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Morrison & Foerster Discusses Proposed Revisions to Capital Framework for Large Banking Organizations

Reynolds Holding

There would be no change in the capital framework for smaller firms, except that those firms with significant trading activities would be subject to the market-risk capital provisions. This new approach would include standardized risk-weights for credit, equity, operational, and credit valuation adjustment risk.

Banking 40
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Sullivan & Cromwell Discusses the Implications for Financial Institutions of Proposed SEC Climate Disclosure Rules

Reynolds Holding

Fiscal year 2027 (filed in 2028). ( [1] ) Assumes a fiscal year end of December 31. 7] CFTC, Climate-Related Market Risk Subcommittee, Managing Climate Risk in the U.S. Fiscal year 2024. filed in 2025). Fiscal year 2026 (filed in 2027). Accelerated Filer. Fiscal year 2024. filed in 2025). Fiscal year 2025.

Finance 45
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Mayer Brown Discusses Bank Regulators’ Proposed Overhaul of Capital Requirements

Reynolds Holding

Require these banking organizations to calculate their risk-based capital ratios under the existing standardized approach and expanded standardized approach (a “dual-stack” requirement), and use the lower (less favorable) ratio of the two. About 40 banking organizations currently are subject to the market risk capital requirement.

Banking 52