Mondo Visione Worldwide Financial Markets Intelligence

FTSE Mondo Visione Exchanges Index:

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  • Toronto Stock Exchange, TSX Venture Exchange, TSX Alpha Exchange And MontrĂ©al Exchange Closed For Canada Day

    Date 25/06/2020

    Toronto Stock Exchange, TSX Venture Exchange, TSX Alpha Exchange and Montréal Exchange will be closed on Wednesday, July 1, 2020, for the Canada Day holiday.

  • Statement Of SEC Commissioner Allison Herren Lee On The Final Rules Continuing The Repeal Of Volcker

    Date 25/06/2020

    A lot has happened since these final rules were proposed in late January of this year. America is in the midst of an economic crisis the scope and severity of which are “without modern precedent.” Large financial institutions have seen profits plummet from 40% to 89% compared to the same period last year as they brace for enormous losses in their loan portfolios. The impact on private funds—such as the venture capital and credit funds that today’s rule opens to the nation’s banks—is as yet unclear.

  • US Federal Agencies Finalize Amendments To Swap Margin Rule

    Date 25/06/2020

    Five federal agencies have finalized changes to their swap margin rule to facilitate the implementation of prudent risk management strategies at banks and other entities with significant swap activities.


  • Statement Of Support By CFTC Commissioner Brian Quintenz Regarding The Exemption From The Swap Clearing Requirement For Certain Affiliated Entities

    Date 25/06/2020

    I support today’s final rule providing legal certainty to swap counterparties electing the inter-affiliate exemption from the Commission’s requirement that certain interest rate swaps and credit default swaps be cleared.  At issue is an important condition of the exemption that reduces the likelihood that uncollateralized exposures can build up at a U.S. swap participant.  I support the policy, made permanent by today’s rule, that permits variation margin to be exchanged by affiliated counterparties in lieu of clearing swaps with foreign counterparties.  This provision appropriately balances an anti-evasionary measure with providing flexibility to market participants.  The provision has functioned well since 2013, and it is appropriate to make the provision permanent after several extensions of the no-action relief.

  • Concurring Statement Of CFTC Commissioner Rostin Behnam Regarding Exemption From The Swap Clearing Requirement For Certain Affiliated Entities—Alternative Compliance Frameworks For Anti-Evasionary Measures

    Date 25/06/2020

    I support today’s adoption of amendments to the exemption from the swap clearing requirement for certain affiliated entities within a corporate group.  The amendments that update the conditions for the exemption incorporate several years of observation and analysis to build upon its utility within the global regulatory landscape, while affirming the Commission’s appropriate use of its public interest authority under section 4(c) of the Commodity Exchange Act.  It can be tempting to use somewhat fluid and undeniably desirable objectives such as the promotion of responsible economic and financial innovation and fair competition to support all manner of regulatory changes.  And I have not hesitated to highlight my own concerns for the imprudent use of 4(c) exemptive authority.  However, I am pleased that when it comes to the risks associated with U.S firms entering into uncleared swaps with non-U.S. affiliates or evading the clearing requirement altogether, the Commission has consistently demonstrated that its reliance on the 4(c) authority provides the checks to ensure that the policy and outcomes remain legally sound and rational.