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  • Dissenting Statement Of CFTC Commissioner Rostin Behnam On Capital Requirements Of Swap Dealers And Major Swap Participants

    Date 22/07/2020

    I respectfully dissent from the Commodity Futures Trading Commission’s (the “Commission” or “CFTC”) rulemaking today regarding Capital Requirements of Swap Dealers and Major Swap Participants (the “Final Capital Rule”).

  • CFTC Swaps Report Update

    Date 22/07/2020

    CFTC's Weekly Swaps Report has been updated, and is now available.

  • Opening Statement Of CFTC Commissioner Dan M. Berkovitz At July 22 Commission Meeting - We Must Preserve The Protections Of The Dodd-Frank Act

    Date 22/07/2020

    Ten years ago yesterday, President Barack Obama signed into law the Dodd-Frank Wall Street Reform and Consumer Protection Act (“Dodd-Frank Act”).  Drafted in the midst of the most severe financial crisis and economic recession since the 1930s, the Dodd-Frank Act created a new, comprehensive framework for regulating swap markets.  The absence of swap market regulation and transparency had helped to cause the crisis.  Over the past decade, the CFTC has worked diligently to develop regulations to implement the Dodd-Frank framework.


  • Supporting Statement Of CFTC Commissioner Brian Quintenz Regarding Establishing Capital Requirements For Swap Dealers And Major Swap Participants And Amending Existing FCM Capital Requirements

    Date 22/07/2020

    Ten years and one day ago, the Dodd-Frank Act Wall Street Reform and Consumer Protection Act was enacted.  I am proud to vote for today’s final rule which, in my view, is the capstone of the Commodity Futures Trading Commission’s (CFTC or Commission) work to appropriately calibrate the post-crisis reforms.  Capital ensures that firms are able to continue to operate during times of economic and financial stress by providing an adequate cushion to protect them from losses.  Just as important as the safety and soundness of individual firms, capital is designed to give the marketplace confidence that any given firm has a high probability of surviving the next crisis.

  • Statement Of CFTC Chairman Heath P. Tarbert In Support Of Final Swap Dealer Capital Rule

    Date 22/07/2020

    Today marks 10 years and a day since the Dodd-Frank Wall Street Reform and Consumer Protection Act (“Dodd-Frank Act”) was signed into law.  Much has changed during the past decade—our derivatives markets today are faster, increasingly digital, and more deeply connected to the global economy than they were in 2010.  Yet amidst these changes, there has been at least one constant: the absence of capital requirements for swap dealers and major swap participants for which the CFTC is responsible.  As a response to the credit crisis of 2008, Section 731 of the Dodd-Frank Act amended the Commodity Exchange Act (“CEA”), providing that the CFTC “shall adopt” capital and financial reporting requirements for these entities.  It is high time to fulfill this mandate and close the book on our Dodd-Frank Act responsibilities.  After all, “late” is always better than “too late.”