The Investment Company Institute has submitted a comment letter reiterating its support for an extension of the Rule’s effective date. The letter, also requests that FinCEN clarify certain aspects of...
The Investment Company Institute has submitted a letter of response to the Securities and Exchange Commission regarding the proposed amendments to exempt newly listed closed-end funds, registered...
The Investment Company Institute submitted a letter to the US Department of Labor’s request for information on pooled employer plans (PEPs). Read more in the comment letter.
The Investment Company Institute submitted a response on the proposed amendments to the Federal Rule of Appellate Procedure 29. Read more in the comment letter.
The Investment Company Institute submitted a letter to Daniel Aronowitz, the newly confirmed Assistant Secretary of Labor for the Employee Benefits Security Administration (EBSA), detailing several areas of interest to our members.
ICI submitted a letter to the European Securities and Markets Authority’s on its call for evidence on a comprehensive approach for the simplification of financial transaction reporting and discussion paper on the integrated collection of funds’ data.
The Investment Company Institute submitted a letter to SEC Chairman Atkins on factors to consider in future proxy reform. Read more in the comment letter.
The Investment Company Institute submitted a joint comment letter regarding Australia’s recently enacted Public Country-by-Country Reporting (PCBCR) regime. The PCBCR framework creates a new regime mandating public disclosure of detailed tax and revenue information of multinational...
ICI submitted a comment letter to supports several bipartisan bills up for review by the Financial Services Committee. Read more in the comment letter.