80_FR_27484 80 FR 27392 - Self-Regulatory Organizations; C2 Options Exchange, Incorporated; Notice of Filing and Immediate Effectiveness of a Proposed Rule Change Relating to the Nullification and Adjustment of Options Transactions Including Obvious Errors

80 FR 27392 - Self-Regulatory Organizations; C2 Options Exchange, Incorporated; Notice of Filing and Immediate Effectiveness of a Proposed Rule Change Relating to the Nullification and Adjustment of Options Transactions Including Obvious Errors

SECURITIES AND EXCHANGE COMMISSION

Federal Register Volume 80, Issue 92 (May 13, 2015)

Page Range27392-27408
FR Document2015-11485

Federal Register, Volume 80 Issue 92 (Wednesday, May 13, 2015)
[Federal Register Volume 80, Number 92 (Wednesday, May 13, 2015)]
[Notices]
[Pages 27392-27408]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2015-11485]


-----------------------------------------------------------------------

SECURITIES AND EXCHANGE COMMISSION

[Release No. 34-74900; File No. SR-C2-2015-012]


Self-Regulatory Organizations; C2 Options Exchange, Incorporated; 
Notice of Filing and Immediate Effectiveness of a Proposed Rule Change 
Relating to the Nullification and Adjustment of Options Transactions 
Including Obvious Errors

May 7, 2015.
    Pursuant to section 19(b)(1) of the Securities Exchange Act of 1934 
(the ``Act''),\1\ and Rule 19b 4 thereunder,\2\ notice is hereby given 
that on May 6, 2015, C2 Options Exchange, Incorporated (the 
``Exchange'' or ``C2'') filed with the Securities and Exchange 
Commission (the ``Commission'') the proposed rule change as described 
in Items I and II below, which Items have been prepared by the 
Exchange. The Commission is publishing this notice to solicit comments 
on the proposed rule change from interested persons.
---------------------------------------------------------------------------

    \1\ 15 U.S.C. 78s(b)(1).
    \2\ 17 CFR 240.19b-4.
---------------------------------------------------------------------------

I. Self-Regulatory Organization's Statement of the Terms of Substance 
of the Proposed Rule Change

    The Exchange seeks to amend Exchange rules related to the 
nullification and adjustment of options transactions including obvious 
errors. The text of the proposed rule change is available on the 
Exchange's Web site (http://www.cboe.com/AboutCBOE/CBOELegalRegulatoryHome.aspx), at the Exchange's Office of the 
Secretary, and at the Commission's Public Reference Room.

II. Self-Regulatory Organization's Statement of the Purpose of, and 
Statutory Basis for, the Proposed Rule Change

    In its filing with the Commission, the Exchange included statements 
concerning the purpose of and basis for the proposed rule change and 
discussed any comments it received on the proposed rule change. The 
text of these statements may be examined at the places specified in 
Item IV below. The Exchange has prepared summaries, set forth in 
sections A, B, and C below, of the most significant aspects of such 
statements.

A. Self-Regulatory Organization's Statement of the Purpose of, and 
Statutory Basis for, the Proposed Rule Change

1. Purpose
Background
    For several months the Exchange has been working with other options 
exchanges to identify ways to improve the process related to the 
adjustment and nullification of erroneous options transactions. The 
goal of the process that the options exchanges have undertaken is to 
adopt harmonized rules related to the adjustment and nullification of 
erroneous options transactions as well as a specific provision related 
to coordination in connection with large-scale events involving 
erroneous options transactions. As described below, the Exchange 
believes that the changes the options exchanges and the Exchange have 
agreed to propose will provide transparency and finality with respect 
to the adjustment and nullification of erroneous options transactions. 
Particularly, the proposed changes seek to achieve consistent results 
for participants across U.S. options exchanges while maintaining a fair 
and orderly market, protecting investors and protecting the public 
interest.
    The Proposed Rule is the culmination of this coordinated effort and 
reflects discussions by the options exchanges to universally adopt: (1) 
Certain provisions already in place on one or more options exchanges; 
and (2) new provisions that the options exchanges collectively believe 
will improve the handling of erroneous options transactions. Thus, 
although the Proposed Rule is in many ways similar to and based on the 
Exchange's Current Rule, the Exchange is adopting various provisions to 
conform with existing rules of one or more options exchanges and also 
to adopt rules that are not currently in place on any options exchange. 
As noted above, in order to adopt a rule that is similar in most 
material respects to the rules adopted by other options exchanges, the 
Exchange proposes to delete the Current Rule in its entirety and to 
replace it with the Proposed Rule.
    The Exchange notes that it has proposed additional objective 
standards

[[Page 27393]]

in the Proposed Rule as compared to the Current Rule. The Exchange also 
notes that the Proposed Rule will ensure that the Exchange will have 
the same standards as all other options exchanges. However, there are 
still areas under the Proposed Rule where subjective determinations 
need to be made by Exchange personnel with respect to the calculation 
of Theoretical Price. The Exchange notes that the Exchange and all 
other options exchanges have been working to further improve the review 
of potentially erroneous transactions as well as their subsequent 
adjustment by creating an objective and universal way to determine 
Theoretical Price in the event a reliable NBBO is not available. For 
instance, the Exchange and all other options exchanges may utilize an 
independent third party to calculate and disseminate or make available 
Theoretical Price. However, this initiative requires additional 
exchange and industry discussion as well as additional time for 
development and implementation. The Exchange will continue to work with 
other options exchanges and the options industry towards the goal of 
additional objectivity and uniformity with respect to the calculation 
of Theoretical Price.
    As additional background, the Exchange believes that the Proposed 
Rule supports an approach consistent with long-standing principles in 
the options industry under which the general policy is to adjust rather 
than nullify transactions. The Exchange acknowledges that adjustment of 
transactions is contrary to the operation of analogous rules applicable 
to the equities markets, where erroneous transactions are typically 
nullified rather than adjusted and where there is no distinction 
between the types of market participants involved in a transaction. For 
the reasons set forth below, the Exchange believes that the 
distinctions in market structure between equities and options markets 
continue to support these distinctions between the rules for handling 
obvious errors in the equities and options markets. The Exchange also 
believes that the Proposed Rule properly balances several competing 
concerns based on the structure of the options markets.
    Various general structural differences between the options and 
equities markets point toward the need for a different balancing of 
risks for options market participants and are reflected in the Proposed 
Rule. Option pricing is formulaic and is tied to the price of the 
underlying stock, the volatility of the underlying security and other 
factors. Because options market participants can generally create new 
open interest in response to trading demand, as new open interest is 
created, correlated trades in the underlying or related series are 
generally also executed to hedge a market participant's risk. This 
pairing of open interest with hedging interest differentiates the 
options market specifically (and the derivatives markets broadly) from 
the cash equities markets. In turn, the Exchange believes that the 
hedging transactions engaged in by market participants necessitates 
protection of transactions through adjustments rather than 
nullifications when possible and otherwise appropriate.
    The options markets are also quote driven markets dependent on 
liquidity providers to an even greater extent than equities markets. In 
contrast to the approximately 7,000 different securities traded in the 
U.S. equities markets each day, there are more than 500,000 unique, 
regularly quoted option series. Given this breadth in options series 
the options markets are more dependent on liquidity providers than 
equities markets; such liquidity is provided most commonly by 
registered market makers but also by other professional traders. With 
the number of instruments in which registered market makers must quote 
and the risk attendant with quoting so many products simultaneously, 
the Exchange believes that those liquidity providers should be afforded 
a greater level of protection. In particular, the Exchange believes 
that liquidity providers should be allowed protection of their trades 
given the fact that they typically engage in hedging activity to 
protect them from significant financial risk to encourage continued 
liquidity provision and maintenance of the quote-driven options 
markets.
    In addition to the factors described above, there are other 
fundamental differences between options and equities markets which lend 
themselves to different treatment of different classes of participants 
that are reflected in the Proposed Rule. For example, there is no trade 
reporting facility in the options markets. Thus, all transactions must 
occur on an options exchange. This leads to significantly greater 
retail customer participation directly on exchanges than in the 
equities markets, where a significant amount of retail customer 
participation never reaches the Exchange but is instead executed in 
off-exchange venues such as alternative trading systems, broker-dealer 
market making desks and internalizers. In turn, because of such direct 
retail customer participation, the exchanges have taken steps to afford 
those retail customers--generally Priority Customers--more favorable 
treatment in some circumstances.
Definitions
    The Exchange proposes to adopt various definitions that will be 
used in the Proposed Rule, as described below.
    First, the Exchange proposes to adopt a definition of ``Customer,'' 
to make clear that this term would not include any broker-dealer, 
Professional Customer, or Voluntary Professional Customer.\3\ Although 
other portions of the Exchange's rules address the capacity of market 
participants, including customers, the proposed definition is 
consistent with such rules and the Exchange believes it is important 
for all options exchanges to have the same definition of Customer in 
the context of nullifying and adjusting trades in order to have 
harmonized rules. As set forth in detail below, orders on behalf of a 
Customer are in many cases treated differently than non-Customer orders 
in light of the fact that Customers are not necessarily immersed in the 
day-to-day trading of the markets, are less likely to be watching 
trading activity in a particular option throughout the day, and may 
have limited funds in their trading accounts.
---------------------------------------------------------------------------

    \3\ A ``Professional'' is any person or entity that (i) is not a 
broker or dealer in securities; and (ii) places more than 390 orders 
in listed options per day on average during a calendar month for its 
own beneficial account(s). See Rule 1.1. A ``Voluntary 
Professional'' is any person or entity that is not a broker or 
dealer in securities that elects, in writing, to be treated in the 
same manner as a broker or dealer in securities for purposes of 
various C2 rules. See Rule 1.1.
---------------------------------------------------------------------------

    Second, the Exchange proposes to adopt definitions for both an 
``erroneous sell transaction'' and an ``erroneous buy transaction.'' As 
proposed, an erroneous sell transaction is one in which the price 
received by the person selling the option is erroneously low, and an 
erroneous buy transaction is one in which the price paid by the person 
purchasing the option is erroneously high. This provision helps to 
reduce the possibility that a party can intentionally submit an order 
hoping for the market to move in their favor while knowing that the 
transaction will be nullified or adjusted if the market does not. For 
instance, when a market participant who is buying options in a 
particular series sees an aggressively priced sell order posted on the 
Exchange, and the buyer believes that the price of the options is such 
that it might qualify for obvious error, the option buyer can trade 
with the aggressively priced order, then wait to see which direction 
the market moves. If the market moves in their direction, the buyer 
keeps the trade and if it moves against them, the

[[Page 27394]]

buyer calls the Exchange hoping to get the trade adjusted or busted.
    Third, the Exchange proposes to adopt a definition of ``Official,'' 
which would mean an Officer of the Exchange or such other employee 
designee of the Exchange that is trained in the application of the 
Proposed Rule.
    Fourth, the Exchange proposes to adopt a new term, a ``Size 
Adjustment Modifier,'' which would apply to individual transactions and 
would modify the applicable adjustment for orders under certain 
circumstances, as discussed in further detail below. As proposed, the 
Size Adjustment Modifier will be applied to individual transactions as 
follows:

------------------------------------------------------------------------
   Number of contracts per execution        Adjustment--TP Plus/Minus
------------------------------------------------------------------------
1-50...................................  N/A.
51-250.................................  2 times adjustment amount.
251-1000...............................  2.5 times adjustment amount.
1001 or more...........................  3 times adjustment amount.
------------------------------------------------------------------------

    The Size Adjustment Modifier attempts to account for the additional 
risk that the parties to the trade undertake for transactions that are 
larger in scope. The Exchange believes that the Size Adjustment 
Modifier creates additional incentives to prevent more impactful 
Obvious Errors and it lessens the impact on the contra-party to an 
adjusted trade. The Exchange notes that these contra-parties may have 
preferred to only trade the size involved in the transaction at the 
price at which such trade occurred, and in trading larger size has 
committed a greater level of capital and bears a larger hedge risk.
    When setting the proposed size adjustment modifier thresholds the 
Exchange has tried to correlate the size breakpoints with typical small 
and larger ``block'' execution sizes of underlying stock. For instance, 
SEC Rule 10b-18(a)(5)(ii) defines a ``block'' as a quantity of stock 
that is at least 5,000 shares and a purchase price of at least $50,000, 
among others.\4\ Similarly, NYSE Rule 72 defines a ``block'' as an 
order to buy or sell ``at least 10,000 shares or a quantity of stock 
having a market value of $200,000 or more, whichever is less.'' Thus, 
executions of 51 to 100 option contracts, which are generally 
equivalent to executions of 5,100 and 10,000 shares of underlying 
stock, respectively, are proposed to be subject to the lowest size 
adjustment modifier. An execution of over 1,000 contracts is roughly 
equivalent to a block transaction of more than 100,000 shares of 
underlying stock, and is proposed to be subject to the highest size 
adjustment modifier. The Exchange has correlated the proposed size 
adjustment modifier thresholds to smaller and larger scale blocks 
because the Exchange believes that the execution cost associated with 
transacting in block sizes scales according to the size of the block. 
In other words, in the same way that executing a 100,000 share stock 
order will have a proportionately larger market impact and will have a 
higher overall execution cost than executing a 500, 1,000 or 5,000 
share order in the same stock, all other market factors being equal, 
executing a 1,000 option contract order will have a larger market 
impact and higher overall execution cost than executing a 5, 10 or 50 
contract option order.
---------------------------------------------------------------------------

    \4\ See 17 CFR 240.10b-18(a)(5)(ii).
---------------------------------------------------------------------------

Calculation of Theoretical Price
Theoretical Price in Normal Circumstances
    Under both the Current Rule and the Proposed Rule, when reviewing a 
transaction as potentially erroneous, the Exchange needs to first 
determine the ``Theoretical Price'' of the option, i.e., the Exchange's 
estimate of the correct market price for the option. Pursuant to the 
Proposed Rule, if the applicable option series is traded on at least 
one other options exchange, then the Theoretical Price of an option 
series is the last national best bid (``NBB'') just prior to the trade 
in question with respect to an erroneous sell transaction or the last 
national best offer (``NBO'') just prior to the trade in question with 
respect to an erroneous buy transaction unless one of the exceptions 
described below exists. Thus, the Exchange proposes that whenever the 
Exchange has a reliable NBB or NBO, as applicable, just prior to the 
transaction, then the Exchange will use this NBB or NBO as the 
Theoretical Price.
    The Exchange also proposes to specify in the Proposed Rule that 
when a single order received by the Exchange is executed at multiple 
price levels, the last NBB and last NBO just prior to the trade in 
question would be the last NBB and last NBO just prior to the 
Exchange's receipt of the order.
    The Exchange also proposes to set forth in the Proposed Rule 
various provisions governing specific situations where the NBB or NBO 
is not available or may not be reliable. Specifically, the Exchange is 
proposing additional detail specifying situations in which there are no 
quotes or no valid quotes (as defined below), when the national best 
bid or offer (``NBBO'') is determined to be too wide to be reliable, 
and at the open of trading on each trading day.
No Valid Quotes
    As is true under the Current Rule, pursuant to the Proposed Rule 
the Exchange will determine the Theoretical Price if there are no 
quotes or no valid quotes for comparison purposes. As proposed, quotes 
that are not valid are all quotes in the applicable option series 
published at a time where the last NBB is higher than the last NBO in 
such series (a ``crossed market''), quotes published by the Exchange 
that were submitted by either party to the transaction in question, and 
quotes published by another options exchange against which the Exchange 
has declared self-help. Thus, in addition to scenarios where there are 
literally no quotes to be used as Theoretical Price, the Exchange will 
exclude quotes in certain circumstances if such quotes are not deemed 
valid. The Proposed Rule is consistent with the Exchange's application 
of the Current Rule but the descriptions of the various scenarios where 
the Exchange considers quotes to be invalid represent additional detail 
that is not included in the Current Rule.
    The Exchange notes that Exchange personnel currently are required 
to determine Theoretical Price in certain circumstances. While the 
Exchange continues to pursue alternative solutions that might further 
enhance the objectivity and consistency of determining Theoretical 
Price, the Exchange believes that the discretion currently afforded to 
Exchange Officials is appropriate in the absence of a reliable NBBO 
that can be used to set the Theoretical Price. Under the Current Rule, 
Exchange personnel will generally consult and refer to data such as the 
prices of related series, especially the closest strikes in the option 
in question. Exchange personnel may also take into account the price of 
the underlying security and the volatility characteristics of the 
option as well as historical pricing of the option and/or similar 
options.
Wide Quotes
    Similarly, pursuant to the Proposed Rule the Exchange will 
determine the Theoretical Price if the bid/ask differential of the NBB 
and NBO for the affected series just prior to the erroneous transaction 
was equal to or greater than the Minimum Amount set forth below and 
there was a bid/ask differential less than the Minimum Amount during 
the 10 seconds prior to the transaction. If there was no bid/ask 
differential less than the Minimum Amount during the 10 seconds prior 
to

[[Page 27395]]

the transaction then the Theoretical Price of an option series is the 
last NBB or NBO just prior to the transaction in question. The Exchange 
proposes to use the following chart to determine whether a quote is too 
wide to be reliable:

------------------------------------------------------------------------
                                                               Minimum
                 Bid price at time of trade                     amount
------------------------------------------------------------------------
Below $2.00................................................        $0.75
$2.00 to $5.00.............................................         1.25
Above $5.00 to $10.00......................................         1.50
Above $10.00 to $20.00.....................................         2.50
Above $20.00 to $50.00.....................................         3.00
Above $50.00 to $100.00....................................         4.50
Above $100.00..............................................         6.00
------------------------------------------------------------------------

    The Exchange notes that the values set forth above generally 
represent a multiple of 3 times the bid/ask differential requirements 
of other options exchanges, with certain rounding applied (e.g., $1.25 
as proposed rather than $1.20).\5\ The Exchange believes that basing 
the Wide Quote table on a multiple of the permissible bid/ask 
differential rule provides a reasonable baseline for quotations that 
are indeed so wide that they cannot be considered reliable for purposes 
of determining Theoretical Price unless they have been consistently 
wide. As described above, while the Exchange will determine Theoretical 
Price when the bid/ask differential equals or exceeds the amount set 
forth in the chart above and within the previous 10 seconds there was a 
bid/ask differential smaller than such amount, if a quote has been 
persistently wide for at least 10 seconds the Exchange will use such 
quote for purposes of Theoretical Price. The Exchange believes that 
there should be a greater level of protection afforded to market 
participants that enter the market when there are liquidity gaps and 
price fluctuations. The Exchange does not believe that a similar level 
of protection is warranted when market participants choose to enter a 
market that is wide and has been consistently wide for some time. Given 
the largely electronic nature of today's markets, the Exchange believes 
the designated time frame is appropriate and is long enough for market 
participants to receive, process, and account for and respond to new 
market information. The table above bases the wide quote provision off 
of bid price in order to provide a relatively straightforward beginning 
point for the analysis.
---------------------------------------------------------------------------

    \5\ See, e.g., NYSE Arca Options Rule 6.37(b)(1).
---------------------------------------------------------------------------

    As an example, assume an option is quoted $3.00 by $6.00 with 50 
contracts posted on each side of the market for an extended period of 
time. If a market participant were to enter a market order to buy 20 
contracts the Exchange believes that the buyer should have a reasonable 
expectation of paying $6.00 for the contracts which they are buying. 
This should be the case even if immediately after the purchase of those 
options, the market conditions change and the same option is then 
quoted at $3.75 by $4.25. Although the quote was wide according to the 
table above at the time immediately prior to and the time of the 
execution of the market order, it was also well established and well 
known. The Exchange believes that an execution at the then prevailing 
market price should not in and of itself constitute an erroneous trade.
Transactions at the Open
    Under the Proposed Rule, for a transaction occurring as part of the 
Opening Process \6\ the Exchange will determine the Theoretical Price 
where there is no NBB or NBO for the affected series just prior to the 
erroneous transaction or if the bid/ask differential of the NBBO just 
prior to the erroneous transaction is equal to or greater than the 
Minimum Amount set forth in the chart proposed for the wide quote 
provision described above. The Exchange believes that this discretion 
is necessary because it is consistent with other scenarios in which the 
Exchange will determine the Theoretical Price if there are no quotes or 
no valid quotes for comparison purposes, including the wide quote 
provision proposed by the Exchange as described above. If, however, 
there are valid quotes and the bid/ask differential of the NBBO is less 
than the Minimum Amount set forth in the chart proposed for the wide 
quote provision described above, then the Exchange will use the NBB or 
NBO just prior to the transaction as it would in any other normal 
review scenario.
---------------------------------------------------------------------------

    \6\ See Exchange Rule 6.11--Openings (and sometimes Closing) for 
a description of the Exchange's Opening Process.
---------------------------------------------------------------------------

    As an example of an erroneous transaction for which the NBBO is 
wide at the open, assume the NBBO at the time of the opening 
transaction is $1.00 x $5.00 and the opening transaction takes place at 
$1.25. The Exchange would be responsible for determining the 
Theoretical Price because the NBBO was wider than the applicable 
minimum amount set forth in the wide quote provision as described 
above. The Exchange believes that it is necessary to determine 
Theoretical Price at the open in the event of a wide quote at the open 
for the same reason that the Exchange has proposed to determine 
Theoretical Price during the remainder of the trading day pursuant to 
the proposed wide quote provision, namely that a wide quote cannot be 
reliably used to determine Theoretical Price because the Exchange does 
not know which of the two quotes, the NBB or the NBO, is closer to the 
real value of the option.
Obvious Errors
    The Exchange proposes to adopt numerical thresholds that would 
qualify transactions as ``Obvious Errors.'' These thresholds are 
similar to those in place under the Current Rule. As proposed, a 
transaction will qualify as an Obvious Error if the Exchange receives a 
properly submitted filing and the execution price of a transaction is 
higher or lower than the Theoretical Price for the series by an amount 
equal to at least the amount shown below:

------------------------------------------------------------------------
                                                               Minimum
                     Theoretical price                          amount
------------------------------------------------------------------------
Below $2.00................................................        $0.25
$2.00 to $5.00.............................................         0.40
Above $5.00 to $10.00......................................         0.50
Above $10.00 to $20.00.....................................         0.80
Above $20.00 to $50.00.....................................         1.00
Above $50.00 to $100.00....................................         1.50
Above $100.00..............................................         2.00
------------------------------------------------------------------------

Applying the Theoretical Price, as described above, to determine the 
applicable threshold and comparing the Theoretical Price to the actual 
execution price provides the Exchange with an objective methodology to 
determine whether an Obvious Error occurred. The Exchange believes that 
the proposed amounts are reasonable as they are generally consistent 
with the standards of the Current Rule and reflect a significant 
disparity from Theoretical Price. The Exchange notes that the Minimum 
Amounts in the Proposed Rule and as set forth above are identical to 
the Current Rule except for the last two categories, for options where 
the Theoretical Price is above $50.00 to $100.00 and above $100.00. The 
Exchange believes that this additional granularity is reasonable 
because given the proliferation of additional strikes that have been 
created in the past several years there are many more high-priced 
options that are trading with open interest for extended periods. The 
Exchange believes that it is appropriate to account for these high-
priced options with additional Minimum Amount levels for options with 
Theoretical Prices above $50.00.
    Under the Proposed Rule, a party that believes that it participated 
in a transaction that was the result of an Obvious Error must notify 
the Exchange's Help Desk in the manner

[[Page 27396]]

specified from time to time by the Exchange in a circular distributed 
to Participants.
    The Exchange also proposes to adopt notification timeframes that 
must be met in order for a transaction to qualify as an Obvious Error. 
Specifically, as proposed a filing must be received by the Exchange 
within thirty (30) minutes of the execution with respect to an 
execution of a Customer order and within fifteen (15) minutes of the 
execution for any other participant. The Exchange also proposes to 
provide additional time for trades that are routed through other 
options exchanges to the Exchange. Under the Proposed Rule, any other 
options exchange will have a total of forty-five (45) minutes for 
Customer orders and thirty (30) minutes for non-Customer orders, 
measured from the time of execution on the Exchange, to file with the 
Exchange for review of transactions routed to the Exchange from that 
options exchange and executed on the Exchange (``linkage trades''). 
This includes filings on behalf of another options exchange filed by a 
third-party routing broker if such third-party broker identifies the 
affected transactions as linkage trades. In order to facilitate timely 
reviews of linkage trades the Exchange will accept filings from either 
the other options exchange or, if applicable, the third-party routing 
broker that routed the applicable order(s). The additional fifteen (15) 
minutes provided with respect to linkage trades shall only apply to the 
extent the options exchange that originally received and routed the 
order to the Exchange itself received a timely filing from the entering 
participant (i.e., within 30 minutes if a Customer order or 15 minutes 
if a non-Customer order). The Exchange believes that additional time 
for filings related to Customer orders is appropriate in light of the 
fact that Customers are not necessarily immersed in the day-to-day 
trading of the markets and are less likely to be watching trading 
activity in a particular option throughout the day. The Exchange 
believes that the additional time afforded to linkage trades is 
appropriate given the interconnected nature of the markets today and 
the practical difficulty that an end user may face in getting requests 
for review filed in a timely fashion when the transaction originated at 
a different exchange than where the error took place. Without this 
additional time the Exchange believes it would be common for a market 
participant to satisfy the filing deadline at the original exchange to 
which an order was routed but that requests for review of executions 
from orders routed to other options exchanges would not qualify for 
review as potential Obvious Errors by the time filings were received by 
such other options exchanges, in turn leading to potentially disparate 
results under the applicable rules of options exchanges to which the 
orders were routed.
    Pursuant to the Proposed Rule, an Official may review a transaction 
believed to be erroneous on his/her own motion in the interest of 
maintaining a fair and orderly market and for the protection of 
investors. This proposed provision is designed to give an Official the 
ability to provide parties relief in those situations where they have 
failed to report an apparent error within the established notification 
period. A transaction reviewed pursuant to the proposed provision may 
be nullified or adjusted only if it is determined by the Official that 
the transaction is erroneous in accordance with the provisions of the 
Proposed Rule, provided that the time deadlines for filing a request 
for review described above shall not apply. The Proposed Rule would 
require the Official to act as soon as possible after becoming aware of 
the transaction; action by the Official would ordinarily be expected on 
the same day that the transaction occurred. However, because a 
transaction under review may have occurred near the close of trading or 
due to unusual circumstances, the Proposed Rule provides that the 
Official shall act no later than 7:30 a.m. Central Time on the next 
trading day following the date of the transaction in question.
    The Exchange also proposes to state that a party affected by a 
determination to nullify or adjust a transaction after an Official's 
review on his or her own motion may appeal such determination in 
accordance with paragraph (m), which is described below, but may not 
seek a review by an Obvious Error Panel under paragraph (k). The 
Proposed Rule would make clear that a determination by an Official not 
to review a transaction or determination not to nullify or adjust a 
transaction for which a review was conducted on an Official's own 
motion is not appealable and further that if a transaction is reviewed 
and a determination is rendered pursuant to another provision of the 
Proposed Rule, no additional relief may be granted by an Official.
    If it is determined that an Obvious Error has occurred based on the 
objective numeric criteria and time deadlines described above, the 
Exchange will adjust or nullify the transaction as described below and 
promptly notify both parties to the trade electronically or via 
telephone. The Exchange proposes different adjustment and nullification 
criteria for Customers and non-Customers.
    As proposed, where neither party to the transaction is a Customer, 
the execution price of the transaction will be adjusted by the Official 
pursuant to the table below.

------------------------------------------------------------------------
                                     Buy transaction    Sell transaction
      Theoretical price  (TP)        adjustment-- TP    adjustment-- TP
                                           Plus              Minus
------------------------------------------------------------------------
Below $3.00.......................              $0.15              $0.15
At or above $3.00.................              $0.30              $0.30
------------------------------------------------------------------------

    The Exchange believes that it is appropriate to adjust to prices a 
specified amount away from Theoretical Price rather than to adjust to 
Theoretical Price because even though the Exchange has determined a 
given trade to be erroneous in nature, the parties in question should 
have had some expectation of execution at the price or prices 
submitted. Also, it is common that by the time it is determined that an 
obvious error has occurred additional hedging and trading activity has 
already occurred based on the executions that previously happened. The 
Exchange is concerned that an adjustment to Theoretical Price in all 
cases would not appropriately incentivize market participants to 
maintain appropriate controls to avoid potential errors.
    Further, as proposed any non-Customer Obvious Error exceeding 50 
contracts will be subject to the Size Adjustment Modifier described 
above. The Exchange believes that it is appropriate to apply the Size 
Adjustment Modifier to non-Customer orders because the hedging cost 
associated with trading larger sized options orders and the market 
impact of larger blocks of underlying can be significant.

