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Enron Mail |
Please print the email and attachment (click "view"). I need to learn how to
handle margins when printing. Thanks. Sara ----- Forwarded by Sara Shackleton/HOU/ECT on 07/27/2000 01:44 PM ----- "Hunt, Lawrence" <lhunt@Sidley.com< Sent by: "Milazzo, Michelle" <mmilazzo@Sidley.com< 07/27/2000 12:58 PM To: "'Bruce, Robert'" <robert.bruce@enron.com<, "'Shackleton, Sara'" <sara.shackleton@enron.com< cc: "Nissen, William J." <wnissen@Sidley.com< Subject: Commodities Materials Bob and Sara - As we discussed, I enclose the cover page from the lengthy CFTC policy paper relating to regulation of Ag Options. This paper was never approved by the full Commission and does not represent CFTC policy. I also enclose: (i) An outline of the application for designation as a contract market (a recent example is the application of BrokerTec Futures Exchange LLC, published at 65 F.R. 36667 (June 9, 2000)); (ii) Excerpts from a report by the General Accounting Office discussing issues relating to the reauthorization of the CFTC (May 1999). (This represents much of the seed work for S. 2679 and deals with certain of the issues we discussed yesterday.); and (iii) Introductory notes to CFTC revisions to its Rules relating to agricultural trade options (December 6, 1999). The exemption we discussed was for an entity called SwapClear, referred to in the GAO report. During one of our conversations, Bob referred to multilateral transaction execution facilities. The Commission has proposed regulations on this subject. They are reported at 65 F.R. 38985 (June 22, 2000) (CCH Commodity Futures Law Reporter paragraph 28,153). Regards. - Larry <<~att341.uni<< - ~att341.uni ------------------------------------------------------------------------------ ------------------------------ This e-mail is sent by a law firm and may contain information that is privileged or confidential. If you are not the intended recipient, please delete the e-mail and any attachments and notify us immediately.
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