Fundamentals for Newer Directors 2014 (pdf)
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The latest edition of ICI’s flagship publication shares a wealth of research and data on trends in the investment company industry.
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Stay informed of the policy priorities ICI champions on behalf of the asset management industry and individual investors.
Explore research from ICI’s experts on industry-related developments, trends, and policy issues.
Explore expert resources, analysis, and opinions on key topics affecting the asset management industry.
Read ICI’s latest publications, press releases, statements, and blog posts.
See ICI’s upcoming and past events.
[29910]
May 13, 2016
TO: CLOSED-END INVESTMENT COMPANY MEMBERS No. 6-16
Yesterday, ICI filed a statement for the record (“Statement”) with the Senate Appropriations Committee, Subcommittee on Financial Services and General Government (“Committee”), in connection with the hearing held by the Committee to consider the appropriations request for the Commodity Futures Trading Commission (“CFTC”). [1] The Statement, which is attached and is summarized briefly below, focuses on ICI’s concerns regarding the CFTC’s amendments to CFTC Rule 4.5, and ICI’s support of Section 319 of H.R. 2289, the Commodity End-User Relief Act, which passed the House on June 9, 2015. Section 319 exempts many registered fund advisers from having to register with the CFTC as commodity pool operators (“CPOs”). [2]
The Statement questions the CFTC’s decision to modify Rule 4.5 as part of a 2012 rulemaking that was not mandated (or even contemplated) by the Dodd-Frank Wall Street Reform and Consumer Protection Act. It emphasizes the significant implications the Rule 4.5 amendments have had for many asset management firms, and that most of the costs imposed by this additional regulation are, or will be, indirectly borne by registered investment company (“registered fund”) shareholders. The Statement explains that mutual funds and other types of registered funds are extensively regulated, and asserts that the CFTC made no effort to determine whether its own oversight would complement, conflict with, or merely duplicate, the SEC regime.
The Statement explains that Section 319 of the House-passed Commodity End-User Relief Act addresses these concerns in a manner that is consistent with the CFTC’s stated intent in adopting the Rule 4.5 amendments. Section 319 exempts registered fund advisers from having to register with the CFTC as CPOs if their registered funds invest in commodity interests limited to “financial commodities,” e.g., S&P 500 swaps and other securities-like derivatives, and do not invest in traditional commodities, such as natural resource and agricultural commodities.
Sarah A. Bessin
Associate General Counsel
[1] The Committee hearing was held on April 12, 2016. A webcast of the hearing is available at: http://www.appropriations.senate.gov/hearings/hearing-to-review-the-fy17-budget-request-for-the-sec-and-cftc.
[2] See ICI Memorandum No. 29083 (June 10, 2015), available at https://www.ici.org/my_ici/memorandum/memo29083
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