Regulators around the world are revising their rules to incorporate globally agreed data standards to… Read more ISDA Digital Regulatory Reporting (DRR) Fact Sheet
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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
Documents (1) for ISDA’s response to the CFTC’s Request for Comment on Part 45 and Related Provisions of the Swap Data Reporting Rules
ISDA letter to ESMA and NCAs on OTC challenges for EMIR reporting (updated 13 May 2014)
ISDA and BBA joint letter to ESMA and National Competent Authorities (NCAs) providing an update... Read more ISDA letter to ESMA and NCAs on OTC challenges for EMIR reporting (updated 13 May 2014)
Documents (5) for ISDA letter to ESMA and NCAs on OTC challenges for EMIR reporting (updated 13 May 2014)
A Summary of Canadian Trade Reporting Requirements
Powerpoint slide deck.
Documents (1) for A Summary of Canadian Trade Reporting Requirements
ISDA Insight
OTC derivatives end-users have played an important role at ISDA since our founding in 1985.... Read more ISDA Insight
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No-Action Relief and Interpretive Guidance Request: Swap Dealer (SD) and Major Swap Participant (MSP) changes in Registration Status on Counterparties’ Obligations under Reporting Requirements.
Changes to a registered person’s status as a SD or MSP such as deregistration and... Read more No-Action Relief and Interpretive Guidance Request: Swap Dealer (SD) and Major Swap Participant (MSP) changes in Registration Status on Counterparties’ Obligations under Reporting Requirements.
Documents (1) for No-Action Relief and Interpretive Guidance Request: Swap Dealer (SD) and Major Swap Participant (MSP) changes in Registration Status on Counterparties’ Obligations under Reporting Requirements.
Revised No-Action Relief Request: Order Aggregation of Certain Permitted Transactions
Previously published on September 23 2013, ISDA takes the opportunity to renew the Request and... Read more Revised No-Action Relief Request: Order Aggregation of Certain Permitted Transactions
Documents (1) for Revised No-Action Relief Request: Order Aggregation of Certain Permitted Transactions
ISDA’s response to FSB’s Feasibility Study on Approaches to Aggregate OTC Derivatives Data
ISDA’s response to the Financial Stability Board’s (FSB) request for comment on the consultative feasibility... Read more ISDA’s response to FSB’s Feasibility Study on Approaches to Aggregate OTC Derivatives Data
Documents (1) for ISDA’s response to FSB’s Feasibility Study on Approaches to Aggregate OTC Derivatives Data
Consultation Paper: feasibility study on approaches to aggregate OTC derivatives data
Letter from ISDA to the Financial Stability Board (FSB) at the Bank for International Settlements... Read more Consultation Paper: feasibility study on approaches to aggregate OTC derivatives data
Documents (1) for Consultation Paper: feasibility study on approaches to aggregate OTC derivatives data
No-Action Relief Extension Request: Valuation Reporting of Cleared Swaps
Requests an extension of NAL 13-34 (expiring June 30, 2014) until January 31, 2015 from... Read more No-Action Relief Extension Request: Valuation Reporting of Cleared Swaps
Documents (1) for No-Action Relief Extension Request: Valuation Reporting of Cleared Swaps
No-Action Relief Request: Pursuant to CFTC Regulation 140.99: Reporting Requirements for International Swaps (Part 45.3(h))
Request for relief for reporting counterparties (RCPs) who do not provide the “swap identifier” or... Read more No-Action Relief Request: Pursuant to CFTC Regulation 140.99: Reporting Requirements for International Swaps (Part 45.3(h))