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

Maintaining Focus on Basel III Endgame Recalibration

In its original form, the US Basel III endgame proposal would have resulted in disproportionate increases in capital for trading book activities, forcing banks to make difficult choices about their participation in certain businesses. After two-and-a-half years, a revised proposal...

IRRBB Management in EMDEs

Interest rate risk in the banking book (IRRBB) has become a growing priority for banks and regulators in emerging market and developing economies (EMDEs). As many of these countries face monetary tightening cycles and ongoing macroeconomic volatility, bank balance sheets...

Response to CPMI-IOSCO on Consultation

On February 5, ISDA and FIA responded to the Committee on Payments and Market Infrastructures (CPMI) and International Organization of Securities Commissions (IOSCO) consultation on the management of general business risks and general business losses by financial market infrastructures (FMIs)....