Additional Comments on NASAA’s Re-proposal of Revisions to its Model Rule
SIFMA provided additional comments to the North American Securities Administrators Association, Inc. (NASAA) on the re-proposal of revisions to its…
SIFMA and the Investment Company Institute (ICI) provide comments to the Securities and Exchange Commission (SEC) in support of shortened settlement cycles for equities, corporate and municipal bonds, unit investment trusts, and financial instruments comprised of these products traded on the secondary market.
See also:
White paper on shortening the settlement cycle: The Move to T+2
SIFMA provided additional comments to the North American Securities Administrators Association, Inc. (NASAA) on the re-proposal of revisions to its…
SIFMA AMG, MFA, AIMA, and IAA provided comments to the U.S. Securities and Exchange Commission (SEC0 and Commodity Futures Trading…
The British American Finance Alliance (BAFA) submitted comments to the U.K. HM Treasury on the Call for Evidence under the Financial…