Environmental Credits and Environmental Credit Obligations
SIFMA provided comments to the Financial Accounting Standards Board (FASB) on the Proposed Accounting Standards Update—Environmental Credits and Environmental Credit…
August 28, 2020
Mr. Joshua Sterling
Director, Division of Swap Intermediary Oversight
Ms. Dorothy DeWitt
Director, Division of Market Oversight
U.S. Commodity Futures Trading Commission
Three Lafayette Centre
1155 21st Street, NW
Washington, DC 20581
Re: Request for Extension of Certain COVID-19 No-Action Regulatory Relief
Dear Mr. Sterling and Ms. DeWitt:
The Futures Industry Association (“FIA”), the International Swaps and Derivatives Association, Inc. (“ISDA”), and the Securities Industry and Financial Markets Association (“SIFMA”) request, pursuant to Commission Rule 140.99 and on behalf of their respective members, that the Divisions extend through midnight on January 15, 2021 the previously-granted no-action regulatory relief in CFTC Letter No. 20-19, due to the ongoing COVID-19 pandemic.1
As the Divisions noted in the letter, the ongoing COVID-19 pandemic continues to make it difficult for all categories of CFTC registrants and other market participants to comply on a timely basis with certain of their obligations under the Commodity Exchange Act and the Commission’s regulations. In granting the original no-action relief, which was extended in Letter No. 20-19, the Divisions acknowledged that “registrants may have significant operations in affected areas or areas that may become affected by the COVID-19 pandemic. Disruptions in transportation and limited access to facilities and support staff as a result of the COVID-19 pandemic could hamper efforts of registrants to meet their regulatory obligations.”2
Because of these material obstacles to compliance, the Divisions granted the no-action relief cited above “where compliance is anticipated to be particularly challenging or impossible because of displacement of registrant personnel from their normal business sites due to community nonpharmaceutical interventions such as social distancing and closures in response to the COVID-19 pandemic.”3
The Commission continues to provide registrants and market users with regulatory relief during this challenging period. For example, in addition to, revising the compliance schedule for the posting and collection of initial margin under the CFTC Margin Rule to defer the Phase 5 compliance date to September 1, 2021 “to address the operational challenges faced by certain entities subject to the [rule] as a result of the coronavirus disease 2019 (“COVID-19”) pandemic”,4 on June 25, 2020 the Commission also proposed to defer Phase 6 to September 1, 2022.5