First Beijing Investment Ltd 13F: Portfolio & Holdings
First Beijing Investment Ltd (SEC CIK 0001701717) reported 12 positions with a combined market value of $2.3 billion in its most recent SEC Form 13F-HR filing (as of Q1 2026). The Hong Kong-based hedge fund maintains a highly concentrated portfolio. Its largest sector is Consumer Cyclical at 36.7% of exposure.
Its largest holdings are Pdd Holdings INC (PDD) at 35.9%, Full Truck A-Adr (YMM) at 32.2%, and New Oriental Ed & Technology (EDU) at 22.0%.
The largest exit was Atour Lifestyle Hldgs LTD (ATAT) . See the fund’s full Q1 2026 buys, sells, and portfolio changes →
Based on published SEC 13F filings, First Beijing's closest peer funds by portfolio overlap are Triata Capital Ltd (45.9%), Tiger Pacific Capital LP (21.6%), and Punch Card Management L.P. (15.7%).
- 13F AUM
- $2.3B
- Equity Positions
- 12
- Top-10 Concentration
- 100.0%
- Largest Sector · 36.7%
- Consumer Cyclical
- Longest-Held Position · 12 qtrs
- PDD
- Median Holding Period
- 1 Qtrs
What are First Beijing’s largest 13F holdings as of Q1 2026?
Largest 13F positions disclosed by First Beijing, ranked by portfolio weight. Full multi-quarter history and the broader institutional holder base for each ticker linked per row.
| # | Issuer | Ticker | Sector | Weight | Position Value | Detail |
|---|---|---|---|---|---|---|
| 1 | PDD HOLDINGS INC | PDD | Consumer Cyclical | 35.9% | $832.7M | Position History All Holders |
| 2 | FULL TRUCK A-ADR | YMM | Technology | 32.2% | $747.0M | Position History All Holders |
| 3 | NEW ORIENTAL ED & TECHNOLOGY | EDU | Consumer Defensive | 22.0% | $509.4M | Position History All Holders |
| 4 | RLX TECHNOLOGY INC | RLX | Consumer Defensive | 5.7% | $132.3M | Position History All Holders |
| 5 | LEGEND BIOTECH CORP NEW | LEGN | Healthcare | 1.8% | $41.5M | Position History All Holders |
| 6 | JSC KASPI.KZ | KSPI | Technology | 1.4% | $32.2M | Position History All Holders |
| 7 | SEA LTD NEW | SE | Consumer Cyclical | 0.7% | $17.3M | Position History All Holders |
| 8 | DINGDONG CAYMAN LTD NEW | DDL | Consumer Defensive | 0.1% | $2.2M | Position History All Holders |
| 9 | ZHIHU, INC. NEW | ZH | Communication Services | 0.1% | $1.6M | Position History All Holders |
| 10 | NOAH HLDGS LTD | NOAH | Financial Services | 0.1% | $1.3M | Position History All Holders |
View First Beijing's Q1 2026 portfolio changes and trading report →
Portfolio composition
Sectors, concentrations, and a tap-through treemap of every position in the fund's latest 13F.
Holding period analytics
Distribution of holding periods for all 43 stocks the fund has ever held (up to selected quarter):
Which Funds Hold a Similar Portfolio to First Beijing?
Ranked by percentage of the peer fund's 13F equity portfolio that overlaps with First Beijing's positions in Q1 2026.
| # | Fund | Shared Positions | Overlap % |
|---|---|---|---|
| 1 | Triata Capital Ltd | 4 | 45.9% |
| 2 | Tiger Pacific Capital LP | 2 | 21.6% |
| 3 | Punch Card Management L.P. | 1 | 15.7% |
| 4 | Himalaya Capital Management LLC | 1 | 14.7% |
| 5 | Cat Rock Capital Management LP | 2 | 14.3% |
| 6 | Aspex Management (HK) Ltd | 4 | 12.4% |
| 7 | Discerene Group LP | 1 | 12.4% |
| 8 | Kontiki Capital Management (HK) Ltd. | 1 | 12.3% |
| 9 | North of South Capital LLP | 2 | 12.1% |
| 10 | H&H International Investment, LLC | 1 | 10.1% |
How Has First Beijing's AUM Changed Over Time?
