Steven Lofchie is a Partner based in New York. He advises financial institutions and corporate clients on the securities laws and the Commodity Exchange Act, with particular focus on the regulation of broker-dealers, swap dealers, investment funds and other market intermediaries. Steven's transactional practice focuses on securities credit and derivative transactions.

Recent Articles & Comments

It would not be surprising if other firms also paid less than adequate (from a regulatory standpoint) attention to hiring procedures of personnel who are not required to be registered. This disciplinary action is a warning to other firms to check their procedures (going forward) and their records (going backward).

The most significant issue in this case was whether the interests purchased by the investors were in fact "securities" such that the case was within the SEC's jurisdiction at all. To make the case that the interests were in fact securities, the complaint stated repeatedly, "Neither Defendants nor the other investors were involved in managing or operating any of the wells or other oilfield facilities." (For law students, this is the rationale behind the famed Howey case, where it was…

While improving the transparency of the FSOC process would be a significant improvement on FSOC's operations to date, it would be better still to rethink (and to some extent junk) the discretionary designation process. The government should not have broad discretion to pick and choose on a subjective basis the firms that are to be subject to regulation. It should be easy enough to draft legislation that provided specifically for the regulation of large financial market utilities. Likewise,…

Mr. Cordray's resignation presents an opportunity to restructure the CFPB in a manner that is consistent (i) with the bipartisan structure of other agencies, and (ii) that gives Congress and the President authority over the agency, including budgetary authority.

The existing regulatory structure now gives President Trump the ability to appoint a new head of the CFPB to serve a five year term. Without a change in structure, the new appointee will serve regardless of whether the…