Japanese/English
ISDA, GFMA, FIA joint letter to European Commission Environment Directorate-General to voice concerns regarding the reporting regime under REMIT
ISDA, GFMA, and FIA joint letter to the European Commission’s Environment Directorate-General (DG) to voice… Read more ISDA, GFMA, FIA joint letter to European Commission Environment Directorate-General to voice concerns regarding the reporting regime under REMIT
Documents (1) for ISDA, GFMA, FIA joint letter to European Commission Environment Directorate-General to voice concerns regarding the reporting regime under REMIT
Comment Letter to Japanese FSA, June 2, 2014 – Japanese
Comment Letter to Japanese Financial Services Agency on Proposed rules on second phase of mandatory… Read more Comment Letter to Japanese FSA, June 2, 2014 – Japanese
Documents (1) for Comment Letter to Japanese FSA, June 2, 2014 – Japanese
Documents (1) for Japanese translation of the Cross-Border Representation Letter
OTC Derivatives Compliance Calendar
Updated June 1, 2014.
Documents (1) for OTC Derivatives Compliance Calendar
ISDA APAC May Monthly Update
Summary of important regulatory developments, meetings, committee activities and conferences in the region.
Documents (1) for ISDA APAC May Monthly Update
ISDA In Review
May 2014
Documents (1) for ISDA In Review
ISDA/AFME response to ESMA consultation on draft RTS on the revised Transparency Directive
On May 30, ISDA and AFME responded to the ESMA consultation paper Draft Regulatory Technical… Read more ISDA/AFME response to ESMA consultation on draft RTS on the revised Transparency Directive
Documents (1) for ISDA/AFME response to ESMA consultation on draft RTS on the revised Transparency Directive
Documents (1) for Benchmarks: ISDA comments on the Greek Presidency note on benchmarks – May 2014
ISDA’s response to the CFTC’s Request for Comment on Part 45 and Related Provisions of the Swap Data Reporting Rules
The CFTC interdivisional staff working group was established by the CFTC to identify and make… Read more ISDA’s response to the CFTC’s Request for Comment on Part 45 and Related Provisions of the Swap Data Reporting Rules