My latest Client Alert discusses the SEC Staff's recent action regarding shareholder-submitted proposals concerning environmental, social and governance (ESG) topics to be included in public company proxy statements and voted on at annual shareholder meetings.
SEC Staff Issues Legal Bulletin Narrowing Interpretation of Certain Exceptions to Rule 14a-8 Allowing Shareholder Proposals in Proxy Statements
Posted by
Jeffrey Karp on 11/10/21 11:07 AM
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Topics: SEC, public companies, ESG, Shareholder Activism