|
To whom it may concern:
On behalf of State Street Corporation, the Bank of New York Mellon Corporation, and the Northern Trust Corporation, attached please find comments on the proposed rules to establish margin and capital requirements for covered swap entities.
Please contact me if you have any questions.
Thank you,
Lisa Tuomivaara
Lisa Tuomivaara, Vice President
State Street Bank and Trust Company │Regulatory, Industry and Government Affairs │ One Lincoln Street, SFC/21, Boston, MA 02111, U.S.A. │Tel: +1.617.664.8773 │ Fax: +1.617.664.9339 │ ltuomivaara@statestreet.com | www.statestreet.com
Limited Access
The information contained in this e-mail (including any attachments) is intended solely for the use of the intended recipient(s); may be used solely for the purpose for which it was sent; and may contain confidential or proprietary information and/or be subject to privilege or other applicable confidentiality protections. If you are not an intended recipient, or a person responsible for delivering it to an intended recipient, please notify the author by replying to this e-mail and delete the e-mail immediately. Any unauthorized copying, disclosure, retention, or distribution of this e-mail or its attachments, or taking any action in reliance thereon, is strictly forbidden.
Go green. Consider the environment before printing this email.
|
|
Attachments:
|