Continue Reading SEC to Again Respond to Rule 14a-8 No-Action Requests
Developments in Securities Regulation, Corporate Governance, Capital Markets, M&A and Other Topics of Interest. MORE
Rule 14a-8

SEC Reverses Course on Shareholder Proposals
By Steve Quinlivan on
Resolution Introduced to Invalidate Revisions to Shareholder Proposal Rules
By Steve Quinlivan on
SEC Modifies Shareholder Proposals Framework
By Steve Quinlivan on
SEC Announces New Position on Shareholder Proposals
By Steve Quinlivan on
![11379622_S[1]](https://www.dodd-frank.com/wp-content/uploads/sites/854/2013/05/11379622_S1-1.jpg)
No Action Relief Prompts Clarification from SEC Chair on Mandatory Arbitration
By Steve Quinlivan on

SEC Staff Releases Pro-Issuer Guidance on Shareholder Proposals
By Steve Quinlivan on

SEC Staff Allows Exclusion of “Fix Proxy Access” Proposal under (i)(10)
By Steve Quinlivan on

Trump and the Repeal of Dodd-Frank
By Steve Quinlivan on

Shareholder Proponent Says “Substantial Implementation” Will Backfire
By Steve Quinlivan on