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.S. and Germany. After presenting a detailed overview of U.S. and German regulations, this study thoroughly compares the level … of flexibility funds have in both countries. I find that funds in the U.S. and Germany face limits on direct leverage … their net assets). Additionally, issuer-oriented rules in the U.S. and Germany account for issuer risk differently: U …
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.S. and Germany. After presenting a detailed overview of U.S. and German regulations, this study thoroughly compares the level … of flexibility funds have in both countries. I find that funds in the U.S. and Germany face limits on direct leverage … their net assets). Additionally, issuer-oriented rules in the U.S. and Germany account for issuer risk differently: U …
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includes de jure rules relating to derivative enforcement. Despite convergence of the UK system towards the US model, each … explained by the way the courts implement the derivative procedure de facto. A comparative assessment of de facto implementation …
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The aim of this article is to examine the threat of systemic risk posed by speculative OTC derivative financing to … threats that OTC derivative financing may have on the overall stability of contemporary financial systems. While the threat is …
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