Prospectus Filed Pursuant to Rule 424(b)(3) (424b3)
June 10 2020 - 6:03AM
Edgar (US Regulatory)
Filed
pursuant to Rule 424(b)(3)
File
No. 333-230583
UNITED STATES
12 MONTH NATURAL GAS FUND, LP
_________________________________________
Supplement dated
June 10, 2020
to
Prospectus dated
April 27, 2020
___________________________________________________
This supplement
contains information that amends, supplements or modifies certain information contained in the prospectus of United States 12
Months Natural Gas Fund, LP (“UNL”) dated April 27, 2020 (the “Prospectus”).
You should carefully
read the Prospectus and this supplement before investing. This supplement should be read in conjunction with the Prospectus. You
should also carefully consider the “Risk Factors” beginning on page 4 of the Prospectus before you decide to invest.
The E D & F Man Capital
Markets Inc. to Serve as a Futures Commission Merchant for UNL
On
June 5, 2020, UNL entered into a Customer Agreement with E D & F Man Capital Markets Inc. (“MCM”) to serve as
an additional futures commission merchant for UNL.
In
light of the foregoing, the section entitled “Futures Commission Merchant” beginning on page 30 of the Prospectus
is revised to add the following text at the end of the section:
E D &
F Man Capital Markets Inc.
On
June 5, 2020, UNL entered into a Customer Agreement E D & F Man Capital Markets Inc. (“MCM”) to serve as an FCM
for UNL. This agreement requires MCM to provide services to UNL in connection with the purchase and sale of Oil Futures Contracts
and other Oil-Related Investments that may be purchased or sold by or through MCM for UNL’s account. Under this agreement,
UNL pays MCM commissions for executing and clearing trades on behalf of UNL.
MCM’s
primary address is 140 East 45th Street, 10th Floor, New York, NY 10017. MCM is registered in the United States with FINRA as
a broker-dealer and with the CFTC as an FCM. MCM is a member of various U.S. futures and securities exchanges.
MCM
is a large broker dealer subject to many different complex legal and regulatory requirements. As a result, certain of MCM’s
regulators may from time to time conduct investigations, initiate enforcement proceedings and/or enter into settlements with MCM
with respect to issues raised in various investigations. MCM complies fully with its regulators in all investigations which may
be conducted and in all settlements it may reach. As of the date hereof, MCM has no material litigation to disclose as that term
is defined under the U.S. Commodity Exchange Act and the regulations promulgated thereunder.
MCM
will act only as clearing broker for UNL and as such will be paid commissions for executing and clearing trades on behalf of UNL.
MCM has not passed upon the adequacy or accuracy of this disclosure document. MCM will not act in any supervisory capacity with
respect to USCF or participate in the management of USCF or UNL.
MCM
is not affiliated with UNL or USCF. Therefore, neither USCF nor UNL believes that there are any conflicts of interest with MCM
or its trading principals arising from its acting as UNL’s FCM.
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