HFT Strategies May Breach US Regulation Rule: CFTC Report
Saturday,14/02/2015|14:38GMTby
Adil Siddiqui
Greg Scopino a CFTC official has written an independent study on two approaches commonly used by HFT trading firms that could be improper. He reviews pinging and front running in light of regulations.
High-frequency trading, an automated trading approach of the modern era, faces a new battle as senior industry legal practitioner, Greg Scopino, investigates practices that could be regarded as illegal under regulatory principles.
Greg Scopino, a senior CFTC, official has drafted an independent study that examines certain practises used by firms that engage in high-frequency trading.
The ninety-two page document outlines key areas that match the trading strategy to regulatory guidelines. Notably, the study assesses pinging, spoofing, front running and banging, collating the practices against regulations under the Commodity Exchange Act.
High-frequency trading is an active trading strategy present in the global financial marketplace, it's commonly used in advanced economies such as the UK, USA, Germany, Australia and Singapore, where participants use algorithmic and automated computer driven techniques to trade.
The SEC, in previous studies, has defined firms that are High-Frequency Traders, this includes:
(1) The use of extraordinarily high-speed and sophisticated computer programs for generating, routing, and executing orders; (2) use of co-location services and individual data feeds offered by exchanges and others to minimize network and other types of latencies; (3) very short time-frames for establishing and liquidating positions; (4) the submission of numerous orders that are cancelled shortly after submission; and (5) ending the trading day in as close to a flat position as possible (that is, not carrying significant, unhedged positions overnight).
According to SEC papre from 2014, HFT accounts for over 40% of volumes across major trading venues. "This is a dominant component of the current market structure and likely to affect nearly all aspects of its performance.”
Possible Violations
This report details four areas of concerns and maintains that at least some forms of high-speed pinging appear to violate four CEA provisions and one CFTC Regulation.
"Specifically, high-speed pinging—that is, the sending out of small batches of “ping” orders, the majority of which are cancelled without being executed—arguably violates the following provisions of the CEA:
(1) Section 4c(a)(2)(B)’s prohibition on causing non-bona fide prices to be reported;
(2) Section 4c(a)(5)(C)’s prohibition on spoofing;
(3) the prohibition in Section 9(a)(2) and CFTC Rule 180.1(a)
(4) on delivering false, misleading, or knowingly inaccurate crop or market information or reports; and (4) Section 6(c)(1)41 and CFTC Rule 180.1,
which prohibit reckless, fraud-based manipulation and which were modeled after, and intended to draw from the federal common law under, Section 10(b) of the Securities Exchange Act (Exchange Act) of 1934 and Securities and Exchange Commission (SEC) Rule 10b-5."
A 2012 academic report by the BIS in the UK concluded: “The report, which seeks to inform policy makers but does not represent the view of the UK government or BIS, states that while no direct evidence can be found that links HFT to increased Volatility in markets, it can create periods of illiquidity.”
The author of the latest report, written in the Connecticut Legal Review February 2015, concludes: “HFT firms might arguably be the fastest sharks swimming in the oceans of financial data, but the CFTC and private plaintiffs might have nets—in the form of relevant statutory and regulatory provisions—capable of catching them."
Mr. Scopino works in the Special Counsel, Division of Swap Dealer & Intermediary Oversight, U.S. Commodity Futures Trading Commission, according to his Linkedin profile.
High-frequency trading, an automated trading approach of the modern era, faces a new battle as senior industry legal practitioner, Greg Scopino, investigates practices that could be regarded as illegal under regulatory principles.
Greg Scopino, a senior CFTC, official has drafted an independent study that examines certain practises used by firms that engage in high-frequency trading.
The ninety-two page document outlines key areas that match the trading strategy to regulatory guidelines. Notably, the study assesses pinging, spoofing, front running and banging, collating the practices against regulations under the Commodity Exchange Act.
High-frequency trading is an active trading strategy present in the global financial marketplace, it's commonly used in advanced economies such as the UK, USA, Germany, Australia and Singapore, where participants use algorithmic and automated computer driven techniques to trade.
The SEC, in previous studies, has defined firms that are High-Frequency Traders, this includes:
(1) The use of extraordinarily high-speed and sophisticated computer programs for generating, routing, and executing orders; (2) use of co-location services and individual data feeds offered by exchanges and others to minimize network and other types of latencies; (3) very short time-frames for establishing and liquidating positions; (4) the submission of numerous orders that are cancelled shortly after submission; and (5) ending the trading day in as close to a flat position as possible (that is, not carrying significant, unhedged positions overnight).
According to SEC papre from 2014, HFT accounts for over 40% of volumes across major trading venues. "This is a dominant component of the current market structure and likely to affect nearly all aspects of its performance.”
Possible Violations
This report details four areas of concerns and maintains that at least some forms of high-speed pinging appear to violate four CEA provisions and one CFTC Regulation.
"Specifically, high-speed pinging—that is, the sending out of small batches of “ping” orders, the majority of which are cancelled without being executed—arguably violates the following provisions of the CEA:
(1) Section 4c(a)(2)(B)’s prohibition on causing non-bona fide prices to be reported;
(2) Section 4c(a)(5)(C)’s prohibition on spoofing;
(3) the prohibition in Section 9(a)(2) and CFTC Rule 180.1(a)
(4) on delivering false, misleading, or knowingly inaccurate crop or market information or reports; and (4) Section 6(c)(1)41 and CFTC Rule 180.1,
which prohibit reckless, fraud-based manipulation and which were modeled after, and intended to draw from the federal common law under, Section 10(b) of the Securities Exchange Act (Exchange Act) of 1934 and Securities and Exchange Commission (SEC) Rule 10b-5."
