Displaying 1611 - 1620 of 28153 Results
SUGGESTED ROUTING*
Senior ManagementInternal AuditLegal & ComplianceOperationsSystemsTrading
*These are suggested departments only. Others may be appropriate for your firm.
EXECUTIVE SUMMARY
As previously reported in Notice to Members 88-104 and 89-17, the NASD requires its members to respond to requests for trading data by using a standardized automated format. This format is
FINRA Issues Guidance on the Enhanced Confirmation Disclosure Requirements in Rule 2232 for Corporate and Agency Debt Securities
On Monday, December 2, 2019, FINRA will expand the summary firm data relating to over-the-counter (OTC) equity trading that FINRA publishes on its website.
Beginning on December 2, 2019, FINRA will provide:
new monthly aggregate block-size trading data for OTC trades in NMS stocks executed outside an alternative trading system (ATS) on a one-month delayed basis; and
aggregate non-ATS volume
(a) For "Cash"In connection with a transaction for "cash," delivery shall be made at the office of the purchaser on the day of the transaction.(b) "Regular Way"In connection with a transaction "regular way," delivery shall be made at the office of the purchaser on, but not before, the first business day following the date of the transaction.(c) "Seller
Please allow me to add to the avalanche of opposition to FINRA Notice 22-08.
I have been using mutual funds and ETFs , that you refer to as "complex products," for many years. When researching any of them on the WebSites of my brokerages, the first thing that appears is an entire warning paragraph in a large, bold font, beginning: "Not suitable for most investors
Limited use of leveraged and leveraged inverse ETFs serve an important part of our family's investment portfolio; the risks associated with these products -- the impact of volatility on returns, tracking errors associated with holding leveraged ETPs longer than 1 day, etc. are *very* clearly spelled out in each ETP's prospectus, with most going so far as to provide tables to
FINRA is publishing its quarterly OTCBB/OTC Equities High Price Dissemination List for the fourth quarter of 2020. This updated list of OTC equity securities eligible for trade report dissemination for trades of fewer than 100 shares is effective as of March 19, 2021. To view changes, visit the Daily List: Security Attribute Changes page, select the “Unit of Trades” filter and enter March 18,
FINRA requires firms to file a continuing membership application (CMA) whenever they seek to expand or implement new ways of doing business. Firms also must file an application whenever they seek to modify or remove restrictions previously imposed in a membership agreement (a membership agreement change). This process helps protects investors by ensuring that a firm’s supervisory and compliance
FINRA:
I strongly object to the proposed FINRA regulatory notice 22-08.
The proposed measure is quite simply just another example of arrogant governmental agency overreach hatched under the disingenuous guise of protecting the consumer/investor.
Investor rights and abilities to buy/sell whichever public securities they may choose, whenever they choose, must be preserved without interference or
I strongly oppose the upcoming regulations on certain types of funds that would exclude the public from access to these investments in their portfolios. Every citizen should be allowed to decide what they choose to invest in, and not be subject to limits based on overall net worth or formal investment education and approval by individual brokers. Now more than ever, investing has become