📄 Extracted Text (548 words)
Subject: FW: ACTION REQUIRED: STFR Re ulation Mailing (Part 2) [I]
From: Stewart Oldfield
Date: Wed, 20 Jul 2016 14:32:05 -0400
To: Brianna Fowler
Classification: For internal use only
Please upload my email to dbForce as Armen outlined below. Thanks
From: Armen Brash
Sent: Tuesday, July 19, 2016 4:03 PM
To: Stewart Oldfield
Cc: Anna-Sofiya Lupolover
Subject: ACTION REQUIRED: STFR Regulation Mailing (Part 2) [I]
Classification: For internal use only
Stew,
I apologize if you received a similar request last week—it turns out that
the data was (shocker) incomplete. The database (PLN) which holds maintains
the data for ISDA clients is owned by another group; that database,
unfortunately, had misclassified the clients listed below as Global Markets
clients when in fact, they're Wealth Management clients.
Therefore, if you are receiving this email, you have a client with an active
ISDA contract on file and MUST take the action outlined for the client(s)
listed below. Even though these ISDA contracts may be old, they are still
considered active because an ISDA contract never expires until the client
terminates with DB in writing.
CP LEGAL NAME
ORG ID
Contact Type
Contact Owner
EFTA01419174
SOUTHERN FINANCIAL LLC
Active Client
Stewart Oldfield
SOUTHERN TRUST COMPANY INC
Active Client
Stewart Oldfield
1) SFTR Regulation - Overview:
The EU Securities Financing Transactions Regulation ("SFTR") requires
Deutsche Bank to provide to clients with whom Deutsche Bank has certain
security collateral arrangements a disclosure statement regarding the
general risks and consequences that may be involved in consenting to a right
of use of collateral provided under the security collateral arrangement.
Among other things, SFTR requires that certain clients with an open ISDA or
repo agreement receive the disclosure even if that agreement is not
currently being utilized. You are receiving this email because one of more
of your clients has such an open ISDA or repo agreement that requires you to
deliver the disclosure statement to those clients.
Please note that clients are not required to take any action in response to
the disclosure statement.
2) Steps for you to follow to comply:
a) You must deliver the attached SFTR Disclosure Letter by July 27th
to those of your clients/counterparties in scope. You may deliver the
Disclosure Letter to you clients by mail or by fax or email if your client
has consented to electronic delivery of documents.
EFTA01419175
Please note that clients are not required to take any action in
response to the disclosure statement.
b) Attach proof of delivery to the client's record in dbForce (Email,
Fax, or letter sent to the client).
Please include a copy of the Letter AND the Envelope/FedEx Label
in one attachment
c) Notify me once a) and b) have been completed.
3) Response/questions from clients:
The SFTR Disclosure Letter clearly states that no response is required from
the clients. However, any questions regarding this matter should be
managed by the Relationship Manager, with the involvement of legal or
compliance as needed.
An Internal Use Only Q&A is also attached (do not send the Q&A to the
client).
If you need any assistance or have any questions, please reach out to me or
Anna-Sofiya.
Thank you
Best,
Armen
fcid:[email protected]
Armen Brash
EFTA01419176
Director
Deutsche Bank Wealth Management
345 P -••04 New York NY USA
Tel. Fax
Mobil
Email
EFTA01419177
ℹ️ Document Details
SHA-256
356c2c5266f4dd6e3cc34ac480dac9ef5b911807ea67dc7d5ff0b6631832b19e
Bates Number
EFTA01419174
Dataset
DataSet-10
Document Type
document
Pages
4
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