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These private classes are helpful prior the regularly scheduled group class. Prior to your enrollment we require a phone interview. This gives us the opportunity to familiarize with each other; tell us about your trading knowledge, and ask questions. Class size is 20 students maximum. We find that this gives everyone ample opportunity to ask questions, allows the instructor to address those questions fully, and still cover all the material for that weeks class.

Once we have completed the entry interview we will email you a student profile which will reflect the information you provided us. You should review this form for any errors and return if needed or keep for your records if correct. Once we have completed the interview we will verify your contact information and complete your registration.

As soon as we receive notice that the tuition has been paid you are registered for class! You will then receive email confirmation that you are enrolled. Jack Ablin establishes investment policy for Harris Private Bank. He takes a "top-down" approach, by looking at major global trends to determine over - and undervalued asset classes to isolate markets that are expected to outperform. Here's his macro-outlook. So the opportunity to make a lot of money by going long or short markets is somewhat subdued, which is probably the reason that hedge fund returns will be pretty lackluster.

I tend to believe the bond market here, and not the Fed so much. It would seem to me that a lot of the better elements driving the stock market are behind us. We look at earnings growth. Generally the stock market likes the yield curve to be steep. Liquidity is pretty much neutral. However, the best metrics on the stock market are probably behind us. In this environment, capturing as much dividend income as possible is the right thing to do.

But it still has a lot of favorable momentum and reasonable psychology behind it. Emerging market economies are certainly stronger. Also, the credit shape and balance sheets of many of these countries and their respective companies are in pretty strong shape. And valuations relative to our market, while not as cheap as they were, are still relatively cheap. But what you can do is look at a favorable environment for commodities. The key here is that as long as short-term interest rates are set below the rate of inflation, then we have a favorable environment for commodities.

The Fed has kept short-term interest rates below the rate of inflation for about 2 years and it appears they will keep them there. Abra la Ayuda de IIS. Tareas Administrativas Comunes. Y Acerca de los mensajes de error personalizados. Si usted no es el propietario del sitio web, puede ponerse en contacto con nosotros en cloudproxy sucuri. CloudProxy es el cortafuegos WebSite de Sucuri.

Esso mostra il tasso di cambio della conversione di due valute. Ti piacerebbe invertire le coppie di valute? VMA allows you to get very creative with the moving averages. You may specify the length, type, exponential, normal, or smoothed and price for each moving average. You may specify 1, 2, or 3 distinct moving averages. These moving averages may overlay the bar chart or display individually.

A buy signal is flashed when the short and intermediate term averages cross from below to above the longer term average. Conversely, a sell signal occurs when the short and intermediate term averages cross from above to below the longer term average. You can use the crossover approach with only two moving averages, however market technicians suggest using longer term averages, i.

Another approach is to use closing prices with the moving average s. When the closing price is above the moving average s , you maintain a long position. If the closing price falls below the moving average, you liquidate any long position and establish a short position.

Remember, any moving average system works best in trending markets. If you would like to read more about moving averages and optimized parameters, you should read Technical Analysis in Commodities by P. The optimization studies were performed between and by a large brokerage firm.

The book also details other studies available within Technical. The formulae to calculate a normal, exponential, and smoothed moving average are below. The normal moving average is:. Zaner computes the average of the past n intervals using the price specified for that period. Remember, you specify the price. It can be the open, high, low, close, midpoint, or average price. Zaner does not use an assigned weight smoothing constant to compute the exponential moving average.

Instead, it asks you to specify the length of the moving average. You can then determine the weight from the formula listed below. If you specify a moving average length of 10, the smoothing constant is 0. Here is how to determine the smoothing constant. Now, substitute the values in the formula. In this example, use a smoothing constant of. If you know the smoothing constant, use the above formula to determine the length of the moving average.

If you know the length of the moving average and want to know the smoothing constant, use the formula to solve for the smoothing constant or k. The Gross Domestic Product is a comprehensive measure of an overall production and consumption of goods and services.

GDP serves as one of the primary measures of overall economic well-being. While GDP announcements generally conform to expectations, unanticipated changes in this metric can move markets. Robust GDP growth signals a heightened level of economic activity and often a higher demand for the domestic currency.

At the same time, economic expansion raises concerns about inflationary pressures which may lead monetary authorities to increase interest rates. Thus better than expected GDP figures are generally bullish for the Euro, while negative readings are generally bearish. The headline figures are annualized percentage changes in real and nominal GDP. GDP Influence On Markets If the figure increases, then the economy is improving, and thus the dollar tends to strengthen.

If the number falls short of expectations or meets the consensus, dollar bearishness may be triggered. This sort of reaction is again tied to interest rates, as traders expect an accelerating economy, consumers will be affected by inflation and consequently interest rates will rise. However, much like the CPI, a negative change in GDP is more difficult to trade; just because the pace of growth has slowed does not mean it has deteriorated. On the other hand, a better than expected number will usually result in the dollar rising as it implicates that a quickly expanding economy will sooner or later require higher interest rates to keep inflation in check.

Overall though, the GDP has fallen in significance and its ability to move markets since most of the components of the report are known in advance. Due to the untimeliness of this report and because data on GDP components are available beforehand, the actual GDP figure is usually well anticipated. But given its overall significance GDP has the tendency to move the market upon release, acting to confirm or upset economic expectations. Robust GDP growth signals a heightened level of activity that is generally associated with a healthy economy.

However economic expansion also raises concerns about inflationary pressures which may lead to monetary policy tightening. The figure is commonly reported in headlines as an annualized percentage, based on quarterly data. The Advanced figure is released four weeks following the quarter's end.

