Fiduciary Duties In Selecting Designated Investment Alternatives

EBSA-2026-0166-0001Proposed Rule
Comments
16,574
Last activity Jun 2, 2026
Deadline
Closed on Jun 2, 2026
Closed Jun 2, 2026
Net supportiSupport minus oppose · campaigns included
-80%
-87% excluding campaigns
Document

Details

The document's own metadata, straight from the source system.

Title
Fiduciary Duties In Selecting Designated Investment Alternatives
Posted
Mar 31, 2026
Comment period
Mar 31, 2026 – Jun 2, 2026
FR Doc
2026-06178
CFR
29 CFR Part 2550
Analysis

Overview

What the public is saying — stance, who's commenting, and the issues they raise.

Include campaigns
Analyzed 16,564 of 16,574 comments
100%· analysis in progress

Stance breakdown

-80%
Net support
Support1,598Oppose14,891Other75Not yet analyzed10
Aggregates include form-letter campaigns. Excluding them, net support is -87% across organic comments.

Who commented

Breakdown by commenter type.

Union
5
Individual
16,350
Government
23
Trade association
31
Advocacy
47
Academic
30
Business
72
Other
6
Not yet analyzed
10

Comments over time

Weekly arrivals, stacked by stance.

Posted Mar 31, 2026Deadline Jun 2, 2026
Apr 6Apr 20May 4May 18Jun 1
Support1,598Oppose14,890Other75

Support × commenter type

How each type splits across stance.

Support
Oppose
Other
Individual
9%
91%
0%
Business
68%
28%
4%
Advocacy
45%
55%
0%
Trade association
94%
6%
0%
Academic
23%
73%
3%
Government
57%
39%
4%
Other
33%
50%
17%
Union
20%
80%
0%

Position map

Who stands where on each issue?

Every non-silent position is backed by an excerpt from the comment.

AARP
AdvocacyOppose
Private equity in 401ks
Risks of private equity and cryptocurrency
AFL-CIO
UnionOppose
Private equity in 401ks
Risks of private equity and cryptocurrency
American Bankers Association
Trade associationSupport
Expanding access to alternative assets
American Benefits Council
Trade associationSupport
Impact of frivolous litigation
American Federation of State, County and Municipal Employees (AFSCME)
UnionOppose
Private equity in 401ks
Risks of private equity and cryptocurrency
American Retirement Association
Trade associationSupport
Impact of frivolous litigation
Apollo Global Management, Inc.
BusinessSupport
Expanding access to alternative assets
ASA
Trade associationSupport
Awaken Group Inc.
BusinessSupport
Expanding access to alternative assets
Financial risk concerns
Better Markets
AdvocacyOppose
Private equity in 401ks
Risks of private equity and cryptocurrency
Betterment LLC
BusinessSupport
Impact of frivolous litigation
BlackRock, Inc.
BusinessSupport
Expanding access to alternative assets
Blockchain Association
AdvocacySupport
Expanding access to alternative assets
Charles Schwab & Co., Inc.
BusinessSupport
Expanding access to alternative assets
Impact of frivolous litigation
Coalition for Modern Retirement Solutions
AdvocacySupport
Private equity in 401ks
Consumer Action for a Strong Economy
AdvocacySupport
Consumers' Research
AdvocacySupport
Financial risk concerns
Defined Contribution Alternatives Association
Trade associationSupport
Expanding access to alternative assets
Financial risk concerns
Empower
BusinessSupport
Expanding access to alternative assets
Impact of frivolous litigation
Financial Services Institute
Trade associationSupport
Impact of frivolous litigation
Hispanic Leadership Fund
AdvocacySupport
Expanding access to alternative assets
Institute for Policy Innovation
AdvocacySupport
Private equity in 401ks
Institute for Portfolio Alternatives
Trade associationSupport
Expanding access to alternative assets
Impact of frivolous litigation
Insured Retirement Institute, Inc.
Trade associationSupport
Impact of frivolous litigation
International Franchise Association
Trade associationSupport
Expanding access to alternative assets
Investment Adviser Association
Trade associationSupport
Expanding access to alternative assets
Managed Funds Association
Trade associationSupport
Expanding access to alternative assets
Financial risk concerns
MFDF
Trade associationSupport
Expanding access to alternative assets
Financial risk concerns
Money Management Institute
Trade associationSupport
Expanding access to alternative assets
Impact of frivolous litigation
Morgan, Lewis & Bockius LLP
BusinessSupport
Expanding access to alternative assets
Financial risk concerns
Nareit
AdvocacySupport
Expanding access to alternative assets
Nareit's Public Non-Listed REIT Council
AdvocacySupport
Expanding access to alternative assets
Financial risk concerns
Nasdaq, Inc.
BusinessSupport
Expanding access to alternative assets
National Employment Lawyers Association
AdvocacyOppose
National Taxpayers Union
AdvocacySupport
Expanding access to alternative assets
Financial risk concerns
NCCMP
Trade associationSupport
Impact of frivolous litigation
North American Securities Administrators Association
Trade associationSupport
Expanding access to alternative assets
Nuovalo Ltd.
BusinessSupport
Expanding access to alternative assets
Financial risk concerns
Office of Advocacy, U.S. Small Business Administration
GovernmentSupport
Financial risk concerns
Pacific Life
BusinessSupport
Financial risk concerns
Prudential Financial, Inc.
BusinessSupport
Expanding access to alternative assets
Public Investors Advocate Bar Association
AdvocacyOppose
Private equity in 401ks
Roosevelt Institute
AdvocacyOppose
Risks of private equity and cryptocurrency
State Street Investment Management
BusinessSupport
Expanding access to alternative assets
Impact of frivolous litigation
Suttle Crossland Wealth Advisors, LLC
BusinessOppose
Private equity in 401ks
T. Rowe Price Associates, Inc.
BusinessSupport
Impact of frivolous litigation
Terra-Nova LLC of Utah
BusinessOppose
Private equity in 401ks
Risks of private equity and cryptocurrency
The Academy of Financial Education; American Federation of Teachers; Americans for Financial Reform Education Fund; Better Markets; Center for Economic and Policy Research; The Committee for the Fiduc
AdvocacyOppose
Risks of private equity and cryptocurrency
The ERISA Industry Committee
Trade associationSupport
Expanding access to alternative assets
Impact of frivolous litigation
The SPARK Institute
Trade associationSupport
Expanding access to alternative assets
Impact of frivolous litigation

1 organization-typed comment could not be identified.

Form letters

Campaigns

Organized form-letter drives, separated from organic one-off comments.

3%of comments arrived through a form-letter campaign 566 of 16,572 comments. 15,694 are organic, and 312 are still being processed for campaign detection.
Campaign566Organic15,694Not yet determined312
Comments

Explorer

Every mirrored comment — filter by stance, campaign, or issue.

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