80_FR_54815 80 FR 54640 - Self-Regulatory Organizations; NASDAQ OMX BX, Inc.; Notice of Filing and Immediate Effectiveness of Proposed Rule Change Regarding NASDAQ Last Sale Plus

80 FR 54640 - Self-Regulatory Organizations; NASDAQ OMX BX, Inc.; Notice of Filing and Immediate Effectiveness of Proposed Rule Change Regarding NASDAQ Last Sale Plus

SECURITIES AND EXCHANGE COMMISSION

Federal Register Volume 80, Issue 175 (September 10, 2015)

Page Range54640-54646
FR Document2015-22744

Federal Register, Volume 80 Issue 175 (Thursday, September 10, 2015)
[Federal Register Volume 80, Number 175 (Thursday, September 10, 2015)]
[Notices]
[Pages 54640-54646]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2015-22744]


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SECURITIES AND EXCHANGE COMMISSION

[Release No. 34-75830; File No. SR-BX-2015-054]


Self-Regulatory Organizations; NASDAQ OMX BX, Inc.; Notice of 
Filing and Immediate Effectiveness of Proposed Rule Change Regarding 
NASDAQ Last Sale Plus

September 3, 2015.
    Pursuant to Section 19(b)(1) of the Securities Exchange Act of 1934 
(``Act''),\1\ and Rule 19b-4 thereunder,\2\ notice is hereby given that 
on August 24, 2015, NASDAQ OMX BX, Inc. (``BX'' or ``Exchange'') filed 
with the Securities and Exchange Commission (``SEC'' or ``Commission'') 
the proposed rule change as described in Items I, II, and III, 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.
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    \1\ 15 U.S.C. 78s(b)(1).
    \2\ 17 CFR 240.19b-4.
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I. Self-Regulatory Organization's Statement of the Terms of Substance 
of the Proposed Rule Change

    The Exchange proposes to amend BX Rule 7039 (BX Last Sale and 
NASDAQ Last Sale Plus Data Feeds) with language indicating the fees for 
NASDAQ Last Sale Plus (``NLS Plus''), a comprehensive data feed offered 
by NASDAQ OMX Information LLC.\3\
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    \3\ NASDAQ OMX Information LLC is a subsidiary of The NASDAQ OMX 
Group, Inc. (``NASDAQ OMX'').
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    The text of the proposed rule change is available on the Exchange's 
Web site at http://nasdaqomxbx.cchwallstreet.com, at the principal 
office of the Exchange, 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
    The purpose of this proposal is to amend BX Rule 7039 with language 
indicating the fees for NLS Plus. NLS Plus allows data distributors to 
access the three last sale products offered by each of NASDAQ OMX's 
three U.S. equity markets.\4\ Thus, in offering NLS Plus, NASDAQ OMX 
Information LLC is acting as a redistributor of last sale products 
already offered by NASDAQ, BX, and PSX and volume information provided 
by the securities information processors for Tape A, B, and C.\5\ This

[[Page 54641]]

proposal is being filed by the Exchange to indicate the fees for the 
NLS Plus data feed offering and in light of the recent approval order 
regarding NLS Plus.\6\
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    \4\ The NASDAQ OMX U.S. equity markets include The NASDAQ Stock 
Market (``NASDAQ''), BX, and NASDAQ OMX PSX (``PSX'') (together 
known as the ``NASDAQ OMX equity markets''). PSX will shortly file 
companion proposals regarding data feeds similar to NLS Plus. 
NASDAQ's last sale product, NASDAQ Last Sale, includes last sale 
information from the FINRA/NASDAQ Trade Reporting Facility (``FINRA/
NASDAQ TRF''), which is jointly operated by NASDAQ and the Financial 
Industry Regulatory Authority (``FINRA''). See Securities Exchange 
Act Release No. 71350 (January 17, 2014), 79 FR 4218 (January 24, 
2014) (SR-FINRA-2014-002). For proposed rule changes submitted with 
respect to NASDAQ Last Sale, BX Last Sale, and PSX Last Sale, see, 
e.g., Securities Exchange Act Release Nos. 57965 (June 16, 2008), 73 
FR 35178, (June 20, 2008) (SR-NASDAQ-2006-060) (order approving 
NASDAQ Last Sale data feeds pilot); 61112 (December 4, 2009), 74 FR 
65569, (December 10, 2009) (SR-BX-2009-077) (notice of filing and 
immediate effectiveness regarding BX Last Sale data feeds); and 
62876 (September 9, 2010), 75 FR 56624, (September 16, 2010) (SR-
Phlx-2010-120) (notice of filing and immediate effectiveness 
regarding PSX Last Sale data feeds).
    \5\ Tape A and Tape B securities are disseminated pursuant to 
the Security Industry Automation Corporation's (``SIAC'') 
Consolidated Tape Association Plan/Consolidated Quotation System, or 
CTA/CQS (``CTA''). Tape C securities are disseminated pursuant to 
the NASDAQ Unlisted Trading Privileges (``UTP'') Plan.
    \6\ See Securities Exchange Act Release Nos. 75257 (June 22, 
2015), 80 FR 36862 (June 26, 2015) (SR-NASDAQ-2015-055) (order 
approving proposed rule change regarding NASDAQ Last Sale Plus in 
NASDAQ Rule 7039(d)) (the ``NLS Plus Approval Order''); 74972 (May 
15, 2015), 80 FR 29370 (May 21, 2015) (SR-NASDAQ-2015-055) (notice 
of filing of proposed rule change regarding NASDAQ Last Sale Plus) 
(the ``NLS Plus notice''); and 75600 (August 4, 2015), 80 FR 57968 
(August 10, 2015) (SR-NASDAQ-2015-088) (notice of filing and 
immediate effectiveness regarding NASDAQ Last Sale Plus fees in 
NASDAQ Rule 7039(d)) (the ``NLS Plus Fees Approval Order'') [sic]. 
See also Securities Exchange Act Release No. 75709 (August 14, 
2015), 80 FR 50671 (August 20, 2015) (SR-BX-2015-047) (notice of 
filing and immediate effectiveness regarding NASDAQ Last Sale Plus 
in BX Rule 7039(b)) (the ``NLS Plus on BX filing'').
     NLS Plus, which is codified in NASDAQ Rule 7039(d) and BX Rule 
7039(b), has been offered since 2010 via NASDAQ OMX Information LLC. 
NLS Plus is described online at http://nasdaqtrader.com/content/technicalsupport/specifications/dataproducts/NLSPlusSpecification.pdf; and the annual administrative and other 
fees for NLS Plus are noted at http://nasdaqtrader.com/Trader.aspx?id=DPUSdata#ls.
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    NLS Plus allows data distributors to access last sale products 
offered by each of NASDAQ OMX's three equity exchanges. NLS Plus 
includes all transactions from all of NASDAQ OMX's equity markets, as 
well as FINRA/NASDAQ TRF data that is included in the current NLS 
product. In addition, NLS Plus features total cross-market volume 
information at the issue level, thereby providing redistribution of 
consolidated volume information (``consolidated volume'') from the 
securities information processors (``SIPs'') for Tape A, B, and C 
securities.\7\ Thus, NLS Plus covers all securities listed on NASDAQ 
and New York Stock Exchange (``NYSE'') (now under the Intercontinental 
Exchange (``ICE'') umbrella), as well as US ``regional'' exchanges such 
as NYSE MKT, NYSE Arca, and BATS (also known as BATS/Direct Edge).\8\ 
As noted in the NLS Plus Approval Order, the Exchange is filing this 
separate proposal regarding the NLS Plus fee structure, on BX.
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    \7\ This reflects real-time trading activity for Tape C 
securities and 15-minute delayed information for Tape A and Tape B 
securities.
    \8\ Registered U.S. exchanges are listed at http://www.sec.gov/divisions/marketreg/mrexchanges.shtml.
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    NLS Plus is currently codified in NASDAQ Rule 7039(d) and BX Rule 
7039(b),\9\ in a manner similar to products of other markets.\10\ NLS 
Plus is offered, as noted, through NASDAQ OMX Information LLC, which is 
a subsidiary of NASDAQ OMX Group, Inc. that is separate and apart from 
The NASDAQ Stock Market LLC. NASDAQ OMX Information LLC combines 
publicly available data from the three filed last sale products of the 
NASDAQ OMX equity markets and from the network processors for the ease 
and convenience of market data users and vendors, and ultimately the 
investing public. In that role, the function of NASDAQ OMX Information 
LLC is analogous to that of other market data vendors, and it has no 
competitive advantage over other market data vendors. NASDAQ OMX 
Information LLC distributes no data that is not equally available to 
all market data vendors. For example, NASDAQ OMX Information LLC 
receives data from the exchange that is available to other market data 
vendors, with the same information distributed to NASDAQ OMX 
Information LLC at the same time it is distributed to other vendors 
(that is, NASDAQ OMX Information LLC has neither a speed nor an 
information differential). Through this structure, NASDAQ OMX 
Information LLC performs precisely the same functions as Bloomberg, 
Thomson Reuters, and dozens of other market data vendors; and the 
contents of the NLS Plus data stream are similar in nature to what is 
distributed by other exchanges.
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    \9\ See supra note 6.
    \10\ See Securities Exchange Act Release No. 73918 (December 23, 
2014), 79 FR 78920 (December 31, 2014) (SR-BATS-2014-055; SR-BYX-
2014-030; SR-EDGA-2014-25; SR-EDGX-2014-25) (order approving market 
data product called BATS One Feed being offered by four affiliated 
exchanges). See also Securities Exchange Act Release No. 73553 
(November 6, 2014), 79 FR 67491 (November 13, 2014) (SR-NYSE-2014-
40) (order granting approval to establish the NYSE Best Quote & 
Trades (``BQT'') Data Feed). These exchanges have likewise 
instituted fees for their products.
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    The Exchange believes that market data distributors may use the NLS 
Plus data feed to feed stock tickers, portfolio trackers, trade alert 
programs, time and sale graphs, and other display systems. The contents 
of NLS Plus are set forth in BX Rule 7039(b).\11\ Specifically, 
subsection (b) states that NASDAQ Last Sale Plus is a comprehensive 
data feed produced by NASDAQ OMX Information LLC that provides last 
sale data as well as consolidated [sic] volume of NASDAQ OMX equity 
markets (NASDAQ, BX, and PSX) and the NASDAQ/FINRA Trade Reporting 
Facility (``TRF''). NASDAQ Last Sale Plus also reflects cumulative 
volume real-time trading activity across all U.S. exchanges for Tape C 
securities and 15-minute delayed information for Tape A and Tape B 
securities. NLS Plus also contains the following data elements: Trade 
Price, Trade Size, Sale Condition Modifiers, Cumulative Consolidated 
Market Volume, End of Day Trade Summary, Adjusted Closing Price, IPO 
Information, and Bloomberg ID. Additionally, pertinent regulatory 
information such as Market Wide Circuit Breaker, Reg SHO Short Sale 
Price Test Restricted Indicator, Trading Action, Symbol Directory, 
Adjusted Closing Price, and End of Day Trade Summary are included.\12\ 
NLS Plus may be received by itself or in combination with NASDAQ Basic. 
The Exchange now proposes to add into BX Rule 7039(b) the fees 
associated with NLS Plus.
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    \11\ BX Rule 7039(b) is similar to NASDAQ Rule 7039(d). The 
contents of NLS Plus in large part mimic those of NLS, which is set 
forth in NASDAQ Rule 7039(a)-(c). Similar to NLS, NLS Plus offers 
data for all U.S. equities via two separate data channels: The first 
data channel reflects NASDAQ, BX, and PSX trades with real-time 
consolidated [sic] volume for NASDAQ-listed securities; and the 
second data channel reflects NASDAQ, BX, and PSX trades with delayed 
consolidated volume for NYSE, NYSE MKT, NYSE Arca and BATS-listed 
securities.
    \12\ The overwhelming majority of these data elements and 
messages are exactly the same as, and in fact are sourced from, NLS, 
BX Last Sale, and PSX Last Sale. Only two data elements 
(consolidated volume and Bloomberg ID) are sourced from other 
publicly accessible or obtainable resources. The Reg SHO Short Sale 
Price Test Restricted Indicator message is disseminated intra-day 
when a security has a price drop of 10% or more from the adjusted 
prior day's NASDAQ Official Closing Price. Trading Action indicates 
the current trading status of a security to the trading community, 
and indicates when a security is halted, paused, released for 
quotation, and released for trading. Symbol Directory is 
disseminated at the start of each trading day for all active NASDAQ 
and non-NASDAQ-listed security symbols. Adjusted Closing Price is 
disseminated at the start of each trading day for all active symbols 
in the NASDAQ system. End of Day Trade Summary is disseminated at 
the close of each trading day, as a summary for all active NASDAQ- 
and non-NASDAQ-listed securities. IPO Information reflects IPO 
general administrative messages from the UTP and CTA Level 1 feeds 
for Initial Public Offerings for all NASDAQ- and non-NASDAQ-listed 
securities. For additional information, see NLS Plus Approval Order.
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The Fees
    Firms that receive an NLS Plus feed today are liable for annual 
administration fees for applicable NASDAQ equity exchanges: $1,000 for 
NASDAQ, $1,000 for BX, and $1,000 for PSX.\13\ In addition, firms that 
receive NLS Plus are liable for NLS or NASDAQ Basic fees.\14\ Finally, 
firms will pay a

