Helping Market Participants Understand and Monitor Dodd-Frank

Similar documents
Dodd-Frank Progress Report

Dodd-Frank Progress Report June Generated using the Davis Polk Regulatory Tracker

Dodd-Frank Progress Report

Dodd-Frank Progress Report

Dodd-Frank Progress Report

Impact on End Users of Swaps

E-ALERT Dodd-Frank Act

CFTC Harmonization Rules

Westpac Corporate Lending Portal

Public Finance Client Alert

Dodd Frank Update: Impact on Gas & Power Transactions

Dodd-Frank Progress Report

Prepared for distribution at the HEDGE FUND MANAGEMENT 2014 Program New York City and Live Webcast September 11

SEC Adopts Amendments to Regulation SBSR

CFTC s and U.S. Prudential Regulators Margin and Segregation Rules for Uncleared Swaps Definition of Financial End User

Scott Brindley Principal Consultant ACA Compliance Group. Cary J. Meer Partner K&L Gates LLP

K&L GATES LLP 2013 NEW YORK INVESTMENT MANAGEMENT CONFERENCE

CFTC Adopts Final Harmonization Rules for Commodity Pool Operators

Project KISS: Looking Forward to the Future of the CFTC Rita M. Molesworth

Regulatory Practice Letter August 2014 RPL 14-11

CFTC Issues Final Order Granting Temporary Relief from Dodd-Frank Swaps Regulation

The Final Municipal Advisor Rule: Navigating the Minefield

Investment Management Alert

Futures & Derivatives Law

BLOOMBERG LAW: CORPORATE TRANSACTIONS

Client Alert July 3, 2014

Walid Khuri, Robert M. McLauglin, David S. Mitchell and David W. Selden

Dodd-Frank Progress Report. Generated using the Davis Polk Regulatory Tracker

SEC and CFTC Finalize Swap Product Definitions: The Title VII Swap Countdown Begins

ADOPTING THE AUGUST 2012 ISDA PROTOCOL FOR DODD FRANK SWAP REQUIREMENTS

The Future of Managed Futures Funds

Dodd-Frank Progress Report December Generated using the Davis Polk Regulatory Tracker

DERIVATIVES. Westlaw Journal

CFTC Part 4 Exemption Easy Reference Guide. Click on the exemption type for more information on how to file and requirements for each exemption.

The CFTC Adopts Final Rules on the Recordkeeping and Reporting of Historical Swaps

Roadmap of change for tax professionals

July 16, Key Takeaways: Contents

The road to reform. Helping commercial end users of OTC derivatives comply with Dodd-Frank s Title VII

GlobalNote October 2012

ADVISORY Dodd-Frank Act

Direct and Significant Connections: CFTC Provides Guidance on Extraterritoriality

Proposed Amendments to the Volcker Rule Regulations June 18, 2018

Representative Frank Releases Discussion Draft for Over-the-Counter Derivatives Reform

Account Ownership & Control Reporting

the Trust Indenture Act of 1939 for those security-based swaps that prior to July 16, 2011 were

CFTC Rescinds Widely Used Private Fund Manager Exemption from Commodity Pool Operator Registration, but Retains De Minimis Exemption

SEC Releases Final Section 16 Reporting Rules

MEMORANDUM December 13, 2018 Page 1 of 9

Mandatory Exchange Trading for Swaps to Begin February 18, 2014

Latham & Watkins Corporate Department

Fund Managers Alert: CFTC Rescinds Exemptions and Expands its Regulations

Time-Limited No-Action Relief for Agents from the Post-Allocation Swap Timing Requirement of 45.3(e)(ii)(A) of the Commission s Regulations

Dodd-Frank Title VII: Three Years Out, Still Buyer Beware

Exemptions from CFTC Registration. 27 June 2016

CFTC and SEC Issue Final Swap-Related Rules Under Title VII of Dodd-Frank

PRACTICAL IMPLICATIONS

The Financial Platform Built for now DESKTOP WEB MOBILE

Lance A. Zinman. Partner West Monroe Street Chicago, IL Practices

CFTC Adopts Rules Establishing Swap Reporting Regime

SEC Adopts Rules Related to Executive Compensation and Corporate Governance Disclosure

