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To: LANCE B who wrote (87111)6/22/2001 7:30:04 PM
From: Jim Bishop  Respond to of 150070
 
NASD Notice to Members 01-26
Executive Summary
On February 27, 2001, the Securi-ties
and Exchange Commission
(SEC) approved amendments to
National Association of Securities
Dealers, Inc. (NASD
®
) Rule 2520
relating to margin requirements for
day traders (the “amendments”).
1
The amendments become effec-tive on September 28, 2001 and
are substantially similar to amend-ments by the New York Stock Exchange (NYSE) to its margin rules.
2
The text of the amendments and Federal Register version of the SEC Approval Order are attached (see Attachments A & B). For a detailed description of the amendments, as well as specific examples of certain margin calculations under the amend-ments, members should review the attached SEC Approval Order (see Attachment B).

Questions concerning this Notice may be directed to Susan
DeMando, Director, Financial Operations, Member Regulation,
NASD Regulation, Inc. (NASD Regulation), at (202) 728-8411, or Stephanie M. Dumont, Associate General Counsel, Office of Gener-al Counsel, NASD Regulation, at (202) 728-8176.

Background

Because Regulation T initial margin requirements and NASD/
NYSE standard maintenance margin requirements are calculat-ed only at the end of each day, a day trader who has no positions in his or her account at the end of the
day would not incur a Regulation T initial margin nor a standard maintenance margin requirement, assuming no losses in the account from that day’s trading. Current NASD/NYSE initial margin provi-sions, however, generally require
a customer to deposit margin of at least $2,000, unless in excess of the cost of the security.
Although the day trader may end the day with no position, the day trader’s clearing firm is at risk during
the day if credit is extended.

To address this risk, the NASD and NYSE require day traders to demonstrate that they have the ability to meet the initial margin requirements for at least their
largest open position during the day. Specifically, under current margin requirements, a customer who meets the definition of day trader under the rule must deposit
in his or her account the margin that would have been required under Regulation T (i.e., the 50 percent initial margin requirement) if the customer had not liquidated
the position during the trading day.

If the customer day trades, but is not considered a “day trader,” the customer is still required to post 25
percent of the position held during the day.

Currently, this payment is due after the risk has been incurred. Therefore, the funds are not available
during the trading day when the clearing firm is at risk.
Currently, if a customer’s day trad-ing results in a day-trading margin call, the customer has seven days to meet the call by depositing cash or securities in the account.
Because day traders typically end the day flat and this day-trading “margin” deposit is not securing a margin loan, the customer is not required to leave the margin deposit in the account and may withdraw the deposit the day after the deposit is made. If the cus-tomer fails to meet a day-trading margin call, no specific action to the customer account is required to be taken by the firm. There are
no securities to liquidate, as there would be for an existing position, because day traders typically end
the day flat.

Day-Trading Margin
SEC Approves Proposed
Rule Change Relating To Day-Trading Margin Requirements

The Suggested Routing function is meant to aid the reader of this document. Each NASD member firm should consider the appropriate distribution in the context of its own organizational structure.

Executive Representatives
Legal & Compliance Operations
Rule 2520
Margin
Day Trading
INFORMATIONAL
SUGGESTED ROUTING
KEY TOPICS



To: LANCE B who wrote (87111)6/22/2001 7:35:47 PM
From: Jim Bishop  Respond to of 150070
 
NASD Notice to Members 01-26 Description Of Amendments
The amendments address the deficiencies that have been identi-fied with existing rules relating to day-trading margin activities.

Specifically, the amendments pro-vide for the following changes to current margin requirements:

(1) Definition of “pattern day trader.” Under the amend-ments, “pattern day traders” are defined as those cus-tomers
who day trade four or more times in five business days. If day-trading activities do not exceed six percent of
the customer’s total trading activity for the five-day period, the clearing firm is not required to designate such accounts as pattern day traders. The six percent threshold is designed to allow clearing firms to exclude from the definition of pattern day trader those cus-tomers
whose day-trading activities comprise a small percentage of their overall trading activities.

In addition, if the firm knows or has a reasonable basis to
believe that the customer is a pattern day trader (for exam-ple, if the firm provided training to the customer on day trading in anticipation of the customer opening an account), the customer must be designated as a pattern day trader imme-diately, instead of delaying such determination for five business days.

(2) Minimum equity requirement.

The amendments require that a pattern day trader have
deposited in his or her account minimum equity of $25,000 on
any day in which the customer day trades. The required
minimum equity must be in the account prior to any day-trading activities; however, firms are not required under
the rule to monitor the minimum equity requirements on
an intra-day basis. The minimum equity requirement
addresses the additional risks inherent in leveraged day
trading activities and ensures that customers cover losses
incurred in their accounts from the previous day before
continuing to day trade.