[[Page 54642]]

data consolidation fee of $350 per month.
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    \13\ For current fees, see http://nasdaqtrader.com/Trader.aspx?id=DPUSdata#ls. Annual administrative fees are in BX 
Rule 7035, NASDAQ Rule 7035, and NASDAQ OMX PSX Fees Chapter VIII.
    \14\ User fees for NLS and NASDAQ Basic are in NASDAQ Rules 7039 
and 7047. User fees for BX Last Sale are in BX Rule 7039 (currently 
there is no fee liability), and for PSX Last Sale are in NASDAQ OMX 
PSX Fees Chapter VIII (currently there is no fee liability). As 
currently described in NASDAQ Rule 7047, NASDAQ Basic provides two 
sets of data elements: (1) The best bid and offer on the NASDAQ 
Stock Market for each U.S. equity security; and (2) the last sale 
information currently provided by NLS.
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    Accordingly, proposed BX Rule 7039 states the following at sections 
(b)(1) through (b)(3):
    (1) Firms that receive NLS Plus shall pay the annual administration 
fees for NLS, BX Last Sale, and PSX Last Sale, and a data consolidation 
fee of $350 per month.
    (2) Firms that receive NLS Plus would either be liable for NLS fees 
or NASDAQ Basic fees.
    (3) In the event that NASDAQ OMX BX and/or NASDAQ OMX PHLX adopt 
user fees for BX Last Sale and/or PSX Last Sale, firms that receive NLS 
Plus would also be liable for such fees.\15\
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    \15\ BX Last Sale and PSX Last Sale currently are not fee 
liable, as noted in BX Rule 7039 and NASDAQ OMX PSX Fees Chapter 
VIII, respectively.
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    The Exchange notes that the proposed fee structure is designed to 
ensure that vendors could compete with the Exchange by creating a 
product similar to NLS Plus.\16\ The proposed fee structure reflects 
the current annual administrative cost as well as the incremental cost 
of the aggregation and consolidation function (generally known as the 
``consolidation function'') for NLS Plus, and would not be lower than 
the cost to a vendor creating a competing product, including the cost 
of receiving the underlying data feeds. The proposed fee structure for 
NLS Plus would enable a vendor to receive the underlying data feeds and 
offer a similar product on a competitive basis and with no greater cost 
than the Exchange.\17\
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    \16\ For discussion in addition to this proposal, see NLS Plus 
Approval Order.
    \17\ See also footnote 24 in the NLS Plus notice, wherein NASDAQ 
indicated that it expects that the fee structure for NLS Plus will 
reflect an amount that is no less than the cost to a market data 
vendor to obtain all the underlying feeds, plus an amount to be 
determined that would reflect the value of the aggregation and 
consolidation function.
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    The proposed fee structure is reasonable and proper. First, the 
proposed administration fee is essentially a codification of the 
current administration fee vis a vis NASDAQ, BX and PSX. Second, NLS 
Plus recipients would also be liable for fees if the Exchange adopts 
user fees for BX Last Sale and/or PSX Last Sale. To that end, the 
Exchange notes that it has filed separate proposals to adopt NLS Plus 
in the BX Last Sale and PSX Last Sale provisions,\18\ and will file 
separate fee proposals that would, like this filing, be expected to 
reflect an administrative fee component and a consolidation component. 
Third, firms receive NLS Plus by itself or in conjunction with NASDAQ 
Basic.\19\ Accordingly, firms would either be liable for NLS fees or 
NASDAQ Basic fees. Fourth, the Exchange proposes that NLS Plus includes 
[sic] a specific monthly $350 data consolidation fee. This fee is 
designed to recoup the monthly consolidation costs emanating from the 
aggregation and consolidation of the data and data streams that make up 
the NLS Plus data feed. Such consolidated costs include, for example, 
the costs of combining the feeds, adding the Bloomberg ID, and 
combining the consolidated sale info. The Exchange believes that this 
consolidation fee, while in addition to the current NLS Plus fee in 
place, would not be material to firms.
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    \18\ BX Rule 7039 and NASDAQ OMX PSX Fees Chapter VIII.
    \19\ As provided in NASDAQ Rule 7047, NASDAQ Basic provides the 
information contained in NLS, together with NASDAQ's best bid and 
best offer.
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    The Exchange believes that the proposed NLS Plus fee is a simple 
codification of the existing NLS PLS [sic] fee into BX Rule 7039, as 
discussed, with the addition of a monthly data consolidation fee, and 
as such meets the requirements of the Act.
2. Statutory Basis
    The Exchange believes that the proposed rule change is consistent 
with the provisions of Section 6 of the Act,\20\ in general, and with 
Sections 6(b)(4) and (5) of the Act,\21\ in particular, in that it 
provides for the equitable allocation of reasonable dues, fees, and 
other charges among its members, issuers and other persons using its 
facilities, and does not unfairly discriminate between customers, 
issuers, brokers or dealers. The Exchange is codifying the fees 
regarding the NLS Plus data offering and the consolidation fee, as 
discussed, into sections (b)(1) through (b)(3) of BX Rule 7039.
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    \20\ 15 U.S.C. 78f.
    \21\ 15 U.S.C. 78f(b)(4) and (5).
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    The Exchange believes that the proposed fees offered to firms that 
elect to receive NLS Plus are reasonable, equitable and not unfairly 
discriminatory. These fees are reasonable because they are, as 
discussed, simply a codification of the existing fee structure, with an 
addition of the above-discussed consolidation fee, into existing BX 
Rule 7039. The proposed fee structure would apply equally to all firms 
that choose to avail themselves of the NLS Plus data feed, and no firm 
is required to use NLS Plus. Moreover, the Exchange believes that the 
consolidation fee, while in addition to the current NLS Plus fee, would 
not be material to firms. The consolidation fee would, however, enable 
the Exchange to recoup the monthly consolidation cost emanating from 
the aggregation and consolidation of the data and data streams that 
make up the NLS Plus data feed. Such consolidated costs include, for 
example, the monthly costs of combining the feeds, adding the Bloomberg 
ID, and creating the consolidated sale info. The proposed fee structure 
would not be unfairly discriminatory because it would apply equally to 
all firms that choose to use NLS Plus.
    The Exchange believes that the proposed fees are also consistent 
with the investor protection objectives of Section 6(b)(5) of the Act 
\22\ in that they are designed to promote just and equitable principles 
of trade, to remove impediments to a free and open market and national 
market system, and in general to protect investors and the public 
interest. Specifically, the proposed fee structure will codify the fees 
regarding the NLS Plus data offering into sections (b)(1) through 
(b)(3) of BX Rule 7039, which helps to assure proper enforcement of the 
rule and investor protection. The Exchange believes also that the 
proposal facilitates transactions in securities, removes impediments to 
and perfects the mechanism of a free and open market and a national 
market system, and, in general, protects investors and the public 
interest by codifying into a rule the fee liability for an additional 
means by which investors may access information about securities 
transactions, namely NLS Plus, thereby providing investors with 
additional options for accessing information that may help to inform 
their trading decisions.
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    \22\ 15 U.S.C. 78f(b)(5).
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    The Exchange notes that the Commission has recently approved data 
products on several exchanges that are similar to NLS Plus, and 
specifically determined that the fee-liable approved data products were 
consistent with the Act.\23\ NLS Plus simply provides market 
participants with an additional option for receiving market data that 
has already been the subject of a proposed rule change and that is 
available from myriad market data vendors.
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    \23\ See supra note 10 regarding BATS One and NYSE BQT.
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    In adopting Regulation NMS, the Commission granted SROs and broker-

[[Page 54643]]

dealers (``BDs'') increased authority and flexibility to offer new and 
unique market data to the public. It was believed that this authority 
would expand the amount of data available to consumers, and also spur 
innovation and competition for the provision of market data. The 
Exchange believes that the NLS Plus market data product is precisely 
the sort of market data product that the Commission envisioned when it 
adopted Regulation NMS. The Commission concluded that Regulation NMS--
by deregulating the market in proprietary data--would itself further 
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the Act's goals of facilitating efficiency and competition:

    [E]fficiency is promoted when broker-dealers who do not need the 
data beyond the prices, sizes, market center identifications of the 
NBBO and consolidated last sale information are not required to 
receive (and pay for) such data. The Commission also believes that 
efficiency is promoted when broker-dealers may choose to receive 
(and pay for) additional market data based on their own internal 
analysis of the need for such data.\24\
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    \24\ See Securities Exchange Act Release No. 51808 (June 9, 
2005), 70 FR 37496 (June 29, 2005).

By removing unnecessary regulatory restrictions on the ability of 
exchanges to sell their own data, Regulation NMS advanced the goals of 
the Act and the principles reflected in its legislative history. If the 
free market should determine whether proprietary data is sold to BDs at 
all, it follows that the price at which such data is sold should be set 
by the market as well.
    The decision of the United States Court of Appeals for the District 
of Columbia Circuit in NetCoalition v. SEC, 615 F.3d 525 (D.C. Cir. 
2010) (``NetCoalition I''), upheld the Commission's reliance upon 
competitive markets to set reasonable and equitably allocated fees for 
market data. ``In fact, the legislative history indicates that the 
Congress intended that the market system `evolve through the interplay 
of competitive forces as unnecessary regulatory restrictions are 
removed' and that the SEC wield its regulatory power `in those 
situations where competition may not be sufficient,' such as in the 
creation of a `consolidated transactional reporting system.' 
NetCoalition I, at 535 (quoting H.R. Rep. No. 94-229, at 92 (1975), as 
reprinted in 1975 U.S.C.C.A.N. 321, 323). The court agreed with the 
Commission's conclusion that ``Congress intended that `competitive 
forces should dictate the services and practices that constitute the 
U.S. national market system for trading equity securities.' '' \25\
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    \25\ NetCoalition I, at 535.
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    The Court in NetCoalition I, while upholding the Commission's 
conclusion that competitive forces may be relied upon to establish the 
fairness of prices, nevertheless concluded that the record in that case 
did not adequately support the Commission's conclusions as to the 
competitive nature of the market for NYSE Arca's data product at issue 
in that case. As explained below in the Exchange's Statement on Burden 
on Competition, however, the Exchange believes that there is 
substantial evidence of competition in the marketplace for data that 
was not in the record in the NetCoalition I case, and that the 
Commission is entitled to rely upon such evidence in concluding fees 
are the product of competition, and therefore in accordance with the 
relevant statutory standards.\26\ Accordingly, any findings of the 
court with respect to that product may not be relevant to the product 
at issue in this filing.
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    \26\ It should also be noted that Section 916 of the Dodd-Frank 
Wall Street Reform and Consumer Protection Act of 2010 (``Dodd-Frank 
Act'') has amended paragraph (A) of Section 19(b)(3) of the Act, 15 
U.S.C. 78s(b)(3), to make it clear that all exchange fees, including 
fees for market data, may be filed by exchanges on an immediately 
effective basis. See also NetCoalition v. SEC, 715 F.3d 342 (D.C. 
Cir. 2013) (``NetCoalition II'') (finding no jurisdiction to review 
Commission's non-suspension of immediately effective fee changes).
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    Moreover, fee liable data products such as NLS Plus are a means by 
which exchanges compete to attract order flow, and this proposal simply 
codifies the relevant fee structure into an Exchange rule. To the 
extent that exchanges are successful in such competition, they earn 
trading revenues and also enhance the value of their data products by 
increasing the amount of data they are able to provide. Conversely, to 
the extent that exchanges are unsuccessful, the inputs needed to add 
value to data products are diminished. Accordingly, the need to compete 
for order flow places substantial pressure upon exchanges to keep their 
fees for both executions and data reasonable.