Quarterly 13F-reported AUM for First Beijing, derived from aggregate reported position market values disclosed to the U.S. SEC.
| Quarter | 13F AUM (USD) | QoQ Change |
|---|---|---|
| Q2 2023 | $331M | — |
| Q3 2023 | $519M | +0.2B |
| Q4 2023 | $604M | +0.1B |
| Q1 2024 | $519M | -0.1B |
| Q2 2024 | $924M | +0.4B |
| Q3 2024 | $1.4B | +0.5B |
| Q4 2024 | $1.4B | +0.0B |
| Q1 2025 | $1.5B | +0.0B |
| Q2 2025 | $1.8B | +0.3B |
| Q3 2025 | $2.6B | +0.8B |
| Q4 2025 | $2.5B | -0.1B |
| Q1 2026 | $2.3B | -0.2B |
Methodology & FAQ
How We Track First Beijing Holdings
Our data is systematically aggregated directly from quarterly Form 13F-HR disclosures submitted to the U.S. Securities and Exchange Commission (SEC).
- Who Must File (Reporting Threshold): This dataset includes filings from U.S. institutional investment managers, hedge funds, mutual funds, university endowments, and family offices managing at least $100 million in Section 13(f) securities (including equities, options, convertibles, ETFs, and warrants).
- What is Included (Data Scope): By regulation, 13F filings include long positions in U.S. exchange-listed stocks, ETFs, shares of closed-end investment companies, and convertible debt, as defined in the SEC's official Section 13(f) securities list . For listed options (calls/puts) the reported value is based on the notional value.
- Portfolio Weight Explained (Metric Definition): “Portfolio Weight” shows how much of a fund's total reported 13F portfolio value (excluding listed options) is allocated to a specific position on the reporting date.
- How to Use This Data (Interpretation): Quarter-over-quarter changes in shares and portfolio weight reflect a combination of active trading and market price movements. These are descriptive metrics of fund allocation, not explicit buy or sell signals.
What does First Beijing's 13F filing disclose about their portfolio?
A Form 13F-HR filed by First Beijing with the U.S. SEC discloses all long positions in Section 13(f) securities — U.S.-listed equities, ETFs, closed-end funds, and listed put/call options — held at quarter-end with a market value of at least $200,000 or 10,000 or more shares. Pactolio aggregates these filings to surface the manager’s reported portfolio weights, share counts, and quarter-over-quarter portfolio changes in a structured format. The filing represents a point-in-time snapshot of disclosed long-side exposure, not a real-time or complete view of the fund’s total book.
How do you measure conviction in First Beijing's portfolio allocations?
Conviction is measured by portfolio weight — the percentage of First Beijing’s total reported 13F market value allocated to a given position — rather than by absolute share count or dollar value alone. A position representing a disproportionately large share of the fund’s disclosed book signals high-conviction allocation, regardless of whether it ranks among the fund’s largest absolute holdings.
What is excluded from First Beijing's 13F — short positions, swaps, and derivatives?
SEC Form 13F requires disclosure of long positions only. Specifically excluded are: short interest, total return swaps, credit default swaps, and all OTC derivatives — none of which appear in 13F filings regardless of position size. Listed put and call options must be disclosed but are excluded from portfolio weight calculations on this platform so that reported weights reflect direct equity exposure and remain comparable across filers. This means First Beijing’s 13F represents the reported long book, which may differ materially from its net economic exposure.
When is First Beijing's 13F data available, and how large is the reporting lag?
Investment managers must submit Form 13F within 45 calendar days of each quarter-end (the T+45 deadline). Pactolio ingests filings directly from SEC EDGAR as they are published — managers who file early appear in our system before the deadline, while late filers are captured on their actual filing date. The quarter label shown at the top of this page reflects the most recently processed 13F cycle for First Beijing. The inherent reporting lag means the data always reflects positions as of the prior quarter-end, not current holdings.
Who must file a Form 13F with the SEC, and does First Beijing qualify?
Under SEC Rule 13f-1, any investment manager — including hedge funds, family offices, registered investment advisers, pension funds, and university endowments — that exercises investment discretion over $100 million or more in Section 13(f) securities at any point during a calendar year must file Form 13F for that year. First Beijing meets this threshold, which is why its holdings are publicly disclosed and accessible on this platform. The $100 million threshold is evaluated on a rolling basis, meaning new filers can enter and existing filers can exit the disclosure regime as AUM crosses that boundary.