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(a) Application - For purposes of this Rule, the term "member" shall be limited to any member of FINRA registered with the SEC pursuant to Section 15C of the Exchange Act that is not designated to another self-regulatory organization by the SEC for financial responsibility pursuant to Section 17 of the Exchange Act and SEA Rule 17d-1.
(b) Each member subject to Section 402.2 of
Except for the FINRA Rule 9700 Series, all capital acquisition broker members shall be subject to the FINRA Rule 9000 Series, unless the context requires otherwise, provided, however, that:
(a) the term "associated person" as used in the FINRA Rule 9000 Series shall mean "associated person of a capital acquisition broker" or "person associated with a
Financial social media influencers or finfluencers are growing in popularity as a cheap way to reach a new generation of investors. But using this newer form of advertising comes with risks. On this episode, we learn more about the regulatory requirements around the use of social media influencers and hear some best practices for firms looking to make use of “finfluencer” programs.
I would like to express my support for FINRA's continued actions to warn investors that they may be out of their depth.
I think that such policies should be revised for the online era, however. Complex products should have category IDs or acronyms associated with their structure, and online sites for the products should be required to list the acronyms corresponding to the product. There
The Credit Risk Management, Liquidity Risk Management and Net Capital sections of the 2023 Report on FINRA’s Examination and Risk Monitoring Program (the Report) informs member firms’ compliance programs by providing annual insights from FINRA’s ongoing regulatory operations, including (1) regulatory obligations and related considerations, (2) findings and effective practices, and (3) additional resources.
We live in very uncertain and volatile economic times. Leveraged ETF's give many people the ability to better their financial lives with some knowledge and skill as we steer through these incredibly volatile times. This can level the playing field and help to better individuals and family's financial wellbeing. Existing laws are already in place to protect people with the use
Dear Sir or Madam,
I am concerned about possible restrictions to retail investors discussed in Notice 22-08. I currently personally use these types of "complex" investments to hedge against things like inflation or recession. These types ETFs make these investments accessible to people who are not institutional investors. I am concerned that the changes discussed will limit
Those of us who lost everything when the large investors were able to cause the price of TVIX to drop over 90% "after hours", which should not have been possible, is likely the cause of this regulatory notice. This was clear manipulation and someone should have to pay. It is they who need better regulation oversight, not the small investor. We still need these types of
Regarding FINRA Reg. Notice #22-08:
As an investor, where and how I invest my hard earned money is my business, and my business alone. I am fully capable of understanding leveraged and inverse funds with out having to prove it to regulators. These funds are very important to my investment strategies, especially in volatile times like we are currently in, in order to help me hedge my positions or
(a) General
(1) In furtherance of FINRA's obligations to foster cooperation and coordination of the clearing, settling and processing of transactions in equity and debt securities of any issuer with a class of publicly traded, non-exchange listed, securities in the OTC market and, in general, to protect investors and the public interest, FINRA's Operations Department ("Department