February 18, 2010

NASBA writes to Chairman Dodd and Ranking Member Shelby in order to voice its support of the provisions of Sections 404(b) of the SOX Act of 2002 and to strongly urge that you forego any further extension of the compliance deadlines from the provisions of Section 404(b) for those public companies with a market capitalization of less than $75 million.

See Full Document:
Senate SOX Exemption

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