Comment Letter
Supplemental Comment Letter on SEC’s 2022 Liquidity, Swing Pricing, and Hard Close Proposal
The Investment Company Institute and ICI Southwest are writing to express our joint concerns
with the SEC’s proposal to (i) amend the liquidity risk management rule (the “liquidity rule”) for
mutual funds and ETFs (“funds”) and (ii) mandate that mutual funds impose a “hard close” on
investors’ orders and use swing pricing.
Read more in the comment letter.