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The latest edition of ICI’s flagship publication shares a wealth of research and data on trends in the investment company industry.
Explore expert resources, analysis, and opinions on key topics affecting the asset management industry.
Read ICI’s latest publications, press releases, statements, and blog posts.
See ICI’s upcoming and past events.
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Stay informed of the policy priorities ICI champions on behalf of the asset management industry and individual investors.
Explore research from ICI’s experts on industry-related developments, trends, and policy issues.
Explore expert resources, analysis, and opinions on key topics affecting the asset management industry.
Read ICI’s latest publications, press releases, statements, and blog posts.
See ICI’s upcoming and past events.
Washington, DC; June 11, 2019—The fund proxy system, which funds use to solicit votes from shareholders, poses significant challenges and costs to funds and their investors, says the Investment Company Institute (ICI) in a comment letter filed with the Securities and Exchange Commission (SEC) in connection with its ongoing review of the proxy system.
“Funds have a strong interest in improving the proxy system to ensure communications and the voting process are more effective and less expensive for investors,” said ICI President and CEO Paul Schott Stevens. “But funds face difficulties and excessive costs that can only be alleviated by the SEC implementing meaningful proxy reform.”
ICI’s letter highlights several reasons why funds face problems and high costs in soliciting proxy votes:
In November 2018, ICI surveyed its members about their 2017 and 2018 proxy campaigns. Respondents represented approximately 71 percent of US fund assets. Among other things, the survey found that:
ICI’s letter explains why funds—and their shareholders—often bear these proxy costs (pages 4–5).
To help make the fund proxy system more efficient and cost-effective, ICI suggests that the SEC reconsider the topics that require shareholder approval under the Investment Company Act, particularly if a fund’s board approves an item and shareholders are notified about it.
For topics that need shareholder approval, ICI recommends that the Commission create a new way for funds to achieve a “majority vote” under the Act. This recommendation would permit proposed items to pass with unanimous board approval, support from at least three-quarters of the shares voted, and a quorum of greater than one-third of outstanding shares (pages 7–11).
ICI’s letter notes that fund shareholders largely invest through intermediaries, and SEC rules limit funds’ abilities to obtain shareholder information. Funds often do not know the identities of large numbers of their shareholders, which makes it extremely difficult for funds to directly communicate with their investors. As a result, successfully soliciting shareholder votes is challenging and expensive.
ICI recommends that the SEC require intermediaries to provide their lists of fund shareholders to funds at a reasonable cost, for the sole purpose of distributing fund proxy materials. Requiring intermediaries to do so would improve funds’ abilities to communicate directly with their shareholders and lower their proxy solicitation costs (pages 3, 11–12).
Finally, ICI’s letter recommends that the SEC:
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