
C. Alex Bahn
Articles
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Sep 12, 2024 |
jdsupra.com | C. Alex Bahn |Lillian Brown |Meredith B. Cross
[co-author: Amy O'Connell]While the Securities and Exchange Commission’s (SEC) new climate-related disclosure rules remain stayed, the SEC has not abandoned its focus on sustainability-related issues. On September 10, 2024, the SEC charged Keurig Dr Pepper Inc. (“Keurig”) with making inaccurate statements regarding the recyclability of its K-Cup single use beverage pods.
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Aug 12, 2024 |
lexology.com | Meredith B. Cross |Stephanie Avakian |Benjamin Powell |Joseph K. Brenner |C. Alex Bahn |Lillian Brown | +6 more
On July 18, 2024, the U.S. District Court for the Southern District of New York dismissed most of the claims brought by the Securities and Exchange Commission (the “Commission”) against SolarWinds Corp. (“SolarWinds”) and its Chief Information Security Officer (“CISO”) in SEC v. SolarWinds Corp. et al.
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Aug 9, 2024 |
wilmerhale.com | Meredith B. Cross |Stephanie Avakian |Benjamin Powell |Joseph K. Brenner |C. Alex Bahn |Lillian Brown | +6 more
On July 18, 2024, the U.S. District Court for the Southern District of New York dismissed most of the claims brought by the Securities and Exchange Commission (the “Commission”) against SolarWinds Corp. and its Chief Information Security Officer in SEC v. SolarWinds Corp. et al. in connection with the SUNBURST attack.
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May 23, 2024 |
jdsupra.com | C. Alex Bahn |Lillian Brown |Meredith B. Cross
On May 21, 2024, Erik Gerding, Director of the SEC’s Division of Corporation Finance, issued a statement regarding the disclosure of cybersecurity incidents on Form 8-K. In his statement, Director Gerding encourages companies that voluntarily choose to disclose a cybersecurity incident that has not been determined to be material, or for which no materiality determination has yet been made, to make that disclosure using a Form 8-K item other than Item 1.05 (Material Cybersecurity Incidents).
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May 22, 2024 |
wilmerhale.com | C. Alex Bahn |Lillian Brown |Meredith B. Cross |Jenna El-Fakih |Gregory Wiessner |Jonathan Wolfman
On May 21, 2024, Erik Gerding, Director of the SEC’s Division of Corporation Finance, issued a statement regarding the disclosure of cybersecurity incidents on Form 8-K. In his statement, Director Gerding encourages companies that voluntarily choose to disclose a cybersecurity incident that has not been determined to be material, or for which no materiality determination has yet been made, to make that disclosure using a Form 8-K item other than Item 1.05 (Material Cybersecurity Incidents).
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