Tags: Advocacy, Documentation, Margin, Regulatory
Tag: Advocacy
ISDA’s comment letter responding to to the Canadian Office of the Superintendent of Financial Institutions (OSFI) draft Guideline E-22
ISDA provided comments to OSFI draft guidelines, which requires the exchange of margin to secure... Read more ISDA's comment letter responding to to the Canadian Office of the Superintendent of Financial Institutions (OSFI) draft Guideline E-22
Documents (1) for ISDA’s comment letter responding to to the Canadian Office of the Superintendent of Financial Institutions (OSFI) draft Guideline E-22
ISDA letter to BCBS/IOSCO relating to issues concerning timing requirements for margin delivery.
Proposed rules by EU and the US regulators require, with some exceptions, the collection of... Read more ISDA letter to BCBS/IOSCO relating to issues concerning timing requirements for margin delivery.
Documents (1) for ISDA letter to BCBS/IOSCO relating to issues concerning timing requirements for margin delivery.
ISDA letter responding to the CFTC’s proposed cross-border rules for margin
ISDA provides comments to the CFTC regarding the recently proposed rulemaking relating to the cross-border... Read more ISDA letter responding to the CFTC’s proposed cross-border rules for margin
Documents (1) for ISDA letter responding to the CFTC’s proposed cross-border rules for margin
ISDA letter to PRs, CFTC and the SEC regarding certain aspects of the margin requirements for uncleared swaps.
ISDA letter addressing various issues related to margin requirements for uncleared swaps, which follows discussions... Read more ISDA letter to PRs, CFTC and the SEC regarding certain aspects of the margin requirements for uncleared swaps.
Documents (1) for ISDA letter to PRs, CFTC and the SEC regarding certain aspects of the margin requirements for uncleared swaps.
ISDA letter to the ESAs on the Second Consultation Paper regarding draft regulatory technical standards on risk-mitigation techniques for OTC-derivative contracts not cleared by a CCP
ISDA responds to the Second Consultation Paper on the draft regulatory technical standards on risk-mitigation... Read more ISDA letter to the ESAs on the Second Consultation Paper regarding draft regulatory technical standards on risk-mitigation techniques for OTC-derivative contracts not cleared by a CCP
Documents (1) for ISDA letter to the ESAs on the Second Consultation Paper regarding draft regulatory technical standards on risk-mitigation techniques for OTC-derivative contracts not cleared by a CCP
ISDA letter to global regulators on the use of a broad product set for purposes of margin calculation
The scope of products subject to the proposed margin requirements is not consistent across the... Read more ISDA letter to global regulators on the use of a broad product set for purposes of margin calculation
Documents (1) for ISDA letter to global regulators on the use of a broad product set for purposes of margin calculation
ISDA letter to the CFTC on margin requirements for uncleared swaps for swap dealers and major swap participants
ISDA provides comments regarding the recently released notice of proposed rules and advance notice of... Read more ISDA letter to the CFTC on margin requirements for uncleared swaps for swap dealers and major swap participants
Documents (1) for ISDA letter to the CFTC on margin requirements for uncleared swaps for swap dealers and major swap participants
ISDA letter to the PRs on margin and capital requirements for covered swap entities
ISDA provides comments to the Prudential Regulators (the “PRs”) regarding the recently released notice of... Read more ISDA letter to the PRs on margin and capital requirements for covered swap entities
Documents (1) for ISDA letter to the PRs on margin and capital requirements for covered swap entities
ISDA letter to the ESAs on Estimates of numbers of accounts affected by IM segregation requirements, to demonstrate operational challenges
The margin rules proposed by the European Supervisory Authorities (the “ESAs”) require IM to be... Read more ISDA letter to the ESAs on Estimates of numbers of accounts affected by IM segregation requirements, to demonstrate operational challenges