On April 1, ISDA submitted comments on the Commodity Futures Trading Commission’s (CFTC) notice of… Read more ISDA Response to CFTC Proposed Operational Resilience Rules
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ISDA/SIFMA’s Comments on Business Conduct Standards for Swap Dealers and Major Swap Participants With Counterparties
Comment Letter to CFTC
Documents (1) for ISDA/SIFMA’s Comments on Business Conduct Standards for Swap Dealers and Major Swap Participants With Counterparties
CFTC – ANPR: Protection of Cleared Swaps Customers Before And After Commodity Broker Bankruptcies
Follow-up letter in response to questions raised by CFTC staff.
Documents (1) for CFTC – ANPR: Protection of Cleared Swaps Customers Before And After Commodity Broker Bankruptcies
ISDA’s Comments for Mandatory Clearing
Comment Letter to SEC
Documents (1) for ISDA’s Comments for Mandatory Clearing
ISDA’s Comment Letter on General Regulations and DCO
ISDA response to CFTC solicitation of comments on implementation of Dodd-Frank Section 725(c)
Documents (1) for ISDA’s Comment Letter on General Regulations and DCO
Documents (1) for ISDA Executive Vice Chairman Addresses US House Agriculture Committee
ISDA’s/SIFMA’s Comment Letter on CFTC 17 CFR Parts 23, 43 & 45
Comment Letter to CFTC
Documents (1) for ISDA’s/SIFMA’s Comment Letter on CFTC 17 CFR Parts 23, 43 & 45
ISDA’s Comment Letter on NPR Protection of Collateral of Counterparties to Uncleared Swaps
Comment Letter to CFTC
Documents (1) for ISDA’s Comment Letter on NPR Protection of Collateral of Counterparties to Uncleared Swaps
ISDA’s Comment Letter on Registration of Swap Dealers and Major Swap Participants
Comment Letter to CFTC
Documents (1) for ISDA’s Comment Letter on Registration of Swap Dealers and Major Swap Participants
Comment Letter on Proposed Rules Regarding Registration of Swap Dealers and Major Swap Participants
Letter to CFTC
Documents (1) for Comment Letter on Proposed Rules Regarding Registration of Swap Dealers and Major Swap Participants
ISDA’s Comment Letter on the FSOC’s Proposed Rulemaking: Authority to Designate Financial Market Utilities as Systemically Important
Comment Letter to FSOC