EDF TRADING A leader in the international wholesale energy market. 27 February 2012

Size: px
Start display at page:

Download "EDF TRADING A leader in the international wholesale energy market. 27 February 2012"

Transcription

1 EDF TRADING A leader in the international wholesale energy market 27 February 2012

2 The Dodd-Frank Act Overview The Commodities Futures Trading Commission (CFTC) The Dodd-Frank Act What is it? What does it mean? Definitions and designations Position Limits Potential impacts What s next? 2

3 The CFTC There are five CFTC Commissioners. The commissioners are appointed by the President with confirmation by the Senate. Commissioners serve five-year terms. No more than three commissioners may be from the same political party, at any one time. Chairman Gary Gensler (D) Sworn in on May 26, Commissioner Jill Sommers (R) Sworn in on August 8, Second term began in Commissioner Bart Chilton (D) Sworn in on August 8, Second term began in Commissioner Scott O Malia (R) Sworn in on October 8, Commissioner Mark Wetjen (D) Sworn in on October 25,

4 The Dodd-Frank Act What, Why and How? The Dodd-Frank Wall Street Reform and Consumer Protection Act (Dodd-Frank) was signed into law by President Obama on July 21, Title VII of Dodd-Frank has the most significant impact on the energy sector. The intent of Dodd-Frank is to establish a regulatory framework for swaps and security-based swaps to reduce systemic risk, increase market transparency and increase financial stability. How will this be accomplished? Registration and comprehensive legislation of swap dealers (SDs) and major swap participants (MSPs). Clearing and trade execution requirements on standardized derivative products. Moving the OTC derivatives market onto regulated clearing exchanges. Implementing and increasing recordkeeping and real-time reporting requirements. Enhancing the Commodity Futures Trading Commission s (CFTC) rulemaking and enforcement authorities. 4

5 Dodd-Frank Definitions What is a swap? The definition of swap is very broad and includes a wide variety of agreements, contracts and transactions. Under Dodd-Frank, the term swap means any agreement, contract, or transaction- that is a put, call, cap, floor, collar, or similar option of any kind that is for the purchase or sale, or based on the value, of 1 or more interest or other rates, currencies, commodities, securities, instruments of indebtedness, indices, quantitative measures, or other financial or economic interests or property of any kind; that provides for any purchase, sale, payment, or delivery (other than a dividend on an equity security) that is dependent on the occurrence, nonoccurrence, or the extent of the occurrence of an event or contingency associated with a potential financial, economic, or commercial consequence. There is an exclusion for forward contracts. The swap definition excludes any sale of a nonfinancial commodity for deferred shipment or delivery, so long as it the transaction is intended to be physically settled. 5

6 Dodd-Frank Update The General Rules All swaps that can be cleared, must be cleared. All swaps that can be traded on an exchange, must be traded on an exchange. All swaps, cleared and uncleared, shall be reported to a swap data repository (SDR) or to the CFTC if SDRs will not accept the swap. Current registered SDRs in the energy space include: ICE DTCC Real-time reporting and time stamping of trades may be required. Recordkeeping requirements apply to all swap counterparties, including those with an end user exception. 6

7 Dodd-Frank Designations Swap Dealer (SD) An entity that: Holds itself out as a dealer in swaps; Makes a market in swaps; Regularly enters into swaps with counterparties as an ordinary course of business for its own account; or Engages in any activity causing the person to be commonly known in the trade as a dealer or market maker in swaps. Major Swap Participant (MSP) A person that maintains a substantial position in any of the major swap categories, excluding positions held for hedging or mitigating commercial risk and positions maintained by certain employee benefit plans for hedging or mitigating risks in the operation of the plan; A person whose outstanding swaps create substantial counterparty exposure that could have serious adverse effects on the financial stability of the U.S. banking system or financial markets; Any financial entity that is highly leveraged relative to the amount of capital such entity holds and that is not subject to capital requirements established by an appropriate Federal banking agency and that maintains a substantial position in any of the major swap categories. 7

8 Dodd-Frank Designations But I m an End User!! End User is not a designation of an entity type under Dodd-Frank. The CFTC has not proposed a definition for End User and is not expected to propose a definition. Non-Swap Dealer, Non-Major Swap Participant Also referred to as an End User or Other. No Registration Required If you do not register as a Swap Dealer or a Major Swap Participant, you will be considered a Non-Swap Dealer, Non-Major Swap Participant. 8 EDF TRADING

9 The End User Exception The End User exception relieves a company of the obligation of mandatory clearing of swaps. Exception cannot be elected for the entire organization. Exception is requested on a transaction basis and requires Board approval. There are a number of reporting requirements associated with an end user exception. A swap may be exempt from mandatory clearing if one of the counterparties to the swap: Is not a financial entity; Is using swaps to hedge or mitigate commercial risk; and Notifies the CFTC how it generally meets its financial obligations associated with entering uncleared swaps. Companies may still be required to post initial and variation margin on transactions. If the company with an end user exception elects to clear, it may select the Derivatives Clearing Organization (DCO) where the swap will be cleared. 9

10 Swap Dealer Requirements Just to name a few Registration with CFTC by way of the NFA. Completion of Form 7-R. Principals may need to complete Form 8-R, including fingerprints and background checks. Associated persons (APs) probably will not need to register. APs include traders, originators and those affecting swaps. Verification of no statutory disqualification. Anticipated costs: Application fee $15,000, initial membership dues, annual dues. NFA is seeking additional guidance from CFTC on registration process. Business conduct with counterparties (CP). Know your counterparty (KYC) requirements. Suitability requirement for recommendations to CPs. Disclosure of material risks and scenario analysis to CPs. Reckless disregard standard for trades where CP is committing fraud. Price must bear a reasonable resemblance to the best terms available. Must provide a daily mark for marker mid-point to CP for uncleared swaps. 10 Internal business conduct standards. Capital and margin requirements for non-banks.

