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Binary options traded outside the U. They offer a viable alternative when speculating or hedging, but only if the trader fully understands the two potential and opposing outcomes. These types of options are typically found on internet-based trading platforms, not all of which comply with U.

Retail forex sec forex ultra scalper v2

Retail forex sec

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Related Content. The SEC published a notice in the Federal Register announcing the expiration of Rule 15b, which allowed broker-dealers to engage in retail foreign exchange FX transactions. On May 26, , the SEC published a notice in the federal register announcing the expiration of Rule 15b , which allowed broker-dealers to engage in retail foreign exchange FX transactions. Beginning on July 31, , broker-dealers, including those that are dually registered as futures commission merchants FCMs with the CFTC, will no longer be able to offer or enter into these transactions with anyone that is not an eligible contract participant ECP.

FCMs must de-register as broker-dealers as of that date in order to continue to offer retail forex to non-ECPs. Section 2 c 2 E of the Commodity Exchange Act CEA provides that a person that is subject to the oversight of a federal regulatory agency may not enter into or offer a retail forex transaction unless the federal regulatory agency authorizes it by rule. Broker-dealers, under the regulatory authority of the SEC, were authorized to engage in FX transaction by SEC Rule 15b, which was originally set to expire in , but which was extended until July 31, The SEC has declined to further extend the rule, which has come as a surprise to some in the industry and may not provide broker-dealers that engage in this line of business ample time to adjust.

Retail forex transactions include transactions that are entered into in a foreign currency with an entity that is not an ECP that is:. Today, the Commission announced a further delay in the implementation of Section c for another three years, to July 31, I am disappointed by the delay. To ensure that more is accomplished in the next three years than in the past two years, at my request, the staff has developed an approach to address the issues raised by the Retail Forex market.

To this end, the staff has undertaken, among other things, to work with FINRA and gather information about the Retail Forex market, discuss any rules that FINRA should consider for its members, and consult with other regulatory agencies to identify potential areas of investor harm.

Though Retail Forex transactions may provide benefits, they can pose great risks to investors. I continue to have concerns, many of which I have expressed in the past. I remain concerned about the risks posed by Retail Forex transactions, and request that both the SEC staff and FINRA staff remain vigilant about such transactions and move swiftly to address any inappropriate activities.

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I am disappointed by the delay. To ensure that more is accomplished in the next three years than in the past two years, at my request, the staff has developed an approach to address the issues raised by the Retail Forex market. To this end, the staff has undertaken, among other things, to work with FINRA and gather information about the Retail Forex market, discuss any rules that FINRA should consider for its members, and consult with other regulatory agencies to identify potential areas of investor harm.

Though Retail Forex transactions may provide benefits, they can pose great risks to investors. I continue to have concerns, many of which I have expressed in the past. I remain concerned about the risks posed by Retail Forex transactions, and request that both the SEC staff and FINRA staff remain vigilant about such transactions and move swiftly to address any inappropriate activities. It is simply not acceptable for the Commission to continue to delay the fact-finding and decision-making process, and any further delay will only serve to heighten, rather than lessen, investor harm.

But over the years, it also has been a market favored by fraudsters. Additionally, regulators also have been concerned about risks posed by the use of leverage, which allows traders to increase their profits, but also can lead to larger losses.

Last August, the Commodity Futures Trading Commission adopted retail forex rules for the firms it regulates that would cap leverage at to-1 for major currencies and require forex dealers to hold more capital and abide by certain disclosure, reporting and record-keeping rules.

The Dodd-Frank law additionally required other regulators, including the SEC, to impose similar rules on the retail forex dealers they oversee. If the regulators do not establish a regulatory regime for these transactions, then retail forex dealing would be prohibited. The temporary rule approved by the SEC this week, which went into effect on Friday, allows the firms to continue dealing in retail forex contracts until the SEC decides whether or not to adopt a more comprehensive oversight regime.

The SEC said it will consider a number of avenues, including proposing new rules to protect consumers, allowing retail brokers to operate as they do today, and possibly prohibiting retail foreign exchange trading altogether.

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A Federal regulatory agency's retail forex rule must treat all agreements, contracts, and transactions in foreign currency described in CEA section 2(c)(2)(B)(i. A retail forex transaction includes an agreement, contract, or transaction in foreign currency that is a contract of sale of a commodity for. in the foreign currency exchange (or “forex”) market Securities and Exchange Commission (SEC). no central marketplace in the retail off-exchange.