[[Page 27397]]

    As an example of the application of the Size Adjustment Modifier, 
assume Exchange A has a quoted bid to buy 50 contracts at $2.50, 
Exchange B has a quoted bid to buy 100 contracts at $2.05 and there is 
no other options exchange quoting a bid priced higher than $2.00. 
Assume that the NBBO is $2.50 by $3.00. Finally, assume that all orders 
quoted and submitted to Exchange B in connection with this example are 
non-Customer orders.
     Assume Exchange A's quoted bid at $2.50 is either executed 
or cancelled.
     Assume Exchange B immediately thereafter receives an 
incoming market order to sell 100 contracts.
     The incoming order would be executed against Exchange B's 
resting bid at $2.05 for 100 contracts.
     Because the 100 contract execution of the incoming sell 
order was priced at $2.05, which is $0.45 below the Theoretical Price 
of $2.50, the 100 contract execution would qualify for adjustment as an 
Obvious Error.
     The normal adjustment process would adjust the execution 
of the 100 contracts to $2.35 per contract, which is the Theoretical 
Price minus $0.15.
     However, because the execution would qualify for the Size 
Adjustment Modifier of 2 times the adjustment price, the adjusted 
transaction would instead be to $2.20 per contract, which is the 
Theoretical Price minus $0.30.
    By reference to the example above, the Exchange reiterates that it 
believes that a Size Adjustment Modifier is appropriate, as the buyer 
in this example was originally willing to buy 100 contracts at $2.05 
and ended up paying $2.20 per contract for such execution. Without the 
Size Adjustment Modifier the buyer would have paid $2.35 per contract. 
Such buyer may be advantaged by the trade if the Theoretical Price is 
indeed closer to $2.50 per contract, however the buyer may not have 
wanted to buy so many contracts at a higher price and does incur 
increasing cost and risk due to the additional size of their quote. 
Thus, the proposed rule is attempting to strike a balance between 
various competing objectives, including recognition of cost and risk 
incurred in quoting larger size and incentivizing market participants 
to maintain appropriate controls to avoid errors.
    In contrast to non-Customer orders, where trades will be adjusted 
if they qualify as Obvious Errors, pursuant the Proposed Rule a trade 
that qualifies as an Obvious Error will be nullified where at least one 
party to the Obvious Error is a Customer. The Exchange also proposes, 
however, that if any Participant submits requests to the Exchange for 
review of transactions pursuant to the Proposed Rule, and in aggregate 
that Participant has 200 or more Customer transactions under review 
concurrently and the orders resulting in such transactions were 
submitted during the course of 2 minutes or less, where at least one 
party to the Obvious Error is a non-Customer, the Exchange will apply 
the non-Customer adjustment criteria described above to such 
transactions. The Exchange based its proposal of 200 transactions on 
the fact that the proposed level is reasonable as it is representative 
of an extremely large number of orders submitted to the Exchange that 
are, in turn, possibly erroneous. Similarly, the Exchange based its 
proposal of orders received in 2 minutes or less on the fact that this 
is a very short amount of time under which one Participant could 
generate multiple erroneous transactions. In order for a participant to 
have more than 200 transactions under review concurrently when the 
orders triggering such transactions were received in 2 minutes or less, 
the market participant will have far exceeded the normal behavior of 
customers deserving protected status.\7\ While the Exchange continues 
to believe that it is appropriate to nullify transactions in such a 
circumstance if both participants to a transaction are Customers, the 
Exchange does not believe it is appropriate to place the overall risk 
of a significant number of trade breaks on non-Customers that in the 
normal course of business may have engaged in additional hedging 
activity or trading activity based on such transactions. Thus, the 
Exchange believes it is necessary and appropriate to protect non-
Customers in such a circumstance by applying the non-Customer 
adjustment criteria, and thus adjusting transactions as set forth 
above, in the event a Participant has more than 200 transactions under 
review concurrently.
---------------------------------------------------------------------------

    \7\ The Exchange notes that in the third quarter of this year 
across all options exchanges the average number of valid Customer 
orders received and executed was less than 38 valid orders every two 
minutes. The number of obvious errors resulting from valid orders 
is, of course, a very small fraction of such orders.
---------------------------------------------------------------------------

Catastrophic Errors
    Consistent with the Current Rule, the Exchange proposes to adopt 
separate numerical thresholds for review of transactions for which the 
Exchange does not receive a filing requesting review within the Obvious 
Error timeframes set forth above. Based on this review these 
transactions may qualify as ``Catastrophic Errors.'' As proposed, a 
Catastrophic Error will be deemed to have occurred when the execution 
price of a transaction is higher or lower than the Theoretical Price 
for the series by an amount equal to at least the amount shown below:

------------------------------------------------------------------------
                                                               Minimum
                     Theoretical price                          amount
------------------------------------------------------------------------
Below $2.00................................................        $0.50
$2.00 to $5.00.............................................         1.00
Above $5.00 to $10.00......................................         1.50
Above $10.00 to $20.00.....................................         2.00
Above $20.00 to $50.00.....................................         2.50
Above $50.00 to $100.00....................................         3.00
Above $100.00..............................................         4.00
------------------------------------------------------------------------

    Based on industry feedback on the Catastrophic Error thresholds set 
forth under the Current Rule, the thresholds proposed as set forth 
above are more granular and lower (i.e., more likely to qualify) than 
the thresholds under the Current Rule. As noted above, under the 
Proposed Rule as well as the Current Rule, parties have additional time 
to submit transactions for review as Catastrophic Errors. As proposed, 
notification requesting review must be received by the Exchange's Help 
Desk by 7:30 a.m. Central Time on the first trading day following the 
execution. For transactions in an expiring options series that take 
place on an expiration day, a party must notify the Exchange's Help 
Desk within 45 minutes after the close of trading that same day. As is 
true for requests for review under the Obvious Error provision of the 
Proposed Rule, a party requesting review of a transaction as a 
Catastrophic Error must notify the Exchange's Help Desk in the manner 
specified from time to time by the Exchange in a circular distributed 
to Participants. By definition, any execution that qualifies as a 
Catastrophic Error is also an Obvious Error. However, the Exchange 
believes it is appropriate to maintain these two types of errors 
because the Catastrophic Error provisions provide market participants 
with a longer notification period under which they may file a request 
for review with the Exchange of a potential Catastrophic Error than a 
potential Obvious Error. This provides an additional level of 
protection for transactions that are severely erroneous even in the 
event a participant does not submit a request for review in a timely 
fashion.
    The Proposed Rule would specify that relief under the catastrophic 
error provision would not be granted under paragraph (d) if an Obvious 
Error Panel has previously rendered a decision with respect to the 
transaction(s) in question. In addition, if it is determined that a 
Catastrophic Error has not occurred, the

[[Page 27398]]

Participant will be subject to a charge of $5,000. The Proposed Rule 
also specifies the action to be taken by the Exchange if it is 
determined that a Catastrophic Error has occurred, as described below, 
and would require the Exchange to promptly notify both parties to the 
trade electronically or via telephone. In the event of a Catastrophic 
Error, the execution price of the transaction will be adjusted by the 
Official pursuant to the table below.

------------------------------------------------------------------------
                                     Buy transaction    Sell transaction
      Theoretical price  (TP)        adjustment-- TP    adjustment-- TP
                                           Plus              Minus
------------------------------------------------------------------------
Below $2.00.......................              $0.50              $0.50
$2.00 to $5.00....................               1.00               1.00
Above $5.00 to $10.00.............               1.50               1.50
Above $10.00 to $20.00............               2.00               2.00
Above $20.00 to $50.00............               2.50               2.50
Above $50.00 to $100.00...........               3.00               3.00
Above $100.00.....................               4.00               4.00
------------------------------------------------------------------------

    Although Customer orders would be adjusted in the same manner as 
non-Customer orders, any Customer order that qualifies as a 
Catastrophic Error will be nullified if the adjustment would result in 
an execution price higher (for buy transactions) or lower (for sell 
transactions) than the Customer's limit price. Based on industry 
feedback, the levels proposed above with respect to adjustment amounts 
are the same levels as the thresholds at which a transaction may be 
deemed a Catastrophic Error pursuant to the chart set forth above.
    As is true for Obvious Errors as described above, the Exchange 
believes that it is appropriate to adjust to prices a specified amount 
away from Theoretical Price rather than to adjust to Theoretical Price 
because even though the Exchange has determined a given trade to be 
erroneous in nature, the parties in question should have had some 
expectation of execution at the price or prices submitted. Also, it is 
common that by the time it is determined that a Catastrophic Error has 
occurred additional hedging and trading activity has already occurred 
based on the executions that previously happened. The Exchange is 
concerned that an adjustment to Theoretical Price in all cases would 
not appropriately incentivize market participants to maintain 
appropriate controls to avoid potential errors. Further, the Exchange 
believes it is appropriate to maintain a higher adjustment level for 
Catastrophic Errors than Obvious Errors given the significant 
additional time that can potentially pass before an adjustment is 
requested and applied and the amount of hedging and trading activity 
that can occur based on the executions at issue during such time. For 
the same reasons, other than honoring the limit prices established for 
Customer orders, the Exchange has proposed to treat all market 
participants the same in the context of the Catastrophic Error 
provision. Specifically, the Exchange believes that treating market 
participants the same in this context will provide additional certainty 
to market participants with respect to their potential exposure and 
hedging activities, including comfort that even if a transaction is 
later adjusted (i.e., past the standard time limit for filing under the 
Obvious Error provision), such transaction will not be fully nullified. 
However, as noted above, under the Proposed Rule where at least one 
party to the transaction is a Customer, the trade will be nullified if 
the adjustment would result in an execution price higher (for buy 
transactions) or lower (for sell transactions) than the Customer's 
limit price. The Exchange has retained the protection of a Customer's 
limit price in order to avoid a situation where the adjustment could be 
to a price that the Customer could not afford, which is less likely to 
be an issue for a market professional.
Significant Market Events
    In order to improve consistency for market participants in the case 
of a widespread market event and in light of the interconnected nature 
of the options exchanges, the Exchange proposes to adopt a new 
provision that calls for coordination between the options exchanges in 
certain circumstances and provides limited flexibility in the 
application of other provisions of the Proposed Rule in order to 
promptly respond to a widespread market event.\8\ The Exchange proposes 
to describe such an event as a Significant Market Event, and to set 
forth certain objective criteria that will determine whether such an 
event has occurred. The Exchange developed these objective criteria in 
consultation with the other options exchanges by reference to 
historical patterns and events with a goal of setting thresholds that 
very rarely will be triggered so as to limit the application of the 
provision to truly significant market events. As proposed, a 
Significant Market Event will be deemed to have occurred when proposed 
criterion (A) below is met or exceeded or the sum of all applicable 
event statistics, where each is expressed as a percentage of the 
relevant threshold in criteria (A) through (D) below, is greater than 
or equal to 150% and 75% or more of at least one category is reached, 
provided that no single category can contribute more than 100% to the 
sum. All criteria set forth below will be measured in aggregate across 
all exchanges.
---------------------------------------------------------------------------

    \8\ Although the Exchange has proposed a specific provision 
related to coordination amongst options exchanges in the context of 
a widespread event, the Exchange does not believe that the 
Significant Market Event provision or any other provision of the 
proposed rule alters the Exchange's ability to coordinate with other 
options exchanges in the normal course of business with respect to 
market events or activity. The Exchange does already coordinate with 
other options exchanges to the extent possible if such coordination 
is necessary to maintain a fair and orderly market and/or to fulfill 
the Exchange's duties as a self-regulatory organization.
---------------------------------------------------------------------------

    The proposed criteria for determining a Significant Market Event 
are as follows:
    (A) Transactions that are potentially erroneous would result in a 
total Worst-Case Adjustment Penalty of $30,000,000, where the Worst-
Case Adjustment Penalty is computed as the sum, across all potentially 
erroneous trades, of: (i) $0.30 (i.e., the largest Transaction 
Adjustment value listed in sub-paragraph (e)(3)(A) below); times; (ii) 
the contract multiplier for each traded contract; times (iii) the 
number of contracts for each trade; times (iv) the appropriate Size 
Adjustment Modifier for each trade, if any, as defined in sub-paragraph 
(e)(3)(A) below;
    (B) Transactions involving 500,000 options contracts are 
potentially erroneous;
    (C) Transactions with a notional value (i.e., number of contracts 
traded multiplied by the option premium

[[Page 27399]]

multiplied by the contract multiplier) of $100,000,000 are potentially 
erroneous;
    (D) 10,000 transactions are potentially erroneous.
    As described above, the Exchange proposes to adopt a the Worst Case 
Adjustment Penalty, proposed as criterion (A), which is the only 
criterion that can on its own result in an event being designated as a 
significant market event. The Worst Case Adjustment Penalty is intended 
to develop an objective criterion that can be quickly determined by the 
Exchange in consultation with other options exchanges that approximates 
the total overall exposure to market participants on the negatively 
impacted side of each transaction that occurs during an event. If the 
Worst Case Adjustment criterion is equal to or exceeds $30,000,000, 
then an event is a Significant Market Event. As an example of the Worst 
Case Adjustment Penalty, assume that a single potentially erroneous 
transaction in an event is as follows: sale of 100 contracts of a 
standard option (i.e., an option with a 100 share multiplier). The 
highest potential adjustment penalty for this single transaction would 
be $6,000, which would be calculated as $0.30 times 100 (contract 
multiplier) times 100 (number of contracts) times 2 (applicable Size 
Adjustment Modifier). The Exchange would calculate the highest 
potential adjustment penalty for each of the potentially erroneous 
transactions in the event and the Worst Case Adjustment Penalty would 
be the sum of such penalties on the Exchange and all other options 
exchanges with affected transactions.
    As described above, under the Proposed Rule if the Worst Case 
Adjustment Penalty does not equal or exceed $30,000,000, then a 
Significant Market Event has occurred if the sum of all applicable 
event statistics (expressed as a percentage of the relevant 
thresholds), is greater than or equal to 150% and 75% or more of at 
least one category is reached. The Proposed Rule further provides that 
no single category can contribute more than 100% to the sum. As an 
example of the application of this provision, assume that in a given 
event across all options exchanges that: (A) The Worst Case Adjustment 
Penalty is $12,000,000 (40% of $30,000,000), (B) 300,000 options 
contracts are potentially erroneous (60% of 500,000), (C) the notional 
value of potentially erroneous transactions is $30,000,000 (30% of 
$100,000,000), and (D) 12,000 transactions are potentially erroneous 
(120% of 10,000). This event would qualify as a Significant Market 
Event because the sum of all applicable event statistics would be 230%, 
far exceeding the 150% threshold. The 230% sum is reached by adding 
40%, 60%, 30% and last, 100% (i.e., rounded down from 120%) for the 
number of transactions. The Exchange notes that no single category can 
contribute more than 100% to the sum and any category contributing more 
than 100% will be rounded down to 100%.
    As an alternative example, assume a large-scale event occurs 
involving low-priced options with a small number of contracts in each 
execution. Assume in this event across all options exchanges that: (A) 
The Worst Case Adjustment Penalty is $600,000 (2% of $30,000,000), (B) 
20,000 options contracts are potentially erroneous (4% of 500,000), (C) 
the notional value of potentially erroneous transactions is $20,000,000 
(20% of $100,000,000), and (D) 20,000 transactions are potentially 
erroneous (200% of 10,000, but rounded down to 100%). This event would 
not qualify as a Significant Market Event because the sum of all 
applicable event statistics would be 126%, below the 150% threshold. 
The Exchange reiterates that as proposed, even when a single category 
other than criterion (A) is fully met, that does not necessarily 
qualify an event as a Significant Market Event.
    The Exchange believes that the breadth and scope of the obvious 
error rules are appropriate and sufficient for handling of typical and 
common obvious errors. Coordination between and among the exchanges 
should generally not be necessary even when a Participant has an error 
that results in executions on more than one exchange. In setting the 
thresholds above the Exchange believes that the requirements will be 
met only when truly widespread and significant errors happen and the 
benefits of coordination and information sharing far outweigh the costs 
of the logistics of additional intra-exchange coordination. The 
Exchange notes that in addition to its belief that the proposed 
thresholds are sufficiently high, the Exchange has proposed the 
requirement that either criterion (A) is met or the sum of applicable 
event statistics for proposed (A) through (D) equals or exceeds 150% in 
order to ensure that an event is sufficiently large but also to avoid 
situations where an event is extremely large but just misses potential 
qualifying thresholds. For instance, the proposal is designed to help 
avoid a situation where the Worst Case Adjustment Penalty is 
$15,000,000, so the event does not qualify based on criterion (A) 
alone, but there are transactions in 490,000 options contracts that are 
potentially erroneous (missing criterion (B) by 10,000 contracts), 
there transactions with a notional value of $99,000,000 (missing 
criterion (C) by $1,000,000), and there are 9,000 potentially erroneous 
transactions overall (missing criterion (D) by 1,000 transactions). The 
Exchange believes that the proposed formula, while slightly more 
complicated than simply requiring a certain threshold to be met in each 
category, may help to avoid inapplicability of the proposed provisions 
in the context of an event that would be deemed significant by most 
subjective measures but that barely misses each of the objective 
criteria proposed by the Exchange.
    To ensure consistent application across options exchanges, in the 
event of a suspected Significant Market Event, the Exchange shall 
initiate a coordinated review of potentially erroneous transactions 
with all other affected options exchanges to determine the full scope 
of the event. Under the Proposed Rule, the Exchange will promptly 
coordinate with the other options exchanges to determine the 
appropriate review period as well as select one or more specific points 
in time prior to the transactions in question and use one or more 
specific points in time to determine Theoretical Price. Other than the 
selected points in time, if applicable, the Exchange will determine 
Theoretical Price as described above. For example, around the start of 
a SME that is triggered by a large and aggressively priced buy order, 
three exchanges have multiple orders on the offer side of the market: 
Exchange A has offers priced at $2.20, $2.25, $2.30 and several other 
price levels to $3.00, Exchange B has offers at $2.45, $2.30 and 
several other price levels to $3.00, Exchange C has offers at price 
levels between $2.50 and $3.00. Assume an event occurs starting at 
9:05:25 a.m. CT and in this particular series the executions begin on 
Exchange A and subsequently begin to occur on Exchanges B and C. 
Without coordination and information sharing between the exchanges, 
Exchange B and Exchange C cannot know with certainty that whether or 
not the execution at Exchange A that happened at $2.20 immediately 
prior to their executions at $2.45 and $2.50 is part of the same 
erroneous event or not. With proper coordination, the exchanges can 
determine that in this series, the proper point in time from which the 
event should be analyzed is 9:05:25 a.m. CT, and thus, the NBO of $2.20 
should be used as the Theoretical Price for purposes of all buy 
transactions in such

[[Page 27400]]

options series that occurred during the event.
    If it is determined that a Significant Market Event has occurred 
then, using the parameters agreed with respect to the times from which 
Theoretical Price will be calculated, if applicable, an Official will 
determine whether any or all transactions under review qualify as 
Obvious Errors. The Proposed Rule would require the Exchange to use the 
criteria in Proposed Rule 6.15(c), as described above, to determine 
whether an Obvious Error has occurred for each transaction that was 
part of the Significant Market Event. Upon taking any final action, the 
Exchange would be required to promptly notify both parties to the trade 
electronically or via telephone.
    The execution price of each affected transaction will be adjusted 
by an Official to the price provided below, unless both parties agree 
to adjust the transaction to a different price or agree to bust the 
trade.

------------------------------------------------------------------------
                                     Buy transaction    Sell transaction
      Theoretical price  (TP)        adjustment-- TP    adjustment-- TP
                                           Plus              Minus
------------------------------------------------------------------------
Below $3.00.......................              $0.15              $0.15
At or above $3.00.................              $0.30              $0.30
------------------------------------------------------------------------

    Thus, the proposed adjustment criteria for Significant Market 
Events are identical to the proposed adjustment levels for Obvious 
Errors generally. In addition, in the context of a Significant Market 
Event, any error exceeding 50 contracts will be subject to the Size 
Adjustment Modifier described above. Also, the adjustment criteria 
would apply equally to all market participants (i.e., Customers and 
non-Customers) in a Significant Market Event. However, as is true for 
the proposal with respect to Catastrophic Errors, under the Proposed 
Rule where at least one party to the transaction is a Customer, the 
trade will be nullified if the adjustment would result in an execution 
price higher (for buy transactions) or lower (for sell transactions) 
than the Customer's limit price. The Exchange has retained the 
protection of a Customer's limit price in order to avoid a situation 
where the adjustment could be to a price that the Customer could not 
afford, which is less likely to be an issue for a market professional. 
The Exchange has otherwise proposed to treat all market participants 
the same in the context of a Significant Market Event to provide 
additional certainty to market participants with respect to their 
potential exposure as soon as an event has occurred.
    Another significant distinction between the proposed Obvious Error 
provision and the proposed Significant Market Event provision is that 
if the Exchange, in consultation with other options exchanges, 
determines that timely adjustment is not feasible due to the 
extraordinary nature of the situation, then the Exchange will nullify 
some or all transactions arising out of the Significant Market Event 
during the review period selected by the Exchange and other options 
exchanges. To the extent the Exchange, in consultation with other 
options exchanges, determines to nullify less than all transactions 
arising out of the Significant Market Event, those transactions subject 
to nullification will be selected based upon objective criteria with a 
view toward maintaining a fair and orderly market and the protection of 
investors and the public interest. For example, assume a Significant 
Market Event causes 25,000 potentially erroneous transactions and 
impacts 51 options classes. Of the 25,000 transactions, 24,000 of them 
are concentrated in a single options class. The exchanges may decide 
the most appropriate solution because it will provide the most 
certainty to participants and allow for the prompt resumption of 
regular trading is to bust all trades in the most heavily affected 
class between two specific points in time, while the other 1,000 trades 
across the other 50 classes are reviewed and adjusted as appropriate. A 
similar situation might arise directionally where a Customer submits 
both erroneous buy and sell orders and the number of errors that 
happened that were erroneously low priced (i.e., erroneous sell orders) 
were 50,000 in number but the number of errors that were erroneously 
high (i.e., erroneous buy orders) were only 500 in number. The most 
effective and efficient approach that provides the most certainty to 
the marketplace in a reasonable amount of time while most closely 
following the generally prescribed obvious error rules could be to bust 
all of the erroneous sell transactions but to adjust the erroneous buy 
transactions.
    With respect to rulings made pursuant to the proposed Significant 
Market Event provision the Exchange believes that the number of 
affected transactions is such that immediate finality is necessary to 
maintain a fair and orderly market and to protect investors and the 
public interest. Accordingly, rulings by the Exchange pursuant to the 
Significant Market Event provision would be non-appealable pursuant to 
the Proposed Rule.
Additional Provisions
Mutual Agreement
    In addition to the objective criteria described above, the Proposed 
Rule also proposes to make clear that the determination as to whether a 
trade was executed at an erroneous price may be made by mutual 
agreement of the affected parties to a particular transaction. The 
Proposed Rule would state that a trade may be nullified or adjusted on 
the terms that all parties to a particular transaction agree, provided, 
however, that such agreement to nullify or adjust must be conveyed to 
the Exchange in a manner prescribed by the Exchange prior to 7:30 a.m. 
Central Time on the first trading day following the execution.
    The Exchange also proposes to explicitly state that it is 
considered conduct inconsistent with just and equitable principles of 
trade for any Participant to use the mutual adjustment process to 
circumvent any applicable Exchange rule, the Act or any of the rules 
and regulations thereunder. Thus, for instance, a Participant is 
precluded from seeking to avoid applicable trade-through rules by 
executing a transaction and then adjusting such transaction to a price 
at which the Exchange would not have allowed it to execute at the time 
of the execution because it traded through the quotation of another 
options exchange. The Exchange notes that in connection with its 
obligations as a self-regulatory organization, the Exchange's 
Regulatory Department reviews adjustments to transactions to detect 
potential violations of Exchange rules or the Act and the rules and 
regulations thereunder.
Trading Halts
    Exchange Rule 6.32 describes the Exchange's authority to declare 
trading

[[Page 27401]]

halts in one or more options traded on the Exchange. The Exchange 
proposes to make clear in the Proposed Rule that it will nullify any 
transaction that occurs during a trading halt in the affected option on 
the Exchange pursuant to Rule 6.32. If any trades occur notwithstanding 
a trading halt then the Exchange believes it appropriate to nullify 
such transactions. While the Exchange may halt options trading for 
various reasons, such a scenario almost certainly is due to 
extraordinary circumstances and is potentially the result of market-
wide coordination to halt options trading or trading generally. 
Accordingly, the Exchange does not believe it is appropriate to allow 
trades to stand if such trades should not have occurred in the first 
place.
    The Exchange proposes to add Interpretation and Policy .05 to Rule 
6.32. The Interpretation and Policy will also state that the Exchange 
shall nullify any transaction that occurs: (a) During a trading halt in 
the affected option on the Exchange; or (b) with respect to equity 
options (including options overlying ETFs), during a regulatory halt as 
declared by the primary listing market for the underlying security.
Erroneous Print and Quotes in Underlying Security
    Market participants on the Exchange likely base the pricing of 
their orders submitted to the Exchange on the price of the underlying 
security for the option. Thus, the Exchange believes it is appropriate 
to adopt provisions that allow adjustment or nullification of 
transactions based on erroneous prints or erroneous quotes in the 
underlying security.
    The Exchange proposes to adopt language in the Proposed Rule 
stating that a trade resulting from an erroneous print(s) disseminated 
by the underlying market that is later nullified by that underlying 
market shall be adjusted or busted as set forth in the Obvious Error 
provisions of the Proposed Rule, provided a party notifies the 
Exchange's Help Desk in a timely manner, as further described below. 
The Exchange proposes to define a trade resulting from an erroneous 
print(s) as any options trade executed during a period of time for 
which one or more executions in the underlying security are nullified 
and for one second thereafter. The Exchange believes that one second is 
an appropriate amount of time in which an options trade would be 
directly based on executions in the underlying equity security. The 
Exchange also proposes to require that if a party believes that it 
participated in an erroneous transaction resulting from an erroneous 
print(s) pursuant to the proposed erroneous print provision it must 
notify the Exchange's Help Desk within the timeframes set forth in the 
Obvious Error provision described above. The Exchange has also proposed 
to state that the allowed notification timeframe commences at the time 
of notification by the underlying market(s) of nullification of 
transactions in the underlying security. Further, the Exchange proposes 
that if multiple underlying markets nullify trades in the underlying 
security, the allowed notification timeframe will commence at the time 
of the first market's notification.
    As an example of a situation in which a trade results from an 
erroneous print disseminated by the underlying market that is later 
nullified by the underlying market, assume that a given underlying is 
trading in the $49.00-$50.00 price range then has an erroneous print at 
$5.00. Given that there is the potential perception that the underlying 
has gone through a dramatic price revaluation, numerous options trades 
could promptly trigger based off of this new price. However, because 
the price that triggered them was not a valid price it would be 
appropriate to review said option trades when the underlying print that 
triggered them is removed.
    The Exchange also proposes to add a provision stating that a trade 
resulting from an erroneous quote(s) in the underlying security shall 
be adjusted or busted as set forth in the Obvious Error provisions of 
the Proposed Rule, provided a party notifies the Exchange's Help Desk 
in a timely manner, as further described below. Pursuant to the 
Proposed Rule, an erroneous quote occurs when the underlying security 
has a width of at least $1.00 and has a width at least five times 
greater than the average quote width for such underlying security 
during the time period encompassing two minutes before and after the 
dissemination of such quote. For purposes of the Proposed Rule, the 
average quote width will be determined by adding the quote widths of 
sample quotations at regular 15-second intervals during the four-minute 
time period referenced above (excluding the quote(s) in question) and 
dividing by the number of quotes during such time period (excluding the 
quote(s) in question).\9\ Similar to the proposal with respect to 
erroneous prints described above, if a party believes that it 
participated in an erroneous transaction resulting from an erroneous 
quote(s) it must notify the Exchange's Help Desk in accordance with the 
notification provisions of the Obvious Error provision described above. 
The Proposed Rule, therefore, puts the onus on each Participant to 
notify the Exchange if such Participant believes that a trade should be 
reviewed pursuant to either of the proposed provisions, as the Exchange 
is not in position to determine the impact of erroneous prints or 
quotes on individual Participants. The Exchange notes that it does not 
believe that additional time is necessary with respect to a trade based 
on an erroneous quote because a Participant has all information 
necessary to detect the error at the time of an option transaction that 
was triggered by an erroneous quote, which is in contrast to the 
proposed erroneous print provision that includes a dependency on an 
action by the market where the underlying security traded.
---------------------------------------------------------------------------

