The SEC’s Latest Reg Flex Agenda: A Baker’s Dozen
Here’s something I just blogged on the new ‘Public Chatter’ site that I helped my firm, Perkins Coie, launch (don’t forget to input your email address on the right hand of the site where it says ‘Subscribe’ to be alerted to new content):
On Friday, the SEC released its latest Reg Flex Agenda. It’s notable in that it’s the first timetable for potential rulemaking we’ve seen from the SEC since Gary Gensler became the SEC Chair – and because it’s ambitious in the number of rulemakings the SEC may undertake and underscores that the SEC is giving priority to ESG disclosure topics.
I say “may” undertake because the Reg Flex Agenda tends to be aspirational – the SEC isn’t committed to the rulemakings nor the timetable within it.
Here are some of the more notable potential rulemakings:
- Climate change disclosure – proposal by October
- Human Capital disclosure – proposal by October
- Cybersecurity risk governance – proposal by October
- Rule 10b5-1 plans – proposal by October
- Board diversity – proposal by October
- Rule 144 – final by October
- Clawback rules – re-proposal by next April
- SPACs – proposal by next April
- Shareholder proposals – proposal by next April
- Proxy advisors – proposal by next April
- Share buybacks – proposal by next April
- Universal proxy – final by next April
- Pay-for-performance – final by next April
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