Policy Priorities

Comment Letters

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Comment Letter

ICI Supplemental Comment Letter on Proposed Names Rule Amendments

On July 31, ICI submitted a letter supplementing our comments on the SEC's proposed amendments (...
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Comment Letter

ICI Global Comment Letter to SEBI re FPI BO and SMO Requirements

The undersigned asset and fund management associations, on behalf of our respective members, would...
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Comment Letter

ICI Comment Letter Regarding FSOC Proposals

In this letter, we highlight serious concerns with the Council’s approach. As compared with the...
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Comment Letter

ICI Supplemental Letter on SEC Proposed ESG Disclosure for Funds and Advisers

The Investment Company Institute is writing to supplement our views on the Securities and Exchange...
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Comment Letter

ICI Global Response to Australian Treasury Second Consultation on Climate-Related Financial Disclosu...

ICI Global submitted the attached response to the Australian Treasury on its second consultation on...
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Comment Letter

ICI Global Response to ESAs Proposed Amendments to SFDR RTS

ICI Global appreciates the opportunity to provide feedback on the European Supervisory Authorities...
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Comment Letter

ICI Comment Letter on Fund Industry Coalition Letter on Public CbC Reporting

The undersigned fund industry associations have substantial concerns with Australia’s draft proposal...
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Comment Letter

ICI Supplemental Comment Letter on Regulation S-P, Cybersecurity for Broker-Dealers and Investment A...

In the April Commission Statement Relating to Certain Administrative Adjudications and the Second...
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Comment Letter

ICI Comment Letter on Supplemental Information and Reopening of Comment Period for Amendments Regard...

The Investment Company Institute is writing to provide comments on the Securities and Exchange...