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 a letter to the CFTC’s Division of Market Oversight (Division) requesting time-limited, conditional no-action relief from the trade […]
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MFA Submits Comments to CFTC on Package Trades04.23.14
On April 23, MFA submitted a comment letter to the CFTC on certain rule amendments self-certified by ICE Swap Trade, LLC concerning […]
Topics: CFTC Commodity Futures Trading Commission, ICE Swap Trade LLC, package transactions, swaps, execution, made available for trading, MAT swap, efficiency, Division of Market Oversight, no-action letters, financial instrument, swap execution facilities, SEF, Citadel LLC, swap curves, market agreed coupon, MAC, DCM, Designated Contract Market, swap spread, swap butterflies, market participant, market infrastructures, futures commission merchant, FCM, derivatives clearing organization, DCO, CFTC Letter No. 14-12, market liquidity, liquidity, settlement, exchange for related position, EFRPs, Technology Advisory Committee, bid-offer spreads, risk transfer, hedging, counterparties,