Agencies finalize rule exempting certain commercial and financial end users from initial and variation margin requirements
Board of Governors of the Federal Reserve System Office of the Comptroller of the Currency Federal Deposit Insurance Corporation Federal Housing Finance Agency Farm Credit Administration
For release at 4:00 p.m. EDT
August 1, 2016
In a separate rulemaking published in November 2015, the Federal Reserve Board, the Office of the Comptroller of the Currency, the Federal Deposit Insurance Corporation, the Federal Housing Finance Agency, and the Farm Credit Administration established initial and variation margin requirements for non-cleared swaps, as required by the Dodd-Frank Wall Street Reform and Consumer Protection Act.
The final rule being announced today exempts from the agencies' margin requirements the non-cleared swaps of commercial end users, small banks, savings associations, Farm Credit System institutions, and credit unions with $10 billion or less in total assets. Additionally, the non-cleared swaps of certain treasury affiliates, certain financial cooperatives, and captive finance companies also are exempted from the agencies' margin requirements. In all cases, the non-cleared swaps must hedge or mitigate commercial risk of these counterparties and satisfy the rule's requirements for an exemption from mandatory clearing.
The final rule implements a law passed by the U.S. Congress in January 2015.
| Media Contacts: | ||
| FCA | Christine Quinn | 703-883-4056 |
| FDIC | Greg Hernandez | 202-898-6984 |
| FHFA | Stefanie Johnson | 202-649-3030 |
| Federal Reserve Board | Eric Kollig | 202-452-2955 |
| OCC | Stephanie Collins | 202-649-6870 |
Legal Disclaimer:
EIN Presswire provides this news content "as is" without warranty of any kind. We do not accept any responsibility or liability for the accuracy, content, images, videos, licenses, completeness, legality, or reliability of the information contained in this article. If you have any complaints or copyright issues related to this article, kindly contact the author above.