As the most timely measure, the Advanced GDP tends to move markets the most. So, the strong support has been already faced at the level of 0. According to the previous events, we expect the pair to move between 0. Also, it should be noted major resistance is seen at 0. Then, we may anticipate potential testing of 1. Moreover, if the pair succeeds in passing through the level of 1.

A breakout of that target will move the pair further upwards to 0. Buy orders are recommended above the area of 0. Risk disclosure: MT5. The administrators and holders of the web resource do not warrant the accuracy of the information and shall not be liable for any damage directly or indirectly related to the content of the website. It should be borne in mind that trading on Forex carries a high level of risk. Before deciding to trade on the Forex market, you should carefully consider losses that you may incur when trading online.

You should remember that prices for stocks, indexes, currencies, and futures on the MT5 official website may differ from real-time values. If you have decided to start earning money on Forex, having weighed the pros and cons, you can find a wide range of useful information including charts, quotes of financial instruments, trading signals, and tutorials on the web portal. Improve your trading efficiency with information acquired from MT5.

Puede intentar cambiar el nombre de ese archivo a. Observe que el CaSe es importante en este ejemplo. Haga clic derecho en la X y elija Propiedades. When working with WordPress, Page Not Found errors can often occur when a new theme has been activated or when the rewrite rules in the. Si esto no funciona, puede que tenga que editar su archivo. El archivo. Los redireccionamientos y la reescritura de URL son dos directivas muy comunes encontradas en un archivo.

Es posible que necesite editar el archivo. Before you do anything, it is suggested that you backup your website so that you can revert back to a previous version if something goes wrong. Busque el archivo. Puede que tenga que desplazarse para encontrarlo.

Alternativamente, puede hacer clic en el icono del archivo. Simplemente haga clic en Editar para continuar. Haga clic en Guardar cambios en la esquina superior derecha cuando haya terminado. The changes will be saved. Pruebe su sitio web para asegurarse de que los cambios se hayan guardado correctamente.

PBoC chief economist Ma Jun stated just that much over the weekend, reiterating the depreciation of the exchange rate is over and anticipating a period of two-way volatility with "chances for appreciation and depreciation. Note the electricity use data is one of Beijing's preferred economic "heat map" components. NEA did suggest that August will see a return to positive growth.

While the slump was slightly less than analyst consensus, the key GDP components of private consumption and corporate CAPEX were especially troubling at Japan Econ Min Amari attributed slower spending to bad weather, slower external demand, and tax hike on mini vehicles, anticipating recovery in both components going forward. Amari did add that more efforts are needed to boost wages. Markets will tune in for tomorrow's RBA policy meeting minutes from this month tomorrow, closely followed by Fonterra dairy auction in early US hours on Tuesday.

CN HK KR AU Some initial buying was seen in reaction to the strength in Crude Oil and the US stock market, but weak export inspections and the Dollar pushed prices lower after the initial buying. US export demand remains poor as witnessed by another week of poor export sales.

Only traditional buyers are showing any interest in buying from the US and paying its prices. US prices remain generally above the world competition. EU Wheat is usually the lowest offer and is keeping prices very cheap right now. Analytical organizations in France note that the country has a lot of Wheat left to sell, and could have a big crop coming again this Summer.

The same is true for other EU countries, although France appears to have the biggest supplies to move. They are having a lot of trouble selling right now. The world market has been able to be short bought for a long time, and that is a strategy that has paid dividends as prices keep going lower. The current oversupply situation does not appear ready to go away anytime soon, so demand will most likely continue to be hand to mouth for an extended period. Temperatures should be above normal today, then trend to below normal.

Northern areas should get mostly dry weather. Temperatures should average above normal today, then trend to below normal. The Canadian Prairies should see light snows this week. Temperatures will average near normal. Chart Analysis: Trends in Chicago are mixed. Support is at , , and March, with resistance at , , and March.

Trends in Kansas City are mixed to up with objectives of and March. Trends in Minneapolis are mixed. Support is at , , and March, and resistance is at , , and March. That made it easy for Iraq to reject the USS offers and they wasted no time in passing. Only some farmers are selling at that level as most are holding out for better prices. Focus is also on new crop planted area, with almost everyone in agreement that there will be more Rice planted. Texas has had much better weather and reservoirs are full enough now to expand plantings for Rice.

Better weather is also hoped for in other Delta and Mid South states where some area was not planted due to wet and cold conditions last year. Rice has a good Support program in the US this year, which will also encourage planting. Charts show that the trends turned down with the price action yesterday. Overnight News: Mostly dry, except rain and Snow on Wednesday.

Temperatures should average above normal today and tomorrow, then near to below normal. Chart Analysis: Trends are down with objectives of and March. Demand news remains solid as Colombia bought , tons of US Corn. US prices remain competitive in the world market. The competitive price might not last more than a few weeks as both Brazil and Argentina will be harvesting soon.

Producers in Brazil are currently focused on the Soybeans harvest that is moving ahead, and have also been dealing with rain that has delayed the main crop harvest and could delay the Safrinha planting progress. Argentine crops need more time to get to maturity. Weekly charts show that futures are in a sideways trend.

The focus of the world market is on the demand that has not been real strong. Many US analysts looking for more Corn to be planted this year due to price spreads against Soybeans. Prices can continue to strengthen for the short term until US and South American producers become more ready sellers and make delivery.

Corn futures should hold recent lows and could remain in a longer term trading range until March. Prices can start to fall at that time unless some weather problems develop in the US or if South American producers do not wish to sell Corn.

Trends in Oats are mixed to down with objectives of March. The market is waiting for the Brazil harvest to make its way to the ports. Rains have been reported in areas that are ready for harvest, so progress has turned a little slower. Yield reports have been mixed, with most analysts reporting higher yields, but with producers reported to be not real impressed.

