ISDA’s response to the CFTC’s Request for Comment on Part 45 and Related Provisions of the Swap Data Reporting Rules

The CFTC interdivisional staff working group was established by the CFTC to identify and make recommendations to resolve reporting challenges, and to consider data field standardization and consistency in reporting. Consistent with this effort, the Commission requested comment on specific swap data reporting and recordkeeping rules, to help determine how such rules are being applied, and whether clarifications, enhancements or guidance may be appropriate. The request for comment is limited to part 45 and related provisions.

Documents (1) for ISDA’s response to the CFTC’s Request for Comment on Part 45 and Related Provisions of the Swap Data Reporting Rules

Response to EC Consultation on Carbon Price

On June 10, ISDA responded to the European Commission’s (EC) consultation on the calculation of the carbon price paid in a third country under Article 9 of the Carbon Border Adjustment Mechanism (CBAM). ISDA supports the EC’s proposal that evidence...

Response to CFTC on Clearing Requirements

On June 11, ISDA responded to the US Commodity Futures Trading Commission’s notice of proposed rulemaking on the clearing requirement determination under Section 2(h) of the Commodity Exchange Act for interest rate swaps to account for Canadian dollar-denominated and Mexican...

Digital Assets and Derivatives: Where Next?

Digital assets are moving into a phase of institutional integration into derivatives markets. Trading venues, custodial infrastructures and tokenization platforms now exist across both traditional financial markets and public blockchain networks. While this diversity has accelerated innovation and liquidity formation,...