Verticals - EB-5

EB-5 Investor Visa Integrity

Cryptographic audit trail across SEC, USCIS, and civil court, on the same case.

EB-5 sits at the intersection of immigration, securities (Reg S, Reg D), and AML. The defensible position is the cryptographic audit trail across all three regulatory regimes simultaneously - no competitor produces evidence packages admissible across SEC, USCIS, and civil court on the same case.

JIL is not a regional center, not a broker-dealer, not an immigration law firm. It is a payment-integrity and securities-fraud detection layer that verifies source of funds, tracks capital from escrow through the new commercial enterprise to the job-creating entity, and produces sealed evidence on every disbursement.

$50M-$150M
ARR TAM at maturity (mid-case)
~600
active regional centers
13
net-new EB-5-specific checks
Schedule a Call How the pipeline works
Architecture - Visual

EB-5 Investor Visa Integrity at a glance.

Where the integrity layer sits, what it produces, and how the sealed CREB flows back to the buyer's existing systems.

SOURCE VERIFIED JIL SOVEREIGN TECHNOLOGIES VERTICAL BRIEF · 03 OF 08 EB-5 INVESTOR VISA INTEGRITY Source-of-funds verification, capital deployment tracking, job creation evidence, regional center compliance. CUMULATIVE PROGRAM CAPITAL $50B+ Since program inception, ~600 active RCs CUMULATIVE INVESTOR LOSSES $1.5B+ SEC enforcement history, conservative REVENUE PATH 60-120d Commercial. No federal procurement gate. FRAUD PATTERNS Source-of-funds misrepresentation Currency-control circumvention Project status misrepresentation Inflated job creation claims Capital diversion (Ponzi pattern) TEA designation gerrymandering Unregistered broker activity JIL APPROACH Source-of-funds path tracing Wallet Intelligence Engine (WIE) NCE-to-JCE deployment tracking RIMS-II / IMPLAN job verification CREB for SEC, USCIS, FINRA KEY BUYERS Regional centers Top 50 control 70% of capital raised EB-5 broker-dealers FINRA-registered placement firms Audit firms (RIA-required) Novogradac, MGO, Wipfli, Marcum SEC Enforcement / USCIS IPO Asset Management Unit, FDNS DETECTION AND PROOF. NOT RECOVERY. Securities fraud framework. Reg S, Reg D, Section 10(b), Rule 10b-5. jilsovereign.com RAN · CourtChain · PoCS · Sealed Escrow
Figure - EB-5 architecture, integration surface, and CREB output
Why this vertical

Where this product earns its place.

The strategic case for EB-5 as a JIL line of business - what makes the wedge defensible, what makes it economically meaningful, and how it compounds with the rest of the platform.

Commercial path

60-120 days to first revenue

Unlike federal grant fraud, EB-5 enforcement is reachable through private buyers - regional centers, broker-dealers, immigration law firms, and required-audit CPA firms. None of these carry the federal procurement gate.

Securities framing

SEC posture, not immigration

EB-5 is securities fraud that happens to involve a visa. SEC has been the most aggressive enforcer here - Quiros (Jay Peak), Path America, and others. JIL aligns with SEC enforcement posture, not immigration enforcement.

Reuse

80% of source-of-funds primitives transfer

Source-of-funds tracing is exactly what the wallet-intelligence engine was built for. Roughly 80% of WIE primitives transfer with no modification - banking history, family transfers, sanctioned-jurisdiction exposure.

Buyer base

Capital-market-grade budgets

Regional centers and broker-dealers carry meaningful compliance budgets. Single regional-center engagements have produced six- and seven-figure consulting fees historically. Top 50 RCs control approximately 70% of capital raised.

What we build

Net-new checks, sealed evidence.

A representative slice of the EB-5-specific check pack. Each one runs in the same five-stage pipeline as the rest of the platform - intake, profile load, parallel checks, verdict, sealed CREB - and ships with a 14-of-20 BFT signature, a CourtChain L1 anchor, and a reproducibility manifest pinning the exact check-logic version.

Check

Source-of-Funds Path

Traces each dollar to a lawful source across 7-year banking history. Flags chronological gaps. Identifies intermediate entities. Matches declared income to historical wealth accumulation.

Check

Source-Country Currency Control

Verifies funds moved through legitimate channels under China SAFE, Vietnam SBV, India RBI, and other source-country controls. Flags hawala, smurfing, and trade-based laundering patterns.

Check

NCE-to-JCE Capital Deployment

Traces investor funds from escrow release through the new commercial enterprise to the job-creating entity. Flags commingling, delayed deployment, or diversion against the construction draw schedule.

Check

Job Creation Evidence

Direct jobs verified against payroll and tax filings. Indirect-job multipliers cross-checked against published RIMS-II and IMPLAN baselines. Construction-period jobs validated against hard spend documentation.

Check

TEA Designation Validation

Census-tract validation, BLS unemployment-rate validation, OMB rural classification. Flags gerrymandered census-tract aggregations under the post-RIA standard.

Check

Ponzi Pattern in RC Cash Flow

Detects classic Ponzi indicators: new-investor funds returning prior capital, reported returns inconsistent with project economics, new-cohort dependency for cash-flow continuity.

Check

Offering Document Misstatement

Cross-references PPM, business plan, and economist report against actual outcomes. Flags material misstatements and omissions per Rule 10b-5. Tracks PPM version drift.

Check

Broker-Dealer Registration

Verifies parties receiving transaction-based compensation are SEC-registered. Flags undisclosed migration-agent compensation. Cross-checks FINRA BrokerCheck and disciplinary history.

Buyer profile

Who runs this in production.

The buyer pattern for EB-5 - who carries the budget, who carries the regulatory exposure, and how the engagement starts. Most first engagements are a Retroactive Proof Audit on a defined lookback window; Pre-Settlement integration follows once the check pack is calibrated to the customer's profile.

Regional centers

Top 50 RCs control roughly 70% of capital raised. Defensive compliance buyer - Retroactive Proof Audits on the past 36 months are the natural entry SKU.

EB-5 broker-dealers

FINRA-registered firms placing EB-5 offerings (NES Financial, EB5 Capital, CMB, US Immigration Fund, CanAm). Compliance and supervision tooling buyer.

Immigration law and audit firms

Greenberg Traurig, Klasko, WR Immigration, Wolfsdorf Rosenthal for due diligence. Novogradac, MGO, Wipfli, Marcum for the RIA-required annual audit workflow.

Enforcement

SEC Asset Management Unit, USCIS Investor Program Office, USCIS FDNS, DOJ Fraud Section, FINRA Department of Enforcement, NASAA member offices.

Pricing pattern

Four-SKU model. No percentage. No contingency.

Pricing carries over from the canonical four-SKU model unchanged - Retroactive Scan (flat fee), Retroactive Proof Audit (with credit-back against the next subscription tier), Pre-Settlement Subscription (tiered annual), and per-case CREB bundles (Tier 3 court-ready evidence). Asset Intelligence is the standard fifth SKU where the vertical needs it.

No percentage of recovery. No contingency. No success fees. JIL is detection and proof, not recovery. Recovery sits with the customer or its existing partners (subrogation counsel, recovery vendors, regulators). The structure is what allows JIL to operate as neutral integrity infrastructure across plaintiffs and defendants, payers and payees, regulators and the regulated, on the same case.

Ready to scope a EB-5 engagement?

Initial briefings are 60 minutes. Retroactive Proof Audit lookback windows, check-pack profile design, and integration runbook are available under NDA. We start where the buyer's procurement gate is shortest.