FINRA Requests Comment on Proposed Amendments to Rule 5210 Regarding Publication of Indications of Interest
SSR is a solid rule especially for organic trading between bulls and bears. More often than not, when the SSR is triggered, it’s caused by a malicious entity aggressively shorting the stock. Obviously the annoying thing is that SSR doesn’t stop the shorting, it almost doesn’t affect its momentum. Big trading firms will use an aggressive short ladder attack to bypass SSR… Nothing is necessarily
I do not support this rule in the slightest. You cannot fail to define “complex products” and then make such products difficult for investors to access. What if next year, ETFs are considered “complex”? Further, this hurts normal people like me by making it difficult to access investments that have performed well for me (and which I easily understand how they will perform under any market
NASD has filed with the SEC a proposed rule change to amend NASD Rules to require members to request Underwriting Activity Reports ("UARs") from NASD’s Market Regulation Department rather than NASD’s Corporate Financing Department.
GUIDANCEUniform Branch Office DefinitionExtension of Effective Date of NASD Uniform Branch Office Definition and Certain Form BR and Form U4 Filing Requirements from May 1, 2006 to July 3, 2006Joint Interpretive Guidance from NASD and the NYSE Relating to Uniform Branch Office Definition Under NASD Rule 3010(g)(2) and NYSE Rule 342.10Effective Date of Uniform Definition:NASD: July 3, 2006; NYSE:
Financial Industry Regulatory Authority, Inc. (“FINRA”) is filing with the Securities and Exchange Commission (“Commission”) a proposed rule change to amend FINRA Rule 7620B (FINRA/NYSE Trade Reporting Facility Reporting Fees) to modify the trade reporting fees applicable to participants that use the FINRA/NYSE Trade Reporting Facility (“FINRA/NYSE TRF”).
I'm writing to request more transparency, fairness and accountability in our financial markets, as all of us rely on our regulatory entities for that assurance. There are some things that are of particular interest to me: 1. Transparency of Buy/Sell orders in the market as a whole, including but not limited to OTC/ATS off market trading. 2. Information market makers have when it comes to
The proposed rule is another example of limiting small investors and speculators with the excuse of protecting them. This paternalistic approach only favors the larger investors by making various investment instruments and strategies more difficult to access. This is quite interesting considering it is occurring at a time when it is clear that they will become especially useful. I am completely