Overall, it looks like a big crop is still coming, the question is how big is big. Port lineups are reported to be very long and the wait will become onerous, and perhaps bad enough to promote some new sales and shipments from the US. Basis levels in Brazil ports are moving lower, and US Gulf export basis was lower yesterday.

It will take a couple of months after the exports start in earnest from South America to get the port situation straightened out, so it is possible that US demand in the end might not be all that far from USDA projections and that Brazil and Argentina export a little less than expected even with a favorable currency environment.

Even so, that does not mean that Soybeans and Soybean Meal prices need to rally all that much. There are still a lot of both to go around. Trends in Soybean Meal are mixed to up with objectives of Support is at Trends in Soybean Oil are mixed.

Futures broke above some strong resistance in the early trade and exploded higher, but could not hold the gains. The close back below the breakout level was a little disappointing. Otherwise slow offers from producers combined with enough demand from processors supported the nearby month. Chart patterns are mixed. Canola is generally moving lower as it try to stay in the world demand mix in competition with the prospect of big crops in South America.

Palm Oil was lower on weak export data. The trade still expects lower production and ending stocks due to El Nino drought losses, and also expects prices to generally work higher over the next few weeks. Weak demand is the main negative.

Trends are mostly up on daily and weekly charts. Trends in Palm Oil are mixed to up with no objectives. Support is at , , and May, with resistance at , , and May. Midwest Weather Forecast: Mostly dry weather expected except for some Snow over the middle of the week. Temperatures should average above normal today, then trend to near normal.

Values are based on the commodity being delivered at Thunder Bay, Ontario, unless otherwise noted. Prices are quoted in U. Palm kernel oil prices are in ringgit a pikul, a Malaysian measurement equivalent to 60 kilograms. Settle Ch. Vol Open Settle Interest Mar 1, 1, 1, 1, 1, 1, 2 50 May 1, 1, 1, 1, 1, 1, -8 , , Jul 1, 1, 1, 1, 1, 1, 50 1, Sep 1, 1, 1, 1, 1, 1, , , Nov 1, 1, 1, 1, 1, 1, -9 1, Jan 1, 1, 1, 1, 1, 1, 5 , , Soymeal Turnover: 1,, lots, or A Subsidiary of Price Holdings, Inc.

Los resultados anteriores no son necesariamente indicativos de resultados futuros. Trading foreign exchange also involves a high degree of risk. The leverage created by trading on margin can work against you as well as for you, and losses can exceed your entire investment. Before opening an account and trading, you should seek advice from your advisors as appropriate to ensure that you understand the risks and can withstand the losses. The information and data in this report were obtained from sources considered reliable.

Their accuracy or completeness is not guaranteed and the giving of the same is not to be deemed as an offer or solicitation on our part with respect to the sale or purchase of any securities or futures. The Price Futures Group, its officers, directors, employees, and brokers may in the normal course of business have positions, which may or may not agree with the opinions expressed in this report. Any decision to purchase or sell as a result of the opinions expressed in this report will be the full responsibility of the person authorizing such transaction.

Trading in futures contracts, options on futures contracts, and forward contracts is not suitable for all investors and involves substantial risks. The Public Inspection web page on FederalRegister. The Public Inspection page may also include documents scheduled for later issues, at the request of the issuing agency. This gives the public access to important or complex documents before they publish in the Federal Register.

See About Public Inspection for more information. Then you may. The FDIC is proposing regulations that would impose requirements for foreign currency futures, options on futures, and options that an insured depository institution supervised by the Federal Deposit Insurance Corporation engages in with retail customers. Pursuant to section c of the Dodd-Frank Wall Street Reform and Consumer Protection Act, such transactions will be prohibited as of July 16, , in the absence of the proposed requirements.

The proposed regulations would also impose requirements on other foreign currency transactions that are functionally or economically similar to futures, options on futures, or options. The regulations would not apply to traditional foreign currency forwards or spot transactions that a depository institution engages in with business customers to hedge foreign exchange risk.

Agency Web Site: http:www. Follow instructions for submitting comments on the Agency Web Site. Mail: Robert E. Washington, DC Follow the instructions for submitting comments. Paper copies of public comments may be ordered from the Public Information Center by telephone at or Nancy W. Hunt, Associate Director, , Bobby R. Any retail forex rule must prescribe appropriate requirements with respect to disclosure, recordkeeping, capital and margin, reporting, business conduct, and documentation requirements, and may include such other standards or requirements as the Federal regulatory agency determines to be necessary.

The Dodd-Frank Act does not require that retail forex rules be issued jointly, or on a coordinated basis, with any other Federal regulatory agency. While each Federal banking agency is issuing a separate proposed rule, the Federal banking agencies are coordinating their efforts. The FDIC's notice of proposed rulemaking is substantially similar to the OCC's notice of proposed rulemaking regarding retail foreign currency transactions published on April 22, The NDIP Policy Statement addresses issues such as disclosure, suitability, sales practices, compensation, and compliance.

Question I. Does the Agencies' proposed method for developing retail forex rules create material confusion for the marketplace? Por ejemplo:. This is consistent with the heightened customer protection provided to banking customers. This section would provide that an FDIC-supervised IDI that engages in covered retail forex transactions with retail customers would be subject to requirements contained in part Question II.

This section proposes definitions of terms specific to retail forex transactions and to the regulatory requirements that apply to retail forex transactions. Second, rolling spot forex transactions so-called Zelener [23] contracts , including without limitation such transactions traded on the Internet, through a mobile phone, or on an electronic platform, could fall within the definition's third category.

