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VC  · Jun 02, 2026

U.S. Boston Growth Capital QSBS Fund, LP

SEC Filing Record
Offering Amount
$0.2M
Strategy
VC
Exemption
06c
Date Filed
Jun 02, 2026
0002037893-26-000004
View on SEC EDGAR →
37A Read

The dual GP structure—pairing a dedicated fund LLC with Pear Tree Partners Management plus two named individuals—signals a co-management arrangement where McClellan and Beckett likely hold decision rights alongside the institutional manager, a model that typically concentrates operational control and reduces committee friction but increases key-person dependency risk.

With no prior EDGAR filings from this manager, this is a founder or first-time raise, and the selection of Rule 506(c) exemption combined with a four-entity GP roster indicates the manager is targeting accredited LPs directly rather than through established placement channels, suggesting either a niche strategy or an operator building infrastructure outside traditional venture fund machinery.

A June 2026 filing for a QSBS-focused fund arrives as Section 1202 planning intensifies for 2025 exit cohorts and as the ability to defer capital gains under SECURE 2.0 provisions creates renewed LP appetite for early-stage equity—this manager is timing the raise to capitalize on tax-efficiency demand rather than broad venture fundraising momentum.

Verify the extent of McClellan's and Beckett's GP commitment and whether either maintains operational roles outside the fund, as the named-individual structure often masks conflicts of interest; also confirm whether the $0 target is a true placeholder versus a rolling close structure that could materially affect LP documentation and capital call timing.

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Principals
General Partners & Executives
U.S. Boston Growth Capital QSBS Fund GP, LLC Pear Tree Partners Management, LLC John McClellan William Beckett