MAA Fail-to-Deliver

Mid-America Apartment Communities, Inc. (MAA) operates in the Real Estate sector, specifically the REIT - Residential industry, with a market capitalization near $15.05B, listed on NYSE, employing roughly 2,532 people, carrying a beta of 0.76 to the broader market. MAA, an S&P 500 company, is a real estate investment trust, or REIT, focused on delivering full-cycle and superior investment performance for shareholders through the ownership, management, acquisition, development and redevelopment of quality apartment communities in the Southeast, Southwest, and Mid-Atlantic regions of the United States. Led by Adrian Bradley Hill, public since 1994-01-28.

Fail-to-deliver (FTD) data from the SEC tracks settlement failures where shares were not delivered within the standard settlement period. Persistent FTDs may indicate naked short selling or settlement issues and are monitored by regulators.

Latest Date
2026-04-29
Latest FTD Quantity
4
Latest Price
$130.38
30-Day Avg FTD
4.8K
30-Day Total FTD
144.8K

Showing 30 days of SEC fail-to-deliver data for Mid-America Apartment Communities, Inc..

Learn how fails-to-deliver is reported and how to read the data →

Frequently asked MAA fail to deliver questions

What is the latest MAA fail-to-deliver count?
As of Apr 29, 2026, Mid-America Apartment Communities, Inc. (MAA) fail-to-deliver quantity is 4 shares, with a 30-day average of 4.8K shares. The SEC publishes FTD data twice monthly: first-half data at month-end, second-half around the 15th of the following month.
What is the FTD aggregate net balance?
FTD figures represent the aggregate net balance in NSCC's Continuous Net Settlement (CNS) system, not the gross failed-share count. The published numbers run 2-6 weeks stale relative to the underlying settlement date.
How do MAA FTDs affect options pricing?
Persistent FTDs flag hard-to-borrow conditions that distort put-call parity: in HTB names, synthetic long stock (long call + short put at the same strike) trades below the frictionless-parity price by approximately the borrow rebate. The discount equals the lending revenue forgone by holding the synthetic instead of actual shares. Reg SHO threshold-list inclusion follows from sustained FTD persistence.