The FINRA 21-19 is a long waited change in the stock market. The integrity of the US stuck market has been tarnished. So much in fact that is teders on the edge of collapse. This is partially caused by the risks surrounding short interest reporting under the regulation of FINRA. Even though FINRA 21-19 focusses on a broader spectrum of ineffective reporting, the certain gaps in the 21-19 could make it's goals unreachable. It is critical for the investers and the faith of investors that any and all changes withtin regulations regarding the reporting of short interest can go unnaccounted for. Ft specific gaps that could compromise the entirety of 21-19's purpose. It is critical for the restoration of both the stability of the US markets and the confidence of the investors within it that any and all regulation changes regarding short interest reporting be Additionally, the cost of operations necessary for applicable market members to accommodate these standards cannot be reasonably compared to the cost of a compromised market with systemic risk or the loss of investor confidence and participation in the US economyeffective in every known circumstance where effective short positions, synthetic or not, can go unaccounted for for any length of time greater than any other short position reporting deadline.
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Harm Jansen Comment On Regulatory Notice 21-19
The FINRA 21-19 is a long waited change in the stock market. The integrity of the US stuck market has been tarnished. So much in fact that is teders on the edge of collapse. This is partially caused by the risks surrounding short interest reporting under the regulation of FINRA. Even though FINRA 21-19 focusses on a broader spectrum of ineffective reporting, the certain gaps in the 21-19 could make it's goals unreachable. It is critical for the investers and the faith of investors that any and all changes withtin regulations regarding the reporting of short interest can go unnaccounted for. Ft specific gaps that could compromise the entirety of 21-19's purpose. It is critical for the restoration of both the stability of the US markets and the confidence of the investors within it that any and all regulation changes regarding short interest reporting be Additionally, the cost of operations necessary for applicable market members to accommodate these standards cannot be reasonably compared to the cost of a compromised market with systemic risk or the loss of investor confidence and participation in the US economyeffective in every known circumstance where effective short positions, synthetic or not, can go unaccounted for for any length of time greater than any other short position reporting deadline.