Client Alert. CFTC Issues a Flurry of No-Action Letters and Guidance as New Swap Regulations Become Effective. Swap Entity Definition Guidance

I. BACKGROUND ON PROPOSED AMENDMENTS TO RULES 506 AND 144A

U.S. Department of Labor Finalizes Fiduciary Definition and Conflict of Interest Rule

REPORTS SECTION U.S. SECURITIES AND EXCHANGE COMMISSION (SEC) 2009 & 2010 FINAL RULES 1 AT A GLANCE

ensure the involvement of an adequate cross-section of market participants from the beginning of the implementation of the new regulatory regime.

CFTC, SEC Propose to Delay the Applicability of Certain Swap Provisions of the Dodd-Frank Act

Municipal Advisor Registration: Complying with SEC and MSRB Rules

A View From the Street

Investments Overview: Regulation; Structures; Alternative Funds and Recent Developments

SEC Shines a Spotlight on Short-Term Borrowings: Issues Guidance and Proposes New Disclosure Requirements

Dodd Frank and inter affiliate trading of derivatives

Client Alert. CFTC Issues Proposals on the Extraterritorial Application of US Swaps Regulations. Overview

On July 21, 2010, President Obama signed into law the Dodd-Frank

Project KISS: Important Issues for Commodity Markets

Dodd-Frank Title VII: Reforms for the Swaps Marketplace

1. On page 11252, in the first column, the SUMMARY section is being republished in its entirety.

Evaluation of the FDIC s Economic Analysis of Three Rulemakings to Implement Provisions of the Dodd-Frank Act

Significant Changes to CFTC Regulations Impacting Registered Investment Companies

COMMENTARY. Potential Impact of the U.S. Dodd-Frank Act JONES DAY

Swap Clearinghouses and Markets

Recent Issues in Sub National Debt Management in the United States

The Dodd-Frank Act implementation of the Volcker Rule

Commodity Pool Operators and Commodity Trading Advisors: Amendments to Compliance

Re: Comments in Response to Notice of Meeting of the Technology Advisory Committee

REGULATORY CHANGES IN THE MUNICIPAL BOND MARKET: CONSIDER THE IMPACT ON YOU

Client Alert. CFTC Publishes Guidance on Expansive New CPO and CTA Regulations

CFTC Reporting and Recordkeeping Obligations: What General Counsels Need to Know AGA Legal Forum 2014 July 14, 2014 Presented By Julian E.

Henry Bregstein. Partner New York p Practices. Industries. Recognition

Appraisals for Higher-Priced Mortgage Loans Exemption Threshold

Brokerage Quick Reference Guide

August 27, Dear Mr. Stawik:

Federal Reserve Interim Final Rule Adopts Regulations for Savings and Loan Holding Companies

THE JOBS ACT ENHANCES PRIVATE CAPITAL RAISING ACTIVITIES May 2012

For more than 25 years, the Municipal Securities Rulemaking Board (MSRB) has led the effort to provide

Cadwalader, Wickersham & Taft LLP

SEC Re-Proposes Rules Establishing a U.S. Personnel Test for Application of Dodd-Frank Security-Based Swap Requirements

Chapter 5. Commodity Pools

AGENCY: Commodity Futures Trading Commission. SUMMARY: The Commodity Futures Trading Commission (Commission or CFTC) is

Dodd-frank implementation update: key differences between the CFTC and SEC final business conduct standards and related cross-border requirements

Regulatory Impact of. on the Energy Industry

Transcription:

