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Capital and Margin Requirements for Covered Swap Entities


On behalf of MasterCard Worldwide, I have attached a comment letter on the proposed rule regarding Margin and Capital Requirements for Covered Swap Entities.

Joel D. Feinberg
Sidley Austin LLP
1501 K Street, N.W.
Washington, D.C.  20005
Ph:  (202) 736-8473
Fax:  (202) 736-8711

 
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that, unless expressly stated otherwise, any U.S. federal tax advice contained in this
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with the promotion or marketing by others of the transaction(s) or matter(s) addressed in this
communication and (ii) the taxpayer should seek advice based on the taxpayer's particular
circumstances from an independent tax advisor.
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Agency ltr.pdf - Agency ltr.pdf