ARTICLE
28 November 2016

CFTC Provides Extension Of Reporting Relief For Non-U.S. Swap Dealers And Participants

HL
Hogan Lovells Cadwalader

Contributor

Hogan Lovells Cadwalader is a global law firm trusted by clients to deliver on complex, high-stakes matters.

Operating at the intersection of business, finance, and government, we bring an unwavering commitment to client service and the decisive counsel that helps clients achieve exceptional results.

Consistently recognized for innovation across legal services, we combine sharp judgment with deep commercial perspective and intellectual rigor to address critical, cutting-edge challenges.

With 3,100 lawyers worldwide, we offer global scale with strong local insight in the markets that matter most. Our commitment extends beyond client work through pro bono activities, community investment, and responsible business practices.

The CFTC Division of Market Oversight issued a time-limited extension of No-Action Letter No. 15-51.
United States Finance and Banking
Hogan Lovells Cadwalader are most popular:
  • within Intellectual Property, Government, Public Sector, Food, Drugs, Healthcare and Life Sciences topic(s)
  • with readers working within the Consumer Industries industries

The CFTC Division of Market Oversight issued a time-limited extension of No-Action Letter No. 15-51. This letter provides relief from the SDR reporting rules to the CFTC-registered swap dealers ("SDs") and major swap participants ("MSPs") that were established in Australia, Canada, the European Union, Japan or Switzerland and are not part of an affiliated group in which the ultimate parent entity is U.S.-based.

The relief will expire on the earlier of (i) 30 days following the issuance of a comparability determination by the CFTC for the jurisdiction in which the non-U.S. SD or non-U.S. MSP is established, or (ii) December 1, 2017.

Commentary / Nihal Patel

This relief had been widely expected, but, as with the extensions granted in 2014 and 2015, this extension was not issued until shortly before the expiration of the previous relief. It remains to be seen how the CFTC will address substituted compliance for these swap dealers and participants under new CFTC leadership in 2017.

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.

[View Source]

Mondaq uses cookies on this website. By using our website you agree to our use of cookies as set out in our Privacy Policy.

Learn More