The ISDA Regulatory Margin Self-Disclosure Letter, published on June 30, 2016, is intended to assist… Read more ISDA Regulatory Margin Self-Disclosure Letter
ISDA/AFME/IIF response to the EC consultation on the NSFR
On June 24, ISDA, along with the Association for Financial Markets in Europe (AFME) and… Read more ISDA/AFME/IIF response to the EC consultation on the NSFR
Documents (1) for ISDA/AFME/IIF response to the EC consultation on the NSFR
ISDA, GFMA, IACPM and JFMC respond to the Basel consultation on internal risk models
ISDA, along with the Global Financial Markets Association (GFMA), the International Association of Credit Portfolio… Read more ISDA, GFMA, IACPM and JFMC respond to the Basel consultation on internal risk models
Documents (1) for ISDA, GFMA, IACPM and JFMC respond to the Basel consultation on internal risk models
Singapore
ISDA submission to Monetary Authority of Singapore on Consultation Paper on proposed legislative amendments to… Read more Singapore
Documents (1) for Singapore
Industry comments on the second phase of revised Pillar 3 consultation
On June 10, ISDA, along with the Institute of International Finance (IIF) and the Global… Read more Industry comments on the second phase of revised Pillar 3 consultation
Documents (1) for Industry comments on the second phase of revised Pillar 3 consultation
Documents (1) for ISDA BRRD Implementation Monitor
Documents (2) for Japan Monthly Update_May 2016
Japan Monthly Update_May 2016
Japanese/English
Documents (2) for Japan Monthly Update_May 2016
Industry associations respond to notice of proposed rule-making on single counterparty credit limits
On June 3, 2016, ISDA, The Clearing House Association, the American Bankers Association, the Financial… Read more Industry associations respond to notice of proposed rule-making on single counterparty credit limits
Documents (1) for Industry associations respond to notice of proposed rule-making on single counterparty credit limits
No-Action Relief Extension Request: Valuation Data Reporting for Cleared Swaps
Requests an extension of the no-action relief under CFTC Letter No. 15-38 with respect to… Read more No-Action Relief Extension Request: Valuation Data Reporting for Cleared Swaps