Next on the SEC regulatory agenda: a chief valuation officer?

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First, the Securities and Exchange Commission required funds to designate a chief compliance officer. Then, the SEC proposed that funds designate a liquidity risk manager, and after that, a derivatives risk manager. Can a chief valuation officer (CVO) be far behind?

Looking into our crystal ball, this may be possible, especially since the regulatory model is already in place.

Originally published in Fund Directions on June 16, 2016.

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