Message-ID: <23196526.1075858585829.JavaMail.evans@thyme> Date: Wed, 18 Jul 2001 19:36:29 -0700 (PDT) From: ernest.patrikis@aig.com To: scarey@isda.org, usregcomm@isda.org Subject: RE: Retail Swaps Invitation Letter and Questions Mime-Version: 1.0 Content-Type: text/plain; charset=us-ascii Content-Transfer-Encoding: 7bit X-From: "Patrikis, Ernest" @ENRON X-To: 'Stacy Carey' , US REGULATORY COMMITTEE X-cc: X-bcc: X-Folder: \MTAYLO1 (Non-Privileged)\Taylor, Mark E (Legal)\CFTC X-Origin: Taylor-M X-FileName: MTAYLO1 (Non-Privileged).pst Two weeks ago, a member of the FRBNY legal staff asked to meet with AIG staff to discuss AIG's present and proposed retail swap activities. I responded that AIG does not now and has no plans to engage in that activity. For that reason, I stated that it was premature to consider the need to regulate an activity that does not now exist and that ought to be the agencies response to Congress. -----Original Message----- From: Stacy Carey [SMTP:SCAREY@ISDA.ORG] Sent: Wednesday, July 18, 2001 4:46 PM To: US REGULATORY COMMITTEE Subject: Retail Swaps Invitation Letter and Questions For your information, I have attached correspondence from the Federal Reserve requesting ISDA's participation in the Commodity Futures Modernization Act retail swaps study. The correspondence also lists interview topics/questions. Please do not hesitate to call if you have any questions. Many thanks! -- Stacy Stacy Carey Policy Director International Swaps and Derivatives Association 600 5th Avenue, 27th Floor Rockefeller Center New York, NY 10020 (212) 332-1202 ph (212) 332-1212 fax (917) 543-9622 cell scarey@isda.org > <> > > << File: FRBNYLtr.pdf >>