ASIFMA AMG response to the SEC consultation on Principle of Thailand Sustainability Disclosure Roadmap regarding International Sustainability Standards (ISSB Roadmap)
On behalf of its members, the Asia Securities Industry & Financial Markets Association (“ASIFMA”, “we”, “our” or “us”1) are pleased to submit this letter to the MPS. We seek to convey industry’s views on the draft Data Law (“Draft Data Law”), and offer constructive ideas on how the Draft Data Law can be refined to encourage foreign investment into the Socialist Republic of Vietnam (“Vietnam”), enhance risk management and facilitate compliance by financial institutions (“FIs”) with robust standards and obligations aligned with those of other emerging jurisdictions that are considered integral to the sustainable development of world markets.
On behalf of its members, the Asia Securities Industry & Financial Markets Association (“ASIFMA”, “we”, “our” or “us”1) are pleased to submit this letter to the MPS. We seek to convey industry’s views on the draft Data Law (“Draft Data Law”), and offer constructive ideas on how the Draft Data Law can be refined to encourage foreign investment into the Socialist Republic of Vietnam (“Vietnam”), enhance risk management and facilitate compliance by financial institutions (“FIs”) with robust standards and obligations aligned with those of other emerging jurisdictions that are considered integral to the sustainable development of world markets.
ASIFMA response to the State Council Consultation on the draft Foreign Investment Law
The International Swaps and Derivatives Association, Inc. ("ISDA")1 and the Asia Securities Industry & Financial Markets Association ("ASIFMA"2, and together with ISDA, the "Associations" or “we”) welcome the opportunity to provide comments on the Draft Bill for Introduction of Regulatory Framework for Financial Benchmarks (the "Draft Bill") proposed by the Financial Services Commission ("FSC") on 18 June 2018.
The Asia Securities Industry & Financial Markets Association (ASIFMA)1 and its members welcome the opportunity to provide feedback on this consultation paper, which sets out the Hong Kong Monetary Authority’s (HKMA) proposals for implementing in Hong Kong the Banking Committee on Banking Supervision (BCBS) final standard on “TLAC holdings” to specify the regulatory capital treatment of banks’ holdings of total loss-absorbing capacity (TLAC) instruments.
The Global Financial Markets Association1 (GFMA) welcomes the opportunity to comment on the consultation paper from the International Organisation of Securities Commissions (IOSCO), CR02/2018 – Conflicts of interest and associated conduct risks during the equity capital raising process.
ASIFMA response to the HKMA consultation on Rules on Loss-Absorbing Capacity Requirements for Authorised Institutions
ASIFMA response to the HKMA consultation on Rules on Loss-Absorbing Capacity Requirements for Authorised Institutions
ASIFMA response to the White Paper of the Committee of Experts on Data Protection Framework for India
The Securities Industry and Financial Markets Association (SIFMA)i and Asia Securities Industry & Financial Markets Associationii appreciate the opportunity to respond to the Bank Negara Malaysia’s (BNM’s or the Bank’s) exposure draft of proposed regulatory requirements on outsourcing arrangements by financial institutions.
The Asia Securities Industry & Financial Markets Association (ASIFMA) appreciates the opportunity to respond to the Consultation on the draft Financial Resolution and Deposit Insurance Bill, 2017 (Draft Bill). Ensuring effective resolution regimes is a critical part of global regulatory reform in which India, as a G20 country, plays a significant role.
ASIFMA response to the PDPC’s Public Consultation on Approaches to Managing Personal Data in the Digital Economy
New Board Concept Paper and Consultation Paper on Review of the Growth Enterprise Market (GEM) and Changes to the GEM and Main Board Listing Rules
ASIFMA response to CAC consultation on the Rules of Protection of Critical Information Infrastructure (Draft for Discussion)
Response to Consultation paper (CP 17.04) on the Interest Rate Risk in the Banking Book (IRRBB)
Response to Consultation Paper (CP 16.02) on the Net Stable Funding Ratio
Consultation Paper on Local Implementation of Basel III Liquidity Rules – Net Stable Funding Ratio (NSFR) and NSFR Disclosure
Comments on SEBI’s discussion paper on Algorithmic Trading and Co-location
ASIFMA's response to this consultation
GFMA serves as a forum that brings together its existing regional trade association members to address issues with global implications. ASIFMA is an independent, regional trade association with over 165+ member firms comprising a diverse range of leading financial institutions from both the buy and sell side.
ASIFMA Headquarters
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