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Comment for Proposed Rule 76 FR 4752

  • From: r_e_rutkowski
    Organization(s):

    Comment No: 55655
    Date: 3/22/2011

    Comment Text:

    Chairman Gary Gensler
    Commodity Futures Trading Commission
    Three Lafayette Centre
    1155 21st Street, NW
    Washington, DC 20581
    202-418-5000
    202-418-5521, fax
    202-418-5514, TTY
    Via
    David A. Stawick
    Secretary

    Email: [email protected]

    Re: Proposed Rule 76 FR 4752 // 17 CFR Parts 1, 150 and 151 Position Limits for Derivatives

    Dear Chairman:

    I applaud the Commission’s efforts to implement the Dodd-Frank Act as thoroughly as possible especially reforms aimed at limiting excessive speculation in food and energy commodities.

    While many factors contribute to today’s highly volatile commodity prices, it is clear that excessive speculation is partially responsible, as shown in dozens of studies by members of respected institutions such as Princeton, MIT, Citigroup, Petersen Institute, University of London, Yale, UNCTAD, FAO, and the U.S. Senate.

    I urge the Commission to implement the proposed rules regarding aggregate speculative position limits to prevent excessive speculation. At this time of fragile economic recovery, we cannot allow speculators to unduly affect our food and energy prices.

    Congress called for exemptions from these limits for bona fide hedgers. I ask that the Commission define that term in the strictest sense possible, limiting exemptions to businesses that deal in physical commodities and use markets to hedge commercial risk in those commodities. Banks, hedge funds, private equity and all passive investors in commodities should not be deemed as bona fide hedgers. Institutions hedging price directional bets such as commodity index swaps, Exchange Traded Funds and Exchange Traded Notes also should not be considered as bona fide hedgers.

    Thank you for the opportunity to bring these remarks to your attention.

    Yours sincerely,
    Robert E. Rutkowski

    cc: House Minority Leadership

    2527 Faxon Court
    Topeka, Kansas 66605-2086
    P/F: 1 785 379-9671
    E-mail: [email protected]



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