ARTICLE
2 January 2020

Federal Register: CFTC Acts On Inter-Affiliate Swaps Clearing

HL
Hogan Lovells Cadwalader

Contributor

Hogan Lovells Cadwalader is a global law firm trusted by clients to deliver on complex, high-stakes matters.

Operating at the intersection of business, finance, and government, we bring an unwavering commitment to client service and the decisive counsel that helps clients achieve exceptional results.

Consistently recognized for innovation across legal services, we combine sharp judgment with deep commercial perspective and intellectual rigor to address critical, cutting-edge challenges.

With 3,100 lawyers worldwide, we offer global scale with strong local insight in the markets that matter most. Our commitment extends beyond client work through pro bono activities, community investment, and responsible business practices.

The CFTC proposal to implement an alternative compliance framework for the inter-affiliate swaps clearing exemption was published in the Federal Register.
United States Finance and Banking
Hogan Lovells Cadwalader are most popular:
  • within Intellectual Property, International Law, Litigation and Mediation & Arbitration topic(s)

The CFTC proposal to implement an alternative compliance framework for the inter-affiliate swaps clearing exemption was published in the Federal Register. Comments on the proposal must be submitted by February 21, 2020.

As previously covered, the CFTC unanimously approved a proposal that would implement an alternative compliance framework for the inter-affiliate swaps clearing exemption. According to the CFTC, the proposal would amend CFTC Rule 50.52 to "reinstate the expired alternative compliance frameworks for the inter-affiliate swaps clearing exemption, with minor revisions to reflect the current variation margining practices of affiliated counterparties electing the exemption." The CFTC indicated that the proposal would (i) codify staff no-action letters providing exceptions and (ii) offer the two alternative compliance frameworks to associated entities permanently.

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.

[View Source]
See More Popular Content From

Mondaq uses cookies on this website. By using our website you agree to our use of cookies as set out in our Privacy Policy.

Learn More