Open-End Fund Liquidity Risk Management Programs and Swing Pricing, Form N-PORT; Outsourcing by Investment Advisers (Joint Trades)
Summary
SIFMA AMG, Loan Syndications and Trading Association (LSTA), Investment Company Institute (ICI), Investment Adviser Association (IAA), American Investment Council (AIC), Alternative Investment Management Association (AIMA), U.S. Chamber of Commerce and Managed Funds Association (MFA) submitted comments to the U.S. Securities and Exchange Commission (SEC) requesting extensions of the comment periods by 90 days for two significant, potentially transformative, proposed rulemakings.
Excerpt
November 16, 2022
Ms. Vanessa A. Countryman
Secretary
U.S. Securities and Exchange Commission
100 F. Street NE
Washington, DC 20549-1090
Submitted via email to rule-comments@sec.gov
Re: Proposed Rules, Securities and Exchange Commission; Open-End Fund Liquidity Risk Management Programs and Swing Pricing, Form N-PORT; Outsourcing by Investment Advisers; File Nos. S7-26-22, S7-25-22; RIN 3325-AM98; RIN 3235-AN18 (November 2, 2022), (October 26, 2022)
Dear Ms. Countryman:
On behalf of the trade associations listed below, we request reasonable extensions of the comment periods for two significant, potentially transformative, proposed rulemakings. On November 2, 2022, the Securities and Exchange Commission (“SEC” or “Commission”) released a 444-page proposal, “Open-End Fund Liquidity Risk Management Programs and Swing Pricing, Form N-PORT” (“Liquidity and Swing Pricing Proposal”). That proposed rulemaking follows closely on the heels of the Commission’s release, on October 26, 2022, of a 232-page proposal, “Outsourcing by Investment Advisers” (“Outsourcing Proposal”). While we have material concerns with the substance of the proposals, if the Commission finds it necessary to proceed, at a minimum we request that the Commission extend the comment period for each of the proposals by 90 days.
The proposals set forth a vast array of complex and sweeping changes to the regulation of open-end management investment companies, other funds that report on Form N-PORT, and investment advisers, with major consequences for many stakeholders in multi-trillion-dollar financial industries. The Liquidity and Swing Pricing Proposal includes an assortment of technical, complicated, and significant changes to the liquidity risk management program ruleand its related reporting and disclosure requirements; mutual funds’ daily pricing practices and their relationships with intermediaries; and funds’ Form N-PORT reporting obligations. Just understanding the multi-part proposal and its potential implications will take significant effort.
Details
More Content
- LettersFeb 09, 2026
Proposed California Corporate Greenhouse Gas Reporting and Climate-Related Financial Risk Disclosure Initial Regulation
SIFMA provided comments to the California Air Resources Board (CARB) regarding implementation of the Climate Corporate Data Accountability Act and the Climate-Related Financial Risk Act (“SB 261”), each as amended by the Greenhouse gases: climate corporate accountability: climate-related financial risk Act. - LettersFeb 02, 2026
MSRB Rule D-15 Defining the Term Sophisticated Municipal Market Professional
SIFMA provided comments to the Municipal Securities Rulemaking Board (MSRB) on MSRB Notice 2025-082, and applauds the MSRB’s goal to modernize the rules while continuing to provide appropriate municipal entity and investor protections without placing undue compliance burdens on regulated entities.
Details
More Content
- LettersFeb 09, 2026
Proposed California Corporate Greenhouse Gas Reporting and Climate-Related Financial Risk Disclosure Initial Regulation
SIFMA provided comments to the California Air Resources Board (CARB) regarding implementation of the Climate Corporate Data Accountability Act and the Climate-Related Financial Risk Act (“SB 261”), each as amended by the Greenhouse gases: climate corporate accountability: climate-related financial risk Act. - LettersFeb 02, 2026
MSRB Rule D-15 Defining the Term Sophisticated Municipal Market Professional
SIFMA provided comments to the Municipal Securities Rulemaking Board (MSRB) on MSRB Notice 2025-082, and applauds the MSRB’s goal to modernize the rules while continuing to provide appropriate municipal entity and investor protections without placing undue compliance burdens on regulated entities.