On March 31, MFA filed a position paper with the CFTC titled “Why Eliminating Post-Trade Name Disclosure Will Improve the […]
MFA submitted a request for no-action relief to the CFTC for the three categories of package transactions for which relief from the […]
MFA submitted letters to Timothy Massad, the newly confirmed Chairman of the Commodity Futures Trading Commission (CFTC), along with the […]
MFA and AIMA submitted a joint comment letter to the CFTC on its swap data reporting rules. In the letter, […]
On April 23, MFA submitted a comment letter to the CFTC on certain rule amendments self-certified by ICE Swap Trade, LLC concerning […]
MFA submitted comments on the CFTC’s proposed rule on aggregation limits. MFA was generally supportive of the CFTC’s disaggregation relief […]
MFA submitted a letter to the CFTC’s Division of Market Oversight (Division) requesting time-limited, conditional no-action relief from the trade […]
On January 8, MFA submitted a letter as a request for action by the CFTC to conduct targeted compliance reviews […]
MFA submitted comments to the CFTC regarding a concept release on risk controls and system safeguards for automated trading environments. […]
MFA submitted a supplemental comment letter to the CFTC in response to the amended Made Available-to-Trade (MAT) determinations of Javelin […]
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