MFA submitted comments on the CFTC’s proposed rule on aggregation limits. MFA was generally supportive of the CFTC’s disaggregation relief […]
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MFA Submits Letter to CFTC on Proposed Aggregation Limits Rule02.07.14
MFA submitted comments on the CFTC’s proposed rule on aggregation limits. MFA was generally supportive of the CFTC’s disaggregation relief […]
Topics: CFTC Commodity Futures Trading Commission, aggregate limit, disaggregation relief, trading strategies, owned entities, commodity pool, passive ownership, OTC derivatives, OTC derivatives market, liquidity, price discovery, capital markets, risk management, pension fund, diversification, volatility, fund of funds, master fund, designated contract markets, DCM, swap execution facilities, SEF, general partner, Limited Partner, position limits, independent trading systems, passive pool participant, FCM, futures commission merchant, independent account controllers, underwriter, broker-dealer, commodity pool operator, CPO, compliance, David Stawick, research personnel, trading decisions, passively-owned operating company, transparency, Dodd-Frank Act, International Swaps and Derivatives Association, ISDA, International Swaps and Derivatives Association v. United States Commodity Futures Trading Commission, systemically important clearing organization, SIDCO, hedging, generally accepted accounting principles, GAAP, de minimis, investment managers,