Letter from MMI to the CFTC Technology Advisory Committee Regarding Reg AT

Letter from MMI to the CFTC Technology Advisory Committee Regarding Reg AT
“While MMI supports most elements of the Proposed Rule, we have grave concerns with the proposed requirement under section § 1.81(a) that AT Persons must produce for inspection ‘a source code repository to manage source code access, persistence, copies of all code used in the production environment, and changes to such code.’”