Comment Text:
i0-001
COMMENT
CL-05636
From:
Sent:
To:
Subject:
Attach:
Ernest Scott
Monday, March 1, 2010 1:21 AM
secretary
Regulation of Retail Forex
CFTC Comment.pages
Please find the attached letter of comment414 INVESTMENTS
P.O. Box 70247
Albuquerque,
NM 87197
T 505 918 2988
F 505 345 2767
em [email protected]
February 28, 2010
David Stawick
Secretary
Commodi~ Futures Trading Commission
1155 21st Street, NW.
Washington, DC 20581
M r Stawick,
As a long time investor and trader of options and Forex I would like to offer my comments on the proposed rule
changes to implement the CFTC Reauthorization ACT of 2008. The "CRA'. In general the rule changes that
would require counterparties to retail forex transactions to register as retail foreign exchange dealers (RFED's)
and meet requirements for registration, disclosure, record keeping, financial reporting, and minimum capital
standards are long overdue in the retail forex space. With public disclosure and easy access to data regarding
RFED's, these rules, I believe, will significantly reduce the counterparb, dsk that is now inherent in this space.
However the one regulation that concerns me is regulation "4.12 Exemption from provisions of part 4'. The rule if
implemented in it's current fom], would require retail investors to put up significantly more capital per forex posi-
tion than what is required now. Although, in general, it is better to put up a larger amount of capital per position,
which helps a trader to avoid margin calls, the retail trader, because of their small account size, cannot effectively
trade their accounts without using significant leverage. Thus the retail trader will go where they can get most
leverage. In other words they will engage in regulatory arbitrage using new unregulated forex dealers outside the
United States and it's regulatory structure. This is a concem because these new dealers will not be subject to the
reporting requirements of the United States or any regulatory body, thus giving the small retail trader no way to
ascertain who their counterpar~ is. In this case the total loss of trading capital to a bad counterparb, is signifi-
cantly increased.
The best solution, in my opinion, is to leave the leverage rules as is and give the retail trader good money man-
agement tools and techniques along with solid training in the use of these. I say this because if found that good
money management techniques were infinitely more important than leverage in my trading results. By allowing
the retail trader to effectively trade, through the use of greater than 10:1 leverage and good money management
techniques, a small account with a regulated and well capitalized RFED has, in my opinion, less risk of a total
capital loss to over-leverage than to a bad counterparty.
Sincerely yours,