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Comment for Proposed Rule 75 FR 63732

  • From: Lowell Schachtsiek
    Organization(s):

    Comment No: 53034
    Date: 1/3/2011

    Comment Text:

    January 4, 2011



    Dear Secretary Stawick:



    On behalf of its thousands of cattle farmer and rancher members across the United States, the Ranchers-Cattlemen Action Legal Fund, United Stockgrowers of America (R-CALF USA) urges the Commodity Futures Trading Commission (CFTC) to consider the following comments on several key areas requiring rulemaking under Title VII of the Dodd-Frank Wall Street Reform Act.



    R-CALF USA is a member of the Commodity Markets Oversight Coalition (CMOC) and we signed and support the comments previously sent to you by the CMOC in November 2010. In addition to those comments and concerns expressed in that letter, R-CALF USA is particularly concerned with the practice whereby large beef packers, which are legitimate hedgers for a certain volume of cattle, enter the commodity futures markets also as speculators with the intent and effect of manipulating the futures (and hence the cash price) of cattle. These beef packers should not be entitled to the end-user exception for speculative trades beyond their physical needs for slaughter cattle.



    R-CALF USA urges the CFTC to use its rulemaking authority to fully restore the cattle futures market to its original purpose of affording U.S. cattle producers a useful marketing tool void of distortion and manipulation by certain speculators and other dominant market participants (i.e., beef packers). United States cattle producers sell their cattle into one of the most highly concentrated marketing structures in the U.S. economy – one that has exceeded levels generally considered to elicit non-competitive behavior and adverse economic performance. [1][1] Today, the four largest U.S. beef packers purchase and slaughter about 85 percent of all slaughter-ready steers and heifers. [1][2] Inherent to this high level of market concentration is substantial disparity between the economic power of the hundreds of thousands of disaggregated U.S. cattle producers (i.e., cattle sellers) [1][3] and the economic power wielded by very few beef packers (i.e., cattle buyers).



    As a result of this significant economic disparity, cattle producers, some of whom use futures markets to offset price risk, are vulnerable to any market distortions caused by beef packers that may not only participate in the futures market as physical hedgers, but also as significant speculators as well. The cattle futures market is susceptible to downward price movements – in contradiction to supply/demand fundamentals, when beef packers, who may hold a physical hedging position in the market, also engage in substantial speculative short selling of the market. The effect of the beef packers’ speculative short selling is to lower not only the futures market price, but also the cash spot market price, which intrinsically is tied to the futures market.



    Like other commodity futures markets, the futures market for live cattle is highly susceptible to market distortion should additional liquidity be introduced in the form of excessive speculation. The remaining participants in the U.S. live cattle industry, whose numbers already have been reduced by an alarming 40 percent since 1980, [1][4] operate on slim margins and are highly susceptible to even small changes in cattle prices. [1][5] As a result, cattle producers are particularly vulnerable to financial failure caused by both market volatility and market distortions that swing prices low, even for short periods, as they are operating in an industry already suffering from a long-run lack of profitability.



    R-CALF USA believes the CFTC should make it unlawful for dominant beef packers to engage in speculative short selling of the market to effectively drive down both futures prices and cash cattle prices. Also, the CFTC should ensure that the live cattle futures market is dominated by physical hedgers, which can be accomplished in the CFTC’s rulemaking by imposing aggregate speculative position limits and distinguishing trades involving bona-fide hedgers versus those involving speculation.



    Imposing effective speculative position limits across all markets also would curb the commodity indexing strategies of large institutional investors, whose strategies severely distort futures market price discovery. We believe the CFTC should restore daily market price limits to levels that minimize market volatility and reform the practice of allowing cash settlements on futures contracts in lieu of actual delivery of the commodity, a practice that effectively lowers the cattle futures price on the day of contract expiration. Also, we believe that effective speculative position limits imposed on all feed grain commodities markets would alleviate the transference of market distortions from the feed grains futures market to the cattle futures market.



    We look forward to working with you and the CFTC in the rulemaking process to finally eliminate those practices that cause artificial price distortions in the derivatives market and have relegated the cattle futures market to an ineffective tool for price discovery and risk management for U.S. cattle producers.



    Sincerely,

    Lowell Schachtsiek

    6938 county Road 249

    Palmyra, Missour 63461i



    R-CALF USA








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