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DLA Piper LLP (US)

1251 AVENUE OF THE AMERICAS, NEW YORK, NY 10020-1104, USA
Tel:
Work +1 212 335 4500
Fax:
Fax +1 212 335 4501
Web:
www.dlapiper.com

Carmen Wong

Tel:
Work +1 212 335 4734
Email:
DLA Piper LLP (US)

Work Department

Finance; Private Equity Funds

Position

Of Counsel

Career

Carmen Wong represents domestic and international fund sponsors in the formation of private investment funds, with a focus on private equity funds.

Carmen also advises investment funds on internal governance and operational matters.

Carmen has experience representing both corporate issuers and underwriters in investment-grade and high-yield bond offerings, and equity offerings and advising issuers on corporate governance matters.

Education

LLB, University College of London; JD, Columbia University School of Law


United States: Investment fund formation and management

Private equity funds (including venture capital)

Within: Private equity funds (including venture capital)

DLA Piper LLP (US), which has particular expertise in debt funds, but also handles work concerning managed accounts and other asset classes, ‘brings a depth of knowledge and expertise to clients’ problems’. David Goldstein heads the practice from the New York office and continues to work with MC Credit Partners. Victor Levy is ‘an expert in the structured credit fund field - clients appreciate his thoroughness’; he advised cornerstone client Ares Management on establishing a managed account for an investor. Richard Reilly advised Goldman Sachs as placement agent of a billion-dollar-plus collateralized loan obligation fund. Also in New York, Carmen Wong is now counsel. Richard Ginsberg, based in Chicago, advised May River Capital on forming its first fund, which beat its $150m target. The firm acts for several American and international sovereign wealth funds, start-up venture capital firms, and Oxford Properties Group.

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Legal Developments by:
DLA Piper LLP (US)

  • Sentencing guidelines for corporate manslaughter

    In February 2010 the Sentencing Guidelines Council (the SGC) issued definitive guidelines to courts on imposing appropriate sentences for corporate manslaughter and health and safety offences causing death. The SGC states that fines imposed on companies found guilty of corporate manslaughter should not fall below £500,000, while fines in respect of health and safety offences that are a significant cause of death should be at least £100,000. Crucially, the SGC declined to provide for a fixed link between the imposed fine and the turnover or profitability of the offending company.

    - DLA Piper UK LLP

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