Comment Letters

September 28, 2012, Response of The Risk Management Association’s Community Bank Council Re: (i) Regulatory Capital Rules: Regulatory Capital, Implementation of Basel III, Minimum Regulatory Capital Ratios, Capital Adequacy, Transition Provisions, and Prompt Corrective Action, and (ii) Regulatory Capital Rules: Standardized Approach for Risk-weighted Assets; Market Discipline and Disclosure Requirements (PDF)

April 30, 2012,  Comment Letter from RMA to the Board of Governors of the Federal Reserve, regarding Dodd-Frank Section 165: Enhanced Prudential Standards for Covered Companies, specifically Issues Concerning Application of Proposed Rulemaking’s Single-Counterparty Credit Limits to Agency Securities Lending and Related Transactions (PDF)

April 30, 2012,  Response of The Risk Management Association to the  Enhanced Prudential Standards and Early Remediation Requirements for Covered Companies, Regulation YY; Docket No. 1438, RIN 7100-AD-86 (PDF)

February 13, 2012, Comment Letter from RMA to the Department of the Treasury, the Board of Governors of the Federal Reserve System, the Commodity Futures Trading , the Federal Deposit Insurance Corporation, the Office of the Comptroller of the Currency and the Securities and Exchange Commission on Inappropriate Potential Application of Volcker Rule to Traditional Securities Lending Activities (PDF)

December 16, 2010, Letter from RMA to the Securities and Exchange Commission regarding the Proposed Rules for Implementing the Whistleblower Provisions of the Dodd–Frank Act (PDF)

November 2010, The Dodd-Frank Wall Street Reform and Consumer Protection Act:  Game Changer? (PPT)