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9/11 See other 9/11 Articles Title: Evidence of Insider Trading before September 11th Re-examined Evidence of Insider Trading before September 11th Re-examined by Paul Zarembka International Hearings on the Events of September 11, 2001 This report addresses evidence of insider trading before September 11th, sometimes referred to by a broader phrase, informed trading. Insider trading refers to using private knowledge of an anticipated event in order to profit financially by engaging in financial market transactions. In the first weeks after September 11, 2001 a number of financial publications called attention to substantial insider trading in put-options occurring before the attacks. Some of these early examples have been surveyed in Zarembka (2008, pp. 64-66, 69-71), while this book chapter also commented on certain exaggerations (e.g., an incorrect doubling of the put-option volumes). Quickly, commentary died out. Since the government had provided so little evidence of its position, some sharp criticism and reference to Poteshmans results ensued (e.g., Griffin, 2005, pp. 52-57 and Zarembka, pp. 67-69). In sum, ten financial instruments, including the S&P 500 option, are each exhibiting, with high statistical probability, evidence of insider trading before September 11th, sometimes more than once. American and United are identified by separate methodologies, seven additional companies are identified by Chesney, and the S&P 500 is identified by Wong. The joint probability of all of these being nothing more than random outliners seems astronomically low. is motivated by a number of factors such as uninformed speculation (i.e., noise trading), hedging, trading on public information, and trading on private information. Consequently, when a statistic obtains a value that is extreme relative to its historical distribution, one can infer that there was an unusual amount of activity related to one or more of the option trading motivations. Although the statistics do not distinguish between trading motivations, if an extreme value is observed just before an important piece of news becomes public, then it is reasonable to infer that there was option market trading based on private information rather than a shock to the trading from one of the other motivations. Indeed, the fact that the statistic has obtained an extreme value indicates that a shock to trading from another motivation would have to be unusually large to account for the observed option market trading. Of course, it is possible that the typical option trading from the other motivations varies systematically with changes in the state of the option or underlying security market. This is the reason that conditional as well as unconditional distributions for the statistics will be computed in the next section. (Poteshman, 2006, pp. 1711-12) Table 1: Put-Option Market Volume Statistics before September 11th Sept. 5 Sept. 6 Sept. 7 Sept. 10 AMR -.02 .08 .65 3.83 UAL -.12 1.45 1.23 .15 Airline Index -.13 .63 .66 .85 S&P 500 -.07 .25 .54 -.09 Source: Poteshman (2006, pp. 1720, Table 4) Poteshman compares these AMR and UAL statistics to his benchmark data for the 1,000 largest market capitalization firms for the dates from January 2, 1990 through September 4, 2001. Compared to the historical record of the large companies, the AMR datum for September 10th in the table has only a 1% probability of occurrence and the UAL datum of September 6 has a 4% probability of occurrence. The airline index datum for September 6th has a 6% probability of occurrence and the S&P datum for September 7th, a 5% probability. a significant abnormal increase in the trading volume in the option market just before 9-11 attacks in contrast with the absence of abnormal trading volume far before the attacks. This only constitutes circumstantial evidence that there were insiders who tried to profit from the options market in anticipation of the 9-11 attacks. More conclusive evidence is needed to prove definitively that insiders were indeed active in the market. Although