Request for an extension of NAL 16-03 (expiring 1 March 2017) with respect to reportable… Read more CFTC No-Action Extension Request: Parts 20, 45 and 46 (Data Privacy)
Joint ISDA/GFXD Response to FSB’s consultation on Governance for the Unique Transaction Identifier (UTI)
The International Swaps and Derivatives Association (ISDA) and the Global FX Division (GFXD) of the… Read more Joint ISDA/GFXD Response to FSB’s consultation on Governance for the Unique Transaction Identifier (UTI)
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ISDA Letter to FSB GUUG – Global UTI Implementation
Individual jurisdictions are currently amending or drafting transaction reporting rules. This ISDA letter to the… Read more ISDA Letter to FSB GUUG – Global UTI Implementation
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Episode 4: What Next for US Financial Markets Regulation?
Please view this page via Chrome to access the recording. We know the Biden administration… Read more Episode 4: What Next for US Financial Markets Regulation?
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ISDA Requests Relief from SEC on Accounting
On May 1, ISDA wrote to the US Securities and Exchange Commission to request relief… Read more ISDA Requests Relief from SEC on Accounting
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ISDA Publishes SBS Top-Up Protocol for SEC Dodd-Frank Rules
ISDA has today launched the ISDA 2021 Security-based Swaps (SBS) Top-Up Protocol, intended to help… Read more ISDA Publishes SBS Top-Up Protocol for SEC Dodd-Frank Rules
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SEC SBS Transaction Reporting Party Requirements
The Security-Based Swap (SBS) Transaction Reporting Party Requirements Suggested Operational Practices (SOP) establishes the hierarchy… Read more SEC SBS Transaction Reporting Party Requirements
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ISDA Response to the SEC’s Proposed Rules for Security Based Swaps Execution Facilities (SBSEFs)
ISDA has drafted a response to the SEC’s proposed rules for Security Based Swaps Execution… Read more ISDA Response to the SEC’s Proposed Rules for Security Based Swaps Execution Facilities (SBSEFs)
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Joint ISDA/GFMA Response to the LEI ROC regarding international branch LEIs
ISDA and the GFMA joint letter to the LEI ROC and the GLEIF regarding the… Read more Joint ISDA/GFMA Response to the LEI ROC regarding international branch LEIs
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LEI FAQ Sheet: "It Is Time to Obtain an LEI" (Traditional Chinese)
Many market participants will be required to have a legal entity identifier (LEI) under forthcoming… Read more LEI FAQ Sheet: “It Is Time to Obtain an LEI” (Traditional Chinese)