We're about 40 days away from 2015 10K filing date
Post# of 107
SEC has recently suggested that companies:
• Reduce repetition
• Tailor the disclosure to focus on material information
• Eliminate outdated and immaterial information
Given that all 10-Q information could be incorporated in the 10-K, my suggestion would be, to submit a signed, blank 10-Qs, referencing a complete 10K
Feel free to comment.... I expect to take some flack on this.