    \9\ The Exchange has proposed the price and time parameters for 
quote width and average quote width used to determine whether an 
erroneous quote has occurred based on established rules of options 
exchanges that currently apply such parameters. See, e.g., CBOE Rule 
6.25(a)(5); NYSE Arca Rule 6.87(a)(5). Based on discussions with 
these exchanges, the Exchange believes that the parameters are a 
reasonable approach to determine whether an erroneous quote has 
occurred for purposes of the proposed rule.
---------------------------------------------------------------------------

    As an example of a situation in which a trade results from an 
erroneous quote in the underlying security, assume again that a given 
underlying is quoting and trading in the $49.00-$50.00 price range then 
a liquidity gap occurs, with bidders not representing quotes in the 
market place and an offer quoted at $5.00. Quoting may quickly return 
to normal, again in the $49.00-$50.00 price range, but due to the 
potential perception that the underlying has gone through a dramatic 
price revaluation, numerous options trades could trigger based off of 
this new quoted price in the interim. Because the price that triggered 
such trades was not a valid price it would be appropriate to review 
said option trades.
Stop (and Stop-Limit) Order Trades Triggered by Erroneous Trades
    The Exchange notes that certain market participants and their 
customers enter stop or stop limit orders that are triggered based on 
executions in the marketplace. As proposed, transactions resulting from 
the triggering of a stop or stop-limit order by an erroneous trade in 
an option contract shall be nullified by the Exchange, provided a party 
notifies the Exchange's Help Desk in a timely manner as set forth 
below. The Exchange believes it is appropriate to nullify executions of 
stop or stop-limit orders that were wrongly triggered because such 
transactions should not have occurred. If a party believes that it 
participated in an erroneous transaction

[[Page 27402]]

pursuant to the Proposed Rule it must notify the Exchange's Help Desk 
within the timeframes set forth in the Obvious Error Rule above, with 
the allowed notification timeframe commencing at the time of 
notification of the nullification of transaction(s) that triggered the 
stop or stop-limit order.
Linkage Trades
    The Exchange also proposes to adopt language that clearly provides 
the Exchange with authority to take necessary actions when another 
options exchange nullifies or adjusts a transaction pursuant to its 
respective rules and the transaction resulted from an order that has 
passed through the Exchange and been routed on to another options 
exchange on behalf of the Exchange. Specifically, if the Exchange 
routes an order pursuant to the Intermarket Options Linkage Plan \10\ 
that results in a transaction on another options exchange (a ``Linkage 
Trade'') and such options exchange subsequently nullifies or adjusts 
the Linkage Trade pursuant to its rules, the Exchange will perform all 
actions necessary to complete the nullification or adjustment of the 
Linkage Trade. Although the Exchange is not utilizing its own authority 
to nullify or adjust a transaction related to an action taken on a 
Linkage Trade by another options exchange, the Exchange does have to 
assist in the processing of the adjustment or nullification of the 
order, such as notification to the Participant and the OCC of the 
adjustment or nullification. Thus, the Exchange believes that the 
proposed provision adds additional transparency to the Proposed Rule.
---------------------------------------------------------------------------

    \10\ See Securities Exchange Act Release No. 34-54551 (September 
29, 2006), 71 FR 194 (October 6, 2006).
---------------------------------------------------------------------------

Obvious Error Panel
    The Exchange proposes to maintain its current appeals process in 
connection with obvious errors. Specifically, if a party affected by a 
determination made under paragraph (c) so requests within the time 
permitted in paragraph (k)(3) below, an Obvious Error Panel will review 
decisions made under this Rule, including whether an obvious error 
occurred, whether the correct Theoretical Price was used, and whether 
the correct adjustment was made at the correct price. A party may also 
request that the Obvious Error Panel provide relief as required in this 
Rule in cases where the party failed to provide the notification 
required in paragraph (c)(2) and an extension was not granted, but 
unusual circumstances must merit special consideration. A party cannot 
request review by an Obvious Error Panel of determinations by a C2 
Official made pursuant to paragraph (c)(3) of this Rule.
    The Obvious Error Panel will be comprised of representatives from 
four (4) Participants. Two (2) of the representatives must be directly 
engaged in market making activity and two (2) of the representatives 
must be employed by non-Market-Maker Participants.\11\
---------------------------------------------------------------------------

    \11\ The Exchange notes that the Proposed Rule also includes 
Interpretation and Policy .03 and .04, which are being carried over 
from the Current Rule and describes qualification requirements for 
panelists. See Rule 6.15.02 and .03. The same provisions are 
applicable to the Catastrophic Error Panel.
---------------------------------------------------------------------------

    Under Proposed Rule (k)(3) a request for review must be made in 
writing within thirty (30) minutes after a party receives notification 
of the determination being appealed, except that if notification is 
made after 2:30 p.m. Central Time (``CT''), either party has until 8:30 
a.m. CT the next trading day to request review. The Obvious Error Panel 
shall review the facts and render a decision on the day of the 
transaction, or the next trade day in the case where a request is 
properly made the next trade day.
    The Obvious Error Panel may overturn or modify an action taken 
under this Rule upon agreement by a majority of the Panel 
representatives. All determinations by the Obvious Error Panel may be 
appealed in accordance with paragraph (m) of this Rule.
Catastrophic Error Panel
    The Exchange proposes to modify the procedure and function of the 
Catastrophic Error Panel in the Current Rule to conform the appeals 
process for catastrophic errors to the appeals process for obvious 
errors. Under the Current Rule, the Catastrophic Error Panel does not 
review initial determinations regarding catastrophic errors; rather, 
the Catastrophic Error Panel makes initial determinations with regards 
to whether a catastrophic error has occurred. In order to conform to 
the Proposed Rule, which provides that initial determinations regarding 
potential catastrophic errors are made by C2 Officials, the Exchange is 
proposing to adopt procedures similar to the Obvious Error Panel for 
the proposed Catastrophic Error Panel. Specifically, if a party 
affected by a determination made under paragraph (d) so requests within 
the time permitted in paragraph (l)(3), a Catastrophic Error Panel will 
review decisions made under this Rule, including whether a catastrophic 
error occurred, whether the correct Theoretical Price was used, and 
whether the correct adjustment was made at the correct price. The 
composition of the Catastrophic Error Panel will be the same as the 
Obvious Error Panel.
    Additionally, under paragraph (l)(3), a request for review must be 
made in writing within thirty (30) minutes after a party receives 
notification of a determination under paragraph (d), except that if 
notification is made after 2:30 p.m. Central Time (``CT''), either 
party has until 8:30 a.m. CT the next trading day to request review. 
The Catastrophic Error Panel shall review the facts and render a 
decision on the day of the transaction, or the next trade day in the 
case where a request is properly made the next trade day.
    Finally, as with the Obvious Error Panel, the Catastrophic Error 
Panel may overturn or modify an action taken under this Rule upon 
agreement by a majority of the Panel representatives. All 
determinations by the Catastrophic Error Panel may be appealed in 
accordance with paragraph (m) of this Rule.
Review
    Determinations made by an Obvious Error Panel or Catastrophic Error 
Panel can be appealed in accordance with paragraph (m) of the Proposed 
Rule. Paragraph (m) provides that, subject to the limitations contained 
in (c)(3),\12\ a Participant affected by a determination made under 
this Rule may appeal such determination, in accordance with chapter XIX 
of the Exchange's rules. For purposes of this Rule, a Participant must 
be aggrieved as described in Rule 19.1. Notwithstanding any provision 
in Rule 19.2 to the contrary, a request for review must be made in 
writing (in a form and manner prescribed by the Exchange) no later than 
the close of trading on the next trade date after the Participant 
receives notification of such determination from the Exchange.
---------------------------------------------------------------------------

    \12\ Transactions adjusted or nullified under (c)(3) cannot be 
reviewed by an Obvious Error Panel under paragraph (k) but can be 
appealed in accordance with paragraph (m).
---------------------------------------------------------------------------

Limit Up-Limit Down Plan
    The Exchange is proposing to adopt Interpretation and Policy .01 to 
the Proposed Rule to provide for how the Exchange will treat Obvious 
and Catastrophic Errors in response to the Regulation NMS Plan to 
Address Extraordinary Market Volatility Pursuant to Rule 608 of 
Regulation NMS under the Act (the ``Limit Up-Limit

[[Page 27403]]

Down Plan'' or the ``Plan),\13\ which is applicable to all NMS stocks, 
as defined in Regulation NMS Rule 600(b)(47).\14\ Under the Proposed 
Rule, during a pilot period to coincide with the pilot period for the 
Plan, including any extensions to the pilot period for the Plan, an 
execution will not be subject to review as an Obvious Error or 
Catastrophic Error pursuant to paragraph (c) or (d) of the Proposed 
Rule if it occurred while the underlying security was in a ``Limit 
State'' or ``Straddle State,'' as defined in the Plan. The Exchange, 
however, proposes to retain authority to review transactions on an 
Official's own motion pursuant to sub-paragraph (c)(3) of the Proposed 
Rule and to bust or adjust transactions pursuant to the proposed 
Significant Market Event provision, the proposed trading halts 
provision, the proposed provisions with respect to erroneous prints and 
quotes in the underlying security, or the proposed provision related to 
stop and stop limit orders that have been triggered by an erroneous 
execution. The Exchange believes that these safeguards will provide the 
Exchange with the flexibility to act when necessary and appropriate to 
nullify or adjust a transaction, while also providing market 
participants with certainty that, under normal circumstances, the 
trades they affect with quotes and/or orders having limit prices will 
stand irrespective of subsequent moves in the underlying security.
---------------------------------------------------------------------------

    \13\ Securities Exchange Act Release No. 67091 (May 31, 2012), 
77 FR 33498 (June 6, 2012) (order approving the Plan on a pilot 
basis).
    \14\ 17 CFR 242.600(b)(47).
---------------------------------------------------------------------------

    During a Limit or Straddle State, options prices may deviate 
substantially from those available immediately prior to or following 
such States. Thus, determining a Theoretical Price in such situations 
would often be very subjective, creating unnecessary uncertainty and 
confusion for investors. Because of this uncertainty, and consistent 
with the Current Rule, the Exchange proposes to provide that the 
Exchange will not review transactions as Obvious Errors or Catastrophic 
Errors when the underlying security is in a Limit or Straddle State.
    The Exchange represents that it will conduct its own analysis 
concerning the elimination of the Obvious Error and Catastrophic Error 
provisions during Limit and Straddle States and agrees to provide the 
Commission with relevant data to assess the impact of this proposed 
rule change. As part of its analysis, the Exchange will evaluate (1) 
the options market quality during Limit and Straddle States, (2) assess 
the character of incoming order flow and transactions during Limit and 
Straddle States, and (3) review any complaints from Participants and 
their customers concerning executions during Limit and Straddle States. 
The Exchange also agrees to provide to the Commission data requested to 
evaluate the impact of the inapplicability of the Obvious Error and 
Catastrophic Error provisions, including data relevant to assessing the 
various analyses noted above.
    In connection with this proposal, the Exchange will provide to the 
Commission and the public a dataset containing the data for each 
Straddle State and Limit State in NMS Stocks underlying options traded 
on the Exchange beginning in the month during which the proposal is 
approved, limited to those option classes that have at least one (1) 
trade on the Exchange during a Straddle State or Limit State. For each 
of those option classes affected, each data record will contain the 
following information:
     Stock symbol, option symbol, time at the start of the 
Straddle or Limit State, an indicator for whether it is a Straddle or 
Limit State.
     For activity on the Exchange:
    [cir] executed volume, time-weighted quoted bid-ask spread, time-
weighted average quoted depth at the bid, time-weighted average quoted 
depth at the offer;
    [cir] high execution price, low execution price;
    [cir] number of trades for which a request for review for error was 
received during Straddle and Limit States;
    [cir] an indicator variable for whether those options outlined 
above have a price change exceeding 30% during the underlying stock's 
Limit or Straddle State compared to the last available option price as 
reported by OPRA before the start of the Limit or Straddle State (1 if 
observe 30% and 0 otherwise). Another indicator variable for whether 
the option price within five minutes of the underlying stock leaving 
the Limit or Straddle state (or halt if applicable) is 30% away from 
the price before the start of the Limit or Straddle State.
    In addition, by May 29, 2015, the Exchange shall provide to the 
Commission and the public assessments relating to the impact of the 
operation of the Obvious Error rules during Limit and Straddle States 
as follows: (1) Evaluate the statistical and economic impact of Limit 
and Straddle States on liquidity and market quality in the options 
markets; and (2) Assess whether the lack of Obvious Error rules in 
effect during the Straddle and Limit States are problematic. The timing 
of this submission would coordinate with Participants' proposed time 
frame to submit to the Commission assessments as required under 
Appendix B of the Plan. The Exchange notes that the pilot program is 
intended to run concurrent with the pilot period of the Plan, which has 
been extended to October 23, 2015. The Exchange proposes to reflect 
this date in the Proposed Rule.
No Adjustments to a Worse Price
    The Exchange also proposes to include Interpretation and Policy .02 
to the Proposed Rule, which would make clear that to the extent the 
provisions of the proposed Rule would result in the Exchange applying 
an adjustment of an erroneous sell transaction to a price lower than 
the execution price or an erroneous buy transaction to a price higher 
than the execution price, the Exchange will not adjust or nullify the 
transaction, but rather, the execution price will stand.
Arbitration
    Additionally, the Exchange proposes to adopt Interpretation and 
Policy .05, which provides that any determination made by an Official, 
an Obvious Error Panel, or a Catastrophic Error Panel under Proposed 
Rule shall be rendered without prejudice as to the rights of the 
parties to the transaction to submit a dispute to arbitration.
Implementation Date
    In order to ensure that other options exchanges are able to adopt 
rules consistent with this proposal and to coordinate the effectiveness 
of such harmonized rules, the Exchange proposes to delay the operative 
date of this proposal to May 8, 2015.
2. Statutory Basis
    The Exchange believes that its proposal is consistent with the 
requirements of the Act and the rules and regulations thereunder that 
are applicable to a national securities exchange, and, in particular, 
with the requirements of section 6(b) of the Act.\15\ Specifically, the 
proposal is consistent with section 6(b)(5) of the Act \16\ because it 
would promote just and equitable principles of trade, remove 
impediments to, and perfect the mechanism of, a free and open market 
and a national market system, and, in general, protect investors and 
the public interest.
---------------------------------------------------------------------------

    \15\ 15 U.S.C. 78f(b).
    \16\ 15 U.S.C. 78f(b)(5).
---------------------------------------------------------------------------

    As described above, the Exchange and other options exchanges are 
seeking to adopt harmonized rules related to the adjustment and 
nullification of

[[Page 27404]]

erroneous options transactions. The Exchange believes that the Proposed 
Rule will provide greater transparency and clarity with respect to the 
adjustment and nullification of erroneous options transactions. 
Particularly, the proposed changes seek to achieve consistent results 
for participants across U.S. options exchanges while maintaining a fair 
and orderly market, protecting investors and protecting the public 
interest. Based on the foregoing, the Exchange believes that the 
proposal is consistent with section 6(b)(5) of the Act \17\ in that the 
Proposed Rule will foster cooperation and coordination with persons 
engaged in regulating and facilitating transactions.
---------------------------------------------------------------------------

    \17\ 15 U.S.C. 78f(b)(5).
---------------------------------------------------------------------------

    The Exchange believes the various provisions allowing or dictating 
adjustment rather than nullification of a trade are necessary given the 
benefits of adjusting a trade price rather than nullifying the trade 
completely. Because options trades are used to hedge, or are hedged by, 
transactions in other markets, including securities and futures, many 
Participants, and their customers, would rather adjust prices of 
executions rather than nullify the transactions and, thus, lose a hedge 
altogether. As such, the Exchange believes it is in the best interest 
of investors to allow for price adjustments as well as nullifications. 
The Exchange further discusses specific aspects of the Proposed Rule 
below.
    The Exchange does not believe that the proposal is unfairly 
discriminatory, even though it differentiates in many places between 
Customers and non-Customers. The rules of the options exchanges, 
including the Exchange's existing Obvious Error provision, often treat 
Customers differently, often affording them preferential treatment. 
This treatment is appropriate in light of the fact that Customers are 
not necessarily immersed in the day-to-day trading of the markets, are 
less likely to be watching trading activity in a particular option 
throughout the day, and may have limited funds in their trading 
accounts. At the same time, the Exchange reiterates that in the U.S. 
options markets generally there is significant retail customer 
participation that occurs directly on (and only on) options exchanges 
such as the Exchange. Accordingly, differentiating among market 
participants with respect to the adjustment and nullification of 
erroneous options transactions is not unfairly discriminatory because 
it is reasonable and fair to provide Customers with additional 
protections as compared to non-Customers.
    The Exchange believes that its proposal with respect to the 
allowance of mutual agreed upon adjustments or nullifications is 
appropriate and consistent with the Act, as such proposal removes 
impediments to and perfects the mechanism of a free and open market and 
a national market system, allowing participants to mutually agree to 
correct an erroneous transactions without the Exchange mandating the 
outcome. The Exchange also believes that its proposal with respect to 
mutual adjustments is consistent with the Act because it is designed to 
prevent fraudulent and manipulative acts and practices by explicitly 
stating that it is considered conduct inconsistent with just and 
equitable principles of trade for any Participant to use the mutual 
adjustment process to circumvent any applicable Exchange rule, the Act 
or any of the rules and regulations thereunder.
    The Exchange believes its proposal to provide within the Proposed 
Rule definitions of Customer, erroneous sell transaction and erroneous 
buy transaction, and Official is consistent with section 6(b)(5) of the 
Act because such terms will provide more certainty to market 
participants as to the meaning of the Proposed Rule and reduce the 
possibility that a party can intentionally submit an order hoping for 
the market to move in their favor in reliance on the Rule as a safety 
mechanism, thereby promoting just and fair principles of trade. 
Similarly, the Exchange believes that proposed Interpretation and 
Policy .02 is consistent with the Act as it would make clear that the 
Exchange will not adjust or nullify a transaction, but rather, the 
execution price will stand when the applicable adjustment criteria 
would actually adjust the price of the transaction to a worse price 
(i.e., higher for an erroneous buy or lower for an erroneous sell 
order).
    As set forth below, the Exchange believes it is consistent with 
section 6(b)(5) of the Act for the Exchange to determine Theoretical 
Price when the NBBO cannot reasonably be relied upon because the 
alternative could result in transactions that cannot be adjusted or 
nullified even when they are otherwise clearly at a price that is 
significantly away from the appropriate market for the option. 
Similarly, reliance on an NBBO that is not reliable could result in 
adjustment to prices that are still significantly away from the 
appropriate market for the option.
    The Exchange believes that its proposal with respect to determining 
Theoretical Price is consistent with the Act in that it has retained 
the standard of the current rule, which is to rely on the NBBO to 
determine Theoretical Price if such NBBO can reasonably be relied upon. 
Because, however, there is not always an NBBO that can or should be 
used in order to administer the rule, the Exchange has proposed various 
provisions that provide the Exchange with the authority to determine a 
Theoretical Price. The Exchange believes that the Proposed Rule is 
transparent with respect to the circumstances under which the Exchange 
will determine Theoretical Price, and has sought to limit such 
circumstances as much as possible. The Exchange notes that Exchange 
personnel currently are required to determine Theoretical Price in 
certain circumstances. While the Exchange continues to pursue 
alternative solutions that might further enhance the objectivity and 
consistency of determining Theoretical Price, the Exchange believes 
that the discretion currently afforded to Exchange Officials is 
appropriate in the absence of a reliable NBBO that can be used to set 
the Theoretical Price.
    With respect to the specific proposed provisions for determining 
Theoretical Price for transactions that occur as part of the Exchange's 
Opening Process and in situations where there is a wide quote, the 
Exchange believes both provisions are consistent with the Act because 
they provide objective criteria that will determine Theoretical Price 
with limited exceptions for situations where the Exchange does not 
believe the NBBO is a reasonable benchmark or there is no NBBO. The 
Exchange notes in particular with respect to the wide quote provision 
that the Proposed Rule will result in the Exchange determining 
Theoretical Price less frequently than it would pursuant to wide quote 
provisions that have previously been approved. The Exchange believes 
that it is appropriate and consistent with the Act to afford 
protections to market participants by not relying on the NBBO to 
determine Theoretical Price when the quote is extremely wide but had 
been, in the prior 10 seconds, at much more reasonable width. The 
Exchange also believes it is appropriate and consistent with the Act to 
use the NBBO to determine Theoretical Price when the quote has been 
wider than the applicable amount for more than 10 seconds, as the 
Exchange does not believe it is necessary to apply any other criteria 
in such a circumstance. The Exchange believes that market participants 
can easily use or adopt safeguards to prevent errors when such

[[Page 27405]]

market conditions exist. When entering an order into a market with a 
persistently wide quote, the Exchange does not believe that the 
entering party should reasonably expect anything other than the quoted 
price of an option.
    The Exchange believes that its proposal to adopt clear but 
disparate standards with respect to the deadline for submitting a 
request for review of Customer and non-Customer transactions is 
consistent with the Act, particularly in that it creates a greater 
level of protection for Customers. As noted above, the Exchange 
believes that this is appropriate and not unfairly discriminatory in 
light of the fact that Customers are not necessarily immersed in the 
day-to-day trading of the markets and are less likely to be watching 
trading activity in a particular option throughout the day. Thus, 
Participants representing Customer orders reasonably may need 
additional time to submit a request for review. The Exchange also 
believes that its proposal to provide additional time for submission of 
requests for review of linkage trades is reasonable and consistent with 
the protection of investors and the public interest due to the time 
that it might take an options exchange or third-party routing broker to 
file a request for review with the Exchange if the initial notification 
of an error is received by the originating options exchange near the 
end of such options exchange's filing deadline. Without this additional 
time, there could be disparate results based purely on the existence of 
intermediaries and an interconnected market structure.
    In relation to the aspect of the proposal giving Officials the 
ability to review transactions for obvious errors on their own motion, 
the Exchange notes that an Official can adjust or nullify a transaction 
under the authority granted by this provision only if the transaction 
meets the specific and objective criteria for an Obvious Error under 
the Proposed Rule. As noted above, this is designed to give an Official 
the ability to provide parties relief in those situations where they 
have failed to report an apparent error within the established 
notification period. However, the Exchange will only grant relief if 
the transaction meets the requirements for an Obvious Error as 
described in the Proposed Rule.
    The Exchange believes that its proposal to adjust non-Customer 
transactions and to nullify Customer transactions that qualify as 
Obvious Errors is appropriate for reasons consistent with those 
described above. In particular, Customers are not necessarily immersed 
in the day-to-day trading of the markets, are less likely to be 
watching trading activity in a particular option throughout the day, 
and may have limited funds in their trading accounts.
    The Exchange acknowledges that the proposal contains some 
uncertainty regarding whether a trade will be adjusted or nullified, 
depending on whether one of the parties is a Customer, because a party 
may not know whether the other party to a transaction was a Customer at 
the time of entering into the transaction. However, the Exchange 
believes that the proposal nevertheless promotes just and equitable 
principles of trade and protects investors as well as the public 
interest because it eliminates the possibility that a Customer's order 
will be adjusted to a significantly different price. As noted above, 
the Exchange believes it is consistent with the Act to afford Customers 
greater protections under the Proposed Rule than are afforded to non-
Customers. Thus, the Exchange believes that its proposal is consistent 
with the Act in that it protects investors and the public interest by 
providing additional protections to those that are less informed and 
potentially less able to afford an adjustment of a transaction that was 
executed in error. Customers are also less likely to have engaged in 
significant hedging or other trading activity based on earlier 
transactions, and thus, are less in need of maintaining a position at 
an adjusted price than non-Customers.
    If any Participant submits requests to the Exchange for review of 
transactions pursuant to the Proposed Rule, and in aggregate that 
Participant has 200 or more Customer transactions under review 
concurrently and the orders resulting in such transactions were 
submitted during the course of 2 minutes or less, the Exchange believes 
it is appropriate for the Exchange apply the non-Customer adjustment 
criteria described above to such transactions. The Exchange believes 
that the proposed aggregation is reasonable as it is representative of 
an extremely large number of orders submitted to the Exchange over a 
relatively short period of time that are, in turn, possibly erroneous 
(and within a time frame significantly less than an entire day), and 
thus is most likely to occur because of a systems issue experienced by 
a Participant representing Customer orders or a systems issue coupled 
with the erroneous marking of orders. The Exchange does not believe it 
is possible at a level of 200 Customer orders over a 2 minute period 
that are under review at one time that multiple, separate Customers 
were responsible for the errors in the ordinary course of trading. In 
the event of a large-scale issue caused by a Participant that has 
submitted orders over a 2 minute period marked as Customer that 
resulted in more than 200 transactions under review, the Exchange does 
not believe it is appropriate to nullify all such transactions because 
of the negative impact that nullification could have on the market 
participants on the contra-side of such transactions, who might have 
engaged in hedging and trading activity following such transactions. In 
order for a participant to have more than 200 transactions under review 
concurrently when the orders triggering such transactions were received 
in 2 minutes or less, the Exchange believes that a market participant 
will have far exceeded the normal behavior of customers deserving 
protected status. While the Exchange continues to believe that it is 
appropriate to nullify transactions in such a circumstance if both 
participants to a transaction are Customers, the Exchange does not 
believe it is appropriate to place the overall risk of a significant 
number of trade breaks on non-Customers that in the normal course of 
business may have engaged in additional hedging activity or trading 
activity based on such transactions. Thus, the Exchange believes it is 
necessary and appropriate to protect non-Customers in such a 
circumstance by applying the non-Customer adjustment criteria, and thus 
adjusting transactions as set forth above, in the event a Participant 
has more than 200 transactions under review concurrently. In summary, 
due to the extreme level at which the proposal is set, the Exchange 
believes that the proposal is consistent with section 6(b)(5) of the 
Act in that it promotes just and equitable principles of trade by 
encouraging market participants to retain appropriate controls over 
their systems to avoid submitting a large number of erroneous orders in 
a short period of time.
    Similarly, the Exchange believes that the proposed Size Adjustment 
Modifier, which would increase the adjustment amount for non-Customer 
transactions, is appropriate because it attempts to account for the 
additional risk that the parties to the trade undertake for 
transactions that are larger in scope. The Exchange believes that the 
Size Adjustment Modifier creates additional incentives to prevent more 
impactful Obvious Errors and it lessens the impact on the contra-party 
to an adjusted trade. The Exchange notes that these contra-parties may 
have preferred to only trade the size involved in the transaction at

