Comment Text:
Attached are the International Swaps and Derivatives Association, Inc.’s comments on the Joint SEC/CFTC Proposed Rule: Further Definition of “Swap Dealer,” “Security-Based Swap Dealer,’’ “Major Swap Participant,” “Major Security-Based Swap Participant’’ and “Eligible Contract Participant.”
Please let us know if you have any questions.
Chris Young
Director of U.S. Public Policy
International Swaps and Derivatives Association, Inc.
1101 Pennsylvania Avenue, NW
Suite 600
Washington, DC 20004
(o) 202.756.7543
(c) 703.509.0008
[email protected]