Posted on Tuesday, August 16, 2022

XBRL US submitted a comment letter responding to the Securities and Exchange Commission (SEC) proposal on Investment Company Names.

This proposal would require funds to to enhance investor protection through greater clarity and transparency in fund names; and by improving the disclosure requirements for fund terminology by requiring narrative disclosures about a fund’s 80% investment policy to be reported in Inline XBRL.

Read the XBRL US letter: XBRL US Comment on Investment Company Names File No S7-16-22

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Communications & Services Steering Committee Meeting
Tuesday, December 19, 2023

FDTA Impact on Municipal Bond Investors
Wednesday, January 17, 2024