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

    The Exchange does not believe that the proposed rule change will 
impose any burden on competition not necessary or appropriate in 
furtherance of the purposes of the Act. The proposed fee structure is 
designed to ensure a fair and reasonable use of Exchange resources by 
allowing the Exchange to recoup costs while continuing to offer its 
data products at competitive rates to firms.
    The market for data products is extremely competitive and firms may 
freely choose alternative venues and data vendors based on the 
aggregate fees assessed, the data offered, and the value provided. This 
rule proposal does not burden competition, which continues to offer 
alternative data products and, like the Exchange, set fees,\27\ but 
rather reflects the competition between data feed vendors and will 
further enhance such competition. As described, NLS Plus competes 
directly with existing similar products and potential products of 
market data vendors. NASDAQ OMX Information LLC was constructed 
specifically to establish a level playing field with market data 
vendors and to preserve fair competition between them. Therefore, 
NASDAQ OMX Information LLC receives NLS, BX Last Sale, and PSX Last 
Sale from each NASDAQ-operated exchange in the same manner, at the same 
speed, and reflecting the same fees as for all market data vendors. 
Therefore, NASDAQ Information LLC has no competitive advantage with 
respect to these last sale products and NASDAQ commits to maintaining 
this level playing field in the future. In other words, NASDAQ will 
continue to disseminate separately the underlying last sale products to 
avoid creating a latency differential between NASDAQ OMX Information 
LLC and other market data vendors, and to avoid creating a pricing 
advantage for NASDAQ OMX Information LLC.
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    \27\ See, e.g., supra note 10.
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    NLS Plus joins the existing market for proprietary last sale data 
products that is currently competitive and inherently contestable 
because there is fierce competition for the inputs necessary to the 
creation of proprietary data and strict pricing discipline for the 
proprietary products themselves. Numerous exchanges compete with each 
other for listings, trades, and market data itself, providing virtually 
limitless opportunities for entrepreneurs who wish to produce and 
distribute their own market data. This proprietary data is produced by 
each individual exchange, as well as other entities, in a vigorously 
competitive market. Similarly, with respect to the FINRA/NASDAQ TRF 
data that is a component of NLS and NLS Plus, allowing exchanges to 
operate TRFs has permitted them to earn revenues by providing 
technology and data in support of the non-exchange segment of the 
market. This revenue opportunity has also resulted in fierce 
competition between the two current TRF operators,

[[Page 54644]]

with both TRFs charging extremely low trade reporting fees and rebating 
the majority of the revenues they receive from core market data to the 
parties reporting trades.
    Transaction execution and proprietary data products are 
complementary in that market data is both an input and a byproduct of 
the execution service. In fact, market data and trade execution are a 
paradigmatic example of joint products with joint costs. The decision 
whether and on which platform to post an order will depend on the 
attributes of the platform where the order can be posted, including the 
execution fees, data quality and price, and distribution of its data 
products. Without trade executions, exchange data products cannot 
exist. Moreover, data products are valuable to many end users only 
insofar as they provide information that end users expect will assist 
them or their customers in making trading decisions.
    The costs of producing market data include not only the costs of 
the data distribution infrastructure, but also the costs of designing, 
maintaining, and operating the exchange's transaction execution 
platform and the cost of regulating the exchange to ensure its fair 
operation and maintain investor confidence. The total return that a 
trading platform earns reflects the revenues it receives from both 
products and the joint costs it incurs. Moreover, the operation of the 
exchange is characterized by high fixed costs and low marginal costs. 
This cost structure is common in content and content distribution 
industries such as software, where developing new software typically 
requires a large initial investment (and continuing large investments 
to upgrade the software), but once the software is developed, the 
incremental cost of providing that software to an additional user is 
typically small, or even zero (e.g., if the software can be downloaded 
over the internet after being purchased).\28\ It is costly to build and 
maintain a trading platform, but the incremental cost of trading each 
additional share on an existing platform, or distributing an additional 
instance of data, is very low. Market information and executions are 
each produced jointly (in the sense that the activities of trading and 
placing orders are the source of the information that is distributed) 
and are each subject to significant scale economies. In such cases, 
marginal cost pricing is not feasible because if all sales were priced 
at the margin, an exchange would be unable to defray its platform costs 
of providing the joint products. Similarly, data products cannot make 
use of TRF trade reports without the raw material of the trade reports 
themselves, and therefore necessitate the costs of operating, 
regulating,\29\ and maintaining a trade reporting system, costs that 
must be covered through the fees charged for use of the facility and 
sales of associated data.
---------------------------------------------------------------------------

    \28\ See William J. Baumol and Daniel G. Swanson, ``The New 
Economy and Ubiquitous Competitive Price Discrimination: Identifying 
Defensible Criteria of Market Power,'' Antitrust Law Journal, Vol. 
70, No. 3 (2003).
    \29\ It should be noted that the costs of operating the FINRA/
NASDAQ TRF borne by NASDAQ include regulatory charges paid by NASDAQ 
to FINRA.
---------------------------------------------------------------------------

    An exchange's BD customers view the costs of transaction executions 
and of data as a unified cost of doing business with the exchange. A BD 
will direct orders to a particular exchange only if the expected 
revenues from executing trades on the exchange exceed net transaction 
execution costs and the cost of data that the BD chooses to buy to 
support its trading decisions (or those of its customers). The choice 
of data products is, in turn, a product of the value of the products in 
making profitable trading decisions. If the cost of the product exceeds 
its expected value, the BD will choose not to buy it. Moreover, as a BD 
chooses to direct fewer orders to a particular exchange, the value of 
the product to that BD decreases, for two reasons. First, the product 
will contain less information, because executions of the BD's trading 
activity will not be reflected in it. Second, and perhaps more 
important, the product will be less valuable to that BD because it does 
not provide information about the venue to which it is directing its 
orders. Data from the competing venue to which the BD is directing 
orders will become correspondingly more valuable.
    Similarly, in the case of products such as NLS Plus that are 
distributed through market data vendors, the vendors provide price 
discipline for proprietary data products because they control the 
primary means of access to end users. Vendors impose price restraints 
based upon their business models. For example, vendors such as 
Bloomberg and Reuters that assess a surcharge on data they sell may 
refuse to offer proprietary products that end users will not purchase 
in sufficient numbers. Internet portals, such as Google, impose a 
discipline by providing only data that will enable them to attract 
``eyeballs'' that contribute to their advertising revenue. Retail BDs, 
such as Schwab and Fidelity, offer their customers proprietary data 
only if it promotes trading and generates sufficient commission 
revenue. Although the business models may differ, these vendors' 
pricing discipline is the same: They can simply refuse to purchase any 
proprietary data product that fails to provide sufficient value. 
Exchanges, TRFs, and other producers of proprietary data products must 
understand and respond to these varying business models and pricing 
disciplines in order to market proprietary data products successfully. 
Moreover, the Exchange believes that products such as NLS Plus can 
enhance order flow by providing more widespread distribution of 
information about transactions in real time, thereby encouraging wider 
participation in the market by investors with access to the internet or 
television. Conversely, the value of such products to distributors and 
investors decreases if order flow falls, because the products contain 
less content.
    Competition among trading platforms can be expected to constrain 
the aggregate return each platform earns from the sale of its joint 
products, but different platforms may choose from a range of possible, 
and equally reasonable, pricing strategies as the means of recovering 
total costs. The Exchange pays rebates to attract orders, charges 
relatively low prices for market information and charges relatively 
high prices for accessing posted liquidity. Other platforms may choose 
a strategy of paying lower liquidity rebates to attract orders, setting 
relatively low prices for accessing posted liquidity, and setting 
relatively high prices for market information. Still others may provide 
most data free of charge and rely exclusively on transaction fees to 
recover their costs. Finally, some platforms may incentivize use by 
providing opportunities for equity ownership, which may allow them to 
charge lower direct fees for executions and data.
    In this environment, there is no economic basis for regulating 
maximum prices for one of the joint products in an industry in which 
suppliers face competitive constraints with regard to the joint 
offering. Such regulation is unnecessary because an ``excessive'' price 
for one of the joint products will ultimately have to be reflected in 
lower prices for other products sold by the firm, or otherwise the firm 
will experience a loss in the volume of its sales that will be adverse 
to its overall profitability. In other words, an increase in the price 
of data will ultimately have to be accompanied by a decrease in the 
cost of executions, or the volume of both data and executions will 
fall.

[[Page 54645]]

    The level of competition and contestability in the market is 
evident in the numerous alternative venues that compete for order flow, 
including eleven SRO markets, as well as internalizing BDs and various 
forms of alternative trading systems (``ATSs''), including dark pools 
and electronic communication networks (``ECNs''). Each SRO market 
competes to produce transaction reports via trade executions, and two 
FINRA-regulated TRFs compete to attract internalized transaction 
reports. It is common for BDs to further and exploit this competition 
by sending their order flow and transaction reports to multiple 
markets, rather than providing them all to a single market. Competitive 
markets for order flow, executions, and transaction reports provide 
pricing discipline for the inputs of proprietary data products.
    The large number of SROs, TRFs, BDs, and ATSs that currently 
produce proprietary data or are currently capable of producing it 
provides further pricing discipline for proprietary data products. Each 
SRO, TRF, ATS, and BD is currently permitted to produce proprietary 
data products, and many currently do or have announced plans to do so, 
including NASDAQ, NYSE, NYSE MKT, NYSE Arca, and BATS/Direct Edge.
    Any ATS or BD can combine with any other ATS, BD, or multiple ATSs 
or BDs to produce joint proprietary data products. Additionally, order 
routers and market data vendors can facilitate single or multiple BDs' 
production of proprietary data products. The potential sources of 
proprietary products are virtually limitless. Notably, the potential 
sources of data include the BDs that submit trade reports to TRFs and 
that have the ability to consolidate and distribute their data without 
the involvement of FINRA or an exchange-operated TRF.
    The fact that proprietary data from ATSs, BDs, and vendors can by-
pass SROs is significant in two respects. First, non-SROs can compete 
directly with SROs for the production and sale of proprietary data 
products, as BATS and NYSE Arca did before registering as exchanges by 
publishing proprietary book data on the internet. Second, because a 
single order or transaction report can appear in a core data product, 
an SRO proprietary product, and/or a non-SRO proprietary product, the 
data available in proprietary products is exponentially greater than 
the actual number of orders and transaction reports that exist in the 
marketplace. Indeed, in the case of NLS Plus, the data provided through 
that product appears both in (i) real-time core data products offered 
by the SIPs for a fee, (ii) free SIP data products with a 15-minute 
time delay, and (iii) individual exchange data products, and finds a 
close substitute in last-sale products of competing venues.
    In addition to the competition and price discipline described 
above, the market for proprietary data products is also highly 
contestable because market entry is rapid, inexpensive, and profitable. 
The history of electronic trading is replete with examples of entrants 
that swiftly grew into some of the largest electronic trading platforms 
and proprietary data producers: Archipelago, Bloomberg Tradebook, 
Island, RediBook, Attain, TracECN, BATS Trading and BATS/Direct Edge. A 
proliferation of dark pools and other ATSs operate profitably with 
fragmentary shares of consolidated market volume.
    Regulation NMS, by deregulating the market for proprietary data, 
has increased the contestability of that market. While BDs have 
previously published their proprietary data individually, Regulation 
NMS encourages market data vendors and BDs to produce proprietary 
products cooperatively in a manner never before possible. Multiple 
market data vendors already have the capability to aggregate data and 
disseminate it on a profitable scale, including Bloomberg and Thomson 
Reuters. In Europe, Cinnober aggregates and disseminates data from over 
40 brokers and multilateral trading facilities.\30\
---------------------------------------------------------------------------

    \30\ See http://www.cinnober.com/boat-trade-reporting.
---------------------------------------------------------------------------

    In the case of TRFs, the rapid entry of several exchanges into this 
space in 2006-2007 following the development and Commission approval of 
the TRF structure demonstrates the contestability of this aspect of the 
market.\31\ Given the demand for trade reporting services that is 
itself a by-product of the fierce competition for transaction 
executions--characterized notably by a proliferation of ATSs and BDs 
offering internalization--any supra-competitive increase in the fees 
associated with trade reporting or TRF data would shift trade report 
volumes from one of the existing TRFs to the other \32\ and create 
incentives for other TRF operators to enter the space. Alternatively, 
because BDs reporting to TRFs are themselves free to consolidate the 
market data that they report, the market for over-the-counter data 
itself, separate and apart from the markets for execution and trade 
reporting services--is fully contestable.
---------------------------------------------------------------------------

    \31\ The low cost exit of two TRFs from the market is also 
evidence of a contestable market, because new entrants are reluctant 
to enter a market where exit may involve substantial shut-down 
costs.
    \32\ It should be noted that the FINRA/NYSE TRF has, in recent 
weeks, received reports for almost 10% of all over-the-counter 
volume in NMS stocks.
---------------------------------------------------------------------------

    Moreover, consolidated data provides two additional measures of 
pricing discipline for proprietary data products that are a subset of 
the consolidated data stream. First, the consolidated data is widely 
available in real-time at $1 per month for non-professional users. 
Second, consolidated data is also available at no cost with a 15- or 
20- minute delay. Because consolidated data contains marketwide 
information, it effectively places a cap on the fees assessed for 
proprietary data (such as last sale data) that is simply a subset of 
the consolidated data. The mere availability of low-cost or free 
consolidated data provides a powerful form of pricing discipline for 
proprietary data products that contain data elements that are a subset 
of the consolidated data, by highlighting the optional nature of 
proprietary products.
    In this environment, a super-competitive increase in the fees 
charged for either transactions or data has the potential to impair 
revenues from both products. ``No one disputes that competition for 
order flow is `fierce'.'' NetCoalition I at 539. The existence of 
fierce competition for order flow implies a high degree of price 
sensitivity on the part of BDs with order flow, since they may readily 
reduce costs by directing orders toward the lowest-cost trading venues. 
A BD that shifted its order flow from one platform to another in 
response to order execution price differentials would both reduce the 
value of that platform's market data and reduce its own need to consume 
data from the disfavored platform. If a platform increases its market 
data fees, the change will affect the overall cost of doing business 
with the platform, and affected BDs will assess whether they can lower 
their trading costs by directing orders elsewhere and thereby lessening 
the need for the more expensive data. Similarly, increases in the cost 
of NLS Plus would impair the willingness of distributors to take a 
product for which there are numerous alternatives, impacting NLS Plus 
data revenues, the value of NLS Plus as a tool for attracting order 
flow, and ultimately, the volume of orders routed and the value of 
other data products.

