The Department of Labor (DOL) issued a proposed rule with 30-day comment period to address the application of fiduciaries’ duties with respect to proxy voting and exercises of other shareholder rights. The proposal requires fiduciaries to vote any proxy where the matter being voted upon would have an economic impact on the plan and prohibits fiduciaries from voting any proxy that does not have an economic impact on the plan. In our recent webinar, we reviewed the proposal and explained what the changes mean for plan sponsors.
DOL Proposed Regulations on Proxy Voting
By Todd Solomon and Brian Tiemann on October 27, 2020
Posted In Employee Benefits, Fiduciary and Investment Issues