We use cookies to customise content for your subscription and for analytics.
If you continue to browse Lexology, we will assume that you are happy to receive all our cookies. For further information please read our Cookie Policy.

Search results

Order by: most recent most popular relevance



Results:1-10 of 18

Après LIBOR: Black Swan or Y2K
  • Sullivan & Worcester LLP
  • USA
  • June 27 2018

Unquestionably, the London Inter-Bank Offered Rate ("LIBOR") is an integral part of nearly every type of financial product available in the financial


October and November Developments
  • Sullivan & Worcester LLP
  • USA
  • December 8 2017

For the first time in my memory, the Congress passed a joint resolution to disapprove a final regulation of a federal agencyin this case the


May, June and July Developments
  • Sullivan & Worcester LLP
  • USA
  • August 9 2017

With a straight face, President Trump has issued an executive order on June 20th that would expand Apprenticeship opportunities in the US in order


The Top Five "Gotcha" Deficiencies Plaguing Asset Managers and How to Avoid Them
  • Sullivan & Worcester LLP
  • USA
  • March 1 2017

Let’s start with this caveat: as we all know, under the still-new Trump Administration, priorities may and are likely to change. Now that we got that


Hedging strategies for power contracts part four: structuring Synthetic PPAs
  • Sullivan & Worcester LLP
  • USA
  • September 11 2014

As we mentioned last week in Part 3 of our series on Hedging Strategies in Power Contracts, project companies are not always able to find a


Hedging strategies for power contracts part two: Revenue Put Options
  • Sullivan & Worcester LLP
  • USA
  • August 27 2014

As we stated yesterday in the first post in our series on hedging strategies for power contracts, one of the more popular hedging strategies is the


Effects of CFTC swap interpretations on subsidiary guarantees of new and existing credit facilities
  • Sullivan & Worcester LLP
  • USA
  • February 11 2013

The purpose of this Client Advisory is to alert lenders and borrowers to the impact that recent Commodity Futures Trading Commission (CFTC) swap


CFTC regulation of swaps under Dodd-Frank an update on recent developments for end-user counterparties
  • Sullivan & Worcester LLP
  • USA
  • January 29 2013

Since our September 28, 2012 corporate advisory (Project Planning for Swap End-Users under CFTC Dodd-Frank Rules), the Commodity Futures Trading


Project planning for swap end-users under CFTC Dodd-Frank rule
  • Sullivan & Worcester LLP
  • USA
  • September 28 2012

Title VII of the Dodd-Frank Wall Street Reform and Consumer Protection Act of 2010 (“Dodd-Frank”) imposes registration, reporting, clearing, conduct and other requirements on previously unregulated swaps markets.


Roy Andersen
  • Sullivan & Worcester LLP