As previously reported in Proskauer’s client alert (available here), on May 19, 2026, the Securities and Exchange Commission (SEC) proposed significant amendments to its public company reporting framework to simplify the existing filer status regime and substantially expand eligibility for scaled disclosure accommodations. Consistent with SEC Chairman Paul Atkins’ plan to “Make IPOs Great
Latest Post
More Posts
ISS and Glass Lewis Release Compensation-Related Updates For 2026 Proxy Season
FICA Tax: Navigating the Nonqualified Deferred Compensation Special Timing Rule
Executive Use of Corporate Aircraft: Navigating Tax, SEC Disclosure and Other Key Considerations
ISS and Glass Lewis Announce Compensation-Related Updates For 2025 Proxy Season
ISS Issues October 2024 Update to its Executive Compensation Policies FAQs
Glass Lewis and ISS Announce Updates For 2024 Proxy Season
Dodd-Frank Clawback Policy: Additional Action Required for NYSE-Listed Companies by December 31, 2023
Option Grant Practices: A Trap for the Unwary – Spring-Loading and Bullet-Dodging
Possible Extension of Clawback Rule Effectiveness is Welcome Development for Issuers
Subscribe: Subscribe via RSS