Yesterday, Corp Fin Director Erik Gerding issued a statement addressing concerns expressed by some registrants that the SEC’s rules requiring disclosure of material cybersecurity incidents in an Item 1.05 Form 8-K preclude registrants from sharing information beyond that disclosed in the 8-K with others, including contractual counterparties. Director Gerding’s statement clarifies that this is not the case, […]
Cybersecurity: Corp Fin Director Issues Statement on Selective Disclosure Concerns