Rule 18a-3 Non-cleared security-based swap margin requirements for security-based swap dealers and major security-based swap participants for which there is not a prudential regulator.
ICR 201907-3235-017
OMB: 3235-0702
Federal Form Document
⚠️ Notice: This information collection may be outdated. More recent filings for OMB 3235-0702 can be found here:
Rule 18a-3 Non-cleared
security-based swap margin requirements for security-based swap
dealers and major security-based swap participants for which there
is not a prudential regulator.
New
collection (Request for a new OMB Control Number)
Rule 18a-3 establishes minimum margin
requirements for nonbank firms required to register with the SEC
under the Dodd-Frank Wall Street Reform and Consumer Protection Act
of 2010 as security-based swap dealers. Minimum margin standards
ensure that firms collect sufficient collateral to secure the risk
of loss on security-based swap positions. Rule 18a-10 provides an
alternative compliance mechanism pursuant to which a stand-alone
security-based swap dealer that is registered as a swap dealer and
predominantly engages in a swaps business may elect to comply with
the capital, margin, and segregation requirements of the Commodity
Exchange Act (“CEA”) and the U.S. Commodity Futures Trading
Commission’s (“CFTC”) rules in lieu of complying with the SEC's
Rules 18a-1, 18a-3, and 18a-4, as adopted.
Rule 18a-3: The burdens of two
of the ICs were reduced because the estimated number of respondents
was reduced. In addition, one new IC was added because of a
modification to the final rule that based on comments received on
the proposal. Rule 18a-10: This is a new rule that was not in the
proposal, but followed from comments received in connection with
the proposal. Thus, all of the ICs in this rule result in an
increase to the burden.
No
No
No
No
Yes
No
Uncollected
Nina Kostyukovsky 202
551-8833
No
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