ARTICLE
23 February 2017

President Trump Issues Presidential Memorandum Mandating Reconsideration Of The Fiduciary Rule

AO
A&O Shearman

Contributor

A&O Shearman was formed in 2024 via the merger of two historic firms, Allen & Overy and Shearman & Sterling. With nearly 4,000 lawyers globally, we are equally fluent in English law, U.S. law and the laws of the world’s most dynamic markets. This combination creates a new kind of law firm, one built to achieve unparalleled outcomes for our clients on their most complex, multijurisdictional matters – everywhere in the world. A firm that advises at the forefront of the forces changing the current of global business and that is unrivalled in its global strength. Our clients benefit from the collective experience of teams who work with many of the world’s most influential companies and institutions, and have a history of precedent-setting innovations. Together our lawyers advise more than a third of NYSE-listed businesses, a fifth of the NASDAQ and a notable proportion of the London Stock Exchange, the Euronext, Euronext Paris and the Tokyo and Hong Kong Stock Exchanges.
On February 3, 2017, President Trump issued a Presidential Memorandum requiring the US Department of Labor to reconsider its proposed "fiduciary rule,"...
United States Employment and HR

On February 3, 2017, President Trump issued a Presidential Memorandum requiring the US Department of Labor to reconsider its proposed "fiduciary rule," which subjects many of the investment recommendations from financial advisors to retail retirement clients to ERISA's fiduciary standards and remedies. The Memorandum directs the Department of Labor to prepare an updated economic and legal analysis of the rule to determine whether, among other things, it may adversely affect the ability of Americans to gain access to retirement information and financial advice. Following the completion of the analysis, the Memorandum further directs the Department of Labor to consider whether it is appropriate to publish for notice and comment a proposal to revise or rescind the fiduciary rule. Although the Memorandum does not specifically require the Department of Labor to delay the April applicability date of the rule, some delay seems inevitable. Following the release of the memorandum, President Trump's acting Secretary of Labor, Ed Hugler, issued the following statement: "The Department of Labor will now consider its legal options to delay the applicability date as we comply with the President's Memorandum."

The Shearman & Sterling publication on the Presidential Memorandum is available at: http://www.shearman.com/en/%20newsinsights/publications/2017/02/reconsideration-of-dol-fiduciary-rule; the Shearman & Sterling overview of the fiduciary rule is available at: http://www.shearman.com/~/media/Files/NewsInsights/Publications/2016/04/The-US-Department-of-Labor-Final-Fiduciary-Rule-Incorporates-Concessions-to-Financial-Service-Industry-CGE-041416.pdf; and the text of the Presidential Memorandum is available at: https://www.whitehouse.gov/the-press-office/2017/02/03/presidential-memorandum-fiduciary-duty-rule.

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.

Mondaq uses cookies on this website. By using our website you agree to our use of cookies as set out in our Privacy Policy.

Learn More