📄 Extracted Text (243 words)
July 2018
DODD-FRANK QUARTERLY REPORT REGARDING UNCLEARED SWAP INITIAL MARGIN
Dear Sir or Madam:
If you are a US Person, or a Guaranteed Affiliate or Conduit Affiliate of a US Person, each as defined by the US
Commodity Futures Trading Commission ("CFTC"). CFTC rule 23.704 requires that Deutsche Bank AG, as a
registered Swap Dealer, report quarterly to any counterparty that has not elected to require segregation in accordance
with CFTC rules 23.702 and 23.703 of "Initial Margin" (as defined in CFTC rule 23.700) posted in respect of any swap
(as defined by CFTC rules) between us and such counterparty that is not submitted for clearing.
To the extent that you have elected not to segregate Initial Margin posted with us, we are hereby reporting to you that
during the second quarter period of 2018 (April 1 through to June 30), our back office procedures relating to margin
and collateral requirements were in compliance with any governing uncleared swap agreement then in effect between
us unless we notify you otherwise.
You are not required to take any action in connection with this communication. This communication does not change
any terms of any uncleared swap agreement between us. To the extent that such uncleared swap agreement is
uncollateralized, or if we do not have any agreement with you concerning our handling of your collateral, the substance
of this communication may not be relevant to you.
Very truly yours,
Deutsche Bank AG
Deutsche Bank
EFTA00793290
ℹ️ Document Details
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EFTA00793290
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document
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