Release Number 5856-10

July 21, 2010

CFTC Releases List of Areas of Rulemaking for Over-the-Counter Derivatives

Washington, DC – The Commodity Futures Trading Commission (CFTC) today released the list of 30 areas of rulemaking to implement the Wall Street Reform and Consumer Protection Act. Some of these areas will require only one rule, while others may require more. The CFTC is required to complete these rules generally in 360 days, though some are required to be completed within 90, 180 or 270 days.

“The CFTC, working along with the SEC and other regulators, will have a full and busy rule-writing agenda over the coming year,” CFTC Chairman Gary Gensler said. “The financial reform bill presents new responsibilities and authorities for the agency. The Commission looks forward to taking on these new responsibilities to lower risk, promote transparency and protect the American public.

“We have begun preparing for the task of writing rules for the swaps marketplace by identifying 30 topic areas where we have determined rule-writing to be necessary. Teams of staff within the agency have been assigned to each rule-writing area and will see the process through, from analyzing the statute’s requirements, to broad consultation, to recommending proposed rulemakings to publishing final rules.”

The rule-writing areas have been divided into eight groups: Comprehensive Regulation of Swap Dealers & Major Swap Participants; Clearing; Trading; Data; Particular Products; Enforcement; Position Limits; and Other Titles.

The Commission is requesting input from the public on each of the rule-writing areas. Instructions for submitting views can be accessed on the individual rule-writing pages on the CFTC’s website at /LawRegulation/DoddFrankAct/index.htm.

 

   
Comprehensive Regulation of Swap Dealers & Major Swap Participants:
I.Registration 
II.Definitions, such as Swap Dealer, Major Swap Participant, Security-Based Swap Dealer and Major Security-Based Swap Participant, to be Written Jointly with SEC
III.Business Conduct Standards with Counterparties
IV.Internal Business Conduct Standards
V.Capital & Margin for Non-banks
VI.Segregation & Bankruptcy for both Cleared and Uncleared Swaps
Clearing:
VII.DCO Core Principle Rulemaking, Interpretation & Guidance 
VIII.Process for Review of Swaps for Mandatory Clearing
IX.Governance & Possible Limits on Ownership & Control
X.Systemically Important DCO Rules Authorized Under Title VIII
XI.End-user Exception
Trading:
XII.DCM Core Principle Rulemaking, Interpretation & Guidance 
XIII.SEF Registration Requirements and Core Principle Rulemaking, Interpretation & Guidance
XIV.New Registration Requirements for Foreign Boards of Trade
XV.Rule Certification & Approval Procedures (applicable to DCMs, DCOs, SEFs)
Data:
XVI.Swap Data Repositories Registration Standards and Core Principle Rulemaking, Interpretation & Guidance 
XVII.Data Recordkeeping & Reporting Requirements
XVIII.Real Time Reporting
Particular Products:
XIX.Agricultural Swaps 
XX.Foreign Currency (Retail Off Exchange)
XXI.Joint Rules with SEC, such as “Swap” and “Security-Based Swap”
XXII.Portfolio Margining Procedures
Enforcement:
XXIII.Anti-Manipulation 
XXIVDisruptive Trading Practices
XXV.Whistleblowers
Position Limits:
XXVI.Position Limits, including Large Trader Reporting, Bona Fide Hedging Definition & Aggregate Limits 
Other Titles:
XXVII.Investment Adviser Reporting 
XVIII.Volcker Rule
XXIX.Reliance on Credit Ratings
XXX.Fair Credit Reporting Act and Disclosure of Nonpublic Personal Information

Media Contacts
Scott Schneider
202-418-5174

R. David Gary
202-418-5085

 

Last Updated: September 28, 2010