Margin & Capital Requirements for Covered Swap Entities

Published on:
July 6, 2011
Submitted to:
OCC, Federal Reserve, FDIC, FHFA, FCA
Submitted by:
SIFMA and ISDA

Summary

SIFMA and the International Swaps Dealers Association, Inc. (ISDA) provide comments to the Office of the Comptroller of the Currency (OCC), the Board of Governors of the Federal Reserve, the Federal Deposit Insurance Corporation (FDIC), the Federal Housing Finance Agency (FHFA), and the Farm Credit Administration on the recently released notice of proposed rulemaking and request for comments (NPR) concerning margin and capital requirements for non-cleared swaps and non-cleared security-based swaps and the implementation of the related statutory provisions enacted by Title VII of the Dodd-Frank Wall Street Reform and Consumer Protection Act (the Dodd-Frank Act), Docket No. OCC-2011-0008/RIN 1557-AD43; Docket No. R-1415/RIN 7100 AD74; RIN 3064-AD79; RIN 3052-AC69; RIN 2590-AA45.  The groups provide their observations and recommendations relating to the proposal.

Excerpt

July 6, 2011

Office of the Comptroller of the Currency

250 E Street, SW

Mail Stop 2-3

Washington, D.C. 20219

Jennifer J. Johnson, Secretary

Board of Governors of the Federal Reserve System

20th Street and Constitution Avenue, NW

Washington, DC 20551

Robert E. Feldman, Executive Secretary

Attention: Comments

Federal Deposit Insurance Corporation

500 17th Street, NW

Washington, DC 20429

Alfred M. Pollard, General Counsel

Attention: Comments/RIN 2590-AA45

Federal Housing Finance Agency

Fourth Floor

1700 G Street, NW

Washington, DC 20552

Gary K. Van Meter, Acting Director

Office of Regulatory Policy

Farm Credit Administration

1501 Farm Credit Drive

McLean, VA 22102-5090

Re: Docket No. OCC-2011-0008/RIN 1557-AD43; Docket No. R-1415 /RIN 7100 AD74; RIN 3064-AD79; RIN 3052-AC69; RIN 2590-AA45

MARGIN AND CAPITAL REQUIREMENTS FOR COVERED SWAP ENTITIES

Ladies and Gentlemen,

The International Swaps and Derivatives Association1 (“ISDA”) and the Securities Industry and Financial Markets Association2 (“SIFMA”) (hereinafter referred to as the “Associations”)  appreciate this opportunity to provide comments to the Prudential Regulators 3 For purposes of this discussion, swap dealers and major swap participants are “Swap Entities” and a Swap Entity that is subject to regulation by a Prudential Regulator is a “Covered Swap Entity” or “CSE”. (the “PRs”) regarding the recently released notice of proposed rulemaking and request for comments (“NPR”) concerning margin and capital requirements for non-cleared swaps and non-cleared security-based swaps and the implementation of the related statutory provisions enacted by Title VII of the Dodd-Frank Wall Street Reform and Consumer Protection Act (the “Dodd-Frank Act”).

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1 ISDA, which represents participants in the privately negotiated derivatives industry, is among the world’s largest global financial trade associations as measured by number of member firms. ISDA was chartered in 1985 and today has over 800 member institutions from 54 countries on six continents. Our members include most of the world’s major institutions that deal in privately negotiated derivatives, as well as many of the businesses, governmental entities and other end-users that rely on over-the-counter derivatives to manage efficiently the risks inherent in their core economic activities. For more information, please visit: www.isda.org.

2 SIFMA brings together the shared interests of hundreds of securities firms, banks, and asset managers. SIFMA’s mission is to support a strong financial industry, investor opportunity, capital formation, job creation and economic growth, while building trust and confidence in the financial markets. SIFMA, with offices in New York and Washington, D.C., is the U.S. regional member of the Global Financial Markets Association. For more information, please visit: www.sifma.org.

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