March 28, 2016
ISDA appreciates the opportunity to submit these comments with respect to the notice of proposed rulemaking published by the Securities and Exchange Commission (SEC) regarding proposed Rule 18f-4 under the Investment Company Act of 1940 and the use of derivatives by registered investment companies and business development companies.
Share This Article:
Share ISDA Response to SEC Proposal on Use of Derivatives by Registered Investment Companies and Business Development Companieson Facebook. May trigger a new window or tab to open. Share ISDA Response to SEC Proposal on Use of Derivatives by Registered Investment Companies and Business Development Companieson Twitter. May trigger a new window or tab to open. Share ISDA Response to SEC Proposal on Use of Derivatives by Registered Investment Companies and Business Development Companieson LinkedIn. May trigger a new window or tab to open. Share ISDA Response to SEC Proposal on Use of Derivatives by Registered Investment Companies and Business Development Companiesvia email. May trigger a new window or your email client to open.Documents (1) for ISDA Response to SEC Proposal on Use of Derivatives by Registered Investment Companies and Business Development Companies
Related Articles
North America
Jan 12, 2021
Public Policy
ISDA’s Response Regarding the Final Regulations under Treas. Reg. § 1.446-3(g)
Tags:
North America
Nov 24, 2020
Public Policy
ISDA’s Response to Proposed Amendments to the CSA’s National Instrument 94-101
North America
Sep 18, 2020
Public Policy
Section 1001 NATWG Comment Letter
Tags: