We should not then be surprised that the two agencies have proposed inconsistent approaches to the same rule sets.
While the Dodd-Frank Act missed a great opportunity, in my opinion, to merge the SEC and Commodity Futures Trading Commission and stop the b...
We should not then be surprised when the two agencies propose inconsistent approaches to the same rule sets.
While I applaud the SEC for taking a more flexible approach relative to CFTC, both agencies need to make their rules more accommodative of t...
So if I were to look at two of the important issues related to end users, one, their ability to have a customized product, and two, the impa...
And if that is the case, I believe, and I do not want to speak for him, but I believe Mr. Edmonds in the first panel indicated that that inc...
it seems to me like we are raising the cost of capital and reducing the availability of capital for very little benefit.
And you would agree, also, Mr. Duffy, though, that it will undoubtedly drive up the cost of these transactions?
From my perspective, and I do not propose that I am anywhere close to the expert that you or the others on the panel are to these regulation...
I remain concerned that the mandatory clearing requirement could force clearinghouses to take on risk that is not adequately understood or m...
I would say for the market as a whole.