RIN 1210-AB79: Proposed Delay and Reconsideration of DOL Regulation Redefining the Term “Fiduciary”

Published on:
April 17, 2017
Submitted to:
Department of Labor (DOL)
Submitted by:
SIFMA

SIFMA provides comments to EBSA, the Department of Labor (DOL) regarding the proposed delay and reconsideration of its regulation under the Employee Retirement Income Security Act of 1974, as amended (ERISA), and the Internal Revenue Code of 1986, that will redefine the term “fiduciary” under section 3(21) of ERISA and section 4975(e) of the Code.

All Appendices included or see each Appendix separate:

Also, of interest:

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.