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Capital and Margin Requirements for Covered Swap Entities


Please see the attached comments submitted on behalf of the Federal Home Loan Banks in response to the Proposed Margin and Capital Requirements for Covered Swap Entities, RIN 3052-AC69.

Regards,
Ray Ramirez
Ray Ramirez | Associate



Sutherland Asbill & Brennan LLP
1275 Pennsylvania Avenue NW | Washington, DC 20004-2415
202.383.0868 direct | 202.637.3593 facsimile
ray.ramirez@sutherland.com | www.sutherland.com
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FHLBank Follow-up Comment Letter -- Prudential Regulators Proposed Rules -- Capital and Margin Requirements.pdf - FHLBank Follow-up Comment Letter -- Prudential Regulators Proposed Rules -- Capital and Margin Requirements.pdf