Third-party risk is the most clicked-on topic in FINRA's 2025 Regulatory Oversight Report. But what is third-party risk and why are people so interested in it? What can FINRA member firms do to mitigate that risk? And how can FINRA help? These questions will be answered on the latest episode of FINRA Unscripted, featuring a returning guest, FINRA's Executive Vice President of Member Supervision Greg Ruppert.
In regards to your proposed legislation to apply special criteria to investors who wish to trade in some leveraged or inverse funds. At the best, the proposed legislation is an additional burden to investors. At the worst is that it is discriminatory that shuts out small investors in favor of wealthy investors an private wealth or hedge funds. I currently have held one of these funds for over 11
INFORMATIONAL
Limit Order Protection
SUGGESTED ROUTING
KEY TOPICS
Internal Audit
Legal & Compliance
Operations
Senior Management
Trading And Market Making
Limit Order Protection
Market Making
Multiple MPIDs
Executive Summary
Recently The Nasdaq Stock Market, Inc. (NASDAQ) began permitting market makers and
SUGGESTED ROUTING:*
Senior ManagementInstitutionalLegal & ComplianceOperationsResearchSyndicateSystemsTradingTraining*These are suggested departments only. Others may be appropriate for your firm.
EXECUTIVE SUMMARY
On March 10, the Securities and Exchange Commission (SEC) approved amendments to Schedule D regarding trade reporting for regular Nasdaq® equity securities. The trade
Naked shorts, synthetic shorts, dark pools, all must go. Where is the fairness in trading on t Wall Street if the retail inverstors are at a disadvantage? There has to be more transparency on Wall Street, there has to be someone in charge who enforces the new regulations from SEC and FINRA, and reporting practices must be on a public level. Hedge fund and retail investor must have the same
I am invested in many stocks that I feel have naked shorts in them. I strongly suspect that I even own some in $AMC. I do not feel the market is fair if this is allowed to happen. It gives already very rich entities an extremely unfair advantage in trading. I would feel a lot better about investing more money in the market if I knew that criminals were not just fined, but held accountable in ways
FINRA may, upon notice, terminate access to the trade reporting service of the System as to a Participant in the event that a Participant fails to abide by any of the rules or operating procedures of the trade reporting service of the System or FINRA, or fails to honor contractual agreements entered into with FINRA or its subsidiaries, or fails to pay promptly for services rendered by the trade
Have all short sales be reported to finra by end of each settlement day. Make public and report the day to day short sale by end of settlement day or the trading week. Have unused loaned shares reported to finra by end of settlement day. Make public the outstanding unused loaned share by end of settlement day of a trading week. Make all threshold securities regulation reported daily with full
TO: All NASD Members and Other Interested Persons
LAST DATE FOR COMMENT: MAY 8, 1987.
EXECUTIVE SUMMARY
The NASD is requesting comments and suggestions on the concept of a rule that would restrict broker-dealers that are affiliated with issuers from making a market or trading in the securities of those issuers. The NASD invites comments on whether such practices should be restricted and, if so,
SUGGESTED ROUTING
Senior Management
Advertising
Corporate Finance
Government Securities
Institutional
Internal Audit
Legal & Compliance
Municipal
Mutual Fund
Operations
Options
Registered Representatives
Registration
Research
Syndicate
Systems
Trading
Training
Executive Summary
During the last two years, NASD Regulation, Inc. (NASD RegulationSM) has imposed