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Comments on FASB Balance Sheet Offsetting Proposal (pdf)

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3<br />

• As it relates to exchange traded derivatives, a daily variati<strong>on</strong> margin serves as a form of partial<br />

settlement of the c<strong>on</strong>tract, and is currently recognized <strong>on</strong> the balance sheet. In additi<strong>on</strong>, there<br />

is minimal credit risk related to these c<strong>on</strong>tracts, as they are transacted and settled through an<br />

exchange. It seems the proposed tabular disclosure would not provide useful informati<strong>on</strong> for<br />

these types of c<strong>on</strong>tracts and should be excluded from the final standard.<br />

Questi<strong>on</strong> 5: Do you agree with the proposed transiti<strong>on</strong> requirements in Appendix A? If not, why? How<br />

would you propose to amend those requirements and why? Please provide an estimate of how l<strong>on</strong>g an entity<br />

would reas<strong>on</strong>ably require to implement the proposed requirements.<br />

We believe implementati<strong>on</strong> of the ED will require funds and other entities to analyze and document<br />

their c<strong>on</strong>tracts, related netting arrangements, and settlement systems. We believe such effort will<br />

extend bey<strong>on</strong>d the accounting/treasury functi<strong>on</strong> into other business units and outside the reporting<br />

entity. We recommend that any final standard provide at least <strong>on</strong>e full year after issuance before it<br />

must be implemented.<br />

******************************<br />

We appreciate the opportunity to comment <strong>on</strong> the ED and would be pleased provide any additi<strong>on</strong>al<br />

informati<strong>on</strong> you may require. Please c<strong>on</strong>tact the undersigned at 202/326-5851 if you have any<br />

questi<strong>on</strong>s.<br />

Sincerely,<br />

/s/<br />

Gregory M. Smith<br />

Director – Operati<strong>on</strong>s/<br />

Compliance & Fund Accounting

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