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Ex Parte Meeting for Proposed Rule 75 FR 80174

  • Title:
    Definitions Meeting with CalSTRS

    Ex Parte No: 157
    Date: 4/15/2011

    Meeting Date:

    Friday, April 15, 2011

    CFTC Staff:

    Gary Gensler
    Sarah Josephson
    Dan Berkovitz
    John Riley
    Mark Fajfar
    Frank Fisanich

    Organization(s):

    California State Teachers’ Retirement System (CalSTRS)
    Covington & Burling

    External Attendees:

    Anne Sheehan (CalSTRS)
    Brian Bartow (CalSTRS)
    David Castillo (CalSTRS)
    Amy Moore  (Covington & Burling)
    Bruce Bennett (Covington & Burling)

    Additional Information:

    The meeting discussed the potential application of the major swap participant (MSP) definition to the California State Teachers’ Retirement System (CalSTRS).  CalSTRS requested that the final rule clarify that a pension system’s obligations to its pension beneficiaries are not included in determining if the system is “highly leveraged” for purposes of the MSP test, or the test should compare the system’s liabilities to its assets (not equity) to determine if it is “highly leveraged.”  CalSTRS is also concerned that any exemptions or elaborations on the MSP test will apply to all pension plans (using the same terms as the statute), rather than being limited to, e.g., “Title I ERISA” plans, since some pension plans such as CalSTRS are not so qualified.  CalSTRS is also concerned that swap dealers will require counterparties such as CalSTRS to run the MSP tests in order to certify that they are not MSPs, even when it is readily evident that the counterparty does not have swap positions that would cause them to be MSPs.

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