The CFTC extended the comment period until April 11, 2024, for its proposed rule ("NPRM") on real-time public reporting requirements and swap data recordkeeping and reporting requirements.
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Swap dealers at three different financial institutions settled separate CFTC enforcement actions for trade reporting and other compliance violations.
CFTC staff granted additional no-action relief from certain CFTC swap data reporting requirements relating to LIBOR transition.
The CFTC amended its Technical Specification for swap data reporting and public dissemination requirements.
A CFTC Order requiring the use of a designated unique product identifier and product classification system for swap recordkeeping and data reporting became effective on February 24, 2023.