(3) Day-trading buying power.

The amendments limit day-trading buying power to four
times the day trader’s maintenance margin excess. This
calculation is based on the customer’s account position
as of the close of business of the previous day.

(4) Day-trading margin calls.

Under the amendments, in the event a day-trading customer
exceeds his or her day-trading buying power limitations, addi-tional restrictions are imposed on the pattern day trader that more adequately protect the firm from the additional risk and help prevent a recurrence of such prohibited conduct.

Members are required to issue a day-trading margin call
to pattern day traders that exceed their day-trading buy-ing
power. Customers have five business days to deposit
funds to meet this day-trading margin call. The day-trading
account is restricted to day-trading buying power of two
times maintenance margin excess based on the cus-tomer’s
daily total trading commitment, beginning on the trading day after the day-trading buying power is exceeded until the earlier of when the call is met or five business days. If the day-trading margin call is not met by the fifth business day, the account must be further restricted to trading only on a cash-available basis for 90 days or until the call is met.

(5) Two-day holding period requirement.

The amendments require that funds used to meet the day-trading minimum equity requirement or to meet a day-trading margin call must remain in the customer’s account for two business days following the close of business on any day when the deposit is required.

(6) Prohibition of the use of cross-guarantees.

Under the amend-ments, pattern day traders are not ermitted to meet day-trading margin requirements through the use of cross-guarantees.

Each day-trading account is required to meet the applicable requirements independently, using only the financial resources available in the account. Accordingly, pat-tern
day traders are prohibited from using cross-guarantees
to meet the minimum equity requirements or to meet day-trading margin calls.

In addition, the amendments revise the current interpreta-tion that requires the sale and repurchase on the same day
of a position held from the previous day to be treated as
a day trade. The amendments treat the sale of an existing
position as a liquidation and the subsequent repurchase
as the establishment of a new position not subject to the
rules affecting day trades.

Similarly, if a short position is carried overnight, the purchase to close the short position and subsequent new sale would not be considered a day trade.



To: LANCE B who wrote (87111)6/22/2001 7:39:38 PM
From: Jim Bishop  Respond to of 150070
 
Whew, there is more, and what a pain reformating pdf columns to fit here:

---------------
NASD Notice to Members 01-26 NASD Notice to Members 01-26
For a more detailed description of the amendments, as well as spe-cific examples of certain margin calculations under the amend-ments, members should review the attached SEC Approval Order.

Endnotes

1 See Securities Exchange Act Release No. 44009 (February 27, 2001), 66 FR 13608 (March 6, 2001) (File No. SR-NASD-
00-03) (“SEC Approval Order”).

2 The SEC issued a joint approval order for the NASD’s and NYSE’s proposed rule changes relating to day-trading
margin requirements. The NYSE rule filing number is SR-NYSE-99-47.

3 NASD Rule 2520 and NYSE Rule 431, the margin provisions for the NASD and the NYSE, respectively, are substantially similar.

4 The firm has the option to calculate day-trading margin requirements based on either the largest open position at
any given time during the day, or on the customer’s total trading commitment during the day. If the firm chooses to
base day-trading margin requirements on the customer’s largest open position during the day, the firm must maintain
“time and tick” records documenting the sequence in which each day trade is completed.

© 2001, National Association of Securities
Dealers, Inc. (NASD). All rights reserved. Notices
to Members attempt to present information to
readers in a format that is easily understandable.
However, please be aware that, in case of any
misunderstanding, the rule language prevails.



To: LANCE B who wrote (87111)6/22/2001 7:41:39 PM
From: Jim Bishop  Respond to of 150070
 
NASD Notice to Members 01-26 April 2001
NASD Notice to Members 01-26

ATTACHMENT A

SR-NASD-00-03, Proposed Rule Language, as amended
Proposed new language is underlined; proposed deletions are in brackets.

2520. Margin Requirements
(a) Definitions No change.
(b) Initial Margin
For the purpose of effecting new securities transactions and commitments, the customer shall be required to deposit margin in cash and/or securities in the account which shall be at least the greater of:

(1) through (3) No change.
(4) equity of at least $2,000 except that cash need not be deposited in excess of the cost of any security purchased (this equity and cost of purchase provision shall not apply to “when distributed” securities in a cash account). The minimum equity requirement for a “pattern day
trader” is $25,000 pursuant to paragraph (f)(8)(B)(iv)a. of this Rule.

