Justification of Non-Substantive Change
OMB Control No. 1509-0279
Reporting Instructions for Preparation of the Report of Non-centrally Cleared
Bilateral Transactions in the U.S. Repurchase Agreement Market
The program office received questions from covered reporters on ways to create user-friendly Reporting Instructions. The objective of this non-substantive change is to improve the alignment of the Reporting Instructions with the Final Rule text; to promote continuity across the published NCCBR documents; and to provide clarifications about how certain individual line items should be reported. We addressed the below in the change request:
Page 3: The instructions implied that reported repos are between two financial companies, but they can be between any two legal entities.
Page 4: The compliance dates given for the reporting status were given in calendar quarters, but the rule asked for the Reporting Instructions to give the compliance dates in calendar days.
Page 6: Examples removed in the general terms for reporting the Business Day field. Examples and clarifications are being relocated in the Frequently Asked Questions published on our website.
Page 6: List added of floating rate benchmarks, as stated in the Final Rule.
Page 10: List added of trading platforms, as stated in the Final Rule. In lieu of a list embedded in the Reporting Instructions, we reference an ISO standard with a more complete listing.
Page 11: Guidance added for Start Date and End Date to clarify what to do when the transaction is not intraday.
Page 11: Examples given for End Date, as stated by the Final Rule.
Page 12: Guidance removed from Cash Lender Internal Identifier and Cash Borrower Internal Identifier, as the Rule says these are free text.
Page 13: Clarity added to Rate on what to do if the rate is a reference rate.
File Type | application/vnd.openxmlformats-officedocument.wordprocessingml.document |
Author | Read, Anna |
File Modified | 0000-00-00 |
File Created | 2024-09-18 |