11 De Minimis Exemption As Proposed Entities that fulfill all of these requirements are not expected to be classified as a SD: Gross notional value of swaps entered into during the prior twelve months cannot exceed $100 million. (This value is expected to be MUCH higher in final rule.) Aggregate effective notional value of swaps traded with special entities (federal/state agencies and political subdivisions including cities, counties and municipalities) over the prior 12 months cannot exceed $25 million. Firm must not have entered into swaps as a dealer with more than 15 counterparties over the prior 12 months. (May not be included in final version.) Firm must not have entered into more than 20 swaps as a dealer during the prior 12 months. (May not be included in final version.) 11

12 Federal Position Limits Compliance of federal position limits is mandatory for all market participants regardless of entity designation. 28 Core Referenced Contracts were specified. Four of these are energy contracts: NYMEX Henry Hub Natural Gas (NG) NYMEX Light Sweet Crude Oil (CL) NYMEX New York Harbor Gasoline Blendstock (RB) NYMEX New York Harbor Heating Oil (HO). Federal position limits include futures, swaps and options. Anticipated compliance dates a guesstimate at best! Spot month position limits sometime in Summer 2012? Non-spot month position limits sometime mid-2013? 12

13 Federal Position Limits Reporting Positions must be aggregated for entities that share a 10% or greater ownership or equity interest. Positions must be monitored intra-day but are reported end-of-day. Breach of federal position limits must be reported with any hedge exemptions within three days or at least ten business before breach for anticipatory hedges. What is a hedge exemption? Must fit the definition of a bona fide hedge. Must fit into one of eight hedging buckets. If the transaction does not fit into one of the buckets it will more than likely be considered a speculative transaction. 13

14 Dodd-Frank Impacts Impacts at the Team Level All teams will be impacted regardless of entity designation. A majority of the issues impact multiple teams. Here are a few of the impacts on each team. Team Trading Origination Credit Back Office Risk Management Compliance/Legal IT Potential Daily Impacts/Process Changes KYC including CP verification and classification; pre-trade execution; trade input process; trade type determination; time-stamping of trades. Automate as much of the process as possible. KYC including CP verification and classification; end user exception; clearing exception; contract review. Less automation needed because timing is less of an issue. Initial and variation margining; collateral management; clearing exempt trades; changes in netting requirements; CP review; position limits; new contracts including CPs, SEFs, DCOs. Portfolio reconciliation, trade reporting requirements, Changes in netting requirements, same day confirmation; CP review; new contracts with SEFs, DCOs. Position limits; portfolio reconciliation; documentation; CP review. Documentation, including compliance manual; recordkeeping requirements; training requirements; CP review ; contract review; operations control documentation; contracts with SEFs, DCOs. Instrumental in assisting with almost every process, especially those involving trade and data entry, reporting, real-time and new interfaces to SEFs, SDRs and DCOs. Significant system enhancements/additions regardless of entity designation. If SD, there will be a number of compliance related requirements. 14

15 What s Next? The CFTC Schedule Twenty-seven CFTC rules have been finalized. Proposed rules are still being issued. The CFTC has not issued a complete published schedule or timeline for rule finalization. They did release a tentative rulemaking schedule on September 8, 2011 but the CFTC was unable to adhere to these guidelines. Entity definitions: Swap Dealer and Major Swap Participant Product definitions: swap CFTC scheduled meetings: March 9, 2012 (may move to March 7, 2012) March 23,

16 Terms of use These materials have been prepared by EDF Trading for a specific purpose. Any individual or entity using these materials agrees to adhere strictly and abide by the following TERMS OF USE. The user agrees not to copy, retransmit, disseminate, reuse or redistribute these materials. Certain information contained in these materials may have been obtained from outside sources that EDF Trading considers reliable. Although EDF Trading strives to provide accurate and authoritative information, it does not warrant or guarantee the accuracy or completeness of the information contained in these materials or the accuracy of information obtained from outside sources. EDF Trading reserves the right to modify or correct any error or omissions contained in these materials without notice. You agree by and through your use of these materials to waive all claims against, and to hold harmless, EDF Trading, its directors, officers, or employees from any damages claimed to have been caused in any way from your use of these materials. 2011, EDF Trading Limited. No portion of these materials may be reproduced, reused, or otherwise distributed. 16 EDF TRADING

A View From the Street

A View From the Street A View From the Street Independent Petroleum Association of America 81 st Annual Meeting Tucson, Arizona November 9, 2010 Travis McCullough Director and Counsel DB Energy Trading LLC travis.mccullough@db.com

More information

Dodd-Frank Act: Are You Ready? Mark. R. Haskell, Floyd L. Norton, IV, Michael M. Philipp, Levi McAllister

Dodd-Frank Act: Are You Ready? Mark. R. Haskell, Floyd L. Norton, IV, Michael M. Philipp, Levi McAllister Dodd-Frank Act: Are You Ready? Mark. R. Haskell, Floyd L. Norton, IV, Michael M. Philipp, Levi McAllister www.morganlewis.com Dodd-Frank Act: Are You Ready The audio will remain quiet until we begin. We

More information

Appendix C Application of the Entity-Level Requirements to Swap Dealers and MSPs*

Appendix C Application of the Entity-Level Requirements to Swap Dealers and MSPs* VII. Appendix C Application of the Entity-Level Requirements to Swap Dealers and MSPs* U.S. Swap Dealer or MSP affiliate of a non-u.s.. Also applies when acting through a foreign branch. Swap Dealer or

More information

Considerations for End-Users January 2014

Considerations for End-Users January 2014 2014 Morrison & Foerster LLP All Rights Reserved mofo.com Considerations for End-Users January 2014 Title VII for End-Users Title VII has as its objectives Reducing systemic risk posed by the swaps market

More information

Regulatory Impact of. on the Energy Industry

Regulatory Impact of. on the Energy Industry Regulatory Impact of Dodd-Frank Act 2010 on the Energy Industry WSPP Committee Meeting New Orleans, Louisiana October 19, 2010 Anita Herrera Chief Compliance Officer 1 What is Nodal Exchange? Cash settled

More information

Impact on End Users of Swaps

Impact on End Users of Swaps Dodd-Frank One-Year Anniversary: Impact on End Users of Swaps Presented by Daniel N. Budofsky Susan C. Ervin Gabriel D. Rosenberg (Moderator) July 28, 2011 Davis Polk & Wardwell LLP Presenters Daniel N.

