MFA submitted comments to the CFTC in response to the CFTC and SECs request for comments on a study mandated […]
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Comment Letter Responding to CFTC and SEC on a Study of the Feasibility of Requiring the Derivatives Industry to Adopt Standardized Computer-Readable Algorithmic Descriptions12.31.10
MFA submitted comments to the CFTC in response to the CFTC and SECs request for comments on a study mandated […]
Topics: Securities and Exchange Commission SEC, Commodity Futures Trading Commission, CFTC, transparency, systemic risk, derivatives, OTC derivatives, Standardized Computer Readable Descriptions, algorithms, Ontologies, Algorithmic Descriptions, confirmation, Messaging, valuation, Swap Terms, duration, Upfront Amount, Indexed Rate, trading, settlement, Maintenance of Derivatives Trades, Net Exposures to Complex Derivatives, Computerized Analysis, Internal Valuation Models, Vanilla Interest Rate Swaps, Market Interest Rate Curves, Electronic Platforms, trade repositories, Bilateral OTC Derivative Transaction, Collateral Requirements, Master Confirmation Agreement, Electronic Confirmation, Standardized Derivatives,