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Capital and Margin Requirements for Covered Swap Entities

On behalf of Scott Goebel, Senior Vice President and General Counsel, Fidelity Management & Research Company, please find attached our comment letter on RIN 3052-AC69; "Margin and Capital Requirements for Covered Swap Entities".
Thank you.
Michelle Beadle
Assistant to Scott Goebel
Fidelity Legal Department
P:  (617) 563-7762   V10E
F:  (617) 385-1026

Caution: This e-mail, and any attachments hereto, are intended for use by the addressee(s) only and may contain information that is (i) protected by the attorney-client privilege, (ii) attorney work product, (iii) confidential information of FMR LLC and/or its affiliates and/or subsidiaries, and/or (iv) proprietary information of FMR LLC and/or its affiliates and/or subsidiaries. If you are not the intended recipient of this e-mail, or if you have otherwise received this e-mail in error, please immediately notify me by telephone (you may call collect 617-563-7762), or by e-mail, and please permanently delete the original, any print outs and any copies of the foregoing. Any dissemination, distribution or copying of this e-mail is strictly prohibited.  Michelle Beadle, FMR LLC Legal Department.
  Comments_on_Margin_and_Capital_Requirements_for_Covered_Swaps_Entites.pdf - Comments_on_Margin_and_Capital_Requirements_for_Covered_Swaps_Entites.pdf