On June 24th, the National Futures Association reminded provisionally registered swap dealers ("SDs") and major swap participants ("MSPs") they are required to submit policies and procedures relating to the CFTC's portfolio reconciliation and swap trading relationship documentation requirements by July 1, 2013 if they have not already done so. SDs and MSPs relying on the Final Exemptive Order Regarding Compliance With Certain Swap Regulations are not required to submit policies and procedures relating to Commission Regulations 23.502 and 23.504 with respect to trades with non-U.S. counterparties at this time. NFA Notice to Members I-13-17.