Today, the BDA submitted a comment letter on G-17, underwriter disclosures to issuers.
The BDA has previously provided comments on the Notice and we reiterate those comments, but also want to continue to encourage the SEC to finalize the definition of “municipal advisor” and regulate independent municipal advisors.
See today’s comment letter here.
For the December 1, 2011 comment letter, click here.
Please follow and like us: