SFIG Submits Supplemental Comment Letter to SEC on Student Loan ABS Disclosure

Last Wednesday, June 15th, SFIG submitted a comment letter, drafted by Morgan Lewis, to the U.S. Securities and Exchange Commission (“SEC”) regarding asset-level information for student loans, to address one of the deferred actions within the Regulation AB II final rule. This letter follows our previous comment letter in January 2016 as well as our June 2015 submission to the SEC.

Future discussions across the asset class committees and the Regulation AB II Task Force will focus on the remaining outstanding proposed rules, including requiring issuers to provide the same disclosure for Rule 144A offerings as required for registered offerings. If you would like to participate in these discussions, please contact Alyssa.Acevedo@sfindustry.org.

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