Margin Requirements for Uncleared Swaps for Swap Dealers & MSPs

Published on:
September 14, 2012
Submitted to:
CFTC
Submitted by:
SIFMA and ISDA

Summary

SIFMA and the International Swaps and Derivatives Association (ISDA) provide comments to the Commodity Futures Trading Commission (CFTC) regarding the proposed rulemaking and request for comments concerning margin requirements for non-cleared swaps and the implementation of the related statutory provisions enacted by Title VII of the Dodd-Frank Wall Street Reform and Consumer Protection Act.

Excerpt

Mr. David A. Stawick

Secretary of the Commission

Commodity Futures Trading Commission

Three Lafayette Center

1155 21st Street, NW.

Washington, DC 20581

Re: CFTC RIN 3038-AC97 – Margin Requirements for Uncleared Swaps for Swap Dealers and Major Swap Participants

Dear Mr. Stawick,

The International Swaps and Derivatives Association1 (“ISDA”) and the Securities Industry and Financial Markets Association 2 (“SIFMA”) appreciate this opportunity to provide further

comments to the Commodity Futures Trading Commission (the “Commission” or “CFTC”) regarding the proposed rulemaking and request for comments (“NPR”) concerning margin

requirements for non-cleared swaps and the implementation of the related statutory provisions renacted by Title VII of the Dodd-Frank Wall Street Reform and Consumer Protection Act (the “Dodd-Frank Act”).

The Commission initially requested comments to its proposed rules on margin for uncleared swaps in early 2011. ISDA and SIFMA responded in a letter dated July 11, 2011 in which we

provided comments and recommendations on the Commission’s proposed margin rules.3 In light of the recently published study by the Basel Committee on Banking Supervision (“Basel”) and Board of the International Organization of Securities Commissions (“IOSCO”) on margin requirements for uncleared swaps (the “Study”) and the Commission’s additional request for

comments4, we have the additional comments set out in this letter.

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