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Comment for Proposed Rule 75 FR 63732

  • From: Daniel Torres
    Organization(s):
    Latino American Chamber of Commerce of Connecticut

    Comment No: 26468
    Date: 11/17/2010

    Comment Text:

    Mr. Gary Gensler
    Chairman
    Commodity Futures Trading Commission
    3 Lafayette Center
    1155 21st Street, N.W.
    Washington, DC 20581

    Dear Chairmen Gensler:

    I write to express my concern about the proposed Commodity Futures Trading Commission (CFTC) rules in Sections 726 and 765 of the Dodd-Frank Financial Services Reform Act which are in direct contradiction of the recently passed legislation.

    One of the key goals of the legislation was to have the CFTC adopt clear and tough rules that would help to promote fair and open competition in the trading marketplace. It also sought to have the CFTC, through these regulations, mitigate systemic risk and conflicts of interest to ensure that competition remained open and fair.

    While your proposed regulation would limit individual swap dealer ownership to 5%, it would still allow dealers to collectively own 100% of a clearinghouse system, swap execution facility or an exchange that trade swaps which is very troubling for many of us that advocate for small, locally-owned businesses. This type of rule, in the proposed regulation, would still result in dealers directing their business to a single, monopolistic clearing facility owned exclusively by the dealers themselves.

    Because of this, I want you to strongly urge the CFTC to eliminate the 5 percent alternative that has been proposed to ensure that no financial institutions or entities will be able to use it as alternative way to continue their dominance of clearing facilities and the flow of high profits from an anticompetitive market.

    As an organization that encourages many of our smaller, locally-owned Latino businesses to compete in their respective markets, we feel it is absolutely critical that the proposed regulations promote a fair and competitive market.

    I urge the Commissions to live up to the mandate of Dodd-Frank by stopping any one entity or class of entities from dominating a majority ownership of the clearinghouses, Swap Execution Facilities (SEFs) and exchanges that are so vital for successful implementation of the Dodd-Frank legislation.

    Sincerely,
    Daniel Torres
    President

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