- California Climate Rules: What To Do Pending the Ninth Circuit’s Injunction
- SEC Announces Changes to Rule 14a-8 No-Action Letter Process
- Taking the Plunge: Registration Statement Filings Without a Delaying Amendment During the Shutdown
- Cross-Border Acquisition Financing – Navigating “SunGard” Conditionality and Certain Funds Requirements
- Applying A Retail Voting Program in Practice
- To Arbitrate or Not to Arbitrate: The SEC Now Allows Companies to Choose
- House Financial Services Committee Previews Possible 14a-8 Reform
- Shareholder Engagement Considerations in light of Texas v. Blackrock
- Calculating Pharma Earnout Damages: Strategic Lessons for Designing Milestone Frameworks
- The German M&A Market – Q1/2025
- FinCEN Eliminates CTA Requirements for All U.S. Companies and U.S. Individuals
- Trump Administration Proposes Eliminating CTA Requirements for All U.S. Companies
- FinCEN Pauses All CTA Filing Obligations and Will Issue New Rules
- Remaining Injunction Pausing Corporate Transparency Act is Lifted; FinCEN Extends General Filing Deadline to March 21; Statute’s Future Remains Uncertain
- Trump Administration Continues Defense of Corporate Transparency Act, Indicates FinCEN’s Flexibility On Deadlines And Scope
