|
 |
 |
 |
| On August 12, 2009 the RBDA sent a comment letter to the Securities and Exchange Commission regarding the Municipal Securities Rulemaking Board’s proposed rule to require underwriters to submit to the EMMA system certain information related to municipal bond issuers’ continuing disclosure commitments. The RBDA argued that a better approach would be to require the submission of continuing disclosure agreements themselves. The RBDA’s letter is available here. |
 |
|
 |