Jacqueline R. Kaufman
- Indexed articles, last 90 days
- 4
- Latest publication
- Sep 24, 2026
- Outlet visibility, for Mondaq
- Top 500K sites
- Earliest in this view
- Jul 14, 2026
Latest articles
SEC Proposes Modernizing Proxy Solicitation Rules (opens the original)
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The SEC has issued a proposing release titled “Proxy Solicitation Modernization.” If adopted, the proposed amendments would eliminate certain annual report delivery and exempt solicitation filing requirements, remove a 20-business-day delivery period for certain proxy statements and prospectuses, shorten the minimum broker-search period, and require contact information on proxy statement and information statement cover pages. The proposed amendments follow recent Corporation Finance Interpretati
SEC Proposes Rescinding The Federal Shareholder Proposal Rule (opens the original)
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The SEC has issued a proposing release titled “Rescission of Rule 14a-8’s Federal Regulation of Shareholder Proposals and Amendments to Rule 14a-4.” If adopted, these proposed amendments would rescind Rule 14a-8, which permits eligible shareholders to include certain proposals in a company’s proxy statement, and expand the ability of a company to exercise discretionary voting authority over proxies it receives even if a shareholder proponent conducts its own solicitation of proxies for a shareho
SEC Staff Clarifies Schedule 13G Implications Of Shareholder Engagement (opens the original)
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On September 2, 2026, the staff of the Securities and Exchange Commission’s Division of Corporation Finance issued three new Exchange Act Sections 13(d) and 13(g) and Regulation 13D-G Beneficial Ownership Reporting Corporation Finance Interpretations (CFIs) addressing when shareholder engagement will not, standing alone, cause an investor to lose its eligibility to report beneficial ownership on Schedule 13G. The new guidance follows Question 103.12, which the staff issued in February 2025. That
SEC Staff Issues New CFIs On Schedule 13D, Total Return Swaps And Proxy Rules (opens the original)
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On July 9, 2026, the Staff of the SEC’s Division of Corporation Finance issued six new Corporation Finance Interpretations (CFIs), including Exchange Act Sections 13(d) and 13(g) and Regulation 13D-G Beneficial Ownership Reporting CFIs 105.08, 105.09, 105.10, 110.09 and 110.10, and Proxy Rules and Schedules 14A/14C CFI 155.02. The new guidance addresses several recurring issues in the shareholder activism context, including the treatment of cash-settled total return swaps, Schedule 13D disclosur
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Top 500K sites
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