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Comment for Proposed Rule 75 FR 3281

  • From: Karen Rogers
    Organization(s):

    Comment No: 3568
    Date: 1/24/2010

    Comment Text:

    i0-001
    COMMENT
    CL-03568
    From:
    Sent:
    To:
    Subject:
    Karen Rogers
    Sunday, January 24, 2010 4:47 PM
    secretary
    Regulation of Retail Forex
    Karen Rogers
    PO Box 49023
    St. Petersburg, FL 33743
    January 24, 2010
    Mr. David Stawick
    Secretary, CFTC
    1155 21st Street, N.W.
    Washington, DC 20581.
    Re: RIN 3038-AC61
    Dear Mr. Stawick:
    As a longtime forex currency trader, I applaud your efforts to require registration of all Futures Commodity
    Merchants, Retail Foreign Exchange Dealers, Introducing Brokers, Commodity Trading Advisors, Commodity
    Pool Operators, and Associated Persons. I believe this requirement would substantially reduce the fraud
    perpetuated by a few unethical firms.
    However, I must object with the proposed regulation to set the
    maximum
    leverage for US retail forex to 10:1. The
    amount of risk an investor accepts is based on his or her knowledge, experience and personal risk tolerance. The
    CFTC cannot and should not attempt to stand in my shoes and decide my risk tolerance for me. The tools to reduce
    risk are already in place via good money management and the use of stops and limits.
    Further, investing is and has always been a zero-sum game--at the end of each trading day, there will be winners
    and losers. No amount of rules or legislation will change this. What the proposed RIN 3038-AC61 regulation will
    accomplish, unfortunately, will be to drive forex traders to overseas brokers. This, in turn, will result in an outflow
    of capital to foreign forex brokers, and a possible loss of jobs for US forex brokers.
    I am therefore requesting that the portion of proposed regulation RIN 3038-AC61 restricting the maximum
    leverage to 10:1 be stricken.
    Thank you for your time and attention.
    Sincerely,
    Karen Rogers