual cost of reviewing and processing disclosure documents, including registration statements, post-effective amendments, proxy statements, annual reports and other filings of operating companies amounted to approximately $103,479,690 in fiscal year 2019, based on the Commission’s computation of the value of staff time devoted to this activity and related overhead.

15. REASON FOR CHANGE IN BURDEN


There is no change in burden.


16. INFORMATION COLLECTION PLANNED FOR STATISTICAL PURPOSES


The information collection is not planned for statistical purposes.


17. APPROVAL TO OMIT EXPIRATION DATE


We request authorization to omit the expiration date on the electronic version of the forms. Including the expiration date on the electronic version of the form will result in increased costs, because the need to make changes to the form may not follow the EDGAR application’s scheduled version release dates. The OMB control number will be displayed.


18. EXCEPTIONS TO CERTIFICATION FOR PAPERWORK REDUCTION ACT SUBMISSIONS


There are no exceptions to certification for Paperwork Reduction Act submissions.



B. STATISTICAL METHODS


The information collection does not employ statistical methods.

File Typeapplication/vnd.openxmlformats-officedocument.wordprocessingml.document
File TitleForm 1-U Supporting Statement
AuthorNiazi, Shehzad
File Modified0000-00-00
File Created2021-10-03

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