Joint Trades Coalition Letter on S. 4353, the RISE and SHINE Act

Published on:
June 13, 2022
Submitted to:
Members of the Senate Committee on Health, Education, Labor and Pensions
Submitted by:
SIFMA and Other Associations

Summary

SIFMA and other associations in a joint letter provided comments to Members of the Senate Committee on Health, Education, Labor and Pensions regarding S. 4353, the Retirement Improvement and Savings Enhancement to Supplement Healthy Investments for the Nest Egg Act (RISE and SHINE Act).

SIFMA signed with the following:

American Bankers Association

American Benefits Council

American Council of Life Insurers

American Retirement Association

Defined Contribution Alternatives Association

HR Policy Association

Insured Retirement Institute

Investment Adviser Association

Investment Company Institiute

Financial Services Institue

Finesca

National Association of Insurance and Financial Advisors

Retirement Industry Trust Association

Small Business Council of America

Stable Venue Investment Association

The ERISA Industry Committee

The SPARK Institute

U.S. Chamber of Commerce

Excerpt

Re:  S. 4353, the​ Retirement Improvement and Savings Enhancement to Supplement Healthy Investments for the Nest Egg Act

Dear Chair Murray and Ranking Member Burr:

The undersigned organizations support your bipartisan efforts on S. 4353, the Retirement Improvement and Savings Enhancement to Supplement Healthy Investments for the Nest Egg Act (RISE and SHINE Act), which contains numerous provisions to encourage employers to establish and maintain retirement plans for their workers. Your dedication to retirement security and your bipartisan efforts are a crucial step to finalizing retirement legislation during this Congress. We look forward to working with the Committee on the RISE and SHINE Act, and integrating it into a holistic, bipartisan retirement security package.

Sincerely,

American Bankers Association

American Benefits Council

American Council of Life Insurers

American Retirement Association

Defined Contribution Alternatives Association

HR Policy Association

Insured Retirement Institute

Investment Adviser Association

Investment Company Institute

Financial Services Institute

Finseca

National Association of Insurance and Financial Advisors

Retirement Industry Trust Association

Securities Industry and Financial Markets Association

Continue Reading

Details

Download

More Content

  • Amicus Briefs
    Oct 05, 2026

    In re The Boeing Company Securities Litigation

  • Letters
    Oct 05, 2026

    Reducing Duplicative Regulation and Expanding Exemptions for Commodity Pool Operators and Commodity Trading Advisors

    SIFMA AMG comments on CFTC proposals to reduce duplicative regulation for certain CPOs and CTAs and account for inflation.
  • Letters
    Sep 30, 2026

    Proposed Rule Change to Amend FINRA Rules 0150, 2165, 4512 and to Adopt FINRA Rule 2166

    SIFMA Comments to SEC in support of the proposed rule changes to improve the utilization of Rules 2165 and 4512, as well as the new Rule 2166 to allow for a temporary delay for suspected fraud.

Get the latest trends, stats, and research on financial markets and securities.