Life on the margin: US margin rules finalized at last
Abstract
Purpose
To discuss the US Commodity Futures Trading Commission’s (CFTC’s) final rule regarding margin for uncleared swaps (the CFTC margin rule) and an interim final rule exempting non-financial and certain other end-users who are eligible for the end-user clearing exception from the scope of the CFTC margin rule, both adopted in December 2015.
Design/methodology/approach
Compares the CFTC margin rule to the similar “Bank margin rule”; explains what trades and types of entities are covered, the treatment of inter-affiliate swaps, the initial margin and the variation margin requirements, the types of collateral that can be posted, the required documentation, how netting is applied, the custodian requirements and the compliance dates.
Findings
The margin rules apply to uncleared swaps including cross-currency swaps, non-deliverable foreign exchange forwards and currency options. Exempt foreign exchange swaps and deliverable foreign exchange forwards are not required to be margined. Non-financial end-users who rely on the end-user exception are exempt from margin requirements.
Originality/value
Practical guidance from experienced financial services lawyers.
Keywords
Citation
Horwitz, M., Hall, C. and Phipps, B. (2016), "Life on the margin: US margin rules finalized at last", Journal of Investment Compliance, Vol. 17 No. 2, pp. 70-74. https://doi.org/10.1108/JOIC-04-2016-0018
Publisher
:Emerald Group Publishing Limited
Copyright © 2016 DLA Piper LLP.