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You should, therefore, carefully consider whether such trading is suitable for your financial condition. No statement within this webpage should be construed as a recommendation to buy or sell a futures contract or as investment advice. The regular risks associated with trading commodity futures contracts also apply to the trading of Bitcoin futures.
Customers choosing to trade Bitcoin futures should consider additional significant risks including, but not limited to: a Bitcoin futures contracts have a limited history of trading on U. As such, each customer should conduct his or her own due diligence prior to make a decision to trade in these products. See the link below from the National Futures Association for more information. See the link below for further information from the CFTC. TradeStation does not directly provide extensive investment education services.
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TradeStation Crypto, Inc. TradeStation Technologies, Inc. You Can Trade, Inc. You Can Trade is not an investment, trading or financial adviser or pool, broker-dealer, futures commission merchant, investment research company, digital asset or cryptocurrency exchange or broker, or any other kind of financial or money services company, and does not give any investment, trading or financial advice, or research analyses or recommendations, or make any judgments, hold any opinions, or make any other recommendations, about whether you should purchase, sell, own or hold any security, futures contract or other derivative, or digital asset or digital asset derivative, or any class, category or sector of any of the foregoing, or whether you should make any allocation of your invested capital between or among any of the foregoing.
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No offer or solicitation to buy or sell securities, securities derivative or futures products of any kind, cryptocurrencies or other digital assets, or any type of trading or investment advice, recommendation or strategy, is made, given or in any manner endorsed by any TradeStation Group company, and the information made available on or in any TradeStation Group company website or other publication or communication is not an offer or solicitation of any kind in any jurisdiction where such TradeStation Group company or affiliate is not authorized to do business.
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Our call-back schedule is currently full for the rest of the business day. An unexpected error has occured in scheduling your call-back request. Please browse our FAQ or contact us directly for further assistance. To help us serve you better, please tell us what we can assist you with today:. Does this apply to other entity types where no requirement exists?
This relieves a Hong Kong subsidiary from the requirement to collateralise transactions with an offshore or mainland parent company, provided that certain requirements are met. These requirements include a consolidated treatment of the different entities from an accounting perspective, and central management of the group's risk evaluation, measurement and control procedures.
As a result, other concerns, such as legal enforceability issues within the group, will not need to be addressed for the Proposed SFC Rules. Having said this, to the extent that there is relief from capital requirements or exposure limits for an LC, collateralisation will still be a benefit and so some affiliate may opt to put collateral arrangements in place. The HKMA Rules and the Proposed SFC Rules include exemptions for derivative transactions with counterparties incorporated in or operating out of a jurisdiction where netting arrangements or arrangements for segregation of collateral are not legally enforceable.
The requirements are subject to internal credit and country limits, but are less prescriptive than requirements in other jurisdictions in not setting specific quantitative limits, or indeed the risk-enhancing expedient of imposing collateral requirements on a gross basis. The test for this assumption is based on an internal assessment based on the contents of an "external legal opinion in writing". This may be difficult to apply in practice, depending on what substantive issues need to be addressed in the legal opinion.
It also leaves open the conflict of laws issues, such as the extent to which it is necessary to address the treatment of offshore as well as onshore collateral under domestic laws on a default. At one stage, these included securitisation, but any such requirements will instead be included in separate dedicated legislation about securitisation. Under the Proposed SFC Rules, a securitisation company will be a financial counterparty, but one which is allowed to treat hedging transactions as exempt.
This contrasts with EMIR in terms of approach, but achieves the same result. To the extent relevant, the same logic should apply to repackaging vehicles. There is no definition of "hedging" currently proposed, but the current language does not require an accounting test and is broad enough to include hedging of assets and liabilities.
This is a nascent market in Asia, and a number of different structural approaches are possible for a covered bond issuance. In some cases, the preferred approach is to set up a special purpose company, in a similar manner to a securitisation. Arguably, this should benefit from the proposed exemption.
Alternatively, a bank may issue covered bonds directly and encumber assets on its balance sheet to create the cover pool. In this case, no hedging exemption will be possible. The Proposed SFC Rules will apply to transactions between an LC and any covered entity, defined to include any collective investment scheme, any mandatory provident fund scheme, any occupational retirement scheme, and any person carrying on business outside Hong Kong as an asset manager.
A collective investment scheme is stated in footnote 5 of the " SFC Consultation Paper " to include hedge funds, pension funds and mutual funds. On the other hand, in relation to a business outside Hong Kong, this is said, in setting out the scope of the FX exemption, to be a reference to the manager rather than the fund.
In practice, most fund managers will contract uncleared derivatives as agent for the underlying funds — which will be the principal. The Proposed SFC Rules acknowledge the distinction and that the requirements for collateral will not apply to the agent. The definition of "group" in the context of a fund is not discussed. The tests for collateral eligibility mainly apply objective criteria that require additional haircuts depending on the liquidity and level of risk.
It is assumed that collateral will be determined on a portfolio basis, although there are restrictions on doing so across asset classes for IM. There is a requirement that collateral should not be inversely correlated to the value of the underlying uncleared derivatives "wrong-way round risk". On the other hand there is no recognition of "right-way round risk" where the collateral is the same as the underlying for the uncleared derivative and so positively correlated with the exposure.
There are provisions allowing rehypothecation of IM to a limited extent where this is for hedging purposes but subject to continued segregation from the assets of the collateral holder. These mirror the arrangements for cleared derivatives and, for example, may be relevant if that is how the transaction is hedged. Individual segregation must be offered to those counterparties that want it.
However, there are also some differences between the two, and we summarise the main areas of difference in the table in the Appendix. There are various questions in the SFC Consultation Paper which SFC has specifically sought views on and the closing date for submission of written comments is 20 August If you would like to discuss the SFC Consultation Paper or provide feedback, feel free to contact any of your Ashurst contacts.
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|Tradestation forex margin requirements for uncleared||TradeStation and YouCanTrade account services, subscriptions and products are designed for speculative or active investors and traders, or those who are interested in becoming one. On personal checks, there is a three-business day trading hold for all account types. Our call-back scheduling system is currently offline while we observe today's holiday. Instructions Write your TradeStation Futures account number in the memo section of your check. FBO your name. TradeStation Link accepts only cryptocurrency deposits, and no cash fiat currency deposits, for account funding. No offer or solicitation to buy or sell securities, securities derivative or futures products of any kind, cryptocurrencies or other digital assets, or any type of trading or investment advice, recommendation or strategy, is made, given or tradestation forex margin requirements for uncleared any manner endorsed by any TradeStation Group company, and the information made available on or in any TradeStation Group company website or other publication or communication is not an offer or solicitation of any kind in any jurisdiction where such TradeStation Group company or affiliate is not authorized to do business.|
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