The Commodity Futures Trading Commission’s Division of Market Oversight issued a no-action letter extending the no-action position set out in CFTC Letter No. 22-14 on certain swap reporting requirements under Parts 45 and 46 of the CFTC’s regulations. The extension applies to certain non-U.S. swap dealers and non-U.S. major swap participants established in Australia, Canada, the European Union, Japan, Switzerland, or the United Kingdom, provided they are not part of an affiliated group where the ultimate parent is a U.S. swap dealer, U.S. major swap participant, U.S. bank, U.S. financial holding company, or U.S. bank holding company.