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Comment for Proposed Rule 75 FR 3281

  • From: Peter Panholzer
    Organization(s):
    DynexCorp

    Comment No: 873
    Date: 1/19/2010

    Comment Text:

    i0-001
    COMMENT
    CL-00873
    From:
    Sent:
    To:
    Subject:
    Peter Panholzer
    Tuesday, January 19, 2010 11:06 PM
    secretary
    Regulation of Retail Forex - - - RIN3038-AC61
    RIN3038-AC61
    Sir / Madam
    As an observer (we do not trade retail forex for U.S. clients) but also as a veteran in the business (trading
    currencies since 1974, interbank since 1985) we feel compelled to comment on the proposed 1:10 margin rule for
    forex.
    While we welcome measures to reduce fraud in retail forex, including regulating the margining of retail forex
    positions, the proposed
    fixed
    limit on leverage of 1:10 is statistically and operationally unsound.
    Certain currency pairs, by their mutual geographical and economical relationship, do not fluctuate as much as
    others e.g. are not subject to the same volatility and risk. To illustrate, a (dollar-free) EURCHF rate fluctuates less
    than a EURUSD rate.
    In order not to hurt market participation and thus market liquidity, the underlying instrument should be covered
    by margin deposits governed by volatility not size. In other words it would be unfair (and unwise) to impose the
    same margin (proposed 1:10) on 100,000 EURCHF as on 100,000 EURUSD.
    This has been recognized long time ago in the futures markets where the exchanges can set (and vary) the
    minimum margin requirements according to the volatility of the futures contract.
    We suggest the CFTC follows the same proven path. Let the same people who set individual currency futures
    margins at the IMM based on market volatility, set the margins for individual forex currency pairs.
    Sincerely
    Peter Panholzer
    DynexCorp
    8, rue de la R6tisserie
    CH-1204 Geneva, Switzerland
    T: +41 (22) 317 8888
    F: +41 (22) 594 8880
    [email protected]