Bates & Company |
Central Pension Fund of the IUOE |
Defined Benefit Calculation Specialist/Actuary The Angell Pension Group, Inc. |
Prime Pensions, Inc. |
Retirement, LLC |
Nova 401(k) Associates |
Central Pension Fund of the IUOE |
Trucker Huss, A Professional Corporation |
Carpenter Morse Group |
Retirement Plan Legal Specialist Pentegra |
Retirement Plan Relationship Manager ERISA Services, Inc. |
United 401(k) Plans, Inc. |
Compass Retirement Consulting Group, Inc. |
Nicholas Pension Consultants |
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DCIIA Comment Letter to EBSA on Proposed Regs for Prudence and Loyalty in Selecting Plan Investments and Exercising Shareholder Rights (PDF) Defined Contribution Institutional Investment Association [DCIIA] ![]() [Opinion] Dec. 14, 2021 "DCIIA supports the Proposed Rule's principles-based approach and asks the Department to reconsider the proposed inclusion of specific, enumerated examples of ESG factors.... DCIIA appreciates the Department's efforts to remove barriers to considering collateral benefits but believes this could be accomplished without the tiebreaker.... DCIIA applauds the Department's changes to the proxy voting rules and requests an expansion to include separately managed accounts.... DCIIA would like to add context to the Department's economic-impact analysis." |
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