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

    No written comments were either solicited or received.

[[Page 54646]]

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

    The foregoing rule change has become effective pursuant to Section 
19(b)(3)(A)(ii) of the Act.\33\ 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.
---------------------------------------------------------------------------

    \33\ 15 U.S.C. 78s(b)(3)(A)(ii).
---------------------------------------------------------------------------

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-BX-2015-054 on the subject line.

Paper Comments

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

All submissions should refer to File Number SR-BX-2015-054. 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-BX-2015-054 and 
should be submitted on or before October 1, 2015.

    For the Commission, by the Division of Trading and Markets, 
pursuant to delegated authority.\34\
---------------------------------------------------------------------------

    \34\ 17 CFR 200.30-3(a)(12).
---------------------------------------------------------------------------

Robert W. Errett,
Deputy Secretary.
[FR Doc. 2015-22744 Filed 9-9-15; 8:45 am]
BILLING CODE 8011-01-P



                                                  54640                     Federal Register / Vol. 80, No. 175 / Thursday, September 10, 2015 / Notices

                                                  investors and the public interest.16 The                Washington, DC 20549 on official                         The text of the proposed rule change
                                                  Commission hereby grants the                            business days between the hours of                    is available on the Exchange’s Web site
                                                  Exchange’s request and designates the                   10:00 a.m. and 3:00 p.m. Copies of the                at http://
                                                  proposal operative upon filing.                         filing also will be available for                     nasdaqomxbx.cchwallstreet.com, at the
                                                     At any time within 60 days of the                    inspection and copying at the principal               principal office of the Exchange, and at
                                                  filing of the proposed rule change, the                 office of the Exchange. All comments                  the Commission’s Public Reference
                                                  Commission summarily may                                received will be posted without change;               Room.
                                                  temporarily suspend such rule change if                 the Commission does not edit personal
                                                  it appears to the Commission that such                                                                        II. Self-Regulatory Organization’s
                                                                                                          identifying information from                          Statement of the Purpose of, and
                                                  action is necessary or appropriate in the               submissions. You should submit only
                                                  public interest, for the protection of                                                                        Statutory Basis for, the Proposed Rule
                                                                                                          information that you wish to make                     Change
                                                  investors, or otherwise in furtherance of               available publicly.
                                                  the purposes of the Act. If the                            All submissions should refer to File                  In its filing with the Commission, the
                                                  Commission takes such action, the                       Number SR–EDGX–2015–40 and should                     Exchange included statements
                                                  Commission shall institute proceedings                  be submitted on or before October 1,                  concerning the purpose of and basis for
                                                  to determine whether the proposed rule                  2015.                                                 the proposed rule change and discussed
                                                  should be approved or disapproved.                                                                            any comments it received on the
                                                                                                            For the Commission, by the Division of
                                                                                                          Trading and Markets, pursuant to delegated
                                                                                                                                                                proposed rule change. The text of these
                                                  IV. Solicitation of Comments
                                                                                                          authority.17                                          statements may be examined at the
                                                    Interested persons are invited to                                                                           places specified in Item IV below. The
                                                  submit written data, views, and                         Robert W. Errett,
                                                                                                                                                                Exchange has prepared summaries, set
                                                  arguments concerning the foregoing,                     Deputy Secretary.
                                                                                                                                                                forth in sections A, B, and C below, of
                                                  including whether the proposed rule                     [FR Doc. 2015–22739 Filed 9–9–15; 8:45 am]
                                                                                                                                                                the most significant aspects of such
                                                  change is consistent with the Act.                      BILLING CODE 8011–01–P                                statements.
                                                  Comments may be submitted by any of
                                                  the following methods:                                                                                        A. Self-Regulatory Organization’s
                                                                                                          SECURITIES AND EXCHANGE                               Statement of the Purpose of, and
                                                  Electronic Comments                                     COMMISSION                                            Statutory Basis for, the Proposed Rule
                                                    • Use the Commission’s Internet                       [Release No. 34–75830; File No. SR–BX–
                                                                                                                                                                Change
                                                  comment form (http://www.sec.gov/                       2015–054]                                             1. Purpose
                                                  rules/sro.shtml); or
                                                    • Send an email to rule-comments@                     Self-Regulatory Organizations;                           The purpose of this proposal is to
                                                  sec.gov. Please include File Number SR–                 NASDAQ OMX BX, Inc.; Notice of Filing                 amend BX Rule 7039 with language
                                                  EDGX–2015–40 on the subject line.                       and Immediate Effectiveness of                        indicating the fees for NLS Plus. NLS
                                                                                                          Proposed Rule Change Regarding                        Plus allows data distributors to access
                                                  Paper Comments                                                                                                the three last sale products offered by
                                                                                                          NASDAQ Last Sale Plus
                                                    • Send paper comments in triplicate                                                                         each of NASDAQ OMX’s three U.S.
                                                  to Secretary, Securities and Exchange                   September 3, 2015.                                    equity markets.4 Thus, in offering NLS
                                                  Commission, 100 F Street NE.,                              Pursuant to Section 19(b)(1) of the                Plus, NASDAQ OMX Information LLC is
                                                  Washington, DC 20549–1090.                              Securities Exchange Act of 1934                       acting as a redistributor of last sale
                                                  All submissions should refer to File                    (‘‘Act’’),1 and Rule 19b–4 thereunder,2               products already offered by NASDAQ,
                                                  Number SR–EDGX–2015–40. This file                       notice is hereby given that on August                 BX, and PSX and volume information
                                                  number should be included on the                        24, 2015, NASDAQ OMX BX, Inc. (‘‘BX’’                 provided by the securities information
                                                  subject line if email is used. To help the              or ‘‘Exchange’’) filed with the Securities            processors for Tape A, B, and C.5 This
                                                  Commission process and review your                      and Exchange Commission (‘‘SEC’’ or
                                                                                                                                                                   4 The NASDAQ OMX U.S. equity markets include
                                                  comments more efficiently, please use                   ‘‘Commission’’) the proposed rule
                                                                                                                                                                The NASDAQ Stock Market (‘‘NASDAQ’’), BX, and
                                                  only one method. The Commission will                    change as described in Items I, II, and               NASDAQ OMX PSX (‘‘PSX’’) (together known as
                                                  post all comments on the Commission’s                   III, below, which Items have been                     the ‘‘NASDAQ OMX equity markets’’). PSX will
                                                  Internet Web site (http://www.sec.gov/                  prepared by the Exchange. The                         shortly file companion proposals regarding data
                                                  rules/sro.shtml). Copies of the                         Commission is publishing this notice to               feeds similar to NLS Plus. NASDAQ’s last sale
                                                                                                                                                                product, NASDAQ Last Sale, includes last sale
                                                  submission, all subsequent                              solicit comments on the proposed rule                 information from the FINRA/NASDAQ Trade
                                                  amendments, all written statements                      change from interested persons.                       Reporting Facility (‘‘FINRA/NASDAQ TRF’’), which
                                                  with respect to the proposed rule                                                                             is jointly operated by NASDAQ and the Financial
                                                                                                          I. Self-Regulatory Organization’s                     Industry Regulatory Authority (‘‘FINRA’’). See
                                                  change that are filed with the
                                                                                                          Statement of the Terms of Substance of                Securities Exchange Act Release No. 71350 (January
                                                  Commission, and all written
                                                                                                          the Proposed Rule Change                              17, 2014), 79 FR 4218 (January 24, 2014) (SR–
                                                  communications relating to the                                                                                FINRA–2014–002). For proposed rule changes
                                                  proposed rule change between the                          The Exchange proposes to amend BX                   submitted with respect to NASDAQ Last Sale, BX
                                                  Commission and any person, other than                   Rule 7039 (BX Last Sale and NASDAQ                    Last Sale, and PSX Last Sale, see, e.g., Securities
                                                                                                          Last Sale Plus Data Feeds) with                       Exchange Act Release Nos. 57965 (June 16, 2008),
                                                  those that may be withheld from the                                                                           73 FR 35178, (June 20, 2008) (SR–NASDAQ–2006–
                                                  public in accordance with the                           language indicating the fees for                      060) (order approving NASDAQ Last Sale data feeds
                                                  provisions of 5 U.S.C. 552, will be                     NASDAQ Last Sale Plus (‘‘NLS Plus’’),                 pilot); 61112 (December 4, 2009), 74 FR 65569,
                                                  available for Web site viewing and                      a comprehensive data feed offered by                  (December 10, 2009) (SR–BX–2009–077) (notice of
mstockstill on DSK4VPTVN1PROD with NOTICES




                                                                                                          NASDAQ OMX Information LLC.3                          filing and immediate effectiveness regarding BX
                                                  printing in the Commission’s Public                                                                           Last Sale data feeds); and 62876 (September 9,
                                                  Reference Room, 100 F Street NE.,                                                                             2010), 75 FR 56624, (September 16, 2010) (SR–
                                                                                                            17 17 CFR 200.30–3(a)(12).                          Phlx–2010–120) (notice of filing and immediate
                                                                                                            1 15 U.S.C. 78s(b)(1).
                                                    16 For purposes only of waiving the 30-day                                                                  effectiveness regarding PSX Last Sale data feeds).
                                                                                                            2 17 CFR 240.19b–4.
                                                  operative delay, the Commission has also                                                                         5 Tape A and Tape B securities are disseminated

                                                  considered the proposed rule’s impact on                  3 NASDAQ OMX Information LLC is a subsidiary        pursuant to the Security Industry Automation
                                                  efficiency, competition, and capital formation. See     of The NASDAQ OMX Group, Inc. (‘‘NASDAQ               Corporation’s (‘‘SIAC’’) Consolidated Tape
                                                  15 U.S.C. 78c(f).                                       OMX’’).                                               Association Plan/Consolidated Quotation System,



                                             VerDate Sep<11>2014   17:28 Sep 09, 2015   Jkt 235001   PO 00000   Frm 00130   Fmt 4703   Sfmt 4703   E:\FR\FM\10SEN1.SGM   10SEN1


                                                                            Federal Register / Vol. 80, No. 175 / Thursday, September 10, 2015 / Notices                                                     54641

