Automatic Portability Transaction Regulations
SIFMA provided comments to the Department of Labor (DOT) on their proposed Automatic Portability Transaction Regulations under Section 4975 of…
SIFMA provided comments to the U.S. Department of Labor (DOL) regarding the proposed revisions to the Form 5500. In the letter, SIFMA raises concerns that the DOL did not allow adequate time for such extensive revisions and request that the DOL re-propose for additional review and comment. SIFMA is also concerned that the proposed revisions to the Schedule C would have the unintended consequence of significantly expanding and complicating the data that service providers are currently required to provide. We also express concerns that the proposed revisions to the Schedule H related to participant-directed brokerage accounts would significantly increase costs for plan sponsors. Finally, SIFMA recommends that clarifying changes be made to certain definitions.
SIFMA provided comments to the Department of Labor (DOT) on their proposed Automatic Portability Transaction Regulations under Section 4975 of…
SIFMA and The International Swaps and Derivatives Association, Inc. (ISDA) provided comments to the Office of the Comptroller of the…
SIFMA AMG provided comments to the Federal Energy Regulatory Commission on the Federal Power Act Section 203 Blanket Authorizations for…
We use cookies to provide our site visitors a valuable experience as well as relevant content and services. Please carefully review our Privacy Policy and Terms of Use; by using this website, you agree to the information set forth therein.