[[Page 27406]]

the price at which such trade occurred, and in trading larger size has 
committed a greater level of capital and bears a larger hedge risk.
    The Exchange similarly believes that its Proposed Rule with respect 
to Catastrophic Errors is consistent with the Act as it affords 
additional time for market participants to file for review of erroneous 
transactions that were further away from the Theoretical Price. At the 
same time, the Exchange believes that the Proposed Rule is consistent 
with the Act in that it generally would adjust transactions, including 
Customer transactions, because this will protect against hedge risk, 
particularly for transactions that may have occurred several hours 
earlier and thus, which all parties to the transaction might presume 
are protected from further modification. Similarly, by providing larger 
adjustment amounts away from Theoretical Price than are set forth under 
the Obvious Error provision, the Catastrophic Error provision also 
takes into account the possibility that the party that was advantaged 
by the erroneous transaction has already taken actions based on the 
assumption that the transaction would stand. The Exchange believes it 
is reasonable to specifically protect Customers from adjustments 
through their limit prices for the reasons stated above, including that 
Customers are less likely to be watching trading throughout the day and 
that they may have less capital to afford an adjustment price. The 
Exchange believes that the proposal provides a fair process that will 
ensure that Customers are not forced to accept a trade that was 
executed in violation of their limit order price. In contrast, market 
professionals are more likely to have engaged in hedging or other 
trading activity based on earlier trading activity, and thus, are more 
likely to be willing to accept an adjustment rather than a 
nullification to preserve their positions even if such adjustment is to 
a price through their limit price.
    The Exchange believes that proposed rule change to adopt the 
Significant Market Event provision is consistent with section 6(b)(5) 
of the Act in that it will foster cooperation and coordination with 
persons engaged in regulating the options markets. In particular, the 
Exchange believes it is important for options exchanges to coordinate 
when there is a widespread and significant event, as commonly, multiple 
options exchanges are impacted in such an event. Further, while the 
Exchange recognizes that the Proposed Rule will not guarantee a 
consistent result for all market participants on every market, the 
Exchange does believe that it will assist in that outcome. For 
instance, if options exchanges are able to agree as to the time from 
which Theoretical Price should be determined and the period of time 
that should be reviewed, the likely disparity between the Theoretical 
Prices used by such exchanges should be very slight and, in turn, with 
otherwise consistent rules, the results should be similar. The Exchange 
also believes that the Proposed Rule is consistent with the Act in that 
it generally would adjust transactions, including Customer 
transactions, because this will protect against hedge risk, 
particularly for liquidity providers that might have been quoting in 
thousands or tens of thousands of different series and might have 
affected executions throughout such quoted series. The Exchange 
believes that when weighing the competing interests between preferring 
a nullification for a Customer transaction and an adjustment for a 
transaction of a market professional, while nullification is 
appropriate in a typical one-off situation that it is necessary to 
protect liquidity providers in a widespread market event because, 
presumably, they will be the most affected by such an event (in 
contrast to a Customer who, by virtue of their status as such, likely 
would not have more than a small number of affected transactions). The 
Exchange believes that the protection of liquidity providers by 
favoring adjustments in the context of Significant Market Events can 
also benefit Customers indirectly by better enabling liquidity 
providers, which provides a cumulative benefit to the market. Also, as 
stated above with respect to Catastrophic Errors, the Exchange believes 
it is reasonable to specifically protect Customers from adjustments 
through their limit prices for the reasons stated above, including that 
Customers are less likely to be watching trading throughout the day and 
that they may have less capital to afford an adjustment price. The 
Exchange believes that the proposal provides a fair process that will 
ensure that Customers are not forced to accept a trade that was 
executed in violation of their limit order price. In contrast, market 
professionals are more likely to have engaged in hedging or other 
trading activity based on earlier trading activity, and thus, are more 
likely to be willing to accept an adjustment rather than a 
nullification to preserve their positions even if such adjustment is to 
a price through their limit price. In addition, the Exchange believes 
it is important to have the ability to nullify some or all transactions 
arising out of a Significant Market Event in the event timely 
adjustment is not feasible due to the extraordinary nature of the 
situation. In particular, although the Exchange has worked to limit the 
circumstances in which it has to determine Theoretical Price, in a 
widespread event it is possible that hundreds if not thousands of 
series would require an Exchange determination of Theoretical Price. In 
turn, if there are hundreds or thousands of trades in such series, it 
may not be practicable for the Exchange to determine the adjustment 
levels for all non-Customer transactions in a timely fashion, and in 
turn, it would be in the public interest to instead more promptly 
deliver a simple, consistent result of nullification.
    The Exchange believes that proposed rule change related to review, 
nullification and/or adjustment of erroneous transactions during a 
trading halt, an erroneous print in the underlying security, an 
erroneous quote in the underlying security, or an erroneous transaction 
in the option with respect to stop and stop limit orders is likewise 
consistent with section 6(b)(5) of the Act because the proposal 
provides for the adjustment or nullification of trades executed at 
erroneous prices through no fault on the part of the trading 
participants. Allowing for Exchange review in such situations will 
promote just and fair principles of trade by protecting investors from 
harm that is not of their own making. Specifically with respect to the 
proposed provisions governing erroneous prints and quotes in the 
underlying security, the Exchange notes that market participants on the 
Exchange base the value of their quotes and orders on the price of the 
underlying security. The provisions regarding errors in prints and 
quotes in the underlying security cover instances where the information 
market participants use to price options is erroneous through no fault 
of their own. In these instances, market participants have little, if 
any, chance of pricing options accurately. Thus, these provisions are 
designed to provide relief to market participants harmed by such errors 
in the prints or quotes of the underlying security.
    The Exchange believes that the proposed provision related to 
Linkage Trades is consistent with the Act because it adds additional 
transparency to the Proposed Rule and makes clear that when a Linkage 
Trade is adjusted or nullified by another options exchange, the 
Exchange will take necessary actions to complete the nullification or 
adjustment of the Linkage Trade.
    The Exchange believes that retaining the same appeals process for 
obvious

[[Page 27407]]

errors as the Exchange maintains under the Current Rule is consistent 
with the Act because such process provides Participants with due 
process in connection with decisions made by Exchange Officials under 
the Proposed Rule. The Exchange believes that this process provides 
fair representation of Participants by ensuring multiple Participants 
are members of any Obvious Error Review Panel, which is consistent with 
sections 6(b)(3) and 6(b)(7) of the Act. The Exchange believes adopting 
a similar appeals process for catastrophic errors is consistent with 
the Act for the same reasons noted above.
    With regard to the portion of the Exchange's proposal related to 
the applicability of the Obvious Error Rule when the underlying 
security is in a Limit or Straddle State, the Exchange believes that 
the proposed rule change is consistent with section 6(b)(5) of the Act 
because it will provide certainty about how errors involving options 
orders and trades will be handled during periods of extraordinary 
volatility in the underlying security. Further, the Exchange believes 
that it is necessary and appropriate in the interest of promoting fair 
and orderly markets to exclude from Rule 6.15 those transactions 
executed during a Limit or Straddle State.
    The Exchange believes the application of the Proposed Rule without 
the proposed provision would be impracticable given the lack of 
reliable NBBO in the options market during Limit and Straddle States, 
and that the resulting actions (i.e., nullified trades or adjusted 
prices) may not be appropriate given market conditions. The Proposed 
Rule change would ensure that limit orders that are filled during a 
Limit State or Straddle State would have certainty of execution in a 
manner that promotes just and equitable principles of trade, removes 
impediments to, and perfects the mechanism of a free and open market 
and a national market system.
    Moreover, given the fact that options prices during brief Limit or 
Straddle States may deviate substantially from those available shortly 
following the Limit or Straddle State, the Exchange believes giving 
market participants time to re-evaluate a transaction would create an 
unreasonable adverse selection opportunity that would discourage 
participants from providing liquidity during Limit or Straddle States. 
In this respect, the Exchange notes that only those orders with a limit 
price will be executed during a Limit or Straddle State. Therefore, on 
balance, the Exchange believes that removing the potential inequity of 
nullifying or adjusting executions occurring during Limit or Straddle 
States outweighs any potential benefits from applying certain 
provisions during such unusual market conditions. Additionally, as 
discussed above, there are additional pre-trade protections in place 
outside of the Obvious and Catastrophic Error Rule that will continue 
to safeguard customers.
    The Exchange notes that under certain limited circumstances the 
Proposed Rule will permit the Exchange to review transactions in 
options that overlay a security that is in a Limit or Straddle State. 
Specifically, an Official will have authority to review a transaction 
on his or her own motion in the interest of maintaining a fair and 
orderly market and for the protection of investors. Furthermore, the 
Exchange will have the authority to adjust or nullify transactions in 
the event of a Significant Market Event, a trading halt in the affected 
option, an erroneous print or quote in the underlying security, or with 
respect to stop and stop limit orders that have been triggered based on 
erroneous trades. The Exchange believes that the safeguards described 
above will protect market participants and will provide the Exchange 
with the flexibility to act when necessary and appropriate to nullify 
or adjust a transaction, while also providing market participants with 
certainty that, under normal circumstances, the trades they effect with 
quotes and/or orders having limit prices will stand irrespective of 
subsequent moves in the underlying security. The right to review those 
transactions that occur during a Limit or Straddle State would allow 
the Exchange to account for unforeseen circumstances that result in 
Obvious or Catastrophic Errors for which a nullification or adjustment 
may be necessary in the interest of maintaining a fair and orderly 
market and for the protection of investors. Similarly, the ability to 
nullify or adjust transactions that occur during a Significant Market 
Event or trading halt, erroneous print or quote in the underlying 
security, or erroneous trade in the option (i.e., stop and stop limit 
orders) may also be necessary in the interest of maintaining a fair and 
orderly market and for the protection of investors. Furthermore, the 
Exchange will administer this provision in a manner that is consistent 
with the principles of the Act and will create and maintain records 
relating to the use of the authority to act on its own motion during a 
Limit or Straddle State or any adjustments or trade breaks based on 
other proposed provisions under the Rule.

B. Self-Regulatory Organization's Statement on Burden on Competition

    C2 does not believe that the proposed rule change will impose any 
burden on competition that is not necessary or appropriate in 
furtherance of the purposes of the Act. Importantly, the Exchange 
believes the proposal will not impose a burden on intermarket 
competition but will rather alleviate any burden on competition because 
it is the result of a collaborative effort by all options exchanges to 
harmonize and improve the process related to the adjustment and 
nullification of erroneous options transactions. The Exchange does not 
believe that the rules applicable to such process is an area where 
options exchanges should compete, but rather, that all options 
exchanges should have consistent rules to the extent possible. 
Particularly where a market participant trades on several different 
exchanges and an erroneous trade may occur on multiple markets nearly 
simultaneously, the Exchange believes that a participant should have a 
consistent experience with respect to the nullification or adjustment 
of transactions. The Exchange understands that all other options 
exchanges intend to file proposals that are substantially similar to 
this proposal.
    The Exchange does not believe that the proposed rule change imposes 
a burden on intramarket competition because the provisions apply to all 
market participants equally within each participant category (i.e., 
Customers and non-Customers). With respect to competition between 
Customer and non-Customer market participants, the Exchange believes 
that the Proposed Rule acknowledges competing concerns and tries to 
strike the appropriate balance between such concerns. For instance, as 
noted above, the Exchange believes that protection of Customers is 
important due to their direct participation in the options markets as 
well as the fact that they are not, by definition, market 
professionals. At the same time, the Exchange believes due to the 
quote-driven nature of the options markets, the importance of liquidity 
provision in such markets and the risk that liquidity providers bear 
when quoting a large breadth of products that are derivative of 
underlying securities, that the protection of liquidity providers and 
the practice of adjusting transactions rather than nullifying them is 
of critical importance. As described above, the Exchange will apply 
specific and objective criteria to determine

[[Page 27408]]

whether an erroneous transaction has occurred and, if so, how to adjust 
or nullify a transaction.

C. Self-Regulatory Organization's Statement on Comments on the Proposed 
Rule Change Received From Members, Participants, or Others

    The Exchange neither solicited nor received comments on the 
proposed rule change.

III. Date of Effectiveness of the Proposed Rule Change and Timing for 
Commission Action

    Because the proposed rule change does not (i) significantly affect 
the protection of investors or the public interest; (ii) impose any 
significant burden on competition; and (iii) become operative for 30 
days from the date on which it was filed, or such shorter time as the 
Commission may designate if consistent with the protection of investors 
and the public interest, the proposed rule change has become effective 
pursuant to section 19(b)(3)(A) of the Act \18\ and Rule 19b-4(f)(6) 
thereunder.\19\
---------------------------------------------------------------------------

    \18\ 15 U.S.C. 78s(b)(3)(A).
    \19\ 17 CFR 240.19b-4(f)(6). As required under Rule 19b-
4(f)(6)(iii), the Exchange provided the Commission with written 
notice of its intent to file the proposed rule change, along with a 
brief description and the text of the proposed rule change, at least 
five business days prior to the date of filing of the proposed rule 
change, or such shorter time as designated by the Commission.
---------------------------------------------------------------------------

    The Exchange has asked the Commission to waive the 30-day operative 
delay so that the proposal may become operative immediately upon 
filing. The Commission believes that waiving the 30-day operative delay 
is consistent with the protection of investors and the public interest, 
as it will enable the Exchange to meet its proposed implementation date 
of May 8, 2015, which will help facilitate the implementation of 
harmonized rules related to the adjustment and nullification of 
erroneous options transactions across the options exchanges. For this 
reason, the Commission designates the proposed rule change to be 
operative upon filing.\20\
---------------------------------------------------------------------------

    \20\ For purposes only of waiving the 30-day operative delay, 
the Commission has also considered the proposed rule's impact on 
efficiency, competition, and capital formation. See 15 U.S.C. 
78c(f).
---------------------------------------------------------------------------

    At any time within 60 days of the filing of the proposed rule 
change, the Commission summarily may temporarily suspend such rule 
change if it appears to the Commission that such action is necessary or 
appropriate in the public interest, for the protection of investors, or 
otherwise in furtherance of the purposes of the Act. If the Commission 
takes such action, the Commission shall institute proceedings to 
determine whether the proposed rule should be approved or disapproved.

IV. Solicitation of Comments

    Interested persons are invited to submit written data, views, and 
arguments concerning the foregoing, including whether the proposed rule 
change is consistent with the Act. Comments may be submitted by any of 
the following methods:

Electronic Comments

     Use the Commission's Internet comment form (http://www.sec.gov/rules/sro.shtml); or
     Send an email to rule-comments@sec.gov. Please include 
File Number SR-C2-2015-012 on the subject line.

Paper Comments

     Send paper comments in triplicate to Brent J. Fields, 
Secretary, Securities and Exchange Commission, 100 F Street NE., 
Washington, DC 20549-1090.

All submissions should refer to File Number SR-C2-2015-012. This file 
number should be included on the subject line if email is used. To help 
the Commission process and review your comments more efficiently, 
please use only one method. The Commission will post all comments on 
the Commission's Internet Web site (http://www.sec.gov/rules/sro.shtml). Copies of the submission, all subsequent amendments, all 
written statements with respect to the proposed rule change that are 
filed with the Commission, and all written communications relating to 
the proposed rule change between the Commission and any person, other 
than those that may be withheld from the public in accordance with the 
provisions of 5 U.S.C. 552, will be available for Web site viewing and 
printing in the Commission's Public Reference Room, 100 F Street NE., 
Washington, DC 20549, on official business days between the hours of 
10:00 a.m. and 3:00 p.m. Copies of the filing also will be available 
for inspection and copying at the principal office of the Exchange. All 
comments received will be posted without change; the Commission does 
not edit personal identifying information from submissions. You should 
submit only information that you wish to make available publicly. All 
submissions should refer to File Number SR-C2-2015-012 and should be 
submitted on or before June 3, 2015.

    For the Commission, by the Division of Trading and Markets, 
pursuant to delegated authority.\21\
---------------------------------------------------------------------------

    \21\ 17 CFR 200.30-3(a)(12).
---------------------------------------------------------------------------

Robert W. Errett,
Deputy Secretary.
[FR Doc. 2015-11485 Filed 5-12-15; 8:45 am]
 BILLING CODE 8011-01-P



                                                    27392                            Federal Register / Vol. 80, No. 92 / Wednesday, May 13, 2015 / Notices

                                                    the purposes of the Act. If the                            available publicly. All submissions                   any comments it received on the
                                                    Commission takes such action, the                          should refer to File Number SR–                       proposed rule change. The text of these
                                                    Commission shall institute proceedings                     NYSEARCA–2015–40, and should be                       statements may be examined at the
                                                    under Section 19(b)(2)(B) 13 of the Act to                 submitted on or before June 3, 2015.                  places specified in Item IV below. The
                                                    determine whether the proposed rule                          For the Commission, by the Division of              Exchange has prepared summaries, set
                                                    change should be approved or                               Trading and Markets, pursuant to delegated            forth in sections A, B, and C below, of
                                                    disapproved.                                               authority.14                                          the most significant aspects of such
                                                                                                               Robert W. Errett,                                     statements.
                                                    IV. Solicitation of Comments
                                                                                                               Deputy Secretary.                                     A. Self-Regulatory Organization’s
                                                      Interested persons are invited to
                                                    submit written data, views, and
                                                                                                               [FR Doc. 2015–11492 Filed 5–12–15; 8:45 am]           Statement of the Purpose of, and
                                                    arguments concerning the foregoing,                        BILLING CODE 8011–01–P                                Statutory Basis for, the Proposed Rule
                                                    including whether the proposed rule                                                                              Change
                                                    change is consistent with the Act.                                                                               1. Purpose
                                                                                                               SECURITIES AND EXCHANGE
                                                    Comments may be submitted by any of
                                                                                                               COMMISSION                                            Background
                                                    the following methods:
                                                                                                               [Release No. 34–74900; File No. SR–C2–                   For several months the Exchange has
                                                    Electronic Comments                                        2015–012]                                             been working with other options
                                                       • Use the Commission’s Internet                                                                               exchanges to identify ways to improve
                                                    comment form (http://www.sec.gov/                          Self-Regulatory Organizations; C2                     the process related to the adjustment
                                                    rules/sro.shtml); or                                       Options Exchange, Incorporated;                       and nullification of erroneous options
                                                       • Send an email to rule-comments@                       Notice of Filing and Immediate                        transactions. The goal of the process
                                                    sec.gov. Please include File Number SR–                    Effectiveness of a Proposed Rule                      that the options exchanges have
                                                    NYSEARCA–2015–40 on the subject                            Change Relating to the Nullification                  undertaken is to adopt harmonized rules
                                                    line.                                                      and Adjustment of Options                             related to the adjustment and
                                                                                                               Transactions Including Obvious Errors                 nullification of erroneous options
                                                    Paper Comments
                                                                                                               May 7, 2015.                                          transactions as well as a specific
                                                       • Send paper comments in triplicate                                                                           provision related to coordination in
                                                    to Secretary, Securities and Exchange                         Pursuant to section 19(b)(1) of the
                                                                                                               Securities Exchange Act of 1934 (the                  connection with large-scale events
                                                    Commission, 100 F Street NE.,                                                                                    involving erroneous options
                                                    Washington, DC 20549–1090.                                 ‘‘Act’’),1 and Rule 19b 4 thereunder,2
                                                                                                               notice is hereby given that on May 6,                 transactions. As described below, the
                                                    All submissions should refer to File                                                                             Exchange believes that the changes the
                                                    Number SR–NYSEARCA–2015–40. This                           2015, C2 Options Exchange,
                                                                                                                                                                     options exchanges and the Exchange
                                                    file number should be included on the                      Incorporated (the ‘‘Exchange’’ or ‘‘C2’’)
                                                                                                                                                                     have agreed to propose will provide
                                                    subject line if email is used.                             filed with the Securities and Exchange
                                                                                                                                                                     transparency and finality with respect to
                                                                                                               Commission (the ‘‘Commission’’) the
                                                       To help the Commission process and                                                                            the adjustment and nullification of
                                                                                                               proposed rule change as described in
                                                    review your comments more efficiently,                                                                           erroneous options transactions.
                                                                                                               Items I and II below, which Items have
                                                    please use only one method. The                                                                                  Particularly, the proposed changes seek
                                                    Commission will post all comments on                       been prepared by the Exchange. The
                                                                                                                                                                     to achieve consistent results for
                                                    the Commission’s Internet Web site                         Commission is publishing this notice to
                                                                                                                                                                     participants across U.S. options
                                                    (http://www.sec.gov/rules/sro.shtml).                      solicit comments on the proposed rule
                                                                                                                                                                     exchanges while maintaining a fair and
                                                    Copies of the submission, all subsequent                   change from interested persons.
                                                                                                                                                                     orderly market, protecting investors and
                                                    amendments, all written statements                         I. Self-Regulatory Organization’s                     protecting the public interest.
                                                    with respect to the proposed rule                          Statement of the Terms of Substance of                   The Proposed Rule is the culmination
                                                    change that are filed with the                             the Proposed Rule Change                              of this coordinated effort and reflects
                                                    Commission, and all written                                   The Exchange seeks to amend                        discussions by the options exchanges to
                                                    communications relating to the                             Exchange rules related to the                         universally adopt: (1) Certain provisions
                                                    proposed rule change between the                           nullification and adjustment of options               already in place on one or more options
                                                    Commission and any person, other than                      transactions including obvious errors.                exchanges; and (2) new provisions that
                                                    those that may be withheld from the                        The text of the proposed rule change is               the options exchanges collectively
                                                    public in accordance with the                              available on the Exchange’s Web site                  believe will improve the handling of
                                                    provisions of 5 U.S.C. 552, will be                        (http://www.cboe.com/AboutCBOE/                       erroneous options transactions. Thus,
                                                    available for Web site viewing and                         CBOELegalRegulatoryHome.aspx), at                     although the Proposed Rule is in many
                                                    printing in the Commission’s Public                        the Exchange’s Office of the Secretary,               ways similar to and based on the
                                                    Reference Room, 100 F Street NE.,                          and at the Commission’s Public                        Exchange’s Current Rule, the Exchange
                                                    Washington, DC 20549, on official                          Reference Room.                                       is adopting various provisions to
                                                    business days between the hours of                                                                               conform with existing rules of one or
                                                    10:00 a.m. and 3:00 p.m. Copies of the                     II. Self-Regulatory Organization’s                    more options exchanges and also to
                                                    filing will also be available for                          Statement of the Purpose of, and                      adopt rules that are not currently in
                                                    inspection and copying at the NYSE’s                       Statutory Basis for, the Proposed Rule                place on any options exchange. As
                                                    principal office and on its Internet Web                   Change                                                noted above, in order to adopt a rule
asabaliauskas on DSK5VPTVN1PROD with NOTICES




                                                    site at www.nyse.com. All comments                            In its filing with the Commission, the             that is similar in most material respects
                                                    received will be posted without change;                    Exchange included statements                          to the rules adopted by other options
                                                    the Commission does not edit personal                      concerning the purpose of and basis for               exchanges, the Exchange proposes to
                                                    identifying information from                               the proposed rule change and discussed                delete the Current Rule in its entirety
                                                    submissions. You should submit only                                                                              and to replace it with the Proposed
                                                    information that you wish to make                            14 17 CFR 200.30–3(a)(12).                          Rule.
                                                                                                                 1 15 U.S.C. 78s(b)(1).                                 The Exchange notes that it has
                                                      13 15   U.S.C. 78s(b)(2)(B).                               2 17 CFR 240.19b–4.                                 proposed additional objective standards


                                               VerDate Sep<11>2014      17:27 May 12, 2015   Jkt 235001   PO 00000   Frm 00109   Fmt 4703   Sfmt 4703   E:\FR\FM\13MYN1.SGM   13MYN1


                                                                                 Federal Register / Vol. 80, No. 92 / Wednesday, May 13, 2015 / Notices                                                         27393

                                                    in the Proposed Rule as compared to the                 generally create new open interest in                 favorable treatment in some
                                                    Current Rule. The Exchange also notes                   response to trading demand, as new                    circumstances.
                                                    that the Proposed Rule will ensure that                 open interest is created, correlated
                                                                                                                                                                  Definitions
                                                    the Exchange will have the same                         trades in the underlying or related series
                                                    standards as all other options                          are generally also executed to hedge a                   The Exchange proposes to adopt
                                                    exchanges. However, there are still areas               market participant’s risk. This pairing of            various definitions that will be used in
                                                    under the Proposed Rule where                           open interest with hedging interest                   the Proposed Rule, as described below.
                                                    subjective determinations need to be                    differentiates the options market                        First, the Exchange proposes to adopt
                                                    made by Exchange personnel with                         specifically (and the derivatives markets             a definition of ‘‘Customer,’’ to make
                                                    respect to the calculation of Theoretical               broadly) from the cash equities markets.              clear that this term would not include
                                                    Price. The Exchange notes that the                      In turn, the Exchange believes that the               any broker-dealer, Professional
                                                    Exchange and all other options                          hedging transactions engaged in by                    Customer, or Voluntary Professional
                                                    exchanges have been working to further                  market participants necessitates                      Customer.3 Although other portions of
                                                    improve the review of potentially                       protection of transactions through                    the Exchange’s rules address the
                                                    erroneous transactions as well as their                 adjustments rather than nullifications                capacity of market participants,
                                                    subsequent adjustment by creating an                    when possible and otherwise                           including customers, the proposed
                                                    objective and universal way to                          appropriate.                                          definition is consistent with such rules
                                                    determine Theoretical Price in the event                   The options markets are also quote                 and the Exchange believes it is
                                                    a reliable NBBO is not available. For                   driven markets dependent on liquidity                 important for all options exchanges to
                                                    instance, the Exchange and all other                    providers to an even greater extent than              have the same definition of Customer in
                                                    options exchanges may utilize an                        equities markets. In contrast to the                  the context of nullifying and adjusting
                                                    independent third party to calculate and                approximately 7,000 different securities              trades in order to have harmonized
                                                    disseminate or make available                           traded in the U.S. equities markets each              rules. As set forth in detail below,
                                                    Theoretical Price. However, this                        day, there are more than 500,000                      orders on behalf of a Customer are in
                                                    initiative requires additional exchange                 unique, regularly quoted option series.               many cases treated differently than non-
                                                    and industry discussion as well as                      Given this breadth in options series the              Customer orders in light of the fact that
                                                    additional time for development and                     options markets are more dependent on                 Customers are not necessarily immersed
                                                    implementation. The Exchange will                       liquidity providers than equities                     in the day-to-day trading of the markets,
                                                    continue to work with other options                     markets; such liquidity is provided most              are less likely to be watching trading
                                                    exchanges and the options industry                      commonly by registered market makers                  activity in a particular option
                                                    towards the goal of additional                          but also by other professional traders.               throughout the day, and may have
                                                    objectivity and uniformity with respect                 With the number of instruments in                     limited funds in their trading accounts.
                                                    to the calculation of Theoretical Price.                which registered market makers must                      Second, the Exchange proposes to
                                                       As additional background, the                        quote and the risk attendant with                     adopt definitions for both an ‘‘erroneous
                                                    Exchange believes that the Proposed                     quoting so many products                              sell transaction’’ and an ‘‘erroneous buy
                                                    Rule supports an approach consistent                    simultaneously, the Exchange believes                 transaction.’’ As proposed, an erroneous
                                                    with long-standing principles in the                    that those liquidity providers should be              sell transaction is one in which the
                                                    options industry under which the                        afforded a greater level of protection. In            price received by the person selling the
                                                    general policy is to adjust rather than                 particular, the Exchange believes that                option is erroneously low, and an
                                                    nullify transactions. The Exchange                      liquidity providers should be allowed                 erroneous buy transaction is one in
                                                    acknowledges that adjustment of                         protection of their trades given the fact             which the price paid by the person
                                                    transactions is contrary to the operation               that they typically engage in hedging                 purchasing the option is erroneously
                                                    of analogous rules applicable to the                    activity to protect them from significant             high. This provision helps to reduce the
                                                    equities markets, where erroneous                       financial risk to encourage continued                 possibility that a party can intentionally
                                                    transactions are typically nullified                    liquidity provision and maintenance of                submit an order hoping for the market
                                                    rather than adjusted and where there is                 the quote-driven options markets.                     to move in their favor while knowing
                                                    no distinction between the types of                        In addition to the factors described               that the transaction will be nullified or
                                                    market participants involved in a                       above, there are other fundamental                    adjusted if the market does not. For
                                                    transaction. For the reasons set forth                  differences between options and                       instance, when a market participant
                                                    below, the Exchange believes that the                   equities markets which lend themselves                who is buying options in a particular
                                                    distinctions in market structure between                to different treatment of different classes           series sees an aggressively priced sell
                                                    equities and options markets continue                   of participants that are reflected in the             order posted on the Exchange, and the
                                                    to support these distinctions between                   Proposed Rule. For example, there is no               buyer believes that the price of the
                                                    the rules for handling obvious errors in                trade reporting facility in the options               options is such that it might qualify for
                                                    the equities and options markets. The                   markets. Thus, all transactions must                  obvious error, the option buyer can
                                                    Exchange also believes that the                         occur on an options exchange. This                    trade with the aggressively priced order,
                                                    Proposed Rule properly balances several                 leads to significantly greater retail                 then wait to see which direction the
                                                    competing concerns based on the                         customer participation directly on                    market moves. If the market moves in
                                                    structure of the options markets.                       exchanges than in the equities markets,               their direction, the buyer keeps the
                                                       Various general structural differences               where a significant amount of retail                  trade and if it moves against them, the
                                                    between the options and equities                        customer participation never reaches
asabaliauskas on DSK5VPTVN1PROD with NOTICES




                                                                                                                                                                     3 A ‘‘Professional’’ is any person or entity that (i)
                                                    markets point toward the need for a                     the Exchange but is instead executed in
                                                                                                                                                                  is not a broker or dealer in securities; and (ii) places
                                                    different balancing of risks for options                off-exchange venues such as alternative               more than 390 orders in listed options per day on
                                                    market participants and are reflected in                trading systems, broker-dealer market                 average during a calendar month for its own
                                                    the Proposed Rule. Option pricing is                    making desks and internalizers. In turn,              beneficial account(s). See Rule 1.1. A ‘‘Voluntary
                                                    formulaic and is tied to the price of the               because of such direct retail customer                Professional’’ is any person or entity that is not a
                                                                                                                                                                  broker or dealer in securities that elects, in writing,
                                                    underlying stock, the volatility of the                 participation, the exchanges have taken               to be treated in the same manner as a broker or
                                                    underlying security and other factors.                  steps to afford those retail customers—               dealer in securities for purposes of various C2 rules.
                                                    Because options market participants can                 generally Priority Customers—more                     See Rule 1.1.



