No-action Guidance on SD, MSP and CPO Rules under Dodd-Frank Issued by CFTC | Practical Law
On October 12, 2012, the CFTC issued several interpretive and no-action letters relating to threshold calculations for swap dealers (SDs), major swap participants (MSPs) and commodity pool operators (CPOs), as well as other matters relating to SDs, MSPs and CPOs, as the effective date for many regulatory obligations under Title VII of the Dodd-Frank Act arrived.