About the AIC
Our Members
Board of Directors
AIC Staff
Top Priorities
What is Private Equity?
Private Equity in Your Community
Responsible Investing
Private Equity FAQs
Watch and Learn
Research
Reports
Stronger Pensions
Policy
Comment Letters
News
Press Inquiries
Industry Perspectives
Connect
Join the AIC
About the AIC
Our Members
Board of Directors
AIC Staff
Top Priorities
What is Private Equity?
Private Equity in Your Community
Responsible Investing
Private Equity FAQs
Watch and Learn
Research
Reports
Stronger Pensions
Policy
Comment Letters
News
Press Inquiries
Industry Perspectives
Connect
Join the AIC
Andrew S.
Regulatory Priorities
Comment Letters
PEGCC Comments to the Securities and Exchange Commission on “Form PF”
April 12, 2011
Comment Letters
PEGCC Comments to the Federal Reserve Board on Proposed Definition of “Significant Nonbank Financial Company”
March 30, 2011
Comment Letters
PEGCC Comments to the Financial Stability Oversight Council on “Notice of Proposed Rulemaking Regarding Authority to Require Supervision and Regulation of Certain Nonbank Financial Companies”
February 25, 2011
Comment Letters
PEGCC Comments to the Financial Stability Oversight Council on “Request for Public Input for the Study Regarding Implementation of the Prohibitions on Proprietary Trading and Certain Relationships with Hedge Funds and Private Equity Funds”
November 5, 2010
Comment Letters
PEGCC Comments to the Financial Stability Oversight Council on “Advance Notice of Proposed Rulemaking Regarding Authority to Require Supervision and Regulation of Certain Nonbank Financial Companies”
November 5, 2010
Comment Letters
PEGCC Comments to the FTC on Hart-Scott-Rodino Form Changes
October 18, 2010
Comment Letters
PEC Comments to the Federal Deposit Insurance Corporation on “Proposed Statement of Policy on Qualifications for Failed Bank Acquisitions”
August 6, 2009
Comment Letters
PEC Comments to the Securities and Exchange Commission on “Custody of Funds or Securities of Clients by Investment Advisers”
July 28, 2009
Comment Letters
PEC Comments to the SEC on “Prohibition of Fraud by Advisers to Certain Pooled Investment Vehicles; Accredited Investors in Certain Private Investment Vehicles.”
March 9, 2007
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