                                                  proposal is being filed by the Exchange                  products of other markets.10 NLS Plus is                Information LLC that provides last sale
                                                  to indicate the fees for the NLS Plus                    offered, as noted, through NASDAQ                       data as well as consolidated [sic]
                                                  data feed offering and in light of the                   OMX Information LLC, which is a                         volume of NASDAQ OMX equity
                                                  recent approval order regarding NLS                      subsidiary of NASDAQ OMX Group,                         markets (NASDAQ, BX, and PSX) and
                                                  Plus.6                                                   Inc. that is separate and apart from The                the NASDAQ/FINRA Trade Reporting
                                                     NLS Plus allows data distributors to                  NASDAQ Stock Market LLC. NASDAQ                         Facility (‘‘TRF’’). NASDAQ Last Sale
                                                  access last sale products offered by each                OMX Information LLC combines                            Plus also reflects cumulative volume
                                                  of NASDAQ OMX’s three equity                             publicly available data from the three                  real-time trading activity across all U.S.
                                                  exchanges. NLS Plus includes all                         filed last sale products of the NASDAQ                  exchanges for Tape C securities and 15-
                                                  transactions from all of NASDAQ                          OMX equity markets and from the                         minute delayed information for Tape A
                                                  OMX’s equity markets, as well as                         network processors for the ease and                     and Tape B securities. NLS Plus also
                                                  FINRA/NASDAQ TRF data that is                            convenience of market data users and                    contains the following data elements:
                                                  included in the current NLS product. In                  vendors, and ultimately the investing                   Trade Price, Trade Size, Sale Condition
                                                  addition, NLS Plus features total cross-                 public. In that role, the function of                   Modifiers, Cumulative Consolidated
                                                  market volume information at the issue                   NASDAQ OMX Information LLC is                           Market Volume, End of Day Trade
                                                  level, thereby providing redistribution                  analogous to that of other market data                  Summary, Adjusted Closing Price, IPO
                                                  of consolidated volume information                       vendors, and it has no competitive                      Information, and Bloomberg ID.
                                                  (‘‘consolidated volume’’) from the                       advantage over other market data                        Additionally, pertinent regulatory
                                                  securities information processors                        vendors. NASDAQ OMX Information                         information such as Market Wide
                                                  (‘‘SIPs’’) for Tape A, B, and C                          LLC distributes no data that is not                     Circuit Breaker, Reg SHO Short Sale
                                                  securities.7 Thus, NLS Plus covers all                   equally available to all market data                    Price Test Restricted Indicator, Trading
                                                  securities listed on NASDAQ and New                      vendors. For example, NASDAQ OMX                        Action, Symbol Directory, Adjusted
                                                  York Stock Exchange (‘‘NYSE’’) (now                      Information LLC receives data from the                  Closing Price, and End of Day Trade
                                                  under the Intercontinental Exchange                      exchange that is available to other                     Summary are included.12 NLS Plus may
                                                  (‘‘ICE’’) umbrella), as well as US                       market data vendors, with the same                      be received by itself or in combination
                                                  ‘‘regional’’ exchanges such as NYSE                      information distributed to NASDAQ                       with NASDAQ Basic. The Exchange
                                                  MKT, NYSE Arca, and BATS (also                           OMX Information LLC at the same time                    now proposes to add into BX Rule
                                                  known as BATS/Direct Edge).8 As noted                    it is distributed to other vendors (that is,            7039(b) the fees associated with NLS
                                                  in the NLS Plus Approval Order, the                      NASDAQ OMX Information LLC has                          Plus.
                                                  Exchange is filing this separate proposal                neither a speed nor an information                      The Fees
                                                  regarding the NLS Plus fee structure, on                 differential). Through this structure,
                                                                                                           NASDAQ OMX Information LLC                                Firms that receive an NLS Plus feed
                                                  BX.                                                                                                              today are liable for annual
                                                     NLS Plus is currently codified in                     performs precisely the same functions
                                                                                                           as Bloomberg, Thomson Reuters, and                      administration fees for applicable
                                                  NASDAQ Rule 7039(d) and BX Rule                                                                                  NASDAQ equity exchanges: $1,000 for
                                                  7039(b),9 in a manner similar to                         dozens of other market data vendors;
                                                                                                           and the contents of the NLS Plus data                   NASDAQ, $1,000 for BX, and $1,000 for
                                                                                                           stream are similar in nature to what is                 PSX.13 In addition, firms that receive
                                                  or CTA/CQS (‘‘CTA’’). Tape C securities are                                                                      NLS Plus are liable for NLS or NASDAQ
                                                  disseminated pursuant to the NASDAQ Unlisted             distributed by other exchanges.
                                                  Trading Privileges (‘‘UTP’’) Plan.                          The Exchange believes that market                    Basic fees.14 Finally, firms will pay a
                                                     6 See Securities Exchange Act Release Nos. 75257      data distributors may use the NLS Plus
                                                                                                                                                                      12 The overwhelming majority of these data
                                                  (June 22, 2015), 80 FR 36862 (June 26, 2015) (SR–        data feed to feed stock tickers, portfolio
                                                  NASDAQ–2015–055) (order approving proposed                                                                       elements and messages are exactly the same as, and
                                                  rule change regarding NASDAQ Last Sale Plus in
                                                                                                           trackers, trade alert programs, time and                in fact are sourced from, NLS, BX Last Sale, and
                                                  NASDAQ Rule 7039(d)) (the ‘‘NLS Plus Approval            sale graphs, and other display systems.                 PSX Last Sale. Only two data elements
                                                  Order’’); 74972 (May 15, 2015), 80 FR 29370 (May         The contents of NLS Plus are set forth                  (consolidated volume and Bloomberg ID) are
                                                  21, 2015) (SR–NASDAQ–2015–055) (notice of filing                                                                 sourced from other publicly accessible or obtainable
                                                                                                           in BX Rule 7039(b).11 Specifically,                     resources. The Reg SHO Short Sale Price Test
                                                  of proposed rule change regarding NASDAQ Last
                                                  Sale Plus) (the ‘‘NLS Plus notice’’); and 75600
                                                                                                           subsection (b) states that NASDAQ Last                  Restricted Indicator message is disseminated intra-
                                                  (August 4, 2015), 80 FR 57968 (August 10, 2015)          Sale Plus is a comprehensive data feed                  day when a security has a price drop of 10% or
                                                                                                           produced by NASDAQ OMX                                  more from the adjusted prior day’s NASDAQ
                                                  (SR–NASDAQ–2015–088) (notice of filing and
                                                                                                                                                                   Official Closing Price. Trading Action indicates the
                                                  immediate effectiveness regarding NASDAQ Last
                                                                                                                                                                   current trading status of a security to the trading
                                                  Sale Plus fees in NASDAQ Rule 7039(d)) (the ‘‘NLS           10 See Securities Exchange Act Release No. 73918
                                                                                                                                                                   community, and indicates when a security is
                                                  Plus Fees Approval Order’’) [sic]. See also              (December 23, 2014), 79 FR 78920 (December 31,          halted, paused, released for quotation, and released
                                                  Securities Exchange Act Release No. 75709 (August        2014) (SR–BATS–2014–055; SR–BYX–2014–030;               for trading. Symbol Directory is disseminated at the
                                                  14, 2015), 80 FR 50671 (August 20, 2015) (SR–BX–         SR–EDGA–2014–25; SR–EDGX–2014–25) (order                start of each trading day for all active NASDAQ and
                                                  2015–047) (notice of filing and immediate                approving market data product called BATS One           non-NASDAQ-listed security symbols. Adjusted
                                                  effectiveness regarding NASDAQ Last Sale Plus in         Feed being offered by four affiliated exchanges). See   Closing Price is disseminated at the start of each
                                                  BX Rule 7039(b)) (the ‘‘NLS Plus on BX filing’’).        also Securities Exchange Act Release No. 73553          trading day for all active symbols in the NASDAQ
                                                     NLS Plus, which is codified in NASDAQ Rule            (November 6, 2014), 79 FR 67491 (November 13,           system. End of Day Trade Summary is disseminated
                                                  7039(d) and BX Rule 7039(b), has been offered since      2014) (SR–NYSE–2014–40) (order granting approval        at the close of each trading day, as a summary for
                                                  2010 via NASDAQ OMX Information LLC. NLS                 to establish the NYSE Best Quote & Trades (‘‘BQT’’)     all active NASDAQ- and non-NASDAQ-listed
                                                  Plus is described online at http://                      Data Feed). These exchanges have likewise               securities. IPO Information reflects IPO general
                                                  nasdaqtrader.com/content/technicalsupport/               instituted fees for their products.                     administrative messages from the UTP and CTA
                                                  specifications/dataproducts/                                11 BX Rule 7039(b) is similar to NASDAQ Rule         Level 1 feeds for Initial Public Offerings for all
                                                  NLSPlusSpecification.pdf; and the annual                 7039(d). The contents of NLS Plus in large part         NASDAQ- and non-NASDAQ-listed securities. For
                                                  administrative and other fees for NLS Plus are           mimic those of NLS, which is set forth in NASDAQ        additional information, see NLS Plus Approval
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                                                  noted at http://nasdaqtrader.com/                        Rule 7039(a)–(c). Similar to NLS, NLS Plus offers       Order.
                                                  Trader.aspx?id=DPUSdata#ls.                              data for all U.S. equities via two separate data           13 For current fees, see http://nasdaqtrader.com/
                                                     7 This reflects real-time trading activity for Tape
                                                                                                           channels: The first data channel reflects NASDAQ,       Trader.aspx?id=DPUSdata#ls. Annual
                                                  C securities and 15-minute delayed information for       BX, and PSX trades with real-time consolidated          administrative fees are in BX Rule 7035, NASDAQ
                                                  Tape A and Tape B securities.                            [sic] volume for NASDAQ-listed securities; and the      Rule 7035, and NASDAQ OMX PSX Fees Chapter
                                                     8 Registered U.S. exchanges are listed at http://                                                             VIII.
                                                                                                           second data channel reflects NASDAQ, BX, and
                                                  www.sec.gov/divisions/marketreg/                         PSX trades with delayed consolidated volume for            14 User fees for NLS and NASDAQ Basic are in
                                                  mrexchanges.shtml.                                       NYSE, NYSE MKT, NYSE Arca and BATS-listed               NASDAQ Rules 7039 and 7047. User fees for BX
                                                     9 See supra note 6.                                   securities.                                                                                        Continued




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                                                  54642                     Federal Register / Vol. 80, No. 175 / Thursday, September 10, 2015 / Notices

