81_FR_3941 81 FR 3927 - Notice Seeking Public Comment on the Evolution of the Treasury Market Structure

81 FR 3927 - Notice Seeking Public Comment on the Evolution of the Treasury Market Structure

DEPARTMENT OF THE TREASURY

Federal Register Volume 81, Issue 14 (January 22, 2016)

Page Range3927-3934
FR Document2016-01246

The Department of the Treasury (``Treasury'') is seeking public comment on structural changes in the U.S. Treasury market and their implications for market functioning; trading and risk management practices across the U.S. Treasury market; considerations with respect to more comprehensive official sector access to Treasury market data; and benefits and risks of increased public disclosure of Treasury market activity.

Federal Register, Volume 81 Issue 14 (Friday, January 22, 2016)
[Federal Register Volume 81, Number 14 (Friday, January 22, 2016)]
[Notices]
[Pages 3927-3934]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-01246]



[[Page 3927]]

Vol. 81

Friday,

No. 14

January 22, 2016

Part III





Department of the Treasury





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Notice Seeking Public Comment on the Evolution of the Treasury Market 
Structure; Notice

Federal Register / Vol. 81, No. 14 / Friday, January 22, 2016 / 
Notices

[[Page 3928]]


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DEPARTMENT OF THE TREASURY

[Docket No. TREAS-DO-2015-0013]


Notice Seeking Public Comment on the Evolution of the Treasury 
Market Structure

AGENCY: Office of the Under Secretary for Domestic Finance, Department 
of the Treasury.

ACTION: Notice and Request for Information.

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SUMMARY: The Department of the Treasury (``Treasury'') is seeking 
public comment on structural changes in the U.S. Treasury market and 
their implications for market functioning; trading and risk management 
practices across the U.S. Treasury market; considerations with respect 
to more comprehensive official sector access to Treasury market data; 
and benefits and risks of increased public disclosure of Treasury 
market activity.

DATES: Comments must be received no later than March 22, 2016.

ADDRESSES: Comments may be submitted through the Federal eRulemaking 
Portal (www.regulations.gov). Please follow the instructions for 
submitting comments through the Web site. You may download this 
proposed rule from www.regulations.gov or www.treasurydirect.gov. 
Please submit your comments, along with your full name and mailing 
address. We will not accept comments by fax or email. All comments will 
be posted to www.regulations.gov and on the TreasuryDirect Web site at 
www.treasurydirect.gov.
    Additional Instructions: In general, comments received, including 
attachments and other supporting materials, are part of the public 
record and are available to the public. Do not include any information 
in your comment or supporting materials that you consider confidential 
or inappropriate for public disclosure.

FOR FURTHER INFORMATION CONTACT: For general inquiries, submission 
process questions or any additional information, please email 
TreasuryMarket [email protected] or call (202) 622-2396. If you use a 
telecommunications device for the deaf (TDD) or a text telephone (TTY), 
call the Federal Relay Service (FRS), toll free, at 1-800-877-8339. All 
responses to this Notice and Request for Information should be 
submitted via http://regulations.gov to ensure consideration.

SUPPLEMENTARY INFORMATION: The U.S. Treasury market is the deepest and 
most liquid market in the world.\1\ It plays a critical and unique role 
in the global economy, serving as the primary means of financing the 
U.S. federal government, a significant investment instrument and 
hedging vehicle for global investors, a risk-free benchmark for other 
financial instruments, and an important market for the implementation 
of monetary policy by the Federal Reserve System.
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    \1\ For purposes of this Request for Information (RFI), the U.S. 
Treasury market comprises the secondary market trading of U.S. 
Treasury securities, futures and options on U.S. Treasury securities 
and futures, and securities financing transactions in which Treasury 
securities are used as collateral.
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    The structure of the Treasury market has evolved significantly over 
the past two decades. In particular, technology advancements, and the 
associated growth in high-speed electronic trading has contributed to 
the growing presence of principal trading firms (PTFs),\2\ with these 
firms now accounting for the majority of trading and standing quotes in 
the order book in both futures and interdealer cash markets. By 
contrast, bank-dealers \3\ still account for a majority of secondary 
cash market trading overall (when including dealer-to-customer 
trading), but they comprise well under half of the trading and quoting 
activity in the inter-dealer cash markets. These changes in 
intermediation and the provision of liquidity have coincided with 
significant growth in the U.S. fixed-income market, an evolving 
regulatory and macroeconomic landscape, and potential changes in the 
demand for liquidity by many investors.
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    \2\ For purposes of this RFI, a PTF is defined as an investor 
with the following typical characteristics: Principal investor, 
deploys proprietary automated trading strategies, low latency 
typically key element of trading strategies, may be registered as 
broker or dealer but does not have clients as in a typical broker or 
dealer business model.
    \3\ For purposes of this RFI, bank-dealer refers to a SEC-
registered broker-dealer that is owned by a bank. A non-bank dealer 
is an independent SEC-registered broker-dealer that is not owned by 
a bank. Primary dealers, as designated by the Federal Reserve Bank 
of New York, are a subset of the bank-dealer category in the JSR.
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    Trading in the Treasury cash market occurs across a diverse set of 
venues and modes of execution. Historically, the Treasury cash market 
has been bifurcated between the interdealer market, in which dealers 
trade with one another, and the dealer-to-client market, in which 
dealers trade with their customers (e.g. asset managers, pension funds, 
insurance companies, corporations). In the Treasury cash market, 
customers, also referred to as end users, have not historically traded 
directly with other end users.\4\
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    \4\ For purposes of this RFI, customer refers to an 
institutional customer, to differentiate from a retail customer.
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    Trading in the inter-dealer cash market has evolved significantly. 
Originally, this market had been open almost exclusively to dealers, 
who transacted with each other by telephone. In the early 2000s this 
changed, with inter-dealer brokers launching electronic trading 
platforms and later opening access to those platforms to non-dealers. 
Trading on these platforms has become increasingly automated, with 
transactions conducted using algorithmic and other trading strategies 
involving little or no human intervention. Today, trading on the inter-
dealer platforms bears some resemblance to other highly liquid markets, 
including equities and foreign exchange markets, where PTFs and dealers 
transact in automated fashion, sometimes in large volumes and at high 
speed.
    In contrast, a significant portion of trading in the dealer-to-
customer market occurs on platforms that facilitate the matching of buy 
and sell orders primarily through request for quote (RFQ) systems, not 
central limit order books. These platforms are increasingly electronic, 
but are generally not conducive to automated or high-frequency trading 
strategies. Dealers also internalize a portion of their customer 
flow.\5\ However, it is unclear the extent to which this occurs given 
currently available data.
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    \5\ For the purposes of this RFI, internalization refers to a 
broker filling a customer order either from the firm's own inventory 
or by matching the order with other customer order flow, instead of 
routing the order to an inter-dealer market for execution.
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    Treasury futures are required by law to be traded on a registered 
exchange, and are traded primarily on the Chicago Board of Trade, part 
of the CME Group (CME). Futures transactions traded on the CME are 
centrally cleared at CME's clearinghouse. In the 1990s, futures trading 
began to transition from manual to electronic processes for the 
transmission of orders and information, and the execution of trades. 
Electronic trading eventually became the dominant mode of execution in 
the futures market. Now, more than 95 percent of all on-exchange 
futures trading occur on electronic trade-matching platforms, and 
market participants are increasingly employing automated systems for 
the generation, transmission, management, and execution of orders.\6\
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    \6\ See CFTC Proposed Rule: Regulation Automated Trading, 
December 17, 2015: http://www.cftc.gov/idc/groups/public/@lrfederalregister/documents/file/2015-30533a.pdf.

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[[Page 3929]]

    Non-bank proprietary trading firms have long played a significant 
role in the futures market. As the market has evolved to greater levels 
of electronic trading, they have increasingly employed automated 
trading strategies, and increasingly moved into the Treasury cash 
market. Today, PTFs represent a majority of trading in Treasury futures 
and inter-dealer cash markets.
    On July 13, 2015, the staffs of the Treasury, the Board of 
Governors of the Federal Reserve System (``Board''), the Federal 
Reserve Bank of New York (``FRBNY''), the U.S. Securities and Exchange 
Commission (``SEC''), and the U.S. Commodity Futures Trading Commission 
(``CFTC'') (collectively, the ``Joint Staffs''), published the Joint 
Staff Report: The U.S. Treasury Market on October 15, 2014 
(``JSR'').\7\ The JSR analyzed the extraordinary volatility in the 
Treasury market on the morning of October 15, 2014, and identified four 
next steps for further work: (1) Further study of the evolution of the 
U.S. Treasury market and the implications for market structure and 
liquidity, (2) continued monitoring of trading and risk management 
practices across the U.S. Treasury market and a review of the current 
regulatory requirements applicable to the government securities market 
and its participants, (3) an assessment of the data available to the 
public and to the official sector on U.S. Treasury cash securities 
markets, and (4) continued efforts to strengthen monitoring and 
surveillance and promote inter-agency coordination related to the 
trading across the U.S. Treasury market.
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    \7\ Joint Staff Report: The U.S. Treasury Market on October 15, 
2014: http://www.treasury.gov/press-center/press-releases/Documents/Joint_Staff_Report_Treasury_10-15-2015.pdf. The findings in the JSR 
were based in part on transaction-level, non-public data that staff 
obtained from the primary locations for price discovery in the 
Treasury market, the Chicago Mercantile Exchange for futures and 
BrokerTec and eSpeed for cash securities.
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    Treasury is seeking public comment on several specific questions 
that will inform the ongoing work related to the next steps identified 
in the JSR. This RFI is intended, in part, to seek information and 
viewpoints from a diverse group of stakeholders, including the general 
public, buy and sell-side market participants, academics, and industry 
groups regarding these and other structural changes in the Treasury 
market, and their implications for the depth, liquidity, and 
functioning of the market. This RFI is also intended to develop a 
holistic view of trading and risk management practices across U.S. 
Treasury futures and cash markets--including the various trading venues 
and modes of execution present in the cash market--and it seeks input 
on potential improvements in Treasury market policies, practices, and 
conduct.
    Given the market evolution, access to timely and comprehensive data 
across related markets is increasingly important to fully assess new 
developments, and analyze market events. Accordingly, we are interested 
in the most efficient and effective ways for the official sector to 
obtain additional market data and in ways to more effectively monitor 
diverse but related markets. Finally, we are interested in the 
potential benefits and costs of additional transparency with respect to 
Treasury market trading activity and trading venue policies and 
practices.
    Treasury developed this RFI in consultation with the Joint Staffs. 
The responses to this RFI will further enhance our understanding of the 
changes underway in the Treasury market and will help to inform the 
ongoing work related to the next steps identified in the JSR as well as 
any policy responses. This is intended to be a comprehensive list of 
questions. Depending on your role and/or interest in the Treasury 
market, you may choose to answer only certain questions.