Withdrawals of cash or securities may be made from any account which has a debit balance, “short” position or commitments, provided it is in compliance with Regulation T of the Board of Governors of the Federal Reserve System and after such withdrawal the equity in the account is at least the greater of $2,000 ($25,000 in the case of a “pattern day trader”) or an amount sufficient to meet the maintenance
margin requirements of this [paragraph] Rule.

(c) through (f)(8)(A)(iii) No change.

(f)(8)(B) Day[-] Trading

(i) The term “day[-] trading” means the purchasing and selling or the selling and purchasing of
the same security on the same day in a margin account except for:

a. a long security position held overnight and sold the next day prior to any new purchase of the same security, or
b. a short security position held overnight and purchased the next day prior to any new sale of the same security.

(ii) [A “day- trader” is any customer whose trading shows a pattern of day- trading.] The term “pattern day trader” means any customer who executes four or more day trades within five business days. However, if the number of day trades is 6% or less of total trades for the five business day period, the customer will not be considered a pattern day trader and the special requirements under paragraph (f)(8)(B)(iv) of this Rule will not apply. In the event that theorganization at which a customer seeks to open an account or to resume day trading knows or
has a reasonable basis to believe that the customer will engage in pattern day trading, then the
special requirements under paragraph (f)(8)(B)(iv) of this Rule will apply.



To: LANCE B who wrote (87111)6/22/2001 7:43:03 PM
From: Jim Bishop  Respond to of 150070
 
NASD Notice to Members 01-26 April 2001

(iii) The term “day-trading buying power” means the equity in a customer’s account at the close of business of the previous day, less any maintenance margin requirement as prescribed in paragraph (c) of this Rule, multiplied by four for equity securities.

Whenever day[-] trading occurs in a customer’s margin account the special maintenance margin required for the day trades in equity securities [to be maintained] shall be [the margin on the “long” or “short” transaction, whichever occurred first, as required pursuant to the other provisions of this Rule.

When day-trading occurs in the account of a “day-trader” the margin to be maintained shall be the margin
on the “long” or “short” transaction, whichever occurred first, as required by Regulation T of the Board of
Governors of the Federal Reserve System or as required pursuant to the other provisions of this Rule,
whichever amount is greater.] 25% of the cost of all the day trades made during the day. For non-equity
securities, the special maintenance margin shall be as required pursuant to the other provisions of this
Rule. Alternatively, when two or more day trades occur on the same day in the same customer’s
account, the margin required may be computed utilizing the highest (dollar amount) open position during
that day. To utilize the highest open position computation method, a record showing the “time and tick”
of each trade must be maintained to document the sequence in which each day trade was completed.

(iv) Special Requirements for Pattern Day Traders
a. Minimum Equity Requirement for Pattern Day Traders - The minimum equity required for the accounts of customers deemed to be pattern day traders shall be $25,000. This
minimum equity must be deposited in the account before such customer may continue day trading and must be maintained in the customer’s account at all times.

b. Pattern day traders cannot trade in excess of their day-trading buying power as defined in paragraph (f)(8)(B)(iii) above. In the event a pattern day trader exceeds its
day-trading buying power, which creates a special maintenance margin deficiency, the following actions will be taken by the member:

1. The account will be margined based on the cost of all the day trades made during the day,

2. The customer’s day-trading buying power will be limited to the equity in the customer’s account at the close of business of the previous day, less the maintenance margin required in paragraph (c) of this Rule, multiplied by two for equity securities, and

3. “time and tick” (i.e., calculating margin using each trade in the sequence that it is executed, using the highest open position during the day) may not be used.



To: LANCE B who wrote (87111)6/22/2001 7:43:56 PM
From: Jim Bishop  Read Replies (1) | Respond to of 150070
 
c. Pattern day traders who fail to meet their special maintenance margin calls as required within five business days from the date the margin deficiency occurs will be
permitted to execute transactions only on a cash available basis for 90 days or until the special maintenance margin call is met.

d. Pattern day traders are restricted from using the guaranteed account provision pursuant to paragraph (f)(4) of this Rule for meeting the requirements of paragraph
(f)(8)(B).

e. Funds deposited into a pattern day trader’s account to meet the minimum equity or maintenance margin requirements of paragraph (f)(8)(B) of this Rule cannot be withdrawn for a minimum of two business days following the close of business on the day of deposit.

(C) When the equity in a customer’s account, after giving consideration to the other provisions of this [paragraph (c)] Rule, is not sufficient to meet the requirements of [subparagraph (i) or (ii) hereof] paragraph (f)(8)(A) or (B), additional cash or securities must be received into the account to meet any deficiency within [seven] five business days of the trade date. In addition, on the sixth business day only, members are required to deduct from Net
Capital the amount of unmet maintenance margin calls pursuant to SEC Rule 15c3-1. (f)(9) and (f)(10) No change.