On March 8, ISDA responded to the UK Financial Conduct Authority’s (FCA) consultation on updating… Read more ISDA Response to FCA MMF Consultation
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ISDA response to the Ministries’ comments on initial ISDA/EFET submission on proposed amendments of netting/collateral provisions
Comment Letter
Documents (1) for ISDA response to the Ministries’ comments on initial ISDA/EFET submission on proposed amendments of netting/collateral provisions
ISDA comments on draft bill on bank restructuring
Comment Letter
Documents (1) for ISDA comments on draft bill on bank restructuring
ISDA Response to Proposed German Restructuring Act
ISDA responds to the Federal Ministry of Justice and the Federal Ministry of Finance’s Discussion... Read more ISDA Response to Proposed German Restructuring Act
Documents (1) for ISDA Response to Proposed German Restructuring Act
ISDA, AFME and BBA joint response to the European Commission’s Public Consultation on Derivatives and Market Infrastructure
Joint Comment Letter
Documents (1) for ISDA, AFME and BBA joint response to the European Commission’s Public Consultation on Derivatives and Market Infrastructure
Joint Associations Response
Supplementary submission in relation to the EU Commission’s Packaged Retail Investment Products (PRIPs) inititative
Documents (1) for Joint Associations Response
Documents (1) for ISDA/EFET proposal to amend Slovak netting and collateral legislation
ISDA final submissions to CPSS-IOSCO on Trade Repositories.
Comment Letter
Documents (1) for ISDA final submissions to CPSS-IOSCO on Trade Repositories.
ISDA submission to Czech Ministry of Finance on definition of “eligible secured claims” in Draft Financial Collateral Law
Comment Letter Czech Ministry of Finance
Documents (1) for ISDA submission to Czech Ministry of Finance on definition of “eligible secured claims” in Draft Financial Collateral Law
Documents (1) for ISDA letter to the European Commission on IFRS 9 Classification and Measurement
ISDA Response to CESR/09-768 on Consultation on guidance to report transactions on OTC derivative instruments
Comment Letter