Execution Arrangement Comparison
Documents (1) for FIA-ISDA Documentation for Cleared Swaps: Execution Arrangement Comparison
Request for Clarification and Relief Under Section 774 of Dodd-Frank
Letter to Securities and Exchange Commission from American Bankers Association, Financial Services Roundtable, Futures Industry… Read more Request for Clarification and Relief Under Section 774 of Dodd-Frank
Documents (1) for Request for Clarification and Relief Under Section 774 of Dodd-Frank
Request for Clarification and Relief Under Section 774 of Dodd-Frank
Letter to Securities and Exchange Commission from American Bankers Association, Financial Services Roundtable, Futures Industry… Read more Request for Clarification and Relief Under Section 774 of Dodd-Frank
Documents (1) for Request for Clarification and Relief Under Section 774 of Dodd-Frank
ISDA’s Comments regarding Swap Data Recordkeeping and Reporting Requirements: Pre-Enactment and Transition Swaps
Comment Letter to CFTC
Documents (1) for ISDA’s Comments regarding Swap Data Recordkeeping and Reporting Requirements: Pre-Enactment and Transition Swaps
ISDA’s Comments regarding Swap Data Recordkeeping and Reporting Requirements: Pre-Enactment and Transition Swaps
Comment letter to CFTC
Documents (1) for ISDA’s Comments regarding Swap Data Recordkeeping and Reporting Requirements: Pre-Enactment and Transition Swaps
ISDA General Counsel David Geen explains credit events on CDS contracts to Reuters Insider
Click to watch video:
Documents (0) for ISDA General Counsel David Geen explains credit events on CDS contracts to Reuters Insider
Defining Default
ISDA General Counsel David Geen explains credit events on CDS contracts to Reuters Insider’s Jamie… Read more Defining Default
Documents (0) for Defining Default
ISDA Comment Letter to National Association of Insurance Commissioners (NAIC)
Comment Letter to NAIC on on Insurer Receivership Model Act (#555), Section 711 and the… Read more ISDA Comment Letter to National Association of Insurance Commissioners (NAIC)
Documents (1) for ISDA Comment Letter to National Association of Insurance Commissioners (NAIC)
ISDA’s Comments on regarding the order in which the Dodd-Frank related rulemakings should be finalized
Comment letter to CFTC