                                                  data consolidation fee of $350 per                      provisions,18 and will file separate fee              themselves of the NLS Plus data feed,
                                                  month.                                                  proposals that would, like this filing, be            and no firm is required to use NLS Plus.
                                                     Accordingly, proposed BX Rule 7039                   expected to reflect an administrative fee             Moreover, the Exchange believes that
                                                  states the following at sections (b)(1)                 component and a consolidation                         the consolidation fee, while in addition
                                                  through (b)(3):                                         component. Third, firms receive NLS                   to the current NLS Plus fee, would not
                                                     (1) Firms that receive NLS Plus shall                Plus by itself or in conjunction with                 be material to firms. The consolidation
                                                  pay the annual administration fees for                  NASDAQ Basic.19 Accordingly, firms                    fee would, however, enable the
                                                  NLS, BX Last Sale, and PSX Last Sale,                   would either be liable for NLS fees or                Exchange to recoup the monthly
                                                  and a data consolidation fee of $350 per                NASDAQ Basic fees. Fourth, the                        consolidation cost emanating from the
                                                  month.                                                  Exchange proposes that NLS Plus                       aggregation and consolidation of the
                                                                                                          includes [sic] a specific monthly $350                data and data streams that make up the
                                                     (2) Firms that receive NLS Plus would
                                                                                                          data consolidation fee. This fee is                   NLS Plus data feed. Such consolidated
                                                  either be liable for NLS fees or NASDAQ
                                                                                                          designed to recoup the monthly                        costs include, for example, the monthly
                                                  Basic fees.
                                                                                                          consolidation costs emanating from the                costs of combining the feeds, adding the
                                                     (3) In the event that NASDAQ OMX                     aggregation and consolidation of the                  Bloomberg ID, and creating the
                                                  BX and/or NASDAQ OMX PHLX adopt                         data and data streams that make up the                consolidated sale info. The proposed fee
                                                  user fees for BX Last Sale and/or PSX                   NLS Plus data feed. Such consolidated                 structure would not be unfairly
                                                  Last Sale, firms that receive NLS Plus                  costs include, for example, the costs of              discriminatory because it would apply
                                                  would also be liable for such fees.15                   combining the feeds, adding the                       equally to all firms that choose to use
                                                     The Exchange notes that the proposed                 Bloomberg ID, and combining the                       NLS Plus.
                                                  fee structure is designed to ensure that                consolidated sale info. The Exchange                     The Exchange believes that the
                                                  vendors could compete with the                          believes that this consolidation fee,                 proposed fees are also consistent with
                                                  Exchange by creating a product similar                  while in addition to the current NLS                  the investor protection objectives of
                                                  to NLS Plus.16 The proposed fee                         Plus fee in place, would not be material              Section 6(b)(5) of the Act 22 in that they
                                                  structure reflects the current annual                   to firms.                                             are designed to promote just and
                                                  administrative cost as well as the                         The Exchange believes that the                     equitable principles of trade, to remove
                                                  incremental cost of the aggregation and                 proposed NLS Plus fee is a simple                     impediments to a free and open market
                                                  consolidation function (generally                       codification of the existing NLS PLS                  and national market system, and in
                                                  known as the ‘‘consolidation function’’)                [sic] fee into BX Rule 7039, as                       general to protect investors and the
                                                  for NLS Plus, and would not be lower                    discussed, with the addition of a                     public interest. Specifically, the
                                                  than the cost to a vendor creating a                    monthly data consolidation fee, and as                proposed fee structure will codify the
                                                  competing product, including the cost                   such meets the requirements of the Act.               fees regarding the NLS Plus data
                                                  of receiving the underlying data feeds.                 2. Statutory Basis                                    offering into sections (b)(1) through
                                                  The proposed fee structure for NLS Plus                                                                       (b)(3) of BX Rule 7039, which helps to
                                                  would enable a vendor to receive the                       The Exchange believes that the                     assure proper enforcement of the rule
                                                  underlying data feeds and offer a similar               proposed rule change is consistent with               and investor protection. The Exchange
                                                  product on a competitive basis and with                 the provisions of Section 6 of the Act,20             believes also that the proposal facilitates
                                                  no greater cost than the Exchange.17                    in general, and with Sections 6(b)(4) and             transactions in securities, removes
                                                     The proposed fee structure is                        (5) of the Act,21 in particular, in that it           impediments to and perfects the
                                                  reasonable and proper. First, the                       provides for the equitable allocation of              mechanism of a free and open market
                                                  proposed administration fee is                          reasonable dues, fees, and other charges              and a national market system, and, in
                                                                                                          among its members, issuers and other                  general, protects investors and the
                                                  essentially a codification of the current
                                                                                                          persons using its facilities, and does not            public interest by codifying into a rule
                                                  administration fee vis a vis NASDAQ,
                                                                                                          unfairly discriminate between                         the fee liability for an additional means
                                                  BX and PSX. Second, NLS Plus
                                                                                                          customers, issuers, brokers or dealers.               by which investors may access
                                                  recipients would also be liable for fees
                                                                                                          The Exchange is codifying the fees                    information about securities
                                                  if the Exchange adopts user fees for BX
                                                                                                          regarding the NLS Plus data offering and              transactions, namely NLS Plus, thereby
                                                  Last Sale and/or PSX Last Sale. To that
                                                                                                          the consolidation fee, as discussed, into             providing investors with additional
                                                  end, the Exchange notes that it has filed
                                                                                                          sections (b)(1) through (b)(3) of BX Rule             options for accessing information that
                                                  separate proposals to adopt NLS Plus in
                                                                                                          7039.                                                 may help to inform their trading
                                                  the BX Last Sale and PSX Last Sale                         The Exchange believes that the
                                                                                                                                                                decisions.
                                                                                                          proposed fees offered to firms that elect                The Exchange notes that the
                                                  Last Sale are in BX Rule 7039 (currently there is no    to receive NLS Plus are reasonable,
                                                  fee liability), and for PSX Last Sale are in NASDAQ                                                           Commission has recently approved data
                                                                                                          equitable and not unfairly
                                                  OMX PSX Fees Chapter VIII (currently there is no                                                              products on several exchanges that are
                                                  fee liability). As currently described in NASDAQ        discriminatory. These fees are
                                                                                                                                                                similar to NLS Plus, and specifically
                                                  Rule 7047, NASDAQ Basic provides two sets of data       reasonable because they are, as
                                                  elements: (1) The best bid and offer on the                                                                   determined that the fee-liable approved
                                                                                                          discussed, simply a codification of the
                                                  NASDAQ Stock Market for each U.S. equity                                                                      data products were consistent with the
                                                                                                          existing fee structure, with an addition
                                                  security; and (2) the last sale information currently                                                         Act.23 NLS Plus simply provides market
                                                  provided by NLS.                                        of the above-discussed consolidation
                                                                                                                                                                participants with an additional option
                                                    15 BX Last Sale and PSX Last Sale currently are       fee, into existing BX Rule 7039. The
                                                  not fee liable, as noted in BX Rule 7039 and
                                                                                                                                                                for receiving market data that has
                                                                                                          proposed fee structure would apply
                                                  NASDAQ OMX PSX Fees Chapter VIII, respectively.                                                               already been the subject of a proposed
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                                                                                                          equally to all firms that choose to avail
                                                    16 For discussion in addition to this proposal, see                                                         rule change and that is available from
                                                  NLS Plus Approval Order.
                                                                                                            18 BX Rule 7039 and NASDAQ OMX PSX Fees
                                                                                                                                                                myriad market data vendors.
                                                    17 See also footnote 24 in the NLS Plus notice,
                                                                                                          Chapter VIII.                                            In adopting Regulation NMS, the
                                                  wherein NASDAQ indicated that it expects that the
                                                  fee structure for NLS Plus will reflect an amount
                                                                                                            19 As provided in NASDAQ Rule 7047, NASDAQ          Commission granted SROs and broker-
                                                  that is no less than the cost to a market data vendor   Basic provides the information contained in NLS,
                                                  to obtain all the underlying feeds, plus an amount      together with NASDAQ’s best bid and best offer.         22 15
                                                                                                                                                                      U.S.C. 78f(b)(5).
                                                                                                            20 15 U.S.C. 78f.
                                                  to be determined that would reflect the value of the                                                            23 See
                                                                                                                                                                       supra note 10 regarding BATS One and
                                                  aggregation and consolidation function.                   21 15 U.S.C. 78f(b)(4) and (5).                     NYSE BQT.



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                                                                           Federal Register / Vol. 80, No. 175 / Thursday, September 10, 2015 / Notices                                              54643

                                                  dealers (‘‘BDs’’) increased authority and               national market system for trading                      continuing to offer its data products at
                                                  flexibility to offer new and unique                     equity securities.’ ’’ 25                               competitive rates to firms.
                                                  market data to the public. It was                          The Court in NetCoalition I, while                      The market for data products is
                                                  believed that this authority would                      upholding the Commission’s conclusion                   extremely competitive and firms may
                                                  expand the amount of data available to                  that competitive forces may be relied                   freely choose alternative venues and
                                                  consumers, and also spur innovation                     upon to establish the fairness of prices,               data vendors based on the aggregate fees
                                                  and competition for the provision of                    nevertheless concluded that the record                  assessed, the data offered, and the value
                                                  market data. The Exchange believes that                 in that case did not adequately support                 provided. This rule proposal does not
                                                  the NLS Plus market data product is                     the Commission’s conclusions as to the                  burden competition, which continues to
                                                  precisely the sort of market data product               competitive nature of the market for                    offer alternative data products and, like
                                                  that the Commission envisioned when it                  NYSE Arca’s data product at issue in                    the Exchange, set fees,27 but rather
                                                  adopted Regulation NMS. The                             that case. As explained below in the                    reflects the competition between data
                                                  Commission concluded that Regulation                    Exchange’s Statement on Burden on                       feed vendors and will further enhance
                                                  NMS—by deregulating the market in                       Competition, however, the Exchange                      such competition. As described, NLS
                                                  proprietary data—would itself further                   believes that there is substantial                      Plus competes directly with existing
                                                  the Act’s goals of facilitating efficiency              evidence of competition in the                          similar products and potential products
                                                  and competition:                                        marketplace for data that was not in the                of market data vendors. NASDAQ OMX
                                                                                                          record in the NetCoalition I case, and                  Information LLC was constructed
                                                    [E]fficiency is promoted when broker-                                                                         specifically to establish a level playing
                                                  dealers who do not need the data beyond the             that the Commission is entitled to rely
                                                                                                          upon such evidence in concluding fees                   field with market data vendors and to
                                                  prices, sizes, market center identifications of                                                                 preserve fair competition between them.
                                                  the NBBO and consolidated last sale                     are the product of competition, and
                                                                                                          therefore in accordance with the                        Therefore, NASDAQ OMX Information
                                                  information are not required to receive (and                                                                    LLC receives NLS, BX Last Sale, and
                                                  pay for) such data. The Commission also                 relevant statutory standards.26
                                                                                                          Accordingly, any findings of the court                  PSX Last Sale from each NASDAQ-
                                                  believes that efficiency is promoted when                                                                       operated exchange in the same manner,
                                                  broker-dealers may choose to receive (and               with respect to that product may not be
                                                                                                          relevant to the product at issue in this                at the same speed, and reflecting the
                                                  pay for) additional market data based on their                                                                  same fees as for all market data vendors.
                                                  own internal analysis of the need for such              filing.
                                                                                                                                                                  Therefore, NASDAQ Information LLC
                                                  data.24                                                    Moreover, fee liable data products
                                                                                                                                                                  has no competitive advantage with
                                                                                                          such as NLS Plus are a means by which                   respect to these last sale products and
                                                  By removing unnecessary regulatory                      exchanges compete to attract order flow,
                                                  restrictions on the ability of exchanges                                                                        NASDAQ commits to maintaining this
                                                                                                          and this proposal simply codifies the                   level playing field in the future. In other
                                                  to sell their own data, Regulation NMS                  relevant fee structure into an Exchange
                                                  advanced the goals of the Act and the                                                                           words, NASDAQ will continue to
                                                                                                          rule. To the extent that exchanges are                  disseminate separately the underlying
                                                  principles reflected in its legislative                 successful in such competition, they
                                                  history. If the free market should                                                                              last sale products to avoid creating a
                                                                                                          earn trading revenues and also enhance                  latency differential between NASDAQ
                                                  determine whether proprietary data is                   the value of their data products by
                                                  sold to BDs at all, it follows that the                                                                         OMX Information LLC and other market
                                                                                                          increasing the amount of data they are                  data vendors, and to avoid creating a
                                                  price at which such data is sold should                 able to provide. Conversely, to the
                                                  be set by the market as well.                                                                                   pricing advantage for NASDAQ OMX
                                                                                                          extent that exchanges are unsuccessful,                 Information LLC.
                                                     The decision of the United States                    the inputs needed to add value to data                     NLS Plus joins the existing market for
                                                  Court of Appeals for the District of                    products are diminished. Accordingly,                   proprietary last sale data products that
                                                  Columbia Circuit in NetCoalition v.                     the need to compete for order flow                      is currently competitive and inherently
                                                  SEC, 615 F.3d 525 (D.C. Cir. 2010)                      places substantial pressure upon                        contestable because there is fierce
                                                  (‘‘NetCoalition I’’), upheld the                        exchanges to keep their fees for both                   competition for the inputs necessary to
                                                  Commission’s reliance upon                              executions and data reasonable.                         the creation of proprietary data and
                                                  competitive markets to set reasonable                   B. Self-Regulatory Organization’s                       strict pricing discipline for the
                                                  and equitably allocated fees for market                 Statement on Burden on Competition                      proprietary products themselves.
                                                  data. ‘‘In fact, the legislative history                                                                        Numerous exchanges compete with
                                                  indicates that the Congress intended                      The Exchange does not believe that                    each other for listings, trades, and
                                                  that the market system ‘evolve through                  the proposed rule change will impose                    market data itself, providing virtually
                                                  the interplay of competitive forces as                  any burden on competition not                           limitless opportunities for entrepreneurs
                                                  unnecessary regulatory restrictions are                 necessary or appropriate in furtherance                 who wish to produce and distribute
                                                  removed’ and that the SEC wield its                     of the purposes of the Act. The                         their own market data. This proprietary
                                                  regulatory power ‘in those situations                   proposed fee structure is designed to                   data is produced by each individual
                                                  where competition may not be                            ensure a fair and reasonable use of                     exchange, as well as other entities, in a
                                                  sufficient,’ such as in the creation of a               Exchange resources by allowing the                      vigorously competitive market.
                                                  ‘consolidated transactional reporting                   Exchange to recoup costs while                          Similarly, with respect to the FINRA/
                                                  system.’ NetCoalition I, at 535 (quoting                                                                        NASDAQ TRF data that is a component
                                                  H.R. Rep. No. 94–229, at 92 (1975), as                    25 NetCoalition   I, at 535.                          of NLS and NLS Plus, allowing
                                                  reprinted in 1975 U.S.C.C.A.N. 321,                       26 Itshould also be noted that Section 916 of the     exchanges to operate TRFs has
                                                                                                          Dodd-Frank Wall Street Reform and Consumer
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                                                  323). The court agreed with the                                                                                 permitted them to earn revenues by
                                                                                                          Protection Act of 2010 (‘‘Dodd-Frank Act’’) has
                                                  Commission’s conclusion that                            amended paragraph (A) of Section 19(b)(3) of the        providing technology and data in
                                                  ‘‘Congress intended that ‘competitive                   Act, 15 U.S.C. 78s(b)(3), to make it clear that all     support of the non-exchange segment of
                                                  forces should dictate the services and                  exchange fees, including fees for market data, may      the market. This revenue opportunity
                                                  practices that constitute the U.S.                      be filed by exchanges on an immediately effective       has also resulted in fierce competition
                                                                                                          basis. See also NetCoalition v. SEC, 715 F.3d 342
                                                                                                          (D.C. Cir. 2013) (‘‘NetCoalition II’’) (finding no      between the two current TRF operators,
                                                     24 See Securities Exchange Act Release No. 51808     jurisdiction to review Commission’s non-
                                                  (June 9, 2005), 70 FR 37496 (June 29, 2005).            suspension of immediately effective fee changes).         27 See,   e.g., supra note 10.



