On May 13, 2015, the SEC published proposed amendments and re-proposed rules on the application of certain Title VII requirements to cross-border security-based swap activities of non-U.S...
In the past quarter, no rulemaking requirement deadlines passed, four rulemaking requirements were finalized and two rulemaking requirements were proposed.
As of the end of the first qua...
On February 11, 2015, the Securities and Exchange Commission issued a final rule (the “Final Rule”) and proposed amendments (the “Proposed Rule”) on the reporting and public disse...
On December 22, 2014, the CFTC’s Division of Swap Dealer and Intermediary Oversight (“DSIO”) issued an advisory (the “Advisory”) providing guidance concerning chief compliance o...
In this Report:
In the past quarter, no rulemaking requirement deadlines passed, eleven rulemaking requirements were finalized and one rulemaking requirement was proposed.
At the end ...
A year ago we offered our regulatory predictions for 2014. We correctly predicted a busy year of financial reform implementation, as well as intensified discussions of the relationships a...
On December 16, 2014, the President signed into law an amendment to Section 716 of the Dodd-Frank Act (known as the “Swaps Pushout Rule” or the “Lincoln Amendment”) as part of a $...
In this Report:
In the past month, no rulemaking requirement deadlines passed, one rulemaking requirement was finalized and no rulemaking requirements were proposed.
As of December 1,...
In this Report:
In the past month, no rulemaking requirement deadlines passed, ten rulemaking requirements were finalized, and one rule was proposed that would meet one rulemaking requ...
On September 17, 2014, the CFTC re-proposed rules for uncleared swap margin requirements. The CFTC’s re-proposal is largely consistent with a re-proposal
on margin, capital and segrega...