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Pension Plan Investments 2011: Current Perspectives
Chair(s):
Arthur H. Kohn, Howard Pianko
Practice Area:
Banking and finance,
Fiduciary responsibility (Banking and finance)
Published:
Apr 2011
i
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ISBN:
9781402415746
PLI Item #:
28509
CHB Spine #:
J962
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Table of Contents
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Front Matter
Faculty Bios
Table of Contents
Chapter 1. Plans and the Brave New World of Structured Finance
Chapter 2. Interim Final Regulations Expand Fee Disclosure Requirements for Exemption for Provision of Services to ERISA Plans
Chapter 3. DOL to Widen “Fiduciary” Net: Proposes the Most Significant Expansion of Its Regulatory Framework Since the Enactment of ERISA
Chapter 4. Definition of the Term “Fiduciary”, 29 CFR Part 2510, Proposed Rule, Employee Benefits Security Administration, Labor
Chapter 5. Reasonable Contract or Arrangement Under Section 408(b)(2)—Fee Disclosure, 29 CFR Part 2550, Interim Final Rule with Request for Comments, Employee Benefits Security Administration
Chapter 6. Press Release: U.S. Department of Labor Announces Intention to Extend Applicability Date of Section 408(b)(2) Fee Disclosure Regulation, Feb. 11, 2011, U.S. Department of Labor, EBSA News
Chapter 7. CFTC’s Proposed Business Conduct Regulation: Can the OTC Swap Market Survive the “Cure”?
Chapter 8. Outline for Discussion of Dodd-Frank and Related Developments Regarding Pension Investments
Chapter 9. Trading Swaps with Plans Under Dodd-Frank and ERISA
Chapter 10. Fiduciary Litigation Under ERISA
Chapter 11. “May Affect the Exercise of Such Fiduciary’s Best Judgment As a Fiduciary”: A Thought Piece on Certain Minority Investments by Financial Institutions in Money Managers
Chapter 12. Survey of Certain Reported Items Relating to Voluntary Employees’ Beneficiary Associations for Retiree Health Liabilities
Chapter 13. Survey of Certain Reported Subprime Cases and Certain Related Litigation
Chapter 14. Survey of Certain Recent Cases Involving Allegations of Fiduciary Breaches Regarding the Investment of Employer Stock
Chapter 15. Comments on Definition of Fiduciary Proposed Rule, Letter from Kenneth Bertsch, President and CEO, Society of Corporate Secretaries & Governance Professionals, Submitted to the Department of Labor, February 4, 2011
Chapter 16. Advisory Opinion Regarding Aberdeen Asset Management Inc. Issued by the Department of Labor to Kathleen Ziga and Susan M. Camillo
Chapter 17. Ethical Considerations in ERISA Legal Practice: Who Is the Client?
Chapter 18. ERISA Pension Plan Investments 2011: Fiduciary Exception to the Attorney-Client Privilege
Index
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