External Meetings
Date | MEETING WITH | REGARDING RULEMAKING |
---|---|---|
Bloomberg LP | More Info
XIII. SEF RegistrationXVI. Swap Data Repositories Registration |
|
BP America Inc. | More Info
General |
|
Covington & Burling LLP | More Info
General |
|
Covington | More Info
General |
|
Parity Energy discussed the following aspects of the FNPRM: - Requested a separate swap category for swaps that are economically related to crude oil options because transactions in such options are typically larger in scale and fewer in number than those in fixed price energy instruments; - Requested that the final rule to clarify that any natural gas swap with optionality be subject to the minimum block size proposed in Appendix F of the FNPRM for natural gas options rather than the minimum block size for natural gas swaps;  - Recommended setting a separate initial minimum block size for crude oil options at 1,000 contracts, consistent with CMEâs minimum block size for Light Sweet Crude Oil options transactions. | More Info
Block Sizes for Large Notional Off-Facility Swaps,XVIII. Real Time Reporting, |
|
Covington and Burling LLP | More Info
II. Definitions |
|
Parity Energy discussed the following aspects of the FNPRM: - Requested a separate swap category for swaps that are economically related to crude oil options because transactions in such options are typically larger in scale and fewer in number than those in fixed price energy instruments; - Requested that the final rule to clarify that any natural gas swap with optionality be subject to the minimum block size proposed in Appendix F of the FNPRM for natural gas options rather than the minimum block size for natural gas swaps; - Recommended setting a separate initial minimum block size for crude oil options at 1,000 contracts, consistent with CME’s minimum block size for Light Sweet Crude Oil options transactions. | More Info
XVIII. Real Time ReportingBlock Sizes for Large Notional Off-Facility Swaps |
|
Parity Energy discussed the following aspects of the FNPRM: - Requested a separate swap category for swaps that are economically related to crude oil options because transactions in such options are typically larger in scale and fewer in number than those in fixed price energy instruments; - Requested that the final rule to clarify that any natural gas swap with optionality be subject to the minimum block size proposed in Appendix F of the FNPRM for natural gas options rather than the minimum block size for natural gas swaps; - Recommended setting a separate initial minimum block size for crude oil options at 1,000 contracts, consistent with CME’s minimum block size for Light Sweet Crude Oil options transactions. | More Info
Block Sizes for Large Notional Off-Facility SwapsXVIII. Real Time Reporting |
|
Eaton Vance | More Info
XIII. SEF Registration |
|
Eaton Vance | More Info
XIII. SEF Registration |