The following is an edited version of a conversation between Goodwin partners Jonathan Hecht and Isaac Vinyarsh. Before joining Goodwin, Jonathan spent more than a decade in the SEC’s Division of Enforcement, including...more
7/24/2023
/ Civil Monetary Penalty ,
Conflicts of Interest ,
Disclosure Requirements ,
Disgorgement ,
Enforcement Actions ,
Enforcement Priorities ,
Excessive Fees ,
Fees ,
Fund Managers ,
Prejudgment Interest ,
Private Investment Funds ,
Proposed Rules ,
Risk Mitigation ,
Securities and Exchange Commission (SEC)