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ISDA’s Comments on the CFTC’s NPR: Confirmation, Portfolio Reconciliation, and Portfolio Compression Requirements
ISDA’s Comments on the CFTC’s NPR: Confirmation, Portfolio Reconciliation, and Portfolio Compression RequirementsRead the Comment
Documents (0) for ISDA’s Comments on the CFTC’s NPR: Confirmation, Portfolio Reconciliation, and Portfolio Compression Requirements
Documents (1) for CFTC & SEC’s Joint Proposed Rule: Further Definition of “Swap Dealer,” “Security-Based Swap Dealer,’’ “Major Swap Participant,” “Major Security-Based Swap Participant’’ and “Eligible Contract Participant”
ISDA’s Comments on Trade Acknowledgment and Verification of Security-Based Swap Transactions
Comment Letter to SEC
Documents (1) for ISDA’s Comments on Trade Acknowledgment and Verification of Security-Based Swap Transactions
ISDA’s Comments on Further Definition of “Swap Dealer,” “Security-Based Swap Dealer,’’ “Major Swap Participant,” “Major Security-Based Swap Participant’’ and “Eligible Contract Participant”
Comment Letter to CFTC
Documents (1) for ISDA’s Comments on Further Definition of “Swap Dealer,” “Security-Based Swap Dealer,’’ “Major Swap Participant,” “Major Security-Based Swap Participant’’ and “Eligible Contract Participant”
SEC’s Proposed rule: Trade Acknowledgment and Verification of Security-Based Swap Transactions
Comment Letter
Documents (1) for SEC’s Proposed rule: Trade Acknowledgment and Verification of Security-Based Swap Transactions
ISDA’s Comments on Trade Acknowledgment and Verification of Security-Based Swap Transactions
ISDA’s Comments on Trade Acknowledgment and Verification of Security-Based Swap TransactionsRead the Comment
Documents (0) for ISDA’s Comments on Trade Acknowledgment and Verification of Security-Based Swap Transactions
ISDA’s Comments on Further Definition of “Swap Dealer,” “Security-Based Swap Dealer,’’ “Major Swap Participant,” “Major Security-Based Swap Participant’’ and “Eligible Contract Participant”
ISDA’s Comments on Further Definition of “Swap Dealer,” “Security-Based Swap Dealer,’’ “Major Swap Participant,” “Major… Read more ISDA’s Comments on Further Definition of “Swap Dealer,” “Security-Based Swap Dealer,’’ “Major Swap Participant,” “Major Security-Based Swap Participant’’ and “Eligible Contract Participant”
Documents (0) for ISDA’s Comments on Further Definition of “Swap Dealer,” “Security-Based Swap Dealer,’’ “Major Swap Participant,” “Major Security-Based Swap Participant’’ and “Eligible Contract Participant”
CFTC’s Notice of Proposed Rulemaking: Business Conduct Standards for Swap Dealers and Major Swap Participants With Counterparties
Comment Letter
Documents (1) for CFTC’s Notice of Proposed Rulemaking: Business Conduct Standards for Swap Dealers and Major Swap Participants With Counterparties
ISDA/SIFMA’s Comments on Business Conduct Standards for Swap Dealers and Major Swap Participants With Counterparties
Comment Letter to CFTC