Need to stop Citadel with being a market maker and shorting hedge fund. Isn’t this a conflict of interest. I have been in stock market only for 6 months but amount of manipulation that I’m seeing is unbelievable for GME and AMC. Even being on the threshold list for 13days they are still not covering and kicking can down the road. All I ask is more transparent and stop the naked shorting.
Operative Date of Short Sale ACT Reporting Requirements for OTCBB and Other Non-NASDAQ OTC Equity Securities Extended to September 24, 2004
Digital data doesn't require days to locate. Short interest and FTD data is able to and should be reported daily. The varying T+ cycles have proven to work in the favor of Funds that make their money shorting companies out of existence, by allowing them to be wildly over-leveraged in their positions and also creating opportunity to take advantage of methods like naked short selling. If the
There is absolutely a need for full disclosure of short interest reporting and regulation of stocks being subjected to naked short selling. As a US retail investor I have learned about the politics and fundamentals of shorting a stock to the point of placing our American companies out of business through the meme stock movement. Sadly, I am now scarred from the complete corruption that has been
I am seeking further transparency for short interest position reporting. SEC is doing nothing to end the corruption.
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I request the following to be taken into consideration for addition to the proposed rule change: - Short positions held by market makers should require enhanced reporting. In addition, anytime an options contract is opened by a MM well below market value for the stock, the time of trade and involved party should be reported. - Incorporate ETF short interest in reporting requirements. - Require
In regards for comments on 21-19 regarding short positions, here are my thoughts. * Every share should be tracked with unique identifier and should have the ability to be marked as lent out, unassigned/free, owned-lendable, or owned-not-lendable and be registered with a single central database to prevent duplication/ falsification of data. The ability to mark a share as owned-not-lendable shall
"C. Frequency and Timing of Short Interest Position Reporting and Data Dissemination" This should be done more frequently. Prefer daily.