Thanx everyone for all your comments.
This week I actually spent time both at the CME (old cbot building) and the CBOE. asking much of the same questions that came up on this forum.
the members section of the CBSX is trying to push for their own version of a MM test or a prop firm test because the *ser. 7* is a test with products that wouldn't properly apply to their exchange.
I didn't intend on this to becoming a bright FLAMING thread, and Don Thank you for your time responding and our brief phone call.
here is the current CBSX interaction to all reg. prop firms.
"In response to a request by the Division of Trading and Markets of the SEC and in light of recent market events, the Exchange is proposing to expand its registration and qualification requirements to include additional types of individual members and individual associated persons. To that end, we have filed proposed registration rules with the SEC, which we encourage you to read closely. We will be communicating to you the registration process, qualification requirements and timeline for compliance.
The rule filing proposes, among other things, to require registration and qualification by an individual member or individual associated person if (i) the individual member or associated person conducts proprietary trading, acts as a market-maker, effects transactions on behalf of a broker-dealer account, supervises or monitors proprietary trading, market-making or brokerage activities on behalf of the broker-dealer, supervises or conducts training for those engaged in proprietary trading, market-making or brokerage activities on behalf of a broker-dealer account; (ii) the individual member or associated person engages in the management of any individual member or individual associated person identified in (i) above as an officer, partner or director; or (iii) the individual member or associated person is designated as the Chief Compliance Officer. "
Also thanx to everyone of the PMs and all the additional information I recieved on setting up clearing relationships.
This week I actually spent time both at the CME (old cbot building) and the CBOE. asking much of the same questions that came up on this forum.
the members section of the CBSX is trying to push for their own version of a MM test or a prop firm test because the *ser. 7* is a test with products that wouldn't properly apply to their exchange.
I didn't intend on this to becoming a bright FLAMING thread, and Don Thank you for your time responding and our brief phone call.
here is the current CBSX interaction to all reg. prop firms.
"In response to a request by the Division of Trading and Markets of the SEC and in light of recent market events, the Exchange is proposing to expand its registration and qualification requirements to include additional types of individual members and individual associated persons. To that end, we have filed proposed registration rules with the SEC, which we encourage you to read closely. We will be communicating to you the registration process, qualification requirements and timeline for compliance.
The rule filing proposes, among other things, to require registration and qualification by an individual member or individual associated person if (i) the individual member or associated person conducts proprietary trading, acts as a market-maker, effects transactions on behalf of a broker-dealer account, supervises or monitors proprietary trading, market-making or brokerage activities on behalf of the broker-dealer, supervises or conducts training for those engaged in proprietary trading, market-making or brokerage activities on behalf of a broker-dealer account; (ii) the individual member or associated person engages in the management of any individual member or individual associated person identified in (i) above as an officer, partner or director; or (iii) the individual member or associated person is designated as the Chief Compliance Officer. "
Also thanx to everyone of the PMs and all the additional information I recieved on setting up clearing relationships.
