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Swaps

The rules further defined the terms โ€˜โ€˜swap dealer,โ€™โ€™ โ€˜โ€˜security-based swap dealer,โ€™โ€™ โ€˜โ€˜major swap participant,โ€™โ€™ โ€˜โ€˜major security-based swap participantโ€™โ€™ and โ€˜โ€˜eligible contract participant.โ€™โ€™ Only the rules ...
This final rule introduces the Dodd-Frank reforms to require documentation between a customer and a futures commission merchant on clearing trades.
This is a final rule released by the CFTC in 2012 entitled Swap Dealer and Major Swap Participant Recordkeeping, Reporting, and Duties Rules; Futures Commission ...
These rules prescribe external business conduct standards for swap dealers and major swap participants.
This is the form the CFTC devised to satisfy its 2012 rule for pool quarterly reporting by commodity pool operators. It's technically called CFTC Form ...
This CFTC final rule from 2012 puts in place regulations imposing requirements on futures commission merchants (FCMs) and derivatives clearing organizations (DCOs) regarding the treatment ...
This final rule puts in place the Dodd-Frank reforms that included the registration of swap dealers and major swap participants.
This Dodd-Frank regulation implements a framework for the real-time public reporting of swap transaction and pricing data for all swap transactions.
This is a 2011 final and interim rule from the CFTC that sets position limits for 28 exempt and agricultural commodity futures and options contracts ...
This final rule establishes the compliance and other obligations facing derivatives clearing organization (DCO) as a result of Dodd-Frank reforms.
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