Industry Coalition Supplemental Comment Letter to Ohio Securities Division on Rule 1301:6-3-09 Registration by Qualification February 28, 2023
IPA Submits Supplemental Comment Letter to Ohio Securities Division on Rule 1301:6-3-09 Registration by Qualification February 28, 2023
Industry Coalition Letter to Treasury on FIRPTA and Section 892 Proposed Regulations February 27, 2023
IPA Submits Comment Letter to IRS on FIRPTA and Proposed Regulations Impacting the Determination of Domestically Controlled REIT Status February 27, 2023
Industry Coalition Comment Letter to Ohio Securities Division on Ohio Division of Securities Rule 1301:6-3-09 Registration by Qualification February 3, 2023
IPA Submits Comment Letter to Ohio Securities Division on Ohio Division of Securities Rule 1301:6-3-09 Registration by Qualification February 3, 2023
SEC Extends Climate Disclosure and Private Fund Deadlines; IPA Submits FINRA and Ohio DOS Comment Letters May 11, 2022
President Biden’s 2023 Federal Budget Proposes Curbing Section 1031 Like-Kind Exchanges March 29, 2022
IPA Meets with SEC Commissioners as SEC Rolls Out Largest Regulatory Agenda in Decades February 23, 2022
IPA 2022 Policy Priorities Focus on Critical Issues Aimed at Advancing the Industry February 11, 2022
Advocacy Alert: IPA Leads Coalition of Industry Groups in Analysis of NASAA Reg BI Surveys February 9, 2022
Intel ERISA Suit and DOL’s Supplemental Statement on Private Equity Set the Stage for Access to Alts in DC Plans January 13, 2022
Statement from the Institute for Portfolio Alternatives on NASAA’s Phase Two Report on Reg BI November 9, 2021