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" ... All this once again highlights the paramount importance of rigorous due diligence into target companies and the jurisdictions in which they operate. Given the current context, it is arguably more important than ever that due diligence should extend to a thorough evaluation of a target’s pecuniary position and financial performance projections. The latter can take into account as much the inimical impact of the economic malaise, as the potential beneficial impact of government largesse, tax breaks and investment incentives. ... "
" ... At the same time, a small percentage of self-made moguls are far from level headed about their wealth, their pecuniary accomplishments, and the way they address the rest of the world. The very process of creating a great personal fortune has made them obscenely vain. They have become intoxicated on their own self-importance. This is acquired situational narcissism. The result is that many of these self-made, egoistical exorbitantly wealthy individuals end up living in a bubble of their own creation and perpetuation. ... "
" ... By way of background, the proposed Financial Factors in Selecting Plan Investments rule, released in June, expressed concern that growing ESG assets suggest that plan fiduciaries may be violating the fiduciary duty of loyalty and about the lack of precision and consistency in the marketplace in defining ESG. Despite opposition from over 95% of the 8,700 comment and form letters, the Department of Labor released the final rule in October that became effective in January. The final rule contained no references to ESG and instead limited fiduciaries from selecting investments based on non-pecuniary considerations except as a tie-breaker. The final rule did not define pecuniary or non-pecuniary. ... "
" ... The Department of Labor can incorporate the growing body of evidence of the impact of material ESG issues on returns and note the amplification of systemic risks caused by poor ESG hygiene when defining “pecuniary” and “non-pecuniary.” ... "
" ... Under the new guidelines, a clear regulatory structure is established which sets out standards for the consideration of investments in ERISA-backed pension plans. Plan fiduciaries are now required to make investment choices based solely on pecuniary factors consistent with the plan’s objectives. The overall goal is to create higher returns for plan beneficiaries, with investments driven by the market. Given the egregious levels of unfunded liabilities facing many pensions throughout the country, it is heartening to see such action take place. ... "