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SPARK Institute Comments on Participant Fee Disclosure Proposed Regulation (PDF)
SPARK Institute
[Opinion] Sept. 9, 2008
11 pages. Excerpt: Some of the specific provisions that The SPARK Institute supports include, but are not limited to: (1) the flexible concept based approach that allows plan fiduciaries, service providers and investment providers flexibility in making participant disclosures, (2) the absence of a mandated one-size fits all disclosure form or format, (3) the targeted approach that focuses on providing clear, concise and meaningful disclosure, including investment option comparisons[.]
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