|
On November 14, 2013, DSIO issued an Advisory (DSIO Advisory) in response to inquiries from swap market participants regarding the applicability of the CFTC’s Transaction-Level Requirements in certain situations. Subsequent to the issuance of the DSIO Advisory, concerns were raised by certain Non-U.S. SDs regarding compliance with the Transaction-Level Requirements, who represented that, in order to avoid market disruption for their non-US counterparties, additional time would be necessary to come into compliance.
The letter issued today by the Divisions will provide no-action relief to non-US SDs until January 14, 2014, subject to the limitations set forth in the letter.