Question: Do you agree with the assertion that any and all associations that SEC registrants have with SSTs qualify as material information for financial reporting purposes

Do you agree with the assertion that any and all associations that SEC registrants have with SSTs qualify as "material information" for financial reporting purposes and thus should be disclosed in their SEC filings? Are there other "sensitive" or questionable business activities that SEC registrants should be required to disclose? Defend your answers.

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