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Limited Derivatives Users—Applying the Currency Hedging Exclusion

By Andrew P. Cross on September 1, 2021

By Stephen A. Keen and Andrew P. Cross 

Our last two posts surveyed what Rule 18f-4 and its adopting release (the “Release”) tell us about excluding currency and interest-rate derivatives from the derivatives exposure of a fund seeking to comply with the Limited Derivatives User requirements of Rule 18f-4(c)(4). The Release indicates that the SEC intends to exclude only those derivatives that:

will predictably and mechanically provide the anticipated hedging exposure without giving rise to basis risks or other potentially complex risks that should be managed as part of a derivatives risk management program.”

This post considers questions we have encountered in applying this exacting standard to currency hedging strategies.

Continue to the full post at Asset Management ADVocate.

 

  • Posted in:
    Financial
  • Blog:
    Derivatives & Repo Report
  • Organization:
    Perkins Coie LLP
  • Article: View Original Source

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