On June 21, BPI joined the Securities Industry and Financial Markets Association (SIFMA) and the American Bankers Association (ABA) in filing a letter to the Board of Governor’s of the Federal Reserve System and the FDIC on a proposal to amend and restate the jointly issued regulation implementing the resolution planning requirements of section 165(d) of the Dodd-Frank Wall Street Reform and Consumer Protection Act.
You Might Also Be Interested In...
Bank Capital and Stress Testing BPI and ABA Comment on FDIC Proposal for Troubled Debt Restructurings in the Assessments Score Cards for Large Banks
Resolution & Recovery Planning FDIC’s Proposed Deposit Insurance Assessment Hike: A Threat to Small Businesses and the Economy, Based on Stale Data
More Posts by This Author
Bank Capital and Stress Testing BPI Response to Federal Reserve Vice Chair Barr’s Statements on Bank Capital Requirements
Supervision & Enforcement FDIC’s Proposed Changes to Supervisory Appeals System Fall Short of Progress
Supervision & Enforcement BPI and Trade Coalition Comment on FDIC Guidelines for Appeals of Material Supervisory Determinations