I. Further Study of the Evolution of the U.S. Treasury Market and the 
Implications for Market Structure and Liquidity

    Treasury is interested in the various factors driving the evolution 
of the Treasury market discussed above, and their implications for 
market functioning. These factors include changes in technology, the 
growing prevalence of automated trading, changes in market making, 
financial institutions' risk tolerance and business models, shifts in 
buy and sell-side participation, post-crisis regulatory reforms, as 
well as any other factors respondents to this RFI may identify. We are 
also interested in the changing nature of liquidity and liquidity 
provision in the U.S. Treasury market.
    By some metrics, the liquidity and efficiency of trading in the 
U.S. Treasury market are as robust as they have ever been. For example, 
bid-ask spreads have remained steady at very low historical levels. But 
the changes in market structure also raise questions about evolving 
risks, such as whether an improvement in average liquidity conditions 
may come at the cost of rare but severe bouts of volatility that 
coincide with significant strains in liquidity. The changing nature of 
liquidity also suggests that measures used to estimate liquidity may 
need to be enhanced in order to broaden our understanding of the state 
of the market, both during normal and stressed market conditions.

Questions for Public Comment

    Treasury requests comment on the questions below. These questions 
are intended to solicit views on the implications of changes to U.S. 
Treasury market structure, including changes to financing markets 
(i.e., the repurchase agreement market) using Treasury securities, for 
liquidity provision, and market functioning. We also welcome any input 
on the current market structure and how participants believe U.S. 
Treasury market structure will evolve in the coming years.
    1.1 Have there been changes in the nature of liquidity provision, 
or demand for liquidity, in the U.S. Treasury market? If so, are these 
trends different in the futures, dealer-to-customer, or interdealer 
broker (``IDB'') market, or in the ``on-the-run'' and ``off-the-run'' 
sectors, or across different types of Treasury securities (e.g. bills, 
nominal fixed rate coupon securities, nominal floating rate securities, 
and inflation-indexed securities)? Which factors have been responsible 
for any observed trends in liquidity provision and/or demand? In 
addressing those questions, please consider the dealer-to-customer 
market, trading on IDB platforms, and in the futures market, as 
applicable, and please provide or refer to data and/or analysis that 
support your conclusion. In addition, please consider the following 
questions, as applicable:
    a. How do you define liquidity? How do you define liquidity 
provision?
    b. Which measures are most indicative of the degree of liquidity? 
How might these measures be refined or expanded, if you were not 
limited by the availability of data?
    c. How do different indicators provide information on different 
aspects of liquidity, and in what ways?
    d. Which measures best represent the resilience of liquidity, or 
the relationships between liquidity and volatility?
    e. To what extent are these measures of liquidity and the 
resilience of liquidity different from measures used in other markets 
that have witnessed similar market structure changes? What are the 
idiosyncratic factors unique to Treasury cash markets that may cause 
these measures to differ?
    f. What changes, if any, have you observed in these measures over 
recent years? Over recent months?

[[Page 3930]]

    g. What microstructure features of the U.S. Treasury futures and 
cash markets, including both IDB venues and dealer-to-client markets, 
have affected the functioning, liquidity, efficiency and participation 
in these markets? What features have affected the functioning of the 
Treasury market as a whole?
    1.2 What changes, if any, have you made or observed in investment, 
hedging, and trading practices in response to shifts in Treasury market 
structure?
    1.3 How does the way in which you transact in or provide liquidity 
to the U.S. Treasury market change during periods of stress?
    1.4 Looking forward, do you anticipate significant changes in the 
structure of the U.S. Treasury market absent further regulatory 
changes? What would be the key benefits and/or risks of these changes 
in market structure? What key factors are likely to drive these 
changes? What changes are you planning to your firm's investment and 
trading policies, strategies, and practices?
    1.5 What changes to the U.S. Treasury market structure, whether 
through public or private sector initiatives, might be advisable given 
the recent and expected future evolution? What role should the public 
sector play in driving or facilitating these changes?
    1.6 What are the benefits and risks from the increased speed with 
which secondary market transactions take place? Do these benefits and 
risks differ across individual products (e.g. on-the-run versus off-the 
run securities)? How have market participants and trading venues 
responded to, or facilitated, improvements in speed, and how, if at 
all, should policy makers respond?
    1.7 To what extent have changes in Treasury financing markets 
affected liquidity in cash Treasury markets, and what is the best 
evidence of those effects? Looking forward, do you anticipate major 
changes in the Treasury financing markets and how would this impact the 
functioning of the cash Treasury markets? How have firms modified their 
trading strategies in response to, or in anticipation of, these 
changes? What changes in Treasury financing markets could improve 
market efficiency? What are the potential benefits and risks to the 
Treasury market of increased access to central clearing of Treasury 
repurchase agreement (``repo'') transactions?
    1.8 What share of trading (in the case of dealers, your own 
trading) is internalized? To what extent does it vary depending on 
security type (e.g., on-the-run, off-the-run)? How has this changed 
over time and how do you expect it to develop? What implications for 
the Treasury market, if any, do you see as a result of these 
developments?

II. Continued Monitoring of Trading and Risk Management Practices 
Across the U.S. Treasury Market and a Review of the Current Regulatory 
Requirements Applicable to the Government Securities Market and Its 
Participants

    The introduction and rapid growth of electronic and automated 
trading protocols by many participants in the U.S. Treasury market over 
the past two decades have brought benefits as well as challenges to 
trading practices and risk and internal control systems. Risk controls 
at firms and trading venues must be able to monitor order and trade 
activity at the increased speeds made possible by this automation. In 
recent years, many trading platforms and firms have updated their risk 
management practices to better align them with a faster and more 
complex trading environment. The public and private sectors have 
collaborated to establish best practices for transacting in the modern 
Treasury market. In particular, the Treasury Market Practices Group 
(``TMPG'') recently updated its Best Practices for Treasury, Agency 
Debt, and Agency Mortgage Backed Securities Market by incorporating 
recommendations related to automated trading in TMPG covered 
markets.\8\ The updated TMPG best practices recommended that all 
Treasury market participants incorporate best practices in their 
operations in order to promote trading integrity and to support an 
efficient marketplace.
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    \8\ Best Practices for Treasury, Agency Debt, and Agency 
Mortgage-Backed Securities Markets: http://wcapps.ny.frb.org/tmpg/TPMG_June%202015_Best%20Practices.pdf.
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    The trend toward increasingly automated trading, including 
algorithmic trading strategies, is also being addressed by various 
regulatory efforts underway, particularly by the SEC and the CFTC. 
Among the next steps identified in the JSR is a review of the 
regulatory requirements applicable to the government securities market 
and its participants. The Government Securities Act (GSA) of 1986, as 
amended, provides for the registration of government securities brokers 
and dealers engaging in transactions in government securities and 
requires Treasury to adopt rules with respect to financial 
responsibility and related practices of government securities brokers 
and dealers.\9\ The Treasury, SEC, and the federal bank regulators, 
regulate government securities brokers and dealers in the Treasury 
market. The CFTC regulates the futures markets, including the Treasury 
futures markets, and many of its participants.
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    \9\ See Public Law 99-571, October 28, 1986 and Public Law 103-
202, December 17, 1993.
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    In order to prevent fraudulent and manipulative acts and practices 
and to promote just and equitable principles of trade, the GSA also 
authorizes the appropriate regulatory agencies (the SEC and federal 
bank regulators) to issue regulations, in consultation with Treasury, 
with respect to transactions in government securities for the entities 
they regulate.\10\ The enforcement authority for these rules sits with 
the SEC, the Financial Industry Regulatory Authority (``FINRA'') or the 
appropriate federal bank regulator. Based on the current statutory 
scheme, there are several differences in the regulatory requirements 
applicable to the government securities market as compared to other 
U.S. securities, commodities and derivatives markets that may be worthy 
of examination.\11\
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    \10\ Ibid.
    \11\ There are differences in the current regulatory 
requirements applicable to the government securities market as 
compared to other U.S. securities, commodities and derivatives 
markets. For example, SEC rules applicable to alternative trading 
systems do not apply to alternative trading systems through which 
only government securities are traded (although such venues may 
voluntarily adopt such standards). Real time public reporting rules 
applicable to transactions in other securities and derivatives do 
not apply to transactions in Treasury securities. Large non-broker 
and non-dealer participants in the government securities market are 
not required to register (unlike large swap market participants).
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Questions for Public Comment

    We request comment on the questions below. We are interested in 
what further steps the public and private sectors can take to address 
any outstanding risks, including operational risks to market 
functioning and risks to market integrity. We are also interested in 
the extent to which rules and practices applicable in other markets may 
be effective, in whole or in part, in improving the resilience of U.S. 
Treasury markets.
    2.1 Are the risk management controls currently in place at U.S. 
Treasury cash and futures trading venues, as well as firms transacting 
in those venues, properly calibrated to support the health of the U.S. 
Treasury market? Why or why not? Please list the types of controls that 
are employed, as well as planned changes or improvements. In addressing 
these questions, please consider the dealer-to-customer market, trading 
on IDB platforms, and the futures market, as applicable. In addition, 
please consider the following questions:

[[Page 3931]]

    a. What policies and risk management practices at U.S. Treasury 
cash and futures trading venues, as well as at firms transacting in 
those venues, could be improved or developed to mitigate potential 
risks associated with increased automation, speed, and order 
complexity? Please consider the risks posed by trading, risk transfer, 
and clearing and settlement.
    b. To what extent should venue-level risk management practices be 
uniform across Treasury cash and futures trading venues? For example, 
should there be trading halts in the Treasury cash market and should 
they be coordinated between Treasury cash and futures markets, and if 
so, how? Should Treasury cash, futures, options, and/or swaps venues 
coordinate intraday risk monitoring, and if so, at what frequency? If 
there were trading halts, how should they be implemented for bilateral 
trading activity in the Treasury cash market? What would be the primary 
challenges in implementing such trading halts, particularly given that 
trading in the U.S. Treasury cash market is over-the-counter, global in 
nature, and conducted on a 24-hour basis? \12\
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    \12\ Currently, under the GSA Treasury does not have the 
statutory authority to suspend trading or establish limit up/limit 
down thresholds for Treasury securities.
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    c. To what extent should U.S. Treasury cash market platforms be 
responsible for monitoring, identifying, and/or reporting suspicious 
trading activity?
    2.2 What internal risk controls are commonly employed by firms 
using automated, including algorithmic, trading strategies in the 
Treasury cash market? Are these different or similar to those used in 
the Treasury futures markets, and what are the reasons for any 
differences? How are such controls designed and triggered? How 
frequently are they triggered? What internal process controls commonly 
govern the implementation and modifications of trading algorithms?
    2.3 What types of algorithmic trading strategies are commonly used 
by participants in the U.S. Treasury market? What features do those 
strategies have in common, and what features differ across strategies? 
What are the potential benefits and risks to an effective U.S. Treasury 
market functioning resulting from certain algorithmic trading 
strategies, certain order types, and/or particular trading venue 
policies or practices.
    2.4 How are best practices used in evaluating, and updating, risk 
management systems at a given firm? How does your firm make use of 
TMPG's best practices (referenced above) for operations in the Treasury 
cash market? How can best practice recommendations be utilized in order 
to reinforce market integrity? What are the benefits and limitations of 
best practice recommendations?
    2.5 What are the benefits and risks associated with the current 
structure for clearing and settling Treasury securities transactions in 
the dealer-to-customer market and on IDB platforms, as applicable. For 
example:
    a. Are intraday margining practices in the Treasury cash market for 
both cleared and non-cleared transactions currently sufficient to 
protect against counterparty risk, especially in light of the speed at 
which positions can be accumulated? What options are available to 
improve margining practices? Should the maximum potential intraday 
exposure of firms be calibrated relative to their level of capital? If 
so, how should it be calibrated? Are alternative measures of potential 
exposure more meaningful for automated trading strategies, and if so, 
which type of measures?
    b. Currently, there are no statutory requirements that require 
participants to centrally clear cash Treasury transactions. Should such 
a requirement apply to any participants, particularly those with large 
trading activity or large positions? Would the secondary market for 
cash Treasury securities benefit from broader participation in 
centralized clearing? Why or why not?
    2.6 Many of the standards applicable to U.S. securities, 
commodities, and derivatives markets are not applicable to the U.S. 
Treasury cash market. Which differences, if any, should be addressed 
and how should standards be aligned? How will these affect the cost of 
accessing or participating in these markets, as well as of transacting 
in these markets? Would there be any implications to U.S. federal 
government borrowing costs? In addressing these questions, please 
consider the dealer-to-customer market, trading on IDB platforms, and 
the futures market, as applicable. In addition, please consider the 
following:
    a. What implications would a registration requirement for firms 
conducting certain types of automated trading, or certain volume of 
trading, in the U.S. Treasury market have on market structure and 
efficiency, investor protection, and oversight?
    b. Should firms that conduct certain types of automated trading, or 
certain volume of trading, in the U.S. Treasury market be subject to 
capital requirements, examinations and supervision, conduct rules, and/
or other standards? What would be the implications of each?
    2.7 Should self-trading be expressly prohibited in the cash 
Treasuries market? \13\ Does self-trading provide any benefits to the 
markets? Are there risk management tools, either at trading firms or at 
trading platforms, which can effectively reduce levels of self-trading 
and improve trading efficiencies?
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    \13\ For purposes of this RFI, self-trading is defined as a 
transaction in which the same legal entity takes both sides of the 
trade so that no change in beneficial ownership results.
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III. An Assessment of the Data Available to the Official Sector on U.S. 
Treasury Cash Securities Markets

    The analysis presented in the JSR was based on cash and futures 
transactions and order book information, with the cash data provided by 
the IDB platforms and the futures data obtained through the CFTC as 
part of its oversight of the CME. Transaction data for the U.S. 
Treasury futures market is provided daily to the CFTC, and order book 
data is available to the CFTC upon request. This transaction data 
includes time, volume, price, and counterparty information. The 
official sector does not currently receive any regular reporting of 
Treasury cash market transactions. The JSR did not include any analysis 
of dealer-to-customer data, although certain dealer-to-customer data 
was subsequently obtained for the purpose of additional analysis of 
October 15, 2014 and the control days analyzed in the JSR.
    The need for more comprehensive official sector access to data, 
particularly with respect to U.S. Treasury cash market activity, is 
clear. Given the benefits of enhanced transparency among all official 
sector stakeholders into trading activity across both the cash and 
futures markets, we are interested in views regarding the most 
efficient and effective way to collect, aggregate, and appropriately 
monitor U.S. Treasury cash and futures markets data. We are also 
interested in the additional infrastructure that would be necessary for 
market participants to begin reporting comprehensive U.S. Treasury 
market transaction data to the official sector, especially given the 
diversity of trading venues in the Treasury cash markets. Finally, we 
are interested in views on how to utilize transmission protocols, data 
standards, and identifiers to facilitate data integration, and to 
support continued coordination among the Joint Staffs.
    Activity related to U.S. Treasury markets trading often extends 
beyond

[[Page 3932]]

individual regulator boundaries; it encompasses not only the primary 
and secondary cash securities markets, but repurchase agreement 
markets, futures contracts which reference U.S. Treasuries, and U.S. 
Treasury exchange-traded funds traded as equities. This diversity in 
trading venues and participants often leaves any individual regulator 
with only a partial view of U.S. Treasury market risk transfer and 
price discovery. Data from across the U.S. Treasury cash and futures 
markets is necessary to conduct comprehensive analysis or surveillance 
of these markets, which are tightly integrated and across which market 
participants conduct trading activity. As firms are able to access 
multiple markets over very short time frames, these markets become ever 
more interconnected, resulting in significantly faster risk and 
information transmission. These trends call for continued cooperation 
among the official sector to ensure that the monitoring of market 
activity and liquidity is as effective and coordinated as possible.
    The Inter-Agency Working Group for Treasury Market Surveillance 
(``IAWG'') was formed to improve monitoring and surveillance, and 
strengthen interagency coordination with respect to the U.S. Treasury 
markets following the Salomon Brothers auction bidding scandal in 1992, 
and today consists of the Joint Staffs.\14\ Since its inception, it has 
been useful in providing a regular forum for the participating entities 
to collaborate on issues related to U.S. Treasury market structure, 
functioning, and participation, such as the events of October 15, 2014. 
To facilitate the continued monitoring of U.S. Treasury market 
activity, the Joint Staffs are working to complete a standing 
information sharing agreement.
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    \14\ The IAWG was formed in 1992 by the Treasury, the SEC, and 
the Board, to strengthen monitoring, surveillance and interagency 
coordination in respect to the Treasury market. Its initial efforts 
were focused on developing a framework for enhanced market 
surveillance for Treasury Securities. See U.S. Department of the 
Treasury, Securities and Exchange Commission, and Board of Governors 
of the Federal Reserve System, Joint Report on the Government 
Securities Market (U.S. Government Printing Office, January 22, 
1992), at xii-xiv. http://www.treasury.gov/resource-center/fin-mkts/Documents/gsr92rpt.pdf. See also The U.S. Department of the 
Treasury, Securities and Exchange Commission, and Board of Governors 
of the Federal Reserve System, Joint Study on the Government 
Securities Market (U.S. Government Printing Office, March 1998), 
http://www.treasurydirect.gov/instit/statreg/gsareg/gsareg_gsr98rpt.pdf. See also Official Surveillance and Oversight of 
the Government Securities Market, William J. McDonough, FRBNY 
Quarterly Review, Spring 1992-93.
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Questions for Public Comment

    We request comment on the questions below. The questions in this 
section of the RFI seek information about which U.S. Treasury market 
data the official sector should have regular and ongoing access to. We 
are also interested in views regarding the potential for additional 
coordination across futures and cash markets, as well as interest rate 
swaps and options. These questions relate to the provision of U.S. 
Treasury market data to the official sector. Accordingly, while there 
may be considerations regarding data dissemination to the public that 
may be relevant to the answers to the questions posed in this section, 
those considerations should not factor into the answer to these 
questions (unless otherwise noted), but should be addressed, to the 
extent applicable, in Section IV.
    3.1 To what extent can trading practices in U.S. Treasury cash and 
futures markets be effectively monitored using only transaction and/or 
order data from one, not both, of those markets? Is it necessary for 
regulators to have visibility across all U.S. Treasury cash and 
derivative markets in order to more effectively monitor and oversee 
trading behavior in any one market? What aspects of U.S. Treasury 
market monitoring require data collection across cash and derivatives 
markets?
    3.2 What frequency and type of additional data reporting to the 
official sector is necessary for it to effectively monitor functioning 
of the U.S. Treasury markets, including cash, futures, and financing 
markets? What level of data granularity is necessary for sufficient 
monitoring to be performed (e.g., transaction data, inventories or 
positions, order book data, and other additional data) across venues?
    a. Should all transactions in securities issued by Treasury be 
subject to reporting or should reporting be limited to secondary market 
transactions, on-the-run benchmark issues, or some other subset of 
securities?
    b. Should repurchase agreement transactions be reportable?
    3.3 What criteria should be used to determine who should report to 
the official sector? Should both counterparties (buyer and seller) be 
required to report a trade or is one-sided reporting preferable? Should 
reporting requirements depend on the platform or execution method? 
Should only a subset of participants, such as brokers, dealers, futures 
commission merchants (FCMs) and commercial bank dealers be required to 
report transactions? Should other parties to a transaction, such as 
banks and PTFs, be required to report? Should trades executed on 
automated trading venues be reported by those venues and not the 
individual brokers, dealers, FCMs, bank dealers, etc. transacting on 
such venues?
    3.4 Should transaction reporting include identifiers for categories 
of end investors? What are the costs and benefits of this approach? 
What alternatives should be considered to permit monitoring of 
positions and market activity?
    3.5 For those instruments subject to official sector reporting 
requirements:
    a. Should all transactions be subject to the same reporting time 
requirement? Are the answers different for different types of 
transactions or instruments?
    b. Should cross market transactions have special indicators to link 
the different legs of the transactions?
    c. Are there specific trades and/or trading strategies that should 
be considered for additional identification to ensure that regulatory 
organizations can accurately interpret the data (similar to Dollar 
Rolls or Stipulations on deliverable collateral in mortgage to-be-
announced trading)?
    d. Are there other industry practices and/or special situation 
information that should be considered for reporting?
    e. Should trade allocations be reported? Are there any special 
pricing issues that should be considered (e.g. mark ups, commissions, 
ATS fees) or is dollar price adequate for determining the price of the 
trade?
    f. Should settlement date and/or other settlement terms be 
reportable?
    g. Are there any special considerations/conditions for determining 
the time that a trade is executed? Does this differ across trade types 
or venues?
    h. Should transactions executed on an ATS and/or in response to an 
electronic RFQ be identified as such? Should the specific ATS and/or 
RFQ platform be identified as part of the transaction report? Are there 
unique characteristics of such transactions that should be identified? 
Should the order type giving rise to a particular execution be 
captured? Are there any other unique methods of transacting in the 
Treasury market that should be identified?
    i. Should transaction counterparties be identified uniquely or 
categorized by counterparty type? If the latter, what counterparty 
types should be identified? Are there generally accepted definitions 
for these categories of counterparties?
    j. For transactions that are already subject to reporting 
requirements to the official sector, are there particular data 
standards or identifiers that should be used for the reporting of 
transactions in