More information

Statement of Steve Sherrod Acting Director of Surveillance Division of Market Oversight Commodity Futures Trading Commission January 14, 2010

Statement of Steve Sherrod Acting Director of Surveillance Division of Market Oversight Commodity Futures Trading Commission January 14, 2010 Statement of Steve Sherrod Acting Director of Surveillance Division of Market Oversight Commodity Futures Trading Commission January 14, 2010 PROPOSED ENERGY POSITION LIMITS AND EXEMPTIONS Good afternoon

More information

End-User Guide to CFTC Implementation of Dodd-Frank Act

End-User Guide to CFTC Implementation of Dodd-Frank Act Keith M. Sappenfield, II, Encana Marketing (USA) Inc. Terry Coggins, Southern Company NAESB Board of Directors Houston, Texas June 23 rd 2011 Background Illustrative Impacts on Energy End-Users Definitions

More information

Dodd Frank Update: Impact on Gas & Power Transactions

Dodd Frank Update: Impact on Gas & Power Transactions The University of Texas School of Law Presented: 10 th Annual Gas & Power Institute September 22-23, 2011 Houston, Texas Dodd Frank Update: Impact on Gas & Power Transactions Craig R. Enochs Kevin M. Page

More information

CFTC Actions The Energy Industry Should Look For In 2015

CFTC Actions The Energy Industry Should Look For In 2015 Portfolio Media. Inc. 860 Broadway, 6th Floor New York, NY 10003 www.law360.com Phone: +1 646 783 7100 Fax: +1 646 783 7161 customerservice@law360.com CFTC Actions The Energy Industry Should Look For In

More information

CFTC Proposed Rules on Position Limits on Physical Commodity Derivatives

CFTC Proposed Rules on Position Limits on Physical Commodity Derivatives CFTC Proposed Rules on Position Limits on Physical Commodity Derivatives CFTC Adopts Proposed Rule during Public Meeting to Impose Position Limits on Futures and Swaps on Physical Commodities SUMMARY On

More information

Dodd-Frank Act OTC Derivatives Reform

Dodd-Frank Act OTC Derivatives Reform Dodd-Frank Act OTC Derivatives Reform Supporting Materials for Panel Discussion OTC Derivatives Reforms at MFA s Regulatory Compliance Conference Compliance 2011, November 30, The Princeton Club, New York

More information

CFTC and SEC Issue Final Swap-Related Rules Under Title VII of Dodd-Frank

CFTC and SEC Issue Final Swap-Related Rules Under Title VII of Dodd-Frank CFTC and SEC Issue Final Swap-Related Rules Under Title VII of Dodd-Frank CFTC and SEC Issue Final Rules and Guidance to Further Define the Terms Swap Dealer, Security-Based Swap Dealer, Major Swap Participant,

More information

PRACTICAL IMPLICATIONS

PRACTICAL IMPLICATIONS PRACTICAL IMPLICATIONS OF DERIVATIVES REFORM GORDON F. PEERY and STUART E. FROSS K&L GATES LLP Boston, MA September 21, 2010 1 Agenda Introduction Speakers Late-Breaking Developments: Developments in August

More information

Impact of Financial Reform On Energy Companies

Impact of Financial Reform On Energy Companies Impact of Financial Reform On Energy Companies Lopa Parikh Director, Regulatory Affairs Edison Electric Institute NASUCA Annual Meeting Orlando, Florida November 19, 2013 Edison Electric Institute The

More information

Dodd-Frank Title VII: Reforms for the Swaps Marketplace

Dodd-Frank Title VII: Reforms for the Swaps Marketplace Dodd-Frank Title VII: Reforms for the Swaps Marketplace August 13, 2010 On July 21, 2010, President Obama signed into law the Dodd-Frank Act ( Act ), which institutes sweeping reforms across the financial

More information

U.S. House of Representatives Passes Comprehensive OTC Derivatives Legislation

U.S. House of Representatives Passes Comprehensive OTC Derivatives Legislation U.S. House of Representatives Passes Comprehensive OTC Derivatives Legislation House of Representatives Passes in H.R. 4173, the Wall Street Reform and Consumer Protection Act of 2009, Which Includes Compromise

More information

Chapter 9. 9:1 General Review of Systemic Risk and Regulatory Developments

Chapter 9. 9:1 General Review of Systemic Risk and Regulatory Developments Chapter 9 Current Developments 9:1 General Review of Systemic Risk and Regulatory Developments 9:2 Dodd-Frank Act and OTC Derivatives 9:2.1 Regulator 9:2.2 Key Dodd-Frank Swap Definition 9:2.3 Categorization

More information

Dodd-Frank Title VII Update: Where Are We Today and Where Are We Going? Ten Important Issues Facing Derivatives Users

Dodd-Frank Title VII Update: Where Are We Today and Where Are We Going? Ten Important Issues Facing Derivatives Users Dodd-Frank Title VII Update: Where Are We Today and Where Are We Going? Ten Important Issues Facing Derivatives Users Nov 07, 2011 Top Ten By James M. Cain This resource is sponsored by: Where Are We Today?

More information

US OTC derivatives reforms Impact on UK and other non-us asset managers. Second update October 2013

US OTC derivatives reforms Impact on UK and other non-us asset managers. Second update October 2013 US OTC derivatives reforms Impact on UK and other non-us asset managers Second update October 2013 Table of contents Important notes 1. Dodd Frank decision tree 2. What is regulated as a swap? 3. When

More information

PENNSYLVANIA TURNPIKE COMMISSION POLICY AND PROCEDURE

PENNSYLVANIA TURNPIKE COMMISSION POLICY AND PROCEDURE PTC 502005539 (12/05) Policy Subject: 7.7 - Interest Rate Swap Management Policy PENNSYLVANIA TURNPIKE COMMISSION POLICY AND PROCEDURE This is a statement of official Pennsylvania Turnpike Commission Policy

More information

PA TURNPIKE COMMISSION POLICY

PA TURNPIKE COMMISSION POLICY POLICY SUBJECT: PA TURNPIKE COMMISSION POLICY This is a statement of official Pennsylvania Turnpike Policy RESPONSIBLE DEPARTMENT: NUMBER: 7.07 APPROVAL DATE: 05-07-2013 EFFECTIVE DATE: 05-07-2013 7.07