                                               VerDate Sep<11>2014   17:27 May 12, 2015   Jkt 235001   PO 00000   Frm 00110   Fmt 4703   Sfmt 4703   E:\FR\FM\13MYN1.SGM   13MYN1


                                                    27394                              Federal Register / Vol. 80, No. 92 / Wednesday, May 13, 2015 / Notices

                                                    buyer calls the Exchange hoping to get                        shares of underlying stock, and is                    wide to be reliable, and at the open of
                                                    the trade adjusted or busted.                                 proposed to be subject to the highest                 trading on each trading day.
                                                       Third, the Exchange proposes to                            size adjustment modifier. The Exchange
                                                    adopt a definition of ‘‘Official,’’ which                                                                           No Valid Quotes
                                                                                                                  has correlated the proposed size
                                                    would mean an Officer of the Exchange                         adjustment modifier thresholds to                        As is true under the Current Rule,
                                                    or such other employee designee of the                        smaller and larger scale blocks because               pursuant to the Proposed Rule the
                                                    Exchange that is trained in the                               the Exchange believes that the execution              Exchange will determine the Theoretical
                                                    application of the Proposed Rule.                             cost associated with transacting in block             Price if there are no quotes or no valid
                                                       Fourth, the Exchange proposes to                           sizes scales according to the size of the             quotes for comparison purposes. As
                                                    adopt a new term, a ‘‘Size Adjustment                         block. In other words, in the same way                proposed, quotes that are not valid are
                                                    Modifier,’’ which would apply to                              that executing a 100,000 share stock                  all quotes in the applicable option series
                                                    individual transactions and would                             order will have a proportionately larger              published at a time where the last NBB
                                                    modify the applicable adjustment for                          market impact and will have a higher                  is higher than the last NBO in such
                                                    orders under certain circumstances, as                        overall execution cost than executing a               series (a ‘‘crossed market’’), quotes
                                                    discussed in further detail below. As                         500, 1,000 or 5,000 share order in the                published by the Exchange that were
                                                    proposed, the Size Adjustment Modifier                        same stock, all other market factors                  submitted by either party to the
                                                    will be applied to individual                                 being equal, executing a 1,000 option                 transaction in question, and quotes
                                                    transactions as follows:                                      contract order will have a larger market              published by another options exchange
                                                                                                                  impact and higher overall execution                   against which the Exchange has
                                                      Number of
                                                                                                                  cost than executing a 5, 10 or 50                     declared self-help. Thus, in addition to
                                                     contracts per            Adjustment—TP Plus/Minus                                                                  scenarios where there are literally no
                                                      execution                                                   contract option order.
                                                                                                                                                                        quotes to be used as Theoretical Price,
                                                    1–50 ...............     N/A.                                 Calculation of Theoretical Price                      the Exchange will exclude quotes in
                                                    51–250 ...........       2 times adjustment amount.           Theoretical Price in Normal                           certain circumstances if such quotes are
                                                    251–1000 .......         2.5 times adjustment                 Circumstances                                         not deemed valid. The Proposed Rule is
                                                                               amount.                                                                                  consistent with the Exchange’s
                                                    1001 or more             3 times adjustment amount.              Under both the Current Rule and the                application of the Current Rule but the
                                                                                                                  Proposed Rule, when reviewing a                       descriptions of the various scenarios
                                                       The Size Adjustment Modifier                               transaction as potentially erroneous, the             where the Exchange considers quotes to
                                                    attempts to account for the additional                        Exchange needs to first determine the                 be invalid represent additional detail
                                                    risk that the parties to the trade                            ‘‘Theoretical Price’’ of the option, i.e.,            that is not included in the Current Rule.
                                                    undertake for transactions that are larger                    the Exchange’s estimate of the correct                   The Exchange notes that Exchange
                                                    in scope. The Exchange believes that the                      market price for the option. Pursuant to              personnel currently are required to
                                                    Size Adjustment Modifier creates                              the Proposed Rule, if the applicable                  determine Theoretical Price in certain
                                                    additional incentives to prevent more                         option series is traded on at least one               circumstances. While the Exchange
                                                    impactful Obvious Errors and it lessens                       other options exchange, then the                      continues to pursue alternative
                                                    the impact on the contra-party to an                          Theoretical Price of an option series is              solutions that might further enhance the
                                                    adjusted trade. The Exchange notes that                       the last national best bid (‘‘NBB’’) just             objectivity and consistency of
                                                    these contra-parties may have preferred                       prior to the trade in question with                   determining Theoretical Price, the
                                                    to only trade the size involved in the                        respect to an erroneous sell transaction              Exchange believes that the discretion
                                                    transaction at the price at which such                        or the last national best offer (‘‘NBO’’)             currently afforded to Exchange Officials
                                                    trade occurred, and in trading larger size                    just prior to the trade in question with              is appropriate in the absence of a
                                                    has committed a greater level of capital                      respect to an erroneous buy transaction               reliable NBBO that can be used to set
                                                    and bears a larger hedge risk.                                unless one of the exceptions described                the Theoretical Price. Under the Current
                                                       When setting the proposed size                             below exists. Thus, the Exchange                      Rule, Exchange personnel will generally
                                                    adjustment modifier thresholds the                            proposes that whenever the Exchange                   consult and refer to data such as the
                                                    Exchange has tried to correlate the size                      has a reliable NBB or NBO, as                         prices of related series, especially the
                                                    breakpoints with typical small and                            applicable, just prior to the transaction,            closest strikes in the option in question.
                                                    larger ‘‘block’’ execution sizes of                           then the Exchange will use this NBB or                Exchange personnel may also take into
                                                    underlying stock. For instance, SEC                           NBO as the Theoretical Price.                         account the price of the underlying
                                                    Rule 10b–18(a)(5)(ii) defines a ‘‘block’’                                                                           security and the volatility
                                                    as a quantity of stock that is at least                          The Exchange also proposes to specify
                                                                                                                                                                        characteristics of the option as well as
                                                    5,000 shares and a purchase price of at                       in the Proposed Rule that when a single
                                                                                                                                                                        historical pricing of the option and/or
                                                    least $50,000, among others.4 Similarly,                      order received by the Exchange is
                                                                                                                                                                        similar options.
                                                    NYSE Rule 72 defines a ‘‘block’’ as an                        executed at multiple price levels, the
                                                    order to buy or sell ‘‘at least 10,000                        last NBB and last NBO just prior to the               Wide Quotes
                                                    shares or a quantity of stock having a                        trade in question would be the last NBB                  Similarly, pursuant to the Proposed
                                                    market value of $200,000 or more,                             and last NBO just prior to the                        Rule the Exchange will determine the
                                                    whichever is less.’’ Thus, executions of                      Exchange’s receipt of the order.                      Theoretical Price if the bid/ask
                                                    51 to 100 option contracts, which are                            The Exchange also proposes to set                  differential of the NBB and NBO for the
                                                    generally equivalent to executions of                         forth in the Proposed Rule various                    affected series just prior to the
asabaliauskas on DSK5VPTVN1PROD with NOTICES




                                                    5,100 and 10,000 shares of underlying                         provisions governing specific situations              erroneous transaction was equal to or
                                                    stock, respectively, are proposed to be                       where the NBB or NBO is not available                 greater than the Minimum Amount set
                                                    subject to the lowest size adjustment                         or may not be reliable. Specifically, the             forth below and there was a bid/ask
                                                    modifier. An execution of over 1,000                          Exchange is proposing additional detail               differential less than the Minimum
                                                    contracts is roughly equivalent to a                          specifying situations in which there are              Amount during the 10 seconds prior to
                                                    block transaction of more than 100,000                        no quotes or no valid quotes (as defined              the transaction. If there was no bid/ask
                                                                                                                  below), when the national best bid or                 differential less than the Minimum
                                                      4 See   17 CFR 240.10b–18(a)(5)(ii).                        offer (‘‘NBBO’’) is determined to be too              Amount during the 10 seconds prior to


                                               VerDate Sep<11>2014         17:27 May 12, 2015   Jkt 235001   PO 00000   Frm 00111   Fmt 4703   Sfmt 4703   E:\FR\FM\13MYN1.SGM   13MYN1


                                                                                    Federal Register / Vol. 80, No. 92 / Wednesday, May 13, 2015 / Notices                                                         27395

                                                    the transaction then the Theoretical                  extended period of time. If a market                       Price during the remainder of the
                                                    Price of an option series is the last NBB             participant were to enter a market order                   trading day pursuant to the proposed
                                                    or NBO just prior to the transaction in               to buy 20 contracts the Exchange                           wide quote provision, namely that a
                                                    question. The Exchange proposes to use                believes that the buyer should have a                      wide quote cannot be reliably used to
                                                    the following chart to determine                      reasonable expectation of paying $6.00                     determine Theoretical Price because the
                                                    whether a quote is too wide to be                     for the contracts which they are buying.                   Exchange does not know which of the
                                                    reliable:                                             This should be the case even if                            two quotes, the NBB or the NBO, is
                                                                                                          immediately after the purchase of those                    closer to the real value of the option.
                                                                                               Minimum    options, the market conditions change
                                                        Bid price at time of trade                                                                                   Obvious Errors
                                                                                               amount     and the same option is then quoted at
                                                                                                                                                                        The Exchange proposes to adopt
                                                    Below $2.00 ..............................      $0.75 $3.75 by $4.25. Although the quote was                     numerical thresholds that would qualify
                                                    $2.00 to $5.00 ..........................        1.25 wide according to the table above at the
                                                    Above $5.00 to $10.00 .............              1.50 time immediately prior to and the time                     transactions as ‘‘Obvious Errors.’’ These
                                                    Above $10.00 to $20.00 ...........               2.50 of the execution of the market order, it                   thresholds are similar to those in place
                                                    Above $20.00 to $50.00 ...........               3.00 was also well established and well                         under the Current Rule. As proposed, a
                                                    Above $50.00 to $100.00 .........                4.50 known. The Exchange believes that an                       transaction will qualify as an Obvious
                                                    Above $100.00 .........................          6.00 execution at the then prevailing market                    Error if the Exchange receives a properly
                                                                                                          price should not in and of itself                          submitted filing and the execution price
                                                       The Exchange notes that the values                 constitute an erroneous trade.                             of a transaction is higher or lower than
                                                    set forth above generally represent a                                                                            the Theoretical Price for the series by an
                                                    multiple of 3 times the bid/ask                       Transactions at the Open                                   amount equal to at least the amount
                                                    differential requirements of other                       Under the Proposed Rule, for a                          shown below:
                                                    options exchanges, with certain                       transaction occurring as part of the
                                                    rounding applied (e.g., $1.25 as                      Opening Process 6 the Exchange will                                                                     Minimum
                                                                                                                                                                               Theoretical price
                                                    proposed rather than $1.20).5 The                     determine the Theoretical Price where                                                                   amount
                                                    Exchange believes that basing the Wide                there is no NBB or NBO for the affected
                                                    Quote table on a multiple of the                                                                                 Below $2.00 ..............................       $0.25
                                                                                                          series just prior to the erroneous                         $2.00 to $5.00 ..........................         0.40
                                                    permissible bid/ask differential rule                 transaction or if the bid/ask differential                 Above $5.00 to $10.00 .............               0.50
                                                    provides a reasonable baseline for                    of the NBBO just prior to the erroneous                    Above $10.00 to $20.00 ...........                0.80
                                                    quotations that are indeed so wide that               transaction is equal to or greater than                    Above $20.00 to $50.00 ...........                1.00
                                                    they cannot be considered reliable for                the Minimum Amount set forth in the                        Above $50.00 to $100.00 .........                 1.50
                                                    purposes of determining Theoretical                   chart proposed for the wide quote                          Above $100.00 .........................           2.00
                                                    Price unless they have been consistently provision described above. The
                                                    wide. As described above, while the                                                                              Applying the Theoretical Price, as
                                                                                                          Exchange believes that this discretion is
                                                    Exchange will determine Theoretical                                                                              described above, to determine the
                                                                                                          necessary because it is consistent with
                                                    Price when the bid/ask differential                                                                              applicable threshold and comparing the
                                                                                                          other scenarios in which the Exchange
                                                    equals or exceeds the amount set forth                                                                           Theoretical Price to the actual execution
                                                                                                          will determine the Theoretical Price if
                                                    in the chart above and within the                                                                                price provides the Exchange with an
                                                                                                          there are no quotes or no valid quotes
                                                    previous 10 seconds there was a bid/ask for comparison purposes, including the                                   objective methodology to determine
                                                    differential smaller than such amount, if wide quote provision proposed by the                                   whether an Obvious Error occurred. The
                                                    a quote has been persistently wide for                                                                           Exchange believes that the proposed
                                                                                                          Exchange as described above. If,
                                                    at least 10 seconds the Exchange will                                                                            amounts are reasonable as they are
                                                                                                          however, there are valid quotes and the
                                                    use such quote for purposes of                                                                                   generally consistent with the standards
                                                                                                          bid/ask differential of the NBBO is less
                                                    Theoretical Price. The Exchange                                                                                  of the Current Rule and reflect a
                                                                                                          than the Minimum Amount set forth in
                                                    believes that there should be a greater                                                                          significant disparity from Theoretical
                                                                                                          the chart proposed for the wide quote
                                                    level of protection afforded to market                                                                           Price. The Exchange notes that the
                                                                                                          provision described above, then the
                                                    participants that enter the market when                                                                          Minimum Amounts in the Proposed
                                                                                                          Exchange will use the NBB or NBO just
                                                    there are liquidity gaps and price                                                                               Rule and as set forth above are identical
                                                                                                          prior to the transaction as it would in
                                                    fluctuations. The Exchange does not                                                                              to the Current Rule except for the last
                                                                                                          any other normal review scenario.
                                                    believe that a similar level of protection               As an example of an erroneous                           two categories, for options where the
                                                    is warranted when market participants                 transaction for which the NBBO is wide                     Theoretical Price is above $50.00 to
                                                    choose to enter a market that is wide                 at the open, assume the NBBO at the                        $100.00 and above $100.00. The
                                                    and has been consistently wide for some time of the opening transaction is $1.00                                 Exchange believes that this additional
                                                    time. Given the largely electronic nature × $5.00 and the opening transaction                                    granularity is reasonable because given
                                                    of today’s markets, the Exchange                      takes place at $1.25. The Exchange                         the proliferation of additional strikes
                                                    believes the designated time frame is                 would be responsible for determining                       that have been created in the past
                                                    appropriate and is long enough for                    the Theoretical Price because the NBBO                     several years there are many more high-
                                                    market participants to receive, process,              was wider than the applicable minimum                      priced options that are trading with
                                                    and account for and respond to new                    amount set forth in the wide quote                         open interest for extended periods. The
                                                    market information. The table above                   provision as described above. The                          Exchange believes that it is appropriate
                                                                                                                                                                     to account for these high-priced options
asabaliauskas on DSK5VPTVN1PROD with NOTICES




                                                    bases the wide quote provision off of bid Exchange believes that it is necessary to
                                                    price in order to provide a relatively                determine Theoretical Price at the open                    with additional Minimum Amount
                                                    straightforward beginning point for the               in the event of a wide quote at the open                   levels for options with Theoretical
                                                    analysis.                                             for the same reason that the Exchange                      Prices above $50.00.
                                                       As an example, assume an option is                                                                               Under the Proposed Rule, a party that
                                                                                                          has proposed to determine Theoretical
                                                    quoted $3.00 by $6.00 with 50 contracts                                                                          believes that it participated in a
                                                    posted on each side of the market for an                6 See Exchange Rule 6.11—Openings (and
                                                                                                                                                                     transaction that was the result of an
                                                                                                               sometimes Closing) for a description of the           Obvious Error must notify the
                                                      5 See,   e.g., NYSE Arca Options Rule 6.37(b)(1).        Exchange’s Opening Process.                           Exchange’s Help Desk in the manner


                                               VerDate Sep<11>2014     17:27 May 12, 2015   Jkt 235001    PO 00000   Frm 00112   Fmt 4703   Sfmt 4703   E:\FR\FM\13MYN1.SGM    13MYN1


                                                    27396                                   Federal Register / Vol. 80, No. 92 / Wednesday, May 13, 2015 / Notices

                                                    specified from time to time by the                                        that Customers are not necessarily                                         Official to act as soon as possible after
                                                    Exchange in a circular distributed to                                     immersed in the day-to-day trading of                                      becoming aware of the transaction;
                                                    Participants.                                                             the markets and are less likely to be                                      action by the Official would ordinarily
                                                       The Exchange also proposes to adopt                                    watching trading activity in a particular                                  be expected on the same day that the
                                                    notification timeframes that must be met                                  option throughout the day. The                                             transaction occurred. However, because
                                                    in order for a transaction to qualify as                                  Exchange believes that the additional                                      a transaction under review may have
                                                    an Obvious Error. Specifically, as                                        time afforded to linkage trades is                                         occurred near the close of trading or due
                                                    proposed a filing must be received by                                     appropriate given the interconnected                                       to unusual circumstances, the Proposed
                                                    the Exchange within thirty (30) minutes                                   nature of the markets today and the                                        Rule provides that the Official shall act
                                                    of the execution with respect to an                                       practical difficulty that an end user may                                  no later than 7:30 a.m. Central Time on
                                                    execution of a Customer order and                                         face in getting requests for review filed                                  the next trading day following the date
                                                    within fifteen (15) minutes of the                                        in a timely fashion when the transaction                                   of the transaction in question.
                                                    execution for any other participant. The                                  originated at a different exchange than                                       The Exchange also proposes to state
                                                    Exchange also proposes to provide                                         where the error took place. Without this                                   that a party affected by a determination
                                                    additional time for trades that are routed                                additional time the Exchange believes it                                   to nullify or adjust a transaction after an
                                                    through other options exchanges to the                                    would be common for a market                                               Official’s review on his or her own
                                                    Exchange. Under the Proposed Rule,                                        participant to satisfy the filing deadline                                 motion may appeal such determination
                                                    any other options exchange will have a                                    at the original exchange to which an                                       in accordance with paragraph (m),
                                                    total of forty-five (45) minutes for                                      order was routed but that requests for                                     which is described below, but may not
                                                    Customer orders and thirty (30) minutes                                   review of executions from orders routed                                    seek a review by an Obvious Error Panel
                                                    for non-Customer orders, measured from                                    to other options exchanges would not                                       under paragraph (k). The Proposed Rule
                                                    the time of execution on the Exchange,                                    qualify for review as potential Obvious                                    would make clear that a determination
                                                    to file with the Exchange for review of                                   Errors by the time filings were received                                   by an Official not to review a
                                                    transactions routed to the Exchange                                       by such other options exchanges, in turn                                   transaction or determination not to
                                                    from that options exchange and                                            leading to potentially disparate results                                   nullify or adjust a transaction for which
                                                    executed on the Exchange (‘‘linkage                                       under the applicable rules of options                                      a review was conducted on an Official’s
                                                    trades’’). This includes filings on behalf                                exchanges to which the orders were                                         own motion is not appealable and
                                                    of another options exchange filed by a                                    routed.                                                                    further that if a transaction is reviewed
                                                    third-party routing broker if such third-                                    Pursuant to the Proposed Rule, an                                       and a determination is rendered
                                                    party broker identifies the affected                                      Official may review a transaction                                          pursuant to another provision of the
                                                    transactions as linkage trades. In order                                  believed to be erroneous on his/her own                                    Proposed Rule, no additional relief may
                                                    to facilitate timely reviews of linkage                                   motion in the interest of maintaining a                                    be granted by an Official.
                                                    trades the Exchange will accept filings                                   fair and orderly market and for the                                           If it is determined that an Obvious
                                                    from either the other options exchange                                    protection of investors. This proposed                                     Error has occurred based on the
                                                    or, if applicable, the third-party routing                                provision is designed to give an Official                                  objective numeric criteria and time
                                                    broker that routed the applicable                                         the ability to provide parties relief in                                   deadlines described above, the
                                                    order(s). The additional fifteen (15)                                     those situations where they have failed                                    Exchange will adjust or nullify the
                                                    minutes provided with respect to                                          to report an apparent error within the                                     transaction as described below and
                                                    linkage trades shall only apply to the                                    established notification period. A                                         promptly notify both parties to the trade
                                                    extent the options exchange that                                          transaction reviewed pursuant to the                                       electronically or via telephone. The
                                                    originally received and routed the order                                  proposed provision may be nullified or                                     Exchange proposes different adjustment
                                                    to the Exchange itself received a timely                                  adjusted only if it is determined by the                                   and nullification criteria for Customers
                                                    filing from the entering participant (i.e.,                               Official that the transaction is erroneous                                 and non-Customers.
                                                    within 30 minutes if a Customer order                                     in accordance with the provisions of the                                      As proposed, where neither party to
                                                    or 15 minutes if a non-Customer order).                                   Proposed Rule, provided that the time                                      the transaction is a Customer, the
                                                    The Exchange believes that additional                                     deadlines for filing a request for review                                  execution price of the transaction will
                                                    time for filings related to Customer                                      described above shall not apply. The                                       be adjusted by the Official pursuant to
                                                    orders is appropriate in light of the fact                                Proposed Rule would require the                                            the table below.

                                                                                                                                                                                                                    Buy transaction    Sell transaction
                                                                                                                     Theoretical price                                                                               adjustment—        adjustment—
                                                                                                                          (TP)                                                                                         TP Plus           TP Minus

                                                    Below $3.00 .................................................................................................................................................              $0.15              $0.15
                                                    At or above $3.00 ........................................................................................................................................                 $0.30              $0.30



                                                      The Exchange believes that it is                                        obvious error has occurred additional                                      contracts will be subject to the Size
                                                    appropriate to adjust to prices a                                         hedging and trading activity has already                                   Adjustment Modifier described above.
                                                    specified amount away from Theoretical                                    occurred based on the executions that                                      The Exchange believes that it is
asabaliauskas on DSK5VPTVN1PROD with NOTICES




                                                    Price rather than to adjust to Theoretical                                previously happened. The Exchange is                                       appropriate to apply the Size
                                                    Price because even though the Exchange                                    concerned that an adjustment to                                            Adjustment Modifier to non-Customer
                                                    has determined a given trade to be                                        Theoretical Price in all cases would not                                   orders because the hedging cost
                                                    erroneous in nature, the parties in                                       appropriately incentivize market                                           associated with trading larger sized
                                                    question should have had some                                             participants to maintain appropriate                                       options orders and the market impact of
                                                    expectation of execution at the price or                                  controls to avoid potential errors.                                        larger blocks of underlying can be
                                                    prices submitted. Also, it is common                                        Further, as proposed any non-                                            significant.
                                                    that by the time it is determined that an                                 Customer Obvious Error exceeding 50


                                               VerDate Sep<11>2014         17:27 May 12, 2015         Jkt 235001       PO 00000       Frm 00113       Fmt 4703       Sfmt 4703      E:\FR\FM\13MYN1.SGM             13MYN1


                                                                                 Federal Register / Vol. 80, No. 92 / Wednesday, May 13, 2015 / Notices                                                            27397

                                                       As an example of the application of                  Exchange for review of transactions                      proposed, a Catastrophic Error will be
                                                    the Size Adjustment Modifier, assume                    pursuant to the Proposed Rule, and in                    deemed to have occurred when the
                                                    Exchange A has a quoted bid to buy 50                   aggregate that Participant has 200 or                    execution price of a transaction is
                                                    contracts at $2.50, Exchange B has a                    more Customer transactions under                         higher or lower than the Theoretical
                                                    quoted bid to buy 100 contracts at $2.05                review concurrently and the orders                       Price for the series by an amount equal
                                                    and there is no other options exchange                  resulting in such transactions were                      to at least the amount shown below:
                                                    quoting a bid priced higher than $2.00.                 submitted during the course of 2
                                                    Assume that the NBBO is $2.50 by                        minutes or less, where at least one party                                                             Minimum
                                                                                                                                                                               Theoretical price
                                                    $3.00. Finally, assume that all orders                  to the Obvious Error is a non-Customer,                                                               amount
                                                    quoted and submitted to Exchange B in                   the Exchange will apply the non-                         Below $2.00 ..............................       $0.50
                                                    connection with this example are non-                   Customer adjustment criteria described                   $2.00 to $5.00 ..........................         1.00
                                                    Customer orders.                                        above to such transactions. The                          Above $5.00 to $10.00 .............               1.50
                                                       • Assume Exchange A’s quoted bid at                  Exchange based its proposal of 200                       Above $10.00 to $20.00 ...........                2.00
                                                    $2.50 is either executed or cancelled.                  transactions on the fact that the                        Above $20.00 to $50.00 ...........                2.50
                                                       • Assume Exchange B immediately                      proposed level is reasonable as it is                    Above $50.00 to $100.00 .........                 3.00
                                                    thereafter receives an incoming market                  representative of an extremely large                     Above $100.00 .........................           4.00
                                                    order to sell 100 contracts.                            number of orders submitted to the
                                                       • The incoming order would be                        Exchange that are, in turn, possibly                        Based on industry feedback on the
                                                    executed against Exchange B’s resting                   erroneous. Similarly, the Exchange                       Catastrophic Error thresholds set forth
                                                    bid at $2.05 for 100 contracts.                         based its proposal of orders received in                 under the Current Rule, the thresholds
                                                       • Because the 100 contract execution                 2 minutes or less on the fact that this is               proposed as set forth above are more
                                                    of the incoming sell order was priced at                a very short amount of time under                        granular and lower (i.e., more likely to
                                                    $2.05, which is $0.45 below the                         which one Participant could generate                     qualify) than the thresholds under the
                                                    Theoretical Price of $2.50, the 100                     multiple erroneous transactions. In                      Current Rule. As noted above, under the
                                                    contract execution would qualify for                    order for a participant to have more than                Proposed Rule as well as the Current
                                                    adjustment as an Obvious Error.                         200 transactions under review                            Rule, parties have additional time to
                                                       • The normal adjustment process                      concurrently when the orders triggering                  submit transactions for review as
                                                    would adjust the execution of the 100                   such transactions were received in 2                     Catastrophic Errors. As proposed,
                                                    contracts to $2.35 per contract, which is               minutes or less, the market participant                  notification requesting review must be
                                                    the Theoretical Price minus $0.15.                      will have far exceeded the normal                        received by the Exchange’s Help Desk
                                                       • However, because the execution                     behavior of customers deserving                          by 7:30 a.m. Central Time on the first
                                                    would qualify for the Size Adjustment                   protected status.7 While the Exchange                    trading day following the execution. For
                                                    Modifier of 2 times the adjustment                      continues to believe that it is                          transactions in an expiring options
                                                    price, the adjusted transaction would                   appropriate to nullify transactions in                   series that take place on an expiration
                                                    instead be to $2.20 per contract, which                 such a circumstance if both participants                 day, a party must notify the Exchange’s
                                                    is the Theoretical Price minus $0.30.                   to a transaction are Customers, the                      Help Desk within 45 minutes after the
                                                       By reference to the example above,                   Exchange does not believe it is                          close of trading that same day. As is true
                                                    the Exchange reiterates that it believes                appropriate to place the overall risk of                 for requests for review under the
                                                    that a Size Adjustment Modifier is                      a significant number of trade breaks on                  Obvious Error provision of the Proposed
                                                    appropriate, as the buyer in this                       non-Customers that in the normal                         Rule, a party requesting review of a
                                                    example was originally willing to buy                   course of business may have engaged in                   transaction as a Catastrophic Error must
                                                    100 contracts at $2.05 and ended up                     additional hedging activity or trading                   notify the Exchange’s Help Desk in the
                                                    paying $2.20 per contract for such                      activity based on such transactions.                     manner specified from time to time by
                                                    execution. Without the Size Adjustment                  Thus, the Exchange believes it is                        the Exchange in a circular distributed to
                                                    Modifier the buyer would have paid                      necessary and appropriate to protect                     Participants. By definition, any
                                                    $2.35 per contract. Such buyer may be                   non-Customers in such a circumstance                     execution that qualifies as a
                                                    advantaged by the trade if the                          by applying the non-Customer                             Catastrophic Error is also an Obvious
                                                    Theoretical Price is indeed closer to                   adjustment criteria, and thus adjusting                  Error. However, the Exchange believes it
                                                    $2.50 per contract, however the buyer                   transactions as set forth above, in the                  is appropriate to maintain these two
                                                    may not have wanted to buy so many                      event a Participant has more than 200                    types of errors because the Catastrophic
                                                    contracts at a higher price and does                    transactions under review concurrently.                  Error provisions provide market
                                                    incur increasing cost and risk due to the                                                                        participants with a longer notification
                                                    additional size of their quote. Thus, the               Catastrophic Errors                                      period under which they may file a
                                                    proposed rule is attempting to strike a                    Consistent with the Current Rule, the                 request for review with the Exchange of
                                                    balance between various competing                       Exchange proposes to adopt separate                      a potential Catastrophic Error than a
                                                    objectives, including recognition of cost               numerical thresholds for review of                       potential Obvious Error. This provides
                                                    and risk incurred in quoting larger size                transactions for which the Exchange                      an additional level of protection for
                                                    and incentivizing market participants to                does not receive a filing requesting                     transactions that are severely erroneous
                                                    maintain appropriate controls to avoid                  review within the Obvious Error                          even in the event a participant does not
                                                    errors.                                                 timeframes set forth above. Based on                     submit a request for review in a timely
                                                       In contrast to non-Customer orders,                                                                           fashion.
asabaliauskas on DSK5VPTVN1PROD with NOTICES




                                                                                                            this review these transactions may
                                                    where trades will be adjusted if they                   qualify as ‘‘Catastrophic Errors.’’ As                      The Proposed Rule would specify that
                                                    qualify as Obvious Errors, pursuant the                                                                          relief under the catastrophic error
                                                    Proposed Rule a trade that qualifies as                   7 The Exchange notes that in the third quarter of      provision would not be granted under
                                                    an Obvious Error will be nullified where                this year across all options exchanges the average       paragraph (d) if an Obvious Error Panel
                                                    at least one party to the Obvious Error                 number of valid Customer orders received and             has previously rendered a decision with
                                                                                                            executed was less than 38 valid orders every two
                                                    is a Customer. The Exchange also                        minutes. The number of obvious errors resulting
                                                                                                                                                                     respect to the transaction(s) in question.
                                                    proposes, however, that if any                          from valid orders is, of course, a very small fraction   In addition, if it is determined that a
                                                    Participant submits requests to the                     of such orders.                                          Catastrophic Error has not occurred, the


                                               VerDate Sep<11>2014   17:27 May 12, 2015   Jkt 235001   PO 00000   Frm 00114   Fmt 4703   Sfmt 4703   E:\FR\FM\13MYN1.SGM       13MYN1


                                                    27398                                   Federal Register / Vol. 80, No. 92 / Wednesday, May 13, 2015 / Notices

                                                    Participant will be subject to a charge of                                Catastrophic Error has occurred, as                                        telephone. In the event of a Catastrophic
                                                    $5,000. The Proposed Rule also                                            described below, and would require the                                     Error, the execution price of the
                                                    specifies the action to be taken by the                                   Exchange to promptly notify both                                           transaction will be adjusted by the
                                                    Exchange if it is determined that a                                       parties to the trade electronically or via                                 Official pursuant to the table below.

