Policy Priorities

Comment Letters

More
Comment Letter

ICI Response to Proposed Hong Kong Voluntary Code of Conduct for ESG Ratings and Data Providers

ICI submitted a response to the consultation launched by the Hong Kong ESG Ratings and Data Products...
More
Comment Letter

Joint Comment Letter on Effect of Stay of Public Company Climate Rule on Fund and Adviser ESG Propos...

On April 8, 2024, the Investment Company Institute (ICI) and ICI Southwest submitted a supplemental...
More
Comment Letter

Joint Comment Letter to the SEC on ESG Disclosures

On November 30, 2023, the Investment Company Institute (ICI) and ICI Southwest submitted a joint...
More
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 (...
More
Comment Letter

ICI Global Comment Letter on FCA Sustainability Disclosure Requirements (SDR) and Investment Labels

The Investment Company Institute (ICI) and ICI Global provided feedback on the Financial Conduct...
More
Comment Letter

ICI Global Comment Letter to Japan FSA Consultation on Supervisory Guidelines for ESG Funds

ICI Global submitted the attached response to a consultation from Japan Financial Services Agency...
More
Comment Letter

ICI Comment Letter on the SEC's Rule 14a-8 Proposal

In July 2022, the SEC proposed amendments to Rule 14a-8 (the shareholder proposal rule) by a 3-2...
More
Comment Letter

ICI Comment Letter on SEC ESG Disclosure Proposal

On August 16, 2022, ICI submitted a comment letter on the SEC's proposal for new disclosure...
More
Comment Letter

ICI Comment Letter on Investment Company Names Rule Proposal

At the end of May, the Securities and Exchange Commission proposed amendments to Rule 35d-1 (Names...