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From: Riley, John <JRiley@CFTC.

gov>
Sent: Friday, December 4,20092:56 PM
To: Ogilvie, Clark <Clark.Ogilvie@mai1.house.gov>; Peter Roberson
(peter. roberson@mail.house.gov)
Cc: Leslie, Douglass <dleslie@CFTC.gov>; Arbit, Terry <tarbit@CFTC.gov>; Amir-
Mokri, Cyrus <CAmir-Mokri@CFTC.gov>
Subject: CFTC Staff Technical Assistance
Attach: House Rules Committee-cftc-fdic staff technical comments re suspension of
obligations in receivership viz clearing 12.4.09.docx

Clark and Peter -

I wanted to pass on to you as CFTC staff technical assistance a document with amendments to subtitle G
ofH.R. 4173. The amendment is intended to address the situation where a financial company covered by the
dissolution provisions is a member of a clearing organization. An explanation is included. Of course, we would
be glad to answer any questions you might have.

We have worked with FDIC in the development of this language and believe that they are supportive.
Michael Krimminger has been our contact. Thanks for your consideration.

John

John P. Riley
Director of Legislative Affairs
Office ofthe Chairman
u.s. Connnodity Futures Trading Connnission
115521 51 St., NW
Washington, DC 20581
(202) 418-5383
JRi1ey@CFTC.gov

CFTC-CREW-0404

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