                                                                                                                                                                                                                    Buy transaction    Sell transaction
                                                                                                                     Theoretical price                                                                               adjustment—        adjustment—
                                                                                                                          (TP)                                                                                         TP Plus           TP Minus

                                                    Below $2.00 .................................................................................................................................................              $0.50              $0.50
                                                    $2.00 to $5.00 ..............................................................................................................................................               1.00               1.00
                                                    Above $5.00 to $10.00 ................................................................................................................................                      1.50               1.50
                                                    Above $10.00 to $20.00 ..............................................................................................................................                       2.00               2.00
                                                    Above $20.00 to $50.00 ..............................................................................................................................                       2.50               2.50
                                                    Above $50.00 to $100.00 ............................................................................................................................                        3.00               3.00
                                                    Above $100.00 .............................................................................................................................................                 4.00               4.00



                                                       Although Customer orders would be                                      provision. Specifically, the Exchange                                      The Exchange proposes to describe such
                                                    adjusted in the same manner as non-                                       believes that treating market                                              an event as a Significant Market Event,
                                                    Customer orders, any Customer order                                       participants the same in this context                                      and to set forth certain objective criteria
                                                    that qualifies as a Catastrophic Error                                    will provide additional certainty to                                       that will determine whether such an
                                                    will be nullified if the adjustment                                       market participants with respect to their                                  event has occurred. The Exchange
                                                    would result in an execution price                                        potential exposure and hedging                                             developed these objective criteria in
                                                    higher (for buy transactions) or lower                                    activities, including comfort that even if                                 consultation with the other options
                                                    (for sell transactions) than the                                          a transaction is later adjusted (i.e., past                                exchanges by reference to historical
                                                    Customer’s limit price. Based on                                          the standard time limit for filing under                                   patterns and events with a goal of
                                                    industry feedback, the levels proposed                                    the Obvious Error provision), such                                         setting thresholds that very rarely will
                                                    above with respect to adjustment                                          transaction will not be fully nullified.                                   be triggered so as to limit the
                                                    amounts are the same levels as the                                        However, as noted above, under the                                         application of the provision to truly
                                                    thresholds at which a transaction may                                     Proposed Rule where at least one party                                     significant market events. As proposed,
                                                    be deemed a Catastrophic Error                                            to the transaction is a Customer, the                                      a Significant Market Event will be
                                                    pursuant to the chart set forth above.                                    trade will be nullified if the adjustment                                  deemed to have occurred when
                                                       As is true for Obvious Errors as                                       would result in an execution price                                         proposed criterion (A) below is met or
                                                    described above, the Exchange believes                                    higher (for buy transactions) or lower                                     exceeded or the sum of all applicable
                                                    that it is appropriate to adjust to prices                                (for sell transactions) than the                                           event statistics, where each is expressed
                                                    a specified amount away from                                              Customer’s limit price. The Exchange                                       as a percentage of the relevant threshold
                                                    Theoretical Price rather than to adjust to                                has retained the protection of a                                           in criteria (A) through (D) below, is
                                                    Theoretical Price because even though                                     Customer’s limit price in order to avoid                                   greater than or equal to 150% and 75%
                                                    the Exchange has determined a given                                       a situation where the adjustment could                                     or more of at least one category is
                                                    trade to be erroneous in nature, the                                      be to a price that the Customer could                                      reached, provided that no single
                                                    parties in question should have had                                       not afford, which is less likely to be an                                  category can contribute more than 100%
                                                    some expectation of execution at the                                      issue for a market professional.                                           to the sum. All criteria set forth below
                                                    price or prices submitted. Also, it is                                                                                                               will be measured in aggregate across all
                                                                                                                              Significant Market Events
                                                    common that by the time it is                                                                                                                        exchanges.
                                                    determined that a Catastrophic Error has                                    In order to improve consistency for                                         The proposed criteria for determining
                                                    occurred additional hedging and trading                                   market participants in the case of a                                       a Significant Market Event are as
                                                    activity has already occurred based on                                    widespread market event and in light of                                    follows:
                                                    the executions that previously                                            the interconnected nature of the options                                      (A) Transactions that are potentially
                                                    happened. The Exchange is concerned                                       exchanges, the Exchange proposes to                                        erroneous would result in a total Worst-
                                                    that an adjustment to Theoretical Price                                   adopt a new provision that calls for                                       Case Adjustment Penalty of
                                                    in all cases would not appropriately                                      coordination between the options                                           $30,000,000, where the Worst-Case
                                                    incentivize market participants to                                        exchanges in certain circumstances and                                     Adjustment Penalty is computed as the
                                                    maintain appropriate controls to avoid                                    provides limited flexibility in the                                        sum, across all potentially erroneous
                                                    potential errors. Further, the Exchange                                   application of other provisions of the                                     trades, of: (i) $0.30 (i.e., the largest
                                                    believes it is appropriate to maintain a                                  Proposed Rule in order to promptly                                         Transaction Adjustment value listed in
                                                    higher adjustment level for Catastrophic                                  respond to a widespread market event.8                                     sub-paragraph (e)(3)(A) below); times;
                                                    Errors than Obvious Errors given the                                                                                                                 (ii) the contract multiplier for each
                                                                                                                                8 Although the Exchange has proposed a specific
                                                    significant additional time that can                                                                                                                 traded contract; times (iii) the number of
                                                                                                                              provision related to coordination amongst options
                                                    potentially pass before an adjustment is                                  exchanges in the context of a widespread event, the                        contracts for each trade; times (iv) the
                                                    requested and applied and the amount                                                                                                                 appropriate Size Adjustment Modifier
asabaliauskas on DSK5VPTVN1PROD with NOTICES




                                                                                                                              Exchange does not believe that the Significant
                                                    of hedging and trading activity that can                                  Market Event provision or any other provision of                           for each trade, if any, as defined in sub-
                                                                                                                              the proposed rule alters the Exchange’s ability to                         paragraph (e)(3)(A) below;
                                                    occur based on the executions at issue                                    coordinate with other options exchanges in the
                                                    during such time. For the same reasons,                                   normal course of business with respect to market                              (B) Transactions involving 500,000
                                                    other than honoring the limit prices                                      events or activity. The Exchange does already                              options contracts are potentially
                                                    established for Customer orders, the                                      coordinate with other options exchanges to the                             erroneous;
                                                                                                                              extent possible if such coordination is necessary to
                                                    Exchange has proposed to treat all                                        maintain a fair and orderly market and/or to fulfill
                                                                                                                                                                                                            (C) Transactions with a notional value
                                                    market participants the same in the                                       the Exchange’s duties as a self-regulatory                                 (i.e., number of contracts traded
                                                    context of the Catastrophic Error                                         organization.                                                              multiplied by the option premium


                                               VerDate Sep<11>2014         17:27 May 12, 2015         Jkt 235001       PO 00000       Frm 00115       Fmt 4703       Sfmt 4703      E:\FR\FM\13MYN1.SGM             13MYN1


                                                                                 Federal Register / Vol. 80, No. 92 / Wednesday, May 13, 2015 / Notices                                            27399

                                                    multiplied by the contract multiplier) of               the 150% threshold. The 230% sum is                   contracts), there transactions with a
                                                    $100,000,000 are potentially erroneous;                 reached by adding 40%, 60%, 30% and                   notional value of $99,000,000 (missing
                                                       (D) 10,000 transactions are potentially              last, 100% (i.e., rounded down from                   criterion (C) by $1,000,000), and there
                                                    erroneous.                                              120%) for the number of transactions.                 are 9,000 potentially erroneous
                                                       As described above, the Exchange                     The Exchange notes that no single                     transactions overall (missing criterion
                                                    proposes to adopt a the Worst Case                      category can contribute more than 100%                (D) by 1,000 transactions). The
                                                    Adjustment Penalty, proposed as                         to the sum and any category                           Exchange believes that the proposed
                                                    criterion (A), which is the only criterion              contributing more than 100% will be                   formula, while slightly more
                                                    that can on its own result in an event                  rounded down to 100%.                                 complicated than simply requiring a
                                                    being designated as a significant market                   As an alternative example, assume a                certain threshold to be met in each
                                                    event. The Worst Case Adjustment                        large-scale event occurs involving low-               category, may help to avoid
                                                    Penalty is intended to develop an                       priced options with a small number of                 inapplicability of the proposed
                                                    objective criterion that can be quickly                 contracts in each execution. Assume in                provisions in the context of an event
                                                    determined by the Exchange in                           this event across all options exchanges
                                                                                                                                                                  that would be deemed significant by
                                                    consultation with other options                         that: (A) The Worst Case Adjustment
                                                    exchanges that approximates the total                                                                         most subjective measures but that barely
                                                                                                            Penalty is $600,000 (2% of
                                                    overall exposure to market participants                                                                       misses each of the objective criteria
                                                                                                            $30,000,000), (B) 20,000 options
                                                    on the negatively impacted side of each                 contracts are potentially erroneous (4%               proposed by the Exchange.
                                                    transaction that occurs during an event.                of 500,000), (C) the notional value of                   To ensure consistent application
                                                    If the Worst Case Adjustment criterion                  potentially erroneous transactions is                 across options exchanges, in the event
                                                    is equal to or exceeds $30,000,000, then                $20,000,000 (20% of $100,000,000), and                of a suspected Significant Market Event,
                                                    an event is a Significant Market Event.                 (D) 20,000 transactions are potentially               the Exchange shall initiate a
                                                    As an example of the Worst Case                         erroneous (200% of 10,000, but rounded                coordinated review of potentially
                                                    Adjustment Penalty, assume that a                       down to 100%). This event would not                   erroneous transactions with all other
                                                    single potentially erroneous transaction                qualify as a Significant Market Event                 affected options exchanges to determine
                                                    in an event is as follows: sale of 100                  because the sum of all applicable event               the full scope of the event. Under the
                                                    contracts of a standard option (i.e., an                statistics would be 126%, below the                   Proposed Rule, the Exchange will
                                                    option with a 100 share multiplier). The                150% threshold. The Exchange                          promptly coordinate with the other
                                                    highest potential adjustment penalty for                reiterates that as proposed, even when                options exchanges to determine the
                                                    this single transaction would be $6,000,                a single category other than criterion (A)            appropriate review period as well as
                                                    which would be calculated as $0.30                      is fully met, that does not necessarily               select one or more specific points in
                                                    times 100 (contract multiplier) times                   qualify an event as a Significant Market              time prior to the transactions in
                                                    100 (number of contracts) times 2                       Event.                                                question and use one or more specific
                                                    (applicable Size Adjustment Modifier).                     The Exchange believes that the                     points in time to determine Theoretical
                                                    The Exchange would calculate the                        breadth and scope of the obvious error                Price. Other than the selected points in
                                                    highest potential adjustment penalty for                rules are appropriate and sufficient for              time, if applicable, the Exchange will
                                                    each of the potentially erroneous                       handling of typical and common                        determine Theoretical Price as
                                                    transactions in the event and the Worst                 obvious errors. Coordination between                  described above. For example, around
                                                    Case Adjustment Penalty would be the                    and among the exchanges should                        the start of a SME that is triggered by a
                                                    sum of such penalties on the Exchange                   generally not be necessary even when a                large and aggressively priced buy order,
                                                    and all other options exchanges with                    Participant has an error that results in
                                                                                                                                                                  three exchanges have multiple orders on
                                                    affected transactions.                                  executions on more than one exchange.
                                                       As described above, under the                                                                              the offer side of the market: Exchange A
                                                                                                            In setting the thresholds above the
                                                    Proposed Rule if the Worst Case                                                                               has offers priced at $2.20, $2.25, $2.30
                                                                                                            Exchange believes that the requirements
                                                    Adjustment Penalty does not equal or                                                                          and several other price levels to $3.00,
                                                                                                            will be met only when truly widespread
                                                    exceed $30,000,000, then a Significant                                                                        Exchange B has offers at $2.45, $2.30
                                                                                                            and significant errors happen and the
                                                    Market Event has occurred if the sum of                 benefits of coordination and information              and several other price levels to $3.00,
                                                    all applicable event statistics (expressed              sharing far outweigh the costs of the                 Exchange C has offers at price levels
                                                    as a percentage of the relevant                         logistics of additional intra-exchange                between $2.50 and $3.00. Assume an
                                                    thresholds), is greater than or equal to                coordination. The Exchange notes that                 event occurs starting at 9:05:25 a.m. CT
                                                    150% and 75% or more of at least one                    in addition to its belief that the                    and in this particular series the
                                                    category is reached. The Proposed Rule                  proposed thresholds are sufficiently                  executions begin on Exchange A and
                                                    further provides that no single category                high, the Exchange has proposed the                   subsequently begin to occur on
                                                    can contribute more than 100% to the                    requirement that either criterion (A) is              Exchanges B and C. Without
                                                    sum. As an example of the application                   met or the sum of applicable event                    coordination and information sharing
                                                    of this provision, assume that in a given               statistics for proposed (A) through (D)               between the exchanges, Exchange B and
                                                    event across all options exchanges that:                equals or exceeds 150% in order to                    Exchange C cannot know with certainty
                                                    (A) The Worst Case Adjustment Penalty                   ensure that an event is sufficiently large            that whether or not the execution at
                                                    is $12,000,000 (40% of $30,000,000), (B)                but also to avoid situations where an                 Exchange A that happened at $2.20
                                                    300,000 options contracts are                           event is extremely large but just misses              immediately prior to their executions at
                                                    potentially erroneous (60% of 500,000),                 potential qualifying thresholds. For                  $2.45 and $2.50 is part of the same
asabaliauskas on DSK5VPTVN1PROD with NOTICES




                                                    (C) the notional value of potentially                   instance, the proposal is designed to                 erroneous event or not. With proper
                                                    erroneous transactions is $30,000,000                   help avoid a situation where the Worst                coordination, the exchanges can
                                                    (30% of $100,000,000), and (D) 12,000                   Case Adjustment Penalty is $15,000,000,               determine that in this series, the proper
                                                    transactions are potentially erroneous                  so the event does not qualify based on                point in time from which the event
                                                    (120% of 10,000). This event would                      criterion (A) alone, but there are                    should be analyzed is 9:05:25 a.m. CT,
                                                    qualify as a Significant Market Event                   transactions in 490,000 options                       and thus, the NBO of $2.20 should be
                                                    because the sum of all applicable event                 contracts that are potentially erroneous              used as the Theoretical Price for
                                                    statistics would be 230%, far exceeding                 (missing criterion (B) by 10,000                      purposes of all buy transactions in such


                                               VerDate Sep<11>2014   17:27 May 12, 2015   Jkt 235001   PO 00000   Frm 00116   Fmt 4703   Sfmt 4703   E:\FR\FM\13MYN1.SGM   13MYN1


                                                    27400                                   Federal Register / Vol. 80, No. 92 / Wednesday, May 13, 2015 / Notices

                                                    options series that occurred during the                                   Obvious Errors. The Proposed Rule                                          to the trade electronically or via
                                                    event.                                                                    would require the Exchange to use the                                      telephone.
                                                       If it is determined that a Significant                                 criteria in Proposed Rule 6.15(c), as                                         The execution price of each affected
                                                    Market Event has occurred then, using                                     described above, to determine whether                                      transaction will be adjusted by an
                                                    the parameters agreed with respect to                                     an Obvious Error has occurred for each
                                                                                                                                                                                                         Official to the price provided below,
                                                    the times from which Theoretical Price                                    transaction that was part of the
                                                                                                                                                                                                         unless both parties agree to adjust the
                                                    will be calculated, if applicable, an                                     Significant Market Event. Upon taking
                                                    Official will determine whether any or                                    any final action, the Exchange would be                                    transaction to a different price or agree
                                                    all transactions under review qualify as                                  required to promptly notify both parties                                   to bust the trade.

                                                                                                                                                                                                                    Buy transaction    Sell transaction
                                                                                                                     Theoretical price                                                                               adjustment—        adjustment—
                                                                                                                          (TP)                                                                                         TP Plus           TP Minus

                                                    Below $3.00 .................................................................................................................................................              $0.15              $0.15
                                                    At or above $3.00 ........................................................................................................................................                 $0.30              $0.30



                                                       Thus, the proposed adjustment                                          Significant Market Event, those                                            appealable pursuant to the Proposed
                                                    criteria for Significant Market Events are                                transactions subject to nullification will                                 Rule.
                                                    identical to the proposed adjustment                                      be selected based upon objective criteria                                  Additional Provisions
                                                    levels for Obvious Errors generally. In                                   with a view toward maintaining a fair
                                                    addition, in the context of a Significant                                 and orderly market and the protection of                                   Mutual Agreement
                                                    Market Event, any error exceeding 50                                      investors and the public interest. For                                        In addition to the objective criteria
                                                    contracts will be subject to the Size                                     example, assume a Significant Market                                       described above, the Proposed Rule also
                                                    Adjustment Modifier described above.                                      Event causes 25,000 potentially                                            proposes to make clear that the
                                                    Also, the adjustment criteria would                                       erroneous transactions and impacts 51                                      determination as to whether a trade was
                                                    apply equally to all market participants                                  options classes. Of the 25,000                                             executed at an erroneous price may be
                                                    (i.e., Customers and non-Customers) in                                    transactions, 24,000 of them are                                           made by mutual agreement of the
                                                    a Significant Market Event. However, as                                   concentrated in a single options class.                                    affected parties to a particular
                                                    is true for the proposal with respect to                                  The exchanges may decide the most                                          transaction. The Proposed Rule would
                                                    Catastrophic Errors, under the Proposed                                   appropriate solution because it will                                       state that a trade may be nullified or
                                                    Rule where at least one party to the                                      provide the most certainty to                                              adjusted on the terms that all parties to
                                                    transaction is a Customer, the trade will                                 participants and allow for the prompt                                      a particular transaction agree, provided,
                                                    be nullified if the adjustment would                                      resumption of regular trading is to bust                                   however, that such agreement to nullify
                                                    result in an execution price higher (for                                  all trades in the most heavily affected                                    or adjust must be conveyed to the
                                                    buy transactions) or lower (for sell                                      class between two specific points in                                       Exchange in a manner prescribed by the
                                                    transactions) than the Customer’s limit                                   time, while the other 1,000 trades across                                  Exchange prior to 7:30 a.m. Central
                                                    price. The Exchange has retained the                                      the other 50 classes are reviewed and                                      Time on the first trading day following
                                                    protection of a Customer’s limit price in                                 adjusted as appropriate. A similar                                         the execution.
                                                    order to avoid a situation where the                                      situation might arise directionally                                           The Exchange also proposes to
                                                    adjustment could be to a price that the                                   where a Customer submits both                                              explicitly state that it is considered
                                                    Customer could not afford, which is less                                  erroneous buy and sell orders and the                                      conduct inconsistent with just and
                                                    likely to be an issue for a market                                        number of errors that happened that                                        equitable principles of trade for any
                                                    professional. The Exchange has                                            were erroneously low priced (i.e.,                                         Participant to use the mutual
                                                    otherwise proposed to treat all market                                    erroneous sell orders) were 50,000 in                                      adjustment process to circumvent any
                                                    participants the same in the context of                                   number but the number of errors that                                       applicable Exchange rule, the Act or any
                                                    a Significant Market Event to provide                                     were erroneously high (i.e., erroneous                                     of the rules and regulations thereunder.
                                                    additional certainty to market                                            buy orders) were only 500 in number.                                       Thus, for instance, a Participant is
                                                    participants with respect to their                                        The most effective and efficient                                           precluded from seeking to avoid
                                                    potential exposure as soon as an event                                    approach that provides the most                                            applicable trade-through rules by
                                                    has occurred.                                                             certainty to the marketplace in a                                          executing a transaction and then
                                                       Another significant distinction                                                                                                                   adjusting such transaction to a price at
                                                                                                                              reasonable amount of time while most
                                                    between the proposed Obvious Error                                                                                                                   which the Exchange would not have
                                                                                                                              closely following the generally
                                                    provision and the proposed Significant                                                                                                               allowed it to execute at the time of the
                                                    Market Event provision is that if the                                     prescribed obvious error rules could be
                                                                                                                              to bust all of the erroneous sell                                          execution because it traded through the
                                                    Exchange, in consultation with other                                                                                                                 quotation of another options exchange.
                                                    options exchanges, determines that                                        transactions but to adjust the erroneous
                                                                                                                              buy transactions.                                                          The Exchange notes that in connection
                                                    timely adjustment is not feasible due to                                                                                                             with its obligations as a self-regulatory
                                                    the extraordinary nature of the situation,                                   With respect to rulings made pursuant                                   organization, the Exchange’s Regulatory
                                                    then the Exchange will nullify some or                                    to the proposed Significant Market
asabaliauskas on DSK5VPTVN1PROD with NOTICES




                                                                                                                                                                                                         Department reviews adjustments to
                                                    all transactions arising out of the                                       Event provision the Exchange believes                                      transactions to detect potential
                                                    Significant Market Event during the                                       that the number of affected transactions                                   violations of Exchange rules or the Act
                                                    review period selected by the Exchange                                    is such that immediate finality is                                         and the rules and regulations
                                                    and other options exchanges. To the                                       necessary to maintain a fair and orderly                                   thereunder.
                                                    extent the Exchange, in consultation                                      market and to protect investors and the
                                                    with other options exchanges,                                             public interest. Accordingly, rulings by                                   Trading Halts
                                                    determines to nullify less than all                                       the Exchange pursuant to the Significant                                     Exchange Rule 6.32 describes the
                                                    transactions arising out of the                                           Market Event provision would be non-                                       Exchange’s authority to declare trading


                                               VerDate Sep<11>2014         17:27 May 12, 2015         Jkt 235001       PO 00000       Frm 00117       Fmt 4703       Sfmt 4703      E:\FR\FM\13MYN1.SGM             13MYN1


                                                                                 Federal Register / Vol. 80, No. 92 / Wednesday, May 13, 2015 / Notices                                                    27401

                                                    halts in one or more options traded on                  pursuant to the proposed erroneous                    Similar to the proposal with respect to
                                                    the Exchange. The Exchange proposes to                  print provision it must notify the                    erroneous prints described above, if a
                                                    make clear in the Proposed Rule that it                 Exchange’s Help Desk within the                       party believes that it participated in an
                                                    will nullify any transaction that occurs                timeframes set forth in the Obvious                   erroneous transaction resulting from an
                                                    during a trading halt in the affected                   Error provision described above. The                  erroneous quote(s) it must notify the
                                                    option on the Exchange pursuant to                      Exchange has also proposed to state that              Exchange’s Help Desk in accordance
                                                    Rule 6.32. If any trades occur                          the allowed notification timeframe                    with the notification provisions of the
                                                    notwithstanding a trading halt then the                 commences at the time of notification                 Obvious Error provision described
                                                    Exchange believes it appropriate to                     by the underlying market(s) of                        above. The Proposed Rule, therefore,
                                                    nullify such transactions. While the                    nullification of transactions in the                  puts the onus on each Participant to
                                                    Exchange may halt options trading for                   underlying security. Further, the                     notify the Exchange if such Participant
                                                    various reasons, such a scenario almost                 Exchange proposes that if multiple                    believes that a trade should be reviewed
                                                    certainly is due to extraordinary                       underlying markets nullify trades in the              pursuant to either of the proposed
                                                    circumstances and is potentially the                    underlying security, the allowed                      provisions, as the Exchange is not in
                                                    result of market-wide coordination to                   notification timeframe will commence                  position to determine the impact of
                                                    halt options trading or trading generally.              at the time of the first market’s                     erroneous prints or quotes on individual
                                                    Accordingly, the Exchange does not                      notification.                                         Participants. The Exchange notes that it
                                                    believe it is appropriate to allow trades                  As an example of a situation in which              does not believe that additional time is
                                                    to stand if such trades should not have                 a trade results from an erroneous print               necessary with respect to a trade based
                                                    occurred in the first place.                            disseminated by the underlying market                 on an erroneous quote because a
                                                       The Exchange proposes to add                         that is later nullified by the underlying             Participant has all information
                                                    Interpretation and Policy .05 to Rule                   market, assume that a given underlying                necessary to detect the error at the time
                                                    6.32. The Interpretation and Policy will                is trading in the $49.00–$50.00 price                 of an option transaction that was
                                                    also state that the Exchange shall nullify              range then has an erroneous print at                  triggered by an erroneous quote, which
                                                    any transaction that occurs: (a) During a               $5.00. Given that there is the potential              is in contrast to the proposed erroneous
                                                    trading halt in the affected option on the              perception that the underlying has gone               print provision that includes a
                                                    Exchange; or (b) with respect to equity                 through a dramatic price revaluation,                 dependency on an action by the market
                                                    options (including options overlying                    numerous options trades could                         where the underlying security traded.
                                                    ETFs), during a regulatory halt as                      promptly trigger based off of this new                   As an example of a situation in which
                                                    declared by the primary listing market                  price. However, because the price that                a trade results from an erroneous quote
                                                    for the underlying security.                            triggered them was not a valid price it               in the underlying security, assume again
                                                                                                            would be appropriate to review said                   that a given underlying is quoting and
                                                    Erroneous Print and Quotes in
                                                    Underlying Security                                     option trades when the underlying print               trading in the $49.00–$50.00 price range
                                                                                                            that triggered them is removed.                       then a liquidity gap occurs, with bidders
                                                       Market participants on the Exchange                                                                        not representing quotes in the market
                                                                                                               The Exchange also proposes to add a
                                                    likely base the pricing of their orders                                                                       place and an offer quoted at $5.00.
                                                                                                            provision stating that a trade resulting
                                                    submitted to the Exchange on the price                                                                        Quoting may quickly return to normal,
                                                                                                            from an erroneous quote(s) in the
                                                    of the underlying security for the                                                                            again in the $49.00–$50.00 price range,
                                                                                                            underlying security shall be adjusted or
                                                    option. Thus, the Exchange believes it is                                                                     but due to the potential perception that
                                                                                                            busted as set forth in the Obvious Error
                                                    appropriate to adopt provisions that                                                                          the underlying has gone through a
                                                                                                            provisions of the Proposed Rule,
                                                    allow adjustment or nullification of                                                                          dramatic price revaluation, numerous
                                                                                                            provided a party notifies the Exchange’s
                                                    transactions based on erroneous prints                                                                        options trades could trigger based off of
                                                    or erroneous quotes in the underlying                   Help Desk in a timely manner, as further
                                                                                                            described below. Pursuant to the                      this new quoted price in the interim.
                                                    security.                                                                                                     Because the price that triggered such
                                                       The Exchange proposes to adopt                       Proposed Rule, an erroneous quote
                                                                                                            occurs when the underlying security has               trades was not a valid price it would be
                                                    language in the Proposed Rule stating                                                                         appropriate to review said option trades.
                                                    that a trade resulting from an erroneous                a width of at least $1.00 and has a width
                                                    print(s) disseminated by the underlying                 at least five times greater than the                  Stop (and Stop-Limit) Order Trades
                                                    market that is later nullified by that                  average quote width for such underlying               Triggered by Erroneous Trades
                                                    underlying market shall be adjusted or                  security during the time period
                                                                                                            encompassing two minutes before and                      The Exchange notes that certain
                                                    busted as set forth in the Obvious Error                                                                      market participants and their customers
                                                    provisions of the Proposed Rule,                        after the dissemination of such quote.
                                                                                                            For purposes of the Proposed Rule, the                enter stop or stop limit orders that are
                                                    provided a party notifies the Exchange’s                                                                      triggered based on executions in the
                                                    Help Desk in a timely manner, as further                average quote width will be determined
                                                                                                            by adding the quote widths of sample                  marketplace. As proposed, transactions
                                                    described below. The Exchange                                                                                 resulting from the triggering of a stop or
                                                    proposes to define a trade resulting from               quotations at regular 15-second intervals
                                                                                                            during the four-minute time period                    stop-limit order by an erroneous trade in
                                                    an erroneous print(s) as any options                                                                          an option contract shall be nullified by
                                                    trade executed during a period of time                  referenced above (excluding the quote(s)
                                                                                                            in question) and dividing by the number               the Exchange, provided a party notifies
                                                    for which one or more executions in the                                                                       the Exchange’s Help Desk in a timely
                                                    underlying security are nullified and for               of quotes during such time period
                                                                                                            (excluding the quote(s) in question).9                manner as set forth below. The
                                                    one second thereafter. The Exchange
asabaliauskas on DSK5VPTVN1PROD with NOTICES




                                                                                                                                                                  Exchange believes it is appropriate to
                                                    believes that one second is an                            9 The Exchange has proposed the price and time      nullify executions of stop or stop-limit
                                                    appropriate amount of time in which an                  parameters for quote width and average quote width    orders that were wrongly triggered
                                                    options trade would be directly based                   used to determine whether an erroneous quote has      because such transactions should not
                                                    on executions in the underlying equity                  occurred based on established rules of options        have occurred. If a party believes that it
                                                    security. The Exchange also proposes to                 exchanges that currently apply such parameters.
                                                                                                            See, e.g., CBOE Rule 6.25(a)(5); NYSE Arca Rule       participated in an erroneous transaction
                                                    require that if a party believes that it                6.87(a)(5). Based on discussions with these
                                                    participated in an erroneous transaction                exchanges, the Exchange believes that the             whether an erroneous quote has occurred for
                                                    resulting from an erroneous print(s)                    parameters are a reasonable approach to determine     purposes of the proposed rule.



