MFA, along with several other financial services trade associations, filed a joint comment letter in response to the Office of […]
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Comment Letter Responding to OFR’s Policy Statement and Request for Comments on a Uniform System of Legal Entity Identification for Financial Contracts01.31.11
MFA, along with several other financial services trade associations, filed a joint comment letter in response to the Office of […]
Topics: Clearing House Association L.L.C. TCH, Enterprise Data Management Council, EDM Council, Financial Services Roundtable, FSR, Futures Industry Association, FIA, International Swaps and Derivatives Association, Inc., ISDA, Investment Company Institute, ICI, Managed Funds Association, MFA, Securities Industry and Financial Markets Association, SIFMA, Department of the Treasury's Legal Entity Identification for Financial Contracts, LEI Statement, Office of Financial Research, OFR, systemic risk, counterparty risk, LEI Working Group, Self-Registration Model, U.S. Securities and Exchange Commission, Large-Trader Reporting System, LTRS, Consolidated Audit Trail System, CATS, Swap Data Recordkeeping Rules, Swap Data Repository Rules, Swap Transactions, Account Ownership, flash crash, Linchpin Report, Market Abuse, Europe, Asia, US-Based Parent Companies, Foreign Parent Companies, US Financial Institution Susbsidiaries, American National Standards Institute (ANSI) Essential Requirements, Legal Domicile, Systemically Significant Entities,