MFA submitted a comment letter to the SEC, CFTC, and the banking agencies in response to the agencies proposed Volcker […]
MFA submits supplemental letter to Treasury/IRS on the application of section 4965 to tax-exempt organizations that are passive investors in […]
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MFA Submits Comments to Regulators on Proposed Volcker Rule02.13.12
MFA submitted a comment letter to the SEC, CFTC, and the banking agencies in response to the agencies proposed Volcker […]
Topics: Federal Reserve System Federal Deposit Insurance Corp., FDIC, Office of the Comptroller of the Currency, Securities and Exchange Commission, SEC, Commodity Futures Trading Commission, CFTC, proprietary trading, hedge funds, private equity funds, banking entities, private investment funds, Volcker Rule, market making, distribution activities, non-banking entities, customers, counterparties, banks, broker-dealer, third-party private investment funds, liquidity, hedging activities, illiquid instruments, fixed income instruments, derivatives, structured products, institutional customers, imperfect hedges, perfect hedged position, offshore covered funds, Senator Jeff Merkley, U.S. non-bank managers, offshore funds, foreign banks, U.S. tax-exempt investors, Offshore Exemption, ownership interest, management fee, carried interest, pension plans, endowments, equity, partnership, general partnership interest, limited partnership interest, membership interest, non-U.S. general partner entity, 25% limit, benefit plan investors, prohibited transaction, Japanese Banker Association,