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Militia Man

10/20/12 12:23 AM

#19174 RE: asegal1228 #19170

So true.. Start here and go back a couple years. Then overlay a few others.. Kinda puts a kabosh on things.. Starters.. If I am correct and the FBI and SEC and the DTCC, etcc. don't move in on this one..? Whooow! If I need to go more into detail, please let me know.. I am sure Norma at the SEC will dig the Challenge.. The data suggests FRAUD is rampant with short selling, imo..

http://regsho.finra.org/FORFshvol20121019.txt

20121019|MEXP|1315000|0|1315000|O 100% Short Volume

20121018|MEXP|1000000|0|1000000|O 100% Short Volume

20121017|MEXP|15240000|0|15240000|O 100% Short Volume

20121016|MEXP|1000000|0|1000000|O 100% Short Volume

20121015|MEXP|4600000|0|4600000|O 100% Short Volume

Wow! Check this out it keeps on going!

20121012|MEXP|180000|0|180000|O 100% Short Volume

20121011|MEXP|5530000|0|5856000|O 94.5% Short Volume

To submit the data that FINRA is hiding and misleading short numbers is ludicrous!

Look at this data..

Quote:

8 Certain OTC transactions (e.g., riskless principal and agency transactions where one member is acting on behalf of another member) are reported to FINRA in related tape and non-tape reports. Tape reports are submitted to FINRA for public dissemination by the appropriate exclusive Securities Information Processor (“SIP”), while non-tape reports are submitted to FINRA, but are not submitted to the SIP for public dissemination. FINRA will not be including non-tape reports in either the daily short sale volume file or the monthly short sale transaction file. Accordingly, in those instances where the short sale indicator is only included in the related non-tape report, the short sale data published in the daily and monthly files may be under-inclusive. Similarly, the published figures will not include odd lots since these transactions are not disseminated to the consolidated tape.


11 While members generally are required to report trades in equity securities to FINRA within 90 seconds, a firm could improperly delay reporting of short sales until well after the close, which would result in the under-reporting of over-the-counter short sale volume. Delaying the reporting of trades for such a purpose would be considered a violation of the applicable trade reporting rules and Rule 2010 (Standards of Commercial Honor and Principles of Trade).


http://www.sec.gov/rules/sro/finra/2009/34-60807.pdf