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Comment for Proposed Rule 75 FR 3281

  • From: Leon Bronfin
    Organization(s):

    Comment No: 6725
    Date: 3/10/2010

    Comment Text:

    i0-001
    COMMENT
    CL-06725
    From:
    Sent:
    To:
    Subject:
    Leon Bronfin
    Wednesday, March 10, 2010 11:34 AM
    secretary
    FW: OBJECTION TO 10-1 LEVERAGE LIMIT - OR CHANGE FROM EXISTING LEVERAGE LIMIT -
    IN REGULATION OF RETAIL FOREX PROPOSAL RIN 3038-AC61
    From:
    Leon Bronfin [mailto:[email protected]]
    Sent:
    Wednesday, March 10, 2010 8:27 AM
    To:
    '[email protected]'
    Cc:
    '[email protected]'; '[email protected]'; '[email protected]'; '[email protected]'; '[email protected]'; '[email protected]'
    Subject:
    OBJECTION TO 10-1 LEVERAGE LIMIT- OR CHANGE FROM EXISTING LEVERAGE LIMIT- IN REGULATION OF RETAIL
    FOREX PROPOSAL RIN 3038-AC61
    ATTN: David Stawick, Secretary, CFTC and ALL CFTC Policymakers
    As a non-affiliated market participant in the forex market on a retail basis, I am strongly OPPOSED to the 10-1 leverage limit as
    proposed in RIN 3038-AC61 to the Regulation of Retail Forex.
    Like many attempts to "fix" a problem, adoption of this Regulation will NOT fix the contemplated problem, and in fact, will
    make the problem worse and/or create unintended side-effects that will outweigh any positive effects from implementation.
    The proposal would require that I submit substantially more margin funds into non-protected, non-FDIC insured, non-SIPC
    eligible accounts, actually exposing me to greater risk in the event of insolvency of my Forex Broker.
    This proposal would encourage many retail forex participants like myself to stop or reduce trading, creating loss of business
    and therefore jeopardize the business prospects and financial condition of domestic forex brokers - making it riskier for me to
    do business with them.
    To avoid this risk, I would likely NOT shift my business into regulated Futures trading, because of possible problems with
    execution and contango, and instead would leave me with the only alternative of using an off-shore Forex broker - that may
    subject me to much greater risks and unknown business practices that may jeopardize my funds.
    FX volatilities are generally substantially lower than in the futures market, so significantly more leverage is required to
    capture equivalent trading opportunities. By restricting 100-1 leverage - that recently has already been reduced by half - and
    which while available to me should I chose to use it, isn't forced on me to use - would greatly and negatively restrict my
    activities in this area, reduce market liquidity, expose me to greater risk and unintended consequences - the actual harm
    would greatly outweigh any intended benefits.
    Please do not adopt this proposed Regulation - it will NOT be beneficial to me, but in fact will be extremely unfriendly and
    inhibitive to the retail forex participants.
    Thank you
    Leon Bronfin
    425-818-9915
    [email protected]
    800 Bellevue Way NE, S. 400
    Bellevue, WA 98004