Comment Text:
Dear Ms. Jurgens:
This letter is in response to the Federal Register notice of July 3, 2014 regarding the Proposed Rule for Position Limits for Derivatives and is made on behalf of Rice Dairy LLC. These comments are consistent with our comments filed on February 7, 2014, but further clarify our recommendation for position limits for dairy commodity derivatives, specifically class III milk.
Please see our attached comment letter.
Tom Sandy
Chief Operating Officer
Rice Dairy LLC
312-492-4200