Skip to main content
Skip to content
Case File
sd-10-EFTA01384749Dept. of JusticeOther

EFTA Document EFTA01384749

Deutsche Bank Compliance Dodd-Frank Title VII Regulation: Annual Notice of Right to CFTC Segregation of Initial Margin for Uncleared Swaps ("IM") Dear Collateral Officer': Deutsche Bank AG ("Deutsche Bank") is provisionally registered as a swap dealer with the Commodity Futures Trading Commission (CFTC) under The Dodd-Frank Wall Street Reform and Consumer Protection Act (Dodd- Frank"). This communication is to remind you that if you are a U.S. Person or a Guaranteed Affiliate or Affiliate

Date
Unknown
Source
Dept. of Justice
Reference
sd-10-EFTA01384749
Pages
1
Persons
0
Integrity
Loading PDF viewer...

Summary

Deutsche Bank Compliance Dodd-Frank Title VII Regulation: Annual Notice of Right to CFTC Segregation of Initial Margin for Uncleared Swaps ("IM") Dear Collateral Officer': Deutsche Bank AG ("Deutsche Bank") is provisionally registered as a swap dealer with the Commodity Futures Trading Commission (CFTC) under The Dodd-Frank Wall Street Reform and Consumer Protection Act (Dodd- Frank"). This communication is to remind you that if you are a U.S. Person or a Guaranteed Affiliate or Affiliate

Ask AI About This Document

0Share
PostReddit

Extracted Text (OCR)

EFTA Disclosure
Text extracted via OCR from the original document. May contain errors from the scanning process.
Deutsche Bank Compliance Dodd-Frank Title VII Regulation: Annual Notice of Right to CFTC Segregation of Initial Margin for Uncleared Swaps ("IM") Dear Collateral Officer': Deutsche Bank AG ("Deutsche Bank") is provisionally registered as a swap dealer with the Commodity Futures Trading Commission (CFTC) under The Dodd-Frank Wall Street Reform and Consumer Protection Act (Dodd- Frank"). This communication is to remind you that if you are a U.S. Person or a Guaranteed Affiliate or Affiliate Conduit of a U.S. Person (each as defined by the CFTC), you have a right to segregate any initial margin that you post in respect of CFTC-regulated uncleared swaps. In accordance with CFTC rule 23.701, we are notifying you that, to the extent you post IM in respect of any CFTC- regulated uncleared swap with us that is executed on or subsequent to the applicable compliance date, you have the right to elect that IM be segregated in accordance with the requirements set forth in CFTC rules 23.702 and 23.703 (the 'CFTC Segregation Regime"). Unless you wish to change the election you previously made (or were deemed to have made), your existing segregation arrangements, if any, will remain in effect and will apply to future CFTC- regulated uncleared swap transactions. You may change your election at any time by delivering written notice to us. If you elect to require the CFTC Segregation Regime, certain documentation, including a tri-party custodial agreement that meets the requirements of the CFTC Segregation Regime, must be put in place. Choosing this election might prevent us from entering into new CFTC-regulated uncleared swaps with you until such documentation is in place.2 Notwithstanding the foregoing, if you choose to enter into an Uncleared Swap with us prior to executing such documentation, you will be deemed to have made an election not to require CFTC IM Segregation for that particular transaction. Unless your most recent election with us is to require the CFTC Segregation Regime, if you do not respond within twenty (20) business days of receipt of this Notice of Right to CFTC Segregation of Initial Margin, we will deem you to have confirmed receipt of this notice by your Collateral Officer and to have made an election to not require the CFTC Segregation Regime. In the event you execute an Uncleared Swap with us after receipt of this notice but prior to the expiration of the above period, and we have not otherwise obtained your election, we will deem you to have confirmed receipt of this Notice of Right to CFTC Segregation of Initial Margin by your Collateral Officer and to have made an election to not require the CFTC Segregation Regime. You may change your election at any time in writing. If you do not elect CFTC Segregation, you remain free to make or retain other arrangements with us for the segregation of initial margin. A non-exclusive list of custodians that are currently considered acceptable to us for the CFTC Segregation Regime, indicative pricing information, CFTC Segregation Election Form, and Frequently Asked Questions are provided in the tsk:hc, Brink ::)cud-FB;r:nb ntrf, (httc.:•. dl: nenrcln;idtrnink). Please use the password: .. ..,..:o». (This password is being provided for your use as a Client of Deutsche Bank. Please do not share it outside of your institution.) If you have any questions regarding this notice or to receive a CFTC Segregation Election Letter form or to update previously provided information, please contact your sales representative ' 'Collateral Officer" moans an officer responsible for the management of collateral. or. if you have not identified such officer to us. Men the Chief Risk Officer of CouMerparty, or if no such officer, the Chief Executive Officer, or if none, the highest-level decision-maker for Counterparty. 2 Please note that any existing custodial arrangements ...Meth.: legally required or bargained for independently, night not contain the same terms as the CFTC Segregation Regime and therefore night need to be revised if IM segregation in accordance with the CFTC Segregation Regime is elected. Parties wishing to elect IM segregation in accordance with CFTC Segregation Regime might wish to consult with legal counsel. 2018823 CONFIDENTIAL - PURSUANT TO FED. R. CRIM. P. 6(e) DB-SDNY-0085251 CONFIDENTIAL SDNY_GM_00231435 EFTA01384749

