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Comment for Proposed Rule 75 FR 4143

  • From: David W Murphy
    Organization(s):
    Natural Gas Supply Association

    Comment No: 17369
    Date: 4/26/2010

    Comment Text:

    10-002
    COMMENT
    CL-08369
    From:
    Sent:
    To:
    Cc:
    Subject:
    Attach:
    David Murphy
    Monday, April 26, 2010 1:49 PM
    secretary
    Jenny Fordham
    Comments of the Natural Gas Supply Association: 75 FR 4144
    SKMBT_C65210042612370.pdf
    Dear Mr. Secretary,
    Please find attached the comments of the Natural Gas Supply Association regarding the CFTC's Federal
    Speculative Position Limits for Referenced Energy Contracts proposed rule.
    Thank you,
    David
    David W. Murphy
    Energy Markets & Government Affairs
    Natural Gas Supply Association
    Direct: (202) 326-9301
    Cell: (205) 657-1848April 26, 2010
    Mr. David Stawick, Secretary
    Commodity Futures Trading Commission
    Three La~a'vette Centre
    115,5 2"1
    st
    Street, N,W.
    Washington, DiC. 20581.
    Re: Pro.posed Federal Speculative Posi{ion Limits for Referen~:e Energy Con.tra~:ts
    and Associated Regulations, 75 Fed. Reg. 4144 (Jan.. 26, 2010}
    Dear Mr. Stawick:
    ~ILEe N a mral Gas Su ppl y Association (, NGSA") submits these com.ments on the
    Commodity Futures Tradi~,.g Commission ("CFTC" or "Commission")Federal
    Speculative Position I~imits ~or Refere~n.ced Energy Contracts a~d Associated
    Regulations Notice of Proposed Rule Making ("Position Limits NOPR").
    NGSA represents "
    ," -
    ~
    .
    .m.teg~ ate~.~ and independent companies that produce and
    market [approximateiy 40 percent of the nat-urai gas consumed i~. the Uni{ed Seates:]
    Established in 1965, NGSA en.courages the use of natural gas within a balanced national
    energy policy, and promotes ~he benefits of competitive markets to ensure reliable and
    efficier~t .......... -
    ~
    ~
    ~ranspo~ ~t~on ant~ delivery of ~aturaI gas and ~o increase t}~e SUDDt~"
    of
    natural
    gas to U~S. customers.
    NGSA members enter i~,,to thousaads of physicai and finar~:clal na~:ral gas
    marke~ t',.:a~sact~ons dam an.d invest billions of dollars in the long4erm deve!opment of
    na{ural gas supply for sale in th.e U:S. natural gas market. As large producers and
    marketers of natural gas, NGSA members would ~xot be participatirtg in the na:turaI gas
    market if they did not believe the market exhibited three key bedrock principles of
    health: 1) integrity, 2) trai~sparency and 3) efficiency.NGSA supports the Comrn~ssioffs commitmel~.t to ensuring well-functioning,
    effi.cient markets that are free from manipulation. If position Iimits are required
    markets can functiot~ well if the pos~tio]-~ limffs are appropriately set. The key is
    ensurir% position limits that are dynamic, re[lective of tb, e underlying market, and
    establlshed in: a way tha~ is transparent and pr:incipled, ~n order to minimize market
    d.isrup~ions and unintended col~sequences, such as reduced liqufd~y:
    Since such unintended consequ~ces would ultimately come at the expense of 60
    millio~-t U.S. natural gas consumers, NGSA urges th.e Commissio~ to exercise cau.tion as
    it considers establishing new position lirnit rules. This need for caution is ur~derscored
    by recent Comm.[ss~on staff reports. Spec~fically, the reports did not establish any
    definitive,, consistent influ.ence between the financial and physical markets
    ~,
    although
    tt~ev did suggest steps for greater transparency to improve market understanding and
    confidence. Tl~e Commission staff's prelimir~ary analysis suggested ~hat changes in the
    position, s of swap dealers and noncomme~'clal traders most often
    &flowed
    price changes
    This refutes the hypothesis that the market act~;itv of swap dealers and no~.~.commercial
    traders, targeted by the Position Limffs NOPR, is driving prices higher, h-c~tead0
    positions of hedge funds appear to !-~ave moved inversely w4.th the D-eceding prfce
    changes, suggesting tt'~at their positions mfght have provided a buffer against volatilitv-
    induced sb.ocks.
