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  • CFTC Proposes Rule To Reduce Regulatory Burdens For U.S. Market Participants

    Date 18/05/2018

    The Commodity Futures Trading Commission (CFTC) has approved a proposed rule to reduce regulatory burdens for U.S. market participants in order to promote economic growth and job creation, by bringing certain CFTC requirements in line with other U.S. regulators and is seeking public comments on the proposal.

  • Montréal Exchange Interest Rate Derivative Trading Ceases At 1:30 P.m. Today, Markets Closed On May 21, 2018

    Date 18/05/2018

    Interest rate derivative trading will cease at 1:30 p.m. today, May 18, 2018. Furthermore, the Exchange's markets will be closed on May 21, 2018.

  • Cboe Global Markets Declares Second-Quarter 2018 Dividend

    Date 17/05/2018

    Cboe Global Markets, Inc. (Cboe: CBOE | Nasdaq: CBOE), one of the world's largest exchange holding companies, today announced its Board of Directors has declared a quarterly cash dividend of $0.27 per share of common stock for the second quarter of 2018. The second-quarter 2018 dividend is payable on June 15, 2018, to stockholders of record as of June 1, 2018.

  • US And UK FinTech And RegTech Leaders Featured On “CFTC Talks”

    Date 17/05/2018

    The Commodity Futures Trading Commission provides a unique opportunity for “CFTC Talks” podcast listeners to hear about the agency’s efforts to promote innovation, as well as how the U.S. and U.K. regulators are collaborating to foster a better understanding of emerging financial technologies. Part 1 of this 2-part show is available today at LabCFTC/FCA Part 1. Today, May 17, also marks the one-year anniversary of the launch of LabCFTC.      

  • Brown Rudnick Alert: US Sanctions On Iran “Snap Back”: What Does It Mean?

    Date 17/05/2018

    On May 8, 2018, President Trump announced that the United States would cease implementing the Joint Comprehensive Plan of Action (“JCPOA”), triggering a re-imposition of certain previously suspended sanctions on Iran. Much of the immediate impact of this change in U.S. policy will be on non-U.S. companies that will now need to be concerned with the re-imposition of secondary sanctions applicable to non-U.S. persons. Significantly, this change in U.S. policy returns U.S. and non-U.S. companies doing business globally back to the challenging compliance environment beginning in 2010 – after U.S. and EU trade restrictions on doing business in Iran diverged markedly – a period marked by large enforcement actions by the United States against a number of EU banks for Iran-related activities.