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Read the full comment letter from our Director of Corporate Power and Financial Regulation, @bradlipton.bsky.social, on why the DOL should withdraw the proposal.
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As explained in the Roosevelt Institute's comment, despite the proposal’s misleading name, this rulemaking is not really about investments in “alternative assets.” Rather, the Department of Labor is t...
rooseveltinstitute.org
Comment Letter Opposing the Department of Labor's Proposed Rulemaking Entitled “Fiduciary Duties in Selecting Designated Investment Alternatives”
Roosevelt Institute