Policy Priorities

Comment Letters

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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...
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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...
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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 (...
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Comment Letter

ICI Supplemental Letter on SEC Proposed ESG Disclosure for Funds and Advisers

The Investment Company Institute is writing to supplement our views on the Securities and Exchange...
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Comment Letter

ICI Supplemental Comment Letter to SEC on ESG Fund Proposal

The Investment Company Institute (ICI) is writing to reiterate our concern with the prospect of the...
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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...
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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...
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Comment Letter

ICI Comment Letter in Response to DOL RFI on Potential Agency Actions to Address Climate-Related Fin...

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Comment Letter

ICI Letter to Department of Labor on 2021 ESG Proposal (pdf)