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Comments on Rulemaking Petition:
Request for interpretive guidance on Climate Risk Disclosure
[File No. 4-547]
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Comments have been received from individuals and entities using the following Letter Type A: 2083 |
May 25, 2008 |
Shirley Faircloth, Oakland, California |
May 24, 2008 |
Kathleen Labriola, Berkeley, California |
May 23, 2008 |
Anne Mertl Millhollen, Ph.D., Eugene, Oregon |
May 14, 2008 |
John Harrington, CEO, Harrington Investments Inc. |
May 14, 2008 |
Nancy Herbert |
May 6, 2008 |
Jason Griffith, Carlisle, Pennsylvania |
May 6, 2008 |
Jeffrey Plate |
May 6, 2008 |
James Lobdell |
Apr. 15, 2008 |
David P. O'Connor, Senior Vice President, General Counsel, Strategic Investment Relationships and Initiatives, Delaware Investment Advisers |
Feb. 8, 2008 |
Peter Dunscombe, Chairman, Institutional Investors Group on Climate Change |
Dec. 3, 2007 |
C. Thomas Clapp, CFA, Executive Director and Chief Investment Officer, Sterling Capital Management LLC |
Nov. 30, 2007 |
Stephen A. Eason, CFA, Executive Vice President, Smith Breeden Associates, Inc. |
Nov. 29, 2007 |
David Thompson, Managing Director & Co-Chief Investment Officer, Dwight Asset Management |
Nov. 29, 2007 |
Corey M. Amon, CFA, Director of Research, Taplin, Canida & Habacht |
Nov. 5, 2007 |
Bennett Freeman, Calvert Asset Management Co. |
Oct. 24, 2007 |
Coleman Stipanovich, Executive Director, State Board of Administration of Florida |
Oct. 17, 2007 |
David Purcell, CEO, Climate Appraisal Services, LLC |
Sep. 20, 2007 |
Peter Franchot, Comptroller of the State of Maryland |
http://www.sec.gov/comments/4-547/4-547.shtml
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