Comments:
Regarding inverse and leveraged ETFs: I feel they both are important tools for retail traders, especially novice traders inexperienced with traditional short-selling and options.
Many novice traders lose in the market because they only know how to play it one direction, I.E. buy low sell high. They either don't understand, are intimidated by, or don't want/have the
FINRA has begun disseminating individual transactions in active U.S. Treasury securities at the end of the day, raising the level of transparency in the market for these benchmark securities.
Dear FINRA Regulatory panel,
Herewith I want to let you know I Veto any restrictions in regards to trading any kind of assets in the public domain with any company offering inverse funds, high yield bond funds or any other offered funds of any kind.
I am well aware in regards to fund or stock trading for more then 20 years.
I belief it should be to the choice of an individual how, when, what to
GUIDANCE
Trading Activity Fee
SUGGESTED ROUTING
KEY TOPICS
Legal and Compliance
Operations Managers
Senior Management
Section 1 of Schedule A to NASD By-Laws
Trading Activity Fee
Executive Summary
On October 1, 2004, the Securities and Exchange Commission (SEC or Commission) approved an NASD rule filing amending the
I like investing/ trading pro shares. All retail investors know trading has considerable risk and its our choice to trade. I dont believe the freedom to trade pro shares should be taken away from retail investors.
When Regulation NMS was adopted, the SEC and market observers did not recognize ex-clearing as a significant loophole. In the original crafting of Regulation SHO (implemented in 2005), the industry told the SEC that ex-cleared trades were "rare". As such ex-cleared trades were exempt from much of the short selling regulations. Dark pool trades (ATS and OTC) in 2021 now make up a
My broker currently has requirements that limit my trading of stock based upon a criteria that includes net worth and trading experience. I believe that these requirements allow me to conservatively trade within the construct of responsible investing. These brokerage requirements far surpass the requirements necessary for real estate purchasing or other commercial investment that I have engaged
Summary
FINRA has modified its Trade Reporting and Compliance Engine (TRACE) dissemination protocols applicable to agency pass-through mortgage-backed securities and Small Business Administration (SBA)-backed asset-backed securities traded in specified pool transactions.1 The amendment will become effective on May 17, 2021.
Questions regarding this Notice should be directed to:
Alié Diagne,