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Good Evening,
Please see the attached comment letter from Jason Shafer, Vice President of the Center for Bank Derivatives Policy, regarding the CFTC's re-proposed rule governing the cross-border application of margin requirements applicable to non-prudentially
regulated swap dealers (SDs) and major swap participants (MSPs) (collectively, Covered Swap Entities or CSEs).
Sincerely,
Erica Hunter
Director
Financial Institutions Policy & Regulatory Affairs
American Bankers Association
Building Success. Together.
Phone: (202) 663-5334
Fax: (202) 828-5047
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American Bankers Association 1120 Conn. Ave NW Wash DC 20036
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