[[Page 3933]]

the Treasury cash market to aid harmonization? What transmission 
protocols, data standards and identifiers should be utilized to enhance 
authorities' ability to integrate data, share information and cooperate 
on analysis, for both existing and new data reporting?
    k. Should the identification of registered market participants be 
``normalized'' across U.S. Treasury cash and futures transactions such 
that there is a consistent and unique moniker used to identify each 
individually registered entity?
    3.6 For those securities subject to official sector reporting 
requirements:
    a. Should quotes and/or orders be reported? If so, should special 
consideration be made for certain types of quotes and/or orders (e.g., 
electronically submitted orders versus voice orders versus RFQ)? Are 
there any special considerations when defining an order and/or quote? 
How will these special considerations affect the ability of the 
official sector to analyze activity in the Treasury cash markets?
    b. Should transactions, quotes, and/or orders be reported on a real 
time basis? If not, what should be the reporting standard? How should 
orders that are executed over multiple days be handled? Are there other 
special considerations when defining the time of an order?
    c. Are there additional elements that are important for regulators 
to understand beyond the categories of quote/order originator, price, 
size and time of the order (e.g., inventory or position data)? Should 
the type of an order or any special order instructions be collected? 
Should all order changes be reported? Is the answer different for 
electronically submitted versus voice submitted orders?
    d. Should the submitter of a quote and/or order be identified 
uniquely or categorized by counterparty type? If the latter, what 
counterparty types should be identified? Are there generally accepted 
definitions for these categories of counterparties?
    3.7 Is it appropriate to have transactions, orders, and quotes time 
stamped at a certain clock precision (e.g., microsecond) level? Are the 
answers to these questions different for different types of 
transactions (e.g., electronic or voice) or different products (e.g., 
Treasury bills, notes, bonds, on-the-runs, off-the-runs, cash, or 
futures)? Would the answer be different for trade reporting, quote 
reporting, or order reporting? Would the answer be different for 
different categories of market participants?
    3.8 Do commercial bank dealers and broker-dealers have technology 
infrastructures and order/execution handling in place to report trades 
on a continuous basis?
    3.9 As the official sector begins to collect additional data on the 
cash U.S. Treasury market, what operational or market factors should be 
assessed? Are there particular negative consequences from the 
implementation of data collection? If so, what are they and why do they 
arise?
    a. The official sector may consider different methods for receiving 
transaction data from Treasury markets. For instance, it may rely on 
existing reporting regimes, or it may seek to build an alternative 
reporting system. If the latter, what alternative reporting system 
should be used? What are the costs and benefits with these different 
approaches? Would one approach impose fewer burdens on reporters than 
others? If so, why and by how much?
    b. Would one approach impose fewer burdens on smaller reporters 
than another? If so, why and by how much?
    c. Is the answer different for trades, orders, quotes, or execution 
methods?
    3.10 What additional infrastructure would be necessary for market 
participants to begin reporting comprehensive U.S. Treasury market 
transaction data? Should reporting requirements be phased in? If yes, 
how and why? Does phasing affect the cost of implementation for market 
participants? What transmission protocols, data standards and 
identifiers should be utilized to minimize reporting burdens?
    3.11 Will the requirement to report transactions in the Treasury 
markets affect competition in this market? Who would be affected and 
how? What data or empirical evidence support this position?

IV. An Assessment of the Data Available to the Public on U.S. Treasury 
Cash Securities Markets

    The extent of publicly available information for U.S. Treasury 
markets, including that related to market prices, trading volumes, 
market participant inventories, and trends in market risk and 
liquidity, is substantially more limited than for many other major 
asset classes. For example, there are no public reporting requirements 
for transaction or order book information with respect to transactions 
in Treasury securities. In addition to obtaining the appropriate data 
for the official sector, we are committed to continuing to 
appropriately enhance the information made public about the U.S. 
Treasury market.
    Making appropriate data available to the public more broadly 
regarding trading activity in the U.S. Treasury market could support 
investor confidence and the liquidity of these markets. Greater price 
transparency could improve efficiency, reduce transaction costs, 
enhance fairness, improve risk management practices and encourage 
participation by new entrants, who may otherwise be reluctant to engage 
in a market where they have less information than their counterparties. 
Greater operational transparency also may be desirable with respect to 
the practices governing trading and access at the various trading 
venues. Visibility into order types, access rules, and rulebooks may 
encourage greater competition and a more level playing field for market 
participants.
    However, the U.S. Treasury cash market is not uniform. More 
recently-issued on-the-run securities trade largely on electronic 
platforms that match orders using a central limit order book. Seasoned, 
or off-the-run, securities generally still rely on dealers to 
intermediate transactions. Some types of transparency may inhibit the 
willingness to engage in large so-called ``block'' trades by large 
investors and intermediaries. This reluctance may be particularly true 
in the less liquid parts of the U.S. Treasury market, where concerns 
about moving prices or revealing positions are stronger. In markets 
with more formal regulations pertaining to pre- and post-trade 
transparency, the rules provide flexibility for block-sized trades. For 
example, trades above a certain size could be executed away from 
platforms with pre-trade transparency, and such trades could be 
reported to the marketplace with some delay. Related rules also allow 
for masking of the size of large transactions to help mitigate the 
concern of higher market impact costs. The futures markets also require 
that net positions greater than specified thresholds (for all market 
participants and not just entities subject to registration 
requirements) be reported to the market regulator.

Questions for Public Comment

    We request comment on the questions below. We are interested in the 
appropriate level and form of data about Treasury market activity that 
should be made available to the public. This includes use of 
transmission protocols, data standards and identifiers to facilitate 
the public's ability to link and integrate data.
    4.1 Is the publicly available information for U.S. Treasury market

[[Page 3934]]

trading activity sufficiently transparent to foster an efficient, 
healthy, and liquid market? What changes to public reporting would be 
most advisable, if any, including the use of data standards and 
identifiers?
    4.2 What additional information should be made available to the 
public in order to better assess liquidity conditions in the U.S. 
Treasury market, and at what frequency? For instance, should there be 
readily available transaction cost data that accounts for price 
movements that occur from the initiation of a trade request on RFQ 
platforms?
    4.3 If additional public transparency is necessary at the 
transaction level, what is the most appropriate level of transparency 
for publicly available data on trading in the secondary market? Should 
additional public transparency be phased in over time in any way? 
Should all quotes and/or orders in the inter-dealer market be made 
public, or just ``top of book''? What characteristics should be 
reported (e.g., participant type, aggressor side, volume, price)? 
Should the release of any or all of the data be in real time or 
delayed? Should the available data differ depending on the age of the 
security, size of the transaction or other characteristics of a 
particular security or transaction?
    4.4 Is there an existing public reporting model that would be 
appropriate, in whole or in part, for the U.S. Treasury market (e.g., 
swap data repositories for swaps, or FINRA's Trade Reporting and 
Compliance Engine (TRACE) for corporate bonds and agency mortgage-
backed securities), or would the Treasury market benefit from a new 
model?
    4.5 What additional information should be available to the public 
about the operation of trading platforms or trade execution algorithms 
on trading platforms (for inter-dealer as well as dealer-to-customer 
platforms)? For example:
    a. Should information about order types, agreed upon fee 
arrangements, user agreements, and/or brokerage agreements be 
disclosed?
    b. Should the degree to which subscribers to the platform may limit 
their interaction with or exposure to other subscribers be disclosed?
    c. Should the degree and extent to which the sponsor of a platform 
trades on the platform be disclosed?

David R. Pearl,
Office of the Executive Secretary.
[FR Doc. 2016-01246 Filed 1-21-16; 8:45 am]
BILLING CODE 4810-AS-P



                                                                                                         Vol. 81                           Friday,
                                                                                                         No. 14                            January 22, 2016




                                                                                                         Part III


                                                                                                         Department of the Treasury

                                                                                                         Notice Seeking Public Comment on the Evolution of the Treasury Market
                                                                                                         Structure; Notice
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                                                   3928                           Federal Register / Vol. 81, No. 14 / Friday, January 22, 2016 / Notices

