Capital and Margin Requirements for Covered Swap Entities
Attached is a letter from the American Bankers Association (ABA), ABA Securities Association (ABASA), Investment Company Institute(ICI) and Financial Services Roundtable (Roundtable)requesting extension of the comment period for the proposed rulemaking by the Office of the Comptroller of the Currency, the Board of Governors of the Federal Reserve System, and the Federal Deposit Insurance Corporation (together, the Prudential Regulators) on the capital and margin requirements for covered swap entities.
If you have any questions about this submission, please contact the undersigned.
Diana L. Preston
Deputy General Counsel, ABASA
Center for Securities, Trust & Investments, ABA
We are sending you this e-mail primarily for your information, to meet
your needs and further our valued relationship. If you prefer not to
receive any further messages from us, just reply to this e-mail and let
us know. Thanks.
American Bankers Association 1120 Conn. Ave NW Wash DC 20036