ISDA provided comments to the Securities and Exchange Commission (SEC) on its proposal regarding Standards… Read more ISDA Response to SEC US Treasury Clearing Proposal
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ISDA Response to the Proposed CDIC Eligible Financial Contracts By-law
The International Swaps and Derivatives Association, Inc. (“ISDA”) submitted a comment letter comments to the... Read more ISDA Response to the Proposed CDIC Eligible Financial Contracts By-law
Documents (1) for ISDA Response to the Proposed CDIC Eligible Financial Contracts By-law
ISDA Response to the Quebec Charter of the French Language Proposed Amendments
The International Swaps and Derivatives Association, Inc. (“ISDA”) submitted a comment letter regarding proposed amendments... Read more ISDA Response to the Quebec Charter of the French Language Proposed Amendments
Documents (2) for ISDA Response to the Quebec Charter of the French Language Proposed Amendments
ISDA Response to 2021 CDIC Amendments
The International Swaps and Derivatives Association, Inc. (“ISDA”) has been actively engaged for many years with... Read more ISDA Response to 2021 CDIC Amendments
Documents (1) for ISDA Response to 2021 CDIC Amendments
Principles for a US Transition to a Sustainable Low-carbon Economy
Climate change is one of the greatest global challenges facing our society, and financial firms... Read more Principles for a US Transition to a Sustainable Low-carbon Economy
Documents (1) for Principles for a US Transition to a Sustainable Low-carbon Economy
ISDA’s Response Regarding the Final Regulations under Treas. Reg. § 1.446-3(g)
ISDA’s response regarding the final regulations governing notional principal contracts (“NPCs”) with significant nonperiodic payments... Read more ISDA’s Response Regarding the Final Regulations under Treas. Reg. § 1.446-3(g)
Documents (1) for ISDA’s Response Regarding the Final Regulations under Treas. Reg. § 1.446-3(g)
ISDA’s Response to Proposed Amendments to the CSA’s National Instrument 94-101
ISDA’s response to proposed amendments to the CSA’s National Instrument 94-101, Mandatory Central Counterparty Clearing of Derivatives, requesting... Read more ISDA’s Response to Proposed Amendments to the CSA’s National Instrument 94-101
Documents (1) for ISDA’s Response to Proposed Amendments to the CSA’s National Instrument 94-101
Comments on the Treatment of the Modification of Non-Debt Derivatives Under Section 1001
ISDA’s response regarding the Treasury Department’s proposed section 1001 on the modification of nondebt financial... Read more Comments on the Treatment of the Modification of Non-Debt Derivatives Under Section 1001
Documents (1) for Comments on the Treatment of the Modification of Non-Debt Derivatives Under Section 1001
ISDA Comment Letter to CFTC on Cross-Border Application of the Registration Thresholds and Certain Requirements Applicable to Swap Dealers and Major Swap Participants
ISDA appreciates the opportunity to provide comments to the US Commodity Futures Trading Commission (CFTC)... Read more ISDA Comment Letter to CFTC on Cross-Border Application of the Registration Thresholds and Certain Requirements Applicable to Swap Dealers and Major Swap Participants
Documents (1) for ISDA Comment Letter to CFTC on Cross-Border Application of the Registration Thresholds and Certain Requirements Applicable to Swap Dealers and Major Swap Participants
Documents (1) for ISDA’s response to the Canadian Securities Administrators (CSA) proposed National Instrument 25-102 Designated Benchmarks and Benchmark Administrators and a related proposed companion policy.
ISDA Comment Letter to CFTC Proposed Swap Execution Facilities and Trade Execution Requirement
ISDA appreciates the opportunity to submit these comments on the proposed revisions to the regulations... Read more ISDA Comment Letter to CFTC Proposed Swap Execution Facilities and Trade Execution Requirement