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doi: 10.2139/ssrn.1746982
handle: 10419/78017
Although the United States and the European Union were both seriously impacted by the financial crisis of 2007, resulting policy debates and regulatory responses have differed considerably on the two sides of the Atlantic. In this paper the authors examine the debates on the problem posed by “too big to fail” financial institutions. They identify variations in historical experiences, financial system structures, and political institutions that help one understand the differences of approaches between the United States, EU member states, and the EU institutions in addressing this problem. The authors then turn to possible remedies and how they may be differentially implemented in America and Europe. They conclude on which policy developments are likely in the near future.
too-big-to-fail, Bankenregulierung, ddc:330, F36, G38, Großbank, Regulierung, banks, microprudential policy, comparative political economy, EU-Staaten, G21, G01, financial regulation, Finanzmarkt, USA
too-big-to-fail, Bankenregulierung, ddc:330, F36, G38, Großbank, Regulierung, banks, microprudential policy, comparative political economy, EU-Staaten, G21, G01, financial regulation, Finanzmarkt, USA
citations This is an alternative to the "Influence" indicator, which also reflects the overall/total impact of an article in the research community at large, based on the underlying citation network (diachronically). | 28 | |
popularity This indicator reflects the "current" impact/attention (the "hype") of an article in the research community at large, based on the underlying citation network. | Top 10% | |
influence This indicator reflects the overall/total impact of an article in the research community at large, based on the underlying citation network (diachronically). | Top 10% | |
impulse This indicator reflects the initial momentum of an article directly after its publication, based on the underlying citation network. | Top 10% |