                                               VerDate Sep<11>2014   17:27 May 12, 2015   Jkt 235001   PO 00000   Frm 00118   Fmt 4703   Sfmt 4703   E:\FR\FM\13MYN1.SGM   13MYN1


                                                    27402                        Federal Register / Vol. 80, No. 92 / Wednesday, May 13, 2015 / Notices

                                                    pursuant to the Proposed Rule it must                   must merit special consideration. A                   occurred, whether the correct
                                                    notify the Exchange’s Help Desk within                  party cannot request review by an                     Theoretical Price was used, and whether
                                                    the timeframes set forth in the Obvious                 Obvious Error Panel of determinations                 the correct adjustment was made at the
                                                    Error Rule above, with the allowed                      by a C2 Official made pursuant to                     correct price. The composition of the
                                                    notification timeframe commencing at                    paragraph (c)(3) of this Rule.                        Catastrophic Error Panel will be the
                                                    the time of notification of the                            The Obvious Error Panel will be                    same as the Obvious Error Panel.
                                                    nullification of transaction(s) that                    comprised of representatives from four
                                                                                                                                                                     Additionally, under paragraph (l)(3), a
                                                    triggered the stop or stop-limit order.                 (4) Participants. Two (2) of the
                                                                                                                                                                  request for review must be made in
                                                                                                            representatives must be directly engaged
                                                    Linkage Trades                                                                                                writing within thirty (30) minutes after
                                                                                                            in market making activity and two (2) of
                                                       The Exchange also proposes to adopt                  the representatives must be employed                  a party receives notification of a
                                                    language that clearly provides the                      by non-Market-Maker Participants.11                   determination under paragraph (d),
                                                    Exchange with authority to take                            Under Proposed Rule (k)(3) a request               except that if notification is made after
                                                    necessary actions when another options                  for review must be made in writing                    2:30 p.m. Central Time (‘‘CT’’), either
                                                    exchange nullifies or adjusts a                         within thirty (30) minutes after a party              party has until 8:30 a.m. CT the next
                                                    transaction pursuant to its respective                  receives notification of the                          trading day to request review. The
                                                    rules and the transaction resulted from                 determination being appealed, except                  Catastrophic Error Panel shall review
                                                    an order that has passed through the                    that if notification is made after 2:30               the facts and render a decision on the
                                                    Exchange and been routed on to another                  p.m. Central Time (‘‘CT’’), either party              day of the transaction, or the next trade
                                                    options exchange on behalf of the                       has until 8:30 a.m. CT the next trading               day in the case where a request is
                                                    Exchange. Specifically, if the Exchange                 day to request review. The Obvious                    properly made the next trade day.
                                                    routes an order pursuant to the                         Error Panel shall review the facts and                   Finally, as with the Obvious Error
                                                    Intermarket Options Linkage Plan 10 that                render a decision on the day of the                   Panel, the Catastrophic Error Panel may
                                                    results in a transaction on another                     transaction, or the next trade day in the             overturn or modify an action taken
                                                    options exchange (a ‘‘Linkage Trade’’)                  case where a request is properly made                 under this Rule upon agreement by a
                                                    and such options exchange                               the next trade day.                                   majority of the Panel representatives.
                                                    subsequently nullifies or adjusts the                      The Obvious Error Panel may                        All determinations by the Catastrophic
                                                    Linkage Trade pursuant to its rules, the                overturn or modify an action taken                    Error Panel may be appealed in
                                                    Exchange will perform all actions                       under this Rule upon agreement by a                   accordance with paragraph (m) of this
                                                    necessary to complete the nullification                 majority of the Panel representatives.                Rule.
                                                    or adjustment of the Linkage Trade.                     All determinations by the Obvious Error
                                                    Although the Exchange is not utilizing                  Panel may be appealed in accordance                   Review
                                                    its own authority to nullify or adjust a                with paragraph (m) of this Rule.
                                                                                                                                                                     Determinations made by an Obvious
                                                    transaction related to an action taken on               Catastrophic Error Panel                              Error Panel or Catastrophic Error Panel
                                                    a Linkage Trade by another options                                                                            can be appealed in accordance with
                                                    exchange, the Exchange does have to                       The Exchange proposes to modify the
                                                                                                            procedure and function of the                         paragraph (m) of the Proposed Rule.
                                                    assist in the processing of the                                                                               Paragraph (m) provides that, subject to
                                                    adjustment or nullification of the order,               Catastrophic Error Panel in the Current
                                                                                                            Rule to conform the appeals process for               the limitations contained in (c)(3),12 a
                                                    such as notification to the Participant                                                                       Participant affected by a determination
                                                    and the OCC of the adjustment or                        catastrophic errors to the appeals
                                                                                                            process for obvious errors. Under the                 made under this Rule may appeal such
                                                    nullification. Thus, the Exchange
                                                                                                            Current Rule, the Catastrophic Error                  determination, in accordance with
                                                    believes that the proposed provision
                                                                                                            Panel does not review initial                         chapter XIX of the Exchange’s rules. For
                                                    adds additional transparency to the
                                                                                                            determinations regarding catastrophic                 purposes of this Rule, a Participant must
                                                    Proposed Rule.
                                                                                                            errors; rather, the Catastrophic Error                be aggrieved as described in Rule 19.1.
                                                    Obvious Error Panel                                     Panel makes initial determinations with               Notwithstanding any provision in Rule
                                                       The Exchange proposes to maintain                    regards to whether a catastrophic error               19.2 to the contrary, a request for review
                                                    its current appeals process in                          has occurred. In order to conform to the              must be made in writing (in a form and
                                                    connection with obvious errors.                         Proposed Rule, which provides that                    manner prescribed by the Exchange) no
                                                    Specifically, if a party affected by a                  initial determinations regarding                      later than the close of trading on the
                                                    determination made under paragraph (c)                  potential catastrophic errors are made                next trade date after the Participant
                                                    so requests within the time permitted in                by C2 Officials, the Exchange is                      receives notification of such
                                                    paragraph (k)(3) below, an Obvious                      proposing to adopt procedures similar                 determination from the Exchange.
                                                    Error Panel will review decisions made                  to the Obvious Error Panel for the
                                                                                                                                                                  Limit Up-Limit Down Plan
                                                    under this Rule, including whether an                   proposed Catastrophic Error Panel.
                                                    obvious error occurred, whether the                     Specifically, if a party affected by a                  The Exchange is proposing to adopt
                                                    correct Theoretical Price was used, and                 determination made under paragraph                    Interpretation and Policy .01 to the
                                                    whether the correct adjustment was                      (d) so requests within the time                       Proposed Rule to provide for how the
                                                    made at the correct price. A party may                  permitted in paragraph (l)(3), a                      Exchange will treat Obvious and
                                                    also request that the Obvious Error                     Catastrophic Error Panel will review                  Catastrophic Errors in response to the
asabaliauskas on DSK5VPTVN1PROD with NOTICES




                                                    Panel provide relief as required in this                decisions made under this Rule,                       Regulation NMS Plan to Address
                                                    Rule in cases where the party failed to                 including whether a catastrophic error                Extraordinary Market Volatility
                                                    provide the notification required in                                                                          Pursuant to Rule 608 of Regulation NMS
                                                                                                              11 The Exchange notes that the Proposed Rule also
                                                    paragraph (c)(2) and an extension was                                                                         under the Act (the ‘‘Limit Up-Limit
                                                                                                            includes Interpretation and Policy .03 and .04,
                                                    not granted, but unusual circumstances                  which are being carried over from the Current Rule
                                                                                                            and describes qualification requirements for            12 Transactions adjusted or nullified under (c)(3)
                                                      10 SeeSecurities Exchange Act Release No. 34–         panelists. See Rule 6.15.02 and .03. The same         cannot be reviewed by an Obvious Error Panel
                                                    54551 (September 29, 2006), 71 FR 194 (October 6,       provisions are applicable to the Catastrophic Error   under paragraph (k) but can be appealed in
                                                    2006).                                                  Panel.                                                accordance with paragraph (m).



                                               VerDate Sep<11>2014   17:27 May 12, 2015   Jkt 235001   PO 00000   Frm 00119   Fmt 4703   Sfmt 4703   E:\FR\FM\13MYN1.SGM   13MYN1


                                                                                 Federal Register / Vol. 80, No. 92 / Wednesday, May 13, 2015 / Notices                                              27403

                                                    Down Plan’’ or the ‘‘Plan),13 which is                  character of incoming order flow and                  Participants’ proposed time frame to
                                                    applicable to all NMS stocks, as defined                transactions during Limit and Straddle                submit to the Commission assessments
                                                    in Regulation NMS Rule 600(b)(47).14                    States, and (3) review any complaints                 as required under Appendix B of the
                                                    Under the Proposed Rule, during a pilot                 from Participants and their customers                 Plan. The Exchange notes that the pilot
                                                    period to coincide with the pilot period                concerning executions during Limit and                program is intended to run concurrent
                                                    for the Plan, including any extensions to               Straddle States. The Exchange also                    with the pilot period of the Plan, which
                                                    the pilot period for the Plan, an                       agrees to provide to the Commission                   has been extended to October 23, 2015.
                                                    execution will not be subject to review                 data requested to evaluate the impact of              The Exchange proposes to reflect this
                                                    as an Obvious Error or Catastrophic                     the inapplicability of the Obvious Error              date in the Proposed Rule.
                                                    Error pursuant to paragraph (c) or (d) of               and Catastrophic Error provisions,
                                                    the Proposed Rule if it occurred while                  including data relevant to assessing the              No Adjustments to a Worse Price
                                                    the underlying security was in a ‘‘Limit                various analyses noted above.                            The Exchange also proposes to
                                                    State’’ or ‘‘Straddle State,’’ as defined in               In connection with this proposal, the              include Interpretation and Policy .02 to
                                                    the Plan. The Exchange, however,                        Exchange will provide to the                          the Proposed Rule, which would make
                                                    proposes to retain authority to review                  Commission and the public a dataset                   clear that to the extent the provisions of
                                                    transactions on an Official’s own motion                containing the data for each Straddle                 the proposed Rule would result in the
                                                    pursuant to sub-paragraph (c)(3) of the                 State and Limit State in NMS Stocks                   Exchange applying an adjustment of an
                                                    Proposed Rule and to bust or adjust                     underlying options traded on the                      erroneous sell transaction to a price
                                                    transactions pursuant to the proposed                   Exchange beginning in the month                       lower than the execution price or an
                                                    Significant Market Event provision, the                 during which the proposal is approved,                erroneous buy transaction to a price
                                                    proposed trading halts provision, the                   limited to those option classes that have             higher than the execution price, the
                                                    proposed provisions with respect to                     at least one (1) trade on the Exchange                Exchange will not adjust or nullify the
                                                    erroneous prints and quotes in the                      during a Straddle State or Limit State.               transaction, but rather, the execution
                                                    underlying security, or the proposed                    For each of those option classes                      price will stand.
                                                    provision related to stop and stop limit                affected, each data record will contain
                                                                                                            the following information:                            Arbitration
                                                    orders that have been triggered by an
                                                    erroneous execution. The Exchange                          • Stock symbol, option symbol, time                  Additionally, the Exchange proposes
                                                    believes that these safeguards will                     at the start of the Straddle or Limit                 to adopt Interpretation and Policy .05,
                                                    provide the Exchange with the                           State, an indicator for whether it is a               which provides that any determination
                                                    flexibility to act when necessary and                   Straddle or Limit State.                              made by an Official, an Obvious Error
                                                    appropriate to nullify or adjust a                         • For activity on the Exchange:                    Panel, or a Catastrophic Error Panel
                                                    transaction, while also providing market                   Æ executed volume, time-weighted                   under Proposed Rule shall be rendered
                                                    participants with certainty that, under                 quoted bid-ask spread, time-weighted                  without prejudice as to the rights of the
                                                    normal circumstances, the trades they                   average quoted depth at the bid, time-                parties to the transaction to submit a
                                                    affect with quotes and/or orders having                 weighted average quoted depth at the                  dispute to arbitration.
                                                    limit prices will stand irrespective of                 offer;
                                                                                                               Æ high execution price, low execution              Implementation Date
                                                    subsequent moves in the underlying
                                                                                                            price;                                                  In order to ensure that other options
                                                    security.                                                  Æ number of trades for which a
                                                       During a Limit or Straddle State,                                                                          exchanges are able to adopt rules
                                                                                                            request for review for error was received             consistent with this proposal and to
                                                    options prices may deviate substantially
                                                                                                            during Straddle and Limit States;                     coordinate the effectiveness of such
                                                    from those available immediately prior                     Æ an indicator variable for whether
                                                    to or following such States. Thus,                                                                            harmonized rules, the Exchange
                                                                                                            those options outlined above have a                   proposes to delay the operative date of
                                                    determining a Theoretical Price in such                 price change exceeding 30% during the
                                                    situations would often be very                                                                                this proposal to May 8, 2015.
                                                                                                            underlying stock’s Limit or Straddle
                                                    subjective, creating unnecessary                        State compared to the last available                  2. Statutory Basis
                                                    uncertainty and confusion for investors.                option price as reported by OPRA before
                                                    Because of this uncertainty, and                                                                                 The Exchange believes that its
                                                                                                            the start of the Limit or Straddle State              proposal is consistent with the
                                                    consistent with the Current Rule, the                   (1 if observe 30% and 0 otherwise).
                                                    Exchange proposes to provide that the                                                                         requirements of the Act and the rules
                                                                                                            Another indicator variable for whether                and regulations thereunder that are
                                                    Exchange will not review transactions                   the option price within five minutes of
                                                    as Obvious Errors or Catastrophic Errors                                                                      applicable to a national securities
                                                                                                            the underlying stock leaving the Limit                exchange, and, in particular, with the
                                                    when the underlying security is in a                    or Straddle state (or halt if applicable)
                                                    Limit or Straddle State.                                                                                      requirements of section 6(b) of the
                                                                                                            is 30% away from the price before the                 Act.15 Specifically, the proposal is
                                                       The Exchange represents that it will
                                                                                                            start of the Limit or Straddle State.                 consistent with section 6(b)(5) of the
                                                    conduct its own analysis concerning the                    In addition, by May 29, 2015, the
                                                    elimination of the Obvious Error and                                                                          Act 16 because it would promote just
                                                                                                            Exchange shall provide to the                         and equitable principles of trade,
                                                    Catastrophic Error provisions during                    Commission and the public assessments
                                                    Limit and Straddle States and agrees to                                                                       remove impediments to, and perfect the
                                                                                                            relating to the impact of the operation               mechanism of, a free and open market
                                                    provide the Commission with relevant                    of the Obvious Error rules during Limit
                                                    data to assess the impact of this                                                                             and a national market system, and, in
                                                                                                            and Straddle States as follows: (1)
asabaliauskas on DSK5VPTVN1PROD with NOTICES




                                                    proposed rule change. As part of its                                                                          general, protect investors and the public
                                                                                                            Evaluate the statistical and economic                 interest.
                                                    analysis, the Exchange will evaluate (1)                impact of Limit and Straddle States on
                                                    the options market quality during Limit                                                                          As described above, the Exchange and
                                                                                                            liquidity and market quality in the                   other options exchanges are seeking to
                                                    and Straddle States, (2) assess the                     options markets; and (2) Assess whether               adopt harmonized rules related to the
                                                      13 Securities Exchange Act Release No. 67091
                                                                                                            the lack of Obvious Error rules in effect             adjustment and nullification of
                                                    (May 31, 2012), 77 FR 33498 (June 6, 2012) (order       during the Straddle and Limit States are
                                                    approving the Plan on a pilot basis).                   problematic. The timing of this                         15 15   U.S.C. 78f(b).
                                                      14 17 CFR 242.600(b)(47).                             submission would coordinate with                        16 15   U.S.C. 78f(b)(5).



                                               VerDate Sep<11>2014   17:27 May 12, 2015   Jkt 235001   PO 00000   Frm 00120   Fmt 4703   Sfmt 4703   E:\FR\FM\13MYN1.SGM     13MYN1


                                                    27404                           Federal Register / Vol. 80, No. 92 / Wednesday, May 13, 2015 / Notices

                                                    erroneous options transactions. The                        Customers with additional protections                 Act in that it has retained the standard
                                                    Exchange believes that the Proposed                        as compared to non-Customers.                         of the current rule, which is to rely on
                                                    Rule will provide greater transparency                        The Exchange believes that its                     the NBBO to determine Theoretical
                                                    and clarity with respect to the                            proposal with respect to the allowance                Price if such NBBO can reasonably be
                                                    adjustment and nullification of                            of mutual agreed upon adjustments or                  relied upon. Because, however, there is
                                                    erroneous options transactions.                            nullifications is appropriate and                     not always an NBBO that can or should
                                                    Particularly, the proposed changes seek                    consistent with the Act, as such                      be used in order to administer the rule,
                                                    to achieve consistent results for                          proposal removes impediments to and                   the Exchange has proposed various
                                                    participants across U.S. options                           perfects the mechanism of a free and                  provisions that provide the Exchange
                                                    exchanges while maintaining a fair and                     open market and a national market                     with the authority to determine a
                                                    orderly market, protecting investors and                   system, allowing participants to                      Theoretical Price. The Exchange
                                                    protecting the public interest. Based on                   mutually agree to correct an erroneous                believes that the Proposed Rule is
                                                    the foregoing, the Exchange believes                       transactions without the Exchange                     transparent with respect to the
                                                    that the proposal is consistent with                       mandating the outcome. The Exchange                   circumstances under which the
                                                    section 6(b)(5) of the Act 17 in that the                  also believes that its proposal with                  Exchange will determine Theoretical
                                                    Proposed Rule will foster cooperation                      respect to mutual adjustments is                      Price, and has sought to limit such
                                                    and coordination with persons engaged                      consistent with the Act because it is                 circumstances as much as possible. The
                                                    in regulating and facilitating                             designed to prevent fraudulent and                    Exchange notes that Exchange personnel
                                                    transactions.                                              manipulative acts and practices by                    currently are required to determine
                                                       The Exchange believes the various                       explicitly stating that it is considered              Theoretical Price in certain
                                                    provisions allowing or dictating                           conduct inconsistent with just and                    circumstances. While the Exchange
                                                    adjustment rather than nullification of a                  equitable principles of trade for any                 continues to pursue alternative
                                                    trade are necessary given the benefits of                  Participant to use the mutual                         solutions that might further enhance the
                                                    adjusting a trade price rather than                        adjustment process to circumvent any                  objectivity and consistency of
                                                    nullifying the trade completely. Because                   applicable Exchange rule, the Act or any              determining Theoretical Price, the
                                                    options trades are used to hedge, or are                   of the rules and regulations thereunder.              Exchange believes that the discretion
                                                                                                                  The Exchange believes its proposal to              currently afforded to Exchange Officials
                                                    hedged by, transactions in other
                                                                                                               provide within the Proposed Rule                      is appropriate in the absence of a
                                                    markets, including securities and
                                                                                                               definitions of Customer, erroneous sell               reliable NBBO that can be used to set
                                                    futures, many Participants, and their
                                                                                                               transaction and erroneous buy                         the Theoretical Price.
                                                    customers, would rather adjust prices of
                                                                                                               transaction, and Official is consistent
                                                    executions rather than nullify the                                                                                  With respect to the specific proposed
                                                                                                               with section 6(b)(5) of the Act because
                                                    transactions and, thus, lose a hedge                                                                             provisions for determining Theoretical
                                                                                                               such terms will provide more certainty
                                                    altogether. As such, the Exchange                                                                                Price for transactions that occur as part
                                                                                                               to market participants as to the meaning
                                                    believes it is in the best interest of                                                                           of the Exchange’s Opening Process and
                                                                                                               of the Proposed Rule and reduce the
                                                    investors to allow for price adjustments                                                                         in situations where there is a wide
                                                                                                               possibility that a party can intentionally
                                                    as well as nullifications. The Exchange                    submit an order hoping for the market                 quote, the Exchange believes both
                                                    further discusses specific aspects of the                  to move in their favor in reliance on the             provisions are consistent with the Act
                                                    Proposed Rule below.                                       Rule as a safety mechanism, thereby                   because they provide objective criteria
                                                       The Exchange does not believe that                      promoting just and fair principles of                 that will determine Theoretical Price
                                                    the proposal is unfairly discriminatory,                   trade. Similarly, the Exchange believes               with limited exceptions for situations
                                                    even though it differentiates in many                      that proposed Interpretation and Policy               where the Exchange does not believe the
                                                    places between Customers and non-                          .02 is consistent with the Act as it                  NBBO is a reasonable benchmark or
                                                    Customers. The rules of the options                        would make clear that the Exchange                    there is no NBBO. The Exchange notes
                                                    exchanges, including the Exchange’s                        will not adjust or nullify a transaction,             in particular with respect to the wide
                                                    existing Obvious Error provision, often                    but rather, the execution price will                  quote provision that the Proposed Rule
                                                    treat Customers differently, often                         stand when the applicable adjustment                  will result in the Exchange determining
                                                    affording them preferential treatment.                     criteria would actually adjust the price              Theoretical Price less frequently than it
                                                    This treatment is appropriate in light of                  of the transaction to a worse price (i.e.,            would pursuant to wide quote
                                                    the fact that Customers are not                            higher for an erroneous buy or lower for              provisions that have previously been
                                                    necessarily immersed in the day-to-day                     an erroneous sell order).                             approved. The Exchange believes that it
                                                    trading of the markets, are less likely to                    As set forth below, the Exchange                   is appropriate and consistent with the
                                                    be watching trading activity in a                          believes it is consistent with section                Act to afford protections to market
                                                    particular option throughout the day,                      6(b)(5) of the Act for the Exchange to                participants by not relying on the NBBO
                                                    and may have limited funds in their                        determine Theoretical Price when the                  to determine Theoretical Price when the
                                                    trading accounts. At the same time, the                    NBBO cannot reasonably be relied upon                 quote is extremely wide but had been,
                                                    Exchange reiterates that in the U.S.                       because the alternative could result in               in the prior 10 seconds, at much more
                                                    options markets generally there is                         transactions that cannot be adjusted or               reasonable width. The Exchange also
                                                    significant retail customer participation                  nullified even when they are otherwise                believes it is appropriate and consistent
                                                    that occurs directly on (and only on)                      clearly at a price that is significantly              with the Act to use the NBBO to
                                                    options exchanges such as the                              away from the appropriate market for                  determine Theoretical Price when the
asabaliauskas on DSK5VPTVN1PROD with NOTICES




                                                    Exchange. Accordingly, differentiating                     the option. Similarly, reliance on an                 quote has been wider than the
                                                    among market participants with respect                     NBBO that is not reliable could result in             applicable amount for more than 10
                                                    to the adjustment and nullification of                     adjustment to prices that are still                   seconds, as the Exchange does not
                                                    erroneous options transactions is not                      significantly away from the appropriate               believe it is necessary to apply any other
                                                    unfairly discriminatory because it is                      market for the option.                                criteria in such a circumstance. The
                                                    reasonable and fair to provide                                The Exchange believes that its                     Exchange believes that market
                                                                                                               proposal with respect to determining                  participants can easily use or adopt
                                                      17 15   U.S.C. 78f(b)(5).                                Theoretical Price is consistent with the              safeguards to prevent errors when such


                                               VerDate Sep<11>2014      17:27 May 12, 2015   Jkt 235001   PO 00000   Frm 00121   Fmt 4703   Sfmt 4703   E:\FR\FM\13MYN1.SGM   13MYN1


                                                                                 Federal Register / Vol. 80, No. 92 / Wednesday, May 13, 2015 / Notices                                              27405

