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November 10, 2017
11/3/2017
June 28, 2017

On June 14, 2017, U.S. Citizenship and Immigration Services (“USCIS”) updated its Policy Manual to further clarify the “at risk” requirements for EB-5 capital investments and provided additional guidance on redeployment. Read our client alert for more information.

Client Alert
February 9, 2017
"Variation margin (VM) rules," which apply to U.S. swap dealers, are proposed to go into effect on March 1 in the U.S. To find out more about the protocols and possible exceptions to them, read our client alert.
Client Alert
December 8, 2016

This client alert provides an overview of recent changes to Section 8855 of the Government Code of the State of California (“Govt. Code Section 8855”) that impose additional reporting requirements and impact how and when state and local government agencies (referred to herein as “Issuers”) submit information to the California Debt and Investment Advisory Commission (“CDIAC”) in connection with debt issuance.

Client Alert
June 6, 2014
October 15, 2013
May 20, 2013
April 16, 2013

This newsletter describes the circumstances under which an issuer of tax-exempt bonds or a conduit borrower benefitting from an issue of tax-exempt bonds can cause a “reissuance” of one or more tax-exempt bonds, and briefly discusses the material consequences of creating a reissuance of tax-exempt bonds. Kutak Rock LLP reminds clients to review transaction documents and consult with counsel prior to making amendments to bond provisions.

Newsletter
April 9, 2013
As noted in our March 28, 2013 Client Alert, on March 15, 2013 the federal Commodity Futures Trading Commission (CFTC) issued an advisory which stated that all swap participants needed to obtain a Legal Entity Identifier number (also known as an LEI or CICI) prior to April 10, 2013. While the language of the CFTC’s advisory was unambiguous, it conflicted with a prior CFTC regulation which provided participants in existing swaps until October 7, 2013 to obtain a CICI (although anyone entering into a new swap on or after April 10 must have a CICI when entering into the new swap). Although some CFTC staff have reportedly orally acknowledged the October 7 date is correct, the CFTC has not yet officially clarified the advisory.
Client Alert
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