MFA submitted a comment letter to the CFTC in response to its notice of proposed rulemaking on Protection of Cleared […]
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Comment Letter to CFTC on Proposed Rules Governing Protection of Cleared Swap Customer Contracts and Collateral08.08.11
MFA submitted a comment letter to the CFTC in response to its notice of proposed rulemaking on Protection of Cleared […]
Topics: Commodity Futures Trading Commission CFTC, Protection of Cleared Swap Customer Contracts and Collateral, Commodity Broker Bankruptcy Provisions, Over-the-Counter, OTC, derivatives, transparency, reduce risk, swap markets, segregation of collateral, cleared swaps, liquidity, complete legal segregation model, collateral segregation, FCM, customer protections, legal segregation with recourse model, futures model, Full Physical Segregation, futures commission merchant, fellow customer risk, margin assets, central clearing, credit risk, overall financial condition, total equity, regulatory capital, net worth, counterparty risk management policy, proprietary margin requirements, customer margin requirements, illiquid financial products, pro rata, omnibus account, investment risk, position portability, cleared swap positions, transaction costs, knock-on effects, moral hazard, financial contagion, liens, netting, counterparty credit risk, margin management, cleared swap customer collateral, cross-product, multilateral, netting agreements, trading costs, margin obligations, commodity contract, commodity account, investment property, federal commodities law, foreign market, board of trade, exchange, commodity intermediary, book-entry account, risk costs,