Comments on Proposed Rule: Money Market Fund Reform; Amendments to Form PF

Comments have been received from individuals and entities using a variety of Letter Types:


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Date Received
Date Sort descending Letter Type Commenter Name
Public Comment John W. Gerstmayr and Bryan Chegwidden, Ropes & Gray LLP
Public Comment John W. McGonigle, Vice Chairman, Federated Investors, Inc., Pittsburgh
Public Comment John Walda, President and Chief Executive Officer, National Association of College and University Business Officers
Public Comment Jonathan Curry, Global Chief Investment Officer, Liquidity, and Chris Cheetham, Global Chief Investment Officer, HSBC Global Asset Management
Public Comment Joseph J. Castiglia, Chairman of the Board of Trustees, Wilmington Funds
Public Comment Kathryn L. Hewitt, CPA, Treasurer, Harford County, Maryland, Bel Air, Maryland
Public Comment KPMG LLP
Public Comment Lew Minsky, Executive Director, Defined Contribution Institutional Investment Association (DCIIA), Washington, District of Columbia
Public Comment Lu Ann S. Katz, Head of Global Liquidity, Invesco Ltd.
Public Comment Manisha Kimmel, Executive Director, Financial Information Forum
Public Comment Manju Ganeriwala, Virginia Department of the Treasury, Richmond, Virginia
Public Comment Mark Hepsworth, President, Interactive Data Pricing and Reference Data, Bedford, Massachusetts
Public Comment Marty Margolis, Managing Director, PFM Asset Management LLC
Public Comment Mary Beth Rhoden Albaneze, Secretary and Chief Legal Officer, Russell Investment Company,
Public Comment Michael P. Lydon, CEO, Reich & Tang Asset Management, LLC
Public Comment Mira Stevovich, CFA, Vice President - Portfolio Mgr. and Sabrina Saxer, Vice President- Asst. Portfolio Mgr., Waddell & Reed Investment Management Company
Public Comment Niels Holch, Executive Director, Coalition of Mutual Fund Investors
Public Comment Noreen Roche-Carter, Chair, Tax & Finance Task Force, Large Public Power Council, Sacramento, California
Public Comment Paul Schott Stevens, President and CEO, Investment Company Institute
Public Comment Peter G. Crane, President, Crane Data, Westborough, Massachusetts
Public Comment Phillip S. Gillespie, Executive Vice President and General Counsel, State Street Global Advisors
Public Comment R. Glenn Hubbard, Co-Chair; John L. Thornton, Co-Chair; and Hal S. Scott, Director; Committee on Capital Markets Regulation
Public Comment Richard Johns, Structured Finance Industry Group, Washington, District of Columbia
Public Comment Richard M. Whiting, Executive Director and General Counsel, The Financial Services Roundtable
Public Comment Robert Frenkel, Managing Director and General Counsel - Mutual Funds, Legg Mason and Co., LLC and Charles A. Tony) Ruys de Perez, General Counsel, Western Asset Management Company
Public Comment Rose M. Oswald Poels, President/CEO, Wisconsin Bankers Association
Public Comment Russell W. Swansen, Chief Investment Officer, Thrivent Financial for Lutherans, Minneapolis, Minnesota
Public Comment Spectrem Group
Public Comment Squam Lake Group
Public Comment Stefan M. Gavell, Executive Vice President and Head of Regulatory, Industry and Government Affairs, State Street Corporation

Last Reviewed or Updated: Dec. 18, 2025

File Number
S7-03-13
Release Number
33-9408
IA-3616
IC-30551