Part 9: The One Business Day Margin Call Requirement—Miscellaneous Considerations
The BR Derivatives Report
This post is the next in our multi-part series on CFTC Regulation §1.44, as proposed by the U.S. Commodity Futures Trading Commission (the “CFTC”) on February 20, 2024 (the “Proposed Rule”).
The previous post in this series focused on the relationship between international payment systems and timing considerations in the “one business day margin call requirement” that applies to separate account customers under the Proposed Rule.
This post explores four miscellaneous considerations related to this requirement.
To read the full post, please visit our BR Derivatives Report blog.