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[print version]
On February 22, 2011, FEI’s Committee on Corporate Treasury joined the Coalition for Derivatives End-Users in sending a comment letter to the U.S. Commodity Futures Trading Commission and the U.S. Securities and Exchange Commission on the proposed rule for entity definitions, such as “major swap participant,” “swap dealer,” “eligible contract participant,” and others. The letter highlights that these definitions should be finalized in a way that maintains the ability of end-users to efficiently manage their business risks through derivatives markets.
[print version]
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