15 March 2019
By FIA
FIA’s comment letter to the rulemaking requests, among other things, that any final SEF rules clarify the risk management obligations of FCMs that clear swaps traded on SEFs, and that the agency address the operational challenges and costs that the SEF NPRM would impose on all market participants. The letter also asks that the CFTC re-visit the proposed “Made Available to Trade” process and blanket prohibition on pre-execution communications on behalf of FIA’s commodities members.
Read the full letter under Resources on the right.
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