Meredith blogged last week about early disclosures about Dodd-Frank clawback policies – and about recommended steps for the clawback review process. We’re also starting to see Corp Fin comment letters on this topic. Here’s a comment from July that was issued after a company filed a Form 10-K/A to restate financials: We note that in 2023 your executive officers received […]
Dodd-Frank Clawbacks: Early Comment Letters Show Staff Scrutiny