This notice of proposed rulemaking proposes that rolling spot transactions with retail customers non-ECPs should be regulated as retail forex transactions. However, in practice, the contracts are indefinitely renewed every other day and no currency is actually delivered until one party affirmatively closes out the position. In addition to a variety of financial entities, certain governmental entities, businesses, and individuals may be ECPs.

Should regulations governing retail forex transactions cover additional categories of retail customers, that is, those customers that are ECPs? If so, which eligible contract participants should be considered retail forex customers? This section would prohibit an FDIC-supervised IDI and its institution-affiliated parties from engaging in fraudulent conduct in connection with retail forex transactions.

This section would also prohibit an FDIC-supervised IDI from acting as a counterparty to a retail forex transaction if the institution or its affiliate exercises discretion over the customer's retail forex account because the FDIC views such self-dealing as inappropriate. Question: The FDIC invites comment on whether additional specific information should be required in the notice. For FDIC-supervised IDIs that have an existing retail forex business, the proposed rule would allow the entity to continue to operate the business for up to six months if it provides the written notice and requests the FDIC's written consent within 30 days of the effective date of this rule.

Question IV. The institution would have to offset such positions regardless of whether the customer has instructed otherwise. Under the proposed rule, an FDIC-supervised IDI may offset retail forex transactions as instructed by the retail forex customer or the customer's agent if the instructions do not come from the institution.

The prescribed risk disclosure statement would describe the risks associated with retail forex transactions. The disclosure statement would make clear that an FDIC-supervised IDI is prohibited from applying customer losses arising out of retail forex transactions against any property of a customer other than money or property specifically transferred to the FDIC-supervised IDI as margin for retail forex transactions; the FDIC-supervised IDI may not use rights of set-off to collect margin against other assets it may hold for the retail forex customer to cover losses arising out of retail forex transactions.

Under the proposed rule, the risk disclosure must be provided as a separate document and be signed by the retail forex customer. In its retail forex rule, the CFTC requires its registrants to disclose to retail customers the percentage of retail forex accounts that earned a profit, and the percentage of such accounts that experienced a loss, during each of the most recent four calendar quarters.

Would alternative disclosures more effectively accomplish the objectives of the disclosure? Similarly, the CFTC's retail forex rule requires a disclosure that when a retail customer loses money trading, the dealer makes money on such trades, in addition to any fees, commissions, or spreads. Or would combining disclosures diminish the impact of the retail forex disclosure? If so, what are these costs? This section would also prescribe document maintenance standards. Under the proposed rule, paragraph a would require an FDIC-supervised IDI that engages in retail forex transactions, in advance of any such transaction, to collect from the retail forex customer margin equal to at least 2 percent of the notional value of the retail forex transaction if the transaction is in a major currency pair, and at least 5 percent of the notional value of the retail forex transaction otherwise.

These margin requirements are identical to the requirements imposed by the CFTC's retail forex rule. A major currency pair is a currency pair with two major currencies. The major currencies currently are the U. For retail forex transactions involving rolling spots, for example, higher margin requirements protects the retail forex customer from the risks related to trading with excessive leverage.

The volatility of the foreign currency markets exposes retail forex customers with high leverage to greater risk of substantial losses. High leverage ratios can significantly increase a customer's losses and gains. Even a small move against a customer's position can result in a substantial loss.

Even with required margin, losses can exceed the margin posted, and if the account is not closed out, and depending on the specific circumstances, the customer could be liable for additional losses. Given the risks involved in the trading of retail forex transactions by retail customers using high leverage, the only funds that should be invested in such transactions are those that the customer can afford to lose.

Prior to the CFTC's rule, non-bank dealers routinely permitted customers to trade with 1 percent margin leverage of and sometimes with as little as 0. When the CFTC proposed its retail forex rule in January , it proposed a margin requirement of 10 percent leverage of In response to comments, the CFTC reduced the required margin in the final rule to 2 percent leverage of for trades involving major currencies and 5 percent leverage of for trades involving non-major currencies.

Under the proposed rule, paragraph b would specify the acceptable forms of margin that customers may post. FDIC-supervised IDIs must establish policies and procedures providing for haircuts for noncash margin collected from customers and must review these haircuts annually.

If so, how should those haircuts be determined? In proposed rule This paragraph is designed to work with the prohibition on set-off in paragraph e , so that an FDIC-supervised IDI may not have an account agreement that treats all of a retail forex customer's assets held by a bank as margin for retail forex transactions.

Paragraph d would require an FDIC-supervised IDI to collect additional margin from the customer or to liquidate the customer's position if the amount of margin held by the institution fails to meet the requirements of paragraph a. The proposed rule would require the institution to mark the customer's open retail forex positions and the value of the customer's margin to the market daily to ensure that a retail forex customer does not accumulate substantial losses not covered by margin.

Should the rule require marking customer positions and margin to the market daily, or would more frequent marks be more appropriate in light of the speed at which currency markets move? What is the most frequent mark to market requirement that is practical in light of the characteristics of the forex markets and the assets that retail forex customers may pledge as margin for retail forex transaction? Paragraph e would prohibit an FDIC-supervised IDI from applying a retail forex customer's losses against any asset or liability of the retail forex customer other than money or property given as margin.

An FDIC-supervised IDI's relationship with a retail forex customer may evolve out of a prior relationship of providing financial services or may evolve into such a relationship. Thus it is more likely that an FDIC-supervised IDI acting as a retail forex counterparty will hold other assets or liabilities of a retail forex customer, for example a deposit account or mortgage, than it is for a retail forex dealer regulated by the CFTC to hold such other assets. Do the proposed rules accomplish that objective?