    2
    Likewise, academics share the view that specuia~ion plays an
    important ~ole in markets. Dr. Peter Locke, former Fina~tcia.! Economis~ for the CFTC,
    noted "Speculators add liquidity .... The aliernative, a lack of speculation, is [results in]
    potentially large Iiq u~dlty shocks, with prices pushed far from fundamental vatues."~
    This leaves no doubt- that caution is clearly, necessary for a prud.ent patl-t forward with
    respect to position limit regu !a tio~s.
    3 U.S. Commodity Futures Trading Commission (CFTC) Staff,
    Report
    on ~ornrnodity $~va# Dealers & tnde~ Trader~
    w~# Comm~sio~
    Re~ommea##~ioas
    (September 2008~, and CFTCqed l~teta~e~c'y Task Force on Commodity
    Markets (indudin~ the Departments of A6r~cu~tu[e, EnerBy, Treasury, Federal Reserve System Board of Governors,
    Federal ~rade Commissio~ and Securities & ~xchan~e Commission) ~nterim Report on Crude Oi~ (Ju~y 2008):
    ~ Choo, Lee-Ken, Annotated
    Bibliography on Financia~ "Fundamentals" in Natura~ Gas Markets,
    April 6, 20~0~
    http://www~ngsa,org/newsletter/pdfs/20~O%20Press%20Re~eases/~2a-
    Bibl~ography%20for%20EIA%20release%20..2_,pdf
    ~ Locke, Peter;
    Natura~ Gas Price Transparency and
    Liquidity, October 2006, p, 6~
    htt~://www~ngsa~r~news~etter~pdfs/Natura~Gas~Market~ransparenc~-~t~ber%2~2~5-F~na~pdf
    2};our concepts in the Posit~on Limits NOPR risk unir~te,.'~ded co~.sequences to the
    ~.~_atural ~,a~ market m~d consequentiy natural gas m~d energy consumers uniess they are
    appropriately addressed. SpecificaIly--
    IV.
    Arty crowding out provisions must allow for diverse portfolio approaches to
    avoid harming liquidity,
    New position Ii.mi~s, i.f required by the Commission., should be appropriaMy
    established by the exclaartges, with guidelines and oversight provided by tlae
    Commission, to ensure a transparent, dynamic approach that isr~sl:," :~ons,x. "'e to
    the market, and produces a single set of position limiks instead of multiple
    Conflicting limits.
    Aggregation requlreme~ts must recognize tb, e po~ential for multipIe
    decentralized trading strategies based on unique subsidiary hedg~x~.g
    interests.
    Risk management exemption categories must be clarified to correctly
    distinguish commercial hedgers.
    Any crowding out provisions must allow for diverse portfolio approaches to, avoid
    ha:truing liquidity~
    The Commission recognizes the importance of the bona f~de hedge exemption i>
    t~e Position Limits NOPR, and recognizes that positions held as bona fide hedges do
    rtot tt'a'eaten the functioni~:g of ~he marke~. The Commission also recognizes that
    speculative positiorts ~ha~ are sma!ler than the posit-io~ Iimi~ do no~ pose a threat to the
    market. There is no benefit, therefore, to prohibiting an entity from holding speculative
    posi~io~.~s that are within the speculative limits merely because ehe entity is also usi~g a
    bona fide hed.ge exem.ption. Also, the financially settled contracts for which positio~
    ~,
    ~imits are proposed are not st~bject to finit.e supply so the question of "crowding out"
    does ~not arise, l.t is simply r~ot the case fl~at a hedger t!-tat also specuia~es in any way
    reduces the supply of contracts available to another market par{icipant, so ~here is no
    reason to limit the activ'itv to a level below lhe normal position limit, ln fact, while the
    Commission's argumeat for setting position ]imi.~s as a percent of open interest is to
    limit the degree of cor~centration among specc~Iators, this crowding out provision works
    to remove speculators from the market thus increasing concentration and reducing
    liquidity.In addition, compliance with this requirement could require an. entity to
    ].iquidate speculative positions abruptly, ~].~,us possibly c~eating the chaotic m.arket
    conditions that- the limits are ~ntended to avoid, The requirement for abrupt liquidation
    wou!d arise if an entity b, oiding a mix of speculative and hedge positions crossed the
    threshold that required use of %e. bona fide hedge exemption, thus forcing immediate
    liquidation of all the speculative positions, if tee speculative positioixs were within, the
    appropriate limits, then they were not a source of potent{al harm to the market; the
    abrupt liquidation, however, is ham-flu1 to the market. Therefore, (he proposed
    crowding out provisions have the perverse effect of creating the very harm they are
    intended to prevertt. Worse, it wou.ld reduce the participation of tl~e entities that are
    most familiar with market fundamentals, those with a physical presence in the contract
    markets. This means that contract prices may be tess reflective of supply arid demand
    conditior~s and the quality o:f price discovery may suffer.
