Shearman & Sterling
March 20, 2013
8 pages
New Iran Sanctions Include SEC Disclosure Requirements
SEC Filings Under The New Iran Disclosure Obligations Have Reached A Steady Drumbeat
Simpson Thacher
March 5, 2013
6 pages
10Qs and 10Ks Now Required to Include Transactions Subject to Economic Sanctions
Baker Donelson
February 26, 2013
2 pages
Section 13(r) Disclosure Guidance for Public Companies
Skadden
From The Harvard Law School Forum on Corporate Governance and Financial Regulation
February 22, 2013
5 pages
Davis Wright Tremaine
February 20, 2013
2 pages
Shearman & Sterling
February 14, 2013
6 pages
Gibson Dunn (and others)
February 7, 2013
4 pages
New Reporting Company Disclosure Requirements for Activities Relating to Iran
Proskauer
January 25, 2013
3 pages
SEC Reporting for Certain 2012 Iran-Related Transactions
Morgan Lewis
January 22, 2013
3 pages
What’s Going On – Over a Month of Section 219 Disclosures Under the Iran Threat Reduction and Syria Human Rights Act of 2012
New Iran Sanctions Enactments Apply to U.S. Companies’ Foreign Affiliates and Subsidiaries, and Require SEC Reporting by Public Companies
Section 13(r) of the Securities Exchange Act of 1934: Disclosure Guidance for Public Companies: Eight Law Firm Consensus Report
Non-U.S. Entity Activity with Iran and Other Sanctions Targets Now Required to be Disclosed to the SEC, Additional U.S. Sanctions Targeting Non-U.S. Business with Iran Imposed, and OFAC Sanctions Regulations Amended



