Summaries, conclusionsU.S. Government Printing Office, 1963 |
Dentro del libro
Resultados 1-5 de 51
Página 5
... listed on national exchanges and investors owning securities traded in the over - the - counter market is not warranted . Issuers of over - the - counter securities , unlike their listed counterparts , are under no obligation to comply ...
... listed on national exchanges and investors owning securities traded in the over - the - counter market is not warranted . Issuers of over - the - counter securities , unlike their listed counterparts , are under no obligation to comply ...
Página 20
... listed securities , and the regional ex- changes as " dual " and primary markets . Chapter IX reviews the legal requirements and standards in respect of reporting , proxy solicitation and " insider " trading which are ap- plicable to ...
... listed securities , and the regional ex- changes as " dual " and primary markets . Chapter IX reviews the legal requirements and standards in respect of reporting , proxy solicitation and " insider " trading which are ap- plicable to ...
Página 29
... listed on the American Stock Exchange . This company is not a cash - flow corporation and its name should be eliminated from the footnote . The text , accordingly , should refer to four rather than five such companies . At page 54 of ...
... listed on the American Stock Exchange . This company is not a cash - flow corporation and its name should be eliminated from the footnote . The text , accordingly , should refer to four rather than five such companies . At page 54 of ...
Página 31
... listed Bernard H. Garil as a mem- ber of the clerical staff rather than as a financial analyst , and omitted mention of Gerald L. Feigen , who served on the study's staff as a financial analyst . Having been stationed at the ...
... listed Bernard H. Garil as a mem- ber of the clerical staff rather than as a financial analyst , and omitted mention of Gerald L. Feigen , who served on the study's staff as a financial analyst . Having been stationed at the ...
Página 43
... the operations of the securities markets which is essential for the registered representative who sells listed and most over - the - counter securities is unnecessary for the REPORT OF SPECIAL STUDY OF SECURITIES MARKETS 43.
... the operations of the securities markets which is essential for the registered representative who sells listed and most over - the - counter securities is unnecessary for the REPORT OF SPECIAL STUDY OF SECURITIES MARKETS 43.
Términos y frases comunes
action activities American Stock Exchange Amex appropriate areas automation basis board of governors broker chapter commission rate Commission's committees concludes and recommends consideration contractual plans convertible bonds dealer disciplinary disclosure effective enforcement Exchange Act exchange markets Exchange's execution existing Federal floor trading front-end load function important insider trading institutions interdealer investment advisers investment company investors involved issuers issues kets limited listed securities member firms ment mutual fund NASD nonmember NYSE odd-lot over-the over-the-counter markets over-the-counter securities participation percent present primary market makers principal problems procedures public interest purchase quotation system regional exchanges registered regulation regulatory respect responsibility retail role rules salesmen section 11(b securities business securities industry securities markets self-regulation self-regulatory agencies self-regulatory organizations selling practices short sales short selling Special Study concludes specialists staff standards substantial tion transactions U.S. Steel underwriters wholesale York Stock Exchange
Pasajes populares
Página 76 - Commission shall by order suspend such registration if, after appropriate notice and opportunity for hearing, such suspension shall appear to the Commission to be necessary or appropriate in the public interest or for the protection of investors.
Página 15 - Department of the Wharton School of Finance and Commerce of the University of Pennsylvania.
Página 11 - Subcommittee's hearings, testimony was received from representatives of the New York Stock Exchange and the National Association of Securities Dealers, Inc.
Página 88 - ... the offer or selling at the bid, whether such transactions are to establish or to liquidate a position. Provisions should be made for exemptions from the rules with approval of floor officials and for systematic review by the respective floor departments. As to the general obligation of specialists to participate to the extent reasonably necessary to maintain a fair and orderly market, the rules should give emphasis to the concept of continuity with reasonable depth, that is, participating in...
Página 127 - market maker" shall mean a dealer who, with respect to a particular security, holds himself out (by entering indications of interest in purchasing and selling in an interdealer quotations system or otherwise) as being willing to buy and sell for his own account on a continuous basis otherwise than on a national securities exchange. (2) The term "common stock
Página 102 - Commission determines that such exchange has not made the changes so requested, and that such changes are necessary or appropriate for the protection of investors or to insure fair dealing in securities traded in upon such exchange or to insure fair administration of such exchange...
Página 138 - ... individual holdings with the purpose of informing and protecting the interests of the beneficiaries. In view of the general importance of the funds in the securities markets, there is an independent reason to favor this. Recommendations The Commission should obtain and publish more continuous data about institutional participation in the securities markets, including securities held, amounts of gross and net purchases over periods of time. and turnover rates. The growing importance of institutional...
Página 11 - ... quasi-publicutility institutions, much as do railroads, power companies, or telephone companies. Essentially the same point applies to a self-regulatory body such as the National Association of Securities Dealers in its operation of a retail quotation system. While the basic reliance on industry self-regulation appears to have stood the test of time and to have worked effectively in most areas, this does not lessen the need to look at the inadequacies and seek remedies for them.
Página 199 - Commission review the exchanges have followed varied practices in reporting their disciplinary actions to the Commission. The Commission has not established an effective system of regular surveillance of the exchanges' enforcement and disciplinary activities. In general, it has equipped itself, in personnel and procedures, only for the more passive role of surveying whatever is brought to its attention through reporting systems established, perhaps years ago, with the various exchanges.
Página 202 - Recommendations is an essential role of the Commission to see that there is no gap between the need and the self-regulation provided. Regulation should, in short, be a cooperative effort, with the government fostering maximum selfregulatory responsibility, overseeing its exercise, and standing ready to regulate directly where and as circumstances require. To provide reasonable opportunity for examination of exchange rules before they take effect, the present NASD pattern calling for thirty-day advance...