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Comment for Proposed Rule 75 FR 3281

  • From: David Ogilvie
    Organization(s):

    Comment No: 147
    Date: 1/16/2010

    Comment Text:

    i0-001
    COMMENT
    CL-00147
    From:
    Sent:
    To:
    Subject:
    [email protected]
    Saturday, January 16, 2010 2:29 AM
    secretary
    Regulation of Retail Forex
    Dear Sir or Madam,
    In reference to RIN 3038-AC61, I wish to offer the following comments:
    The proposal to require registration of all counterparties to retail forex transactions is excellent and overdue.
    Broker reliability and integrity is a hot topic in the FX trader community. The lack of comprehensive registration
    requirements allows disreputable operators to exploit confusion and ambiguity, making it too easy to deceive and
    defraud the public. Mandatory registration, along with clarification of CFTC's authority to pursue and prosecute
    fraudulent operators is much-needed reform to the current environment of retail FX.
    I believe the minimum capitalization requirements for FCMs and RFEDs should allow for smaller firms to scale-in.
    Rather than imposing a minimum $20,000,000 requirement, regardless of size, couldn't smaller and startup
    brokers be subject to increased scrutiny? Retail FX is a fast-growing industry, and this minimum requirement
    would impose a hardship, limiting diversity and innovation.
    Finally, the proposed 10:1 leverage restriction is unacceptable by any rationalization, and if this is imposed to
    protect me from myself, I will simply transfer my account to an offshore brokerage. Judging from the reactions
    I've heard and read, the enactment of this well-meaning but paternalistic proposal will result in billions of dollars of
    taxable commerce and thousands of well-paying jobs leaving our country. As distasteful as it would be to me to
    participate in such an exodus, it's more distasteful to have my trading practices dictated to me. I am quite aware
    of the great risk inherent in high-leverage trading. My rules for risk-management and capital exposure are well-
    developed. These, and the opportunity to take advantage of beneficial market moves will remain under my
    control. I truly hope this proposal will be removed from the pending rule change.
    Regards,
    David Ogilvie

    From uploaded file 147_----:

    1/4/2010 3:55:29 PM... 23 change(s) to BPAC list.
    1/4/2010 4:02:59 PM, True... 23 change(s) to BPAC list.


    From uploaded file 147_----.txt:

    1/4/2010 3:55:29 PM... 23 change(s) to BPAC list.
    1/4/2010 4:02:59 PM, True... 23 change(s) to BPAC list.