    In fact, active trading, including speculative tradh-~g, allows cornmerciaI hedgers
    (and speculators) to gain in~eliigence ar-~d insight into the market informing-their
    decisions about when a~~d how to im.pIernent hedges. Futures positions may also be
    in.itiated as speculative, but then used to acquire the underlying physical commodity
    needed for commercial purposes, if market participants retreat from the futures and
    options markets because they do not want to risk violation of the position lhnits, tlh.e
    markets may lose liquidity which will cause greater price volatility. If hedging price
    risk becomes more diffict~.it and expensive for energy businesses, it will result in higher
    energy costs for consumers.
    Posit.ion limits, if required by the Commissio,~, should be appropriately established
    by the exchanges, with guidelines and overs~gh~ provided by the Commission, to
    e,~sz~re ~ t~'a,~sparent, dynamic approach that is responsive to the market, and
    pro&~ces a sh~gle se* of position limits i,~s~ead of many "compe~i~,g" regu Iations.
    As pro:posed, these position limits would be in additiort to the existin:g limits
    managed by the exchar~ges. It is nearly impossible to determine.e, in advance, the market
    ~ ~
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    C}
    TC-establ,she :t ,rod exchange,established
    impact of ~he interactions bet~ een many ': :
    ' ' " ~c
    ~
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    differeat position iimits or ag~'egate exchar~ge position limits.
    ]instead of Commission.established position limits, NGSA suggests th.at the
    Commission es{abIish a process for routine monitoring of exchange,set position limits.
    This would leverage th:e existing system with.out i,~_troducing a duplicative layer ofregulation. NGSA is not awa.~:e of anything in th.e record that demonstrates the
    existence of a market problem for which an additional layer of position limit regulation
    is an appropriate solutio~, Absent such a fi~ding, we believe tha~ it is more appropriate
    to moniior the exi.sth~g process~ If the rnt. _,,~tc ring ~dentl,~.~s issues for which federal
    position l~mits a.re an apt solution, the CFTC can promulgate position limits at that time.
    This would mitigate the impact of any political uncertainty, allow for objective position
    limits that are dynamic and responsNe to changing market conditions, and result i~ a
    transparent approach to formation of ~ew position Iim~ts should they prove necessary~
    A ggrey, a fiou requirements m us t recogn iz e the po teu tia l fo r m.u ttiple decen Ira lized
    ¢radi~tg s~rategies based on unique subsidiary hedging i~terests.
    Corn.mort corporate ownership does not ~.mply common trading direction "as if
    the trading were done by a single person," especially whe~:~ the thresl~otd for
    aggregation is as described in the NOPR. U~der the C£ommission's proposaI,
    corporate position aggregation rules will limit the ability of companies to hedge
    adequately; The inability to adeq-ua.tely heO~ge will i.nevitably lead to ~'eater energy
    market w)tatility a~d unnecessarily increase the risk of bEingi~ng additional natural gas
    st~pplies to market, To avoid th~s unintended co~'~seque~2ce, the n.~ethodology for
    establishing position limits must consider individual company tracli.ng sDategies
    regardless of corporate ownerst~ip; The proposal would also require companies that
    operate both certain regulated entities and their affi!iated marketing entities to violate
    existing federal requirements that limit i~fform.ati.or~ sha.ring between such reguIated
    entities and marketing groups.
