| December 8, 2010 |
Testimony of Thomas Peterffy to the Senate Subcommittee on Securities, Insurance, AND investment and The Senate Permanent Subcommittee on Investigations |
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| October 11, 2010 |
Thomas Peterffy Speech at the World Federation of Exchanges |
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| June 24, 2010 |
Comments of Thomas Peterffy, Chairman and C.E.O., Interactive Brokers Group, Before The Joint CFTC-SEC Advisory Committee on Emerging Regulatory Issues |
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| June 27, 2007 |
Eurex Letter |
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| April 12, 2005 |
Speech
Of Thomas Peterffy Before The International Options Markets Association
|
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| January 24, 2005 |
IB
Group Comment Letter on Amended Proposed Regulation NMS S-7-10-04 |
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| December 14, 2004 |
IBG
Comment Letter on Second Amended NYSE Hybrid Rules SR NYSE 2004 5 |
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| July/August 2004 |
Why
Some Dealers and Exchanges Have Been Slow to Automate (Thomas Peterffy
and David Battan, Financial Analysts Journal, 2004) |
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| April 21, 2004 |
Introductory
Statement of IB Group Chairman Thomas Peterffy at SEC Hearing on Reg.
NMS Market Structure Proposal |
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| March 26, 2004 |
Written
Hearing Testimony of IB Group Chairman Thomas Peterffy Regarding SEC's
Reg NMS Market Structure Proposal |
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| October 21, 2003 |
IB
Group Comment Letter in Support of Eurex U.S. Futures Exchange |
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| September 16, 2003 |
IB
Group Comment Letter to SEC in Support of Amended Boston Options Exchange
Trading Rules |
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| July 22, 2003 |
IB
Comment Letter to SEC Supporting Rule Change by the PHLX to Delete the
Prohibition Against the Delivery of Electronically Generated Orders |
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| May 13, 2003 |
Investment
Strategy - Thomas Peterffy, Chairman |
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| February 12, 2003 |
IB
Group Comment Letter to SEC in Support of Boston Options Exchange Trading
Rules |
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| December 9, 2002 |
IB
Group Comment Letter to SEC in Support of PCX Plus Electronic Option Trading
System |
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| November 12, 2002 |
White
Paper by Thomas Peterffy for SEC Market Structure Hearings: "Why
Haven't Dealers and Exchanges More Fully Automated the Handling
and Execution of Orders? |
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| August 24, 2001 |
IB
Comment Letter to SEC Opposing CBOE Cancellation Fee of $1.00 for Customer
Option Orders |
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| May 1, 2001 |
IB
Comment Letter to SEC Opposing CBOE 15 Second Speed Bump Rule for Public
Options Customers |
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| March 13, 2001 |
IB
Comment Letter to SEC Opposing Amex and PHLX Rules Preventing Customers
From Sending Two-Sided Orders |
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| January 2, 2001 |
IB
Comment Letter to SEC Opposing CBOE Rule that Prevents Customers from
Creating and Transmitting Orders Electronically |
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| September 22, 2000 |
IB
Comment Letter to SEC on Proposed Rules Regarding Disclosure of Order
Routing and Execution Practices, File No. S7-16-00 |
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| August 15, 2000 |
IB
Comment Letter to SEC Opposing PCX 15 Second Speed Bump Rule for Public
Options Customers |
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| April 28, 2000 |
IB
Group Comment Letter to SEC Regarding SEC Concept Release on Market Fragmentation
|
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| April 10, 2000 |
Supplemental
Comments of Interactive Brokers Group to SEC Regarding Option Market Linkage
Plans |
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| April 3, 2000 |
Comment
Letter of Interactive Brokers Group to SEC on Option Market Linkage Plans |
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| March 31, 2000 |
IB
Group Comment Letter to SEC Urging Market Data Distribution Free of Charge
to Public Customers |
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| February 15, 2000 |
IB
Comment Letter to SEC Opposing New Margin Requirements for Pattern Day
Traders |
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| December 29, 1999 |
IB
Comment Letter to SEC Urging Elimination of the Short Sale Rule |
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| December 21, 1999 |
IB
Comment Letter to SEC Opposing CBOE Rule Kicking Customer Orders Out of
Auto-EX Where Autoquote Is Locked/Crossed with Booked Order (CBOE 99-61) |
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| December 21, 1999 |
IB
Comment Letter to SEC Opposing CBOE Rule Kicking Customer Orders Out of
Auto-EX Where CBOE Quotes Are Locked/Crossed with Other Markets (CBOE
99-57) |
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| November 16, 1999 |
IB
Comment Letter to SEC Opposing ISE Rule that Prevents Customers from Creating and Transmitting Orders Electronically |
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