On January 16, ISDA and the Securities Industry and Financial Markets Association (SIFMA) submitted a response to a consultation by the US Federal Reserve on proposed changes to the G-SIB surcharge.
The response raises concerns that the revised G-SIB surcharge would lead to inappropriately high capital requirements for banks offering client clearing services, potentially discouraging them from participating in this business and contravening a long-standing policy objective to promote central clearing.
Specifically, the response argues that client derivatives transactions cleared under the agency model should not be included in the complexity and interconnectedness categories of the G-SIB surcharge calculation. Failure to make this change would raise capital requirements across six G-SIBs that contributed to a QIS by $5.2 billion.
The associations also recommend:
- The standardized approach for counterparty credit risk alpha factor should not be included in the interconnectedness indicator calculations.
- Cross-jurisdictional activity indicators should not include derivatives exposures. At a minimum, derivatives exposures should be net of cash and non-cash collateral in the cross-jurisdictional activity indicators.
Documents (1) for ISDA and SIFMA Response to G-SIB Surcharge Framework Consultation
Latest
ISDA Publishes Paper on SFDR Review
On June 23, ISDA and the Association for Financial Markets in Europe (AFME) published a position paper on the review of the Sustainable Finance Disclosure Regulation (SFDR). The paper acknowledges that the SFDR needs to be revised in line with...
Developments in IRD Markets in China and Hong Kong
ISDA has published a new research paper that analyzes interest rate derivatives (IRD) trading activity reported in mainland China and Hong Kong. Key highlights from the report include: Mainland China’s renminbi (RMB)-denominated IRD market has expanded significantly since 2022, with...
ISDA Treasury Forum: Scott O’Malia Opening Remarks
ISDA Treasury Forum New York, June 24, 2025 Opening Remarks Scott O’Malia ISDA Chief Executive Officer Good morning, and welcome to the ISDA Treasury Forum. Thank you to CME Group, our founding sponsor, for partnering with us again on...
ISDA, SIFMA Comments on Stress Capital Buffer Requirement Proposal
ISDA and the Securities Industry and Financial Markets Association (SIFMA) today submitted a comment letter on a proposal by the Federal Reserve Board of Governors to revise its capital plan rule and stress capital buffer requirement (SCB). In the letter,...