Comment Text:
The Edison Electric Institute (EEI) submits the attached comments in response to the CFTC's proposed rule on the Designation of a Chief Compliance Officer; Required Compliance Policies and Annual Report of a Futures Commission Merchant, Swap Dealer, or Major Swap Participant, 17 CFR Part 3, RIN No. 3038-AC96, published at 75 Fed Reg. 70,881 (November 19, 2010).