Highlights

FDH Client Alert: SEC Guidance on Schedule 13D and Proxy Disclosure Requirements

Written by Admin | Aug 3, 2026, 5:37:26 PM

The Securities and Exchange Commission's recent Corporation Finance Interpretations significantly expand the disclosure obligations applicable to certain activist investment structures and related proxy campaigns.

Our latest client alert, written by Cole Mayhew, Charles J. Downey III, and summer associate Selina Liu, discusses the SEC Staff's updated interpretations of existing Schedule 13D and Schedule 14A requirements, the practical implications for activist managers, and the steps organizations should consider taking to evaluate current and future campaign structures.

Read the full client alert linked here.