Font Size: AAA // Print // Bookmark

Comment for Proposed Rule 75 FR 3281

  • From: Dmitry Zaikin
    Organization(s):

    Comment No: 1632
    Date: 1/21/2010

    Comment Text:

    i0-001
    COMMENT
    CL-01632
    From:
    Sent:
    To:
    Subject:
    Dmitry Zaikin
    Thursday, January 21, 2010 8:51 AM
    secretary
    Regulation of Retail Forex
    identification number RIN 3038-AC61
    Dear sir/Madam,
    After change of leverage to 1:10 all USA customers will move to UK, because it makes trading impossible.
    Leverage 1:100 in many cases is not enough.
    Regards,
    Dmitry Zaikin
    Dear Valued Customer,
    As many of you are aware, the U.S. Commodity Futures Trading Commission (CFTC) announced on January 13, 2010
    that it is seeking public comment on proposed regulations concerning retail Forex trading.
    As part of the proposed regulations, it is stated: "leverage in retail forex customer accounts would be subject to a 10-to-1
    limitation," which means 10:1 leverage would be the maximum amount allowed for all Forex traders in the U.S.
    An example of how the proposed regulatory restrictions would affect a major currency pair appears below:
    Maximum Leverage under Current Regulations
    USD/CHF
    100:1 leverage (one percent)
    1 lot (100,000)
    Margin requirement: $1,000
    Maximum Leverage under Proposed CFTC Changes
    USD/CHF
    10:1 leverage (10 percent)
    1 lot (100,000)
    Margin requirement: $10,000
    We stand behind the belief that you should be given the freedom and right to choose the amount of leverage that is
    appropriate for your individual desired risk, and that this basic principle of 'choice' is in jeopardy by the proposed CFTC
    regulations.
    If you feel strongly about the proposal, we encourage you to help determine the outcome of these proposed regulations.
    You can help make an impact by sending comments directly to the CFTC at: [email protected].
    Please include 'Regulation of Retail Forex' in the subject line of your message and the identification number RIN 3038-
    AC61 in the body of the message.
    You can also submit your comments by any of the following methods (include above ID number):i0-001
    COMMENT
    CL-01632
    ¯
    Fax: (202) 418-5521
    ¯
    Mail: David Stawick, Secretary Commodity
    Futures Trading Commision 1155 21 st Street, N.W.,
    Washington, DC 20581
    ¯
    Courier: Use the same as mail above.
    In the upcoming days, Interbank FX and the rest of the U.S. Forex Dealer Coalition will be releasing a more formal
    opinion about the proposed changes. Please feel free to read further details about the regulation on the CFTC website by
    clicking here.
    In the interim, we encourage you to voice your opinions to the CFTC and your local U.S. representative.
    As always, we want the best for our traders. We hope you'll join forces with us to prohibit the proposed leverage
    requirements.
    The Interbank FX Team
    International
    US and Canada 866.468.3739 Australia 1.800.884.912 Indonesia 001.803.017.9112 Malaysia 1.800.813.776
    New Zealand 0800.445647 Singapore 800.101.2097 United Kingdom 0.808.120.1966 International +1.801.930.6800
    Interbank FX
    TM
    LLC I IBFXTM
    I IBFXUTM I
    Registered FCM, Member NFA
    Interbank FX I 3165 Millrock Drive STE 200 I Salt Lake City, UT 84121 I Tel: 1.866.468.3739
    To opt-out of future emails from Interbank FX, click
    here.
    Trading in the off exchange retail foreign currency market is one of the riskiest forms of investment available in the financial markets and
    suitable for sophisticated individuals and institutions. The leveraged nature of FX trading means that any market movement will have an
    equally proportional effect on your deposited funds. This may work against you as well as for you. The possibility exists that you could sustain
    a total loss of initial margin funds and be required to deposit additional funds to maintain your position. If you fail to meet any margin call
    within the time prescribed, your position will be liquidated and you will be responsible for any resulting losses.