More information

Direct and Significant Connections: CFTC Provides Guidance on Extraterritoriality

Direct and Significant Connections: CFTC Provides Guidance on Extraterritoriality News Bulletin July 2, 2012 Direct and Significant Connections: CFTC Provides Guidance on Extraterritoriality On June 29th, the CFTC published a proposed policy statement and interpretive guidance addressing

More information

THE DODD-FRANK ACT & DERIVATIVES MARKET

THE DODD-FRANK ACT & DERIVATIVES MARKET THE DODD-FRANK ACT & DERIVATIVES MARKET By Khader Shaik Author of Managing Derivatives Contracts This presentation can be used as a supplement to Chapter 9 - The Dodd-Frank Act Agenda Introduction Major

More information

Dodd-Frank Title VII: Three Years Out, Still Buyer Beware

Dodd-Frank Title VII: Three Years Out, Still Buyer Beware Dodd-Frank Title VII: Three Years Out, Still Buyer Beware July 11, 2013 Brought to you by Winston & Strawn s Derivatives Practice Group 2013 Winston & Strawn LLP Today s elunch Presenters Jennifer Genzler

More information

July 16, Key Takeaways: Contents

July 16, Key Takeaways: Contents July 16, 2012 CFTC Proposes Interpretative Guidance on the Extraterritorial Reach of Title VII of the Dodd-Frank Act and Exemptive Relief to Extend Compliance Deadlines for Many Title VII Requirements,

More information

ADVISORY Dodd-Frank Act

ADVISORY Dodd-Frank Act ADVISORY Dodd-Frank Act August 5, 2013 CFTC ISSUES FINAL INTERPRETIVE GUIDANCE AND POLICY STATEMENT AND EXEMPTIVE ORDER REGARDING CROSS-BORDER APPLICATION OF DODD-FRANK ACT SWAP PROVISIONS On July 12,

More information

The CFTC s Implications for Electric Cooperatives

The CFTC s Implications for Electric Cooperatives NRECA Web Conferences The CFTC s Implications for Electric Cooperatives July 12, 2012 For Technical Support If you re listening over the phone, please press *0. If you re listening through your computer

More information

Alert Memo. CFTC Proposes New Federal Position Limits and Exemptions for Certain Energy Commodity Contracts

Alert Memo. CFTC Proposes New Federal Position Limits and Exemptions for Certain Energy Commodity Contracts Alert Memo NEW YORK FEBRUARY 2, 2010 CFTC Proposes New Federal Position Limits and Exemptions for Certain Energy Commodity Contracts On January 26, 2010, the U.S. Commodity Futures Trading Commission (

More information

Comments on the Notice of Proposed Rulemaking, De Minimis Exception to the Swap Dealer Definition (RIN 3038-AE68)

Comments on the Notice of Proposed Rulemaking, De Minimis Exception to the Swap Dealer Definition (RIN 3038-AE68) Commodity Markets Council 1300 L St., N.W. Suite 1020 Washington, DC 20005 Tel 202-842-0400 Fax 202-789-7223 www.commoditymkts.org August 13, 2018 Via Electronic Submission Christopher Kirkpatrick Secretary

More information

CFTC Proposed Rule on Energy Markets Position Limits and Hedge Exemptions

CFTC Proposed Rule on Energy Markets Position Limits and Hedge Exemptions CFTC Proposed Rule on Energy Markets Position Limits and Hedge Exemptions CFTC Adopts Proposed Rule During Public Meeting to Impose Speculative Position Limits on Energy Commodities and to Limit Hedge

More information

Trade Repository Regulation and Framework

Trade Repository Regulation and Framework Trade Repository Regulation and Framework Introduction As current regulatory discussions focus on central clearing and trade repositories, this white paper will focus on the possible approach and set up

More information

September 28, Re: FX Forwards and FX Swaps Determination. Dear Mr. Secretary:

September 28, Re: FX Forwards and FX Swaps Determination. Dear Mr. Secretary: September 28, 2012 The Honorable Timothy F. Geithner Secretary United States Department of the Treasury 1500 Pennsylvania Avenue, N.W. Washington, D.C. 20220 Re: FX Forwards and FX Swaps Determination

More information

Dodd Frank Update: Impact on Gas & Power Transactions

Dodd Frank Update: Impact on Gas & Power Transactions The University of Texas School of Law Presented: 10 th Annual Gas & Power Institute September 22-23, 2011 Houston, Texas Dodd Frank Update: Impact on Gas & Power Transactions Craig R. Enochs Kevin M. Page

More information

ADVISORY Dodd-Frank Act

ADVISORY Dodd-Frank Act ADVISORY Dodd-Frank Act January 19, 2012 CFTC FINALIZES RULES ON SWAP DATA RECORDKEEPING AND REPORTING AND REAL-TIME REPORTING On December 20, 2011, the Commodity Futures Trading Commission ( CFTC or Commission

More information

Request for Relief Relating to Aggregation Provision in Final Block Trade Rule

Request for Relief Relating to Aggregation Provision in Final Block Trade Rule 17 C.F.R. Part 43 Mr. Richard Shilts Director, Division of Market Oversight 1155 21st Street NW Three Lafayette Centre Washington, DC 20581 Re: Request for Relief Relating to Aggregation Provision in Final

More information

Dodd-Frank Title VII Rule Compliance Schedules A Matrix

Dodd-Frank Title VII Rule Compliance Schedules A Matrix Legal Update January 19, 2012 Dodd-Frank Title VII Rule Compliance Schedules A Matrix The CFTC s recent release of several final rules, including rules regarding registration of swap dealers and major

More information

Clearing Requirement Determination Under Section 2(h) of the CEA RIN Number 3038 AD86

Clearing Requirement Determination Under Section 2(h) of the CEA RIN Number 3038 AD86 September 6, 2012 Via Electronic Submission: http://comments.cftc.gov David A. Stawick Secretary of the Commission Commodity Futures Trading Commission Three Lafayette Centre 1155 21st Street NW Washington,

More information

CFTC Adopts Final Rules on Speculative Position Limits

CFTC Adopts Final Rules on Speculative Position Limits To Our Clients and Friends Memorandum friedfrank.com CFTC Adopts Final Rules on Speculative Position Limits During a public meeting held on October 18, 2011 (the Open Meeting ), the Commodity Futures Trading

