The EB-5 Reform and Integrity Act of 2022 requires Regional Centers to work with a third-party fund administrator or conduct an annual GAAP audit. Which should you choose?

On June 24th, 2022, a federal court granted a preliminary injunction in the case of Behring Regional Center, LLC, v. Alejandro Mayorkas, et al., overturning the USCIS decision to deauthorize all existing Regional Centers. This means that for the time being, new investors may file I-526 petitions. Regional Centers must move quickly to get in compliance with the law’s slate of new rules in order to take advantage of this ruling.

In this virtual forum recorded on July 7th, 2022, JTC Americas hosted a panel of experts discussing the specifics of the new rules, the ramifications of a choice to forego fund administration, and what to understand before making your decision.

Watch the Recording