Search

Client Alert: Treasury Provides Details on Legacy Securities PPIP And Names Asset Managers

07.16.09

On July 8, 2009, the Treasury announced further details regarding its Legacy Securities Public-Private Investment Program. This program is aimed at relieving financial institutions of illiquid assets that continue to hamper the flow of credit markets. 
 
Under this program, the Treasury will invest up to $30 billion of equity and debt side-by-side with private investors through public-private investment partnerships (PPIPs). The PPIPs will be managed by select asset managers and will invest in eligible assets. The eligible assets will initially include certain commercial mortgage-backed securities and non-agency residential mortgage backed-securities issued prior to 2009. 
 
With a pool of over 100 applicants, the Treasury named the following nine firms as initial asset managers of the PPIPs:
 
·         Alliance Bernstein, LP and its subadvisors Greenfield 
          Partners, LLC and Rialto Capital Management, LLC
·         Angelo, Gordon & Co., L.P. and GE Capital Real Estate
·         Blackrock, Inc.
·         Invesco Ltd.
·         Marathon Asset Management, L.P.
·         Oaktree Capital Management, L.P.
·         RLJ Western Asset Management, L.P.
·         The TCW Group, Inc.
·         Wellington Management Company, LLP
 
Each firm will have up to 12 weeks to raise at least $500 million from private investors for the PPIP. The Treasury will match the equity from private investors and also provide debt financing up to 100% of the total equity of the PPIP. Subject to total leverage limits, the PPIPs may also obtain private debt financing through the Term Asset-Backed Securities Loan Facility (TALF) for assets eligible for that program. 
 
For a complete term sheet relating to the legacy securities PPIPs, please visit http://www.financialstability.gov/docs/S-PPIP_LOI_Term-Sheets.pdf
 
 
 
This Client Alert is prepared for the general information of our clients and other interested persons. This Client Alert is not, and is not intended to be, comprehensive in nature. Due to the general nature of its content, this Client Alert is not and should not be regarded as legal advice.

Keith W. Kaplan, Esq.                      Jon M. Katona, Esq.
215-569-4143                                    215-569-4222
kkaplan@klehr.com                         jkatona@klehr.com
 
Jon S. Robins, Esq.                         Denise M. Day, Esq.
215-569-1689                                   215-569-1597
jrobins@klehr.com                          dday@klehr.com
 
Bradley A. Krouse, Esq.                  Richard S. Roisman, Esq.
215-569-1598                                   215-569-2930
bkrouse@klehr.com                        rroisman@klehr.com
           
215-569-4199
 
 
 
 
CIRCULAR 230 NOTICE. Any advice expressed above as to tax matters was neither written nor intended by the sender or Klehr, Harrison, Harvey, Branzburg & Ellers LLP to be used and cannot be used by any taxpayer for the purpose of avoiding tax penalties that may be imposed on the taxpayer. The recipient may not and should not rely upon any advice expressed above for any purpose and should seek advice based on the recipient's particular circumstances from an independent tax advisor.