As a general matter, the CFTC determines the size of civil monetary penalties on a per violation basis, up to triple the monetary gain to the individual or company. The CEA and CFTC regulations also establish a maximum penalty amount “per violation.” That said, notwithstanding the maximum penalty amount per violation, the CFTC’s Division of Enforcement (Division) exercises considerable discretion to determine the number of violations for a given matter, so publishing the maximum penalty “per violation” provides only limited insight into the potential exposure that could result from a specific fact pattern.
The Division has published guidance outlining factors that it considers when assessing the civil monetary penalty for a given matter. The factors involve four general categories: (1) the gravity of the violation (e.g., the nature, duration, and degree of the violation); (2) the presence of mitigating or aggravating circumstances (e.g., history of violations, pre-existing compliance program, and post-violation conduct such as concealment of a violation or remedial efforts to address the violation); and (3) other considerations (e.g., remedies from analogous cases and remedies imposed a parallel matter brought by the criminal authorities, other regulatory entities, or self-regulatory organizations). As a general matter, the Division applies these factors in a qualitative manner rather than a rigid formulaic calculation. For a more in depth discussion of the Division’s consideration of civil monetary penalties, click here for a copy of Willkie’s client memorandum on this topic.
The tables below provide the maximum penalty amounts “per violation.”
**For the tables below, a “registered entity” is one of the following: designated contract market, derivatives clearing organization, swap execution facility, or swap data repository.
For Non-Manipulation or Non-Attempted Manipulation Violations
U.S. Code |
Relevant Entity |
Penalty per Violation occurring 10/23/2012 through 11/01/2015 |
Penalty per Violation occurring 11/02/2015 through Present |
Penalty Imposed VIA CFTC Administrative Action |
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7 U.S.C. 13a CEA Section 6b |
Any person that is a “registered entity” ** or any of its directors, officers or employees |
$700,000 |
$937,161 |
7 U.S.C. 9 CEA Section 6(c) |
Any person that is not a “registered entity” ** |
$140,000 |
$170,129 |
Penalty Imposed via Federal District Court |
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7 U.S.C. 13a-1 CEA Section 6c |
Any person |
$140,000 |
$187,432 |
For Manipulation or Attempted Manipulation Violations
U.S. Code |
Relevant Entity |
Penalty per Violation occurring 10/23/2012 through 11/01/2015 |
Penalty per Violation occurring 11/02/2015 through Present |
Penalty Imposed VIA CFTC Administrative Action |
|||
7 U.S.C. 13a CEA Section 6b |
Any person that is a “registered entity” ** or any of its directors, officers or employees |
$1,025,000 |
$1,227,202 |
7 U.S.C. 9 CEA Section 6(c) |
Any person that is not a “registered entity” ** |
$1,025,000 |
$1,227,202 |
Penalty Imposed via Federal District Court |
|||
7 U.S.C. 13a-1 CEA Section 6c |
Any person |
$1,025,000 |
$1,227,202 |