Dodd-Frank Dashboard Regulatory Tracker Helping Market Participants Understand and Monitor Dodd-Frank The Davis Polk Regulatory Tracker is an online subscription service designed to help market participants effectively navigate the Dodd-Frank Act and the regulatory phase of financial reform. The Tracker serves as an internal compliance and strategic planning tool for subscribers who need to know the requirements, effective dates and current developments related to the Act. Subscribers can access the Dodd-Frank Database as well as a suite of other tools including a daily email alert of recent activity. The Dodd-Frank Database breaks the Dodd-Frank Act into operative provisions and tracks their implementation. This includes not only more than 200 required rulemakings and 70 required studies, but also more than 1000 other key provisions that will reshape the financial landscape. CFR Rules The Rules Database follows rulemaking streams under the Dodd-Frank Act from proposal to final implementation, simplifying the search for a particular rule of interest, important commentary or key date. The Calendar is an interactive catalogue of dates and deadlines related to the Dodd-Frank Act, making it easy to find approaching deadlines, upcoming meetings and open comment periods. Users receive daily Email Updates alerting them to recent developments, including proposed and final rules, recent events and regulator speeches. business conduct standards. Updates Attorney Advertising. Prior results do not guarantee a similar outcome.

The Dodd-Frank database breaks down all of Dodd-Frank into its operative provisions. Sortable and searchable across all columns Davis Polk s summaries of more than 1400 key provisions of the Dodd-Frank Act (A) In general. The term "commodity pool operator" means any investment trust, syndicate, or similar form of enterprise operated for the purpose of trading in commodity interests, including any (i) commodity for future delivery, security futures product, or swap; (ii) agreement, contract, or transaction described in section 2(c)(2)(C)(i) or section 2(c)(2)(D)(i); (iii) commodity option authorized under section 4c; or (iv) leverage transaction authorized under section 19. (B) Further definition. The Commission, by rule or regulation, may include within, or exclude from, the term "commodity pool" any investment trust, syndicate, or similar form of enterprise if the Commission determines that the rule or regulation will effectuate the purposes of this Act. (11) Commodity pool operator. (A) In general. The term commodity pool operator means any person (i) engaged in a business that is of the nature of ana commodity pool, investment trust, syndicate, or similar form of enterprise, and who, in connection therewith, solicits, accepts, or receives from others, funds, securities, or property, either directly or through capital contributions, the sale of stock or other forms of securities, or otherwise, for the purpose of trading in anycommodity interests, including any (I) commodity for future delivery on or subject to the rules of any contract market or derivatives transaction execution facility, except that the term does not include such persons not within the intent of the definition of the term as the Commission may specify by rule, regulation, or order., security futures product, or swap; (II) agreement, contract, or transaction described in section 2(c)(2)(C)(i) or section 2(c)(2)(D)(i); (III) commodity option authorized under section 4c; or (IV) leverage transaction authorized under section 19; or (ii) who is registered with the Commission as a commodity pool operator. (B) Further definition. The Commission, by rule or regulation, may include within, or exclude from, the term commodity pool operator any person engaged in a business that is of the nature of a commodity pool, investment trust, syndicate, or similar form of enterprise if the Commission determines that the rule or regulation will effectuate the purposes of this Act. (612) Commodity trading advisor. (A) In general. Except as otherwise provided in this paragraph, the term "commodity trading advisor" means any person who-- (i) for compensation or profit, engages in the business of advising others, either directly or through publications, writings, or electronic media, as to the value of or the advisability of trading in-- (I) any contract of sale of a commodity for future delivery made or to be made on or subject to the rules of a, security futures product, or swap; (II) any agreement, contract market, or derivatives transaction execution facilitydescribed in section 2(c)(2)(C)(i) or section 2(c)(2)(D)(i); (IIIII) any commodity option authorized under section 4c [7 USCS 6c]; or (IIIIV) any leverage transaction authorized under section 19 [7 USCS 23]; or (ii) for compensation or profit, and as part of a regular business, issues or promulgates analyses or reports concerning any of the activities referred to in clause (i); (iii) is registered with the Commission as a commodity trading advisor; or (iv) the Commission, by rule or regulation, may include if the Commission determines that the rule or regulation will effectuate the purposes of this Act. Statutory blacklines of every amendment to the U.S. Code place changes made by Dodd-Frank in context Unique ID numbers help integrate new developments into your project management system Regulatory developments are updated daily, including details of rule proposals, meetings and regulator statements Concise description for easy navigation Timeline of upcoming regulator activity regulatorytracker.com

