You are already running 54 active ads. The 506(c) accredited-LP audience is already responding to the 71%-deduction tax-wedge angle. The question is whether your current Squarespace funnel converts that traffic at the rate your underwriting deserves. We built a full asset set to outperform what is running today, on your brand, on your offering, ready to A/B against the live campaign.
An accredited-LP-facing landing page that walks a Facebook click from the tax-wedge headline to a PPM request without the friction your current Squarespace template adds. Branded to warm cream paper, oil-orange CTAs, and the Bebas Neue display you already use.
Headline → VSL → calendar booking, in that order. Roman-numeral section rules, big editorial numbers with mono superscripts, an offering ledger built in oil & gas vocabulary (BOEPD, IDC, depletion, MOIC), a dark thesis band, the operator team split, and a calendar widget.
View live site →Each ad leads with a different LP motivation — tax wedge, MOIC compound, operator pedigree, and the producing-plus-drilling barbell. Composed in your warm cream paper and oil-orange brand, with the real PetroVybe logo, ready to drop into Meta Ads Manager.
Each script targets a different LP motivation — tax wedge, MOIC formula, operator pedigree, the producing-plus-drilling barbell, inflation hedge, and the stewardship operating model. Rotate them through Meta's variant split, measure reply rate.
Scrollable. Read it in 5:35 at conversational pace. Same numbers, same offering, same brand voice. Drop it into a Loom or studio record and you have the hero piece the landing page is built around.
I'm Peter Snell, founder and CEO of PetroVybe. If you're an accredited investor and your tax bill last year had you looking for active income deductions that real estate depreciation can't deliver, I want to spend five minutes showing you the structure of PetroVybe ONE and the math behind a 71% first-year deduction against W-2 income.
Here's the structural opportunity, in plain English.
In 2025, our limited partners applied a 94% first-year deduction against their W-2 and capital gains income through their PetroVybe position. Not against passive income. Against active income. That is a fundamentally stronger tax structure than the depreciation pass-through real estate gives you, and it is the central reason high-earning professionals come to oil and gas in the first place.
The vehicle that delivers it is PetroVybe ONE. It is a 10-year private oil and gas development partnership, offered under Rule 506(c) of Regulation D, operating in Lavaca County in the Gulf Coast Basin of South Texas. We acquired roughly 400 legacy producing wells inside a 58,000-acre block that is liquids-rich — meaning crude oil plus higher-BTU natural gas liquids — and we are layering 57 newly drilled vertical wells on top of that producing base.
We are not pure-drill. We are not pure-acquisition. We are both. Cash today from the producing wells. Upside tomorrow from the new drills. Same operator, same block, same seismic.
Let me give you the numbers behind the position.
Current production: approximately 1,100 barrels of oil equivalent per day from the acquired legacy wells. New drill program: 57 vertical wells planned in the same 58,000-acre block. Capital efficiency: $1 invested equals roughly $4 of capital at work, through the combination of equity, non-recourse debt at the asset level, and reinvested gross profit. That is the PetroVybe MOIC formula.
Target multiple on invested capital over the 10-year hold: 3.0 to 4.3 times. Target average annual cash-on-cash: roughly 30% to 43%. Cash distributions are quarterly, starting Q3 to Q4 of 2026 as the new-drill program scales production.
Underneath all of it: $20 million already invested in 3D and proprietary 2D Exxon seismic data on the block. A third-party reserve report dated March 2026 placed the asset's fair market valuation at $30 million.
The tax wedge stacks on top of the cash returns. 71% first-year deduction against active income, with a target of close to 100% total deduction over the life of the position through intangible drilling costs and depletion allowance.
The PetroVybe team is not running its first basin.
My president and COO, Blaine Yeary, scaled a $5 billion energy asset from zero to 35,000 barrels of oil equivalent per day over 8 years prior to PetroVybe. He is an off-market acquisition specialist.
Our geologist and geophysicist, Mike Stamatedes, has personally discovered 3 trillion cubic feet of natural gas across his career, with 270 BCF and 15 million barrels of oil already produced from his prior work.
Our CFO, Clayton Riddle, led a 9-times year-over-year EBITDA increase at a prior O&G development company. He is both a petroleum engineer and a financial strategist, which is an unusual combination and exactly the one a fund of this scale needs.
I personally was a guest on CNBC's Morning Call recently to discuss oil price dynamics. The narrative is institutional.
PetroVybe ONE is offered under Rule 506(c) of Regulation D, to verified accredited investors. The minimum investment is in the $50,000 to $100,000 range, typical for an oil and gas partnership of this scale. K-1 tax treatment. Distributions are quarterly, starting in Q3 or Q4 of 2026 as the new-drill program scales.
The PPM, subscription agreement, and reserve report are available after a 15-minute fit call with the deal team. Stewardship is the operating model, and that is intentional.
If you want the PPM, the reserve report, and the active offering data on PetroVybe ONE, schedule a 15-minute call using the calendar on this page. We will walk through the geology, the math, and the tax structure. Direct, no funnel.
Thank you.
No retail funnel, no follow-up sequence. Take the assets, use what works, ignore the rest. If the package is a fit for the active 506(c) raise, we can discuss what a full retainer looks like. If not, the assets are yours to keep.
Schedule the call →