Continuing Education Planning
SEC Approves Consolidated FINRA Rule Regarding Background Checks on Registration Applicants
I’m proud to announce that IDG's Computerworld has named FINRA No. 1 among midsize companies on its 2020 Best Places to Work in IT list. This is our ninth appearance on the annual list, but beyond being No. 1 in our category, this one is particularly special.
Here’s why.
The prevailing theme among the organizations that were recognized this year was a focus on career development and
To Whom it May Concern,Thank you for the opportunity to comment on Regulatory Notice 24-13, “Effectiveness and Efficiency of [FINRA] Requirements Relating to Day Trading.” I am a strong believer in the benefits of engaging the community in this way, and sincerely appreciate the authority's time and attention. Over the past 20 years I have worked in the equity options
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Electronic Filing Requirements
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Electronic Filing Requirements
NASD Rule 3170
NASD Advises Firms That Certain Notices Required
under the Securities Exchange Act of 1934 Must Be Filed
Electronically Starting on January 1, 2007
Executive Summary
The Securities and Exchange
October 21, 2002OATS recently added a Special Handling Code, "TS", for a Trailing Stop Order. For the purposes of OATS reporting, a Trailing Stop Order is defined as follows: In the case of a sell order, a Trailing Stop Order allows the stop price to increase by a predetermined amount or formula (e.g., a specified dollar amount, a percentage of the market price, or some other
NASD Will No Longer Impose Censures For Some Violations
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What is more diabolical? Taking away the ability for everyday anyone's to protect their wealth, and maybe even obtain large gains during a market bear, or not making the knowledge about these products more readily available for the everyday anyone to educate themselves on how to use them properly, and to their best advantage. Or is doing both the most diabolical?
These assets are not
The restriction of investment in non-traditional stocks and bonds is a driving force in making the investment playing field unlevel between the regular Americans and HNW individuals/institutions. There is no benefit by limiting the playing field to the average American, and reduces the ability of wealth creation along with hedging abilities that HNW individuals have.
Inverse and leveraged ETFs
SEC No-Action Guidance Expanding the Definition of “Ready Market” for Certain Foreign Equity Securities