MMI Second Comment Letter to the CFTC Regarding Reg AT

MMI Second Comment Letter to the CFTC Regarding Reg AT
As previously stated, MMI stands in broad support of the CFTC’s proactive efforts to codify industry best practices and enforce high standards for automated trading. However, the Agency’s Proposal to move source code inspection from a judicial process to books and records provisions (Commission Regulation 1.31) unduly imperils sensitive intellectual property and violates the Fourth Amendment.