Exhibit 4, Page 6
An overview of the Leveraged Lending Guidance
LSTA and ABA ask OCC, FDIC and Federal Reserve for 12 months to implement Leveraged Lending Guidance.
At the request of the banking agencies, the LSTA and ABA submit an additional comment letter explaining why fallen angels should not be included in the leveraged lending guidance.
The LSTA and ABA submit comment letter on leveraged lending guidance.
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Membership in the LSTA offers numerous benefits and opportunities. Chief among them is the opportunity to participate in the decision making process that ultimately establishes loan market standards, develops market practices, and influences the market’s direction.