2017-07-18 | CFTC Staff Letter 17-39Added · Updated
The Division of Swap Dealer and Intermediary Oversight grants no-action relief to entity A from registering as a commodity pool operator under Section 4m(1) of the Commodity Exchange Act for its role as general partner or manager of certain commodity pools. This relief is contingent upon entity A delegating its CPO responsibilities to entity B, a registered CPO, while satisfying all criteria of CFTC Staff Letter No. 14-126 except for the common control requirement. Entity A and entity B remain jointly and severally liable for any violations of the Act or Commission regulations, and entity B maintains all books and records in the United Kingdom.
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U.S. COMMODITY FUTURES TRADING COMMISSION
Three Lafayette Centre
1155 21st Street, NW, Washington, DC 20581
Telephone: (202) 418-5000 eflaherty@cftc.gov
Division of Swap Dealer and
Intermediary Oversight
Eileen T. Flaherty
Director
CFTC Letter No. 17-39
No-Action
July 18, 2017
Division of Swap Dealer and Intermediary Oversight Re: Request For No-Action Relief from the Requirement to Register as a Commodity Pool Operator under Section 4m(1) of the Commodity Exchange Act Dear :
This is in response to your letter, dated March 6, 2017, to the Division of Swap Dealer and Intermediary Oversight (the “Division”) of the Commodity Futures Trading Commission (the “Commission” or the “CFTC”). In the letter, you request, on behalf of “A” that “A” receive relief from the requirement to register with the Commission as a commodity pool operator (a “CPO”) under section 4m(1) of the Commodity Exchange Act (the “Act”)1 in connection with its role as general partner or manager of certain commodity pools (the “Pools”). Instead, you state that “A” will delegate certain of its responsibilities as the CPO of the Pools to “B” pursuant to the applicable requirements of CFTC Staff Letter No. 14-126 (“Letter 14-126”),2 except for criterion 6 therein as discussed below. Background On May 12, 2014, the Division issued CFTC Staff Letter No. 14-69 (“Letter14-69”), which was in response to numerous requests asking that the Division provide no-action relief for failure to register as a CPO under section 4m(1) of the Act, if another person would serve as the registered CPO of the commodity pool at issue (the “Designated CPO”) in lieu of the requesting CPO (the “Delegating CPO”). Letter 14-69 developed a standardized, streamlined approach pursuant to which the Division addressed these types of relief requests, and set forth certain requirements that were based on prior staff no-action letters. On October 15, 2014, the Division issued Letter 14-126, which was a further refinement of the relief addressed in Letter 14-69. Like Letter 14-69, Letter 14-126 provided no-action relief for failure to register as a CPO under section 4m(1) of the Act, if another person would
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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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