Comment on CFTC-2026-1388, CFTC-2026-1388-0001, VeloxVFX LLC
VeloxVFX LLCSupportBusiness
Summary: VeloxVFX LLC supports the proposed action of allowing 24/7 trading and perpetual energy contracts, provided that the Commission requires continuous evidence of liquidity, operational readiness, and public-interest protections. The commenter argues that continuous market access must be matched by continuous accountability and safeguards to protect households and commercial users from off-hours market volatility.
VeloxVFX LLC respectfully submits the attached comment in response to the CFTC’s Request for Comment on 24/7 trading and perpetual energy contracts, RIN 3038-AF75, Docket CFTC-2026-1388.
The submission recommends that continuous market access be supported by continuous evidence, surveillance, operational readiness, clear institutional responsibility, and safeguards that preserve public confidence. It also addresses the importance of human review, understandable disclosures, error-correction procedures, and protection against off-hours market conditions affecting households, commercial users, utilities, pensions, and essential services.
VeloxVFX LLC does not operate a trading venue, clearing organization, payment system, custodian, settlement service, or margin facility. The attached comment is submitted solely for policy and technical context and does not request adoption or endorsement of any proprietary architecture.
Thank you for the opportunity to comment.
VeloxVFX LLC respectfully submits the attached comment in response to the CFTC’s Request for Comment on 24/7 trading and perpetual energy contracts, RIN 3038-AF75, Docket CFTC-2026-1388.
The submission recommends that continuous market access be supported by continuous evidence, surveillance, operational readiness, clear institutional responsibility, and safeguards that preserve public confidence. It also addresses the importance of human review, understandable disclosures, error-correction procedures, and protection against off-hours market conditions affecting households, commercial users, utilities, pensions, and essential services.
VeloxVFX LLC does not operate a trading venue, clearing organization, payment system, custodian, settlement service, or margin facility. The attached comment is submitted solely for policy and technical context and does not request adoption or endorsement of any proprietary architecture.
Thank you for the opportunity to comment.
Ed G. Haddadin
Managing Member
VeloxVFX LLC
www.veloxvfx.com