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Comment Letters

GARP does not engage in lobbying which allows us to speak to regulatory issues in a non-partisan, educational, and constructive way. In developing our responses, we bring together practitioners from the industry’s leading financial services firms to ensure that we address the real-life impact of the proposal, and provide constructive alternatives where appropriate. Each comment letter reflects the individual, practice-driven views of the participating risk professionals, and in many cases best practices.

GARP Risk Institute's Response to Climate Risk Plan Developed by CFTC Subcommittee

Date Filed: May 14, 2020

Filing Agency: N/A

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GARP Risk Institute (GRI) response to BCBS consultation on Stress Testing Principles

Date Filed: April 16, 2018

Filing Agency: N/A

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GARP Response to Consultative Report; Framework for supervisory stress testing for central counterparties (CCPs)

Date Filed: September 21, 2017

Filing Agency: N/A

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GARP Leverage Letter in Response to Referenced Consultative Document

Date Filed: September 21, 2016

Filing Agency: N/A

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GARP SEC Comment Letter: Risk Management Principles for Use of Derivatives in Registered Funds

Date Filed: March 21, 2016

Filing Agency: U.S. Securities and Exchange Commission

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Response to Proposal to SEC on Swing Pricing and Transparency for Omnibus Accounts

Date Filed: January 12, 2016

Filing Agency: U.S. Securities and Exchange Commission

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