The Security Traders Association (“STA”) welcomes the opportunity to comment on the CFTC proposed amendment to rule 4.5. We hope that the opinions of our membership will assist the Commission with their decisions regarding Rule 4.5.
since 1934
The Security Traders Association (“STA”) welcomes the opportunity to comment on the CFTC proposed amendment to rule 4.5. We hope that the opinions of our membership will assist the Commission with their decisions regarding Rule 4.5.