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Please see below for comments in response to Regulatory Notice 22-08. Thank you for the opportunity to provide feedback. Definition of complex should be objective- if use of derivatives is a criterion it should be applied to all funds that do so. This suggests that more useful criteria would focus on factors like maximum risk of loss, risk of the fund not being able to meet its stated objectives
Now you listen here you [REDACTED] crooks! You keep your dirty filthy hands off this SECTOR of the woods!! You have no right!! These are our rights our Currencies and is beginning built by out hands for all to take part in! You want to have own or control any Crypto!!!!?? Then you get off your [REDACTED] and put in work like we do every day and you put in work!! If your to lazy!! Then purchase
INFORMATIONAL
OTC Bulletin Board
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KEY TOPICS
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OTC Bulletin Board
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The Suggested Routing function is meant to aid the reader of this document. Each NASD member
INFORMATIONALOptions ExemptionSUGGESTED ROUTING KEY TOPICS Legal and ComplianceOperations ManagersSenior Management Options ExemptionTrading Activity Fee Executive SummaryOn May 30, 2003, the Securities and Exchange Commission (SEC or Commission) permanently approved revisions to NASD By-Laws, eliminating the current Regulatory Fee assessed upon NASD members and instituting a new transaction-
WASHINGTON — The Financial Industry Regulatory Authority (FINRA) marked 2012 with significant accomplishments in detecting fraudulent activity, implementing cross-market surveillance, increased transparency of securities markets and fulfilling its regulatory mandate to protect investors, assessing $68 million in fines, ordering a record $34 million in restitution to harmed customers and taking measures to ensure market integrity.
WASHINGTON — A new requirement for securities firms to report certain transactions in Treasury securities to FINRA was implemented successfully yesterday, providing regulators with a new tool to increase understanding and enhance surveillance of this bellwether market.
The rule requires that FINRA member firms report secondary-market transactions in Treasury securities except savings bonds to
Purposefully creating synthetic shares of a security for the purpose of naked short selling to manipulate the market price for the security should be a felony. Not a crime that gets a fine, but a send-you-to-prison FELONY! There is absolutely no reason why this should be allowed to continue. It never should have been allowed in the first place. How can a market be free and fair when large traders
When used in these By-Laws, unless the context otherwise requires, the term:
(a) "Act" means the Securities Exchange Act of 1934, as amended;
(b) "bank" means (1) a banking institution organized under the laws of the United States, (2) a member bank of the Federal Reserve System, (3) any other banking institution, whether incorporated or
SUGGESTED ROUTING:*
Senior ManagementInternal AuditOperationsTrading*These are suggested departments only. Others may be appropriate for your firm.
On June 30, 1988, the maximum Small Order Execution System (SOES) order size for all Nasdaq National Market System (Nasdaq/NMS) securities was established as follows:
A 1,000-share maximum order size was applied to those Nasdaq/NMS securities that
December 12, 2023Kayte Toczylowski, Vice President of Member Relations and Education, hosts senior FINRA leaders who discuss trending topics, new rules and regulatory guidance and best practices.Speakers:Kayte Toczylowski, Vice President, Member Relations and Education Stephanie Dumont, Executive Vice President, Market Regulation and Transparency ServicesBill St. Louis, Executive Vice President,