ISDA-SIFMA Comments to CFTC’s proposed Swap Data Reporting Rules

ISDA and SIFMA joint comments in response to the CFTC’s proposed amendments to Part 43 Real-time Reporting Requirements, Part 45 Swap  Data Recordkeeping and Reporting Requirements, and Part 49 Certain Swap Data Repository and Data Reporting Requirements.  Please contact EHsu@isda.org with any questions.

Documents (1) for ISDA-SIFMA Comments to CFTC’s proposed Swap Data Reporting Rules

A Path to Greater CFTC-SEC Alignment

Earlier this week, the Commodity Futures Trading Commission (CFTC) and the Securities and Exchange Commission (SEC) held a roundtable on regulatory harmonization – an initiative we wholeheartedly support. The US regulatory framework has evolved over time to facilitate financial markets...

Working Towards Tokenized Collateral

One of the lessons learned from recent market shocks – including the 2020 dash for cash and the UK gilt market crisis in 2022 – is that when volatility strikes and market participants must suddenly generate large amounts of cash...