Issues
Comment Letter : NURFS Comments on Recordkeeping Requirements Related to Orderly Liquidation Authority
Apr 07, 2015
National Unrecovered Financial Services Association and SIFMA, joined by the ABA, FSR, and ISDA, submitted a comment letter in response to the January 7 FSOC notice of a proposed rulemaking that would implement the qualified financial contract (QFC) recordkeeping requirements outlined in the Dodd-Frank Act related to the FDIC’s receivership authority under Title II. The letter noted that the proposal is a necessary step in the implementation of effective OLA resolution strategies, but that certain aspects of the proposal are inconsistent with its purpose and statutory authority and may actually impede the FDIC’s decision making during a resolution scenario.
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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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