Are there more effective methods of achieving the objective? This section would require an FDIC-supervised IDI engaging in retail forex transactions to provide each retail forex customer a monthly statement and confirmation statements. If so, what information would be more appropriate? Under the proposed rule, this section would prohibit an FDIC-supervised IDI and its institutional-affiliated parties from representing that the Federal government, the FDIC, or any other Federal agency has sponsored, recommended, or approved retail forex transactions or products in any way.

This section also would prohibit an FDIC-supervised IDI from implying or representing that it will guarantee against or limit retail forex customer losses or not collect margin as required by section However, this section would not prohibit an FDIC-supervised IDI from sharing in a loss resulting from error or mishandling of an order, and guaranties entered into prior to effectiveness of the prohibition would only be affected if an attempt is made to extend, modify, or renew them.

Further, this section would not prohibit an FDIC-supervised IDI from hedging or otherwise mitigating its own exposure to retail forex transactions or any other foreign exchange risk. This section would require an FDIC-supervised IDI to have specific written authorization from a retail forex customer before effecting a retail forex transaction for that customer.

This section largely follows the trading standards of the CFTC's retail forex rule, which were developed to prevent some of the deceptive or unfair practices identified by the CFTC and the National Futures Association. Under paragraph a of the proposed rule, an FDIC-supervised IDI engaged in retail forex transactions would be required to establish and enforce internal rules, procedures and controls 1 to prevent front running, in which transactions in accounts of the FDIC-supervised IDI or its related persons are executed before a similar customer order; 2 to establish settlement prices fairly and objectively; and 3 to record and maintain transaction records and make them available to customers.

Paragraph b would prohibit an FDIC-supervised IDI engaging in retail forex transactions from disclosing that it holds another person's order unless disclosure is necessary for execution or is made at the FDIC's request. As written, paragraph c would ensure that institution-affiliated parties of another retail forex counterparty do not open accounts with an FDIC-supervised IDI without the knowledge and authorization of the account surveillance personnel of the other retail forex counterparty to which they are affiliated.

Similarly, paragraph d would ensure that institution-affiliated parties of an FDIC-supervised IDI do not open accounts with other retail forex counterparties without the knowledge and authorization of the account surveillance personnel of the FDIC-supervised IDI to which they are affiliated.

Paragraph e would prohibit an FDIC-supervised IDI engaging in retail forex transactions from 1 entering a retail forex transaction to be executed at a price that is not at or near prices at which other retail forex customers have executed materially similar transactions with the FDIC-supervised IDI during the same time period, 2 changing prices after confirmation, 3 providing a retail forex customer with a new bid price that is higher or lower than previously provided without providing a new ask price that is similarly higher or lower as well, and 4 establishing a new position for a retail forex customer except to offset an existing position if the FDIC-supervised IDI holds one or more outstanding orders of other retail forex customers for the same currency pair at a comparable price.

However, paragraph e 3 would not prevent an FDIC-supervised IDI from changing the bid or ask prices of a retail forex transaction to respond to market events. The FDIC understands that market practice among CFTC-registrants is not to offer requotes, but to simply reject orders and advise customers they may submit a new order which the dealer may or may not accept. If not, how it should be modified?

Would it be simpler for the rule to simply prohibit requoting, because FDIC-supervised IDIs may instead reject an order and accept new orders from their retail forex customers? Paragraph e 4 would require an FDIC-supervised IDI engaging in retail forex transactions to execute similar orders in the order they are received. The prohibition would prevent an FDIC-supervised IDI from offering preferred execution to some of its retail forex customers but not others.

This section would impose on an FDIC-supervised IDI and its agents, officers, and employees a duty to supervise subordinates with responsibility for retail forex transactions to ensure compliance with the FDIC's retail forex rule. This section describes the requirements for transferring a retail forex account. Generally, an FDIC-supervised IDI would be required to provide retail forex customers 30 days' prior notice before transferring or assigning their account.

Affected customers may then instruct the FDIC-supervised IDI to transfer the account to an institution of their choosing or liquidate the account. There are three exceptions to the above notice requirement: A transfer in connection with the receivership or conservatorship under the Federal Deposit Insurance Act; a transfer pursuant to a retail forex customer's specific request; and a transfer otherwise allowed by applicable law.

This section would prohibit an FDIC-supervised IDI from entering into any agreement or understanding with a retail forex customer in which the customer agrees, prior to the time a claim or grievance arises, to submit the claim or grievance to any settlement procedure. This provision differs from the applicable CFTC dispute settlement procedures, which permit pre-dispute settlement procedures under certain conditions.

Since that time, concerns about predispute settlement resolution agreements have emerged. Congress addressed these concerns in seven provisions in the Dodd-Frank Act that prohibit, or give the agency involved the authority to prohibit, the use of predispute arbitration provisions. The FDIC requests comment on all aspects of the proposed rule, including the questions posed in the preamble. In addition, the FDIC requests comments on the following questions:.

Question III. To assist in the review of comments, the FDIC requests that commenters identify their comments by question number. The Regulatory Flexibility Act, 5 U. RFA generally requires an agency that is issuing a proposed rule to prepare and make available for public comment an initial regulatory flexibility analysis that describes the impact of the proposed rule on small entities.

The RFA provides that an agency is not required to prepare and publish an initial regulatory flexibility analysis if the agency certifies that the proposed rule will not, if promulgated as a final rule, have a significant economic impact on a substantial number of small entities. Pursuant to section b of the RFA, the FDIC certifies that this proposed rule will not have a significant economic impact on a substantial number of the small entities it supervises.

Accordingly, a regulatory flexibility analysis is not required. In making this determination, the FDIC estimated that there are no small banks currently engaging in retail forex transactions with their customers. Therefore, the FDIC estimates that no small banks under its supervision would be affected by the proposed rule. Persons wishing to submit written comments regarding the FDIC's certification under the RFA should refer to the instructions for submitting comments in the front of this release.

