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Comment for Proposed Rule 77 FR 41213

  • From: Lee Nowell
    Organization(s):

    Comment No: 58521
    Date: 8/27/2012

    Comment Text:

    Hello. I'm very concerned that the Dodd-Frank derivatives rules proposal contains loopholes which would weaken it significantly. Considering the financial debacle we just went through, it seems that we should be extremely prudent and careful in how future regulations are worded, in order to guard against future financial catastrophes.

    Effective oversight of the $700 trillion global derivatives market is a key to meaningful reform. Because this market is inherently global, risks can be transferred around the world with the touch of a button. The proposed guidance you have issued on cross-border application of Dodd-Frank derivatives rules shows that you understand the importance of this issue. But the proposal contains multiple loopholes that could allow foreign affiliates of Wall Street banks to escape regulation. Big U.S. banks and other major U.S. derivatives users are global corporations with hundreds if not thousands of foreign affiliates. If we don’t regulate them everywhere, we can’t regulate them anywhere. Please make this guidance stronger to ensure that new Dodd-Frank derivatives protections will directly apply to the full global activities of all important participants in the U.S. derivatives markets.

    Thank you.

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