Comments on the Draft Reporting Template for Scope 1 and Scope 2 GHG Emissions Pursuant to SB 253
SIFMA provided comments to California Air Resources Board (CARB) to inform the implementation of the Climate Corporate Data Accountability Act,…
SIFMA and The Clearing House (TCH), the American Bankers Association (ABA) and the Financial Services Roundtable (FSR) provided comments to the Financial Stability Board (FSB) in response to its proposal to impose a total loss absorbing capacity (TLAC) requirement on global systemically important banking groups (G-SIBs).
The letter expresses the industry’s strong support for a TLAC requirement for G-SIBs to help ensure that these institutions can be resolved in an orderly way at creditor rather than taxpayer expense, bringing us one final step closer to ending “Too Big to Fail.” The letter also highlights the importance of ensuring that any such requirement be empirically calibrated to achieve its express policy objective – which is to ensure that a G-SIB can absorb sufficient losses to permit its orderly resolution and recapitalization without taxpayer assistance.
SIFMA provided comments to California Air Resources Board (CARB) to inform the implementation of the Climate Corporate Data Accountability Act,…
SIFMA and ISDA submitted comments to the CFTC on its proposed Revisions to Business Conduct and Swap Documentation Requirements for…
Court: U.S. Supreme Court (pet. for writ of cert.) Amicus Issue: Whether the rebuttable fraud-on-the-market presumption for establishing reliance in…