Such comments will be considered and placed in the same public file as comments on the proposal itself. The customer would provide specific written instructions on how the offsetting transaction should be applied. Proposed rule Proposed Rule It would also require an FDIC-supervised IDI to which retail forex accounts or positions are assigned or transferred to provide the affected customers with risk disclosure statements and forms of acknowledgment and receive the signed acknowledgments within 60 days.

It also would require that within 10 days after receipt of notice from the retail forex customer that they intend to submit a claim to arbitration, the FDIC-supervised IDI provide them with a list of persons qualified in the dispute resolution and that the customer must notify the FDIC-supervised IDI of the person selected within 45 days of receipt of such list.

The FDIC invites comment on how to make this proposed rule easier to understand. For example, the FDIC requests comment on such questions as:. Have we organized the material to suit your needs? If not, how could the material be better organized? Have we clearly stated the requirements of the rule? If not, how could the rule be more clearly stated? Does the rule contain technical language or jargon that is not clear? If so, which language requires clarification?

Would a different format grouping and order of sections, use of headings, paragraphing make the regulation easier to understand? If so, what changes would make the regulation easier to understand? An FDIC-supervised insured depository institution that engages in retail forex transactions shall comply with the requirements of this part.

This part establishes rules applicable to retail forex transactions engaged in by FDIC-supervised insured depository institutions and applies on or after the effective date. FDIC-supervised insured depository institution means any insured depository institution, or foreign bank having an insured branch for which the Federal Deposit Insurance Corporation is the appropriate Federal banking agency pursuant to section 3 q of the Federal Deposit Insurance Act, 12 U.

Institution-affiliated party or IAP has the same meaning as in 12 U. Introducing broker means any person who solicits or accepts orders from a retail forex customer in connection with retail forex transactions. Retail foreign exchange dealer means any person other than a retail forex customer that is, or that offers to be, the counterparty to a retail forex transaction, except for a person described in item aa , bb , cc AA , dd , or ff of section 2 c 2 B i II of the Commodity Exchange Act 7 U.

Retail forex account means the account of a retail forex customer, established with an FDIC-supervised insured depository institution, in which retail forex transactions with the FDIC-supervised insured depository institution as counterparty are undertaken, or the account of a retail forex customer that is established in order to enter into such transactions. Retail forex account agreement means the contractual agreement between an FDIC-supervised insured depository institution and a retail forex customer that contains the terms governing the customer's retail forex account with the FDIC-supervised insured depository institution.

Retail forex business means engaging in one or more retail forex transactions with the intent to derive income from those transactions, either directly or indirectly. Retail forex customer means a customer that is not an eligible contract participant, acting on his, her, or its own behalf and engaging in retail forex transactions.

Retail forex proprietary account means a retail forex account carried on the books of an FDIC-supervised insured depository institution for one of the following persons; a retail forex account of which 10 percent or more is owned by one of the following persons; or a retail forex account of which an aggregate of 10 percent or more of which is owned by more than one of the following persons:.

Retail forex transaction means an agreement, contract, or transaction in foreign currency that is offered or entered into by an FDIC-supervised insured depository institution with a person that is not an eligible contract participant and that is:. B Creates an enforceable obligation to deliver between a seller and buyer that have the ability to deliver and accept delivery, respectively, in connection with their line of business. No FDIC-supervised insured depository institution or its IAPs may, directly or indirectly, in or in connection with any retail forex transaction:.

If an FDIC-supervised insured depository institution can cause retail forex transactions to be effected for a retail forex customer without the retail forex customer's specific authorization, then neither the FDIC-supervised insured depository institution nor its affiliates may act as the counterparty for any retail forex transaction with that retail forex customer. A notice required by this section shall be submitted in writing to the appropriate FDIC office.

If an FDIC-supervised insured depository institution has filed an application or notice with another regulatory authority which contains all of the information required by paragraph c 1 of this section, the institution may submit a copy to the FDIC in lieu of a separate filing. The FDIC may request additional information to complete the processing of the notification. Any FDIC-supervised insured depository institution that is engaged in retail forex business on the effective date of this part may continue to do so for up to six months, subject to an extension of time by the FDIC, provided that it notifies the FDIC of its retail forex business and requests the FDIC's written consent in accordance with paragraph a of this section.

Any FDIC-supervised insured depository institution that is engaged in retail forex business on the effective date of this part shall be deemed, during the six-month period including any extension provided in paragraph d of this section, to be acting pursuant to a rule or regulation described in section 2 c 2 E ii I of the Commodity Exchange Act 7 U.

Any FDIC-supervised insured depository institution that—. In all instances where the short or long position in a customer's retail forex account immediately prior to an offsetting purchase or sale is greater than the quantity purchased or sold, the FDIC-supervised insured depository institution shall apply such offsetting purchase or sale to the oldest portion of the previously held short or long position.

Notwithstanding paragraph b of this section, the offsetting transaction shall be applied as directed by a retail forex customer's specific written instructions. No FDIC-supervised insured depository institution may open or maintain open an account that will engage in retail forex transactions for a retail forex customer unless the FDIC-supervised insured depository institution has furnished the retail forex customer with a separate written disclosure statement containing only the language set forth in paragraph d of this section and the disclosures required by paragraphs e and f of this section.

The FDIC-supervised insured depository institution must receive from the retail forex customer a written acknowledgement signed and dated by the customer that the customer received and understood the written disclosure statement required by paragraph a of this section. The disclosure statement may be attached to other documents as the initial page s of such documents and as the only material on such page s.