More information

Re: RIN 3038 AD18 / Core Principles and Other Requirements for Swap Execution Facilities

Re: RIN 3038 AD18 / Core Principles and Other Requirements for Swap Execution Facilities March 8, 2011 Mr. David A. Stawick Secretary Commodity Futures Trading Commission Three Lafayette Centre 1155 21st Street, NW Washington, DC 20581 Re: RIN 3038 AD18 / Core Principles and Other Requirements

More information

It s Not Just Registration: New Regulation of Swap Transactions by US and non-us Banks under the Dodd-Frank Act

It s Not Just Registration: New Regulation of Swap Transactions by US and non-us Banks under the Dodd-Frank Act New York Seminar Series It s Not Just Registration: New Regulation of Swap Transactions by US and non-us Banks under the Dodd-Frank Act Tuesday, June 12, 2012 arnoldporter.com New York Seminar Series Financial

More information

Comparison of the Dodd Frank Act Title VII and the European Market Infrastructure Regulation September 26, 2013 Anna Pinedo James Schwartz

Comparison of the Dodd Frank Act Title VII and the European Market Infrastructure Regulation September 26, 2013 Anna Pinedo James Schwartz 2013 Morrison & Foerster (UK) LLP All Rights Reserved mofo.com Comparison of the Dodd Frank Act Title VII and the European Market Infrastructure Regulation September 26, 2013 Anna Pinedo James Schwartz

More information

Dodd Frank Swaps Regulation. David Lucking: Partner, New York

Dodd Frank Swaps Regulation. David Lucking: Partner, New York Dodd Frank Swaps Regulation David Lucking: Partner, New York Topics to be covered 1 2 3 4 5 6 Registration and Swap Dealer Duties Trade Execution Clearing Capital and Margin Reporting Expected Developments

More information

Demystifying Dodd Frank s Impact on Corporate Hedging

Demystifying Dodd Frank s Impact on Corporate Hedging Demystifying Dodd Frank s Impact on Corporate Hedging Overview Section 1: Dodd Frank on Swaps and the End User Section 2: How Companies Can prepare Section 3: What Tools are Available? 2 Section 1: End

More information

CFTC Proposes New Position Limits

CFTC Proposes New Position Limits CFTC Proposes New Rules to Impose Position Limits on Derivatives on 28 Physical Commodities SUMMARY On November 5, 2013, the Commodity Futures Trading Commission (the CFTC or Commission ) held a public

More information

Key Dodd-Frank Compliance Considerations for End-Users

Key Dodd-Frank Compliance Considerations for End-Users August 31, 2012 Key Dodd-Frank Compliance Considerations for End-Users Title VII of the Dodd-Frank Wall Street Reform and Consumer Protection Act of 2010 (the Dodd-Frank Act ) requires the CFTC and SEC

More information

COMMODITY FUTURES TRADING COMMISSION. Amended Order Designating the Provider of Legal Entity Identifiers to be Used in

COMMODITY FUTURES TRADING COMMISSION. Amended Order Designating the Provider of Legal Entity Identifiers to be Used in This document is scheduled to be published in the Federal Register on 06/28/2013 and available online at http://federalregister.gov/a/2013-15477, and on FDsys.gov 6351-01-P COMMODITY FUTURES TRADING COMMISSION

More information

Client Update CFTC Issues Preliminary Report on Swap Dealer De Minimis Exception

Client Update CFTC Issues Preliminary Report on Swap Dealer De Minimis Exception 1 Client Update CFTC Issues Preliminary Report on Swap Dealer De Minimis Exception NEW YORK Byungkwon Lim blim@debevoise.com Aaron J. Levy ajlevy@debevoise.com On November 18, 2015, the Division of Swap

More information

On July 21, 2010, President Obama signed into law the Dodd-Frank

On July 21, 2010, President Obama signed into law the Dodd-Frank S k a d d e n, A r p s, S l a t e, M e a g h e r & F l o m L L P & A f f i l i a t e s If you have any questions regarding the matters discussed in this memorandum, please contact the following attorneys

More information

Comment Letter on the Proposed Clearing Determination Under Section 2(h) of the CEA (RIN 3038-AD86)

Comment Letter on the Proposed Clearing Determination Under Section 2(h) of the CEA (RIN 3038-AD86) September 19, 2012 Mr. David A. Stawick Secretary Commodity Futures Trading Commission Three Lafayette Centre 1155 21st Street, NW Washington, DC 20581 Re: Comment Letter on the Proposed Clearing Determination

More information

CFTC, SEC Propose to Delay the Applicability of Certain Swap Provisions of the Dodd-Frank Act

CFTC, SEC Propose to Delay the Applicability of Certain Swap Provisions of the Dodd-Frank Act June 17, 2011 CFTC, SEC Propose to Delay the Applicability of Certain Swap Provisions of the Dodd-Frank Act The general effective date for most provisions under Title VII of the Dodd-Frank Wall Street

More information

The de minimis exception to designation as a Swap Dealer should be available to regional banks and dealers that intermediate regional Swap markets.

The de minimis exception to designation as a Swap Dealer should be available to regional banks and dealers that intermediate regional Swap markets. November 10, 2010 Mr. David A. Stawick Secretary Commodity Futures Trading Commission Three Lafayette Centre 1155 21st Street, N.W. Washington DC 20581 Ms. Elizabeth M. Murphy Secretary Securities and

More information

Overview of Regulatory Framework for Derivatives:

Overview of Regulatory Framework for Derivatives: Agenda Overview of Regulatory Framework for Derivatives Overview of Trade Execution & On-Boarding Overview of Clearing and Protection of Customer Funds Clearing: When is it Required, What are the Choices

More information

December 6, To Our Clients and Friends:

December 6, To Our Clients and Friends: FINAL CFTC RULE ON POSITION LIMITS December 6, 2011 To Our Clients and Friends: On October 18, the U.S. Commodity Futures Trading Commission (the CFTC ) adopted new Part 151 (the Final Rule ) of its regulations