                                                   DEPARTMENT OF THE TREASURY                              liquid market in the world.1 It plays a                 end users, have not historically traded
                                                                                                           critical and unique role in the global                  directly with other end users.4
                                                   [Docket No. TREAS–DO–2015–0013]                         economy, serving as the primary means                      Trading in the inter-dealer cash
                                                                                                           of financing the U.S. federal                           market has evolved significantly.
                                                   Notice Seeking Public Comment on the
                                                                                                           government, a significant investment                    Originally, this market had been open
                                                   Evolution of the Treasury Market
                                                                                                           instrument and hedging vehicle for                      almost exclusively to dealers, who
                                                   Structure
                                                                                                           global investors, a risk-free benchmark                 transacted with each other by telephone.
                                                   AGENCY: Office of the Under Secretary                   for other financial instruments, and an                 In the early 2000s this changed, with
                                                   for Domestic Finance, Department of the                 important market for the                                inter-dealer brokers launching
                                                   Treasury.                                               implementation of monetary policy by                    electronic trading platforms and later
                                                   ACTION: Notice and Request for                          the Federal Reserve System.                             opening access to those platforms to
                                                   Information.                                                                                                    non-dealers. Trading on these platforms
                                                                                                              The structure of the Treasury market                 has become increasingly automated,
                                                   SUMMARY:   The Department of the                        has evolved significantly over the past                 with transactions conducted using
                                                   Treasury (‘‘Treasury’’) is seeking public               two decades. In particular, technology                  algorithmic and other trading strategies
                                                   comment on structural changes in the                    advancements, and the associated                        involving little or no human
                                                   U.S. Treasury market and their                          growth in high-speed electronic trading                 intervention. Today, trading on the
                                                   implications for market functioning;                    has contributed to the growing presence                 inter-dealer platforms bears some
                                                   trading and risk management practices                   of principal trading firms (PTFs),2 with                resemblance to other highly liquid
                                                   across the U.S. Treasury market;                        these firms now accounting for the                      markets, including equities and foreign
                                                   considerations with respect to more                     majority of trading and standing quotes                 exchange markets, where PTFs and
                                                   comprehensive official sector access to                 in the order book in both futures and                   dealers transact in automated fashion,
                                                   Treasury market data; and benefits and                  interdealer cash markets. By contrast,                  sometimes in large volumes and at high
                                                   risks of increased public disclosure of                 bank-dealers 3 still account for a                      speed.
                                                   Treasury market activity.                               majority of secondary cash market                          In contrast, a significant portion of
                                                   DATES: Comments must be received no                     trading overall (when including dealer-                 trading in the dealer-to-customer market
                                                   later than March 22, 2016.                              to-customer trading), but they comprise                 occurs on platforms that facilitate the
                                                   ADDRESSES: Comments may be                              well under half of the trading and                      matching of buy and sell orders
                                                   submitted through the Federal                           quoting activity in the inter-dealer cash               primarily through request for quote
                                                   eRulemaking Portal                                      markets. These changes in                               (RFQ) systems, not central limit order
                                                   (www.regulations.gov). Please follow the                intermediation and the provision of                     books. These platforms are increasingly
                                                   instructions for submitting comments                    liquidity have coincided with                           electronic, but are generally not
                                                   through the Web site. You may                           significant growth in the U.S. fixed-                   conducive to automated or high-
                                                   download this proposed rule from                        income market, an evolving regulatory                   frequency trading strategies. Dealers
                                                   www.regulations.gov or                                  and macroeconomic landscape, and                        also internalize a portion of their
                                                   www.treasurydirect.gov. Please submit                   potential changes in the demand for                     customer flow.5 However, it is unclear
                                                   your comments, along with your full                     liquidity by many investors.                            the extent to which this occurs given
                                                   name and mailing address. We will not                                                                           currently available data.
                                                                                                              Trading in the Treasury cash market                     Treasury futures are required by law
                                                   accept comments by fax or email. All                    occurs across a diverse set of venues
                                                   comments will be posted to                                                                                      to be traded on a registered exchange,
                                                                                                           and modes of execution. Historically,                   and are traded primarily on the Chicago
                                                   www.regulations.gov and on the                          the Treasury cash market has been
                                                   TreasuryDirect Web site at                                                                                      Board of Trade, part of the CME Group
                                                                                                           bifurcated between the interdealer                      (CME). Futures transactions traded on
                                                   www.treasurydirect.gov.                                 market, in which dealers trade with one
                                                      Additional Instructions: In general,                                                                         the CME are centrally cleared at CME’s
                                                                                                           another, and the dealer-to-client market,               clearinghouse. In the 1990s, futures
                                                   comments received, including                            in which dealers trade with their
                                                   attachments and other supporting                                                                                trading began to transition from manual
                                                                                                           customers (e.g. asset managers, pension                 to electronic processes for the
                                                   materials, are part of the public record                funds, insurance companies,
                                                   and are available to the public. Do not                                                                         transmission of orders and information,
                                                                                                           corporations). In the Treasury cash                     and the execution of trades. Electronic
                                                   include any information in your
                                                                                                           market, customers, also referred to as                  trading eventually became the dominant
                                                   comment or supporting materials that
                                                   you consider confidential or                                                                                    mode of execution in the futures market.
                                                   inappropriate for public disclosure.
                                                                                                              1 For purposes of this Request for Information
                                                                                                                                                                   Now, more than 95 percent of all on-
                                                                                                           (RFI), the U.S. Treasury market comprises the           exchange futures trading occur on
                                                   FOR FURTHER INFORMATION CONTACT: For                    secondary market trading of U.S. Treasury
                                                                                                           securities, futures and options on U.S. Treasury        electronic trade-matching platforms,
                                                   general inquiries, submission process
                                                                                                           securities and futures, and securities financing        and market participants are increasingly
                                                   questions or any additional information,                transactions in which Treasury securities are used      employing automated systems for the
                                                   please email TreasuryMarket RFI@                        as collateral.                                          generation, transmission, management,
                                                   treasury.gov or call (202) 622–2396. If                    2 For purposes of this RFI, a PTF is defined as an
                                                                                                                                                                   and execution of orders.6
                                                   you use a telecommunications device                     investor with the following typical characteristics:
                                                   for the deaf (TDD) or a text telephone                  Principal investor, deploys proprietary automated
                                                                                                                                                                     4 For purposes of this RFI, customer refers to an
                                                                                                           trading strategies, low latency typically key element
                                                   (TTY), call the Federal Relay Service
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                                                                                                           of trading strategies, may be registered as broker or   institutional customer, to differentiate from a retail
                                                   (FRS), toll free, at 1–800–877–8339. All                dealer but does not have clients as in a typical        customer.
                                                   responses to this Notice and Request for                broker or dealer business model.                          5 For the purposes of this RFI, internalization

                                                   Information should be submitted via                        3 For purposes of this RFI, bank-dealer refers to    refers to a broker filling a customer order either
                                                                                                           a SEC-registered broker-dealer that is owned by a       from the firm’s own inventory or by matching the
                                                   http://regulations.gov to ensure                        bank. A non-bank dealer is an independent SEC-          order with other customer order flow, instead of
                                                   consideration.                                          registered broker-dealer that is not owned by a         routing the order to an inter-dealer market for
                                                                                                           bank. Primary dealers, as designated by the Federal     execution.
                                                   SUPPLEMENTARY INFORMATION:   The U.S.                   Reserve Bank of New York, are a subset of the bank-       6 See CFTC Proposed Rule: Regulation Automated
                                                   Treasury market is the deepest and most                 dealer category in the JSR.                             Trading, December 17, 2015: http://www.cftc.gov/



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                                                                                  Federal Register / Vol. 81, No. 14 / Friday, January 22, 2016 / Notices                                             3929

                                                      Non-bank proprietary trading firms                   risk management practices across U.S.                  liquidity. The changing nature of
                                                   have long played a significant role in                  Treasury futures and cash markets—                     liquidity also suggests that measures
                                                   the futures market. As the market has                   including the various trading venues                   used to estimate liquidity may need to
                                                   evolved to greater levels of electronic                 and modes of execution present in the                  be enhanced in order to broaden our
                                                   trading, they have increasingly                         cash market—and it seeks input on                      understanding of the state of the market,
                                                   employed automated trading strategies,                  potential improvements in Treasury                     both during normal and stressed market
                                                   and increasingly moved into the                         market policies, practices, and conduct.               conditions.
                                                   Treasury cash market. Today, PTFs                          Given the market evolution, access to
                                                                                                           timely and comprehensive data across                   Questions for Public Comment
                                                   represent a majority of trading in
                                                   Treasury futures and inter-dealer cash                  related markets is increasingly                           Treasury requests comment on the
                                                   markets.                                                important to fully assess new                          questions below. These questions are
                                                      On July 13, 2015, the staffs of the                  developments, and analyze market                       intended to solicit views on the
                                                   Treasury, the Board of Governors of the                 events. Accordingly, we are interested                 implications of changes to U.S. Treasury
                                                   Federal Reserve System (‘‘Board’’), the                 in the most efficient and effective ways               market structure, including changes to
                                                   Federal Reserve Bank of New York                        for the official sector to obtain                      financing markets (i.e., the repurchase
                                                   (‘‘FRBNY’’), the U.S. Securities and                    additional market data and in ways to                  agreement market) using Treasury
                                                   Exchange Commission (‘‘SEC’’), and the                  more effectively monitor diverse but                   securities, for liquidity provision, and
                                                   U.S. Commodity Futures Trading                          related markets. Finally, we are                       market functioning. We also welcome
                                                   Commission (‘‘CFTC’’) (collectively, the                interested in the potential benefits and               any input on the current market
                                                   ‘‘Joint Staffs’’), published the Joint Staff            costs of additional transparency with                  structure and how participants believe
                                                   Report: The U.S. Treasury Market on                     respect to Treasury market trading                     U.S. Treasury market structure will
                                                   October 15, 2014 (‘‘JSR’’).7 The JSR                    activity and trading venue policies and                evolve in the coming years.
                                                   analyzed the extraordinary volatility in                practices.                                                1.1 Have there been changes in the
                                                   the Treasury market on the morning of                      Treasury developed this RFI in                      nature of liquidity provision, or demand
                                                   October 15, 2014, and identified four                   consultation with the Joint Staffs. The                for liquidity, in the U.S. Treasury
                                                   next steps for further work: (1) Further                responses to this RFI will further                     market? If so, are these trends different
                                                   study of the evolution of the U.S.                      enhance our understanding of the                       in the futures, dealer-to-customer, or
                                                   Treasury market and the implications                    changes underway in the Treasury                       interdealer broker (‘‘IDB’’) market, or in
                                                   for market structure and liquidity, (2)                 market and will help to inform the                     the ‘‘on-the-run’’ and ‘‘off-the-run’’
                                                   continued monitoring of trading and                     ongoing work related to the next steps                 sectors, or across different types of
                                                   risk management practices across the                    identified in the JSR as well as any                   Treasury securities (e.g. bills, nominal
                                                   U.S. Treasury market and a review of                    policy responses. This is intended to be               fixed rate coupon securities, nominal
                                                   the current regulatory requirements                     a comprehensive list of questions.                     floating rate securities, and inflation-
                                                   applicable to the government securities                 Depending on your role and/or interest                 indexed securities)? Which factors have
                                                   market and its participants, (3) an                     in the Treasury market, you may choose                 been responsible for any observed
                                                   assessment of the data available to the                 to answer only certain questions.                      trends in liquidity provision and/or
                                                   public and to the official sector on U.S.               I. Further Study of the Evolution of the               demand? In addressing those questions,
                                                   Treasury cash securities markets, and                   U.S. Treasury Market and the                           please consider the dealer-to-customer
                                                   (4) continued efforts to strengthen                     Implications for Market Structure and                  market, trading on IDB platforms, and in
                                                   monitoring and surveillance and                         Liquidity                                              the futures market, as applicable, and
                                                   promote inter-agency coordination                                                                              please provide or refer to data and/or
                                                   related to the trading across the U.S.                     Treasury is interested in the various               analysis that support your conclusion.
                                                   Treasury market.                                        factors driving the evolution of the                   In addition, please consider the
                                                      Treasury is seeking public comment                   Treasury market discussed above, and                   following questions, as applicable:
                                                   on several specific questions that will                 their implications for market                             a. How do you define liquidity? How
                                                   inform the ongoing work related to the                  functioning. These factors include                     do you define liquidity provision?
                                                   next steps identified in the JSR. This                  changes in technology, the growing                        b. Which measures are most
                                                   RFI is intended, in part, to seek                       prevalence of automated trading,                       indicative of the degree of liquidity?
                                                   information and viewpoints from a                       changes in market making, financial                    How might these measures be refined or
                                                   diverse group of stakeholders, including                institutions’ risk tolerance and business              expanded, if you were not limited by
                                                   the general public, buy and sell-side                   models, shifts in buy and sell-side                    the availability of data?
                                                   market participants, academics, and                     participation, post-crisis regulatory                     c. How do different indicators provide
                                                   industry groups regarding these and                     reforms, as well as any other factors                  information on different aspects of
                                                   other structural changes in the Treasury                respondents to this RFI may identify.                  liquidity, and in what ways?
                                                   market, and their implications for the                  We are also interested in the changing                    d. Which measures best represent the
                                                   depth, liquidity, and functioning of the                nature of liquidity and liquidity                      resilience of liquidity, or the
                                                   market. This RFI is also intended to                    provision in the U.S. Treasury market.                 relationships between liquidity and
                                                   develop a holistic view of trading and                     By some metrics, the liquidity and                  volatility?
                                                                                                           efficiency of trading in the U.S.                         e. To what extent are these measures
                                                   idc/groups/public/@lrfederalregister/documents/         Treasury market are as robust as they                  of liquidity and the resilience of
                                                   file/2015-30533a.pdf.                                   have ever been. For example, bid-ask                   liquidity different from measures used
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                                                      7 Joint Staff Report: The U.S. Treasury Market on
                                                                                                           spreads have remained steady at very                   in other markets that have witnessed
                                                   October 15, 2014: http://www.treasury.gov/press-
                                                   center/press-releases/Documents/Joint_Staff_
                                                                                                           low historical levels. But the changes in              similar market structure changes? What
                                                   Report_Treasury_10-15-2015.pdf. The findings in         market structure also raise questions                  are the idiosyncratic factors unique to
                                                   the JSR were based in part on transaction-level,        about evolving risks, such as whether an               Treasury cash markets that may cause
                                                   non-public data that staff obtained from the primary    improvement in average liquidity                       these measures to differ?
                                                   locations for price discovery in the Treasury
                                                   market, the Chicago Mercantile Exchange for
                                                                                                           conditions may come at the cost of rare                   f. What changes, if any, have you
                                                   futures and BrokerTec and eSpeed for cash               but severe bouts of volatility that                    observed in these measures over recent
                                                   securities.                                             coincide with significant strains in                   years? Over recent months?


