To Whom,
I am of moderate net worth (under $3M). I am retired and have been trading for decades. I started using leveraged ETFs long ago, and the ample warnings made me research the issues. I did, and I traded accordingly. Yes, risks are higher, but so too are the rewards, and the warnings that explain the risk that come along with these products are what is needed.
The proposed regulations are
I oppose restrictions on my right to trade in particular securities or requiring prequalification to do so. The securities I trade in are a critical part of my investment strategy and I use them appropriately with stop loss orders to protect my capital. I have over 40 years experience trading in the financial markets and shouldn't be required to prove to anyone that I know what I&#
Please don't restrict my ability to trade "complex productswhich could include the leveraged and inverse funds. My net worth is relatively low, but I am perfectly capable of reading pertinent documents and I fully understand what my risk are when trading. I have been trading leveraged and inverse funds for years and want to continue doing so.
Amendments to FINRA Rules on Trading Pauses Due to Extraordinary Market Volatility and Clearly Erroneous Transactions in Exchange-Listed Securities
Albin SWE In a free and fair market there should be absolute transparency. The number of shares shorted should be available in real time during trading hours. No more dark pool trading. Every single share sold should be reported and able to be located at any time. Market manipulation is rampant and hurting retail investors. Get rid of algo trading back and forth. Naked shorts and FTDs should
There market needs more transparency! Shares shorted should be available in real time during trading hours. Stop dark pool trading! All shares sold should be reported and able to be located at any time! Market manipulation is rampant and hurting retail investors. Please discontinue algorithm trading or at least regulate it more. Naked shorting and Fail to Delivers should carry harsher penalties
(a) Members are required to report transactions (other than transactions executed on or through an exchange) in OTC Equity Securities, including secondary market transactions in non-exchange-listed Direct Participation Program securities, and Restricted Equity Securities to the OTC Reporting Facility in compliance with the Rule 6600 and 7300 Series, as well as all other applicable rules and
FINRA is publishing its quarterly OTCBB/OTC Equities High Price Dissemination List for the third quarter of 2019. This updated list of OTC equity securities eligible for trade report dissemination for trades of fewer than 100 shares is effective as of December 20, 2019. To view changes, visit the Daily List: Security Attribute Changes page, select the “Unit of Trades” filter and enter December 19
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Effective January 1, 1998, tier sizes for 544 Nasdaq National Market® securities will be revised in accordance with National Association of Securities Dealers, Inc. (NASD®) Rule 4710(g).
For more information, please contact Nasdaq® Market Operations at (203) 378-0284.
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Comment Period Expires: December 31, 1997
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NASD Regulation, Inc. (NASD RegulationSM) requests comment on a proposed new rule, National Association of Securities Dealers, Inc. (NASD®) Rule 1150 (Rule), which would provide NASD members with a qualified