Aurora Borealis
30 August 2016 Comment Letter

Comment Letter to SEC on Amendments to Smaller Reporting Company Definition

  1. Kurt Schacht, JD, CFA
  2. Linda Rittenhouse, JD

CFA Institute does not support amendments that would allow more registrants to use scaled disclosure by qualifying as a smaller reporting company under the proposed definitional change.

CFA Institute does not support amendments that would allow more registrants to use scaled disclosure by qualifying as a smaller reporting company under the proposed definitional change.

View Comment Letter

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