Naked shorting is theft. Nip this in the bud, enough with technicalities and loop holes.
It should be a requirement for institutions to disclose short positions just as it is for long positions.
To whom it may concern, I am writing in support of the proposed changes applied in Reg. Notice 21-19. Particularly as an individual investor in the US financial markets, I am strongly in support of daily aggregation of short interest reporting. I strongly support increased granularity to the account level position reporting. I am adamantly in support of increasing comprehensive synthetic short
Thank you for this opportunity to allow the people’s voices to be heard. With the intent to create more transparency within the market I submit the following rules to be implemented immediately: Rule 1. All short sales shall be reported to FINRA by end of each settlement day. Rule 2. FINRA shall make public report the day to day short sale by end of settlement day. Rule 3. All unused loaned
FINRA Requests Comment on Proposed FINRA Rule Addressing the Circulation of Rumors
I use leverage funds as a short term hedge to my long investments.
They are easier to invest in than options
How about you fix naked shorting and governmental insider trading instead of limiting retail investors.
Let me decide my own future. Not the corrupt government. Short and sweet. Have a nice day.
As previously announced on March 22, 2024 in a FINRA Trade Reporting Notice, FINRA is planning to implement enhancements to the FINRA equity trade reporting facilities to support the reporting of fractional share quantities. The enhancements require associated updates to FINRA’s trade reporting guidance, as described in greater detail in the Trade Reporting Notice. These enhancements are being
The Neutral Corner - Volume 2—2022