Purpose-built EB-5 fund administration.
PRXY supports the full EB-5 lifecycle—from subscription through redeployment—ensuring investor capital is tracked, safeguarded, and reported with precision, transparency, and regulatory alignment.
Built to navigate every stage of the EB-5 lifecycle.
Compliance at Speed
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Lighting Fast Drawdowns
Lender-style reviews with built-in budget and document checks—completed within 24 hours.
Audit-Ready by Default
Centralized fund and project documentation, structured, searchable, and always inspection-ready.
Simplified Investor and Agent Access
A single portal for subscriptions, updates, K-1 delivery, and on-demand access to approved project information.
Reporting & Communications
Every milestone, requirement, and document organized, tracked, and ready when you need it.
Live Job Creation Tracking
Projected job creation is calculated continuously and displayed in each project’s dashboard, tied directly to eligible expenditures.

Transparent EB-5 Fund Flows
Track capital from contribution through deployment with clear visibility into balances, drawdowns, and remaining uses of funds.




Project Dashboards Built to the Offering
Each dashboard mirrors the project’s approved budget, economic analysis, and fund-release mechanics—so execution stays aligned with what was disclosed.
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Have questions?
What is the RIA and what does it require for fund administration?
The Reform and Integrity Act of 2022 (RIA) updated the EB-5 Immigrant Investor Program. One of its central requirements is that Regional Center-sponsored projects must either engage an independent fund administrator or undergo annual third-party financial audits for each New Commercial Enterprise (NCE).
A fund administrator tracks how investor capital is used, ensures capital flows align with the offering documents, and maintains detailed records. This oversight helps protect investors and reinforces the transparency and integrity of the EB-5 program.
What counts as an independent administrator under the RIA?
The fund administrator must not have any financial interest in the NCE, JCE, or Regional Center. Internal teams or affiliated entities do not qualify. The administrator must be an independent, third-party firm.
Reference: 2022 Consolidated Appropriations Act, Division BB, Title II, Subtitle A
(Tip: Use “Ctrl+F” and search for “Division BB, Title II, Subtitle A” to locate the relevant section.)
When should a fund administrator get involved?
A fund administrator must be engaged before any investor funds are accepted, as the administrator must be identified on the I-956F. Oversight begins as soon as funds are received—whether held in escrow or deposited directly into the NCE—and continues throughout the life of the project.
Can a fund administrator manage escrow release conditions?
Yes. Fund administrators verify that escrow release conditions are satisfied before each disbursement. Ongoing oversight also helps ensure that funds released to the JCE continue to support project milestones and job creation requirements.



