Does Rule 11Ac1-6 require the disclosure only of non-directed customer orders routed during regular trading hours?
Related Questions
- How should a market center report on orders received during regular trading hours, but that remain unexecuted and uncancelled at the end of regular trading hours on the day of order receipt?
- Why will complying with the FIFO rule require that I lose the ability to place stop-loss and limit orders as well as the ability to close positions from the Open Positions window?
- Does a reparations case filed against me with the Commodity Futures Trading Commission require disclosure?