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                                                  54644                     Federal Register / Vol. 80, No. 175 / Thursday, September 10, 2015 / Notices

                                                  with both TRFs charging extremely low                   feasible because if all sales were priced             trading and generates sufficient
                                                  trade reporting fees and rebating the                   at the margin, an exchange would be                   commission revenue. Although the
                                                  majority of the revenues they receive                   unable to defray its platform costs of                business models may differ, these
                                                  from core market data to the parties                    providing the joint products. Similarly,              vendors’ pricing discipline is the same:
                                                  reporting trades.                                       data products cannot make use of TRF                  They can simply refuse to purchase any
                                                     Transaction execution and proprietary                trade reports without the raw material of             proprietary data product that fails to
                                                  data products are complementary in that                 the trade reports themselves, and                     provide sufficient value. Exchanges,
                                                  market data is both an input and a                      therefore necessitate the costs of                    TRFs, and other producers of
                                                  byproduct of the execution service. In                  operating, regulating,29 and maintaining              proprietary data products must
                                                  fact, market data and trade execution are               a trade reporting system, costs that must             understand and respond to these
                                                  a paradigmatic example of joint                         be covered through the fees charged for               varying business models and pricing
                                                  products with joint costs. The decision                 use of the facility and sales of associated           disciplines in order to market
                                                  whether and on which platform to post                   data.                                                 proprietary data products successfully.
                                                  an order will depend on the attributes                     An exchange’s BD customers view the                Moreover, the Exchange believes that
                                                  of the platform where the order can be                  costs of transaction executions and of                products such as NLS Plus can enhance
                                                  posted, including the execution fees,                   data as a unified cost of doing business              order flow by providing more
                                                  data quality and price, and distribution                with the exchange. A BD will direct                   widespread distribution of information
                                                  of its data products. Without trade                     orders to a particular exchange only if               about transactions in real time, thereby
                                                  executions, exchange data products                      the expected revenues from executing                  encouraging wider participation in the
                                                  cannot exist. Moreover, data products                   trades on the exchange exceed net                     market by investors with access to the
                                                  are valuable to many end users only                     transaction execution costs and the cost              internet or television. Conversely, the
                                                  insofar as they provide information that                of data that the BD chooses to buy to                 value of such products to distributors
                                                  end users expect will assist them or                    support its trading decisions (or those of            and investors decreases if order flow
                                                  their customers in making trading                       its customers). The choice of data                    falls, because the products contain less
                                                  decisions.                                              products is, in turn, a product of the                content.
                                                     The costs of producing market data                   value of the products in making                          Competition among trading platforms
                                                  include not only the costs of the data                  profitable trading decisions. If the cost             can be expected to constrain the
                                                  distribution infrastructure, but also the               of the product exceeds its expected                   aggregate return each platform earns
                                                  costs of designing, maintaining, and                    value, the BD will choose not to buy it.              from the sale of its joint products, but
                                                  operating the exchange’s transaction                    Moreover, as a BD chooses to direct                   different platforms may choose from a
                                                  execution platform and the cost of                      fewer orders to a particular exchange,                range of possible, and equally
                                                  regulating the exchange to ensure its fair              the value of the product to that BD                   reasonable, pricing strategies as the
                                                  operation and maintain investor                         decreases, for two reasons. First, the                means of recovering total costs. The
                                                  confidence. The total return that a                     product will contain less information,                Exchange pays rebates to attract orders,
                                                  trading platform earns reflects the                     because executions of the BD’s trading                charges relatively low prices for market
                                                  revenues it receives from both products                 activity will not be reflected in it.                 information and charges relatively high
                                                  and the joint costs it incurs. Moreover,                Second, and perhaps more important,                   prices for accessing posted liquidity.
                                                  the operation of the exchange is                        the product will be less valuable to that             Other platforms may choose a strategy
                                                  characterized by high fixed costs and                   BD because it does not provide                        of paying lower liquidity rebates to
                                                  low marginal costs. This cost structure                 information about the venue to which it               attract orders, setting relatively low
                                                  is common in content and content                                                                              prices for accessing posted liquidity,
                                                                                                          is directing its orders. Data from the
                                                  distribution industries such as software,                                                                     and setting relatively high prices for
                                                                                                          competing venue to which the BD is
                                                  where developing new software                                                                                 market information. Still others may
                                                                                                          directing orders will become
                                                  typically requires a large initial                                                                            provide most data free of charge and
                                                                                                          correspondingly more valuable.
                                                  investment (and continuing large                           Similarly, in the case of products such            rely exclusively on transaction fees to
                                                  investments to upgrade the software),                   as NLS Plus that are distributed through              recover their costs. Finally, some
                                                  but once the software is developed, the                 market data vendors, the vendors                      platforms may incentivize use by
                                                  incremental cost of providing that                                                                            providing opportunities for equity
                                                                                                          provide price discipline for proprietary
                                                  software to an additional user is                                                                             ownership, which may allow them to
                                                                                                          data products because they control the
                                                  typically small, or even zero (e.g., if the                                                                   charge lower direct fees for executions
                                                                                                          primary means of access to end users.
                                                  software can be downloaded over the                                                                           and data.
                                                                                                          Vendors impose price restraints based
                                                  internet after being purchased).28 It is                                                                         In this environment, there is no
                                                                                                          upon their business models. For
                                                  costly to build and maintain a trading                                                                        economic basis for regulating maximum
                                                                                                          example, vendors such as Bloomberg
                                                  platform, but the incremental cost of                                                                         prices for one of the joint products in an
                                                                                                          and Reuters that assess a surcharge on
                                                  trading each additional share on an                                                                           industry in which suppliers face
                                                                                                          data they sell may refuse to offer
                                                  existing platform, or distributing an                                                                         competitive constraints with regard to
                                                                                                          proprietary products that end users will              the joint offering. Such regulation is
                                                  additional instance of data, is very low.
                                                  Market information and executions are                   not purchase in sufficient numbers.                   unnecessary because an ‘‘excessive’’
                                                  each produced jointly (in the sense that                Internet portals, such as Google, impose              price for one of the joint products will
                                                  the activities of trading and placing                   a discipline by providing only data that              ultimately have to be reflected in lower
                                                  orders are the source of the information                will enable them to attract ‘‘eyeballs’’              prices for other products sold by the
                                                                                                          that contribute to their advertising
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                                                  that is distributed) and are each subject                                                                     firm, or otherwise the firm will
                                                  to significant scale economies. In such                 revenue. Retail BDs, such as Schwab                   experience a loss in the volume of its
                                                  cases, marginal cost pricing is not                     and Fidelity, offer their customers                   sales that will be adverse to its overall
                                                                                                          proprietary data only if it promotes                  profitability. In other words, an increase
                                                     28 See William J. Baumol and Daniel G. Swanson,
                                                                                                            29 It should be noted that the costs of operating
                                                                                                                                                                in the price of data will ultimately have
                                                  ‘‘The New Economy and Ubiquitous Competitive                                                                  to be accompanied by a decrease in the
                                                  Price Discrimination: Identifying Defensible Criteria   the FINRA/NASDAQ TRF borne by NASDAQ
                                                  of Market Power,’’ Antitrust Law Journal, Vol. 70,      include regulatory charges paid by NASDAQ to          cost of executions, or the volume of both
                                                  No. 3 (2003).                                           FINRA.                                                data and executions will fall.


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                                                                           Federal Register / Vol. 80, No. 175 / Thursday, September 10, 2015 / Notices                                           54645

                                                     The level of competition and                         offered by the SIPs for a fee, (ii) free SIP          market for over-the-counter data itself,
                                                  contestability in the market is evident in              data products with a 15-minute time                   separate and apart from the markets for
                                                  the numerous alternative venues that                    delay, and (iii) individual exchange data             execution and trade reporting services—
                                                  compete for order flow, including                       products, and finds a close substitute in             is fully contestable.
                                                  eleven SRO markets, as well as                          last-sale products of competing venues.                  Moreover, consolidated data provides
                                                  internalizing BDs and various forms of                     In addition to the competition and                 two additional measures of pricing
                                                  alternative trading systems (‘‘ATSs’’),                 price discipline described above, the                 discipline for proprietary data products
                                                  including dark pools and electronic                     market for proprietary data products is               that are a subset of the consolidated data
                                                  communication networks (‘‘ECNs’’).                      also highly contestable because market                stream. First, the consolidated data is
                                                  Each SRO market competes to produce                     entry is rapid, inexpensive, and                      widely available in real-time at $1 per
                                                  transaction reports via trade executions,               profitable. The history of electronic                 month for non-professional users.
                                                  and two FINRA-regulated TRFs compete                    trading is replete with examples of                   Second, consolidated data is also
                                                  to attract internalized transaction                     entrants that swiftly grew into some of               available at no cost with a 15- or 20-
                                                  reports. It is common for BDs to further                the largest electronic trading platforms              minute delay. Because consolidated
                                                  and exploit this competition by sending                 and proprietary data producers:                       data contains marketwide information,
                                                  their order flow and transaction reports                Archipelago, Bloomberg Tradebook,                     it effectively places a cap on the fees
                                                  to multiple markets, rather than                        Island, RediBook, Attain, TracECN,                    assessed for proprietary data (such as
                                                  providing them all to a single market.                  BATS Trading and BATS/Direct Edge. A                  last sale data) that is simply a subset of
                                                  Competitive markets for order flow,                     proliferation of dark pools and other                 the consolidated data. The mere
                                                  executions, and transaction reports                     ATSs operate profitably with                          availability of low-cost or free
                                                  provide pricing discipline for the inputs               fragmentary shares of consolidated                    consolidated data provides a powerful
                                                  of proprietary data products.                           market volume.                                        form of pricing discipline for
                                                     The large number of SROs, TRFs, BDs,                    Regulation NMS, by deregulating the                proprietary data products that contain
                                                  and ATSs that currently produce                         market for proprietary data, has                      data elements that are a subset of the
                                                  proprietary data or are currently capable               increased the contestability of that                  consolidated data, by highlighting the
                                                  of producing it provides further pricing                market. While BDs have previously                     optional nature of proprietary products.
                                                  discipline for proprietary data products.               published their proprietary data
                                                                                                                                                                   In this environment, a super-
                                                  Each SRO, TRF, ATS, and BD is                           individually, Regulation NMS
                                                                                                                                                                competitive increase in the fees charged
                                                  currently permitted to produce                          encourages market data vendors and
                                                  proprietary data products, and many                                                                           for either transactions or data has the
                                                                                                          BDs to produce proprietary products
                                                  currently do or have announced plans to                                                                       potential to impair revenues from both
                                                                                                          cooperatively in a manner never before
                                                  do so, including NASDAQ, NYSE,                                                                                products. ‘‘No one disputes that
                                                                                                          possible. Multiple market data vendors
                                                  NYSE MKT, NYSE Arca, and BATS/                                                                                competition for order flow is ‘fierce’.’’
                                                                                                          already have the capability to aggregate
                                                  Direct Edge.                                                                                                  NetCoalition I at 539. The existence of
                                                                                                          data and disseminate it on a profitable
                                                     Any ATS or BD can combine with any                                                                         fierce competition for order flow
                                                                                                          scale, including Bloomberg and
                                                  other ATS, BD, or multiple ATSs or BDs                                                                        implies a high degree of price sensitivity
                                                                                                          Thomson Reuters. In Europe, Cinnober
                                                  to produce joint proprietary data                                                                             on the part of BDs with order flow, since
                                                                                                          aggregates and disseminates data from
                                                  products. Additionally, order routers                                                                         they may readily reduce costs by
                                                                                                          over 40 brokers and multilateral trading
                                                  and market data vendors can facilitate                                                                        directing orders toward the lowest-cost
                                                                                                          facilities.30
                                                  single or multiple BDs’ production of                                                                         trading venues. A BD that shifted its
                                                                                                             In the case of TRFs, the rapid entry of
                                                  proprietary data products. The potential                                                                      order flow from one platform to another
                                                                                                          several exchanges into this space in
                                                  sources of proprietary products are                                                                           in response to order execution price
                                                                                                          2006–2007 following the development
                                                  virtually limitless. Notably, the                                                                             differentials would both reduce the
                                                                                                          and Commission approval of the TRF
                                                  potential sources of data include the                                                                         value of that platform’s market data and
                                                                                                          structure demonstrates the
                                                  BDs that submit trade reports to TRFs                                                                         reduce its own need to consume data
                                                                                                          contestability of this aspect of the
                                                  and that have the ability to consolidate                                                                      from the disfavored platform. If a
                                                                                                          market.31 Given the demand for trade
                                                  and distribute their data without the                                                                         platform increases its market data fees,
                                                                                                          reporting services that is itself a by-
                                                  involvement of FINRA or an exchange-                                                                          the change will affect the overall cost of
                                                                                                          product of the fierce competition for
                                                  operated TRF.                                                                                                 doing business with the platform, and
                                                                                                          transaction executions—characterized
                                                     The fact that proprietary data from                                                                        affected BDs will assess whether they
                                                                                                          notably by a proliferation of ATSs and
                                                  ATSs, BDs, and vendors can by-pass                                                                            can lower their trading costs by
                                                                                                          BDs offering internalization—any supra-
                                                  SROs is significant in two respects.                                                                          directing orders elsewhere and thereby
                                                                                                          competitive increase in the fees
                                                  First, non-SROs can compete directly                                                                          lessening the need for the more
                                                                                                          associated with trade reporting or TRF
                                                  with SROs for the production and sale                                                                         expensive data. Similarly, increases in
                                                                                                          data would shift trade report volumes
                                                  of proprietary data products, as BATS                                                                         the cost of NLS Plus would impair the
                                                                                                          from one of the existing TRFs to the
                                                  and NYSE Arca did before registering as                                                                       willingness of distributors to take a
                                                                                                          other 32 and create incentives for other
                                                  exchanges by publishing proprietary                                                                           product for which there are numerous
                                                                                                          TRF operators to enter the space.
                                                  book data on the internet. Second,                                                                            alternatives, impacting NLS Plus data
                                                                                                          Alternatively, because BDs reporting to
                                                  because a single order or transaction                                                                         revenues, the value of NLS Plus as a tool
                                                                                                          TRFs are themselves free to consolidate
                                                  report can appear in a core data product,                                                                     for attracting order flow, and ultimately,
                                                                                                          the market data that they report, the
                                                  an SRO proprietary product, and/or a                                                                          the volume of orders routed and the
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                                                  non-SRO proprietary product, the data                      30 See http://www.cinnober.com/boat-trade-         value of other data products.
                                                  available in proprietary products is                    reporting.                                            C. Self-Regulatory Organization’s
                                                  exponentially greater than the actual                      31 The low cost exit of two TRFs from the market
                                                                                                                                                                Statement on Comments on the
                                                  number of orders and transaction                        is also evidence of a contestable market, because
                                                                                                          new entrants are reluctant to enter a market where    Proposed Rule Change Received From
                                                  reports that exist in the marketplace.
                                                                                                          exit may involve substantial shut-down costs.         Members, Participants, or Others
                                                  Indeed, in the case of NLS Plus, the data                  32 It should be noted that the FINRA/NYSE TRF
                                                  provided through that product appears                   has, in recent weeks, received reports for almost       No written comments were either
                                                  both in (i) real-time core data products                10% of all over-the-counter volume in NMS stocks.     solicited or received.


