Small Trader

Small Trader

A small trader refers to a market participant whose buying and selling activity is small enough for them to be exempt from certain regulatory requirements. For instance, small traders’ trading decisions are unlikely to have a significant influence on the overall price of a given security, and small traders are very unlikely to succeed in deliberately cornering a market. In the case of the SEC, a trader is small if their daily trading volume is less than either two million shares or $20 million during any calendar day, or 20 million shares or $200 million during any calendar month. In practice, therefore, practically all market participants are small traders, aside from ultra high net-worth individuals and very large firms. The COT report is published every Friday, and it outlines the size and direction of all positions taken in a particular commodity, dividing this data into trades made by commercial traders, non-commercial traders, and non-reportable traders. Generally speaking, regulators determine the amount of small traders active in the market by taking the total volume for the entire marketplace and subtracting the volume reported by large traders.

A small trader is a buyer or seller of securities whose transaction sizes are relatively small.

What Is a Small Trader?

A small trader refers to a market participant whose buying and selling activity is small enough for them to be exempt from certain regulatory requirements. It is often used to refer to retail traders or small financial firms, whose trading volumes are relatively low.

Large traders, by contrast, are required to register with regulators and regularly file reports disclosing their activities. For example, large traders must register with the Securities and Exchange Commission (SEC) by filing Form 13H.

A small trader is a buyer or seller of securities whose transaction sizes are relatively small.
Virtually all retail traders would fall under this category.
Small traders are exempt from certain registration and reporting requirements.

Understanding Small Traders

Different exchanges will have separate standards relating to how large a particular market participant can be before they are required to make special disclosures about their trades. In the case of the SEC, a trader is small if their daily trading volume is less than either two million shares or $20 million during any calendar day, or 20 million shares or $200 million during any calendar month. In practice, therefore, practically all market participants are small traders, aside from ultra high net-worth individuals and very large firms.

Generally speaking, regulators determine the amount of small traders active in the market by taking the total volume for the entire marketplace and subtracting the volume reported by large traders. The remainder is of course attributable to small traders, though this methodology does not require the individual small traders to be identified.

The reason that small traders do not face the level of regulatory scrutiny required of large traders is that they are presumed to have a lesser ability to influence or manipulate the market. For instance, small traders’ trading decisions are unlikely to have a significant influence on the overall price of a given security, and small traders are very unlikely to succeed in deliberately cornering a market. At a practical level, regulators would also struggle to scrutinize small traders' activities because the administrative burden of doing so would be prohibitively expensive.

Real-World Example of a Small Trader

One example of where small traders are identified by regulators can be found in the Commitments of Traders (COT) report issued by the Commodity Futures Trading Commission (CFTC). The COT report is published every Friday, and it outlines the size and direction of all positions taken in a particular commodity, dividing this data into trades made by commercial traders, non-commercial traders, and non-reportable traders.

This last category, non-reportable traders, includes small traders whose position sizes are too low to require active reporting or monitoring under the CFTC's guidelines. Other regulators and financial intermediaries, such as clearinghouses and brokerage firms, typically follow similar procedures when monitoring and disclosing their clients’ trades.

Related terms:

Brokerage Company

A brokerage company's main responsibility is to be an intermediary that puts buyers and sellers together in order to facilitate a transaction.  read more

Commodity Futures Trading Commission (CFTC)

The CFTC is an independent U.S. federal agency established by the Commodity Futures Trading Commission Act of 1974. read more

Clearinghouse

A clearinghouse or clearing division is an intermediary that validates and finalizes transactions between buyers and sellers in a financial market. read more

Commercial Trader

A commercial trader trades on behalf of a business or institution. In the commodities market, commercial traders are hedgers. read more

Commitments of Traders Report (COT)

The Commitments of Traders or COT report is a weekly report showing the positions of futures market participants. Learn how to use the COT report. read more

Futures Commission Merchant (FCM)

A futures commission merchant (FCM) solicits or accepts orders to buy or sell futures contracts or options on futures for a payment from customers. read more

Futures Exchange

A futures exchange is a central marketplace, physical or electronic, where futures contracts and options on futures contracts are traded.  read more

Large Trader

A large trader is an investor or organization whose trades exceed a Securities and Exchange Commission (SEC) volume and dollar amount threshold. read more

Manipulation

Manipulation is the artificial inflating or deflating of the price of a security or otherwise influencing the market's behavior for personal gain. read more

National Futures Association (NFA)

National Futures Association (NFA) is an independent, self-regulated entity for the U.S. derivatives industry that mandates industry best practices. read more