On December 12, ISDA submitted its response to HM Treasury’s call for evidence on its… Read more ISDA Response to HM Treasury on Financial Services Growth and Competitiveness Strategy
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ISDA’s Comments on the CFTC’s NPR: Governance Requirements for DCOs, DCMs, and SEFs; Additional Requirements Regarding the Mitigation of Conflicts of Interest
Comment Letter to CFTC
Documents (1) for ISDA’s Comments on the CFTC’s NPR: Governance Requirements for DCOs, DCMs, and SEFs; Additional Requirements Regarding the Mitigation of Conflicts of Interest
ISDA Comments on EC “Technical Details of a Possible EU Framework for Bank Recovery and Resolution”
ISDA comments on the Working Document of DG Internal Market and Services of the European... Read more ISDA Comments on EC “Technical Details of a Possible EU Framework for Bank Recovery and Resolution”
Documents (1) for ISDA Comments on EC “Technical Details of a Possible EU Framework for Bank Recovery and Resolution”
ISDA’s Comments on the CFTC’s NPR: Confirmation, Portfolio Reconciliation, and Portfolio Compression Requirements
Comment Letter to CFTC
Documents (1) for ISDA’s Comments on the CFTC’s NPR: Confirmation, Portfolio Reconciliation, and Portfolio Compression Requirements
Japan Monthly Update – February 2011
Japanese / English
Documents (2) for Japan Monthly Update – February 2011
CFTC’s NPR: Confirmation, Portfolio Reconciliation, and Portfolio Compression Requirements
Comment Letter
Documents (1) for CFTC’s NPR: Confirmation, Portfolio Reconciliation, and Portfolio Compression Requirements
Japan Monthly Update – February 2011
Japanese / English
Documents (2) for Japan Monthly Update – February 2011
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
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 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