31) To the Extent That the Price or Nonprice Terms Applied to Separately Managed Accounts Established with Investment Advisers Have Tightened or Eased over the Past Three Months (as Reflected in Your Responses to Questions 29 and 30), What Are the Most Important Reasons for the Change?| B. Possible Reasons for Easing | 3. Adoption of Less-Stringent Market Conventions (That is, Collateral Terms and Agreements, Isda Protocols). | Answer Type: 3rd Most Important (ALLQ31B33MINR)
Observations
Q4 2024: 0 | Number of Respondents, Not Seasonally Adjusted | Quarterly
Updated: Dec 26, 2024 1:22 PM CST
Next Release Date: Not Available
Observations
Q4 2024: | 0 | |
Q3 2024: | 0 | |
Q2 2024: | 0 | |
Q1 2024: | 0 | |
Q4 2023: | 0 | |
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Notes
Source: Board of Governors of the Federal Reserve System (US)
Release: Senior Credit Officer Opinion Survey on Dealer Financing Terms
Units: Number of Respondents, Not Seasonally Adjusted
Frequency: Quarterly
Suggested Citation:
Board of Governors of the Federal Reserve System (US), 31) To the Extent That the Price or Nonprice Terms Applied to Separately Managed Accounts Established with Investment Advisers Have Tightened or Eased over the Past Three Months (as Reflected in Your Responses to Questions 29 and 30), What Are the Most Important Reasons for the Change?| B. Possible Reasons for Easing | 3. Adoption of Less-Stringent Market Conventions (That is, Collateral Terms and Agreements, Isda Protocols). | Answer Type: 3rd Most Important [ALLQ31B33MINR], retrieved from FRED, Federal Reserve Bank of St. Louis; https://fred.stlouisfed.org/series/ALLQ31B33MINR, March 13, 2025.
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