In preparation for the commencement of the EMIR Refit regulatory reporting rules on 29 April… Read more EMIR Refit reporting Suggested Operational Practices
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Response to CFTC’s Proposal to Amend the Definition of “Material Terms”
ISDA response to the CFTC’s request for comments to its Proposal to Amend the Definition... Read more Response to CFTC’s Proposal to Amend the Definition of “Material Terms”
Documents (1) for Response to CFTC’s Proposal to Amend the Definition of “Material Terms”
Joint response to HKMA/SFC consultation paper on introducing mandatory clearing and expanded mandatory reporting for OTC derivatives transactions
The Futures Industry Association (Asia), the Asia Securities Industry and Financial Markets Association and the... Read more Joint response to HKMA/SFC consultation paper on introducing mandatory clearing and expanded mandatory reporting for OTC derivatives transactions
Documents (1) for Joint response to HKMA/SFC consultation paper on introducing mandatory clearing and expanded mandatory reporting for OTC derivatives transactions
Comment Letter to the CFTC on the Proposed Amendments to Part 45 for Cleared Swaps
ISDA comment letter to the CFTC on its proposed amendments to the SDR reporting requirements... Read more Comment Letter to the CFTC on the Proposed Amendments to Part 45 for Cleared Swaps
Documents (1) for Comment Letter to the CFTC on the Proposed Amendments to Part 45 for Cleared Swaps
Documents (1) for Symbology FAQ v4
Joint Response to the LEI Regulatory Oversight Committee Consultation document on collecting data on direct and ultimate parents of legal entities in the GLEIS.
The Global Financial Markets Association, the BVI German Fund Association, the Investment Association of Canada,... Read more Joint Response to the LEI Regulatory Oversight Committee Consultation document on collecting data on direct and ultimate parents of legal entities in the GLEIS.
Documents (1) for Joint Response to the LEI Regulatory Oversight Committee Consultation document on collecting data on direct and ultimate parents of legal entities in the GLEIS.
Documents (1) for Product Symbology – General Information for Industry
Joint Response to CPMI-IOSCO’s Consultative Report on the Harmonisation of key OTC derivatives data elements (other than UTI and UPI) – first batch
The International Swaps and Derivatives Association (ISDA), The Investment Association (IA), and The Global Foreign... Read more Joint Response to CPMI-IOSCO's Consultative Report on the Harmonisation of key OTC derivatives data elements (other than UTI and UPI) – first batch
Documents (1) for Joint Response to CPMI-IOSCO’s Consultative Report on the Harmonisation of key OTC derivatives data elements (other than UTI and UPI) – first batch
Joint Response to CPMI-IOSCO’s Consultative Report on the Harmonisation of the Unique Transaction Identifier (UTI)
The International Swaps and Derivatives Association (ISDA), the Institute of International Finance (IIF), The Investment... Read more Joint Response to CPMI-IOSCO's Consultative Report on the Harmonisation of the Unique Transaction Identifier (UTI)
Documents (1) for Joint Response to CPMI-IOSCO’s Consultative Report on the Harmonisation of the Unique Transaction Identifier (UTI)
Industry Survey Results – Packaged Transactions
In late 2014, ISDA carried a survey of firms who report trades under EMIR –... Read more Industry Survey Results - Packaged Transactions
Documents (2) for Industry Survey Results – Packaged Transactions
Counterparty ID Waterfall (updated September 14, 2015)
Previously published in October 2014, the matrix captures the latest Counterparty ID waterfalls for various... Read more Counterparty ID Waterfall (updated September 14, 2015)