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CSFME Encourages Fordham Students to Let Their Voices Be Heard

In a web based meeting today, CSFME’s Executive Director Ed Blount and Senior Policy Analyst David Schwartz met with a group of Fordham University’s graduate and undergraduate business students to invite them to participate in the real world of regulatory policy. The focus of this meeting was the Financial Stability Board’s recent proposal regarding the “Assessment Methodologies for Identifying Non-Bank Non-Insurer Global SIFIs.” After a brief discussion of some of the goals of the FSB’s proposal and some the most provocative issues raised by the consultative document, Messrs. Blount and Schwartz challenged the students to research and formulate their own positions on the consultative document with an eye on submitting formal comment letters to the FSB.

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FSB Extends SIFI Framework to Certain Non-Banks

Creating a system of enhanced monitoring of systematic risk and supervision of systematically important financial institutions (SIFIs) is a key objective of global regulatory reform in the aftermath of the financial crisis. Having established criteria for determining the SIFI players in the banking and insurance sectors, the FSB and IOSCO have moved on to determining which non-banks and non-insurance companies may be considered SIFIs. In a January 8, 2014 consultative document, the FSB and IOSCO proposed a methodology for the identification of nonbank, noninsurance financial institutions (NBNI) that pose systemic risks to the global economy. The consultation document extends the framework already established to identify bank and insurance company SIFIs to all other financial entities.

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European Commission Release: Establishing a Central Database for Secured Financing Transactions

On January 29, 2014, the European Commission issued its long awaited proposal for the establishment of a central database for Secured Financing Transactions. This release is a part of a larger regulatory effort aimed at increasing the transparency of certain transactions in the shadow banking sector and to prevent regulatory arbitrage. The proposal aims to increase transparency in secured financing transactions, a term which is defined broadly to include repo, reverse repo, tri-party repo, securities lending transactions as well as total return swaps, collateral swaps and buy-sell transactions.

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FSOC May Seek Better Regulation in Lieu of SIFI Designation for Asset Management Industry

In an apparent reaction to strong criticism from legislators, asset management industry groups, and even the Securities and Exchange Commission, the Financial Stability Oversight Counsel (FSOC) has indicated that it may encourage stronger regulation of the asset management industry, rather than designating certain industry participants as SIFIs. In the FSOC’s press release for its July 31, 2014 meeting, the Council indicated that it was encouraged by the new money market rules finalized by the SEC one week prior, and would take a step back to observe their effectiveness before moving forward with implementation of SIFI designations for asset managers and mutual fund groups.

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Economic Recovery: Why Now, Will it Last, and What Next for Policy?

Last month in an address before the Confederation of British Industry (CBI) East of England Midwinter Lunch, Spencer Dale, Executive Director for Monetary Policy and Chief Economist at the Bank of England, touched on three questions about the economic recovery that we would all like to have answered: “why now, will it last, and what next for policy?” 

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Basel Issues Revisions to Its Securitization Framework

The Bank for International Settlements has issued a second consultative paper on revisions to the Basel securitization framework. Following on their December 2012 proposal paper, this December 19, 2013 paper comprises a detailed set of proposals, including draft standards text, for a comprehensive revision of the treatment of securitisation within the risk-based capital framework.

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IOSCO Releases Regulatory “Toolkit” for Retail Structured Products

On December 30, 2013, the International Organization of Securities Commissions (IOSCO) published the final report on Regulation of Retail Structured Products, which provides a toolkit outlining regulatory options that securities regulators may find useful to regulate retail structured products. The toolkit was developed in response to to concerns from IOSCO members about the regulatory challenges these products pose, especially investor protection. In the aftermath of the Lehman bankruptcy, a number of regulatory approaches have been proposedto end irresponsible selling practices, rebuild investor confidence, improve overall transparency, and simplify unnecessary complexity.

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Board Approval Required to Take Advantage of Swaps End-User Exception

In their latest client memo, the Blank Rome law firm alerts directors and trustees of financial firms about their role in new swaps regulations. In particular, the firm puts public companies on notice that their boards must take action in order to take advantage of the CFTC’s end-user exception. The end-user exception for swaps frees certain swaps transactions from the new requirement that all swaps be centrally cleared.

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