Modifications to the Capital Plan Rule and Stress Capital Buffer Requirement (SIFMA and ISDA)
SIFMA and the International Swaps and Derivatives Association, Inc. (ISDA) provided comments to the Federal Reserve Board of Governors on…
SIFMA, The Clearing House (TCH) and The Financial Services Roundatable (FSR) provide comments to the Commodity Futures Trading Commission (CFTC) on further proposed guidance regarding compliance with certain swap regulations, RIN 3038-AD85. The groups provide detailed commentary on the CFTC’s specific proposals in the Further Proposed Guidance. The groups do not support the proposed clarifications to two prongs of the proposed U.S. person definition. They believe that both the concept of indirect majority ownership and the concept of “bearing unlimited responsibility” for obligations and liabilities are ambiguous and, even if clarified, create significant and unachievable compliance burdens in determining a party’s U.S.-person status. In addition, the groups do not support the proposed alternative interpretation of the aggregation requirement in the Further Proposed Guidance, which requires aggregation of swap transactions of non-U.S. persons with U.S. affiliates—a significant departure from the aggregation requirements under the Final Exemptive Order and the CFTC’s Proposed Interpretive Guidance on the Cross-Border Application of Certain Swaps Provisions (the Proposed Interpretive Guidance).
SIFMA and the International Swaps and Derivatives Association, Inc. (ISDA) provided comments to the Federal Reserve Board of Governors on…
SIFMA provides comments to the Financial Industry Regulatory Authority, Inc. (FINRA) in regards to Regulatory Notice 25-06 which requests comments…
SIFMA provides comments to the Financial Industry Regulatory Authority, Inc. (FINRA) in regards to Regulatory Notice 25-06 which requests comments…