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Hedge  · Jun 05, 2026

CONTRARIAN CAPITAL FUND I LP

SEC Filing Record
Offering Amount
$830.4M
Strategy
Hedge
Exemption
06b
Date Filed
Jun 05, 2026
0000919574-26-003848
View on SEC EDGAR →
37A Read

The dual GP structure—with Contrarian Capital Management as the primary manager and CCI GP as a secondary GP entity—signals a formalized separation between investment decision-making and administrative/compliance functions, a common design when a manager seeks to ring-fence operational risk or accommodate co-GP arrangements with institutional LPs.

With no prior EDGAR filings found, this is the manager's first registered fund vehicle, indicating either a newly launched investment firm, a continuation of strategy under a new legal entity, or a manager previously operating below the $150M AUM threshold that now seeks institutional capital and regulatory registration.

Filing an amendment to a June 2026 hedge fund raise during a period of elevated interest rates and volatility in public markets typically reflects manager timing around LP allocation cycles and year-end commitments, though the amendment status suggests either a material change to terms, GP representation, or target size since the original filing.

Before committing, verify whether Contrarian Capital Management has operated prior funds under different legal names or as an unregistered adviser, confirm key-man coverage and whether either named GP has regulatory history, and confirm whether the 06b no-solicitation exemption reflects a genuinely closed LP base or a transition toward broader marketing once minimum commitments are met.

Full analysis (GP structure, exemption breakdown, and market context) is available to Pro members.

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Principals
General Partners & Executives
-- Contrarian Capital Management, L.L.C. -- CCI GP, LLC
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