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                                                   3930                           Federal Register / Vol. 81, No. 14 / Friday, January 22, 2016 / Notices

                                                      g. What microstructure features of the               expect it to develop? What implications                and dealers in the Treasury market. The
                                                   U.S. Treasury futures and cash markets,                 for the Treasury market, if any, do you                CFTC regulates the futures markets,
                                                   including both IDB venues and dealer-                   see as a result of these developments?                 including the Treasury futures markets,
                                                   to-client markets, have affected the                                                                           and many of its participants.
                                                                                                           II. Continued Monitoring of Trading
                                                   functioning, liquidity, efficiency and                                                                            In order to prevent fraudulent and
                                                                                                           and Risk Management Practices Across
                                                   participation in these markets? What                                                                           manipulative acts and practices and to
                                                                                                           the U.S. Treasury Market and a Review
                                                   features have affected the functioning of                                                                      promote just and equitable principles of
                                                                                                           of the Current Regulatory Requirements
                                                   the Treasury market as a whole?                                                                                trade, the GSA also authorizes the
                                                      1.2 What changes, if any, have you                   Applicable to the Government
                                                                                                           Securities Market and Its Participants                 appropriate regulatory agencies (the SEC
                                                   made or observed in investment,                                                                                and federal bank regulators) to issue
                                                   hedging, and trading practices in                          The introduction and rapid growth of                regulations, in consultation with
                                                   response to shifts in Treasury market                   electronic and automated trading                       Treasury, with respect to transactions in
                                                   structure?                                              protocols by many participants in the                  government securities for the entities
                                                      1.3 How does the way in which you                    U.S. Treasury market over the past two                 they regulate.10 The enforcement
                                                   transact in or provide liquidity to the                 decades have brought benefits as well as               authority for these rules sits with the
                                                   U.S. Treasury market change during                      challenges to trading practices and risk               SEC, the Financial Industry Regulatory
                                                   periods of stress?                                      and internal control systems. Risk                     Authority (‘‘FINRA’’) or the appropriate
                                                      1.4 Looking forward, do you                          controls at firms and trading venues                   federal bank regulator. Based on the
                                                   anticipate significant changes in the                   must be able to monitor order and trade                current statutory scheme, there are
                                                   structure of the U.S. Treasury market                   activity at the increased speeds made                  several differences in the regulatory
                                                   absent further regulatory changes? What                 possible by this automation. In recent                 requirements applicable to the
                                                   would be the key benefits and/or risks                  years, many trading platforms and firms                government securities market as
                                                   of these changes in market structure?                   have updated their risk management                     compared to other U.S. securities,
                                                   What key factors are likely to drive                    practices to better align them with a                  commodities and derivatives markets
                                                   these changes? What changes are you                     faster and more complex trading
                                                                                                                                                                  that may be worthy of examination.11
                                                   planning to your firm’s investment and                  environment. The public and private
                                                   trading policies, strategies, and                       sectors have collaborated to establish                 Questions for Public Comment
                                                   practices?                                              best practices for transacting in the                     We request comment on the questions
                                                      1.5 What changes to the U.S.                         modern Treasury market. In particular,                 below. We are interested in what further
                                                   Treasury market structure, whether                      the Treasury Market Practices Group                    steps the public and private sectors can
                                                   through public or private sector                        (‘‘TMPG’’) recently updated its Best                   take to address any outstanding risks,
                                                   initiatives, might be advisable given the               Practices for Treasury, Agency Debt, and
                                                                                                                                                                  including operational risks to market
                                                   recent and expected future evolution?                   Agency Mortgage Backed Securities
                                                                                                                                                                  functioning and risks to market
                                                   What role should the public sector play                 Market by incorporating
                                                                                                                                                                  integrity. We are also interested in the
                                                   in driving or facilitating these changes?               recommendations related to automated
                                                      1.6 What are the benefits and risks                                                                         extent to which rules and practices
                                                                                                           trading in TMPG covered markets.8 The
                                                   from the increased speed with which                                                                            applicable in other markets may be
                                                                                                           updated TMPG best practices
                                                   secondary market transactions take                                                                             effective, in whole or in part, in
                                                                                                           recommended that all Treasury market
                                                   place? Do these benefits and risks differ                                                                      improving the resilience of U.S.
                                                                                                           participants incorporate best practices
                                                   across individual products (e.g. on-the-                                                                       Treasury markets.
                                                                                                           in their operations in order to promote
                                                   run versus off-the run securities)? How                 trading integrity and to support an                       2.1 Are the risk management
                                                   have market participants and trading                    efficient marketplace.                                 controls currently in place at U.S.
                                                   venues responded to, or facilitated,                       The trend toward increasingly                       Treasury cash and futures trading
                                                   improvements in speed, and how, if at                   automated trading, including                           venues, as well as firms transacting in
                                                   all, should policy makers respond?                      algorithmic trading strategies, is also                those venues, properly calibrated to
                                                      1.7 To what extent have changes in                   being addressed by various regulatory                  support the health of the U.S. Treasury
                                                   Treasury financing markets affected                     efforts underway, particularly by the                  market? Why or why not? Please list the
                                                   liquidity in cash Treasury markets, and                 SEC and the CFTC. Among the next                       types of controls that are employed, as
                                                   what is the best evidence of those                      steps identified in the JSR is a review of             well as planned changes or
                                                   effects? Looking forward, do you                        the regulatory requirements applicable                 improvements. In addressing these
                                                   anticipate major changes in the Treasury                to the government securities market and                questions, please consider the dealer-to-
                                                   financing markets and how would this                    its participants. The Government                       customer market, trading on IDB
                                                   impact the functioning of the cash                      Securities Act (GSA) of 1986, as                       platforms, and the futures market, as
                                                   Treasury markets? How have firms                        amended, provides for the registration                 applicable. In addition, please consider
                                                   modified their trading strategies in                    of government securities brokers and                   the following questions:
                                                   response to, or in anticipation of, these               dealers engaging in transactions in
                                                   changes? What changes in Treasury                       government securities and requires                       10 Ibid.
                                                                                                                                                                     11 There are differences in the current regulatory
                                                   financing markets could improve market                  Treasury to adopt rules with respect to
                                                                                                                                                                  requirements applicable to the government
                                                   efficiency? What are the potential                      financial responsibility and related                   securities market as compared to other U.S.
                                                   benefits and risks to the Treasury                      practices of government securities                     securities, commodities and derivatives markets.
                                                   market of increased access to central                   brokers and dealers.9 The Treasury,                    For example, SEC rules applicable to alternative
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                                                   clearing of Treasury repurchase                         SEC, and the federal bank regulators,                  trading systems do not apply to alternative trading
                                                                                                                                                                  systems through which only government securities
                                                   agreement (‘‘repo’’) transactions?                      regulate government securities brokers                 are traded (although such venues may voluntarily
                                                      1.8 What share of trading (in the                                                                           adopt such standards). Real time public reporting
                                                   case of dealers, your own trading) is                     8 Best Practices for Treasury, Agency Debt, and
                                                                                                                                                                  rules applicable to transactions in other securities
                                                   internalized? To what extent does it                    Agency Mortgage-Backed Securities Markets:             and derivatives do not apply to transactions in
                                                                                                           http://wcapps.ny.frb.org/tmpg/TPMG_                    Treasury securities. Large non-broker and non-
                                                   vary depending on security type (e.g.,                  June%202015_Best%20Practices.pdf.                      dealer participants in the government securities
                                                   on-the-run, off-the-run)? How has this                    9 See Public Law 99–571, October 28, 1986 and        market are not required to register (unlike large
                                                   changed over time and how do you                        Public Law 103–202, December 17, 1993.                 swap market participants).



