MMI Comment Letter to the CFTC Regarding Supplemental Notice of Proposed Rulemaking for Regulation AT


This Proposed Rule threatens to erode confidence in our country’s resolve to uphold the regulatory standards that protect the innovation…

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MMI Comment Letter to the SEC Regarding Regulation National Market System


We propose a review of the Reg NMS in light of technology and efficiencies that have made some measures unnecessary or contributed to…

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MMI Second Comment Letter to the CFTC Regarding Regulation Automated Trading


As previously stated, MMI stands in broad support of the CFTC’s proactive efforts to codify industry best practices and enforce high…

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MMI Comment Letter to The U.S. Treasury’s Request for Information on the Evolution of Treasury Market Structure


A well-functioning and efficient market built for the future is in everyone’s interest.

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MMI Comment Letter to the SEC Regarding the Proposed Commission Interpretation Regarding Automated Quotations Under Regulation NMS.


MMI believes an exemption to the definition of an automated quotation to allow delays of up to 1,000 microseconds in quotation response…

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