CFIUS Seeks Public Input on Known Investor Program and Other Efficiency Measures
On February 6, 2026, the U.S. Department of the Treasury issued a formal request for information regarding the Committee on Foreign Investment in the United States’ foreign investment review process, including but not limited to the nascent Known Investor Program. The RFI solicits comments aimed at making CFIUS’s case-by-case review process more efficient, particularly for repeat investors that pose a low national security risk. The RFI also seeks input on broader topics including efficiencies in its processes related to nonnotified transactions, mitigation, monitoring, and enforcement; public transparency regarding risks arising in certain transactions; and features of other regulatory regimes that may be appropriate to incorporate into CFIUS’s process.
Comments responding to the RFI must be submitted on or before March 18, 2026.
Treasury announced the KIP in May 2025, implementing a directive in the Trump administration’s America First Investment Policy. The goal of the Program is to streamline CFIUS review of investments from allied and partner sources by collecting information from participating foreign investors in advance of filing to enable pre-screening. To participate, applicants would need to establish, among other things, their verifiable independence from any “adversary countries,” including China (including Hong Kong and Macau), Cuba, Iran, North Korea, and (subject to possible changes due to recent events) Venezuela. Participation in the KIP would not guarantee a favorable outcome with respect to any particular transaction but would expedite review and signal that the investor satisfies the criteria to be deemed lower risk from a national security perspective.
CFIUS conducted a pilot of the Program over the past several months, engaging with a representative sample of repeat filers that volunteered to complete and provide feedback on a confidential questionnaire that builds upon, and is more extensive than, the information submission requirements under current CFIUS regulations. CFIUS now seeks input from a broader range of stakeholders on the Program eligibility criteria and contents of the questionnaire.
Eligibility Criteria
As discussed in the RFI, only certain entities will be eligible to participate in the KIP. The proposed eligibility requirements include:
Screening Questionnaire: Information Required From Foreign Investors
Eligible entities that choose to participate in the Program will be required to provide to CFIUS information regarding:
Request for Information
The RFI seeks public feedback regarding the scope and administration of the Program, definitions of key terms, how the questionnaire should refer to entities eligible to participate in the Program, the proposed eligibility criteria and any additional criteria that should be considered, the categories of information in the questionnaire and the specific questions posed, and the burdens of completing the questionnaire.
The RFI also seeks stakeholder input on ways CFIUS could improve efficiency in its processes beyond the KIP, including related to the case-by-case review process, nonnotified transactions, mitigation, and monitoring and enforcement. Areas of interest include:
The RFI offers stakeholders of all kinds, whether or not eligible to participate in the KIP, the opportunity to provide feedback on current CFIUS processes and to propose how they might be improved to facilitate foreign investment that is beneficial to the United States and consistent with U.S. national security interests.
The information provided is not intended to be a comprehensive review of all developments in the law and practice, or to cover all aspects of those referred to.
Readers should take legal advice before applying it to specific issues or transactions.
Editorial Disclaimer
Originally published before the Ashurst Perkins Coie combination. See disclaimer.