John Tishler

John Tishler

Sheppard Mullin Richter & Hampton LLP

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SEC Staff To Express No Views On Conflicting Shareholder Proposals Under Rule 14a-8(i)(9)

On January 16, 2015, SEC Chair Mary Jo White issued a directive that the staff of the SEC review its position on Rule 14a-8(i)(9) of the Securities Exchange Act of 1934 (the “Exchange Act”). Concurrent with SEC Chair White’s...more

1/30/2015 - Mary Jo White Proxy Access Rule Proxy Materials Rule 14a-8 SEC Securities Exchange Act Shareholder Proposals Shareholders

NASDAQ Proposes The Adoption Of A New All-Inclusive Annual Listing Fee

On August 26, 2014, The NASDAQ Stock Market LLC (“NASDAQ”) filed with the Securities and Exchange Commission (the “SEC”) certain proposed amendments to the NASDAQ Stock Market Rules (the “Amendments”) to provide for, among...more

9/10/2014 - Fees Filing Fees Nasdaq Proposed Amendments SEC

Considerations for 2014 Proxy Season and Beyond

Following are some topics that public companies may want to consider in preparation for the 2014 proxy season. Shareholder Proposals - The 2013 proxy season reflected a continued increase in the number of...more

12/19/2013 - Board of Directors CEOs Conflict Mineral Rules Corporate Governance Disclosure Requirements Dodd-Frank Executive Compensation Pay Ratio Proxy Season SEC Shareholder Proposals

Setting The Record Straight On The New General Solicitation Rules

On September 23, 2013, the final rules eliminating the prohibition on general solicitation and advertising for certain offerings under Rule 506 went into effect. While this development was anticipated with much excitement by...more

11/12/2013 - Advertising Compliance Crowdfunding General Solicitation JOBS Act Rule 506 Offerings SEC

SEC Eliminates the Prohibition on General Solicitation for Rule 506 and Rule 144A Offerings

On July 10, 2013, the SEC adopted the amendments required under the JOBS Act to Rule 506 that would permit issuers to use general solicitation and general advertising to offer their securities, subject to certain limitations....more

7/15/2013 - Bad Actors Dodd-Frank Felons General Solicitation JOBS Act Regulation D Rule 144A Rule 506 Offerings SEC

What the SEC’s Elimination of the Prohibition on General Solicitation for Rule 506 Offerings means to the EB-5 Community

As we previously reported, on July 10, 2013, the SEC adopted the amendments required under the JOBS Act to Rule 506 that would permit issuers to use broad-based marketing methods such as the Internet, social media, email...more

7/15/2013 - Advertising EB-5 General Solicitation JOBS Act Marketing Private Placements Rule 144A Rule 506 Offerings SEC

SEC Adopts Rules to Remove Ban on General Solicitation for Rule 506 Offerings – Will significantly affect permissible EB-5...

This morning the Securities and Exchange Commission, by a 4 to 1 vote of the Commissioners, approved implementing rules under Title II of the Jumpstart Our Business Startups (JOBS) Act to remove the ban on general...more

7/11/2013 - Dodd-Frank EB-5 General Solicitation JOBS Act Regulation D Rule 506 Offerings SEC

Affiliating with a Broker-Dealer

We frequently speak with our clients about whether their participation in an EB-5 program requires registration as a broker-dealer. Joseph Furey, Assistant Chief Counsel at the SEC Division of Trading and Markets, addressed...more

6/25/2013 - Broker-Dealer EB-5 FINRA IPO SEC USCIS

SEC Freezes Assets and Brings Civil Charges against EB-5 Investor Visa Project

In the first SEC enforcement action of its kind, the SEC announced on February 8, 2013 that it had filed civil charges against, and received an emergency order to freeze assets of, the Intercontinental Regional Center Trust...more

2/12/2013 - Due Diligence EB-5 Foreign Investment Immigrant Investment Visas Injunctions Misrepresentation Omissions Permanent Residence Cards Public Offerings SEC USCIS

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