Archive for August 2nd, 2012

OCX.NoDivRisk Dividend Memo 2012-08-02

Thursday, August 2nd, 2012


DATE: 08/02/2012

RE: OCX.NoDivRisk® Adjustments

The securities listed below will be trading ex-dividend on the Ex-Date noted. Corresponding OCX.NoDivRisk® SSF will be adjusted by the following amounts.

Business Date Name Underlying Symbol Underlying ID Futures Symbol Adjustment Amount Ex-Date
2012-08-02 ACCESS MIDSTREAM PARTNERS L P ACMP 00434L109 ACMP1D -0.4200 2012-08-03
2012-08-02 ATLAS PIPELINE PARTNERS LP UT APL 049392103 APL1D -0.5600 2012-08-03
2012-08-02 ALLIANCE RESOURCE PARTNERS L P ARLP 01877R108 ARLP1D -1.0625 2012-08-03
2012-08-02 ATLAS ENERGY L P COMUNITS REPS ATLS 04930A104 ATLS1D -0.2500 2012-08-03
2012-08-02 CAPITAL PRODUCT PARTNERS L P C CPLP Y11082107 CPLP1D -0.2325 2012-08-03
2012-08-02 CREDIT SUISSE AG SPON ADR-REP CS 225401108 CS1D -0.0388 2012-08-03
2012-08-02 DCP MIDSTREAM PARTNERS LP COM DPM 23311P100 DPM1D -0.6700 2012-08-03
2012-08-02 ENBRIDGE ENERGY PARTNERS LP EEP 29250R106 EEP1D -0.5435 2012-08-03
2012-08-02 EAGLE ROCK ENERGY PARTNERS LP EROC 26985R104 EROC1D -0.2200 2012-08-03
2012-08-02 EV ENERGY PARTNERS LP COM UNIT EVEP 26926V107 EVEP1D -0.7650 2012-08-03
2012-08-02 FIRSTENERGY CORP FE 337932107 FE1D -0.5500 2012-08-03
2012-08-02 HEALTH CARE REIT INC HCN 42217K106 HCN1D -0.7400 2012-08-03
2012-08-02 INTEL CORP INTC 458140100 INTC1D -0.2250 2012-08-03
2012-08-02 LINN ENERGY LLC UNITREPSTG LTD LINE 536020100 LINE1D -0.7250 2012-08-03
2012-08-02 MAGELLAN MIDSTREAM PARTNERS LP MMP 559080106 MMP1D -0.9425 2012-08-03
2012-08-02 INERGY LP NRGY 456615103 NRGY1D -0.3750 2012-08-03
2012-08-02 NUSTAR ENERGY LP UNIT NS 67058H102 NS1D -1.0950 2012-08-03
2012-08-02 NEW YORK COMMUNITY BANCORP NYB 649445103 NYB1D -0.2500 2012-08-03
2012-08-02 VANGUARD NAT RES LLCCOM UNIT R VNR 92205F106 VNR1D -0.6000 2012-08-03

The OCC will adjust the start of day prices (ie. prior day’s settlement) by the amount of the dividend.

Questions regarding this memo can be addressed to OneChicago at info@OneChicago.com or 312.424.8507. This and all other OneChicago corporate event circulars can be accessed from the OneChicago Web site at www.OneChicago.com

THE ABOVE IS AN UNOFFICIAL SUMMARY OF INFORMATION CURRENTLY AVAILABLE: THIS INFORMATION IS SUBJECT TO CHANGE. ONECHICAGO, LLC ACCEPTS NO RESPONSIBILITY FOR ITS ACCURACY OR COMPLETENESS.


Re: Revisions to OneChicago Chapter 7 Rules Involving Discipline and Enforcement – Revised

Thursday, August 2nd, 2012

 

Click to view PDF

Thursday, August 2nd, 2012

***************************************

Clock Now Ticks for Swaps Compliance

By Tommy Fernandez

July 30, 2012

The starter’s pistol is about to be fired for the swaps industry.

The Commodity Futures Trading Commission is expected to publish on August 2 its recently approved swaps definitions in the Federal Register.

Sixty days later-on October 1-market participants, including asset managers, are expected to comply with the first set of rules related to these definitions.

For example, firms must decide whether they need to register as swap dealers or major swap participants. Other chores include learning and adopting new business conduct codes, such as provisions governing conflicts of interest and monitoring of position limits, and developing systems for recording and reporting swaps transactions.

After that, the swaps industry will move relatively rapidly toward trading standardized contracts on electronic venues known as swap execution facilities. This, mandated by the 2010 Dodd-Frank Wall Street Reform Act, is designed to head off a repeat of the calamitous use of swaps contracts, privately negotiated, that led to the credit crisis of 2008.

Not all of the rules on how this will take place are clear, and registration will clearly cause growing pains in the form of serving two regulatory masters, the CFTC and the Securities and Exchange Commission, but experts say the operational headaches are manageable.

“For the vast majority of fund managers, the product definitions were significant since they were a bellwether on the state of the regulatory reform-that is, Dodd-Frank rulemaking overall is viewed as having entered the ‘final stage,’” says Andrew Cross, team leader of the Derivatives and Structured Products practice at the law firm Reed Smith.

Cross said that the definitions provide clarity for asset managers in a number of important areas. They can now seriously consider whether they need to register as swaps dealers or major swap participants, or apply for exemption. They can determine whether they need to be treated as commodity trading advisors for giving advice on over-the-counter instruments. The definitions, he says, will also help managers prepare for the impacts of earlier adopted changes to the CFTC Rules 4.5 and 4.13, which govern exemptions to commodity pool operator registration for mutual funds and hedge funds.

The definitions have already had an impact, says Jack Callahan, CME Group Executive Director and OTC Product Specialist.

“We’ve seen a definite increase in new customer activity since the swap definitions were finalized, as many buy side firms are progressing towards clearing their first trades and completing their final stages of testing and internal readiness,” he says. “We’ve already cleared trades across a variety of market participants including asset managers, insurance companies, hedge funds, and banks.”

CME prepared for the rule changes, in part, by building a system that allows market participants to clear their trades in real-time. That means customers can focus more on managing their portfolios and worry less about operational and credit risk, Callahan says.

Meanwhile, the IntercontinentalExchange, which operates regulated futures exchanges, clearing houses and over-the-counter markets, developed ICE Trade Vault as a swap data repository. It enrolled 250 customers in advance of its launch. The Trade Vault has already received provisional approval from the CFTC as a Swap Data Repository.

To be sure, observers say that there are plenty of areas where the new definitions and rules are still unclear, and complying with them will be a bear.

Read the full article here. (Subscription required)

Get Quotes 
Exp BID ASK Time
(EST)
 
ONECHICAGO ETF FUTURES
Sym Exp BID ASK Time (EST)
 
TOP 5 MOST ACTIVE FUTURES AT ONECHICAGO
Sym Exp BID ASK Time (EST)
Click - Quote Board

Don't see a product?
Click Here


August 2012
S M T W T F S
« Jul   Sep »
 1234
567891011
12131415161718
19202122232425
262728293031  

  • Quick Links