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Microcap & Penny Stocks : Restaurant Teams International, Inc.-RTIN

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To: KZAP who wrote (2856)11/24/1999 3:45:00 PM
From: Lee Walsh  Read Replies (1) of 3351
 
I found this on another board....I suggest we write the SEC and give them our opinion.

Lee

The SEC is considering changing the regulations governing short sales of equity securities and derivatives on the exchanges and NASDAQ National Market in addition to extending short sale regulation to all other equity securities and equity derivatives not traded by these institutions, which would include those on the OTC Bulletin Board, where RTIN currently trades, and in the Pink Sheets, and has made a formal request for public comment before rendering final judgment about whether or not to accept any of their "concepts" into official regulation.

sec.gov

The following section from the request-for-comment circular directly addresses the potential for regulation of the market where RTIN stock trades:

G. Extending the Short Sale Rule to Non-Exchange Listed Securities

Current short sale regulations cover securities that are either listed on an exchange or traded in the Nasdaq NMS. As a result, they cover securities that are generally characterized by high trading liquidity. In addition, these markets have a relatively high degree of transparency.

Securities traded in the OTC markets (e.g., Nasdaq Small Cap, the NASD's OTCBB, the Pink Sheets) are not subject to short sale restrictions. The staff frequently receives complaints alleging short sale abuses involving securities in the OTC markets. As a corollary to other concepts presented in this release, we seek comment on regulating short sales in this market sector. We recognize that Section 10(a) does not grant specific authority to the Commission to regulate short sales of securities not listed on a national exchange. Thus, regulations that extend short sale regulation to new market sectors would have to be adopted under other available statutory authority.

Q35. Should we consider extending short sale regulation to cover non-exchange listed securities?

Q36. If so, how should the new regulation restrict short sales? Does the current NASD short sale rule provide an applicable model for this purpose?
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