Daily email alerts keep subscribers informed during the fast-paced implementation phase. A comprehensive calendar includes all upcoming comment deadlines related to Dodd-Frank along with meetings, regulator deadlines, public roundtables, hearings and rule effective dates. 29 CFTC Future Deadline, 15 Missed, 4 7 Finalized, 4 Proposed, 32 Subscribers can also access our monthly Dodd-Frank Rulemaking Progress Reports, based on underlying Tracker data. For more information or to schedule a demonstration of the Tracker or other Davis Polk products, contact tracker@davispolk.com. 2011 Davis Polk & Wardwell llp. All rights reserved. The Davis Polk Regulatory Tracker is an informational product provided by Davis Polk & Wardwell llp, and should not be relied on or treated as a substitute for specific advice.

Dodd-Frank Dashboard Regulatory Hub Helping Market Participants Implement Dodd-Frank Regulations The Davis Polk Regulatory Hub is an online platform designed to help market participants manage the complex implementation of Dodd-Frank regulations. The Regulatory Hub offers a menu of standardized, cost-effective compliance tools, distilling rulemaking under the Dodd-Frank Act down to the common tasks all financial institutions must perform under new regulations. Extensive searching, sorting and exporting functionality, and a variety of links and information allow for easy use and smooth integration into a firm s internal project management platform. Weekly reports on changes to the database, as well as built in search capabilities, allow subscribers to keep their internal project management tools current. The Regulatory Hub also serves as a comprehensive database that legal and compliance professionals use to access and understand the new regulations. The current focus of the database is on swap dealer regulation, with expansion into select other areas planned. Swap Dealer Rulemaps Rulemap is the term we use for the compliance tools that distill rulemaking down to common tasks. The rulemaps can serve as the basis for creating project checklists, developing implementation workstreams and distributing tasks among those workstreams. Subscribers can purchase any rulemap for a fixed cost, with unlimited access throughout their organization. Our rulemaps cover a wide range of releases containing provisions applicable to swap dealers, including registration requirements, business conduct standards, reporting and recordkeeping obligations, and capital and margin requirements. For more information contact hub@davispolk.com. business conduct standards. Attorney Advertising. Prior results do not guarantee a similar outcome.

Swap Dealer Summary Memorandum Subscribers can also purchase our comprehensive Swap Dealer Summary Memorandum: a narrative explanation of relevant rules, updated on a regular basis. The Davis Polk Regulatory Tracker The Obligations of Swap Dealers 2011 Davis Polk & Wardwell llp Swap Dealer Summary Memorandum The Davis Polk Regulatory Tracker is an online subscription service designed to help market participants effectively navigate the fast-paced regulatory phase of financial reform. Links throughout the Hub allow users to navigate between background on specific provisions in the Tracker to detailed analysis in the rulemaps. The Dodd-Frank Database breaks the Act into operative provisions and tracks their implementation. This includes not only more than 200 required rulemakings and 70 required studies, but also more than 1,000 other key provisions that will reshape financial regulation. A comprehensive calendar includes all upcoming comment deadlines related to Dodd-Frank along with meetings, regulator deadlines, public roundtables, hearings and rule effective dates. Daily email alerts keep subscribers informed of key developments. For more information, please contact our Davis Polk Regulatory Tracker team at tracker@davispolk.com. 2011 Davis Polk & Wardwell llp. All rights reserved. The Davis Polk Regulatory Hub and the Davis Polk Regulatory Tracker are informational products provided by Davis Polk & Wardwell llp, and should not be relied on or treated as a substitute for specific advice. SEP11 00260