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Comment Letter to FSOC on Proposed Rules and Related Guidance on the Criteria for Designating Systemically Significant Nonbank Financial Institutions12.19.11
MFA submitted a comment letter to the Financial Stability Oversight Council regarding proposed rules to designate nonbank financial companies as […]
Topics: Financial Stability Oversight Council FSOC, systemically significant nonbank financial institution, enhanced regulation, systemic risk, investment advisor, Federal Reserve System, the Fed, transparency, hedge fund, private equity fund, stage 1 threshold, asset manager, personal capital, Counterparty, collateral, retail investor, diversified portfolio, inflation, holding company, interconnectedness, at-risk assets, Form PF, registration requirements, reporting requirements, regulatory requirements, total consolidated assets, net asset basis, investor capital at risk, gross assets, leverage threshold, net asset calculation, $50 billion threshold, consolidated balance sheet test, hedge fund adviser, investment advisory business, unitary balance sheet, multiple pools, hedge fund entities, leverage, credit default swaps, CDS, Trust and Clearing Corporation, Trade Information Warehouse, DTCC, TIW, master netting agreements, derivatives liabilities, liquid collateral, loans, bonds, repos, securities lending arrangements, collateralized borrowing/lending, secured borrowings, unsecured borrowings, short-term debt ratio metric, Bear Stearns, Lehman, Non-disclosure, California Department of Financial Institutions, Missouri Department of Insurance, financial institutions, and Professional Registration, National Credit Union Administration, Federal Insurance Office,