The Council of Institutional Investors (CII) respectfully submits this letter in response to the Securities and Exchange Commission’s (SEC or Commission) request for comments on its proposed “amendments to allow companies to file semiannual reports on Form 10-S in lieu of quarterly reports on Form 10-Q to meet their interim reporting obligations under the Securities […]
Source: Harvard Law School Forum on Corporate Governance
Published: 2026-07-09T11:32:27Z