07/03/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | Anonymous | Still anonymous | Not relevant |
|
07/21/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | andrew | robison | the cftc is complicit in securities fraud |
|
07/21/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | andrew | robison | the cftc is complicit in securities fraud |
|
07/22/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | andrew | robison | the cftc is complicit in fraudulent markets |
|
07/25/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | andrew | robison | the cftc is complicit in fraudulent markets |
|
07/27/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | andrew | robison | the sec/cftc are complicit in market fraud |
|
07/27/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | andrew | robison | the sec/cftc are complicit in fraudulent markets |
|
07/27/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | andrew | robison | the cftc is complicit in securities fraud |
|
07/28/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | andrew | robison | the sec/cftc are complicit in securities fraud |
|
07/28/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | andrew | robison | the sec/cftc are complicit in securities fraud |
|
07/28/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | andrew | robison | the sec/cftc promote fraudulent markets |
|
07/29/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | andrew | robison | the sec/cftc collaborate to defraud investors |
|
07/29/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | andrew | robison | the sec/cftc collaborate to defraud investors |
|
07/31/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | andrew | robison | the sec/cftc sanction fraudulent markets |
|
07/31/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | andrew | robison | the sec/cftc facilitate fraudulent markets |
|
08/01/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | andrew | robison | the sec/cftc benefit from fraudulent markets |
|
08/02/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | andrew | robison | the sec/cftc collaborate to defraud investors |
|
08/08/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | andrew | robison | the sec/cftc create rules for fraudulent markets |
|
08/09/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | andrew | robison | fraudulent markets can not be regulated |
|
08/11/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | Still anonymous | Changed | Why is this a required field? |
|
08/25/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | Darren | Anonymous | Individual Investor |
|
08/25/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | Lonestar | Investor | Why is this a required field? |
|
08/25/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | Scott | Newcomb | Independent Consultant |
|
08/25/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | Daniel | Schwartz | Household Investor |
|
08/25/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | Curtis | Higgins | Investor |
|
08/25/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | Kam | Uchi | Household investor |
|
08/25/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | Eric | Fletcher | N/A |
|
08/25/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | James | Green | |
|
08/26/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | Steven | Choi | |
|
08/26/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | Scott | Grooms | Myself |
|
08/26/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | WEI | TAN | |
|
08/26/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | Retail | Investor | US Citizen |
|
08/26/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | Calvin | Satterfield | |
|
08/26/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | Paris | Goode | No representation |
|
08/26/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | Steve | Selak | Concerned Citizen |
|
08/26/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | Curtis | Higgins | Investor |
|
08/26/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | Curtis | Higgins | Investor |
|
08/26/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | Sudo | Nym | Entrepreneur of a stealth startup |
|
08/26/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | Carl | Hoopingarner | Pathfinders |
|
08/26/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | M | Campbell | Reflex Entertainment, LLC |
|
08/26/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | Household | Investor | Individual |
|
08/26/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | Bobby | MacPherson | Not required |
|
08/26/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | John | Lynch | N/A |
|
08/26/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | Craigs | Stevens | Teacher |
|
08/27/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | Household | InvestorsThatCare | Public |
|
08/27/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | Joel | Saulter | |
|
08/27/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | Charles | Wilder | chase |
|
08/27/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | Trevor | Panhorst | |
|
08/27/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | Retail | Investor | N/A |
|
08/27/2023 | Request for Comment on the Impact of Affiliations of Certain CFTC-Regulated Entities | Jean | Garcia-Gomez | Household Investor |
|