Comment Text:
Please find attached comments of the American Insurance Association in response to the joint proposed rules in part defining “swap” and “securities-based swap” and excluding insurance products from those definitions. An identical submission was sent via e-mail to the SEC.
If you cannot open the attached PDF file, please let me know.
Respectfully submitted,
J. Stephen ("Stef") Zielezienski
Senior Vice President & General Counsel
American Insurance Association
2101 L Street, N.W.
Suite 400
Washington, DC 20037