Notice 2006-001 Repeal of Rule 10-105
Notices
Notice 2006-001 Repeal of Rule 10-105
January 27, 2006
On January 24, 2006 the Ontario Securities Commission approved CNQ's proposed repeal of Rule 10-105 requiring CNQ Dealers to obtain a signed risk disclosure statement from clients prior to executing the first solicited trade in a CNQ-listed security. A copy of the resolution repealing the rule is attached as Appendix "A". The repeal is effective immediately.
The proposed repeal was published for comment on August 12, 2005 in CNQ Notice 2005-006. Comments received unanimously supported the proposed repeal. A summary of comments is attached as Appendix �B�
Please direct any questions to Mark Faulkner, Director, Listings & Regulation at 416.572.2000 x2305, or mark.faulkner@cnq.ca
APPENDIX �A�
BE IT RESOLVED that:
1. Rule 10-105 and the accompanying note relating to risk disclosure statements is repealed.
2. This resolution is to be effective immediately upon Ontario Securities Commission approval following public notice and comment.
PASSED this 24th day of February, 2005, to be effective upon Ontario Securities Commission approval following public notice and comment.
�Ian Bandeen�
Chairman
�Timothy Baikie� Secretary
APPENDIX �B�
Summary of Comments
Comment |
CNQ Response |
Larry Martin, Branch Manager and Director, Leede Financial Markets: |
We agree the risks are not specific to CNQ Listed Companies. |
Robert Matheson, CEO, Glenbriar Technologies Inc. |
|
Vanessa M. Gardiner, Director, Senior VP and Chief Compliance Officer, Research Capital Corporation |
We strongly agree that investor protection is a priority, and other existing rules are sufficient to provide that protection. |
David Gurvey, CMA |
This is consistent with our view that the rule has created barriers to access and confusion among participants and investors without providing any additional benefit. |
Rick Brown, Chairman, Grandview Gold Inc. |
Please see our response to Comment 1) above. |
Christopher Gulka, CA, CFA, Working Capital Corporation |
This is consistent with our view that risk should be assessed on an issue-by-issue basis rather than by market. |
Douglas G. Reeson |
We agree that the risk disclosure statement creates general perception of inherent high risk, rather than encouraging investors and participants to take advantage of an enhanced disclosure model to assess actual risk. |