In what seems is likely to be the last cybersecurity-related enforcement action by the SEC under outgoing chair Gary Gensler, the agency has brought a settled enforcement action against asset management firm Ashford, Inc., alleging that the company made misrepresentations in its periodic reporting documents about a cybersecurity-related incident at the firm. As discussed below, the action raises questions about what may come next as far as SEC cybersecurity-related enforcement under the new administration. A copy of the SEC’s January 13, 2025, complaint in the enforcement action can be found here. The SEC’s January 13, 2025, press release about the action can be found here.Continue Reading SEC Files Cyber Disclosure Enforcement Action Against Asset Manager

On March 9, 2022, the SEC finally released its long-anticipated updated cybersecurity disclosure requirements. The proposed rules, inclusive of specifications both for incident reporting and for risk management and governance disclosure, were adopted by a 3-1 vote and are now subject to a public reporting period. The new rules, which the Commission’s press release says are “designed to better inform investors about a registrant’s risk management, strategy, and governance and to provide timely notification of material cybersecurity incidents,” underscore the Commission’s emphasis on cybersecurity reporting and disclosure issues.

The SEC’s March 9, 2022 press release about the proposed new rules can be found here. The Commission’s two-page “fact sheet” about the new rules can be found here. The Commission’s 129-page proposing release can be found here. Cydney Posner’s March 9, 2022 post on the Cooley law firm’s PubCo blog about the proposed rules can be found here.
Continue Reading SEC Proposes New Rules for Cybersecurity Disclosure and Incident Reporting Rules