Professor McCoy coauthored this comment on a proposal by the Financial Stability Oversight Council to overhaul systemic risk regulation for nonbank financial firms
This comment letter was submitted to the U.S. Treasury Department in connection with that Department...
In a recent article, Professor Steven Schwarcz describes the concept of ring-fencing as a potenti...
The financial crisis of 2007–2008 revealed many inadequacies in the pre-crisis approach to financial...
Professor McCoy coauthored this comment on a proposal by the Financial Stability Oversight Council t...
The recent financial crisis demonstrated that, contrary to longstanding regulatory assumptions, nonb...
A central lesson of the global financial crisis is that banks are not the only financial firms that ...
Response offering comment on the Consumer Federal Protection Bureau\u27s adopted regulations and new...
In this comment letter, Professor McCoy responds to the Advance Notice of Proposed Rulemaking on Qua...
In this comment Professor McCoy responds to a proposed rule on protections for borrowers affected by...
In this comment Professor McCoy responds to the proposed rule on the definition of a General Qualifi...
Response discussing whether the Consumer Federal Protection Bureau should alter its procedures for a...
Response offering comment on the Consumer Federal Protection Bureau\u27s inherited regulations and i...
Comment submitted to the federal government on a proposal to revise the rule implementing the Commun...
Response discussing whether the Consumer Federal Protection Bureau should continue its financial edu...
I agree with just about everything Jonathan Macey (2017) says in his symposium contribution. His cla...
This comment letter was submitted to the U.S. Treasury Department in connection with that Department...
In a recent article, Professor Steven Schwarcz describes the concept of ring-fencing as a potenti...
The financial crisis of 2007–2008 revealed many inadequacies in the pre-crisis approach to financial...
Professor McCoy coauthored this comment on a proposal by the Financial Stability Oversight Council t...
The recent financial crisis demonstrated that, contrary to longstanding regulatory assumptions, nonb...
A central lesson of the global financial crisis is that banks are not the only financial firms that ...
Response offering comment on the Consumer Federal Protection Bureau\u27s adopted regulations and new...
In this comment letter, Professor McCoy responds to the Advance Notice of Proposed Rulemaking on Qua...
In this comment Professor McCoy responds to a proposed rule on protections for borrowers affected by...
In this comment Professor McCoy responds to the proposed rule on the definition of a General Qualifi...
Response discussing whether the Consumer Federal Protection Bureau should alter its procedures for a...
Response offering comment on the Consumer Federal Protection Bureau\u27s inherited regulations and i...
Comment submitted to the federal government on a proposal to revise the rule implementing the Commun...
Response discussing whether the Consumer Federal Protection Bureau should continue its financial edu...
I agree with just about everything Jonathan Macey (2017) says in his symposium contribution. His cla...
This comment letter was submitted to the U.S. Treasury Department in connection with that Department...
In a recent article, Professor Steven Schwarcz describes the concept of ring-fencing as a potenti...
The financial crisis of 2007–2008 revealed many inadequacies in the pre-crisis approach to financial...