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Interfaith Center on Corporate Responsibility

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Publisher:  Unclaimed!
Message frequency:  1.33 / week

Message History

In response to the anti-immigrant policies of the U.S. administration, the killing of civilians by federal agents and the increasing rollback of constitutional rights, ICCR issued the following statement:

The recent violence we have seen in Minnesota, Maine, California, Illinois and elsewhere in our country shocks the conscience. Deeply rooted cons...


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The recent announcement by the SECʼs Division of Corporation Finance that its staff will not, during the 2026 proxy season, “… respond to no-action requests related to any basis for exclusion other than 14a-8(i)(1)” leaves both companies and investors in uncertain, uncharted waters. The lack of staff input deprives companies and proponents of an orderly and time-honored proce...


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Late last week, the SECʼs Division of Corporation Finance updated its Compliance and Disclosure Interpretations to advise that, going forward, the staff will object to using the SECʼs EDGAR filing platform to file Rule 14a-2(b) Notices of Exempt Solicitation by any shareholder holding less than $5 million in shares of the company to which the exempt solicitation relates. (Se...


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Why is voting proxy ballots so important?

The shareholder proposal process allows both large and small shareholders to alert corporate boards and the investor community to their concerns and to request timely action on emerging, or neglected, issues. A key element of process allows shareholders who meet certain criteria to submit proposals for inclusion in the com...


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An ICCR Statement

The recent announcement by the SECʼs Division of Corporation Finance that its staff will not, during the 2026 proxy season, “… respond to no-action requests related to any basis for exclusion other than 14a-8(i)(1)” leaves both companies and investors in uncertain, uncharted waters. The lack of staff input deprives companies and pr...


Read full story