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Regulatory Notice 23-11

FINRA is soliciting comment on a concept proposal to establish liquidity risk management requirements. The concept proposal describes a potential rule, labeled Rule 4610, that is intended to ensure that members have sufficient liquid assets to meet their funding needs in both normal and stressed conditions. Broadly, the proposal outlines three areas where a potential rule might address liquidity risk, including liquidity stress testing, contingent funding plans and a requirement to maintain sufficient liquidity on a current basis at all times. FINRA is issuing this concept proposal so that any feedback received can be taken into account as FINRA considers a proposed rule; any proposed rule would need to be reviewed and approved by the FINRA Board of Governors, and then filed with and approved by the Securities and Exchange Commission. FINRA welcomes comment on all aspects of the concept proposal, including comment on alternatives to the proposed approach.

Jim Reese

Jim Reese is Senior Vice President of Data and Analytics for Member Supervision at FINRA. Mr. Reese leads a team of data analysts, risk specialists and data scientists responsible for developing and executing innovative advanced analytics, risk and predictive models, graph and other visualizations to enable, inform and drive the efficiency and effectiveness of Member Supervision and its Regulatory Operations and Technology partners.

2019063434601 ChoiceTrade CRD 104021 and Neville Golvala CRD 1710355 AWC vr (2023-1688948405502).pdf

FINANCIAL INDUSTRY REGULATORY AUTHORITY LETTER OF ACCEPTANCE, WAIVER, AND CONSENT NO. 2019063434601 TO: Department of Enforcement Financial Industry Regulatory Authority (FINRA) RE: ChoiceTrade (Respondent) Member Firm CRD No. 104021 Neville Golvala (Respondent) General Securities Principal CRD No. 1710355 Pursuant to FINRA Rule 9216, Respondents ChoiceTrade and Neville Golvala submit this Letter of Acceptance, Waiver, and Consent (AWC) for the purpose of proposing a settlement of the alleged rule violations described below.

2020068047101 Charles Schwab & Co., Inc. CRD 5393 AWC vr (2023-1688948405504).pdf

FINANCIAL INDUSTRY REGULATORY AUTHORITY LETTER OF ACCEPTANCE, WAIVER, AND CONSENT NO. 2020068047101 TO: Department of Enforcement Financial Industry Regulatory Authority (FINRA) RE: Charles Schwab & Co., Inc. (Respondent) Member Firm CRD No. 5393 Pursuant to FINRA Rule 9216, Respondent Charles Schwab & Co., Inc. submits this Letter of Acceptance, Waiver, and Consent (AWC) for the purpose of proposing a settlement of the alleged rule violations described below.