On May 5, 2026, the SEC formally proposed rule and form amendments that would permit companies to optionally report semiannually rather than quarterly. The proposed amendments would create a new Form 10-S and also make appropriate amendments to Regulation S-X. The new Form 10-S would have a deadline of 40 or 45 days, based on a company’s filing status, after the end of the first semiannual period of the fiscal year. You can read more in this Press Release, Fact Sheetand Proposed Rule. The proposal will have a 60-day comment period.