среда, 23 июня 2010 г.

Rationale

Day trading is a risky trading style as are all trading styles, being that all investments have some inherent level of risk. The Securities and Exchange Commission (SEC) makes new amendments to address the intraday risks associated with day trading in customer accounts. The amendments require that equity and maintenance margin be deposited and maintained in customer accounts that engage in a pattern of day trading in amounts sufficient to support the risks associated with such trading activities.

In addition, the SEC believes that people whose account sizes are less than $25,000 may represent less sophisticated traders, who may be more prone to being misled by advisory brokers and/or tipping agencies. This is along a similar line of reasoning that hedge fund investors typically must have a net worth in excess of $1 million. In other words, the SEC uses the account size of the trader as a measure of the sophistication of the trader. The SEC maintains a website to receive comments on this rule: https://tts.sec.gov/acts-ics/do/question.

One argument made by opponents of the rule is that the requirement is "governmental paternalism" and anti-competitive in a sense that it puts the government in the position of protecting investors/traders from themselves thus hindering the ideals of the free markets. Consequently, it is also seen to obstruct the efficiency of markets by unfairly forcing small retail investors to use Bulge bracket firms to invest/trade on their behalf thereby protecting the commissions Bulge bracket firms earn on their retail businesses.

Another argument made by opponents, is that the rule may, in some circumstances, increase a trader's risk. For example, a trader may use 3 day trades, and then enter a 4th position to hold overnight. If unexpected news causes the equity to rapidly decrease in price, the trader is presented with two choices. One choice would be to continue to hold the stock overnight, and risk a large loss of capital. The other choice would be to close the position, protecting his capital, and (perhaps inappropriately) fall under the rule, as this would now be a 4th day trade within the period. If the trader was aware of this well-known rule however, he would not open the 4th position unless he intended to hold it overnight.

The rule may also adversely affect position traders by preventing them from setting stops on the first day they enter positions. For example, a position trader takes 4 different positions in 4 different stocks. To protect his capital, he sets stop losses on each position. There is then unexpected news that adversely affects the entire market. All the stocks he has taken positions in rapidly fall in price, triggering the stop losses. The rule is now triggered, as 4 day trades have occurred.

Information Memo 2

The amendments redefine the term "day trading" to treat the sale of an existing position held
from the previous day as a liquidation, and the subsequent repurchase of that position as the
establishment of a new position not subject to day trading margin requirements.
• Day trading margin requirements – For day trades in equity securities, the day trading margin
requirement shall be 25 percent of either: (1) the cost of all day trades made during the day;
or (2) the highest open position during the day. If a customer's day-trading margin
requirement is to be calculated based on the highest open position during the day, the
customer's member organization must maintain adequate "time and tick" records
documenting the sequence in which each day trade is completed. "Time and tick"
information provided by the customer is not acceptable.
• Day trading buying power will be calculated based on the customer's account position as of
the close of business on the previous day. The amendments limit day trading buying power
to four times the day trader's maintenance margin excess. See Rule 431 (f)(8)(B)(iii).
• Day trading margin calls – A pattern day trader exceeding his day trading buying power
results in a special maintenance deficiency. Member organizations are required to issue a
day-trading margin call to cover the amount of the deficiency. Pattern day traders 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 customer's daily total trading commitment, ["time and tick" can not be used during this
period] 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. See Rule 431 (f)(8)(B)(iv)(2) & (3).
• Pattern day traders will be prohibited from utilizing cross guarantees to meet day trading
margin calls or to meet minimum equity requirements. See Rule 431 (f)(8)(B)(iv)(4).
• Deposits of funds to meet minimum equity requirements or to meet day trading margin calls
must remain in the customer's account and cannot be withdrawn for two business days. See
Rule 431 (f)(8)(B)(5).

