CFTC Staff Letters
CFTC Staff Letters provides Letters from 2008 and later. For Letters published before 2008 visit the Letters Archive page.
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15-66 | Letter Type: Advisories Division: DSIO Regulation Parts: 23.204, 23.205 Tags: Real-Time, Reporting, SDR Issuance Date: Description: Proper reporting of swaps is an important obligation of SDs and MSPs. Firms should ensure that they have the systems and controls to properly report and to timely identify and correct any errors. Firms should periodically test their systems to ensure that the information is being properly transmitted. Further, any changes in systems that could have an effect on proper reporting should be tested and verified prior to any such changes. |
15-65 | Letter Type: No-Action Division: DMO, DSIO Regulation Parts: 1.35 Tags: Cash, Forward Issuance Date: Description: As the Commission continues to consider the issues in the Proposed Amendment, the Divisions believe an extension of the no-action relief in CFTC Staff Letter No. 14-147 is warranted. Accordingly, with respect to Regulation 1.35(a), the Divisions will not recommend an enforcement action against a CTA that is a member of a DCM or of a SEF for failure to maintain records of oral communications and will not recommend an enforcement action against a market participant subject to Regulation 1.35(a) on the grounds that its records of oral and written communications that lead to the execution of a transaction are not linked to or otherwise identified with a particular transaction. |
15-64 | Letter Type: No-Action Division: DMO, DCR, DSIO Regulation Parts: 23.202, 23.205, 23.500, 23.501, 23.502, 23.503, 23.504, 23.505, 23.506, 23.610, 23.700, 23.701, 23.702, 23.703, 23.704, 37.12, 38.11, 43, 50 Tags: Clearing Requirement, Execution, Portfolio, Public, Real-Time, Reporting, Segregated, Segregation, Swap Issuance Date: Description: Wells Fargo requests no-action relief permitting the London Branch and its counterparties to comply with the relevant requirements applicable to its Foreign Clients in lieu of the Commissions Transaction-Level Requirements. Wells Fargo requests the no-action relief only with respect to swaps between the London Branch and its Foreign Clients. Based on the foregoing and the representations made by Wells Fargo, the Divisions believe that granting no-action relief is warranted. |
15-63 | Letter Type: No-Action Division: DCR Regulation Parts: 50.52 Tags: Exemption, Swaps Issuance Date: Description: The purpose of this letter is to extend no-action relief previously granted by the Division of Clearing and Risk (Division) of the Commodity Futures Trading Commission (Commission) under No-Action Letter 14-135 that addressed certain challenges faced by market participants arising from the fact that other jurisdictions are still in the process of implementing mandatory clearing regimes. |
15-62 | Letter Type: No-Action Division: DMO Regulation Parts: 2(h)(8) Tags: Trade Execution Issuance Date: Description: On November 7, 2014, in response to a request from ISDA similar to that previously received,6 the Division issued CFTC Letter No. 14-136 extending the relief granted in CFTC Letter No. 14-26 until December 31, 2015. The Division explained that the rationale for relief was unchanged and it needed additional time to assess whether the relief should be permanent. On August 31, 2015, ISDA again requested that the Commission exercise its authority pursuant to CEA section 4(c) to establish a permanent exemption for inter-affiliate swaps from the trade execution requirement under CEA section 2(h)(8). To allow time for the Commission to consider the request, ISDA requested that the Commission further extend the relief granted in CFTC Letter No. 14-26. The Division has determined to extend the no-action relief granted by CFTC Letter No. 14-26 until 11:59 p.m. (Eastern Time) December 16, 2016. |
15-61 | Letter Type: No-Action Division: DMO Regulation Parts: 45, 46 Tags: Recordkeeping, Reporting, Swap Data, Transition Swaps Issuance Date: Description: As noted in the Request Letter, the Commission has not yet issued comparability determinations as to whether the regulatory requirements of any foreign jurisdiction are comparable to and as comprehensive as the applicable requirements under the Commodity Exchange Act and Commission regulations with respect to the SDR Reporting Rules.5 While review of those requests for comparability determinations that have been received by the Commission continues, the Division believes that it would be appropriate to provide an extension of the time-limited no-action relief provided in CFTC Letter No. 14-141. |
15-60 | Letter Type: No-Action Division: DMO Regulation Parts: 43.2 Tags: Issuance Date: Description: The Division agrees that SEFs can facilitate the pre-trade credit checks that are required for FCMs and SEFs to comply with §§1.73 and 37.702(b), respectively. The Division has determined to extend the no-action relief provided in No-Action Letter 14-118. |
15-59 | Letter Type: Exemption Division: DSIO Regulation Parts: 4.22 Tags: Pool Participant, Reporting Issuance Date: Description: Relief from the audit requirement of Commission regulation 4.22(d) for A with respect to B. You request on behalf of A, the commodity pool operator (the CPO) for B (the Pool), relief from the requirement in Commission regulation 4.22(d) to have an independent public accountant audit the financial statements in the Pools annual report for fiscal year 2014. |
15-58 | Letter Type: Exemption Division: DSIO Regulation Parts: 4.7 Tags: CPO, Exemption Issuance Date: Description: Request on behalf of A, that A receive the relief provided in CFTC Staff Letter No. 15-44 with respect to the additional pools listed in Appendix A (the Additional Pools) for which A serves as their registered commodity pool operator. Specifically, with respect to the Additional Pools, you request relief from the requirement in Commission regulation 4.7(b)(2) for a CPO to distribute to pool participants quarterly account statements within 30 days of the end of the quarter. |
15-57 | Letter Type: Exemption Division: DSIO Regulation Parts: 4.7(b)(3), 4.22 Tags: Annual Report, CPO, Exemptions, Pool Participant, Reporting Issuance Date: Description: Request for Relief from Presenting Annual Reports in Accordance with A. May 19, 2015 letter to the Division of Swap Dealer and Intermediary Oversight, and amended by subsequent correspondence on September 11, 2015, requesting on behalf of B, the commodity pool operator of C (the Pool), requesting that the CPO be granted relief to use D in lieu of A in the preparation of the financial reports for the Pool. |