Changeflow GovPing Banking & Finance SEC Extends Trading Relief to Share Class ETFs
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SEC Extends Trading Relief to Share Class ETFs

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Summary

The SEC issued its fourth approval extending trading relief to share class ETFs, enabling these newly authorized ETF structures to begin listing and trading. The relief extends the broker-dealer exemptive provisions under Rule 6c-11 to share class ETFs, resolving a gap where brokers could not rely on existing relief for these instruments.

What changed

The SEC extended exemptive relief under Rule 6c-11 to cover share class ETFs, addressing how these ETFs can trade in primary markets and clarifying they are treated the same as stand-alone ETFs regarding trading markets. The Rule had explicitly excluded share class ETFs from the 'exchange-traded fund' definition, preventing broker-dealers from relying on the companion order for critical functions like in-kind creations and redemptions.\n\nWith this latest regulatory relief, fund managers can now move forward with listing and trading share class ETFs once their exemptive order is received and registration statement is effective. Broker-dealers may also trade with these ETFs relying on the broad trading relief already available to other ETFs, subject to ongoing compliance with Rule 6c-11 and RIC requirements.

Archived snapshot

Apr 6, 2026

GovPing captured this document from the original source. If the source has since changed or been removed, this is the text as it existed at that time.

April 6, 2026

United States: The Last Leg: SEC Extends Trading Relief to Share Class ETFs

Thoreau Bartmann, Jessica Cohn, Kevin Gustafson K&L Gates LLP + Follow Contact LinkedIn Facebook X Send Embed

With this fourth SEC approval, share class ETFs are now ready to go live.

Since late 2025, the SEC has provided exemptive relief to dozens of managers under Section 18(f), among other provisions, for mutual funds to issue a share class listed separately as an ETF. In addition to these orders, the SEC has approved generic listing standards of these ETFs on the exchanges and, more recently, registration statements for these ETFs are now effective. Recently, the SEC has also expressly extended certain exemptive relief to the share class ETFs addressing how the ETFs can trade in the primary markets, clarifying for the industry that these ETFs are to be treated the same as stand-alone ETFs regarding the trading markets.

In connection with adoption of Rule 6c-11 (the Rule) in 2019, the SEC had also issued a companion order (Order) codifying for brokers certain key exemptive relief as to the Securities Exchange Act of 1934. These provisions include critical functions for the ETF, such as effecting in-kind creations and redemptions as an Authorized Participant. For a broker-dealer to rely on this relief to transact directly with an ETF, that ETF must fit within the “exchange-traded fund” definition under the Rule. However, the Rule had explicitly excluded share class ETFs from its definition of an ETF, resulting in the relief under that Order not applying to brokers for the new share class ETFs.

With the issuance of this latest regulatory relief, new share class ETFs can move forward with listing and trading once their exemptive order is received and registration statement is effective, subject to ongoing compliance with the Rule and RIC requirements. With it, brokers may also now trade with these ETFs with the ability to rely on the broad trading relief already available to other ETFs.

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CFR references

17 CFR 270.6c-11

Named provisions

Rule 6c-11 Section 18(f) Exchange-Traded Fund Definition

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Last updated

Classification

Agency
SEC
Published
April 6th, 2026
Instrument
Guidance
Legal weight
Binding
Stage
Final
Change scope
Minor

Who this affects

Applies to
Fund managers Broker-dealers Investors
Industry sector
5231 Securities & Investments
Activity scope
ETF Trading Exemptive Relief
Geographic scope
United States US

Taxonomy

Primary area
Securities
Operational domain
Compliance
Topics
Investment Companies Broker-Dealer Regulation

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