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Financial Services Law Insights and Observations

SEC to update beneficial ownership reporting requirements

Securities Agency Rule-Making & Guidance Beneficial Ownership SEC Securities Exchange Act

Securities

On February 10, the SEC proposed amendments to its rules governing beneficial ownership reporting under Exchange Act Sections 13(d) and 13(g) in order to “improve transparency and provide more timely information for shareholders and the market.” (See also SEC fact sheet here.) Among other things, the proposed rule would (i) accelerate the filing deadlines for Schedules 13D and 13G beneficial ownership reports from 10 days to five days (amendments would be required to be filed within one business day); (ii) expand the application of Regulations 13D and 13G to certain derivative securities; (iii) clarify the circumstances in which two or more persons have formed a “group” that would be subject to beneficial ownership reporting obligations; (iv) allow for new exemptions “to permit certain persons to communicate and consult with one another, jointly engage issuers, and execute certain transactions without being subject to regulation as a ‘group’”; and (v) require Schedules 13D and 13G filings to be done through a “structured, machine-readable data language.” Comments are due 30 days after publication in the Federal Register, or April 11, whichever is later. SEC Chair Gary Gensler issued a statement supporting the proposed amendments, which “would reduce information asymmetries and promote transparency, thereby lowering risk and illiquidity,” citing the “rapidity of current markets and technologies” as justification for updating the decades-old rules. However, SEC Commissioner Hester M. Peirce dissented, arguing that the proposed amendments fail to fully contend “with the realities of today’s markets or the balance embodied in Section 13(d) of the Exchange Act.” She further challenged the justification of technological advancements as a reason to shorten the 10-day reporting window to five days.