MFA submitted a comment letter to the CFTC in response to its advanced notice of proposed rulemaking on protection of […]
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Comment Letter Responding to CFTC’s Advanced Notice of Proposed Rulemaking on Protection of Collateral Posted by Customers Clearing Swaps01.18.11
MFA submitted a comment letter to the CFTC in response to its advanced notice of proposed rulemaking on protection of […]
Topics: Protection of Cleared Swap Customers Commodity Broker Bankruptcies, Commodity Futures Trading Commission, CFTC, ANOPR, over-the-counter derivatives, OTC derivatives, collateral, futures commission merchant, Depository Institution, derivatives clearing organization, DCO, Full Physical Segregation, Model 1, Legal Segregation with Commingling, Model 2, Moving Customers to the Back of the Waterfall, Model 3, Baseline Model, Model 4, futures, FCM, Collateral Portability, Douoble Default, credit risk, fellow customer risk, omnibus customer accounts, Physical Comingling, Legal Segregation, custodian, lien, Aggregate Reserves, default waterfall, Guaranty Fund, margin requirements, Guarantee Fund Requirements, Futures Segregation, Regime, Non-Defaulting Customer Collateral, dealers, clearinghouses, OTC Swap Markets, moral hazard, due diligence,