My take, up on Dealbook. I've also authored a comment letter on the topic. The point is not to question the creation of a separate resolution authority — that's already done — but to question the creation of a whole new set of rules, that are largely the same but just so slightly different from those applied in chapter 11.

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One response to “FDIC’s Proposed Rules on Resolution Authority”
Who IS drafting the new FDIC resolution authority regs? And by “who” I mean of course which lobbying firm?