Issues impacting large global banks
Implementation of Dodd-Frank Act
Basel III rulemaking
Enhanced Resolution Planning
Long-term Debt Requirements
Proposed Addition to Part 364 of the FDICs Rules and Regulations of Appendix C
Personal Data Rights
Climate-related financial risk
Community Reinvestment Act
Sanctions Implementation
SEC Climate Disclosure Rule
CFTC Operational Resiliency Framework for Swap Dealers
American Privacy Rights Act as it applies to financial institutions
SEC market structure proposals
Taxes as they apply to financial institutions
AI, issues around financial technology policy
Digital Assets/Crypto/Stable coins
Debit interchange fees
Cybersecurity
Deposit Insurance Reform
Related Foreign Entities:
Sumitomo Mitsui Financial Group, Inc. (Tokyo, JPN); contribution to lobbying: $0; ownership 100%
Lobbyists
Lobbyists named here were listed on a filing related to this lobbying engagement. They may not be working on it now. Occasionally, a single lobbyist whose name is spelled two different ways on filings may be represented twice here.
Legis. Dir., Rep. Miller (2013-2014); Financial Services Policy Advisor, Rep. Miller, (2011-2014); Legis. Correspondent, Sen. Grassley, (2004-2006)
Disclosures Filed
Once a lobbying engagement begins, the lobbyist or firm is required to file updates four times a year. Those updates sometimes change which lobbyists are involved or add new issues being discussed. When lobbyists stop working for a client, the firm is also supposed to file a report disclosing the end of the relationship.
Registration
Source: Clerk of the U.S. House of Representatives and Secretary of the Senate