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Anonymous-R Comment On Regulatory Notice 21-19

FINRA 21-19 is a long overdue change. It is clear that the integrity of the United States market has been strained to the edge of disaster, in large part due to systemic risk developed under the regulatory authority of FINRA's outdated short interest reporting policy. While many of the policies mentioned in Regulatory Notice 21-19 address the general breadth of exploitable and ineffective reporting, they also leave significant specific gaps that could compromise the entirety of 21-19's purpose.

Victor Montoya Comment On Regulatory Notice 21-19

FINRA 21-19 is a long overdue change. It is clear that the integrity of the United States market has been strained to the edge of disaster, in large part due to systemic risk developed under the regulatory authority of FINRA's outdated short interest reporting policy. While many of the policies mentioned in Regulatory Notice 21-19 address the general breadth of exploitable and ineffective reporting, they also leave significant specific gaps that could compromise the entirety of 21-19's purpose.

Kesli Pales Comment On Regulatory Notice 21-19

FINRA 21-19 is a long overdue change. It is clear that the integrity of the United States market has been strained to the edge of disaster, in large part due to systemic risk developed under the regulatory authority of FINRA's outdated short interest reporting policy. While many of the policies mentioned in Regulatory Notice 21-19 address the general breadth of exploitable and ineffective reporting, they also leave significant specific gaps that could compromise the entirety of 21-19's purpose.

Abigayil Brown Comment On Regulatory Notice 21-19

FINRA 21-19 is something this country has needed for a long time -- financial institutions, hedge funds and the like need to be better regulated. I didn't know a lot about the market before this year, but what I have learned is that there are too many loopholes, and a lack of enforcement of existing regulations, that allows big players to make money at everyone else's expense. Synthetic shorts are essentially a way for institutions to print their own money, and forcing these same institutions to show their hand I think will greatly decrease that behavior.

Anonymous-DB Comment On Regulatory Notice 21-19

FINRA 21-19 is a long overdue change. It is clear that the integrity of the United States market has been strained to the edge of disaster, in large part due to systemic risk developed under the regulatory authority of FINRA's outdated short interest reporting policy. While many of the policies mentioned in Regulatory Notice 21-19 address the general breadth of exploitable and ineffective reporting, they also leave significant specific gaps that could compromise the entirety of 21-19's purpose.

Jon Reyes Comment On Regulatory Notice 21-19

As a mostly outside observer who has be diving into the inner workings of the mechanics behind short selling, I've noticed that the lack of transparency effectively makes it impossible to determine the overall value of the short positions that exist, along with a lack of information about how many synthetic shares are created and how positions are opening and closing on a regular basis. This lack of transparency makes it impossible to understand the ramifications of rampant short selling that appears to be occurring in the market currently.

Randall Holzmann Comment On Regulatory Notice 21-19

Please help restore faith and integrity to a damaged, corrupt, and dishonest market where large firms cripple the domestic and foreign investor thru clandestine operations of misinformation. WE NEED TO HAVE VERY SPECIFIC AND HONEST REPORTING OF SHORT POSITIONS. WE NEED BLOCKCHAIN TECHNOLOGY TO BRING BACK CLARITY! THIS IS A MUDDLED POND OF FILTH AND DISHONESTY. My Grandfather did not fight in World War II for His grandchildren to be blatantly robbed by wall street con men and Market Markers who torture an already crippled public.

Anonymous-TC Comment On Regulatory Notice 21-19

More oversight and transparency is needed for short interest, options, and derivative products. It is not acceptable that there is a maximum threshold for short interest set at 140% where in actuality it could be much much higher. It also appears that there is no enforcement of false reporting. There is evidence that Citadel has call option contract out larger than shares existed while retail already holds a significant portion of that float. We have also noticed a lack of enforcement and paltry fines for offenders.