MFA submitted a comment letter to the SEC on its proposed rule and proposed interpretation on Registration and Regulation of […]
MFA submitted a comment letter to the SEC on Regulation SBSR Reporting and Dissemination of Security-Based Swap Information. In our […]
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Comment Letter on Proposed Rule and Interpretation on Registration and Regulation of Security Based Swap Execution Facilities04.04.11
MFA submitted a comment letter to the SEC on its proposed rule and proposed interpretation on Registration and Regulation of […]
Topics: Interpretation on Registration and Regulation Security-Based Swap Execution Facilities, Securities and Exchange Commission, SB SEF, SB Swaps, security-based swaps, available to trade, request for quote, RFQ, liquidity, block trades, "one participant to one participant" transactions, eligible contract participant, Security-Based Swap Dealer, SB Swap Dealer, Major Security-Based Swap Participant, major SB swap participant, clearing exception, Over-the-Counter, OTC, OTC market, baseline trading threshold, minimum liquidity threshold, exchange execution threshold, swap review committee, price transparency, chief compliance officer, regulatory oversight committee, execution models, national securities exchange, flexibility, liquid SB swaps, regulatory framework, RFQ mechanism, multiple-to-multiple, pre-trade transparency, quote-requester, CFTC, Commodity Futures Trading Commission, Swap Execution Facility, SEF, composite indicative quote, pre-transaction transparency, confidentiality, front running, post-trade reporting, swap data repository, SDR, print facility, permitted transactions, distribution test, social size multiple test, Regulation SBSR, size-plus approach, eligible fixed income securities, Trade Reporting and Compliance Engine, TRACE, Financial Industry Regulatory Authority, FINRA, ECP, counterparty credit risk, mandatory clearing, financial integrity standard,