Shearman And Sterling

Capital Markets, Stock Data

November 22, 2023

SEC Postpones Effective Date of New Stock Buyback Disclosure Requirements

Subscribe

Jump to...

 

SEC POSTPONES EFFECTIVE DATE OF NEW STOCK BUYBACK DISCLOSURE REQUIREMENTS

The Securities and Exchange Commission (SEC) announced today that it has issued an order postponing the effective date of its Share Repurchase Disclosure Modernization rule and, as a result, the rule is stayed pending further SEC action.

This announcement follows a decision by the U.S. Court of Appeals for the Fifth Circuit on October 31, 2023, in response to a petition for review filed by the U.S. Chamber of Commerce.[1] The court found that the SEC had failed to respond to petitioners’ comments and failed to conduct a proper cost-benefit analysis with respect to the Share Repurchase Disclosure Modernization rule in violation of federal law. As a result, the court granted the petition for review and directed the SEC to correct the defects in the rule by November 30, 2023.

As discussed in our prior publication describing the Share Repurchase Disclosure Modernization rule, domestic companies were required to begin reporting share repurchase activity and making other required disclosures in their Annual Report on Form 10-K or Quarterly Report on Form 10-Q that covers the first full fiscal quarter beginning on or after October 1, 2023, which, for calendar year companies, would have been included as part of their Form 10-K filed in early 2024, while foreign private issuers were required to begin reporting repurchase activity for the first full fiscal quarter beginning on or after April 1, 2024 on Form F-SR and include narrative disclosures in their Annual Report on Form 20-F thereafter. Given the timing of the court’s decision and the SEC’s order, we expect that, if the resolution of the judicial process results in the Share Repurchase Disclosure Modernization rule remaining in place, these compliance dates will be delayed.

Footnotes

[1] Chamber of Com. of the USA v. SEC, No. 23-60255 (5th Cir.)

Authors and Contributors

Richard Alsop

Partner

Capital Markets

+1 212 848 7333

+1 212 848 7333

New York

Roberta B. Cherman

Partner

Capital Markets

+55 11 3702 2245

+55 11 3702 2245

São Paulo

Christopher Forrester

Partner

Capital Markets

+1 650 838 3772

+1 650 838 3772

Menlo Park

Alejandro Gordano

Partner

Capital Markets

+1 212 848 5350

+1 212 848 5350

+1 347 967 7354

+1 347 967 7354

New York

Harald Halbhuber

Partner

Capital Markets

+1 212 848 7150

+1 212 848 7150

New York

Yian Huang

Partner

Capital Markets

+1 650 838 3720

+1 650 838 3720

Menlo Park

Erika Kent

Partner

Capital Markets

+1 212 848 7313

+1 212 848 7313

New York

Taylor Landry

Partner

Capital Markets

+1 713 354 4893

+1 713 354 4893

Houston

Jason Lehner

Partner

Capital Markets

+1 416 360 2974

+1 416 360 2974

+1 212 848 7974

+1 212 848 7974

Toronto

Emily Leitch

Partner

Capital Markets

+1 713 354 4845

+1 713 354 4845

Houston

Ilir Mujalovic

Partner

Capital Markets

+1 212 848 5313

+1 212 848 5313

New York

Lona Nallengara

Partner

Capital Markets

+1 212 848 8414

+1 212 848 8414

New York

Bill Nelson

Partner

Capital Markets

+1 713 354 4880

+1 713 354 4880

Houston

Manuel A. Orillac

Partner

Capital Markets

+1 212 848 5351

+1 212 848 5351

New York

Ryan Robski

Partner

Capital Markets

+1 416 360 2961

+1 416 360 2961

+1 212 848 5140

+1 212 848 5140

Toronto

Antonia E. Stolper

Of Counsel

Capital Markets

+1 212 848 5009

+1 212 848 5009

New York