Comments on the Draft Reporting Template for Scope 1 and Scope 2 GHG Emissions Pursuant to SB 253
SIFMA provided comments to California Air Resources Board (CARB) to inform the implementation of the Climate Corporate Data Accountability Act,…
SIFMA AMG provides comment to multiple agencies to express its concern that the U.S. and Europe may no longer pursue synchronized phase-in of their respective margin requirements for uncleared swaps.S IFMA AMG believes that synchronization of uncleared swap margin implementation has been (and continues to be) key to avoid causing disparate harm to market participants, including mutual funds, pension funds and other financial end-users whose investments are managed by asset managers.
SIFMA provided comments to California Air Resources Board (CARB) to inform the implementation of the Climate Corporate Data Accountability Act,…
SIFMA and ISDA submitted comments to the CFTC on its proposed Revisions to Business Conduct and Swap Documentation Requirements for…
Court: U.S. Supreme Court (pet. for writ of cert.) Amicus Issue: Whether the rebuttable fraud-on-the-market presumption for establishing reliance in…