Comment Text:
i0-001
COMMENT
CL-05314
From:
Sent:
To:
Subject:
Barry Martin
Wednesday, February 10, 2010 9:34 PM
secretary
Regulation of Retail Forex
MB Trading recognizes the importance of regulation that
strengthens industry oversight. We agree with policing and
regulating the industry, as was Congress' intent when
empowering the CFTC to create additional rules. However,
we don't agree with policies that might clearly disadvantage
firms in the United States which in turn disadvantage you,
the client. We encourage you to voice your individual
opinion directly to the CFTC. The Public Comment Period is
open for 60 days from the date of publication, which was
January 13, 2010. You may find the entire draft proposal
here: CFTC.Gov
and you may contact the CFTC directly by
sending an email to [email protected]
with "Regulation
of
Retail I~ore×
''
in the subject line.
MB Trading recognizes the importance of regulation that
strengthens industry oversight. We agree with policing and
regulating the industry, as was Congress' intent when
empowering the CFTC to create additional rules. However,
we don't agree with policies that might clearly disadvantage
firms in the United States which in turn disadvantage you,
the client. We encourage you to voice your individual
opinion directly to the CFTC. The Public Comment Period is
open for 60 days from the date of publication, which was
January 13, 2010. You may find the entire draft proposal
here: CFTC.Gov
and you may contact the CFTC directly by
sending an email to [email protected]
with "Regulation
of
Retail I~ore×
''
in the subject line.
MB Trading recognizes the importance of regulation that
strengthens industry oversight. We agree with policing and
regulating the industry, as was Congress' intent when
empowering the CFTC to create additional rules. However,
we don't agree with policies that might clearly disadvantage
firms in the United States which in turn disadvantage you,
the client. We encourage you to voice your individual
opinion directly to the CFTC. The Public Comment Period is
open for 60 days from the date of publication, which was
January 13, 2010. You may find the entire draft proposal
here: CFTC.Gov
and you may contact the CFTC directly by
sending an email to [email protected]
with "Regulation
of
Retail I~ore×
''
in the subject line.
MB Trading recognizes the importance of regulation that
strengthens industry oversight. We agree with policing and
regulating the industry, as was Congress' intent wheni0-001
COMMENT
CL-05314
empowering the CFTC to create additional rules. However,
we don't agree with policies that might clearly disadvantage
firms in the United States which in turn disadvantage you,
the client. We encourage you to voice your individual
opinion directly to the CFTC. The Public Comment Period is
open for 60 days from the date of publication, which was
January 13, 2010. You may find the entire draft proposal
here: CFTC.Gov
and you may contact the CFTC directly by
sending an email to [email protected]
with "Regulation
of Retail Forex" in the subject line.
MB Trading recognizes the importance of regulation that
strengthens industry oversight. We agree with policing and
regulating the industry, as was Congress' intent when
empowering the CFTC to create additional rules. However,
we don't agree with policies that might clearly disadvantage
firms in the United States which in turn disadvantage you,
the client. We encourage you to voice your individual
opinion directly to the CFTC. The Public Comment Period is
open for 60 days from the date of publication, which was
January 13, 2010. You may find the entire draft proposal
here: CFTC.Gov
and you may contact the CFTC directly by
sending an email to [email protected]
with "Regulation
of Retail Forex" in the subject line.
To who it may concern,
Please do not change the leverage ability for us here in the US. This will take away individuals to be
able to compete in a market that the big banks or business' will only be able to take the risk.
This is niot right.
Please reevaluate this the minimun capital.
Thans for your reconsideration.
Barfry
Barry G. Martin
407- 595- 0514
[email protected]