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SEC Commissioner Peirce Dissents from Rules on Cybersecurity Disclosure

Reynolds Holding

6] “[A]ny new disclosure requirements [need only] be ‘necessary or appropriate in the public interest or for the protection of investors.’” [7] While it is true that we can take actions in the public interest and for the protection of investors, those actions need to relate to our core mission. Accordingly, I dissent.

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Gibson Dunn Offers 2022 Year-End Securities Litigation Update

Reynolds Holding

As discussed in our 2022 Mid-Year Securities Litigation Update , a number of courts have grappled with the effects of Lorenzo. Although the number of securities lawsuits filed this year remained steady compared to 2021, we have seen many notable developments in securities law.