The language set forth in the written disclosure statement required by paragraph a of this section shall be as follows:. The retail forex transaction you are entering into is not conducted on an interbank market, nor is it conducted on a futures exchange subject to regulation as a designated contract market by the Commodity Futures Trading Commission. The foreign currency trades you transact are trades with your FDIC-supervised insured depository institution as the counterparty.

As a result, when you lose money trading, your FDIC-supervised insured depository institution is making money on such trades, in addition to any fees, commissions, or spreads the FDIC-supervised insured depository institution may charge. Any trading platform that you may use to enter into off-exchange foreign currency transactions is only connected to your FDIC-supervised insured depository institution.

You are accessing that trading platform only to transact with your FDIC-supervised insured depository institution. You are not trading with any other entities or customers of the FDIC-supervised insured depository institution by accessing such platform. The availability and operation of any such platform, including the consequences of the unavailability of the trading platform for any reason, is governed only by the terms of your account agreement with the FDIC-supervised insured depository institution.

Your ability to close your transactions or offset positions is limited to what your FDIC-supervised insured depository institution will offer to you, as there is no other market for these transactions. Your FDIC-supervised insured depository institution may offer any prices it wishes, including prices derived from outside sources or not in its discretion. Your FDIC-supervised insured depository institution may establish its prices by offering spreads from third party prices, but it is under no obligation to do so or to continue to do so.

Your FDIC-supervised insured depository institution may offer different prices to different customers at any point in time on its own terms. The terms of your account agreement alone govern the obligations your FDIC-supervised insured depository institution has to you to offer prices and offer offset or liquidating transactions in your account and make any payments to you.

The prices offered by your FDIC-supervised insured depository institution may or may not reflect prices available elsewhere at any exchange, interbank, or other market for foreign currency. The FDIC-supervised insured depository institution may compensate introducing brokers for introducing your account in ways that are not disclosed to you.

Such paid solicitors are not required to have, and may not have, any special expertise in trading, and may have conflicts of interest based on the method by which they are compensated. You should thoroughly investigate the manner in which all such solicitors are compensated and be very cautious in granting any person or entity authority to trade on your behalf.

You should always consider obtaining dated written confirmation of any information you are relying on from your FDIC-supervised insured depository institution in making any trading or account decisions. Immediately following the language set forth in paragraph d of this section, the statement required by paragraph a of this section shall include, for each of the most recent four calendar quarters during which the FDIC-supervised insured depository institution maintained retail forex customer accounts:.

Each FDIC-supervised insured depository institution shall provide, upon request, to any retail forex customer or prospective retail forex customer the total number of retail forex accounts maintained by the FDIC-supervised insured depository institution for which the FDIC-supervised insured depository institution does not exercise investment discretion, the percentage of such accounts that were profitable, and the percentage of such accounts that were not profitable for each calendar quarter during the most recent five-year period during which the FDIC-supervised insured depository institution maintained such accounts.

Immediately following the language required by paragraph e of this section, the statement required by paragraph a of this section shall include:. If, with regard to a retail forex customer, the FDIC-supervised insured depository institution changes any fee, charge, commission or spreads required to be disclosed under paragraph f of this section, then the FDIC-supervised insured depository institution shall mail or deliver to the retail forex customer a notice of the changes at least 15 days prior to the effective date of the change.

The disclosures required by this section shall be clear and conspicuous and designed to call attention to the nature and significance of the information provided. This section does not relieve an FDIC-supervised insured depository institution from any other disclosure obligation it may have under applicable law. An FDIC-supervised insured depository institution engaging in retail forex transactions shall keep full, complete and systematic records, together with all pertinent data and memoranda, of all transactions relating to its retail forex business, including:.

Except as provided in paragraph a 6 of this section, immediately upon the written or verbal receipt of a retail forex transaction order, an FDIC-supervised insured depository institution shall prepare a separate written memorandum order order ticket for the order whether unfulfilled, executed or canceled , including:.

Specific customer account identifiers for accounts included in bunched orders need not be recorded at time of order placement or upon report of execution as required under paragraph a 5 of this section if the following requirements are met:. A The general nature of the allocation methodology the FDIC-supervised insured depository institution will use;.

B Whether the FDIC-supervised insured depository institution has any interest in accounts which may be included with customer accounts in bunched orders eligible for post-execution allocation; y. C Summary or composite data sufficient for that customer to compare its results with those of other comparable customers and, if applicable, any account in which the FDIC-supervised insured depository institution has an interest.

B Allocations must be fair and equitable; no account or group of accounts may receive consistently favorable or unfavorable treatment; y. C The allocation methodology must be sufficiently objective and specific to permit independent verification of the fairness of the allocations using that methodology by the FDIC. All deposits and withdrawals of funds made by the retail forex customer during the quarter must be excluded from the computation of whether the retail forex account was profitable or not profitable during the quarter.

Computations that result in a zero or negative number shall be considered a retail forex account that was not profitable. Computations that result in a positive number shall be considered a retail forex account that was profitable. An FDIC-supervised insured depository institution engaging in retail forex transactions shall make a record of all communications, including customer complaints, received by the FDIC-supervised insured depository institution or its IAPs concerning facts giving rise to possible violations of law related to the FDIC-supervised insured depository institution's retail forex business.

The record shall contain: the name of the complainant, if provided; the date of the communication; the relevant agreement, contract, or transaction; the substance of the communication; the name of the person who received the communication, and the final disposition of the matter.

The record shall show separately for each retail forex customer:. The records required by this section must clearly and accurately reflect the information required and provide an adequate basis for the audit of the information. Record maintenance may include the use of automated or electronic records provided that the records are easily retrievable, readily available for inspection, and capable of being reproduced in hard copy.