we have discredited the possibility of abnormal volume due to declining market, such investigative work would still be a very involved exercise in view of the multitude of other confounding factors e.g. coincidence, confusing trading strategies intentionally employed by the insiders, noises from the activities of non-insiders. (p. 44) 2001 Date Change in open interest Gain from exercising the put options Proxy for probability as an informed trade Boeing 29 Aug 2828 $1,972,534 0.998 Boeing 5 Sep 1499 1,805,929 0.998 Boeing 6 Sep 7105 2,704,701 0.998 Merrill Lynch 10 Sep 5615 4,407,171 0.998 J.P. Morgan 30 Aug 3145 1,318,638 0.998 J.P. Morgan 6 Sep 4778 1,415,825 0.998 Citigrroup 30 Aug 4373 2,045,940 0.998 United 6 Sep 1494 1,980,387 0.998 American 31 Aug 473 662,200 0.984 American 10 Sep 1312 1,179,171 0.998 Bank of America 7 Sep 3380 1,774,525 0.994 Delta 29 Aug 202 328,200 0.998 KLM 5 Sep 100 53,976 0.998 Source: Chesney, et al. (2010, p. 35, Table 2 and p. 38, Table 4) In addition: References Arvedlund, Erin E. (2001), Follow the Money: Terrorist conspirators could have profited more from fall of entire market than single stocks, Barrons, October 8. 2 Another 75 trade is also cited for another contract not in contention. 3 This recommendation was for the put-option contract with a $30 strike price to expire on October 20, 2001. It read as follows: September 9, 2001 4 Within the same discussion, Williams cites many reports of put-option volumes without those using accurate data. Some reported data are about double the actual levels, presumably due to author errors in understanding Optionmetric data which considers the buy and sell sides of one transaction to be distinct. If one is going to criticize, focusing upon those arguing for insider trading using correct data to make their cases seems preferable. The main motivation for considering increments in open interests is the following. Large volumes do not necessarily imply that large buy orders are executed because the same put option could be traded several times during the day. In contrast large increments in open interest are originated by large buy orders. These increments also imply that other long investors are unwilling to close their positions forcing the market maker to issue new put options. (Chesney, et al., pp. 8-9) In order to abstract from intraday speculation, they compare daily changes in open interest to the reported volumes of transactions (the difference between the two should be small). In other words, purchases are to dominant, with sales or exercises of options small. This calculation could seem to suggest 103 times in eight and one-quarter years beginning in January 1998. But a stock like AMR stock price fell considerably from April 2002 to a low of $1.25 within one year thereafter implying much higher volumes then required for similar dollar option positions. Actually, AMR closed at $17.90 on both September 21 and 27 before the October 20 option expiration; the $18.00 on September 17 was not quite the lowest. However, presumably the option price was the highest on September 17. Let Gt be the cumulative gains achieved through the exercises of the selected option in the shortest time available from the day of the calculated maximum up to ten trading days thereafter. Chesneys third criterion is then offered as a pair of conditions for the option trade in question, that is, and The quantiles at day t for the rtmax and Gt distributions q0.90(rtmax ) and q0.98(Gt) are computed using the preceding two years of data. These criteria are the quantiles for the top 10% of initial profiting and top 2% of total gains. Poster Comment: ======================================================================== Does anyone seriously think that the alleged 19 Muslims with boxcutters [from the alleged Barbara Olsen cellphone call] also played the stock market? Including options? By buying puts, somebody bet very big on declines in American Airlines and United Airlines stocks, and after 9/11 they presumably took profits. The SEC has never publicly identified the buyer[s] of those puts!
