$ brew cask install mactex $ sudo tlmgr option repository ctan $ sudo tlmgr update --self --all $ sudo tlmgr paper a4 $ sudo /Usr/local/texlive/2019/bin/x86_64-darwin/tlmgr path add $ sudo tlmgr repository add http://contrib.texlive.info/current tlcontrib $ sudo tlmgr pinning add tlcontrib '*' $ brew install gnupg $ curl -fsSL https://www.preining.info/rsa.asc | sudo tlmgr key add - $ sudo tlmgr install japanese-otf-nonfree ptex-fontmaps-macos cjk-gs-integrate-macos japanese-otf-uptex-nonfree $ sudo cjk-gs-integrate --cleanup --link-texmf $ sudo cjk-gs-integrate-macos --force --link-texmf $ sudo mktexlsr $ kanji-config-updmap status $ kanji-config-updmap-user toppanbunkyu-highsierra
Top 10 Corporate and Securities Articlesについて、2017年の結果を追加しました。
- SEC, Press Release, SEC Proposes to Enhance Protections and Preserve Choice for Retail Investors in Their Relationships With Investment Professionals (Apr. 18, 2018)
Under proposed Regulation Best Interest, a broker-dealer would be required to act in the best interest of a retail customer when making a recommendation of any securities transaction or investment strategy involving securities to a retail customer. Regulation Best Interest is designed to make it clear that a broker-dealer may not put its financial interests ahead of the interests of a retail customer in making recommendations.
In addition to the proposed enhancements to the standard of conduct for broker-dealers in Regulation Best Interest, the Commission proposed an interpretation to reaffirm and, in some cases, clarify the Commission’s views of the fiduciary duty that investment advisers owe to their clients. By highlighting principles relevant to the fiduciary duty, investment advisers and their clients would have greater clarity about advisers’ legal obligations.
Next, the Commission proposed to help address investor confusion about the nature of their relationships with investment professionals through a new short-form disclosure document — a customer or client relationship summary. Form CRS would provide retail investors with simple, easy-to-understand information about the nature of their relationship with their investment professional, and would supplement other more detailed disclosures. For advisers, additional information can be found in Form ADV. For broker-dealers, disclosures of the material facts relating to the scope and terms of the relationship would be required under Regulation Best Interest.
Finally, the Commission proposed to restrict certain broker-dealers and their financial professionals from using the terms “adviser” or “advisor” as part of their name or title with retail investors. Investment advisers and broker-dealers would also need to disclose their registration status with the Commission in certain retail investor communications.