A 2012 academic report by the BIS in the UK concluded: “The report, which seeks to inform policy makers but does not represent the view of the UK government or BIS, states that while no direct evidence can be found that links HFT to increased Volatility in markets, it can create periods of illiquidity.”
The author of the latest report, written in the Connecticut Legal Review February 2015, concludes: “HFT firms might arguably be the fastest sharks swimming in the oceans of financial data, but the CFTC and private plaintiffs might have nets—in the form of relevant statutory and regulatory provisions—capable of catching them."
Mr. Scopino works in the Special Counsel, Division of Swap Dealer & Intermediary Oversight, U.S. Commodity Futures Trading Commission, according to his Linkedin profile.
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We start with Dor’s reaction to the Summit and then move to broker growth and the quick wins brokers often overlook. Dor shares where he sees “blue ocean” growth across Asian markets and how local client behaviour shapes demand.
We also discuss the rollout of AI across investment research. Dor gives real examples of how automation and human judgment meet at Bridgewise — including moments when analysts corrected AI output, and times when AI prevented an error.
We close with a practical question: how retail investors can actually use AI without falling into common traps.
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This is Brendan at his frankest — sharp, grounded, and very clear about what changes are overdue.
Brendan Callan joined us fresh off the Summit’s most anticipated debate: “Is Prop Trading Good for the Industry?” Brendan argued against the motion — and the audience voted him the winner.
In this interview, Brendan explains the reasoning behind his position. He walks through the message he believes many firms avoid: that the current prop trading model is too dependent on fees, too loose on risk, and too confusing for retail audiences.
We discuss why he thinks the model grew fast, why it may run into walls, and what he believes is needed for a cleaner, more responsible version of prop trading.
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🔹Why ultra-low latency must be proven with data, not buzzwords
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👉 Subscribe to Finance Magnates for more executive interviews, industry insights, and exclusive coverage from the world’s leading financial events.
#FMLS25 #FinanceMagnates #BestConnectivity #TradingTechnology #UltraLowLatency #FinTech #Brokerage #ExecutiveInterview
Recorded live at FMLS:25 London, this executive interview features Elina Pedersen, in conversation with Finance Magnates, following her company’s win for Best Connectivity 2025.
🔹In this wide-ranging discussion, Elina shares insights on:
🔹What winning a Finance Magnates award means for credibility and reputation
🔹How broker demand for stability and reliability is driving rapid growth
🔹The launch of a new trade server enabling flexible front-end integrations
🔹Why ultra-low latency must be proven with data, not buzzwords
🔹Common mistakes brokers make when scaling globally
🔹Educating the industry through a newly launched Dealers Academy
🔹Where AI fits into trading infrastructure and where it doesn’t
Elina explains why resilient back-end infrastructure, deep client partnerships, and disciplined focus are critical for brokers looking to scale sustainably in today’s competitive market.
🏆 Award Highlight: Best Connectivity 2025
👉 Subscribe to Finance Magnates for more executive interviews, industry insights, and exclusive coverage from the world’s leading financial events.
#FMLS25 #FinanceMagnates #BestConnectivity #TradingTechnology #UltraLowLatency #FinTech #Brokerage #ExecutiveInterview
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Watch the full review to see whether Blueberry’s trading setup aligns with your experience level, strategy, and risk tolerance.
📣 Stay up to date with the latest in finance and trading. Follow Finance Magnates for industry news, insights, and global event coverage.
Connect with us:
🔗 LinkedIn: /financemagnates
👍 Facebook: /financemagnates
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▶️ YouTube: /@financemagnates_official
#Blueberry #BlueberryMarkets #BrokerReview #ForexBroker #CFDTrading #OnlineTrading #FinanceMagnates #TradingPlatforms #MarketInsights
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We break down Blueberry’s regulatory structure, including its Australian Financial Services License (AFSL), as well as its authorisation and registrations in other jurisdictions. The review also covers supported platforms such as MetaTrader 4, MetaTrader 5, cTrader, TradingView, Blueberry.X, and web-based trading.
You’ll learn about available instruments across forex, commodities, indices, share CFDs, and crypto CFDs, along with leverage options, minimum and maximum trade sizes, and how Blueberry structures its Standard and Raw accounts.
We also explain spreads, commissions, swap rates, swap-free account availability, funding and withdrawal methods, processing times, and what traders can expect from customer support and additional services.
Watch the full review to see whether Blueberry’s trading setup aligns with your experience level, strategy, and risk tolerance.
📣 Stay up to date with the latest in finance and trading. Follow Finance Magnates for industry news, insights, and global event coverage.
Connect with us:
🔗 LinkedIn: /financemagnates
👍 Facebook: /financemagnates
📸 Instagram: https://www.instagram.com/financemagnates
🐦 X: https://x.com/financemagnates
🎥 TikTok: https://www.tiktok.com/tag/financemagnates
▶️ YouTube: /@financemagnates_official
#Blueberry #BlueberryMarkets #BrokerReview #ForexBroker #CFDTrading #OnlineTrading #FinanceMagnates #TradingPlatforms #MarketInsights
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- The role of local influencers
- Managing growth across emerging markets
👉 Watch the full interview for fundamental insights into the future of trading in Africa.
#Exness #Forex #Trading #SouthAfrica #CapeTown #Finance #FinanceMagnates
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Filmed during the grand opening of Exness’s new Cape Town office, Alfonso sits down with Andrea Badiola Mateos from Finance Magnates to discuss:
- Exness’s marketing approach in South Africa
- What makes their trading product stand out
- Customer retention vs. acquisition strategies
- The role of local influencers
- Managing growth across emerging markets
👉 Watch the full interview for fundamental insights into the future of trading in Africa.
#Exness #Forex #Trading #SouthAfrica #CapeTown #Finance #FinanceMagnates