ARTICLE
21 October 2021

Comment Deadline Set For SEC's Proposed Expansion Of Proxy Voting Disclosure Reporting Requirements

CW
Cadwalader, Wickersham & Taft LLP

Contributor

Cadwalader, established in 1792, serves a diverse client base, including many of the world's leading financial institutions, funds and corporations. With offices in the United States and Europe, Cadwalader offers legal representation in antitrust, banking, corporate finance, corporate governance, executive compensation, financial restructuring, intellectual property, litigation, mergers and acquisitions, private equity, private wealth, real estate, regulation, securitization, structured finance, tax and white collar defense.
Comments on the proposed amendments must be submitted by December 14, 2021.
United States Corporate/Commercial Law

The SEC's proposal to amend reporting requirements for management investment companies and institutional investment managers was published in the Federal Register. Comments on the proposed amendments must be submitted by December 14, 2021.

As previously covered, the amendments would apply to (i) management investment companies, including exchange traded funds, as to their reporting of proxy votes and (ii) institutional investment managers, as defined under SEA Section 13(f), as to proxy voting relating to executive compensation.

Primary Sources

  1. Federal Register: Enhanced Reporting of Proxy Votes by Registered Management Investment Companies; Reporting of Executive Compensation Votes by Institutional Investment Managers

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.

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