Effective March 1995
SUGGESTED ROUTING
Senior Management
Legal & Compliance
Operations
Systems
Executive Summary
Some of the self-regulatory organizations (SROs) comprising the Intermarket Surveillance Group (ISG) agreed to adopt policies to ensure uniform reporting of all short interest in traded securities. The NASD has amended Article III, Section 41 of the NASD
Hello FINRA, As an active retail investor, I would like to see brokerages be held accountable to publish hourly (maximum, daily) short interest position figures that include: - The volume of short interest positions taken by their clients in a given hour or day - Details on all of the short interest orders, including specifically the price and quantity of short interest orders that have occurred
This ability by hedge funds and market makers to indiscriminately and malignantly sell short in multiple ways to hide short interest hurts the market for retail. I’m sure if the entire retail sector of the market understood the various ways short interest is hidden and how their long investments were used against them to reduce the value of their investments, they would never invest in the market
Summary
This Notice reminds members of the Securities and Exchange Commission’s (SEC’s) adoption of a best interest standard of conduct for broker-dealers and a relationship summary (Form CRS) delivery obligation, and provides an SEC email address where members may submit questions about the new requirements. As more fully described below, the SEC encourages firms to actively engage with SEC
The current practice of short interest reporting is flawed, as Market Makers are legally allowed to naked short for the sake of liquidity, and have means to "clear" FTD's without needing to buy the underlying stock. The enhancements proposed by FINRA would greatly enhance the visibility of short interest in the market, and allow investors to choose stocks wisely while being able to
I believe in requiring firms to reflect synthetic short positions in short interest reports. For example, enhanced short interest reporting could include synthetic short positions achieved through the sale of a call option and purchase of a put option (where the options have the same strike price and expiration month) or through other strategies. FINRA believes this information would assist FINRA
FINRA Provides Clarification on SEC Guidance Regarding Emergency Orders Concerning Short Selling
Most transfers of customer accounts from one brokerage firm (the "carrying firm") to another (the "receiving firm") occur through the Automated Customer Account Transfer Service (ACATS), an electronic transfer system developed by the National Securities Clearing Corporation (NSCC) to automate and standardize the transfer of accounts. When it is not possible to use ACATS,
Protection of financial and personal customer information is a key responsibility and obligation of FINRA member firms. Under the SEC’s Regulation S-P, firms are required to have policies and procedures addressing the protection of customer information and records. This includes protecting against any anticipated threats or hazards to the security or integrity of customer records and information
"Synthetic Short Positions: In addition, FINRA is considering requiring firms to reflect synthetic short positions in short interest reports. For example, enhanced short interest reporting could include synthetic short positions achieved through the sale of a call option and purchase of a put option (where the options have the same strike price and expiration month) or through other