Comments from NASBP to the Ohio Department of Administrative Services regarding the draft Construction Reform Surety Bond Rules present in a recently passed bill, OH HB 153. #Legislation ...
#Advocacy #Federal #Fly-in #Grassroots
NASBP's comments in recommendation that the Office of General Services (GSA) approve an extension to the current information collection requirement which provides that, in order to ...
Comments on Financial Management Service (FMS) docket number FISCAL-FMS-2010-0001 with regards to concerns with proposed rules impacting the administration of the corporate surety program ...
Joint white paper on the NASBP and SFAA position #RiskManagement #ConstructionIndustry #GreenBuilding
NASBP has developed these points about Individual Surety and the proposed MD legislation for you to help educate and to share with your legislators. NASBP’s position is that any insurer, ...
These are the comments that NASBP sent to FASB on October 13, 2010 with regard to the Exposure Draft on Revenue Recognition from Contracts with Customers. This issue is particularly ...
On November 1, NASBP submitted comments on the Financial Accounting Standards Board's (FASB) proposal with respect to disclosure about an employer's participation in a multiemployer ...
NASBP submitted comments on September 20, 2010 on the Financial Accounting Standards Board (FASB) Exposure Draft Topic FASB 450 – Loss contingencies in general of which multiemployer ...
NASBP submitted comments on September 3, 2010 on the International Accounting Standards Board (IASB) Exposure Draft IAS 19 – Employer accounting for defined benefit plans in general ...