Joint Comment Letter Requesting Changes to the Amendments to Regulation S-P
Supplemental Info
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The Investment Company Institute along with along with the Securities Industry and Financial Markets Association, SIFMA Asset Management Group, American Bankers Association, Bank Policy Institute, Institute of International Bankers, Investment Adviser Association, Insured Retirement Institute, and the Committee of Annuity Insurers filed a supplemental joint comment letter with the SEC requesting that the Commission consider suggested changes to the amendments to Regulation S-P. This Joint Letter follows an April 25, 2025 joint letter from the associations requesting a 12-month extension of the compliance dates for the Amendments.
Read more in the comment letter.