In Andrew Cross and my series on Rule 18f-4, we noted that the SEC was rescinding Release 10666 and related no-action letters as of the compliance date for the rule (August 19, 2022). The release adopting 18f-4 also promised that the Division of Investment Management would review prior guidance and reconcile the guidance to the new rule. In March 2021, the Division issued an information update listing staff letters that have been withdrawn or modified in connection with Rule 18f-4. I’m posting this link as a convenient resource for readers of our series (who have been plentiful and we thank you).