An FDIC-supervised insured depository institution shall keep each record required by this section for at least five years from the date the record is created. An FDIC-supervised insured depository institution offering or entering into retail forex transactions must be well capitalized as defined by 12 CFR part An FDIC-supervised insured depository institution engaging, or offering to engage, in retail forex transactions must collect from each retail forex customer an amount of margin not less than:.

Margin collected under paragraph a of this section or pledged by a retail forex customer in excess of the requirements of paragraph a of this section must be in the form of cash or the following financial instruments:. An FDIC-supervised insured depository institution shall establish written policies and procedures that include:. Margin collected by the FDIC-supervised insured depository institution from a retail forex customer for retail forex transactions or pledged by a retail forex customer for retail forex transactions shall be placed into a separate account containing only such margin.

For each retail forex customer, at least once per day, an FDIC-supervised insured depository institution shall:. Each FDIC-supervised insured depository institution must promptly furnish to each retail forex customer, as of the close of the last business day of each month or as of any regular monthly date selected, except for accounts in which there are neither open positions at the end of the statement period nor any changes to the account balance since the prior statement period, but in any event not less frequently than once every three months, a statement that clearly shows:.

Each FDIC-supervised insured depository institution must, not later than the next business day after any retail forex transaction, send:. With respect to any account controlled by any person other than the retail forex customer for whom such account is carried, each FDIC-supervised insured depository institution shall promptly furnish in writing to such other person the information required by paragraphs a and b of this section.

Each statement provided pursuant to the provisions of this section must, if applicable, show that the account for which the FDIC-supervised insured depository institution was introduced by an introducing broker and the name of the introducing broker. No FDIC-supervised insured depository institution engaged in retail foreign exchange transactions or its IAPs may imply or represent that it will, with respect to any retail customer forex account, for or on behalf of any person:.

No FDIC-supervised insured depository institution or its IAPs may in any way imply or represent that it will engage in any of the acts or practices described in paragraph a of this section. No FDIC-supervised insured depository institution or its IAPs may represent or imply in any manner whatsoever that any retail forex transaction or retail forex product has been sponsored, recommended, or approved by the FDIC, the Federal government, or any agency thereof.

This section shall not be construed to prevent an FDIC-supervised insured depository institution from assuming or sharing in the losses resulting from the FDIC-supervised insured depository institution's error or mishandling of a retail forex transaction. This section shall not affect any guarantee entered into prior to the effective date of this part, but this section shall apply to any extension, modification or renewal thereof entered into after such date.

No FDIC-supervised insured depository institution may directly or indirectly effect a retail forex transaction for the account of any retail forex customer unless, before the transaction occurs, the retail forex customer specifically authorized the FDIC-supervised insured depository institution, in writing, to effect the retail forex transaction. An FDIC-supervised insured depository institution engaging in retail forex transactions shall establish and implement internal rules, procedures, and controls designed, at a minimum, to:.

Such information shall include:. C If the transaction was entered into by means of a trading platform, the price quoted on the trading platform when the order was placed, or, in the case of an option, the premium quoted;.

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He shared his experience with each of those companies and personally ranked them from 1 to 5 stars. As the website grew, he decided to do something bigger with it, plus the domain name was a little too amateurish. In January of , Dmitri Chavkerov bought a domain forexbastards. The reviews section of the website was upgraded in such a way that readers could submit their own reviews and ratings for all the different forex-related websites listed.

A major reason Dmitri Chavkerov named his website ForexBastards was because of what forex was like at the time. In , forex was more like the Wild Wild West than a place to invest money. Most forex brokers that are big names now and that are regulated were not regulated in Many brokers committed all kinds of fraud against forex traders to take their money away.

Another common fraud was done by a large percentage of forex education and forex signals websites using deceptive advertising. The most common problem was that these sites would promise something attractive on a sales page and back it up with a refund policy.

After a client bought the product and saw that what they received was inferior to what was promised to them, they would try ask for a refund. These brokers and product sellers are the Forex Bastards out to get your money that Dmitri wanted to expose. Many companies still commit frauds like this now, but the percentage of them is much smaller than it was back in In November of , instead of just labeling the companies as SCAMs based on undocumented claims by traders, Dmitri decided to begin making scam investigations more consistent.

It gives an exciting opportunity to make profit on swift fluctuations on the forex market. Another offer includes trading pairs. Pairs option allows you to trade based on whether one asset will outperform another within a certain time period. Depositing options include debit cards and e-wallets.

Withdrawal of money deposited by a credit card is returned to the account in the same way. Any profit is withdrawn via a wire transfer. Funds withdrawal takes up to 5 days and up to 24 hours for VIP clients. Rating Forex Broker. Oil Brokers. Brokers Reviews. Closed Brokers. TitanTrade review. Options types Titan Trade offers second option among other trading solutions.

Bonuses on deposits vary depending on the account type. All educational material is available both for beginners and professional traders. Payment options Depositing options include debit cards and e-wallets. Advantages: educational materials; bonuses for traders; wide range of assets. Disadvantages: no regulation.

Add comment Interested in other brokers? Author of TitanTrade: Oliver Date My scalping strategy is profitable with the TitanTrade platform. The MT4 platforms execution is fast and charting tools are awesome. I can withdraw this money is so easily via Neteller, which takes 4 hours. Really I am pleased with TitanTrade broker. Author of TitanTrade: Vurren Date The main downside of TitanTrade is their lack of regulation.

Their trading services seem decent but I cannot risk my money by investing on an unregulated broker. There is no guarantee on the security of my funds. Titan Trade has the worst order executions on the platform, it's delay, and because of that, I can't put my order when I was in a winning position.

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