• Business Continuity Disclosure

    Velocity Capital LLCBUSINESS CONTINUITY PLAN199 Water Street, 8th Floor   New York, NY 10038(917) 494-6375 I.  Introduction Velocity Capital, LLC (“Velocity” or the “Firm”) maintains this Business Continuity Plan (“BCP”), in accordance with the requirement of FINRA Rule 4370. The Firm’s…

    Read More

  • Form CRS Relationship Summary

    Introduction Velocity Capital, LLC (“the Firm”, “we”, “our” or “us”) is registered with the Securities and Exchange Commission (SEC) as a broker-dealer, is a member of the Financial Industry Regulatory Authority, (http:/finra.org), the Securities Investor Protection Corporation https://www.sipc.org, and various US…

    Read More

  • Options Disclosure

    FINRA member firms are required to provide customers with a standardized options disclosure document. This disclosure outlines the risks associated with options trading, including the potential for loss of the entire investment, the obligation to meet margin calls, the effect…

    Read More

  • Order Routing

    SEC Rule 606 (“Rule 606”) requires all broker-dealers that route orders in equity and option securities to make publicly available quarterly reports that present a general overview of their routing practices related to held, non-directed customer orders. The reports must…

    Read More

  • Privacy Policy Disclosure

    FINRA-regulated broker-dealers must provide customers with clear and prominent privacy policy disclosures that explain the types of nonpublic personal and financial information the firm collects, the categories of affiliated and non-affiliated third parties with whom it may share this customer…

    Read More

  • Regulation Best Interest Disclosure

    Under FINRA Reg BI, broker-dealers must provide retail customers with a standardized 2-page Form CRS (Customer Relationship Summary) at or before account opening, written in plain English, that discloses the firm’s relationship and services (brokerage vs. advisory), all fees and…

    Read More

  • Rule 605 Statement of Order Execution

    Information Pursuant to Rule 605 of SEC Regulation NMS Velocity Capital LLC provides this monthly statistical data regarding our order executions. These reports disclose stock-by-stock information on the quality of executions, including execution speeds and price improvements. The statistics are…

    Read More

  • SIPC Membership Disclosure

    All SIPC member broker-dealers must disclose their “Member SIPC” status and provide customers with information about SIPC protection, which covers up to $500,000 per customer account (with a $250,000 limit for cash claims in the event of firm failure or…

    Read More