Font Size: AAA // Print // Bookmark

Comment for General CFTC Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities

  • From: West D
    Organization(s):
    Household Investor

    Comment No: 73027
    Date: 8/27/2023

    Comment Text:




    I firmly take the perspective of Chairman Christy Romero's comment posted at the following link.


    https://www.cftc.gov/PressRoom/SpeechesTestimony/romerostatement062823

    The potential new vertical integration of clearinghouses with the customer facing intermediaries will not promote market stability, investor protection, or reduced market risk. This new regulatory framework should not be implemented under any circumstances. It only serves to hand over the ability of substantially more risk and leverage to a vertically integrated (see: monopoly) clearinghouse, with a significant reduction in seeing both the level of risk and the ability of a naturally occurring disciplinary feedback mechanism to be in place.

    Again, this new market structure and regulatory proposal should not be implemented in any fashion.

Edit
No records to display.