Comment Text:
On behalf of the Working Group of Commercial Energy Firms, Hunton & Williams LLP submits these comments in response to the request for public comment set forth in the Notice of Proposed Rulemaking, Swap Data Recordkeeping and Reporting Requirements, issued by the Commodity Futures Trading Commission and published in the Federal Register on December 8, 2010, proposing to implement swap data recordkeeping and reporting requirements for swap data repositories, derivatives clearing organizations, designated contract markets, swap execution facilities, swap dealers, major swap participants, and swap counterparties who are neither SDs nor MSPs.
We appreciate the opportunity to submit comments on this proposed rule. If you have questions, please contact Michael Sweeney or Mark Menezes.
Respectfully submitted,
Meghan R. Gruebner