Information Memo

ATTENTION: CHIEF EXECUTIVE OFFICER, MANAGING PARTNERS, CREDIT
AND MARGIN DEPARTMENTS, COMPLIANCE AND LEGAL
DEPARTMENTS
TO: MEMBERS AND MEMBER ORGANIZATIONS
SUBJECT: AMENDMENTS TO RULE 431 ("MARGIN REQUIREMENTS")
REGARDING "DAY TRADING"
The Securities and Exchange Commission (“SEC”) has approved amendments to Exchange Rule
431 (“Margin Requirements”) (see Exhibit A) establishing new requirements to address the
intraday risks associated with day trading in customer accounts.1 The amendments require that
equity and maintenance margin be deposited and maintained in customer accounts that engage in
a pattern of day trading in amounts sufficient to support the risks associated with such trading
activities. Margin requirements will be based on a day trader's activities during the day, rather
than on open securities positions at the end of the day. Additionally, the amendments prohibit
the use of cross guarantees and early withdrawal of account equity as these practices do not
require customers to demonstrate actual financial ability to engage in day trading. THE
EFFECTIVE DATE FOR IMPLEMENTATION WILL BE AUGUST 27, 2001.
The significant changes are summarized below:
• The term "pattern day-trader" is defined as any customer who executes four or more day
trades within five business days, provided the number of day-trades is more than 6% of the
total trades in the account during that period. See Rule 431 (f)(8)(B)(ii).
If the member organization knows, or has a reasonable basis to believe that a customer who
seeks to open an account, or seeks to resume day trading in an existing account will engage
in pattern day trading, then, the customer must immediately be considered a pattern day
trader in lieu of waiting five business days. See Rule 431 (f)(8)(B) Supplementary Material
.30.
• The minimum equity requirement for pattern day traders is $25,000. See Rule 431
(f)(8)(B)(iv)(1).

Day Trading Buying Power

The rule increases day trading buying power to up to 4 times a pattern day trader's maintenance margin excess. For example, if a trader has $100,000 worth of equities, the leverage ratio is 4:1 meaning that it can buy securities of up to $400,000.

For day trading in equity securities, the day trading margin requirement shall be 25% of either:

  1. the cost of all day trades made during the day; or
  2. the highest open position during the day.

If a client's day trading margin requirement is to be calculated based on the latter method, the brokerage must maintain adequate time and tick records documenting the sequence in which each day trade is completed. Time and tick information provided by the customer is not acceptable.

Requirements and Restrictions

Under the rules of NYSE and Financial Industry Regulatory Authority, a trader who is deemed to be exhibiting a pattern of day trading will be subject to the "Pattern Day Trader" laws and restrictions, which is treated differently from a normal trader. In order to day trade:

  • Day trading minimum equity: the account must maintain at least US$25,000 worth of equity.
  • Margin call to meet minimum equity: A day trading minimum equity request is called when the pattern daytrader account falls below US$25,000. This minimum must be restored by means of cash deposit or other marginable equities.
    • Deadline to meet calls: Pattern day traders are allowed to deposit funds within 5 business days to meet the margin call
    • Non-withdrawal deposit requirement: This minimum equity or deposits of funds must remain in the account and cannot be withdrawn for at least 2 business days.
    • Cross guarantees are prohibited: Pattern day traders are prohibited from utilizing cross guarantees to meet day trading margin calls or to meet minimum equity requirements. Each day tradingaccount is now required to meet all margin requirements independently, using only the funds available in the account.
  • Restrictions on accounts with unmet calls: if the call is not met, the account's day trading buying power will be frozen for 90 days or until day trading minimum equity margin call is met again.

Round Trip

Defined: The successful purchase and subsequent sale of forementioned purchased (stocks).

If you buy the same stock, at 3 different times in the same day, and close all of that same stock in one trade, that will be considered 3 day trades. The next day trade in the next 4 business days will freeze your account (you can only close existing positions) for 90 days, or until you get $25,000 cash into your account, whichever comes first. This also applies to options.

Definition

A pattern day trader is defined in Exchange Rule 431 (Margin Requirement) as any customer who executes 4 or more round-trip day trades within any 5 successive business days.[4] If, however, the number of day-trades is less than or equal to 6% of the total number of trades that trader has made for that five business day period, the trader will not be considered a pattern day trader and they will not be required to meet the criteria for a pattern day trader.[5]

A non-pattern day trader (ie someone with only occasional day trading), can become designated a pattern day trader anytime if they meet the above criteria.

If the brokerage knows, or reasonably believes a client who seeks to open or resume an account will engage in pattern day trading, then the customer must immediately be considered a pattern day trader without waiting 5 business days.

Source: Information Memo of Amendments to Rule 431 ("Margin Requirements") Regarding "Day Trading".