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Dissenting Statement Of Commissioner Rostin Behnam Regarding The Cross-Border Application Of The Registration Thresholds And Certain Requirements Applicable To SDs And MSPs – Final Rule
Date 23/07/2020
Introduction and Overview
Today, by approving a final rule addressing the cross-border application of the registration thresholds and certain requirements applicable to swap dealers (“SDs”) and major swap participants (“MSPs”) (the “Final Rule”), the Commodity Futures Trading Commission (“CFTC” or “Commission”) overlooks Dodd-Frank Act purposes, Congressional mandates thereunder, an opinion of the D.C. District Court, and multiple comments raising significant concerns. The Commission instead relies on broad deference that opens a gaping hole in the federal regulatory structure. I cannot support a decision to jettison a cross-border regime that has not proven unreasonable, inflexible, or ineffective in favor of an approach that fails to address the most critical concerns that the Dodd-Frank Act directed the CFTC to address in favor of “more workable” solutions. As the Final Rule opts to address the conflicts of economic interest between the regulated and those who are advantaged by it by usurping Congressional (and congressionally delegated) authority to rethink section 2(i) of the Commodity Exchange Act (“CEA” or “Act”) via prescriptive rules, I must respectfully dissent.
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Supporting Statement Of CFTC Commissioner Brian Quintenz Regarding The Cross-Border Application Of The Registration Thresholds And Certain Requirements Applicable To SDs And MSPs – Final Rule
Date 23/07/2020
I am very pleased to support today’s final rule interpreting Congress’ statutory directive that the Commission may only regulate those foreign activities that “have a direct and significant connection with activities in, or effect on commerce, of the United States.” As I noted when I supported the proposal last December, Congress deliberately placed a clear and strong limitation on the CFTC’s extraterritorial reach, recognizing the need for international comity and deference in a global swaps market. Today’s rule provides important safeguards to the US financial markets in delineating which cross-border swap activity must be counted towards potential registration with the Commission, and which transactions should be subject to the CFTC’s business conduct requirements for swap dealers (SDs) and major swap participants (MSPs). At the same time, the final rule appropriately defers to foreign regulatory regimes to avoid duplicative regulation and disadvantaging U.S. institutions acting in foreign markets.
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Statement Of CFTC Chairman Heath P. Tarbert In Support Of Final Cross-Border Swap Rule
Date 23/07/2020
President John Adams once warned: “Great is the guilt of unnecessary war.” While he was obviously referring to military conflicts, his admonition applies to conflicts among nations more generally. Financial regulation has not been exempt from international discord.
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New Research: FINRA Foundation Examines Financial Capability Of Women Behind Bars - Study Highlights Grim Financial Challenges and Gender Disparities
Date 23/07/2020
New research from the FINRA Investor Education Foundation offers insights into the financial knowledge and habits of incarcerated women across multiple measures of financial capability and literacy, exposing the deep financial challenges facing women in prisons.
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Federal Reserve Board Announces Expansion Of Counterparties In The Term Asset-Backed Securities Loan Facility, Secondary Market Corporate Credit Facility, And Commercial Paper Funding Facility
Date 23/07/2020
The Federal Reserve Board on Thursday broadened the set of firms eligible to transact with and provide services in three emergency lending facilities. Encouraging a broader range of agents for the Term Asset-Backed Securities Loan Facility (TALF) and counterparties for the Commercial Paper Funding Facility (CPFF) and Secondary Market Corporate Credit Facility (SMCCF) will increase the Federal Reserve's operational capacity and insight into the respective markets.
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Refinitiv Introduces Sustainable Finance League Table Rankings Advancing Transparent Sustainability Insights For Financial Industry - Investment Banking Community To Benefit From Refinitiv Deals Intelligence Sustainable Finance League Tables – The First And Only Rankings To Combine Both Sustainable Products And Sustainable Companies Resulting In The Market’s Most Comprehensive Sustainable League Tables
Date 23/07/2020
Building on its commitment to connect and advance the global financial community through data and analytics, Refinitiv has launched Sustainable Finance League Tables through its Deals Intelligence solution. Serving as a pivotal data-metric in the development of sustainable insights, it measures new capital raising driving sustainable outcomes and ranks the investment banks underwriting such activity.
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EBA Consultation Paper On Draft RTS On Derivatives Indirect Exposures (EBA/CP/2020/14)
Date 23/07/2020
The European Banking Authority (EBA) launched today a consultation on draft regulatory technical standards (RTS) specifying how institutions should determine exposures arising from derivative and credit derivative contracts not entered directly into with a client but whose underlying debt or equity instrument was issued by a client. These draft RTS will ensure appropriate levels of consistency through different pieces of the regulatory framework for the calculation of exposures for large exposure purposes. The consultation runs until 23 October 2020.
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FEAS Report On Financial Literacy Survey 2019
Date 23/07/2020
Continuing to share FEAS Previous reports, this week FEAS is opening a Report On Financial Literacy Survey.
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EBA Publishes Guidelines On A Pragmatic And Flexible Approach To The 2020 Supervisory Review And Evaluation Process In Light Of The COVID-19 Pandemic
Date 23/07/2020
Following the publication of its statement on additional supervisory measures in relation to the COVID-19 pandemic, the European Banking Authority (EBA) published today Guidelines that make available to competent authorities a special procedure for the supervisory review and evaluation process (SREP) for the year 2020. The new Guidelines identify how flexibility and pragmatism could be exercised in relation to the SREP framework in the context of this pandemic.
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BIS: Inflation At Risk From Covid-19
Date 23/07/2020
Key takeaways
- The pandemic has increased downside tail risks in advanced economies (AEs), while it has increased both downside and upside tail risks in emerging market economies (EMEs).
- The collapse in output and oil prices, on balance, increases downside inflation risks.
- Recent exchange rate depreciations increase upside risks to inflation in EMEs.
- Tighter financial conditions raise both downside and upside risks. In AEs, the increase in downside risks is more prominent.
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