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                                                  54646                         Federal Register / Vol. 80, No. 175 / Thursday, September 10, 2015 / Notices

                                                  III. Date of Effectiveness of the                          Washington, DC 20549, on official                     period, ending September 4, 2016. The
                                                  Proposed Rule Change and Timing for                        business days between the hours of                    text of the proposed rule change is
                                                  Commission Action                                          10:00 a.m. and 3:00 p.m. Copies of the                available on the Exchange’s Web site at
                                                     The foregoing rule change has become                    filing also will be available for                     www.nyse.com, at the principal office of
                                                  effective pursuant to Section                              inspection and copying at the principal               the Exchange, and at the Commission’s
                                                                                                             office of the Exchange. All comments                  Public Reference Room.
                                                  19(b)(3)(A)(ii) of the Act.33 At any time
                                                                                                             received will be posted without change;
                                                  within 60 days of the filing of the                                                                              II. Self-Regulatory Organization’s
                                                                                                             the Commission does not edit personal
                                                  proposed rule change, the Commission                                                                             Statement of the Purpose of, and
                                                                                                             identifying information from
                                                  summarily may temporarily suspend                                                                                Statutory Basis for, the Proposed Rule
                                                                                                             submissions. You should submit only
                                                  such rule change if it appears to the                                                                            Change
                                                                                                             information that you wish to make
                                                  Commission that such action is                                                                                      In its filing with the Commission, the
                                                                                                             available publicly.
                                                  necessary or appropriate in the public                                                                           self-regulatory organization included
                                                                                                                All submissions should refer to File
                                                  interest, for the protection of investors,                                                                       statements concerning the purpose of,
                                                                                                             Number SR–BX–2015–054 and should
                                                  or otherwise in furtherance of the                                                                               and basis for, the proposed rule change
                                                                                                             be submitted on or before October 1,
                                                  purposes of the Act. If the Commission                                                                           and discussed any comments it received
                                                                                                             2015.
                                                  takes such action, the Commission shall                                                                          on the proposed rule change. The text
                                                  institute proceedings to determine                           For the Commission, by the Division of
                                                                                                             Trading and Markets, pursuant to delegated            of those statements may be examined at
                                                  whether the proposed rule should be                                                                              the places specified in Item IV below.
                                                                                                             authority.34
                                                  approved or disapproved.                                                                                         The Exchange has prepared summaries,
                                                                                                             Robert W. Errett,
                                                  IV. Solicitation of Comments                               Deputy Secretary.
                                                                                                                                                                   set forth in sections A, B, and C below,
                                                                                                                                                                   of the most significant parts of such
                                                    Interested persons are invited to                        [FR Doc. 2015–22744 Filed 9–9–15; 8:45 am]
                                                                                                                                                                   statements.
                                                  submit written data, views, and                            BILLING CODE 8011–01–P
                                                  arguments concerning the foregoing,                                                                              A. Self-Regulatory Organization’s
                                                  including whether the proposed rule                                                                              Statement of the Purpose of, and the
                                                  change is consistent with the Act.                         SECURITIES AND EXCHANGE                               Statutory Basis for, the Proposed Rule
                                                  Comments may be submitted by any of                        COMMISSION                                            Change
                                                  the following methods:                                     [Release No. 34–75846; File No. SR–                   1. Purpose
                                                                                                             NYSEArca–2015–78]
                                                  Electronic Comments                                                                                                 The Exchange proposes to amend
                                                    • Use the Commission’s Internet                          Self-Regulatory Organizations; NYSE                   Section 3 of NYSE Arca Equities Rule 8
                                                  comment form (http://www.sec.gov/                          Arca, Inc.; Notice of Filing and                      (Trading of Certain Equity Derivatives)
                                                  rules/sro.shtml); or                                       Immediate Effectiveness of Proposed                   to extend the effectiveness of the ETP
                                                    • Send an email to rule-comments@                        Rule Change Amending Section 3 of                     Incentive Program 4 for an additional
                                                  sec.gov. Please include File Number SR–                    NYSE Arca Equities Rule 8 To Extend                   one-year pilot period, ending September
                                                  BX–2015–054 on the subject line.                           the Effectiveness of the ETP Incentive                4, 2016.5
                                                                                                             Program for Additional One-Year Pilot
                                                  Paper Comments                                             Period, Ending September 4, 2016
                                                                                                                                                                      4 The Commission approved the ETP Incentive

                                                                                                                                                                   Program on a pilot basis in Securities Exchange Act
                                                    • Send paper comments in triplicate                                                                            Release No. 69706 (June 6, 2013), 78 FR 35340 (June
                                                  to Secretary, Securities and Exchange                      September 4, 2015.                                    12, 2013) (SR–NYSEArca–2013–34) (‘‘ETP Incentive
                                                  Commission, 100 F Street NE.,                                 Pursuant to Section 19(b)(1) 1 of the              Program Release’’). The Exchange subsequently
                                                  Washington, DC 20549–1090.                                 Securities Exchange Act of 1934 (the                  filed to extend the original pilot program for the
                                                                                                             ‘‘Act’’) 2 and Rule 19b–4 thereunder,3                ETP Incentive Program until September 4, 2015. See
                                                  All submissions should refer to File                                                                             Securities Exchange Act Release No. 72963
                                                                                                             notice is hereby given that, on                       (September 3, 2014), 79 FR 53492 (September 9,
                                                  Number SR–BX–2015–054. This file
                                                                                                             September 3, 2015, NYSE Arca, Inc. (the               2014) (SR–NYSEArca–2014–99) (notice of filing and
                                                  number should be included on the
                                                                                                             ‘‘Exchange’’ or ‘‘NYSE Arca’’) filed with             immediate effectiveness of proposed rule change
                                                  subject line if email is used. To help the                                                                       extending effectiveness of the ETP Incentive
                                                                                                             the Securities and Exchange
                                                  Commission process and review your                                                                               Program until September 4, 2015). In addition, the
                                                                                                             Commission (the ‘‘Commission’’) the                   Exchange recently filed a proposed rule change to
                                                  comments more efficiently, please use
                                                                                                             proposed rule change as described in                  amend Rules 7.25(c) and 8.800(b) to provide that
                                                  only one method. The Commission will
                                                                                                             Items I and II below, which Items have                exchange-traded products (‘‘ETPs’’) already listed
                                                  post all comments on the Commission’s                                                                            on the Exchange can be admitted to the ETP
                                                                                                             been prepared by the self-regulatory
                                                  Internet Web site (http://www.sec.gov/                                                                           Incentive Program on a monthly basis rather than
                                                                                                             organization. The Commission is                       at the beginning of each quarter. See Securities
                                                  rules/sro.shtml). Copies of the
                                                                                                             publishing this notice to solicit                     Exchange Act Release No. 75282 (June 24, 2015), 80
                                                  submission, all subsequent
                                                                                                             comments on the proposed rule change                  FR 37340 (June 30, 2015) (SR–NYSEArca–2015–52)
                                                  amendments, all written statements                                                                               (notice of filing and immediate effectiveness of
                                                                                                             from interested persons.
                                                  with respect to the proposed rule                                                                                proposed rule change amending NYSE Arca
                                                  change that are filed with the                             I. Self-Regulatory Organization’s                     Equities Rules 7.25 and 8.800 to allow an issuer to
                                                                                                             Statement of the Terms of Substance of                elect for its ETP to participate in the Crowd
                                                  Commission, and all written                                                                                      Participant Program or the ETP Incentive Program
                                                  communications relating to the                             the Proposed Rule Change                              monthly rather than quarterly and to extend the
                                                  proposed rule change between the                              The Exchange proposes to Section 3                 effectiveness of the Crowd Participant Program
                                                  Commission and any person, other than                                                                            until June 23, 2016). In SR–NYSEArca–2015–52, the
                                                                                                             of NYSE Arca Equities Rule 8 (Trading                 Exchange stated that the Exchange anticipates that
mstockstill on DSK4VPTVN1PROD with NOTICES




                                                  those that may be withheld from the                        of Certain Equity Derivatives) to extend              expanding the opportunity for issuers to enter the
                                                  public in accordance with the                              the effectiveness of the ETP Incentive                ETP Incentive Program will facilitate the provision
                                                  provisions of 5 U.S.C. 552, will be                        Program for additional one-year pilot                 of extra liquidity to lower-volume ETPs by
                                                  available for Web site viewing and                                                                               incentivizing more Market Makers to take Lead
                                                                                                                                                                   Market Maker (‘‘LMM’’) assignments in certain
                                                  printing in the Commission’s Public                          34 17 CFR 200.30–3(a)(12).                          lower-volume ETPs.
                                                  Reference Room, 100 F Street NE.,                            1 15 U.S.C. 78s(b)(1).                                 5 The ETP Incentive Program is scheduled to end
                                                                                                               2 15 U.S.C. 78a.
                                                                                                                                                                   on September 4, 2015. For purposes of the ETP
                                                    33 15   U.S.C. 78s(b)(3)(A)(ii).                           3 17 CFR 240.19b–4.                                 Incentive Program, ETPs include securities listed on



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Document Created: 2015-12-15 10:03:58
Document Modified: 2015-12-15 10:03:58
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 54640 

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