ISDA has drafted a response to the SEC’s proposed rules for Security Based Swaps Execution… Read more ISDA Response to the SEC’s Proposed Rules for Security Based Swaps Execution Facilities (SBSEFs)
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30-Day Comment Period: ISDA OTC Derivatives Taxonomy v2.0
The ISDA OTC Derivatives Taxonomy (“Taxonomy v1.0”) has been in use for cross-jurisdictional reporting for... Read more 30-Day Comment Period: ISDA OTC Derivatives Taxonomy v2.0
Documents (0) for 30-Day Comment Period: ISDA OTC Derivatives Taxonomy v2.0
Final Response to FSB GUUG UPI Governance Consultation
Final Response to FSB GUUG UPI Governance Consultation
Documents (1) for Final Response to FSB GUUG UPI Governance Consultation
Response to CPMI-IOSCO’s Consultation on Harmonisation of Critical Data Elements (CDE)- Third Batch, Part 2
ISDA’s response to Sections 2.37-2.63 of the Committee on Payments and Market Infrastructures (CPMI) and... Read more Response to CPMI-IOSCO's Consultation on Harmonisation of Critical Data Elements (CDE)- Third Batch, Part 2
Documents (1) for Response to CPMI-IOSCO’s Consultation on Harmonisation of Critical Data Elements (CDE)- Third Batch, Part 2
Response to CPMI-IOSCO’s Consultation on Harmonisation of Critical Data Elements (CDE)- Third Batch, Part 1
ISDA’s response to Sections 2.1-2.36; 2.64-2.77 of the Committee on Payments and Market Infrastructures (CPMI)... Read more Response to CPMI-IOSCO’s Consultation on Harmonisation of Critical Data Elements (CDE)- Third Batch, Part 1
Documents (1) for Response to CPMI-IOSCO’s Consultation on Harmonisation of Critical Data Elements (CDE)- Third Batch, Part 1
Joint ISDA/SIFMA Response to the CFTC Swaps Data Reporting Roadmap – Parts 43, 45 and 49
ISDA and SIFMA joint response to the U.S. Commodity Futures Trading Commission (CFTC) Division of... Read more Joint ISDA/SIFMA Response to the CFTC Swaps Data Reporting Roadmap - Parts 43, 45 and 49
Documents (1) for Joint ISDA/SIFMA Response to the CFTC Swaps Data Reporting Roadmap – Parts 43, 45 and 49
Information on LEIs (Korean)
Many market participants will be required to have a legal entity identifier (LEI) under forthcoming... Read more Information on LEIs (Korean)
Documents (1) for Information on LEIs (Korean)
LEI FAQ Sheet: “It Is Time to Obtain an LEI” (Korean)
Many market participants will be required to have a Legal Entity Identifier (LEI) under forthcoming... Read more LEI FAQ Sheet: "It Is Time to Obtain an LEI" (Korean)
Documents (1) for LEI FAQ Sheet: “It Is Time to Obtain an LEI” (Korean)
Joint ISDA/IIB/SIFMA Request for an Extension of Certain CFTC No-Action Reliefs
Joint IIB, ISDA, and SIFMA request to the Commodity Futures Trading Commission (CFTC) to extend... Read more Joint ISDA/IIB/SIFMA Request for an Extension of Certain CFTC No-Action Reliefs
Documents (1) for Joint ISDA/IIB/SIFMA Request for an Extension of Certain CFTC No-Action Reliefs
LEI FAQ Sheet: “It Is Time to Obtain an LEI” (Simplified Chinese)
Many market participants will be required to have a legal entity identifier (LEI) under forthcoming... Read more LEI FAQ Sheet: "It Is Time to Obtain an LEI" (Simplified Chinese)
Documents (1) for LEI FAQ Sheet: “It Is Time to Obtain an LEI” (Simplified Chinese)
LEI FAQ Sheet: “It Is Time to Obtain an LEI” (Traditional Chinese)
Many market participants will be required to have a legal entity identifier (LEI) under forthcoming... Read more LEI FAQ Sheet: "It Is Time to Obtain an LEI" (Traditional Chinese)