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#4. To: HAPPY2BME-4UM (#0)
By buying puts, somebody bet very big on declines in American Airlines and United Airlines stocks, and after 9/11 they presumably took profits. The SEC has never publicly identified the buyer[s] of those puts! Short selling was also involved and all suspicious trading suspects were likewise unidentified by the 9/11 Commission, although it did somewhat reluctantly rule out "Al Qaeda". In short, it strangely dismissed all evidence of 9/11 insider trading as if there was no such thing, so as to give a free pass to the politically incorrect suspects in question that it wanted to remain anonymous. Am going to make a series of posts with more info on this subject and to show why I think that insider betting on those airline stocks declining was quite contrary to their market indicators in-process unless there was definite foreknowledge that 9/11 would occur as it did. This is for background info which shows, afaik, that only margin account holders can short sell stocks and, regardless of whether they profit or lose on their gamble, they have to be able to afford to tie up a substantial amount of money to do that -- 150% more than the transaction price: Investment question and answer at investopedia.com: Why do you need a margin account to short sell stocks? Under Regulation T, it is mandatory for short trades that 150% of the value of the position at the time the short is created be held in a margin account. This 150% is comprised of the full value of the short (100%), plus an additional margin requirement of 50% or half the value of the position. (The margin requirement for a long position is also 50%.) For example, if you were to short a stock and the position had a value of $20,000, you would be required to have the $20,000 that came from the short sale plus an additional $10,000, for a total of $30,000, in the account to meet the requirements of Regulation T. The reason you need to open a margin account to short sell stocks is that shorting is basically selling something you do not own. As the short investor, you are borrowing shares from another investor or a brokerage firm and selling it in the market. This involves risk, as you are required to return the shares at some point in the future, which creates a liability or a debt for you. It is important for you to bear in mind that it's possible for you to end up owing more money than you initially received in the short sale if the shorted security moves up by a large amount. In such a situation, you may not be financially able to return the shares. Therefore, margin requirements are essentially a form of collateral, which backs the position and reasonably ensures that the shares will be returned in the future. A margin account also allows your brokerage firm to liquidate your position if the likelihood that you will return what you've borrowed diminishes. This is part of the agreement that is signed when the margin account is created. From the broker's perspective, this increases the likelihood that you will return the shares before losses become too large and you become unable to return the shares. Cash accounts are not allowed to be liquidated - if short trading were allowed in these accounts, it would add even more risk to the short selling transaction for the lender of the shares. For further reading, see our Short Selling Tutorial and our Margin Trading Tutorial.
Am wondering if margin account holders are allowed to short sell a stock to themselves -- or some business-entity they've devised to act as their stand-in - - and also buy it as a put option. Am guessing that even if the chances are slim to none of making a conventional profit that way, maybe it might give them some sort of tax advantage somehow.
I haven't read this linked page entirely yet but found a section there that nearly answers my questions above, although not exactly: Excerpts from Put Options - 911myths: Two weeks ago, market regulators in London began investigating a series of suspicious share trades in airlines just before the US attacks. There was speculation that in the days before 11 September, terrorist groups engaged in sophisticated share trading. This involved 'short-selling' airline shares - selling the stock, waiting for the price to drop, then buying it back and pocketing the difference. The Financial Services Authority investigated a large trade in BA involving put options - share options giving the right to sell at a fixed price. In effect, this was a bet that BA shares would fall. The FSA found no evidence of terrorist involvement and said the deals were not linked to the attacks. It said: 'A sizeable put option in the shares of a British airline turned out to have been on behalf of another airline, as part of an overall hedging strategy.' Lufthansa this weekend denied the company was involved. But share traders have confirmed the German operator's connection. A stockbroker said: 'Speculating like this is an odd way for a company to use shareholder funds.' It is also surprising that Lufthansa and its advisers speculated at a time when the industry was already facing recession. The head of one of Europe's most successful airlines said: 'I don't know why one airline would be punting on a rival's shares. It's hard enough just to run an airline-without doing this fancy stuff.'
