The Commodity Futures Trading Commission (CFTC or Commission) released a staff report with Commission recommendations on activities of swap dealers and commodity index traders.
The report's findings and recommendations are based on information obtained from an unprecedented June 2008 special call that Commission staff issued to quantify key components of the over-the-counter (OTC) swap and commodity index markets. The special call included 43 request letters to 32 entities and their sub-entities seeking information on total swap and index activity in the futures and OTC markets, and asked responders to categorize the activities of their customers.
Responders provided monthly data for the period of December 31, 2007 through June 30, 2008 and have a continuing obligation to provide monthly data to the Commission. The results from the special call represent a snapshot of the best data currently available concerning the trading activity of swap dealers and commodity index traders.
"This staff report was an enormous undertaking that provides a window into the complex activities of swap dealers and commodity index traders,” said CFTC Acting Chairman Walter Lukken. "Based on the staff report, the Commission is recommending preliminary actions to increase transparency and improve controls in the marketplace. The recommendations represent steps in modernizing the agency's approach to oversight, while ensuring that the markets remain competitive, open, and on U.S. soil.”
Based upon the staff's analysis, the Commission report includes the following recommendations:
Here is a link to read more at the CFTC website.
1. Remove swap dealers from the commercial category in the Commitments of Traders Reports and create a new swap dealer classification for reporting purposes.
2. Develop and publish a new periodic supplemental report based on OTC swap dealer activity.
3. Create a new CFTC Office of Data Collection, whose sole mission is to collect, verify, audit, and publish all the agency's commitments of traders information.
4. Establish more detailed reporting standards for certain large traders on regulated futures exchanges to ensure a more precise picture of their trading activity.
5. Consider elimination of bona fide hedge exemptions for swap dealers and the creation of a new, limited risk management exemption.
6. Request increased funding to successfully implement the above recommendations, along with additional funding sufficient to meet current mission requirements and any other additional responsibilities given to the agency.
7. Continue to encourage the clearing of OTC transactions.
8. Conduct a review of swap dealers' futures trading activity to ensure that it is sufficiently independent of any affiliated commodity research