On October 17th, the CFTC published the October 5, 2012 interpretive letter from the Division of Swap Dealer and Intermediary Oversight (the "DSIO") finding that a limited liability company whose members were all family members was not a commodity pool within the meaning and intent of Regulation 4.10(d)(1) and, consequently, that the managing member was not a CPO thereof. CFTC Letter No. 12-27.