                                                    market conditions exist. When entering                  trading of the markets, are less likely to            Customers were responsible for the
                                                    an order into a market with a                           be watching trading activity in a                     errors in the ordinary course of trading.
                                                    persistently wide quote, the Exchange                   particular option throughout the day,                 In the event of a large-scale issue caused
                                                    does not believe that the entering party                and may have limited funds in their                   by a Participant that has submitted
                                                    should reasonably expect anything other                 trading accounts.                                     orders over a 2 minute period marked as
                                                    than the quoted price of an option.                        The Exchange acknowledges that the                 Customer that resulted in more than 200
                                                       The Exchange believes that its                       proposal contains some uncertainty                    transactions under review, the Exchange
                                                    proposal to adopt clear but disparate                   regarding whether a trade will be                     does not believe it is appropriate to
                                                    standards with respect to the deadline                  adjusted or nullified, depending on                   nullify all such transactions because of
                                                    for submitting a request for review of                  whether one of the parties is a                       the negative impact that nullification
                                                    Customer and non-Customer                               Customer, because a party may not                     could have on the market participants
                                                    transactions is consistent with the Act,                know whether the other party to a                     on the contra-side of such transactions,
                                                    particularly in that it creates a greater               transaction was a Customer at the time                who might have engaged in hedging and
                                                    level of protection for Customers. As                   of entering into the transaction.                     trading activity following such
                                                    noted above, the Exchange believes that                 However, the Exchange believes that the               transactions. In order for a participant to
                                                    this is appropriate and not unfairly                    proposal nevertheless promotes just and               have more than 200 transactions under
                                                    discriminatory in light of the fact that                equitable principles of trade and                     review concurrently when the orders
                                                    Customers are not necessarily immersed                  protects investors as well as the public              triggering such transactions were
                                                    in the day-to-day trading of the markets                interest because it eliminates the                    received in 2 minutes or less, the
                                                    and are less likely to be watching                      possibility that a Customer’s order will              Exchange believes that a market
                                                    trading activity in a particular option                 be adjusted to a significantly different              participant will have far exceeded the
                                                    throughout the day. Thus, Participants                  price. As noted above, the Exchange                   normal behavior of customers deserving
                                                    representing Customer orders                            believes it is consistent with the Act to             protected status. While the Exchange
                                                    reasonably may need additional time to                  afford Customers greater protections                  continues to believe that it is
                                                    submit a request for review. The                        under the Proposed Rule than are                      appropriate to nullify transactions in
                                                    Exchange also believes that its proposal                afforded to non-Customers. Thus, the                  such a circumstance if both participants
                                                    to provide additional time for                          Exchange believes that its proposal is                to a transaction are Customers, the
                                                    submission of requests for review of                    consistent with the Act in that it                    Exchange does not believe it is
                                                    linkage trades is reasonable and                        protects investors and the public                     appropriate to place the overall risk of
                                                    consistent with the protection of                       interest by providing additional                      a significant number of trade breaks on
                                                    investors and the public interest due to                protections to those that are less                    non-Customers that in the normal
                                                    the time that it might take an options                  informed and potentially less able to                 course of business may have engaged in
                                                    exchange or third-party routing broker                  afford an adjustment of a transaction                 additional hedging activity or trading
                                                    to file a request for review with the                   that was executed in error. Customers                 activity based on such transactions.
                                                    Exchange if the initial notification of an              are also less likely to have engaged in               Thus, the Exchange believes it is
                                                    error is received by the originating                    significant hedging or other trading                  necessary and appropriate to protect
                                                    options exchange near the end of such                   activity based on earlier transactions,               non-Customers in such a circumstance
                                                    options exchange’s filing deadline.                     and thus, are less in need of maintaining             by applying the non-Customer
                                                    Without this additional time, there                     a position at an adjusted price than non-             adjustment criteria, and thus adjusting
                                                    could be disparate results based purely                 Customers.
                                                                                                                                                                  transactions as set forth above, in the
                                                    on the existence of intermediaries and                     If any Participant submits requests to
                                                                                                                                                                  event a Participant has more than 200
                                                    an interconnected market structure.                     the Exchange for review of transactions
                                                       In relation to the aspect of the                     pursuant to the Proposed Rule, and in                 transactions under review concurrently.
                                                    proposal giving Officials the ability to                aggregate that Participant has 200 or                 In summary, due to the extreme level at
                                                    review transactions for obvious errors                  more Customer transactions under                      which the proposal is set, the Exchange
                                                    on their own motion, the Exchange                       review concurrently and the orders                    believes that the proposal is consistent
                                                    notes that an Official can adjust or                    resulting in such transactions were                   with section 6(b)(5) of the Act in that it
                                                    nullify a transaction under the authority               submitted during the course of 2                      promotes just and equitable principles
                                                    granted by this provision only if the                   minutes or less, the Exchange believes                of trade by encouraging market
                                                    transaction meets the specific and                      it is appropriate for the Exchange apply              participants to retain appropriate
                                                    objective criteria for an Obvious Error                 the non-Customer adjustment criteria                  controls over their systems to avoid
                                                    under the Proposed Rule. As noted                       described above to such transactions.                 submitting a large number of erroneous
                                                    above, this is designed to give an                      The Exchange believes that the                        orders in a short period of time.
                                                    Official the ability to provide parties                 proposed aggregation is reasonable as it                 Similarly, the Exchange believes that
                                                    relief in those situations where they                   is representative of an extremely large               the proposed Size Adjustment Modifier,
                                                    have failed to report an apparent error                 number of orders submitted to the                     which would increase the adjustment
                                                    within the established notification                     Exchange over a relatively short period               amount for non-Customer transactions,
                                                    period. However, the Exchange will                      of time that are, in turn, possibly                   is appropriate because it attempts to
                                                    only grant relief if the transaction meets              erroneous (and within a time frame                    account for the additional risk that the
                                                    the requirements for an Obvious Error as                significantly less than an entire day),               parties to the trade undertake for
                                                    described in the Proposed Rule.                         and thus is most likely to occur because              transactions that are larger in scope. The
asabaliauskas on DSK5VPTVN1PROD with NOTICES




                                                       The Exchange believes that its                       of a systems issue experienced by a                   Exchange believes that the Size
                                                    proposal to adjust non-Customer                         Participant representing Customer                     Adjustment Modifier creates additional
                                                    transactions and to nullify Customer                    orders or a systems issue coupled with                incentives to prevent more impactful
                                                    transactions that qualify as Obvious                    the erroneous marking of orders. The                  Obvious Errors and it lessens the impact
                                                    Errors is appropriate for reasons                       Exchange does not believe it is possible              on the contra-party to an adjusted trade.
                                                    consistent with those described above.                  at a level of 200 Customer orders over                The Exchange notes that these contra-
                                                    In particular, Customers are not                        a 2 minute period that are under review               parties may have preferred to only trade
                                                    necessarily immersed in the day-to-day                  at one time that multiple, separate                   the size involved in the transaction at


                                               VerDate Sep<11>2014   17:27 May 12, 2015   Jkt 235001   PO 00000   Frm 00122   Fmt 4703   Sfmt 4703   E:\FR\FM\13MYN1.SGM   13MYN1


                                                    27406                        Federal Register / Vol. 80, No. 92 / Wednesday, May 13, 2015 / Notices

                                                    the price at which such trade occurred,                 in that outcome. For instance, if options             timely adjustment is not feasible due to
                                                    and in trading larger size has committed                exchanges are able to agree as to the                 the extraordinary nature of the situation.
                                                    a greater level of capital and bears a                  time from which Theoretical Price                     In particular, although the Exchange has
                                                    larger hedge risk.                                      should be determined and the period of                worked to limit the circumstances in
                                                       The Exchange similarly believes that                 time that should be reviewed, the likely              which it has to determine Theoretical
                                                    its Proposed Rule with respect to                       disparity between the Theoretical Prices              Price, in a widespread event it is
                                                    Catastrophic Errors is consistent with                  used by such exchanges should be very                 possible that hundreds if not thousands
                                                    the Act as it affords additional time for               slight and, in turn, with otherwise                   of series would require an Exchange
                                                    market participants to file for review of               consistent rules, the results should be               determination of Theoretical Price. In
                                                    erroneous transactions that were further                similar. The Exchange also believes that              turn, if there are hundreds or thousands
                                                    away from the Theoretical Price. At the                 the Proposed Rule is consistent with the              of trades in such series, it may not be
                                                    same time, the Exchange believes that                   Act in that it generally would adjust                 practicable for the Exchange to
                                                    the Proposed Rule is consistent with the                transactions, including Customer                      determine the adjustment levels for all
                                                    Act in that it generally would adjust                   transactions, because this will protect               non-Customer transactions in a timely
                                                    transactions, including Customer                        against hedge risk, particularly for                  fashion, and in turn, it would be in the
                                                    transactions, because this will protect                 liquidity providers that might have been              public interest to instead more promptly
                                                    against hedge risk, particularly for                    quoting in thousands or tens of                       deliver a simple, consistent result of
                                                    transactions that may have occurred                     thousands of different series and might               nullification.
                                                    several hours earlier and thus, which all               have affected executions throughout                      The Exchange believes that proposed
                                                    parties to the transaction might presume                                                                      rule change related to review,
                                                                                                            such quoted series. The Exchange
                                                    are protected from further modification.                                                                      nullification and/or adjustment of
                                                                                                            believes that when weighing the
                                                    Similarly, by providing larger                                                                                erroneous transactions during a trading
                                                                                                            competing interests between preferring
                                                    adjustment amounts away from                                                                                  halt, an erroneous print in the
                                                                                                            a nullification for a Customer
                                                    Theoretical Price than are set forth                                                                          underlying security, an erroneous quote
                                                                                                            transaction and an adjustment for a
                                                    under the Obvious Error provision, the                                                                        in the underlying security, or an
                                                                                                            transaction of a market professional,
                                                    Catastrophic Error provision also takes                                                                       erroneous transaction in the option with
                                                                                                            while nullification is appropriate in a
                                                    into account the possibility that the                                                                         respect to stop and stop limit orders is
                                                                                                            typical one-off situation that it is
                                                    party that was advantaged by the                                                                              likewise consistent with section 6(b)(5)
                                                                                                            necessary to protect liquidity providers              of the Act because the proposal provides
                                                    erroneous transaction has already taken
                                                    actions based on the assumption that                    in a widespread market event because,                 for the adjustment or nullification of
                                                    the transaction would stand. The                        presumably, they will be the most                     trades executed at erroneous prices
                                                    Exchange believes it is reasonable to                   affected by such an event (in contrast to             through no fault on the part of the
                                                    specifically protect Customers from                     a Customer who, by virtue of their status             trading participants. Allowing for
                                                    adjustments through their limit prices                  as such, likely would not have more                   Exchange review in such situations will
                                                    for the reasons stated above, including                 than a small number of affected                       promote just and fair principles of trade
                                                    that Customers are less likely to be                    transactions). The Exchange believes                  by protecting investors from harm that
                                                    watching trading throughout the day                     that the protection of liquidity providers            is not of their own making. Specifically
                                                    and that they may have less capital to                  by favoring adjustments in the context                with respect to the proposed provisions
                                                    afford an adjustment price. The                         of Significant Market Events can also                 governing erroneous prints and quotes
                                                    Exchange believes that the proposal                     benefit Customers indirectly by better                in the underlying security, the Exchange
                                                    provides a fair process that will ensure                enabling liquidity providers, which                   notes that market participants on the
                                                    that Customers are not forced to accept                 provides a cumulative benefit to the                  Exchange base the value of their quotes
                                                    a trade that was executed in violation of               market. Also, as stated above with                    and orders on the price of the
                                                    their limit order price. In contrast,                   respect to Catastrophic Errors, the                   underlying security. The provisions
                                                    market professionals are more likely to                 Exchange believes it is reasonable to                 regarding errors in prints and quotes in
                                                    have engaged in hedging or other                        specifically protect Customers from                   the underlying security cover instances
                                                    trading activity based on earlier trading               adjustments through their limit prices                where the information market
                                                    activity, and thus, are more likely to be               for the reasons stated above, including               participants use to price options is
                                                    willing to accept an adjustment rather                  that Customers are less likely to be                  erroneous through no fault of their own.
                                                    than a nullification to preserve their                  watching trading throughout the day                   In these instances, market participants
                                                    positions even if such adjustment is to                 and that they may have less capital to                have little, if any, chance of pricing
                                                    a price through their limit price.                      afford an adjustment price. The                       options accurately. Thus, these
                                                       The Exchange believes that proposed                  Exchange believes that the proposal                   provisions are designed to provide relief
                                                    rule change to adopt the Significant                    provides a fair process that will ensure              to market participants harmed by such
                                                    Market Event provision is consistent                    that Customers are not forced to accept               errors in the prints or quotes of the
                                                    with section 6(b)(5) of the Act in that it              a trade that was executed in violation of             underlying security.
                                                    will foster cooperation and coordination                their limit order price. In contrast,                    The Exchange believes that the
                                                    with persons engaged in regulating the                  market professionals are more likely to               proposed provision related to Linkage
                                                    options markets. In particular, the                     have engaged in hedging or other                      Trades is consistent with the Act
                                                    Exchange believes it is important for                   trading activity based on earlier trading             because it adds additional transparency
                                                    options exchanges to coordinate when                    activity, and thus, are more likely to be             to the Proposed Rule and makes clear
asabaliauskas on DSK5VPTVN1PROD with NOTICES




                                                    there is a widespread and significant                   willing to accept an adjustment rather                that when a Linkage Trade is adjusted
                                                    event, as commonly, multiple options                    than a nullification to preserve their                or nullified by another options
                                                    exchanges are impacted in such an                       positions even if such adjustment is to               exchange, the Exchange will take
                                                    event. Further, while the Exchange                      a price through their limit price. In                 necessary actions to complete the
                                                    recognizes that the Proposed Rule will                  addition, the Exchange believes it is                 nullification or adjustment of the
                                                    not guarantee a consistent result for all               important to have the ability to nullify              Linkage Trade.
                                                    market participants on every market, the                some or all transactions arising out of a                The Exchange believes that retaining
                                                    Exchange does believe that it will assist               Significant Market Event in the event                 the same appeals process for obvious


                                               VerDate Sep<11>2014   17:27 May 12, 2015   Jkt 235001   PO 00000   Frm 00123   Fmt 4703   Sfmt 4703   E:\FR\FM\13MYN1.SGM   13MYN1


                                                                                 Federal Register / Vol. 80, No. 92 / Wednesday, May 13, 2015 / Notices                                             27407

                                                    errors as the Exchange maintains under                  potential inequity of nullifying or                   other proposed provisions under the
                                                    the Current Rule is consistent with the                 adjusting executions occurring during                 Rule.
                                                    Act because such process provides                       Limit or Straddle States outweighs any                B. Self-Regulatory Organization’s
                                                    Participants with due process in                        potential benefits from applying certain              Statement on Burden on Competition
                                                    connection with decisions made by                       provisions during such unusual market
                                                    Exchange Officials under the Proposed                   conditions. Additionally, as discussed                   C2 does not believe that the proposed
                                                    Rule. The Exchange believes that this                   above, there are additional pre-trade                 rule change will impose any burden on
                                                    process provides fair representation of                 protections in place outside of the                   competition that is not necessary or
                                                    Participants by ensuring multiple                       Obvious and Catastrophic Error Rule                   appropriate in furtherance of the
                                                    Participants are members of any                                                                               purposes of the Act. Importantly, the
                                                                                                            that will continue to safeguard
                                                    Obvious Error Review Panel, which is                                                                          Exchange believes the proposal will not
                                                                                                            customers.
                                                    consistent with sections 6(b)(3) and                                                                          impose a burden on intermarket
                                                    6(b)(7) of the Act. The Exchange                           The Exchange notes that under certain              competition but will rather alleviate any
                                                    believes adopting a similar appeals                     limited circumstances the Proposed                    burden on competition because it is the
                                                    process for catastrophic errors is                      Rule will permit the Exchange to review               result of a collaborative effort by all
                                                    consistent with the Act for the same                    transactions in options that overlay a                options exchanges to harmonize and
                                                    reasons noted above.                                    security that is in a Limit or Straddle               improve the process related to the
                                                       With regard to the portion of the                    State. Specifically, an Official will have            adjustment and nullification of
                                                    Exchange’s proposal related to the                      authority to review a transaction on his              erroneous options transactions. The
                                                    applicability of the Obvious Error Rule                 or her own motion in the interest of                  Exchange does not believe that the rules
                                                    when the underlying security is in a                    maintaining a fair and orderly market                 applicable to such process is an area
                                                    Limit or Straddle State, the Exchange                   and for the protection of investors.                  where options exchanges should
                                                    believes that the proposed rule change                  Furthermore, the Exchange will have                   compete, but rather, that all options
                                                    is consistent with section 6(b)(5) of the               the authority to adjust or nullify                    exchanges should have consistent rules
                                                    Act because it will provide certainty                   transactions in the event of a Significant            to the extent possible. Particularly
                                                    about how errors involving options                      Market Event, a trading halt in the                   where a market participant trades on
                                                    orders and trades will be handled                       affected option, an erroneous print or                several different exchanges and an
                                                    during periods of extraordinary                         quote in the underlying security, or with             erroneous trade may occur on multiple
                                                    volatility in the underlying security.                  respect to stop and stop limit orders that            markets nearly simultaneously, the
                                                    Further, the Exchange believes that it is               have been triggered based on erroneous                Exchange believes that a participant
                                                    necessary and appropriate in the                        trades. The Exchange believes that the                should have a consistent experience
                                                    interest of promoting fair and orderly                  safeguards described above will protect               with respect to the nullification or
                                                    markets to exclude from Rule 6.15 those                 market participants and will provide the              adjustment of transactions. The
                                                    transactions executed during a Limit or                 Exchange with the flexibility to act                  Exchange understands that all other
                                                    Straddle State.                                         when necessary and appropriate to                     options exchanges intend to file
                                                       The Exchange believes the application                nullify or adjust a transaction, while                proposals that are substantially similar
                                                    of the Proposed Rule without the                        also providing market participants with               to this proposal.
                                                    proposed provision would be                                                                                      The Exchange does not believe that
                                                                                                            certainty that, under normal
                                                    impracticable given the lack of reliable                                                                      the proposed rule change imposes a
                                                                                                            circumstances, the trades they effect
                                                    NBBO in the options market during                                                                             burden on intramarket competition
                                                                                                            with quotes and/or orders having limit                because the provisions apply to all
                                                    Limit and Straddle States, and that the
                                                                                                            prices will stand irrespective of                     market participants equally within each
                                                    resulting actions (i.e., nullified trades or
                                                                                                            subsequent moves in the underlying                    participant category (i.e., Customers and
                                                    adjusted prices) may not be appropriate
                                                                                                            security. The right to review those                   non-Customers). With respect to
                                                    given market conditions. The Proposed
                                                                                                            transactions that occur during a Limit or             competition between Customer and
                                                    Rule change would ensure that limit
                                                                                                            Straddle State would allow the                        non-Customer market participants, the
                                                    orders that are filled during a Limit
                                                    State or Straddle State would have                      Exchange to account for unforeseen                    Exchange believes that the Proposed
                                                    certainty of execution in a manner that                 circumstances that result in Obvious or               Rule acknowledges competing concerns
                                                    promotes just and equitable principles                  Catastrophic Errors for which a                       and tries to strike the appropriate
                                                    of trade, removes impediments to, and                   nullification or adjustment may be                    balance between such concerns. For
                                                    perfects the mechanism of a free and                    necessary in the interest of maintaining              instance, as noted above, the Exchange
                                                    open market and a national market                       a fair and orderly market and for the                 believes that protection of Customers is
                                                    system.                                                 protection of investors. Similarly, the               important due to their direct
                                                       Moreover, given the fact that options                ability to nullify or adjust transactions             participation in the options markets as
                                                    prices during brief Limit or Straddle                   that occur during a Significant Market                well as the fact that they are not, by
                                                    States may deviate substantially from                   Event or trading halt, erroneous print or             definition, market professionals. At the
                                                    those available shortly following the                   quote in the underlying security, or                  same time, the Exchange believes due to
                                                    Limit or Straddle State, the Exchange                   erroneous trade in the option (i.e., stop             the quote-driven nature of the options
                                                    believes giving market participants time                and stop limit orders) may also be                    markets, the importance of liquidity
                                                    to re-evaluate a transaction would create               necessary in the interest of maintaining              provision in such markets and the risk
                                                    an unreasonable adverse selection                       a fair and orderly market and for the                 that liquidity providers bear when
asabaliauskas on DSK5VPTVN1PROD with NOTICES




                                                    opportunity that would discourage                       protection of investors. Furthermore, the             quoting a large breadth of products that
                                                    participants from providing liquidity                   Exchange will administer this provision               are derivative of underlying securities,
                                                    during Limit or Straddle States. In this                in a manner that is consistent with the               that the protection of liquidity providers
                                                    respect, the Exchange notes that only                   principles of the Act and will create and             and the practice of adjusting
                                                    those orders with a limit price will be                 maintain records relating to the use of               transactions rather than nullifying them
                                                    executed during a Limit or Straddle                     the authority to act on its own motion                is of critical importance. As described
                                                    State. Therefore, on balance, the                       during a Limit or Straddle State or any               above, the Exchange will apply specific
                                                    Exchange believes that removing the                     adjustments or trade breaks based on                  and objective criteria to determine


                                               VerDate Sep<11>2014   17:27 May 12, 2015   Jkt 235001   PO 00000   Frm 00124   Fmt 4703   Sfmt 4703   E:\FR\FM\13MYN1.SGM   13MYN1


                                                    27408                         Federal Register / Vol. 80, No. 92 / Wednesday, May 13, 2015 / Notices

                                                    whether an erroneous transaction has                    the purposes of the Act. If the                         For the Commission, by the Division of
                                                    occurred and, if so, how to adjust or                   Commission takes such action, the                     Trading and Markets, pursuant to delegated
                                                    nullify a transaction.                                  Commission shall institute proceedings                authority.21
                                                                                                            to determine whether the proposed rule                Robert W. Errett,
                                                    C. Self-Regulatory Organization’s
                                                                                                            should be approved or disapproved.                    Deputy Secretary.
                                                    Statement on Comments on the
                                                    Proposed Rule Change Received From                      IV. Solicitation of Comments                          [FR Doc. 2015–11485 Filed 5–12–15; 8:45 am]
                                                    Members, Participants, or Others                                                                              BILLING CODE 8011–01–P
                                                                                                              Interested persons are invited to
                                                      The Exchange neither solicited nor                    submit written data, views, and
                                                    received comments on the proposed                       arguments concerning the foregoing,
                                                    rule change.                                                                                                  SECURITIES AND EXCHANGE
                                                                                                            including whether the proposed rule                   COMMISSION
                                                    III. Date of Effectiveness of the                       change is consistent with the Act.
                                                    Proposed Rule Change and Timing for                     Comments may be submitted by any of
                                                                                                                                                                  [Release No. 34–74914; File No. SR–CBOE–
                                                    Commission Action                                       the following methods:
                                                                                                                                                                  2015–044]
                                                       Because the proposed rule change                     Electronic Comments
                                                    does not (i) significantly affect the                                                                         Self-Regulatory Organizations;
                                                                                                              • Use the Commission’s Internet                     Chicago Board Options Exchange,
                                                    protection of investors or the public
                                                                                                            comment form (http://www.sec.gov/                     Incorporated; Notice of Proposed Rule
                                                    interest; (ii) impose any significant
                                                                                                            rules/sro.shtml); or                                  To Introduce Asian Style Settlement
                                                    burden on competition; and (iii) become
                                                    operative for 30 days from the date on                    • Send an email to rule-comments@                   and Cliquet Style Settlement for
                                                    which it was filed, or such shorter time                sec.gov. Please include File Number SR–               FLexible Exchange Broad-Based Index
                                                    as the Commission may designate if                      C2–2015–012 on the subject line.                      Options
                                                    consistent with the protection of                       Paper Comments
                                                    investors and the public interest, the                                                                        May 8, 2015.
                                                    proposed rule change has become                           • Send paper comments in triplicate                    Pursuant to Section 19(b)(1) of the
                                                    effective pursuant to section 19(b)(3)(A)               to Brent J. Fields, Secretary, Securities             Securities Exchange Act of 1934 (the
                                                    of the Act 18 and Rule 19b–4(f)(6)                      and Exchange Commission, 100 F Street                 ‘‘Act’’),1 and Rule 19b–4 thereunder,2
                                                    thereunder.19                                           NE., Washington, DC 20549–1090.                       notice is hereby given that on May 6,
                                                       The Exchange has asked the                           All submissions should refer to File                  2015, the Chicago Board Options
                                                    Commission to waive the 30-day                          Number SR–C2–2015–012. This file                      Exchange, Incorporated (the ‘‘Exchange’’
                                                    operative delay so that the proposal may                number should be included on the                      or ‘‘CBOE’’) filed with the Securities
                                                    become operative immediately upon                       subject line if email is used. To help the            and Exchange Commission (the
                                                    filing. The Commission believes that                    Commission process and review your                    ‘‘Commission’’) the proposed rule
                                                    waiving the 30-day operative delay is                   comments more efficiently, please use
                                                    consistent with the protection of                                                                             change as described in Items I and II
                                                                                                            only one method. The Commission will                  below, which Items have been prepared
                                                    investors and the public interest, as it                post all comments on the Commission’s
                                                    will enable the Exchange to meet its                                                                          by the Exchange. The Commission is
                                                                                                            Internet Web site (http://www.sec.gov/                publishing this notice to solicit
                                                    proposed implementation date of May 8,                  rules/sro.shtml). Copies of the
                                                    2015, which will help facilitate the                                                                          comments on the proposed rule change
                                                                                                            submission, all subsequent
                                                    implementation of harmonized rules                                                                            from interested persons.
                                                                                                            amendments, all written statements
                                                    related to the adjustment and                           with respect to the proposed rule                     I. Self-Regulatory Organization’s
                                                    nullification of erroneous options                      change that are filed with the                        Statement of the Terms of Substance of
                                                    transactions across the options                         Commission, and all written                           the Proposed Rule Change
                                                    exchanges. For this reason, the                         communications relating to the
                                                    Commission designates the proposed                      proposed rule change between the                        Chicago Board Options Exchange,
                                                    rule change to be operative upon                        Commission and any person, other than                 Incorporated (‘‘CBOE’’ or ‘‘Exchange’’)
                                                    filing.20                                               those that may be withheld from the                   proposes to introduce Asian style
                                                       At any time within 60 days of the                    public in accordance with the                         settlement and Cliquet style settlement
                                                    filing of the proposed rule change, the                 provisions of 5 U.S.C. 552, will be                   for FLexible Exchange (‘‘FLEX’’) Broad-
                                                    Commission summarily may                                available for Web site viewing and                    Based Index options. The proposed rule
                                                    temporarily suspend such rule change if                 printing in the Commission’s Public                   change would not amend the text of
                                                    it appears to the Commission that such                  Reference Room, 100 F Street NE.,                     Rule 12.4 (Portfolio Margin); however,
                                                    action is necessary or appropriate in the               Washington, DC 20549, on official                     the Exchange believes that it would be
                                                    public interest, for the protection of                  business days between the hours of                    appropriate to include the proposed
                                                    investors, or otherwise in furtherance of               10:00 a.m. and 3:00 p.m. Copies of the                options in portfolio margining. The text
                                                      18 15
                                                                                                            filing also will be available for                     of the proposed rule change is available
                                                             U.S.C. 78s(b)(3)(A).
                                                      19 17
                                                                                                            inspection and copying at the principal               on the Exchange’s Web site (http://
                                                             CFR 240.19b–4(f)(6). As required under Rule
                                                    19b–4(f)(6)(iii), the Exchange provided the             office of the Exchange. All comments                  www.cboe.com/AboutCBOE/
                                                    Commission with written notice of its intent to file    received will be posted without change;
asabaliauskas on DSK5VPTVN1PROD with NOTICES




                                                                                                                                                                  CBOELegalRegulatoryHome.aspx), at
                                                    the proposed rule change, along with a brief            the Commission does not edit personal                 the Exchange’s Office of the Secretary,
                                                    description and the text of the proposed rule           identifying information from
                                                    change, at least five business days prior to the date                                                         and at the Commission.
                                                    of filing of the proposed rule change, or such          submissions. You should submit only
                                                    shorter time as designated by the Commission.           information that you wish to make
                                                       20 For purposes only of waiving the 30-day           available publicly. All submissions
                                                    operative delay, the Commission has also                should refer to File Number SR–C2–                      21 17 CFR 200.30–3(a)(12).
                                                    considered the proposed rule’s impact on
                                                    efficiency, competition, and capital formation. See
                                                                                                            2015–012 and should be submitted on                     1 15 U.S.C. 78s(b)(1).
                                                    15 U.S.C. 78c(f).                                       or before June 3, 2015.                                 2 17 CFR 240.19b–4.




                                               VerDate Sep<11>2014   17:27 May 12, 2015   Jkt 235001   PO 00000   Frm 00125   Fmt 4703   Sfmt 4703   E:\FR\FM\13MYN1.SGM    13MYN1



Document Created: 2015-12-16 07:46:27
Document Modified: 2015-12-16 07:46:27
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionNotices
FR Citation80 FR 27392 

2024 Federal Register | Disclaimer | Privacy Policy
USC | CFR | eCFR