Securities and Exchange Commission June 18, 2009 – Federal Register Recent Federal Regulation Documents
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Nationwide Life Insurance Company, et al.
Summary of Application: Section 26 Applicants seek an order pursuant to Section 26(c) of the 1940 Act, approving the substitutions of certain securities (the ``Substitutions'') issued by certain management investment companies and held by Separate Accounts to support certain variable annuity contracts and variable life insurance contracts (the ``Contracts'') issued by Insurance Company Applicants. Section 17 Applicants seek an order pursuant to Section 17(b) of the 1940 Act exempting them from Section 17(a) of the 1940 Act to the extent necessary to permit them to effectuate the proposed Substitutions by redeeming a portion of the securities of one or more of the Existing Funds (as defined herein) in-kind and using those securities received to purchase shares of the Replacement Funds (as defined herein) (the ``In-Kind Transactions'').
Facilitating Shareholder Director Nominations
We are proposing changes to the federal proxy rules to remove impediments to the exercise of shareholders' rights to nominate and elect directors to company boards of directors. The new rules would require, under certain circumstances, a company to include in the company's proxy materials a shareholder's, or group of shareholders', nominees for director. The proposal includes certain requirements, key among which are a requirement that use of the new procedures be in accordance with state law, and provisions regarding the disclosures required to be made concerning nominating shareholders or groups and their nominees. In addition, the new rules would require companies to include in their proxy materials, under certain circumstances, shareholder proposals that would amend, or that request an amendment to, a company's governing documents regarding nomination procedures or disclosures related to shareholder nominations, provided the proposal does not conflict with the Commission's disclosure rulesincluding the proposed new rules. We also are proposing changes to certain of our other rules and regulationsincluding the existing exemptions from our proxy rules and the beneficial ownership reporting requirementsthat may be affected by the new proposed procedures.
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