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ATTY/RESO.0046/CC RESO APPROVING DEPT DISCLOSURE POLICIES & PROCEDURES – EXHIBIT A <br />REV: 05-07-19 VR <br />Last update: 5/20/2019 <br />Page 8 of 11 <br />ATTACHMENT 1 <br /> <br />Continuing Disclosure Filings Procedures <br /> <br />Under the continuing disclosure undertakings that the City has entered into in connection with its <br />bond offerings, the City is contractually required each year to file annual reports with the Municipal <br />Securities Rulemaking Board’s (“MSRB”) Electronic Municipal Market Access (“EMMA”) system in <br />accordance with such undertakings. Such annual reports are required to include certain updated financial <br />and operating information specified in each continuing disclosure undertaking, and the City’s audited <br />financial statements (or if they are not available, the City’s unaudited financial statements). The City is <br />also required under its continuing disclosure undertakings to file notices of certain Listed Events with <br />EMMA. <br /> <br />Annual Financial Information <br /> <br />The Annual Disclosure Compliance Group for annual financial information and operating data (the <br />“Annual Filing”) to be filed with the MSRB pursuant to its continuing disclosure undertakings shall consist <br />of the following officers and employees of the City: <br /> <br />Assistant City Manager of Administrative Services / City Treasurer <br />Deputy Treasurer <br />City Attorney <br />Disclosure Coordinator (if not listed above) <br /> <br />The Disclosure Coordinator shall (a) compile and maintain (and update after every issuance or <br />defeasance of bonds) a list of all financial information and operating data required to be filed with the <br />MSRB pursuant to each continuing disclosure undertaking of the City; (b) assign responsibilities to officers <br />and employees for periodically assembling and verifying the data; (c) request that they assemble, verify, <br />and forward the data to the Disclosure Coordinator and notify the Disclosure Coordinator if they have <br />learned of any other fact that they consider to be material with respect to the information provided; and <br />(d) establish a schedule for producing the data (and the Annual Filing document) that will afford sufficient <br />time for final review by the Annual Disclosure Compliance Group and the Disclosure Coordinator. The <br />Disclosure Coordinator shall distribute drafts of the Annual Filing to the Annual Disclosure Compliance <br />Group for review together with a description of the process used to compile it. <br /> <br />The members of the Annual Disclosure Compliance Group shall review the Annual Filing drafts <br />and Disclosure Coordinator’ process description to determine (and shall report to the Disclosure <br />Coordinator as to) whether, based on information known or reported to them, (a) this Disclosure Policy <br />was followed, (b) the material facts in the Annual Filing appear to be consistent with those known to the <br />members of the Annual Disclosure Compliance Group, and (c) the Annual Filing omits any material fact <br />that is necessary to be included to prevent the Annual Filing from being misleading to investors. The <br />Disclosure Coordinator shall take such action as may be necessary, based on feedback from the Annual <br />Disclosure Compliance Group, to enable the Annual Disclosure Compliance Group to conclude that this <br />Disclosure Policy was followed and that the Annual Filing is accurate and complete in all material respects. <br /> <br />The Annual Disclosure Compliance Group shall approve the final draft of the Annual Filing. <br />