ISDA-SIFMA Comments to CFTC’s proposed Swap Data Reporting Rules

ISDA and SIFMA joint comments in response to the CFTC’s proposed amendments to Part 43 Real-time Reporting Requirements, Part 45 Swap  Data Recordkeeping and Reporting Requirements, and Part 49 Certain Swap Data Repository and Data Reporting Requirements.  Please contact EHsu@isda.org with any questions.

Documents (1) for ISDA-SIFMA Comments to CFTC’s proposed Swap Data Reporting Rules

A Positive Step to Improve the FRTB in the EU

As the Basel III capital reforms are finalized for implementation in key jurisdictions, ISDA is maintaining a laser focus on making sure the rules are robust and risk-appropriate. Simply put, if capital requirements are set disproportionately high, this will have...