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Joint trades letter supporting legislation to improve guardrails and transparency in the designation process for systemically important financial institutions (H.R. 3682, the Financial Stability Oversight Council Improvement Act of 2025).
The IAA supported FSOC’s proposed activities-based approach to identify, assess, and address potential systemic risk in nonbank financial companies. The IAA also argued that the fundamental nature of asset management does not pose systemic risk because it is an agency business, and that asset managers are subject to robust regulation.
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