Overview
The fund industry plays an important role in Americans’ investment and savings, managing $25.8 trillion through mutual funds, exchange-traded funds, closed-end funds, and unit investment trusts.
Asset management is an agency business. This means that firms manage, but do not own, the assets that they invest on behalf of funds or other clients. Asset managers generally decide where and how to invest assets on behalf of their investors—but any profits or losses belong to the investors, not the manager. As regulators in the United States and around the world discuss systemic risk and consider imposing new regulations on asset managers that could ultimately be paid for by fund investors, this is an important distinction for policymakers and the public to understand.
ICI and its members remain committed to the promotion of financial stability; to sensible, deliberate, and data-driven regulation; and to advancing the public understanding of mutual funds and the key role they play in the financial system. This resource center contains the latest news, analysis, and resources from ICI and others on the regulatory developments around financial stability and the asset management industry.
Committees & Working Groups
ICI Contact List
News & Publications
News & Publications
ICI、日本のNISA拡充案を歓迎
ワシントン DC 、 2025 年 12 月 19 日 本声明の英語版は こちら をご覧ください Investment Company Institute ( ICI )プレジデント兼最高経営責任者のエリック・ J ・パンは、自由民主党及び日本維新の会が令和 8 年度税制改正大綱において NISA (少額投資非課税制度)の拡充案を取りまとめたことを受け、以下の声明を発表しました。 「 ICI...
ICI Statement on Mike Selig’s Confirmation as CFTC Chair
Washington, DC; December 18, 2025—Investment Company Institute (ICI) President and CEO Eric J. Pan released the following statement in response to the US Senate confirming Mike Selig as Chair of the...
UCITS Ongoing Charges Decline Across EU
A new report from ICI, "Ongoing Charges for UCITS in the European Union, 2024", finds that average ongoing charges for equity and fixed-income UCITS have declined significantly since 2013.
ICI Statement on RIS Deal
Following the political agreement reached on the EU’s Retail Investment Strategy, the Investment Company Institute today issued a statement from Tracey Wingate, Chief Global Affairs Officer.
Policy & Regulatory Updates
Policy & Regulatory Updates
ICI Comment Letter Supporting the INVEST Act
ICI submitted a comment letter to Speaker of the House Mike Johnson and House Minority Leader Hakeem Jeffries expressing support for H.R. 3383, the Incentivizing New Ventures and Economic Strength Through Capital Formation (INVEST) Act.
ICI Comment Letter to Support the ERISA Litigation Reform Act
ICI submitted a comment letter expressing support for the ERISA Litigation Reform Act (HR 6084).
ICI Response to the FCA Regarding Its Consultation on Progressing Fund Tokenisation
The Investment Company Institute submitted a comment letter to the Financial Conduct Authority regarding its consultation paper on Progressing Fund Tokenisation.
Joint Letter Requesting an Extension of Compliance Dates for Amendments to Regulation S-P
The Investment Company Institute filed a joint comment letter with the SEC requesting that the Commission consider granting a six-month extension of the compliance dates for Regulation S-P Amendments.
Member Resources
Member Resources
ICI Comment Letter Supporting the INVEST Act
ICI submitted a comment letter to Speaker of the House Mike Johnson and House Minority Leader Hakeem Jeffries expressing support for H.R. 3383, the Incentivizing New Ventures and Economic Strength Through Capital Formation (INVEST) Act.
ICI Comment Letter to Support the ERISA Litigation Reform Act
ICI submitted a comment letter expressing support for the ERISA Litigation Reform Act (HR 6084).
ICI Response to the FCA Regarding Its Consultation on Progressing Fund Tokenisation
The Investment Company Institute submitted a comment letter to the Financial Conduct Authority regarding its consultation paper on Progressing Fund Tokenisation.
Joint Letter Requesting an Extension of Compliance Dates for Amendments to Regulation S-P
The Investment Company Institute filed a joint comment letter with the SEC requesting that the Commission consider granting a six-month extension of the compliance dates for Regulation S-P Amendments.