More excerpts from Put Options - 911myths: A put option is a contract that gives a holder the right to sell an asset at a specified price before a certain date. On Sept. 6-7, when there was no significant news or stock price movement involving United, the Chicago exchange handled 4,744 put options for UAL stock, compared with just 396 call options -- essentially bets that the price will rise. On Sept. 10, an uneventful day for American, the volume was 748 calls and 4,516 puts, based on a check of option trading records. On Monday, the first day of trading following the attacks, shares of AMR fell 39 percent, and UAL stock plunged 42 percent. Other airline shares also were sharply lower and most rebounded modestly Tuesday. "I saw put-call numbers higher than I've ever seen in 10 years of following the markets, particularly the options markets," John Kinnucan, a principal of Broadband Research, an independent telecommunications research firm, told the San Francisco Chronicle. "When one sees this type of activity, the first thing one does is ask oneself, 'What is the explanation? What are people worried about?' " According to a report in The Wall Street Journal, the SEC said it had received information from various U.S. agencies Friday about possible trading by terrorists in industries affected by the bombing, including insurance and the airlines, and also about possible put-option or futures-index trading. [sic] The Commission account The main body of the 9/11 Commission Report made only brief reference to the put options, and even that was hidden away in a footnote: Highly publicized allegations of insider trading in advance of 9/11 generally rest on reports of unusual pre-9/11 trading activity in companies whose stock plummeted after the attacks. Some unusual trading did in fact occur, but each such trade proved to have an innocuous explanation. For example, the volume of put optionsinvestments that pay off only when a stock drops in pricesurged in the parent companies of United Airlines on September 6 and American Airlines on September 10highly suspicious trading on its face.Yet, further investigation has revealed that the trading had no connection with 9/11. A single U.S.-based institutional investor with no conceivable ties to al Qaeda purchased 95 percent of the UAL puts on September 6 as part of a trading strategy that also included buying 115,000 shares of American on September 10. Similarly,much of the seemingly suspicious trading in American on September 10 was traced to a specific U.S.-based options trading newsletter, faxed to its subscribers on Sunday, September 9, which recommended these trades. These examples typify the evidence examined by the investigation. [sic] exhaustive investigation by federal law enforcement, in conjunction with the securities industry, has found no evidence that anyone with advance knowledge of the terrorist attacks profited through securities transactions. [sic] The investigators of the 9/11 trades never found any blind alleys caused by shell companies, offshore accounts, or anything else; [sic] The U.S. government investigation unequivocally concluded that there was no evidence of illicit trading in the U.S. markets with knowledge of the terrorist attacks. [sic] When the markets opened on September 17 [My note: Constitution Day; "The Constitution was signed on September 17, 1787"] , AMR fell 40 percent and UAL fell 43 percent. [sic] On [September 6] alone, the UAL put option volume was much higher than any surrounding day and exceeded the call option volume by more than 20 times highly suspicious numbers on their face.170 The SEC quickly discovered, however, that a single U.S. investment adviser had purchased 95 percent of the UAL put option volume for the day. The investment adviser certainly did not fit the profile of an al Qaeda operative: it was based in the United States, registered with the SEC, and managed several hedge funds with $5.3 billion under management. In interviews by the SEC, both the CEO of the adviser and the trader who executed the trade explained that theyand not any clientmade the decision to buy the put as part of a trading strategy based on a bearish view of the airline industry.[sic] The put volume of AMR on September 10 was unusually high and actually exceeded the call volume by a ratio of 6:1again, highly suspicious on its face. The SEC traced much of the surge in volume to a California investment advice newsletter, distributed by email and fax on Sunday, September 9, which advised its subscribers to purchase a particular type of AMR put options. The SEC interviewed 28 individuals who purchased these types of AMR puts on September 10, and found that 26 of them cited the newsletter as the reason for their transaction. Another 27 purchasers were listed as subscribers of the newsletter. The SEC interviewed the author of the newsletter, a U.S. citizen, [Cross-referencing Post #0 at the top of the thread: [a memo] had been prepared back on September 17-18, 2003 and had named the Options Hotline newsletter and its editor Steve Sarnoff as responsible for faxing on September 9, 2001 some 2000 subscribers the recommendation to buy put options on American Airlines (http://media.nara.gov/9-11/MFR/t-0148-911MFR-00139.pdf, p. 14). The memo further stated that the SEC interviewed 28 people who purchased these options and 26 had said that they had done so because of the newsletter. This memo reported 27 additional subscribers, not interviewed, as additional purchasers of that put option. The same memo went on to report that an unnamed large institutional investor in hedge funds had undertaken the 2000 United put-option purchases i.e., for 200,000 shares but was explained away by the fact that the same investor had also purchased 115,000 shares of American stock on September 10. This information does appear in the Commissions report, p. 499, fn. 130.] The Put Options - 911myths link continues with some sketchy and speculative examples for further assertions like these: The foreign investigators also helped investigate suspicious trading in the U.S. from offshore accounts. For example, the SEC investigation revealed that shortly before 9/11 an offshore account had taken a short position in a fund that tracked one of the major U.S. market indicesan investment that profited when the U.S. market declined. After 9/11, the offshore investor closed out the position, reaping $5 million in profit. The SECs Office of International Affairs solicited help from a European country to investigate further. [sic] the European countrys investigation revealed that this investor was an extremely wealthy European national who often speculated by taking short positions in the U.S. market. [sic] There is also no evidence that insider trading took place in the stock of any foreign company. [sic] Indeed, a number of companies that suffered serious economic losses from the 9/11 attacks were foreign companies, which traded mainly on foreign markets. In particular, the insurance companies with the largest potential losses included Munich Reinsurance Co., Swiss Reinsurance Co., and Allianz AG, all foreign-based companies that primarily traded overseas. [sic] It goes on and on to say: This report example shown from The Dallas Morning News on Saturday, September 8, 2001 with the headline, "American Airlines Warns Investors of Expected Deficit", is not a good example for those dubious claims but is a good example of serpentine insider-advisors. Despite the gloomy proclamations by alleged "airline analysts" Ray Neidl and Michael J. Linenberg, the report also says: If "the losses materialize as expected, it will mark the first time since 1993 that AMR has posted a full-year loss. It will also be the first time since 1992 that AMR has lost money in every quarter." "When the year began, American had expected to expand its capacity by 3 percent in 2001." The next post will show why I think other market indicators (besides the insider-rattlings from those two probable snakes-in-the-grass, Neidl and Linenberg) were actually boding very well for both AA and UA, before 9/11.
Connexion by Boeing: Excerpts from Google's cache of http://www.boeing.com/history/chronology/chron16.html on Sep 14, 2011 1999 Dec. 22: Hughes Space & Communications HS 702 satellite is launched by an Ariane 44L for PanAmSat Corp. 2000 Jan. 13: Boeing and Hughes Electronics Corp. announce that Boeing will acquire Hughes' space and communications business for $3.75 billion in cash. April 27: Boeing announces plans to develop Connexion by Boeing® to provide an array of high-speed data communication services in flight. July 6: Boeing and Honeywell enter into an agreement for ongoing and future International Space Station work relating to avionics, systems and software. July 23: The first 737-900 rolls out. Aug. 15: Boeing announces the acquisition of Jeppesen Sanderson Inc., the world's leading provider of flight information services, for $1.5 billion cash. Oct. 31: Boeing announces the formation of three new business units to maximize growth in promising business areas: Connexion by Boeing, Air Traffic Management and Boeing Capital Corp. Nov. 21: Anik Fl 702 satellite is successfully launched for Telesat Canada. 2001 March 18: Sea Launch delivers a Boeing 702 model satellite named "Rock" into orbit for XM Satellite Radio. The second satellite, named "Roll," will be launched May 8. Nov. 27: Boeing Satellite Systems celebrates the launch of its 200th commercial communications satellite. Dec. 27: Boeing receives FCC license for Connexion by Boeing service. So, during the period of June 13 until 9/11, the prospects of profitability for American Airlines and United Airlines in the near term were looking very good due to their Connexion-project partnership with Boeing. I doubt that "airline analysts", and alphabet agency analysts, and those who do business trading such stocks in volume would be so uniformed about that development in- the-works as for it be of almost no noteworthy mention to date, afaik, in most all that's been sourced and discussed these many years about the suspicious trading around 9/11. Imo, it not only indicates 9/11 foreknowledge on the part of insider stock traders and such but a concerted coverup of the situation by so-called analysts and gov- level investigators. Edited for spelling.
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