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Comment for Proposed Rule 76 FR 4752

  • From: Nancy E Maricondi
    Organization(s):
    Petroleum Retailers & auto Repair Association

    Comment No: 31244
    Date: 3/8/2011

    Comment Text:

    March 8, 2011
    TO: PPMCSA ACTIVE AND ASSOCIATE MEMBERS
    FROM: JOHN V. KULIK, Executive Vice President
    SUBJECT: SEND A MESSAGE TO THE FEDERAL GOVERNMENT TODAY TO ADOPT
    RULES TO END EXCESSIVE SPECULATION
    PPMCSA is joining with the Petroleum Marketers Association of America and others to send a message to
    the Commodities Futures Trading Commission to adopt the regulations necessary to stop excessive
    speculation in the energy markets.
    We were successful last year in fighting for legislation that passed Congress that would regulate excessive
    speculation. The battle has shifted to the regulatory process. It is here that the financial industry is fighting
    the adoption of meaningful regulations needed to enforce the Congressional attempt.
    Please take the time to go to this link. Then fill out the commentator section - and cut and paste the attached
    letter in the space provided http://comments.cftc.gov/PublicComments/CommentForm.aspx?id=965, .
    PPMCSA SPECIAL BULLETIN
    P.O. Box 68, Highspire, PA 17034-0068
    717/902-0210
    - Fax 717/902-0290 - www.ppmcsa.org
    As a petroleum marketer and retailer, I am writing to voice my support for immediate
    adoption of proposed rule (RIN 3038–AD15 and 3038–AD16 Position Limits for
    Derivatives).
    After years of highly volatile commodity markets, the CFTC is finally poised to impose
    position limits for physical commodities. Dozens of studies by industry experts,
    economists, academics, and committees in Congress, as well as direct comments to
    CFTC thru prior rulemaking initiatives and working groups serve only to reinforce the
    need for meaningful position limits in the commodity markets and therefore adoption of
    this rule.
    I have fully supported my industry trade associations in their efforts to communicate
    broad industry concerns with a market structure that seemingly no longer serves a valid
    price discovery function. Massive positions held by speculators have contributed to price
    volatility that is simply unrelated to supply and demand fundamentals. The recent
    upheaval in the Middle East only reinforces the urgent need to enforce immediate
    individual and aggregate position limits on speculators in the commodities markets.
    My industry notices the impacts of price volatility every day. Over the last few weeks,
    rack prices have skyrocketed which has detrimentally impacted petroleum marketers and
    retailers. Many businesses in my industry engage in hedging to protect acquisition costs
    and take delivery of the product that we, in turn, sell to customers. That simple
    transaction is now more expensive because hedging costs for product acquisition have
    increased due to speculation in the market. We see it every day and our customers see it.
    This rule, in combination with the Commission’s overall regulatory structure, is the best
    hope to return price stability to commodity markets.
    Title VII of the Wall Street Reform Act has acknowledged the potential harm of
    excessive speculation and has reaffirmed the importance of position limits by providing
    the Commission with new authorities to impose such limits on currently unregulated
    markets. I believe the Commission understands its responsibility under existing law to
    prevent excessive speculation as an undue and unnecessary burden on interstate
    commerce.
    Commodities are vital resources to American industries, businesses and consumers.
    Well functioning markets are critical to commodity price discovery. Position limits, as
    proposed in this rule, will play a critical role in reestablishing market fundamentals. I
    urge adoption of this rule.
    I thank you for your consideration,
    Sincerely, Nancy Maricondi

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