I NOW use leveraged ETFs after stock market has plunged ~20% or so. For example i am leveraged now since sp500 dropped from 4800 to 4100 and i believe we have bottomed. Its a great way to rebuild my wealth, especially since i lost a lot of money on UNLeveraged stocks during 2001 dot com and 2008 financial crisis. Why weren't you not protecting us from dot com stocks and citibank and bank of
Dear Sir or Madam:
I strongly oppose the idea to prevent people from trading leveraged ETFs, such as TQQQ, FNGU.
Please read the research paper "Leverage for the Long Run - A Systematic Approach to Managing Risk and Magnifying Returns in Stocks", which can be found over Internet. That paper researched data from 1928-2015, and found that: although in a max drawdown, the S&
I believe that complete short positions and short interests should be publicly reported on a hourly to daily basis for public knowledge. Without it, retail investors are at an unfair disadvantage.
Please make synthetic short interest reporting hourly or daily. Please make short interest reporting transparent. Current reporting is not fair to individual investors!
We want transparency in a free and open market. Why do shorts not have to report? We want short interest position reporting enhancements! Please
Short positions need to be clearly marked as short and need to be closed within 15 days of initial position. FTDs. should be closed within 15 days.
I would like to see accurate and up to date info on shorts, Possible naked shorts and failures to deliver. And also ways of enforcing fair market practices.
Please don't limit access to the leveraged and inverse (L&I) funds. These funds are good investment tools to compliment my investment portfolio. They follow the many market indexes and therefore are more stable and non-bankruptcy prone unlike stocks. These L&I funds are less risky than investing in individual stocks because these funds have more stocks within their fund
This proposal is just another attempt to restrict the options, retail investors have to invest in the market. Large institutions have always had a clear advantage, privy to information first, flash trading etc. Restricting retail investor's ability to short or long the markets using these types of vehicles is, once again giving the institutions the upper hand in playing in a field they
TO: All NASD Members, NASDAQ Issuers and Other Interested Persons
LAST DATE FOR COMMENTS: SEPTEMBER 15, 1986.
The National Association of Securities Dealers, Inc. (NASD), requests comments on proposed revisions to Schedule D of the NASD By-Laws. Schedule D governs the operations of the NASDAQ System. The text of the proposed revisions is included as Attachment I. The text of the current Schedule