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dc.contributor.authorFryer, Paul A.
dc.date.accessioned2009-12-18T10:08:45Z
dc.date.available2009-12-18T10:08:45Z
dc.date.issued2000
dc.identifier.urihttp://hdl.handle.net/2436/88270
dc.descriptionA thesis submitted in partial fulfilment of the requirements of the University of Wolverhampton for the degree of Doctor of Philosophy
dc.description.abstractThis purpose of this research is to examine the means adopted by the United States and the United Kingdom in combating the main two types of fraud that interfere with financial market trading. These are namely insider dealing or insider trading depending on the jurisdiction that is examined and market manipulation. Both these jurisdictions are examined in relation to the ways each uses differing methods of regulatory enforcement mechanisms to control these types of market fraud.
dc.formatapplication/pdf
dc.language.isoen
dc.publisherUniversity of Wolverhampton
dc.titleInsider dealing and market manipulation: a comparative analysis of regulatory enforcement in the United Kingdom and United States
dc.typeThesis or dissertation
dc.type.qualificationnamePhD
dc.type.qualificationlevelDoctoral
rioxxterms.licenseref.urihttps://creativecommons.org/licenses/by-nc-nd/4.0/
refterms.dateFOA2020-05-06T17:15:52Z
html.description.abstractThis purpose of this research is to examine the means adopted by the United States and the United Kingdom in combating the main two types of fraud that interfere with financial market trading. These are namely insider dealing or insider trading depending on the jurisdiction that is examined and market manipulation. Both these jurisdictions are examined in relation to the ways each uses differing methods of regulatory enforcement mechanisms to control these types of market fraud.


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