Related Documents (6)

Dept. of JusticeOtherUnknown

EFTA Document EFTA01455873

From: Sent: To: CC: Paul Morris ; Vahe Stepanian Subject: Dodd Frank Initial Margin Segregation Rule Nov 3rd Deadline - Step 1 (C) Attachments: SF Approved IA Seg Advisory (DB) WM Americas 4.8.14 revised 8.19.14.doc; ST Approved IA Seg Advisory (DB) WM Americas 4.8.14 revised 8.19.14.doc; pic27104.gif; pic13901.gif Amanda Kirby 10/21/2014 3:16:27 PM I Classification: Confidential Darren/Rich, Per our conversation please see the below. I will need one copy for southern Trust and o

1p
Dept. of JusticeOtherUnknown

EFTA Document EFTA01440797

GLDUS138 Ian Slome GLENDOWER ACCESS SECONDARY OPPORTUNITIES FUND IV (U.S.), L.P. CONFIDENTIAL Glendower Access Secondary Opportunities IV (U.S.), L.P. will invest substantially all of its investable assets into Glendower Capital Secondary Opportunities Fund IV, L.P. (the "Underlying Fund"). ACCESS & UNDERLYING FUND TERMS ACCESS FUND GLENDOWER ACCESS SECONDARY OPPORTUNITIES IV (U.S.), L.P. GENERAL PARTNER Glendower Access Secondary Opportunities IV GP, LLC INVESTMENT MANAGER iCapita

40p
Dept. of JusticeOtherUnknown

EFTA Document EFTA01439262

GLDUS133 Georgetown University Endowment GLENDOWER ACCESS SECONDARY OPPORTUNITIES FUND IV (U.S.), L.P. CONFIDENTIAL Glendower Access Secondary Opportunities IV (U.S.), L.P. will invest substantially all of its investable assets into Glendower Capital Secondary Opportunities Fund IV, L.P. (the "Underlying Fund"). ACCESS & UNDERLYING FUND TERMS ACCESS FUND GLENDOWER ACCESS SECONDARY OPPORTUNITIES IV (U.S.), L.P. GENERAL PARTNER Glendower Access Secondary Opportunities IV GP, LLC INVES

40p
Dept. of JusticeOtherUnknown

EFTA Document EFTA01374030

AGP LP 519 Alpha Group Capital Paul Barrett EXECUTION Deutsche Asset & Wealth Management L,_ 60 Wall Street New York, New York 10005 September 23, 2013 Alkeon Capital Management, LLC 350 Madison Avenue, 9th Floor New York, New York 10017 Ladies and Gentlemen: On July 10, 2013, the Securities and Exchange Commission adopted certain amendments (the "Amendments") to Rule 506 of Regulation D under the Securities Act of 1933. The Amendments, which implement Section 926 of the Dodd-Frank

1p
Dept. of JusticeOtherUnknown

EFTA Document EFTA01395715

GLDUS143 Henry Nicholas GLENDOWER ACCESS SECONDARY OPPORTUNITIES FUND IV (U.S.), L.P. CONFIDENTIAL Glendower Access Secondary Opportunities IV (U.S.), L.P. will invest substantially all of its investable assets into Glendower Capital Secondary Opportunities Fund IV, L.P. (the "Underlying Fund"). ACCESS & UNDERLYING FUND TERMS ACCESS FUND GLENDOWER ACCESS SECONDARY OPPORTUNITIES IV (U.S.), L.P. GENERAL PARTNER Glendower Access Secondary Opportunities IV GP, LLC INVESTMENT MANAGER iC

40p
Dept. of JusticeOtherUnknown

EFTA Document EFTA01471531

Subject: Re: Fw: Dodd Frank Initial Margin Segregation Rule Nov 3rd Deadline - Step 1 [C] From: Amanda Kirby <a. Date: Thu, 30 Oct 2014 09:12:33 -0400 To: Ian Hearn Cc: DeAWM-WM DerivativeDocs Paul Morris < Vahe Stepanian Classification: Confidential All are correct except for Darren's. See below 'eevacation mail.com, Best, Amanda Kirby (Embedded image moved to file: pic28714.gif) Amanda Kirby Deutsche Deutsche 345 Park Tel. Fax Email Bank Trust Company Americas Asset & Wea

7p

Forum Discussions

This document was digitized, indexed, and cross-referenced with 1,400+ persons in the Epstein files. 100% free, ad-free, and independent.

Annotations powered by Hypothesis. Select any text on this page to annotate or highlight it.