More information

The 2010 Dodd-Frank Wall Street Reform and Consumer Protection Act

The 2010 Dodd-Frank Wall Street Reform and Consumer Protection Act Energy Risk & Markets Dodd-Frank and Electric Utilities Understanding the new mosaic of commodities trading regulations. BY MATTHEW J. AGEN The 2010 Dodd-Frank Wall Street Reform and Consumer Protection

More information

The road to reform. Helping commercial end users of OTC derivatives comply with Dodd-Frank s Title VII

The road to reform. Helping commercial end users of OTC derivatives comply with Dodd-Frank s Title VII The road to reform Helping commercial end users of OTC derivatives comply with Dodd-Frank s Title VII Wide-ranging impact A survey conducted by the International Swaps & Derivatives Association (ISDA)

More information

Dodd Frank and inter affiliate trading of derivatives

Dodd Frank and inter affiliate trading of derivatives Financial Accounting Advisory Services Dodd Frank and inter affiliate trading of derivatives Impact of new derivatives regulations becomes clearer, but key questions remain New regulations in the US under

More information

The University of Texas/Texas A&M Investment Management Company Derivative Investment Policy

The University of Texas/Texas A&M Investment Management Company Derivative Investment Policy Effective Date of Policy: August 10, 2018 Date Approved by U. T. System Board of Regents: August 10, 2018 Date Approved by UTIMCO Board: July 26, 2018 Supersedes: approved July 21, 2016 Purpose: The purpose

More information

August 13, De Minimis Exception to the Swap Dealer Definition (RIN 3038 AE68)

August 13, De Minimis Exception to the Swap Dealer Definition (RIN 3038 AE68) 2001 Pennsylvania Avenue NW Suite 600 I Washington, DC 20006 T 202 466 5460 F 202 296 3184 Via Electronic Submission and Email Christopher Kirkpatrick Secretary of the Commission U.S. Commodity Futures

More information

REGULATION OF OTC DERIVATIVES Professor Jasmin Sethi. SEC University Spring 2014 Wednesday 5:45 PM 8:00 PM

REGULATION OF OTC DERIVATIVES Professor Jasmin Sethi. SEC University Spring 2014 Wednesday 5:45 PM 8:00 PM REGULATION OF OTC DERIVATIVES Professor Jasmin Sethi SEC University Spring 2014 Wednesday 5:45 PM 8:00 PM Professor Contact Information: jasminsethi1@gmail.com Contact Information for Teaching Assistant:

More information

ADVISORY Dodd-Frank Act

ADVISORY Dodd-Frank Act ADVISORY Dodd-Frank Act May 7, 2012 CFTC AND SEC JOINTLY ADOPT FINAL SWAP ENTITY DEFINITION RULES On April 18, 2012, the Commodity Futures Trading Commission ( CFTC ) and the Securities and Exchange Commission

More information

Proposed Rules for End-User Exception to Clearing of Swaps

Proposed Rules for End-User Exception to Clearing of Swaps CRAVATH, SWAINE & MOORE LLP Please feel free to contact us if we can provide further information on these matters. John W. White 212-474-1732 jwhite@cravath.com B. Robbins Kiessling 212-474-1500 bkiessling@cravath.com

More information

DERIVATIVES & STRUCTURED PRODUCTS

DERIVATIVES & STRUCTURED PRODUCTS DERIVATIVES & STRUCTURED PRODUCTS A Corporate End User s Handbook for Dodd-Frank Derivatives Compliance 31 JANUARY 2018 IN THIS ISSUE: I. Introduction II. Eligible Contract Participant Requirement III.Mandatory

More information

North American Power Credit Organization

North American Power Credit Organization North American Power Credit Organization Practical considerations associated with the Dodd-Frank Act (3:15pm 5:00pm) 2 May 2013 Agenda and contents Dodd-Frank overview and highlights 3-6 Industry snapshot

More information

January 18, To Our Clients and Friends:

January 18, To Our Clients and Friends: SWAP DATA RECORDKEEPING AND REPORTING UNDER CFTC RULE PART 45 AND REAL-TIME PUBLIC REPORTING UNDER CFTC RULE PART 43 FOR SWAP COUNTERPARTIES THAT ARE NOT SWAP DEALERS OR MAJOR SWAP PARTICIPANTS January

More information

Dodd-Frank Title VII Considerations for End-Users March 5-6, 2013 Presented by David H. Kaufman and Chrys A. Carey

Dodd-Frank Title VII Considerations for End-Users March 5-6, 2013 Presented by David H. Kaufman and Chrys A. Carey Dodd-Frank Title VII Considerations for End-Users March 5-6, 2013 Presented by David H. Kaufman and Chrys A. Carey 2013 Morrison & Foerster LLP All Rights Reserved mofo.com Preliminary Observations Program

More information

October 25, Dear Ms. Jurgens:

October 25, Dear Ms. Jurgens: Futures Industry Association 2001 Pennsylvania Ave. NW Suite 600 Washington, DC 20006-1823 202.466.5460 202.296.3184 fax www.futuresindustry.org Via Electronic Submission Ms. Melissa Jurgens Secretary

More information

Financial Reform. Task Force. CFTC Publishes Final Rules on Position Limits: Limited Comment Period Closes on January 17, 2012

Financial Reform. Task Force. CFTC Publishes Final Rules on Position Limits: Limited Comment Period Closes on January 17, 2012 CFTC Publishes Final Rules on Position Limits: Limited Comment Period Closes on January 17, 2012 by Jeffrey Sherman, with assistance from Peggy Heeg, Michael Loesch, Lui Chambers, and Rabeha Kamaluddin

More information

MAJOR NEW DERIVATIVES REGULATION THE SCIENCE OF COMPLIANCE

MAJOR NEW DERIVATIVES REGULATION THE SCIENCE OF COMPLIANCE Regulatory June 2013 MAJOR NEW DERIVATIVES REGULATION THE SCIENCE OF COMPLIANCE Around the world, new derivatives laws and regulations are being adopted and now implemented to give effect to a 2009 agreement

More information

Disclosure Document. DTCC Data Repository (U.S.) LLC. Revised as of: 8/21/2017

Disclosure Document. DTCC Data Repository (U.S.) LLC. Revised as of: 8/21/2017 DTCC Data Repository (U.S.) LLC Disclosure Document Revised as of: 8/21/2017 This DTCC Data Repository (U.S.) LLC Disclosure Document, as amended, supplemented or modified from time to time, and together

More information

Review of Swap Data Recordkeeping and Reporting Requirements (RIN 3038-AE12)

Review of Swap Data Recordkeeping and Reporting Requirements (RIN 3038-AE12) 1300 L St., N.W. Suite 1020 Washington, DC 20005 Tel 202-842-0400 Fax 202-789-7223 www.commoditymkts.org Ms. Melissa Jurgens Secretary Commodity Futures Trading Commission Three Lafayette Centre 1155 21

More information

OTC Energy Derivatives and Financial Reform: A Solution to Financial Stability or a Solution in Search of a Problem? May 20, 2010

OTC Energy Derivatives and Financial Reform: A Solution to Financial Stability or a Solution in Search of a Problem? May 20, 2010 OTC Energy Derivatives and Financial Reform: A Solution to Financial Stability or a Solution in Search of a Problem? Harvard Electricity Policy Group, Fifty-Ninth Plenary Session Panel on Financial Reform:

More information

Introduction. May 8, Key Takeaways: Contents

Introduction. May 8, Key Takeaways: Contents May 8, 2012 CFTC and SEC Finalize a Key Piece of the Dodd-Frank Act Registration Requirements Puzzle with the Final Entity Definitions Rules, but Many Pieces of the Puzzle Remain Missing Key Takeaways:

More information

De r i vat i v e s a n d

De r i vat i v e s a n d De r i vat i v e s a n d Trading Update July 2010 Analysis of the Dodd-Frank Wall Street Reform Act OTC Derivatives Reform: Wall Street Transparency and Accountability Act of 2010 I. Introduction Title

More information

OTC Derivatives Markets Act of 2009

OTC Derivatives Markets Act of 2009 OTC Derivatives Markets Act of 2009 November 10, 2009 Glenn Sarno, Joyce Xu and Daniel Bae OTC DMA Overview Over-the-Counter Derivatives Markets Act of 2009 Highlights Establishes framework for comprehensive

More information

Swap Transaction Reporting Requirements

Swap Transaction Reporting Requirements Swap Transaction Reporting Requirements This Q&A addresses swap transaction reporting requirements under Commodity Futures Trading Commission ( CFTC ) Regulations, Parts 43, 45 and 46. Real-Time Reporting

More information

CFTC Reporting and Recordkeeping Obligations: What General Counsels Need to Know AGA Legal Forum 2014 July 14, 2014 Presented By Julian E.

CFTC Reporting and Recordkeeping Obligations: What General Counsels Need to Know AGA Legal Forum 2014 July 14, 2014 Presented By Julian E. CFTC Reporting and Recordkeeping Obligations: What General Counsels Need to Know AGA Legal Forum 2014 July 14, 2014 Presented By Julian E. Hammar 2014 Morrison & Foerster LLP All Rights Reserved mofo.com

More information

The University of Texas/Texas A&M Investment Management Company Derivative Investment Policy

The University of Texas/Texas A&M Investment Management Company Derivative Investment Policy Effective Date of Policy: August 25, 2016 Date Approved by U. T. System Board of Regents: August 25, 2016 Date Approved by UTIMCO Board: July 21, 2016 Supersedes: approved November 5, 2015 Purpose: The

More information

Introduction. Reporting The Future: The CFTC s Final Rule On Real-Time Public Reporting Of Swap Data. January 17, 2012

Introduction. Reporting The Future: The CFTC s Final Rule On Real-Time Public Reporting Of Swap Data. January 17, 2012 Reporting The Future: The CFTC s Final Rule On Real-Time Public Reporting Of Swap Data Introduction January 17, 2012 On December 20, 2011, the Commodity Futures Trading Commission (the Commission) unanimously

More information

Comparison of the Dodd Frank Act Title VII and the European Market Infrastructure Regulation

Comparison of the Dodd Frank Act Title VII and the European Market Infrastructure Regulation 2014 Morrison & Foerster (UK) LLP All Rights Reserved mofo.com Comparison of the Dodd Frank Act Title VII and the European Market Infrastructure Regulation Overview Comparison of Dodd Frank Act Title VII

More information

ADOPTING THE AUGUST 2012 ISDA PROTOCOL FOR DODD FRANK SWAP REQUIREMENTS

ADOPTING THE AUGUST 2012 ISDA PROTOCOL FOR DODD FRANK SWAP REQUIREMENTS ADOPTING THE AUGUST 2012 ISDA PROTOCOL FOR DODD FRANK SWAP REQUIREMENTS Thompson & Knight Notes on the ISDA August 2012 DF Protocol (the Protocol ) I. Introduction 1 The Protocol is the first of a planned

More information

April 24, Re: Interim Final Rule on Swap Data Repositories - Access to SDR Data by Market Participants (RIN 3038-AE14)

April 24, Re: Interim Final Rule on Swap Data Repositories - Access to SDR Data by Market Participants (RIN 3038-AE14) April 24, 2014 Via Electronic Submission: http://comments.cftc.gov Melissa D. Jurgens Secretary of the Commission Commodity Futures Trading Commission Three Lafayette Centre 1155 21st Street, NW Washington,

More information

Re: CFTC and SEC Staff Public Roundtable on International Issues relating to Dodd-Frank Title VII

Re: CFTC and SEC Staff Public Roundtable on International Issues relating to Dodd-Frank Title VII Mr. David A. Stawick Secretary Commodity Futures Trading Commission Three Lafayette Centre 1155 21st Street, NW Washington, DC 20581 Ms. Elizabeth Murphy Secretary Securities and Exchange Commission 100

More information

U.S. Response: Jurisdictions Authority and Process for Exercising Deference in Relation to OTC Derivatives Regulation

U.S. Response: Jurisdictions Authority and Process for Exercising Deference in Relation to OTC Derivatives Regulation U.S. Response: Jurisdictions Authority and Process for Exercising Deference in Relation to OTC Derivatives Regulation I. BACKGROUND In July 2010, the United States enacted legislation regarding, among

More information

Derivatives Market Regulatory Reform: Where To Now?

Derivatives Market Regulatory Reform: Where To Now? Portfolio Media, Inc. 860 Broadway, 6 th Floor New York, NY 10003 www.law360.com Phone: +1 646 783 7100 Fax: +1 646 783 7161 customerservice@portfoliomedia.com Derivatives Market Regulatory Reform: Where

More information

Generally, these final rules will become effective on October 1, 2012, and can be found on the CFTC website at:

Generally, these final rules will become effective on October 1, 2012, and can be found on the CFTC website at: FINAL RULES FOR CLEARING DOCUMENTATION, TIMING OF ACCEPTANCE FOR CLEARING, AND CLEARING MEMBER RISK MANAGEMENT April 5, 2012 To Our Clients and Friends: The Commodity Futures Trading Commission (the CFTC

More information

ICAP Corporates LLC Unaudited Statement of Financial Condition September 30, 2013

ICAP Corporates LLC Unaudited Statement of Financial Condition September 30, 2013 Unaudited Statement of Financial Condition Index Page(s) Unaudited Financial Statements Unaudited Statement of Financial Condition... 1... 2 11 Unaudited Statement of Financial Condition Assets Cash and

More information

CFTC ISSUES MULTIPLE NO-ACTION LETTERS ON REPORTING AND BUSINESS CONDUCT RULES. Portfolio reconciliation; Swap trading relationship documentation;

CFTC ISSUES MULTIPLE NO-ACTION LETTERS ON REPORTING AND BUSINESS CONDUCT RULES. Portfolio reconciliation; Swap trading relationship documentation; CLIENT UPDATE CFTC ISSUES MULTIPLE NO-ACTION LETTERS ON REPORTING AND BUSINESS CONDUCT RULES NEW YORK Byungkwon Lim blim@debevoise.com Emilie T. Hsu ehsu@debevoise.com Aaron J. Levy ajlevy@debevoise.com

More information

Commodity Options and Agricultural Swaps, RIN 3038 AD21

Commodity Options and Agricultural Swaps, RIN 3038 AD21 Mr. David A. Stawick, Secretary Commodity Futures Trading Commission Three Lafayette Centre 1155 21st Street, NW Washington, DC 20581 Re: Commodity Options and Agricultural Swaps, RIN 3038 AD21 Dear Mr.

More information

Security-Based Swaps: Capital, Margin and Segregation Requirements

Security-Based Swaps: Capital, Margin and Segregation Requirements Security-Based Swaps: Capital, Margin and Segregation Requirements SEC Proposes Rules Regarding Capital, Margin and Collateral Segregation Requirements for Security-Based Swap Dealers and Major Security-Based

More information

Peralta Community College District AP 6306

Peralta Community College District AP 6306 ADMINISTRATIVE PROCEDURE 6306 INTEREST RATE RISK MANAGEMENT Interest rate risk management is incorporated into the framework through which the District undertakes bond financings. Interest rate swap agreements,

More information

U.S. COMMODITY FUTURES TRADING COMMISSION

U.S. COMMODITY FUTURES TRADING COMMISSION U.S. COMMODITY FUTURES TRADING COMMISSION Three Lafayette Centre 1155 21st Street, NW, Washington, DC 20581 Telephone: (202) 418-5000 Facsimile: (202) 418-5521 www.cftc.gov CFTC Letter 17-27 No-Action

More information

MARKET REGULATION ADVISORY NOTICE

MARKET REGULATION ADVISORY NOTICE MARKET REGULATION ADVISORY NOTICE Exchange NYMEX & COMEX Subject Block Trades Rule References Rule 526 Advisory Date Advisory Number NYMEX & COMEX RA1307-4 Effective Date April 22, 2013 This Advisory Notice

More information

Request for Relief Relating to Certain Foreign Exchange Transactions

Request for Relief Relating to Certain Foreign Exchange Transactions Gary Barnett Director of Division of Swap Dealer and Intermediary Oversight Three Lafayette Centre 1155 21st Street, N.W. Washington, DC 20581 Re: Request for Relief Relating to Certain Foreign Exchange

More information

Discussions with the CFTC

Discussions with the CFTC Discussions with the CFTC Position Limits The Goldman Sachs Group, Inc. September 2010 Agenda Dealers role in commodities markets Existing position limit framework Dodd/Frank position limit mandate Approach

More information

CLIENT UPDATE FINAL CFTC RULES ON CLEARING EXEMPTION FOR SWAPS BETWEEN CERTAIN AFFILIATED ENTITIES

CLIENT UPDATE FINAL CFTC RULES ON CLEARING EXEMPTION FOR SWAPS BETWEEN CERTAIN AFFILIATED ENTITIES CLIENT UPDATE FINAL CFTC RULES ON CLEARING EXEMPTION FOR SWAPS BETWEEN CERTAIN AFFILIATED ENTITIES NEW YORK Byungkwon Lim +1 212 909 6571 blim@debevoise.com Emilie T. Hsu +1 212 909 6884 ehsu@debevoise.com

More information

DERIVATIVES. Westlaw Journal

DERIVATIVES. Westlaw Journal Westlaw Journal DERIVATIVES Litigation News and Analysis Legislation Regulation Expert Commentary VOLUME 18, ISSUE 15 / JUNE 8, 2012 Expert Analysis CFTC and SEC Adopt New Rules Further Defining Major

More information

Clearing Exemption for Inter-Affiliate Swaps

Clearing Exemption for Inter-Affiliate Swaps CFTC Proposes Rule to Exempt Swaps between Certain Affiliated Entities from the Clearing Requirement under Dodd-Frank SUMMARY On August 16, 2012, the CFTC issued a proposed rule to exempt swaps between

More information

EMIR and DODD-FRANK FAQs. January 2017

EMIR and DODD-FRANK FAQs. January 2017 This FAQs document relates to: EMIR and DODD-FRANK FAQs January 2017 the European Market Infrastructure Regulation or EMIR, Regulation (EU) No 648/2012 of the European Parliament and of the Council of

More information

Security-Based Swap Execution Facilities

Security-Based Swap Execution Facilities SEC Proposes Rules on Registration of Security-Based Swap Execution Facilities SUMMARY On February 2, 2011, the Securities and Exchange Commission (the SEC ) proposed Regulation SB SEF, 1 which sets forth

More information