Comment on CFTC-2026-1222, CFTC-2026-1222-0001, Better Markets

Better MarketsSupportAdvocacy
Summary: Better Markets, Inc. supports the proposed rule to establish a 30% award presumption for meritorious whistleblowers to improve efficiency and transparency. While they support the rule, they suggest the Commission consider a higher $15 million threshold to further reduce processing times.
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