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Repeal the Dodd-Frank provision requiring the collection of certain demographic information in regard to small business lending. As we noted in regard to the Treasury Report, it is likely that banking reform efforts are most likely to proceed at the regulatory level.
The Comptroller’s statement indicates a willingness by the OCC to take certain steps directed at addressing the principles contained in Executive Order 13772.
SEC should examine the derivatives data that will be reported by funds starting next year and publish analysis based on empirical data regarding their use of derivatives.
SEC should postpone the currently scheduled December 2018 implementation of Rule 22e-4’s bucketing requirement.
Luetkemeyer (R-MO) (Co-Sponsors – 17 R, 11 D) The Bill would replace the billion threshold for enhanced prudential supervision and for other enhanced regulatory requirements for bank holding companies (BHCs) with a new threshold that would only apply to BHCs that had been identified by the Federal Reserve Board as global systemically important BHCs (GSIB) for purposes of the FRB’s risk-based capital surcharge rules.
He stated that the OCC’s recommendations are consistent with the Treasury Report.
Narrow the scope of entities that are treated as covered funds.
Raise the threshold for application of enhanced prudential standards to better capture the types of companies that pose the relevant risks.