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                                                                                  Federal Register / Vol. 81, No. 14 / Friday, January 22, 2016 / Notices                                                       3931

                                                      a. What policies and risk management                 How does your firm make use of                         supervision, conduct rules, and/or other
                                                   practices at U.S. Treasury cash and                     TMPG’s best practices (referenced                      standards? What would be the
                                                   futures trading venues, as well as at                   above) for operations in the Treasury                  implications of each?
                                                   firms transacting in those venues, could                cash market? How can best practice                        2.7 Should self-trading be expressly
                                                   be improved or developed to mitigate                    recommendations be utilized in order to                prohibited in the cash Treasuries
                                                   potential risks associated with increased               reinforce market integrity? What are the               market? 13 Does self-trading provide any
                                                   automation, speed, and order                            benefits and limitations of best practice              benefits to the markets? Are there risk
                                                   complexity? Please consider the risks                   recommendations?                                       management tools, either at trading
                                                   posed by trading, risk transfer, and                       2.5 What are the benefits and risks                 firms or at trading platforms, which can
                                                   clearing and settlement.                                associated with the current structure for              effectively reduce levels of self-trading
                                                      b. To what extent should venue-level                 clearing and settling Treasury securities              and improve trading efficiencies?
                                                   risk management practices be uniform                    transactions in the dealer-to-customer
                                                                                                           market and on IDB platforms, as                        III. An Assessment of the Data
                                                   across Treasury cash and futures trading
                                                                                                           applicable. For example:                               Available to the Official Sector on U.S.
                                                   venues? For example, should there be
                                                                                                              a. Are intraday margining practices in              Treasury Cash Securities Markets
                                                   trading halts in the Treasury cash
                                                   market and should they be coordinated                   the Treasury cash market for both                         The analysis presented in the JSR was
                                                   between Treasury cash and futures                       cleared and non-cleared transactions                   based on cash and futures transactions
                                                   markets, and if so, how? Should                         currently sufficient to protect against                and order book information, with the
                                                   Treasury cash, futures, options, and/or                 counterparty risk, especially in light of              cash data provided by the IDB platforms
                                                   swaps venues coordinate intraday risk                   the speed at which positions can be                    and the futures data obtained through
                                                   monitoring, and if so, at what                          accumulated? What options are                          the CFTC as part of its oversight of the
                                                   frequency? If there were trading halts,                 available to improve margining                         CME. Transaction data for the U.S.
                                                   how should they be implemented for                      practices? Should the maximum                          Treasury futures market is provided
                                                   bilateral trading activity in the Treasury              potential intraday exposure of firms be                daily to the CFTC, and order book data
                                                   cash market? What would be the                          calibrated relative to their level of                  is available to the CFTC upon request.
                                                   primary challenges in implementing                      capital? If so, how should it be                       This transaction data includes time,
                                                   such trading halts, particularly given                  calibrated? Are alternative measures of                volume, price, and counterparty
                                                   that trading in the U.S. Treasury cash                  potential exposure more meaningful for                 information. The official sector does not
                                                   market is over-the-counter, global in                   automated trading strategies, and if so,               currently receive any regular reporting
                                                   nature, and conducted on a 24-hour                      which type of measures?                                of Treasury cash market transactions.
                                                                                                              b. Currently, there are no statutory                The JSR did not include any analysis of
                                                   basis? 12
                                                                                                           requirements that require participants to              dealer-to-customer data, although
                                                      c. To what extent should U.S.
                                                                                                           centrally clear cash Treasury                          certain dealer-to-customer data was
                                                   Treasury cash market platforms be
                                                                                                           transactions. Should such a requirement                subsequently obtained for the purpose
                                                   responsible for monitoring, identifying,
                                                                                                           apply to any participants, particularly
                                                   and/or reporting suspicious trading                                                                            of additional analysis of October 15,
                                                                                                           those with large trading activity or large
                                                   activity?                                                                                                      2014 and the control days analyzed in
                                                                                                           positions? Would the secondary market
                                                      2.2 What internal risk controls are                                                                         the JSR.
                                                                                                           for cash Treasury securities benefit from
                                                   commonly employed by firms using                                                                                  The need for more comprehensive
                                                                                                           broader participation in centralized
                                                   automated, including algorithmic,                                                                              official sector access to data,
                                                                                                           clearing? Why or why not?
                                                   trading strategies in the Treasury cash                                                                        particularly with respect to U.S.
                                                                                                              2.6 Many of the standards applicable
                                                   market? Are these different or similar to                                                                      Treasury cash market activity, is clear.
                                                                                                           to U.S. securities, commodities, and
                                                   those used in the Treasury futures                                                                             Given the benefits of enhanced
                                                                                                           derivatives markets are not applicable to
                                                   markets, and what are the reasons for                                                                          transparency among all official sector
                                                                                                           the U.S. Treasury cash market. Which
                                                   any differences? How are such controls                                                                         stakeholders into trading activity across
                                                                                                           differences, if any, should be addressed
                                                   designed and triggered? How frequently                                                                         both the cash and futures markets, we
                                                                                                           and how should standards be aligned?
                                                   are they triggered? What internal                                                                              are interested in views regarding the
                                                                                                           How will these affect the cost of
                                                   process controls commonly govern the                                                                           most efficient and effective way to
                                                                                                           accessing or participating in these
                                                   implementation and modifications of                                                                            collect, aggregate, and appropriately
                                                                                                           markets, as well as of transacting in
                                                   trading algorithms?                                                                                            monitor U.S. Treasury cash and futures
                                                                                                           these markets? Would there be any
                                                      2.3 What types of algorithmic                                                                               markets data. We are also interested in
                                                                                                           implications to U.S. federal government
                                                   trading strategies are commonly used by                                                                        the additional infrastructure that would
                                                                                                           borrowing costs? In addressing these
                                                   participants in the U.S. Treasury                                                                              be necessary for market participants to
                                                                                                           questions, please consider the dealer-to-
                                                   market? What features do those                                                                                 begin reporting comprehensive U.S.
                                                                                                           customer market, trading on IDB
                                                   strategies have in common, and what                                                                            Treasury market transaction data to the
                                                                                                           platforms, and the futures market, as
                                                   features differ across strategies? What                                                                        official sector, especially given the
                                                                                                           applicable. In addition, please consider
                                                   are the potential benefits and risks to an                                                                     diversity of trading venues in the
                                                                                                           the following:
                                                   effective U.S. Treasury market                             a. What implications would a                        Treasury cash markets. Finally, we are
                                                   functioning resulting from certain                      registration requirement for firms                     interested in views on how to utilize
                                                   algorithmic trading strategies, certain                 conducting certain types of automated                  transmission protocols, data standards,
                                                   order types, and/or particular trading                  trading, or certain volume of trading, in              and identifiers to facilitate data
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                                                   venue policies or practices.                            the U.S. Treasury market have on                       integration, and to support continued
                                                      2.4 How are best practices used in                   market structure and efficiency, investor              coordination among the Joint Staffs.
                                                   evaluating, and updating, risk                          protection, and oversight?                                Activity related to U.S. Treasury
                                                   management systems at a given firm?                        b. Should firms that conduct certain                markets trading often extends beyond
                                                     12 Currently, under the GSA Treasury does not
                                                                                                           types of automated trading, or certain                   13 For purposes of this RFI, self-trading is defined

                                                   have the statutory authority to suspend trading or
                                                                                                           volume of trading, in the U.S. Treasury                as a transaction in which the same legal entity takes
                                                   establish limit up/limit down thresholds for            market be subject to capital                           both sides of the trade so that no change in
                                                   Treasury securities.                                    requirements, examinations and                         beneficial ownership results.



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                                                   3932                           Federal Register / Vol. 81, No. 14 / Friday, January 22, 2016 / Notices

