As the dust settles from the recent amendments to SEC Rule 15c2-12, issuers continue to grapple with how to identify, record, and report event #15 and #16 notices. This session will include a discussion on the issuer experience managing their disclosure programs and guidance from outside professionals on the advice they provide to their governmental clients. Attendees will also be updated on changes to GFOA Best Practices and Advisories related to disclosure practices.
Disclosure Practices after 15c2-12 Amendments
Field of Study: