COMMODITY FUTURES TRADING COMMISSION V. SCHOR
478 U.S. 833 (1986)
NATURE OF THE CASE: This was a dispute over state law counterclaims in CFTC reparation
proceedings.
FACTS: The CEA prohibits fraudulent and manipulative conduct in connection with commodity
futures transactions. Eventually Congress created the CFTC and entrusted it with sweeping
authority to implement the CEA. The CFTC promulgated a regulation in 1976 that allowed it to
adjudicate counterclaims arising out of the transaction or events set forth in a complaint.
Schor and Mortgage Services of America, Inc. invoked the CFTC's reparations jurisdiction by
filing complaints against Conti Commodity Services, Inc and its employee Richard Sandor.
Schor had an account with them and claimed that they violated the CEA. Before receiving
notice that Schor had commenced a reparations action, Conti filed a diversity action to
recover the debit balance in Schor's account. Schor counterclaimed. Schor then moved to
dismiss indicating that the reparations action would resolve the matters. The District Court
declined to stay or dismiss but Conti voluntarily dismissed and presented its debit balance
claim as a counterclaim in the CFTC action. The administrative law judge ruled in Conti's
favor and then Schor challenged CFTC's statutory authority to adjudicate Conti's
counterclaim. The decision became final and then appealed. The Appeals Court sua sponte
raised the question whether CFTC could constitutionally adjudicate Conti's counterclaims.
The decision was upheld but Conti's counterclaim was dismissed. The Supreme Court granted
certiorari.
ISSUE:
RULE OF LAW:
HOLDING AND DECISION:
LEGAL ANALYSIS:
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