Statement by Jack Mintz in response to the OSC’s Open Letter of December 8th, 2014
The following statements can be quoted, and should be attributed to Prof. Jack Mintz, Director and Palmer Chair at the School of Public Policy
December 9, 2014
“I believe the Ontario Securities Commission is following a prudent path in creating an Offering Memorandum regime similar to those in Quebec, Alberta, BC and other provinces.
However, Ontario is also considering imposing new restrictions on the exempt market that have not existed before. Particularly, the $30,000 cap on individual investments. Now, a similar cap is being considered by other provinces.
Per my research, I remain concerned that this cap could do more harm than good by inhibiting business capital financing, especially for better companies. Further, there remains an absence of empirical evidence that a cap is needed at all. Before imposing a cap like this, it is important to take a step back, gather empirical data, and understand the potential impacts of a cap on investment into the exempt market.
Finally, I am grateful that the OSC has taken such an interest in my research. However, to the points made in the letter, I do not believe that “consultation” is a substitute for empirical, data-based research on the impacts of regulatory changes to the exempt market. The onus is on regulators to engage in this research and gather data before proposing changes that could have a significant negative impact on what is a very important source of business funding in Canada.”
Please note that Prof. Mintz is unavailable for interviews today because of pre-existing meeting commitments.
Morten Paulsen
morten@paulsengroup.ca
403.399.3377