Statement
Comment letter urging the SEC to resist weakening corporate disclosure requirements as part of the SEC’s disclosure effectiveness initiative
… November 20, 2015 Via Electronic Submission to: [email protected] Mr. Keith F. Higgins Director, Division of Corporate Finance U.S. Securities and Exchange … F Street, NE Washington, DC 20549-1090 Re: Comments on Disclosure Effectiveness Initiative Dear Mr. Higgins, I am writing to you today on behalf of the American Federation of Labor and Congress of Industrial Organizations (the “AFL-CIO”) to … Organizations (“NRSROs”) which are not all fully adopted.iv Executive compensation represents another gap in the SEC’s work on Dodd-Frank with at least 5 outstanding, unimplemented rules.v The new disclosures required by Dodd-Frank represent an …