Comment Text:
Dear Mr. Stawick:
Reval.com, Inc. (“Reval”) appreciates the opportunity to submit its comments in response to the Commodity Futures Trading Commission’s (“Commission” or “CFTC”) December 7, 2010, 17 CFR Part 43 RIN 3038–AD08
Real-Time Public Reporting of Swap Transaction Data; Proposed Rule (“Rule”).
Reval would like to commend the CFTC and its staff for trying to tackle a very challenging and important task of creating transparency around the private nature of OTC derivative contracts.