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  • Statement On Proposed Amendments To Modernize And Enhance Financial Disclosures, SEC Commissioner Hester M. Peirce, Jan. 30, 2020

    Date 30/01/2020

    I am delighted to support the proposed amendments and companion guidance released today.  The proposal is the latest in a string of efforts by the Commission to simplify and update disclosure requirements in a way that reduces costs ultimately borne by shareholders while preserving important investor protections.  Thank you to the staff of the Divisions of Corporation Finance and Economic and Risk Analysis and to the Office of General Counsel for their efforts on the rulemaking.

  • Statement Of Dissent By CFTC Commissioner Rostin Behnam Regarding Volcker Covered Funds Proposal

    Date 30/01/2020

    I respectfully dissent as to the Commission’s decision to propose more revisions to the Volcker Rule.  The Volcker Rule, in simple terms, contains two basic prohibitions for banking entities:  (1) they may not engage in proprietary trading; and (2) they cannot have an ownership interest in, sponsor, or have certain relationships with a covered fund. 

  • “Modernizing” Regulation S-K: Ignoring The Elephant In The Room, SEC Commissioner Allison Herren Lee, Jan. 30, 2020

    Date 30/01/2020

    Today’s proposal is most notable for what it does not do:  make any attempt to address investors’ need for standardized disclosure on climate change risk. The Commission last addressed climate change disclosure in 2010.[1] In that guidance we identified four existing items in Regulation S-K that may require disclosure related to climate change:  description of business, legal proceedings, risk factors, and management’s discussion and analysis of financial condition and results of operations, or MD&A. We have now proposed to “modernize” every one of these four items without mentioning climate change or even asking a single question about its relevance to these disclosures.[2]   

  • Statement Of CFTC Commissioner Dan M. Berkovitz On Amendments To Certain Swap Execution Facility Requirements And Real-Time Reporting Requirements

    Date 30/01/2020

    I am voting in favor of today’s proposed rule that would amend certain Commission rules in parts 36, 37, and 43 relating to package transactions, block trades, and error transactions on swap execution facilities (“SEFs”) (“Proposal”).  Today’s amendments largely codify longstanding no-action letters for limited categories of swaps transactions regarding the required methods of execution.  Generally, I support the codification of no-action letters where, based on experience, doing so is consistent with our statutory mandate, protects customers, provides market participants with a greater level of certainty, and promotes market integrity. 

  • SEC Proposes Amendments To Modernize And Enhance Financial Disclosures

    Date 30/01/2020

    The Securities and Exchange Commission today announced that it has voted to propose amendments to modernize, simplify, and enhance certain financial disclosure requirements in Regulation S-K. The proposed amendments would eliminate duplicative disclosures and modernize and enhance Management's Discussion and Analysis disclosures for the benefit of investors, while simplifying compliance efforts for companies. The Commission also announced that it is providing guidance on key performance indicators and metrics in Management's Discussion and Analysis.