Comment Text:
On behalf of the Commercial Energy Working Group, Eversheds Sutherland (US) LLP hereby submits this comment letter in response to the Commodity Futures Trading Commission Letter 17-33, announcing the CFTC Division of Market Oversight’s review of swap data reporting requirements under Parts 43, 45, and 49 of the CFTC’s regulations, releasing DMO’s “Roadmap to Achieve High Quality Swaps Data," and soliciting public comment to aid such review.
Respectfully submitted,
Meghan R. Gruebner
Counsel for the Commercial Energy Working Group