Glass Lewis Submits Comment Letter to SEC on Proposed Amendments to Exemptions from the Proxy Rules for Proxy Voting Advice

Glass Lewis has submitted a comment letter regarding the United States Securities and Exchange Commission regarding the proposed Amendments to Exemptions from the Proxy Rules for Proxy Voting Advice. As a proxy advisor, Glass Lewis [...]

By |2021-04-08T14:51:18-07:00February 4, 2020|Blog, Regulatory Matters|Comments Off on Glass Lewis Submits Comment Letter to SEC on Proposed Amendments to Exemptions from the Proxy Rules for Proxy Voting Advice

Glass Lewis Comment Letter on Proposed Revisions to Japan’s Stewardship Code

Glass Lewis has submitted a comment letter on proposed Revisions to the Principles for Responsible Institutional Investors ≪Japan’s Stewardship Code≫. In particular, Glass Lewis shared comments regarding the new Principle 8, which provides guidance to [...]

By |2021-04-08T14:51:20-07:00January 28, 2020|Blog, Regulatory Matters|Comments Off on Glass Lewis Comment Letter on Proposed Revisions to Japan’s Stewardship Code

Glass Lewis Response To SEC Statement Regarding Staff Proxy Advisory Letters

The proxy advisor no-action letters, issued in 2004 to Egan-Jones and ISS, described the duty of investment advisers to ensure their proxy advisor(s) have the capacity and competency to adequately analyze proxy issues. While the [...]

By |2021-04-08T14:52:20-07:00September 14, 2018|Blog, Regulatory Matters|Comments Off on Glass Lewis Response To SEC Statement Regarding Staff Proxy Advisory Letters