NASDR has filed with the SEC a proposed rule change to amend Rule 2820 (the "Variable Contracts Rule") and Rule 2830 (the "Investment Company Rule") of the Conduct Rules of the National Association of Securities Dealers, Inc. The Investment Company Rule would be amended to: (1) provide maximum aggregate sales charge limits for fund of funds arrangements; (2) permit mutual
Proposed Rule Change to Revise the Series 26 Examination Program
TO: All NASD Members and Interested Persons
ATTN: Compliance and Registration Personel
This notice reviews the application of certain qualification and registration requirements of Schedule C of the NASD By-Laws for persons who solicit new accounts on behalf of members. It also announces the Securities and Exchange Commission's approval of an amendment to Schedule C, which expands the
Proposed Rule Change to Revise the Series 6 Examination Program
TO: All NASD Members and Other Interested Persons
The National Association of Securities Dealers ("Association" or "NASD") is publishing for comment by members and all other interested persons a proposed rule which would establish new requirements for the private securities transactions of persons associated with member firms. The rule would replace in its entirety the
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Virtual Arbitration Hearing Statistics
Arbitration Statistics Through December
Historical Statistics for Cases Filed and Closed
Top 15 Controversy Types in Customer Arbitrations
Top 15 Security Types in Customer Arbitrations
Top 15 Controversy Types in Intra-Industry Arbitrations
How Arbitration Cases Close
Results of Customer Claimant Arbitration Award Cases
Result of
On This PageVirtual Arbitration Hearing StatisticsArbitration Statistics Through DecemberHistorical Statistics for Cases Filed and ClosedTop 15 Controversy Types in Customer ArbitrationsTop 15 Security Types in Customer ArbitrationsTop 15 Controversy Types in Intra-Industry ArbitrationsHow Arbitration Cases CloseResults of Customer Claimant Arbitration Award CasesResult of Customer Claimant
Virtual Arbitration Hearing StatisticsArbitration Statistics Through DecemberHistorical Statistics for Cases Filed and ClosedTop 15 Controversy Types in Customer ArbitrationsTop 15 Security Types in Customer ArbitrationsTop 15 Controversy Types in Intra-Industry ArbitrationsHow Arbitration Cases CloseResults of Customer Claimant Arbitration Award CasesResult of Customer Claimant Arbitration Award
I oppose restrictions being considered associated with certain investment instruments, e.g., cryptocurrency funds. Various financial instruments are critical to portfolio diversification and risk mitigation. Commodities, precious metals, real estate, hedge funds, stocks, bonds, mutual funds, exchange-traded funds, annuities, insurance policies, trading on margin, short-sales, futures, and
I've invested in closed-end municipal bond and infrastructure mutual funds for 30-years that use a small amount of leverage to enhance performance. They give me much better and more stable returns than any government bond without the individual stock risk of owning only a few individual stocks. Your new rule would not only potentially lock me out of investing in what I want, totally