    Risk ma~ta.geme~.~t exemptio~.~ categories musl be clarified 1-o correctly disfittguish
    corn n~ercia I hedgers°
    h~ order to craft a potential distinction between th.e limits afforded to commercial
    hedgers and thcse afforded to swap dealers versz~s pure speculators, the Commiss~o~.~. is
    proposi~g a new r~sk-management exemption category. To achieve these various
    distinctions, the Corn~nission is proposing a defini-tio.t~ of the term "swap c~ea~e~ to be
    based on whether swap dealing is a "significa~t part" of an. entity~s business. While
    NGSA appreciates the Commission's efforts to identify those who are wimarily risk-
    management dealers, market participants may interpret s~onff,cant part in different
    5ways thal~ the Commission, not
    only
    in terms o~ o ~ ~ '-- ¯.,
    ~ ercen~ag~%
    but also: in t:erms of the
    underlying metric (gross income, net revenue, number of employees, promotional
    expenditures, etc.}, and then., as similarly discussed above, measm-ed relative to which
    corporate entity. This Iack of clarity creates a risk that bona fide commercial hedgers
    could be subjectively pulled into a net that is overly broad and applied case by case
    without consiste~acy.
    To correct this shortcoming, tI~e Commission should provide additional clarity
    regarding the metrics it will consistentl.y employ, and how often, to make its
    determinations about who will be eli~ble for which category of exemption. Certainly,
    a~~y test of significance should not be based on an either an unreasonable or fluctuating
    percentage,
    Conclusion
    NGSA member companies arein the business of producing and marketing
    r~aturaI gas, investing billions of dollars annually under the wa ~chful eye of cotmtless
    shareholders, i~westors, citizens, and federa1, state and Iocal regutators~ While natura1
    gas producers and marketers have many different ~ us~ness models, risk profiies and
    strategies ~t~at involve a huge variety of unique, graphically dispersed assets, the
    fundamental objective is ~he same - the sa~e of ~aaturai gas througll efficient and robust
    U,S. ~a~ural gas marke~s. Fu.lfill~ng this objective requires a U.S. market that is free
    from manipulation and unencumbered by policy uncerta.in
    b,
    arid
    . conflicting
    regulations~
    Natural gas producers and marketers make investment decisions and
    commitments to assets ar~.d strategies for the longo4erm. Just as it can take years to bring
    ~aaturaI gas supplies to market, itcan take years for the unintended consequences of
    policy decisions ~o be recognized,., _ and many .more vears~.~ for the market to restore
    balance after policy missteps are correcked. AdditionaiIy, industries invest miilicms
    anrma!ly to establish and ensure robust regulatory compliance p.rog~;ams. For these
    reasons, NGSA urges the Commission ~o pause its efforts in the rulemaking until
    !egis!ative resolution of the financiai reform debate, which could place ~aew, or per[~aps
    co~ffticti~g, compliance obligations on energy industry finmaciai market participants,
    We urge you to consider the value to the Americar~ energy consumer in taking the time
    6necessary to resolve the leg~sm,~lve debate before :maki~.g a delerrnm.at~on or~ the
    Posi]ion. Limits NOPR, eaabiing a more measured and appropriate appro~ch to
    establishing any new position limit rules, and reducing the probability of additional
    future revisions,
    Con-tmlss.~or~ on dm issues raised .in ehe
    NGSA stands read),'
    to
    work with the
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    " ~-"
    ~
    Positkm. Limits NOPR, Please do not hesitate to contact us if we can provide an?,
    addit{onai information.
    Sincerely,
    J~nifer Fordham
    Director of Energy Markets and Governmen[ Affairs
    Natural Gas Supply Association
    1620 Eye S{reet, NW
    Suite 700
    Washington, DC 20006
    202-o26-9317
    Direct:
    ~
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