Font Size: AAA
External Meetings: Meeting with J.P. Morgan Chase & Co.
V. Capital & Margin
VI. Segregation and Bankruptcy
VII. DCO Core Principles
VIII. Process for Review of Swaps
IX. Governance & Possible Limits
X. Systemically Important DCO Rules
XI. End-user Exception
David C. Sturm
Thomas J. Benison
J.P. Morgan Chase & Co.
Management of different margining approaches across different segregation classes~Discussion on the role of the FCM in managing operational and settlement risk between clearing houses and clients~Ownership/Governance rules. ~Individual account segregation issue. ~Commission-initiated review of swaps to determine whether they should be cleared (Sec.723(a)(3))~Who is required to clear?~Ability of CCP's to measure the "ability to pay/available capital" of each FCM in relation to potential assessments, and monitoring across the system. ~Ensuring appropriate incentives for CCPs managing the capital of members~Proposed caps on CCP/SEF beneficial ownership; voting rights; representation on risk committees.~Criteria and timing for registration as Swap Dealer/ Security Based Swap Dealer