Message-ID: <1886101.1075860024421.JavaMail.evans@thyme> Date: Fri, 22 Sep 2000 11:49:00 -0700 (PDT) From: justin.boyd@enron.com To: amita.gosalia@enron.com, mark.taylor@enron.com Subject: Response from Ken Raisler re LME Marketing Mime-Version: 1.0 Content-Type: text/plain; charset=us-ascii Content-Transfer-Encoding: 7bit X-From: Justin Boyd X-To: Amita Gosalia, Mark Taylor X-cc: X-bcc: X-Folder: \Mark_Taylor _Dec_2000\Notes Folders\Notes inbox X-Origin: Taylor-M X-FileName: mtaylor.nsf Amita Please see below + the attachment. Justin ---------------------- Forwarded by Justin Boyd/LON/ECT on 22/09/2000 18:51 --------------------------- Enron Capital & Trade Resources Corp. From: RAISLERK@sullcrom.com 22/09/2000 18:13 To: justin.boyd@enron.com cc: Subject: LME I agree with your point in Ned's memo. We would not be relying on Part 30.10 at all for non-LME business. That business would be subject to the CFTC's swap exemption. I am enclosing a directive with respect to marketing pursuant to your request. I will be sending you a separate memo on marketing limitations that apply to Enron Metals Ltd. These are not new and should be well known to MG. Let's discuss. ---------------------------------- This e-mail is sent by a law firm and contains information that may be privileged and confidential. If you are not the intended recipient, please delete the e-mail and notify us immediately. - LME.doc