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Published byMorris Vernon Morton Modified over 9 years ago
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Registration and Proficiency
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FCMs and IBs Dual registration required Any firm already fully-registered as both a broker-dealer and an FCM or IB has no additional registration requirements
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FCMs and IBs Notice Registration as a Broker-Dealer Must be: –Fully-registered with the CFTC as an FCM or IB –A Member of NFA
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Register using Form BD-N Exempt from duplicative requirements of the Securities Exchange Act Not required to be members of NASD May not do any other securities business requiring registration FCMs and IBs Notice Registration as a Broker-Dealer
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Broker-Dealers Notice Registration as an FCM or IB Must be: –Fully-registered with the SEC as a broker-dealer –A member of NASD
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Register using Notice Form 7-R Exempt from duplicative requirements of the Commodity Exchange Act Not required to be Members of NFA May not do any other futures business requiring registration Broker-Dealers Notice Registration as an FCM or IB
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Salespeople and supervisors only need one registration
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Money Managers Dual registration is not automatically required
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Registered Commodity Pool Operators SEC registration requirements depend on the amount of securities business conducted SEC exemption for “hedge funds”
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CFTC registration requirements may apply if a fund trades even one security futures contract No exemption for hedge funds Other exemptions may apply Registered Investment Companies & Hedge Funds
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Advisors Commodity Futures Modernization Act of 2000 provides exemptions for registered CTAs and Investment Advisers
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Registered Commodity Trading Advisors SEC registration not required: –Registered with the CFTC as a CTA, –Does not primarily act as an investment adviser, and –Does not give securities investment advice to a registered investment company or a business development company
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SEC-Registered Investment Advisers CFTC registration not required: –Registered with the SEC as an investment adviser, –Does not primarily give personalized advice regarding or manage accounts trading regulated futures contracts, and –Does not advise funds about or make trades for funds in regulated futures contracts
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Case Study Registration
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Proficiency Series 3 and Series 7 registrants can qualify through training if registered within six months after security futures contracts begin trading
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Proficiency NFA / NASD / IFM training program –Web-based –Five modules Any other training program that covers the required content
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Training must be completed BEFORE engaging in security futures activities
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Member must maintain records showing who took the training
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Proficiency Later registrants must qualify through testing: –Series 3, or –Securities exam yet to be determined
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Designated Principals All FCMs, IBs and broker-dealers must have one or more designated security futures principals (DSFP) to oversee security futures activities –Series 30 for NFA-only Members –Series 4 or 9/10 for NASD members
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Designated Principals: NFA (Only) Members Current supervisors and persons qualified as branch office managers within six months: –Can qualify through training New principals: –Must qualify by testing (Series 30)
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Designated Principals: NASD Members Current options principals and those who become options principals within six months: –Can qualify through training New principals: –Must qualify by testing (Series 4 or Series 9/10)
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Case Study Proficiency
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QUESTIONS?
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