FINRA Requests Comment on a Proposal to Identify OTC Equity Trades Reported More Than Two Seconds After Execution as “Out of Sequence” and Not Last Sale Eligible
Leveraged ETFs have been an equalizer for my middle class family of 5. I wont use money on margin, and leveraged ETFs have allowed me to significantly increase our familys financial security into retirement. We are a young family as my wife and myself are under 40. We understand the risks, and have been able to utilize these financial instruments in a beneficial way that no other options can.
As an individual investor, I take full responsibility for my investment choices. Public investment tools should be available to all, not just the privileged. Leveraged and inverse funds, options, etc. are important financial tools in the portfolio. I sometimes use them for risk management. I am strongly against the proposal to limit the trading of such financial tools. I do not want to have to go
SummaryEffective January 1, 2025, the Prospective CAT Cost Recovery Fee 2024-1 will no longer be in effect for transactions in eligible securities executed by FINRA member CAT executing brokers, and the Prospective CAT Cost Recovery Fee 2025-1 will be in effect.Questions regarding this Notice may be directed to: Amanda Rath, Associate Director, Finance, at (240) 386-
Dear FINRA: I am 100% behind your efforts to simplify regulations, level the playing field, and tighten down these abstruse financial instruments that allow the financial industry to poach on US citizens.
Our current consumer financial industry is comprise of grifters, lowlifes and future criminals whose only skill is seeking and creating instruments that bamboozle everyday investors.
Their
Comment Period Expires: November 30, 1998
SUGGESTED ROUTING
Senior Management
Advertising
Continuing Education
Corporate Finance
Executive Representatives
Government Securities
Institutional
Insurance
Internal Audit
Legal & Compliance
Municipal
Mutual Fund
Operations
Options
Registered Representatives
Registration
Research
Syndicate
Systems
Trading
Training
Variable
My investment experience has been limited to the last few years, so I can’t pretend to have a comprehensive understanding of every law, rule, guideline, parameter, and standard operating procedure that financial institutions operate in accordance with. However, I can say with certainty that neither do major financial institutions responsible for the behavior of our markets. If the role of a
The Proposed Rule Change Amends the Codes of Arbitration Procedure to Update the Rules Relating to Online Filing of Arbitration Claims
SEC Approval and Effective Date for New Consolidated FINRA Rules Regarding Margin Requirements, Daily Record of Required Margin, and Extension of Time Requests
The Neutral Corner - Volume 2—2023