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 provides comments to the Federal Housing Finance Agency (FHFA) on its draft Strategic Plan: Fiscal Years 2013-2017. SIFMA strongly believes that active securitization markets must play a role in this future, and that the restoration of these markets will occur along a spectrum of credit risk, starting with the least risky markets and methodically moving outward along the credit curve. It is appropriate and indeed necessary that the primary, near term focus must be on the markets served by the government-sponsored enterprises (GSEs), to ensure that they can efficiently and prudently serve their customers and consumers. SIFMA recommends that the GSEs give priority to the alignment of their operations. Doing so will set the stage for the longer-term future of the GSEs and mortgage finance in this county more broadly, including non-agency securitization.
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…