Asset Management ADVocate
Asset Management ADVocate
The Asset Management ADVocate provides unique analysis and insight into legal developments affecting asset managers in the United States.
June 3, 2021
Perkins Coie Shepherds the First Registered Investment Company Structured as a Maryland Benefit Corporation
June 1, 2021
Derivatives Exposure under Rule 18f-4: Notional Apples and Oranges
April 26, 2021
The SEC’s ESG Risk Alert and the CFTC’s New Climate Risk Unit
April 21, 2021
The Derivatives Exposure Equation
April 15, 2021
Derivatives Exposure: Why It Matters And How To Calculate It
April 7, 2021
VaR Funds vs. Limited Derivatives Users—Programs vs. Procedures
April 6, 2021
What Kind of Derivatives User Is Your Fund?
Rule 18f-4 is somewhat unusual in that it gives management investment companies (including business development companies but excluding money market funds, "Funds") alternative means of complying with its exemption from Sections
April 1, 2021
The SEC Is All in on ESG, Including (Potentially) D&I Issues
March 31, 2021
What Risks May Be Associated with Derivatives Transactions
March 29, 2021
Rule 18f-4 Derivatives Transactions Recap
March 26, 2021
Transactions that Are “Derivatives Transactions” under Rule 18f-4
In this post, we continue our exploration of the definition of "derivatives transaction" in new Rule 18f-4, which is relevant to business development companies, closed-end funds and open-end funds other than a money market fund ("Funds").
March 23, 2021
Details on the SEC’s ESG Priorities, an Invitation to Comment, and Words of Caution
The pace of statements on ESG issues from SEC Commissioners on both sides of the political aisle shows no signs of abating.
March 22, 2021
Derivatives that Are Not “Derivatives Transactions” under Rule 18f-4
March 18, 2021
The DOL and the EU on ESG
March 17, 2021