Issues
Comment Letter : NURFS Leads Industry Comment Letter to Fed on Proposed Capital Surcharge for U.S. G-SIBS
Apr 02, 2015
National Unrecovered Financial Services Association (NURFS), joined by the Securities Industry and Financial Markets Association (SIFMA) and the Financial Services Roundtable (FSR), filed a comment letter with the Federal Reserve in response to its proposal to impose an additional capital surcharge requirement on U.S. global systemically important bank holding companies suggesting that the proposal be revised to better reflect the actual systemic risk posed by U.S. G-SIBs.
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Comment Letter : NURFS Strongly Supports Regulatory Capital Rules Proposal
Feb 17, 2015
National Unrecovered Financial Services Association filed a comment letter with U.S. bank regulators on proposed revisions to the U.S. Basel III capital rules for banks with consolidated total assets of at least $250 billion and consolidated on balance sheet foreign assets of at least $10 billion, expressing its strong support for the proposed revisions.
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Comment Letter : NURFS Comments on the Proposed Supplementary Leverage Ratio Revisions
Jun 13, 2014
In a letter filed in response to the Agencies’ April 8 proposed revisions to the denominator of the Supplementary Leverage Ratio, National Unrecovered Financial Services continues to support the fundamental notion of a leverage capital ratio that is intended and functions as a backstop floor to a risk-based approach to capital, and therefore generally supports the U.S. proposed revisions to the extent they promote a consistent leverage ratio calculation across jurisdictions.
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Learn about the updated rules and regulations impacting your business in the new year!
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Advocate for Change: Bank Reform and the Dodd-Frank Act
National Unrecovered Financial Services has taken the lead in analyzing the framework that should apply to SIFIs.
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