Home About FCA News & Events Reports & Publications Law & Regulations Exam Guidance FCS Information FCA Logo

Return to Public CommentsPrevious PagePrevious Comment LetterNext Comment LetterNext Page

Capital and Margin Requirements for Covered Swap Entities

Regarding: RIN 3052-AC69

On behalf of our client, National Rural Utilities Cooperative Finance Cooperation, please accept the attached comment letter and exhibit for submission.

Best Regards,                                                                                                                                                                                                     
Tahmineh I. Maloney

Tahmineh Maloney*

Hogan Lovells US LLP
Columbia Square
555 Thirteenth Street, NW
Washington, DC 20004
Tel:+1 202 637 5600
Direct:+1 202 637 6559
Fax:+1 202 637 5910
*Admitted only in New York

Please consider the environment before printing this e-mail.




About Hogan Lovells
Hogan Lovells is an international legal practice that includes Hogan Lovells US LLP and Hogan Lovells International LLP. For more information, see www.hoganlovells.com.

CONFIDENTIALITY. This email and any attachments are confidential, except where the email states it can be disclosed; it may also be privileged. If received in error, please do not disclose the contents to anyone, but notify the sender by return email and delete this email (and any attachments) from your system.
CFC Coop Exemption Banking Agencies Letter of 08022012.pdf - CFC Coop Exemption Banking Agencies Letter of 08022012.pdfExhibit 1 to August 1 2012 letter from CFC to Agencies.pdf - Exhibit 1 to August 1 2012 letter from CFC to Agencies.pdf