Derivatives Clearing Organizations Regulation - Comment Letter - CBOE Futures Exchange - March 7, 2011
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Proposal Date | Comment Deadline | Final Rule Proposal |
---|---|---|
October 18, 2010 | June 3, 2011 | First Qtr. 2012 |
Proposal Date | Comment Deadline | Final Rule Issue |
---|---|---|
January 6, 2011 | June 3, 2011 | TBA |
DCO, DCM, SEF Governance Standards
March 7, 2011
From the comment letter:
CFE proposes that the CFTC should:
- "clarify that the only non-member market participants that must agree to become subject to the jurisdiction of a DCM are those non-members of a DCM that have the ability to enter orders directly into a DCM's trade matching system for execution"
- "clarify the types of significant decisions that a DCM must make public and readily accessible"
- "apply all of the same governance and transparency requirements to SEFs as are to be applied to DCMs"
References[edit]
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