Specifications include, but are not limited to: (a) Assist the County in reviewing and updating current written policy to provide continuing disclosure in compliance with Securities and Exchange Commission Rule 15c 2-12. (b) Assist the County in further developing standardized disclosure documents/language and electronic publications/digital media for use in connection with primary debt offerings. Said documents/language should include, but not be necessarily limited to: 1. Written agreement for the benefit of the bondholders committing to continuing disclosure (the “Continuing Disclosure Undertaking”). 2. Language to be included in Official Statements describing the Continuing Disclosure Undertaking. (c) Provide training to County staff regarding continuing disclosure best practices and SEC Rule 15c 2-12 and the responsibilities of County staff with respect thereto.