ISDA’s comment letter to the US Prudential Regulators and CFTC regarding the use of a broad product set for calculating variation margin.

ISDA provided comments to the US Prudential Regulators and CFTC regarding the use of a broad product set for calculating variation margin, when transactions are subject to the US VM requirements and another margin regulation (issued by a US regulator or a non-U.S. regulator) or contractually agreed variation margin requirements. ISDA requests that the two US regulators allow parties to run a single VM calculation across both product groups.

Documents (1) for ISDA’s comment letter to the US Prudential Regulators and CFTC regarding the use of a broad product set for calculating variation margin.

ISDA Position Paper on EC's MISP Proposal

On 20 March 2026, ISDA shared its position paper on Better Regulation and Supervision in the European Commission’s Market Integration and Supervision Package (MISP) proposal with relevant decision-makers in the European Parliament, the Council and the European Commission, outlining reform...