ARTICLE
2 August 2023

CFTC Proposes To Broaden Scope Of Eligible Collateral For Initial Margin

KG
K&L Gates

Contributor

At K&L Gates, we foster an inclusive and collaborative environment across our fully integrated global platform that enables us to diligently combine the knowledge and expertise of our lawyers and policy professionals to create teams that provide exceptional client solutions. With offices spanning across five continents, we represent leading global corporations in every major industry, capital markets participants, and ambitious middle-market and emerging growth companies. Our lawyers also serve public sector entities, educational institutions, philanthropic organizations, and individuals. We are leaders in legal issues related to industries critical to the economies of both the developed and developing worlds—including technology, manufacturing, financial services, health care, energy, and more.
On July 26, 2023, the Commodity Futures Trading Commission ("CFTC") proposed an amendment ("Proposal") to, among other things, expand the universe of eligible collateral for the
United States Finance and Banking
To print this article, all you need is to be registered or login on Mondaq.com.

On July 26, 2023, the Commodity Futures Trading Commission ("CFTC") proposed an amendment ("Proposal") to, among other things, expand the universe of eligible collateral for the CFTC's initial margin ("IM") requirements for uncleared swaps. The Proposal would result in swap dealers that are not subject to prudential regulation being able to use a broader range of money market funds ("MMFs") and similar funds as collateral to meet their uncleared swap IM requirements under CFTC Regulation 23.156(a)(1)(ix).

Under existing rules, securities issued by MMFs cannot be used as eligible IM if the MMF engages in transferring assets through securities lending, securities borrowing, repurchase agreements, reverse repurchase agreements, and similar arrangements. By eliminating this restriction, securities issued by MMFs that use repurchase or similar arrangements would qualify as IM collateral.

Many MMFs available in the institutional marketplace use repurchase or similar arrangements as part of their strategy and, therefore, those shares do not currently qualify as eligible IM collateral.

In January 2020, the CFTC's Global Markets Advisory Committee ("GMAC") created a subcommittee focused on margin for uncleared swaps, which ultimately issued a report with recommendations on how to fix certain issues with the CFTC margin rules. GMAC voted to adopt the report, and recommended that the Commission adopt the subcommittee's recommendations. One of the recommendations was the elimination of the asset transfer restriction in paragraph (C) of the CFTC Regulation 23.156(a)(1)(ix), which disqualifies the securities of funds that transfer their assets through repurchase or similar arrangements. If adopted as proposed, the restriction on the use of securities of money market and similar funds that transfer their assets through repurchase or similar arrangements would be eliminated.

Comments on the Proposal must be submitted within 60 days after the Proposal is published in the Federal Register (which has not yet occurred at the time of this writing).

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.

We operate a free-to-view policy, asking only that you register in order to read all of our content. Please login or register to view the rest of this article.

See More Popular Content From

Mondaq uses cookies on this website. By using our website you agree to our use of cookies as set out in our Privacy Policy.

Learn More