BNO - Insider Trading and Holdings Disclosure

United States Brent Oil Fund LP (BNO) operates in the Financial Services sector, specifically the Asset Management industry, with a market capitalization near $195.6M, listed on AMEX, carrying a beta of 2.00 to the broader market. The Benchmark Futures Contract is the futures contract on Brent crude oil as traded on the Ice Futures Europe Exchange that is the near month contract to expire, except when the near month contract is within two weeks of expiration, in which case it will be measured by the futures contract that is the next month contract to expire. public since 2010-06-02.

United States Brent Oil Fund LP (BNO) is an exchange-traded fund rather than an operating company, so the Section 16 insider-trading rules that produce Form 3/4/5 filings on equity tickers do not apply. ETFs do not have corporate officers, directors, or 10% shareholders in the registrant sense; the relevant disclosure surface for an ETF is its holdings schedule and the sponsor's investment-company filings.

Exchange
AMEX
Sector
Financial Services
Industry
Asset Management
Market Cap
$195.6M
IPO Date
2010-06-02
Beta
2.00

What Disclosures Apply to BNO as an ETF?

Registered ETFs disclose at the fund level via the N-1A (open-end) or N-2 (closed-end) prospectus, N-CSR and N-CSRS shareholder reports with audited or reviewed financials, N-PX annual proxy-voting records, and N-CEN annual census filings, all searchable through SEC EDGAR. Many ETFs additionally publish daily holdings on the sponsor's website; index-tracking funds rebalance against published index methodology rather than discretionary insider activity.

How ETF Holdings Affect Options Pricing

For options traders, the analog to insider-trading on equity tickers is the constituent-level news and earnings flow for the top holdings. Concentration risk in a thematic or sector ETF means a small number of constituents drive most of the price action and most of the implied-volatility surface. Single-name catalysts (earnings, M&A, regulatory rulings) on top holdings flow through to the ETF's implied volatility, skew, and dealer gamma profile. Pair the BNO volatility skew and gamma exposure with the per-constituent news cycle to see how single-name flow propagates into the fund's options chain.

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Frequently asked BNO insider trading questions

Does BNO have corporate insiders to track?
United States Brent Oil Fund LP (BNO) is an exchange-traded fund, so the Section 16 insider-trading rules that produce Form 3, 4, and 5 filings on equity tickers do not apply. ETFs do not have corporate officers, directors, or 10% beneficial-owner shareholders in the registrant sense. The relevant disclosure surface for an ETF is its holdings schedule and the sponsor's investment-company filings on SEC EDGAR.
What disclosures does BNO make at the fund level?
Registered ETFs disclose at the fund level via the N-1A (open-end) or N-2 (closed-end) prospectus with subsequent 485 updates, N-CSR and N-CSRS semi-annual and annual shareholder reports with audited or reviewed financials, N-PX annual proxy-voting records, and N-CEN annual census filings, all searchable through SEC EDGAR. Many ETFs additionally publish daily holdings on the sponsor's website; index-tracking funds rebalance against published index methodology rather than discretionary insider activity.
How does constituent-level news flow through BNO?
For options traders, the analog to insider-trading on equity tickers is the constituent-level news and earnings flow for the top holdings. Concentration risk in a thematic or sector ETF means a small number of constituents drive most of the price action and most of the implied-volatility surface. Single-name catalysts (earnings, M&A, regulatory rulings) on top holdings flow through to the ETF's implied volatility, skew, and dealer gamma profile.
Where can I find BNO holdings and AP activity?
Daily holdings are typically published on the sponsor's website for transparent ETFs; full-year audited holdings appear in the N-CSR shareholder report. Authorized-participant creation and redemption baskets are not disclosed at the individual-AP level, but aggregate creation and redemption activity is observable through fund-level share-count changes reported in the daily NAV file and quarterly Form 13F filings of large institutional holders that include the ETF in their portfolios.