Please do not take away the ability to use leveraged funds as this is a great vehicle to be a bit more aggressive without having to buy individual stocks. I should be able to assess and trade on the risk tolerance I have for myself and my family.
Please note that as an individual investor I oppose any limitations on my ability to buy or otherwise freely trade the Funds. There is enough disclosure already in the prospectus and brokerage firms such that investors are warned about the potential risks (and rewards) associated with the Funds.
I am AGAINST passage of FINRA’s Regulatory Notice 22-08 taking effect. I trade leveraged indexed ETF's over daily time horizons. I understand the risks intrinsic to leveraged indexed ETFs' implementation, and actively monitor my investments.
Please don't interfere with these ETF'S that are leveraged. I've made very good money trading TQQQ over the years and for those that just hold it; it's compounded about 49% each year! I hold QQQX because it pays a phenomenal dividend. I also love URTY to capture small caps. There are several of the pro shares I like. Look you can lose money in anything. These last two months I
An inverse ETF or even a leveraged ETF takes far less knowledge and understanding to invest in safely than a whole host of other publicly traded securities for which no similar requirements are being imposed. All one has to understand is that the security is designed to and reasonably likely to trade in the manner it is advertised by its promotors .... which is usually tracking an index or the
I am a retail investor with over 10 years experience and can clearly understand the risks involved. You can certainly enforce that a disclaimer is read and understood before trading, but limiting our choice will just artificially distort the market.
Rule 1. All short sale shall be reported to finra by end of each settlement day. Rule 2. Finra shall make public report the day to day short sale by end of settlement day or the trading week. Rule 3. All unused loaned shares shall be reported to finra by end of settlement day. Rule 4. Finra shall make public the outstanding unused loaned share by end of settlement day of a trading week. Rule 5.
Rule 1. All short sale shall be reported to finra by end of each settlement day. Rule 2. Finra shall make public report the day to day short sale by end of settlement day or the trading week. Rule 3. All unused loaned shares shall be reported to finra by end of settlement day. Rule 4. Finra shall make public the outstanding unused loaned share by end of settlement day of a trading week. Rule 5.
Rule 1. All short sale shall be reported to finra by end of each settlement day. Rule 2. Finra shall make public report the day to day short sale by end of settlement day or the trading week. Rule 3. All unused loaned shares shall be reported to finra by end of settlement day. Rule 4. Finra shall make public the outstanding unused loaned share by end of settlement day of a trading week. Rule 5.
Rule 1. All short sale shall be reported to FINRA by end of each settlement day. Rule 2. FINRA shall make public report the day to day short sale by end of settlement day or the trading week. Rule 3. All unused loaned shares shall be reported to FINRA by end of settlement day. Rule 4. FINRA shall make public the outstanding unused loaned share by end of settlement day of a trading week. Rule 5.