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  • Statement Of CFTC Commissioner Dawn D. Stump Regarding Amending Rule 3.10(C)(3) –Exemption From Registration For Foreign Persons Acting As Commodity Pool Operators On Behalf Of Offshore Commodity Pools

    Date 28/05/2020

    Overview

    I am pleased to support the proposal before us today to amend Rule 3.10(c)(3) in order to clarify that a non-US person does not have to register as a commodity pool operator (“CPO”) with respect to its operation of offshore commodity pools for non-US participants that trade in US derivatives markets, even if that CPO also operates other commodity pools with US participants for which it is registered (or claims another exclusion or exemption from registration).  The proposal addresses an important issue, and arises from comments on a different proposed rulemaking that we issued back in October 2018.

  • Statement Of CFTC Commissioner Rostin Behnam Regarding Notice Of Proposed Rulemaking Regarding An Exemption From Registration For Certain Foreign Persons Acting As Commodity Pool Operators Of Offshore Commodity Pools And Reopening Of Comment Period

    Date 28/05/2020

    I will support today’s notice of proposed rulemaking and reopening of a comment period primarily aimed at amending the conditions of the current exemption under Commission regulation 3.10(c)(3) (referred to as the “3.10 Exemption”) available to certain non-U.S. commodity pool operators (CPOs) to further reflect the increasingly global nature of the CPO space and clarify the Commission’s approach with respect to its oversight of foreign intermediaries that are not engaged in commodity interest activities on behalf of U.S. customers.  I greatly appreciate the time and consideration that the staff of the Division of Swap Dealer and Intermediary Oversight (DSIO) gave to my comments and concerns.  I also wish to thank the Office of General Counsel (OGC) staff for ensuring that we consistently adhere to the letter and spirit of the Commodity Exchange Act (CEA or the “Act”) and regulations.  I am pleased that the ongoing dialog that has become a hallmark of many working relationships within the Commission is enduring better than ever through the pandemic, and that we can advance important policy and regulatory initiatives without sacrificing constructive debate and deliberation.

  • Statement Of Support By CFTC Commissioner Brian Quintenz Regarding The Exemption From Registration For Certain Foreign Persons Acting As Commodity Pool Operators Of Offshore Commodity Pools – Notice Of Proposed Rulemaking

    Date 28/05/2020

    I am pleased to support today’s proposal to amend the Commission’s regulation providing an exemption from registration for a foreign commodity pool operator trading on U.S. markets on behalf of foreign investors.[1]  Building on previously granted staff no-action relief, the proposal would create new possibilities for fund managers and provide for simplified compliance.  At the same time, the proposal ensures that the Commodity Exchange Act continues to protect U.S. market participants.  Like the Commission’s proposal from January addressing its jurisdiction over foreign swap dealing activities,[2] this rulemaking sensibly marks the boundaries of the Commission’s reach into foreign derivatives trading activities in light of market realities.  And like the proposal from earlier this year amending the Commission’s regulations governing commodity broker bankruptcies,[3] in this rulemaking the Commission staff applies their experience to make the Commission’s regulations more efficient. 

  • Statement Of CFTC Chairman Heath P. Tarbert In Support Of Amending The Registration Exemption For Foreign CPOs

    Date 28/05/2020

    In his second inaugural address in 1893, President Grover Cleveland remarked that “[u]nder our scheme of government the waste of public money is a crime against the citizen.” The CFTC is a taxpayer-funded agency, and Congress expects us to deploy our resources to serve the needs of American taxpayers.  That is why as Chairman and Chief Executive, I have sought to revisit our agency’s regulations where there does not appear to be a clear connection to furthering the interests of the United States or our citizens.

  • Moscow Exchange: Risk Parameters For New Bonds

    Date 28/05/2020

    New bonds will be accepted to margin trading starting from 29.05.2020. From this date on, the following risk parameters will be applied: