2002-10-24 | CFTC Staff Letter 02-111Added · Updated
XX is granted relief from the independent accountant certification requirement of Rule 4.22(d) for the Pool’s fiscal year ending 2001. The exemption applies because the Pool closed in August 2001, had a net asset value of $140,374, and consisted solely of general partner funds. The Division determined that granting this relief for the small pool with a single participant is not contrary to the rule's purpose or the public interest. The exemption remains valid only based on the representations made and requires immediate notification if operations change materially.
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CFTC Letter 02-111
CFTC letter No. 02-111
October 24, 2002
Exemption
Division of Clearing and Intermediary Oversight X XX XXX XXXX XXXXX Dear X:
This is in response to your letters dated October 2, 15, and 16, 2002 to the Division of Trading and Markets, (now Division of Clearing and Intermediary Oversight) (“Division”) of the Commodity Futures Trading Commission (“Commission”), requesting exemptive relief from the requirement of Rule 4.22(d) [1] that the financial statements prepared for the Annual Report be certified by an independent public accountant. The request is filed on behalf of XX, the commodity pool operator (“CPO”) for Y (the “Pool”). Rule 4.22(c) requires each registered CPO to file an Annual Report with the Commission and distribute copies to pool participants within 90 calendar days of the end of the pool’s fiscal year. Rule 4.22(d) requires that the financial statements in the Annual Report must be prepared in accordance with generally accepted accounting principles and certified by an independent public accountant. The principal purpose of financial reporting required by Rule 4.22 is to ensure that pool participants receive accurate, fair and timely information on the overall trading performance and financial condition of the pool. You request exemption from filing an audited financial report for 2001 due to the fact that the pool closed in August 2001 and the only participant at liquidation was the general partner. Based upon our review of the financial statements you have submitted in support of your request, it appears that as of July 31, 2001, the net asset value of the Pool was $140,374, all general partner funds. You have submitted a statement in support of this exemption from the general partner. You have also submitted unaudited statements for the period January 1, 2001 through August 31, 2001, the operating period for the year. In light of the representations made in your letter, in particular those relating to the small size of the Pool and the small number of participants in the Pool, the Division believes that granting the request on behalf of the CPO is neither contrary to the purposes of Rule 4.22 nor to the public interest. Accordingly, pursuant to the authority delegated by Rule 140.93(a)(1), XX is hereby granted relief from the certification requirement of Rule 4.22(d) for the Pool’s fiscal year ending 2001. file:///S|/Website%20Management/LegacyDataCopyasof2010-04-21/tm/letters/02letters/tm02-111.htm (1 of 2) [5/6/2010 5:52:46 PM]
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Source: Commodity Futures Trading Commission — original document · Summary generated with machine assistance and reviewed before publication; the authoritative text is the regulator's original document. How RegAlert works
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