ISDA, with the Global Financial Markets Association, the Futures Industry Association, the Institute of International… Read more Joint Response to BCBS Crypto Standard Amendments Consultation
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ISDA response to BCBS & IOSCO with respect to the Second Consultative Document "Margin Requirements For Non-Centrally Cleared Derivatives"
ISDA response to Second Consultative Document: "Margin Requirements For Non-Centrally-Cleared Derivatives".
Documents (1) for ISDA response to BCBS & IOSCO with respect to the Second Consultative Document "Margin Requirements For Non-Centrally Cleared Derivatives"
ISDA response to HMT regarding ‘Amendments to the recognition requirements for investment exchanges and
ISDA response to HMT regarding ‘Amendments to the recognition requirements for investment exchanges and clearing... Read more ISDA response to HMT regarding ‘Amendments to the recognition requirements for investment exchanges and
Documents (1) for ISDA response to HMT regarding ‘Amendments to the recognition requirements for investment exchanges and
ISDA response to CPSS, IOSCO & FSB re. Qualifying Central Counterparties
ISDA letter to CPSS, IOSCO & FSB regarding concerns which may adversely impact the consistent... Read more ISDA response to CPSS, IOSCO & FSB re. Qualifying Central Counterparties
Documents (1) for ISDA response to CPSS, IOSCO & FSB re. Qualifying Central Counterparties
Further response from ISDA, GFMA and IIF to the BCBS regarding the Consultative Document “Fundamental Review of the Trading Book” dated May 2012
Further response of the International Swaps and Derivatives Association, Inc (“ISDA”), the Global Financial Markets... Read more Further response from ISDA, GFMA and IIF to the BCBS regarding the Consultative Document “Fundamental Review of the Trading Book” dated May 2012
Documents (2) for Further response from ISDA, GFMA and IIF to the BCBS regarding the Consultative Document “Fundamental Review of the Trading Book” dated May 2012
ISDA response to ESMA re. Guidelines for establishing consistent, efficient and effective assessments of interoperability arrangements (the “CP”).
Response to ‘Consultation Paper: Guidelines for establishing consistent, efficient and effective assessments of interoperability arrangements’.
Documents (1) for ISDA response to ESMA re. Guidelines for establishing consistent, efficient and effective assessments of interoperability arrangements (the “CP”).
CCP Recovery and Continuity Presentation
ISDA presentation made to the European Banking Authority on industry views of CCP Recovery and... Read more CCP Recovery and Continuity Presentation
Documents (1) for CCP Recovery and Continuity Presentation
Industry Response to the EBA Discussion Paper on “Draft Regulatory Technical Standards on prudent valuation under Article 100 of the draft Capital Requirements Regulation (“CRR”)” of November 2012. (EBA/DP/2012/03)
ISDA/AFME/ BBA to the European Banking Authority’s Discussion Paper on “Draft Regulatory Technical Standards on... Read more Industry Response to the EBA Discussion Paper on “Draft Regulatory Technical Standards on prudent valuation under Article 100 of the draft Capital Requirements Regulation (“CRR”)” of November 2012. (EBA/DP/2012/03)
Documents (2) for Industry Response to the EBA Discussion Paper on “Draft Regulatory Technical Standards on prudent valuation under Article 100 of the draft Capital Requirements Regulation (“CRR”)” of November 2012. (EBA/DP/2012/03)
Response to EC Directorate General Internal Market and Services on the Consultation on a possible recovery and resolution framework for financial institutions other than banks
Response to European Commission
Documents (1) for Response to EC Directorate General Internal Market and Services on the Consultation on a possible recovery and resolution framework for financial institutions other than banks
BCBS-IOSCO Proposal on Margin Requirements For Non-Centrally-Cleared Derivatives
Letter to BCBS-IOSCO from ISDA, IIF and AFME
Documents (1) for BCBS-IOSCO Proposal on Margin Requirements For Non-Centrally-Cleared Derivatives
Initial Margin For Non-Centrally Cleared Swaps: Understanding the Systemic Implications
An analysis of initial margin (IM) requirements for non-centrally cleared OTC derivatives under current regulatory... Read more Initial Margin For Non-Centrally Cleared Swaps: Understanding the Systemic Implications