                                                   individual regulator boundaries; it                     Questions for Public Comment                           banks and PTFs, be required to report?
                                                   encompasses not only the primary and                       We request comment on the questions                 Should trades executed on automated
                                                   secondary cash securities markets, but                  below. The questions in this section of                trading venues be reported by those
                                                   repurchase agreement markets, futures                   the RFI seek information about which                   venues and not the individual brokers,
                                                   contracts which reference U.S.                          U.S. Treasury market data the official                 dealers, FCMs, bank dealers, etc.
                                                   Treasuries, and U.S. Treasury exchange-                 sector should have regular and ongoing                 transacting on such venues?
                                                   traded funds traded as equities. This                   access to. We are also interested in                      3.4 Should transaction reporting
                                                   diversity in trading venues and                         views regarding the potential for                      include identifiers for categories of end
                                                   participants often leaves any individual                additional coordination across futures                 investors? What are the costs and
                                                   regulator with only a partial view of                   and cash markets, as well as interest rate             benefits of this approach? What
                                                   U.S. Treasury market risk transfer and                  swaps and options. These questions                     alternatives should be considered to
                                                   price discovery. Data from across the                   relate to the provision of U.S. Treasury               permit monitoring of positions and
                                                   U.S. Treasury cash and futures markets                  market data to the official sector.                    market activity?
                                                                                                                                                                     3.5 For those instruments subject to
                                                   is necessary to conduct comprehensive                   Accordingly, while there may be
                                                                                                                                                                  official sector reporting requirements:
                                                   analysis or surveillance of these                       considerations regarding data                             a. Should all transactions be subject to
                                                   markets, which are tightly integrated                   dissemination to the public that may be                the same reporting time requirement?
                                                   and across which market participants                    relevant to the answers to the questions               Are the answers different for different
                                                   conduct trading activity. As firms are                  posed in this section, those                           types of transactions or instruments?
                                                   able to access multiple markets over                    considerations should not factor into the                 b. Should cross market transactions
                                                   very short time frames, these markets                   answer to these questions (unless                      have special indicators to link the
                                                   become ever more interconnected,                        otherwise noted), but should be                        different legs of the transactions?
                                                   resulting in significantly faster risk and              addressed, to the extent applicable, in                   c. Are there specific trades and/or
                                                   information transmission. These trends                  Section IV.                                            trading strategies that should be
                                                   call for continued cooperation among                       3.1 To what extent can trading                      considered for additional identification
                                                   the official sector to ensure that the                  practices in U.S. Treasury cash and                    to ensure that regulatory organizations
                                                   monitoring of market activity and                       futures markets be effectively monitored               can accurately interpret the data (similar
                                                                                                           using only transaction and/or order data               to Dollar Rolls or Stipulations on
                                                   liquidity is as effective and coordinated
                                                                                                           from one, not both, of those markets? Is               deliverable collateral in mortgage to-be-
                                                   as possible.
                                                                                                           it necessary for regulators to have                    announced trading)?
                                                      The Inter-Agency Working Group for                   visibility across all U.S. Treasury cash                  d. Are there other industry practices
                                                   Treasury Market Surveillance (‘‘IAWG’’)                 and derivative markets in order to more                and/or special situation information that
                                                   was formed to improve monitoring and                    effectively monitor and oversee trading                should be considered for reporting?
                                                   surveillance, and strengthen interagency                behavior in any one market? What                          e. Should trade allocations be
                                                   coordination with respect to the U.S.                   aspects of U.S. Treasury market                        reported? Are there any special pricing
                                                   Treasury markets following the Salomon                  monitoring require data collection                     issues that should be considered (e.g.
                                                   Brothers auction bidding scandal in                     across cash and derivatives markets?                   mark ups, commissions, ATS fees) or is
                                                   1992, and today consists of the Joint                      3.2 What frequency and type of                      dollar price adequate for determining
                                                   Staffs.14 Since its inception, it has been              additional data reporting to the official              the price of the trade?
                                                   useful in providing a regular forum for                 sector is necessary for it to effectively                 f. Should settlement date and/or other
                                                   the participating entities to collaborate               monitor functioning of the U.S.                        settlement terms be reportable?
                                                   on issues related to U.S. Treasury                      Treasury markets, including cash,                         g. Are there any special
                                                   market structure, functioning, and                      futures, and financing markets? What                   considerations/conditions for
                                                   participation, such as the events of                    level of data granularity is necessary for             determining the time that a trade is
                                                   October 15, 2014. To facilitate the                     sufficient monitoring to be performed                  executed? Does this differ across trade
                                                   continued monitoring of U.S. Treasury                   (e.g., transaction data, inventories or                types or venues?
                                                   market activity, the Joint Staffs are                   positions, order book data, and other                     h. Should transactions executed on an
                                                   working to complete a standing                          additional data) across venues?                        ATS and/or in response to an electronic
                                                   information sharing agreement.                             a. Should all transactions in securities            RFQ be identified as such? Should the
                                                                                                           issued by Treasury be subject to                       specific ATS and/or RFQ platform be
                                                      14 The IAWG was formed in 1992 by the Treasury,      reporting or should reporting be limited               identified as part of the transaction
                                                   the SEC, and the Board, to strengthen monitoring,       to secondary market transactions, on-                  report? Are there unique characteristics
                                                   surveillance and interagency coordination in            the-run benchmark issues, or some other                of such transactions that should be
                                                   respect to the Treasury market. Its initial efforts     subset of securities?                                  identified? Should the order type giving
                                                   were focused on developing a framework for
                                                   enhanced market surveillance for Treasury
                                                                                                              b. Should repurchase agreement                      rise to a particular execution be
                                                   Securities. See U.S. Department of the Treasury,        transactions be reportable?                            captured? Are there any other unique
                                                   Securities and Exchange Commission, and Board of           3.3 What criteria should be used to                 methods of transacting in the Treasury
                                                   Governors of the Federal Reserve System, Joint          determine who should report to the                     market that should be identified?
                                                   Report on the Government Securities Market (U.S.
                                                   Government Printing Office, January 22, 1992), at
                                                                                                           official sector? Should both                              i. Should transaction counterparties
                                                   xii–xiv. http://www.treasury.gov/resource-center/       counterparties (buyer and seller) be                   be identified uniquely or categorized by
                                                   fin-mkts/Documents/gsr92rpt.pdf. See also The U.S.      required to report a trade or is one-sided             counterparty type? If the latter, what
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                                                   Department of the Treasury, Securities and              reporting preferable? Should reporting                 counterparty types should be identified?
                                                   Exchange Commission, and Board of Governors of
                                                   the Federal Reserve System, Joint Study on the
                                                                                                           requirements depend on the platform or                 Are there generally accepted definitions
                                                   Government Securities Market (U.S. Government           execution method? Should only a subset                 for these categories of counterparties?
                                                   Printing Office, March 1998), http://                   of participants, such as brokers, dealers,                j. For transactions that are already
                                                   www.treasurydirect.gov/instit/statreg/gsareg/           futures commission merchants (FCMs)                    subject to reporting requirements to the
                                                   gsareg_gsr98rpt.pdf. See also Official Surveillance
                                                   and Oversight of the Government Securities Market,
                                                                                                           and commercial bank dealers be                         official sector, are there particular data
                                                   William J. McDonough, FRBNY Quarterly Review,           required to report transactions? Should                standards or identifiers that should be
                                                   Spring 1992–93.                                         other parties to a transaction, such as                used for the reporting of transactions in


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                                                                                  Federal Register / Vol. 81, No. 14 / Friday, January 22, 2016 / Notices                                              3933

                                                   the Treasury cash market to aid                            3.8 Do commercial bank dealers and                     Making appropriate data available to
                                                   harmonization? What transmission                        broker-dealers have technology                         the public more broadly regarding
                                                   protocols, data standards and identifiers               infrastructures and order/execution                    trading activity in the U.S. Treasury
                                                   should be utilized to enhance                           handling in place to report trades on a                market could support investor
                                                   authorities’ ability to integrate data,                 continuous basis?                                      confidence and the liquidity of these
                                                   share information and cooperate on                         3.9 As the official sector begins to                markets. Greater price transparency
                                                   analysis, for both existing and new data                collect additional data on the cash U.S.               could improve efficiency, reduce
                                                   reporting?                                              Treasury market, what operational or                   transaction costs, enhance fairness,
                                                      k. Should the identification of                      market factors should be assessed? Are                 improve risk management practices and
                                                   registered market participants be                       there particular negative consequences                 encourage participation by new
                                                   ‘‘normalized’’ across U.S. Treasury cash                from the implementation of data                        entrants, who may otherwise be
                                                   and futures transactions such that there                collection? If so, what are they and why               reluctant to engage in a market where
                                                   is a consistent and unique moniker used                 do they arise?                                         they have less information than their
                                                   to identify each individually registered                   a. The official sector may consider                 counterparties. Greater operational
                                                   entity?                                                 different methods for receiving                        transparency also may be desirable with
                                                      3.6 For those securities subject to                  transaction data from Treasury markets.                respect to the practices governing
                                                   official sector reporting requirements:                 For instance, it may rely on existing                  trading and access at the various trading
                                                      a. Should quotes and/or orders be                    reporting regimes, or it may seek to                   venues. Visibility into order types,
                                                   reported? If so, should special                         build an alternative reporting system. If              access rules, and rulebooks may
                                                   consideration be made for certain types                 the latter, what alternative reporting                 encourage greater competition and a
                                                   of quotes and/or orders (e.g.,                          system should be used? What are the                    more level playing field for market
                                                   electronically submitted orders versus                  costs and benefits with these different                participants.
                                                   voice orders versus RFQ)? Are there any                 approaches? Would one approach                            However, the U.S. Treasury cash
                                                   special considerations when defining an                 impose fewer burdens on reporters than                 market is not uniform. More recently-
                                                   order and/or quote? How will these                      others? If so, why and by how much?                    issued on-the-run securities trade
                                                                                                              b. Would one approach impose fewer                  largely on electronic platforms that
                                                   special considerations affect the ability
                                                                                                           burdens on smaller reporters than                      match orders using a central limit order
                                                   of the official sector to analyze activity
                                                                                                           another? If so, why and by how much?                   book. Seasoned, or off-the-run,
                                                   in the Treasury cash markets?
                                                                                                              c. Is the answer different for trades,              securities generally still rely on dealers
                                                      b. Should transactions, quotes, and/or               orders, quotes, or execution methods?                  to intermediate transactions. Some types
                                                   orders be reported on a real time basis?                   3.10 What additional infrastructure                 of transparency may inhibit the
                                                   If not, what should be the reporting                    would be necessary for market                          willingness to engage in large so-called
                                                   standard? How should orders that are                    participants to begin reporting                        ‘‘block’’ trades by large investors and
                                                   executed over multiple days be                          comprehensive U.S. Treasury market                     intermediaries. This reluctance may be
                                                   handled? Are there other special                        transaction data? Should reporting                     particularly true in the less liquid parts
                                                   considerations when defining the time                   requirements be phased in? If yes, how                 of the U.S. Treasury market, where
                                                   of an order?                                            and why? Does phasing affect the cost                  concerns about moving prices or
                                                      c. Are there additional elements that                of implementation for market                           revealing positions are stronger. In
                                                   are important for regulators to                         participants? What transmission                        markets with more formal regulations
                                                   understand beyond the categories of                     protocols, data standards and identifiers              pertaining to pre- and post-trade
                                                   quote/order originator, price, size and                 should be utilized to minimize reporting               transparency, the rules provide
                                                   time of the order (e.g., inventory or                   burdens?                                               flexibility for block-sized trades. For
                                                   position data)? Should the type of an                      3.11 Will the requirement to report                 example, trades above a certain size
                                                   order or any special order instructions                 transactions in the Treasury markets                   could be executed away from platforms
                                                   be collected? Should all order changes                  affect competition in this market? Who                 with pre-trade transparency, and such
                                                   be reported? Is the answer different for                would be affected and how? What data                   trades could be reported to the
                                                   electronically submitted versus voice                   or empirical evidence support this                     marketplace with some delay. Related
                                                   submitted orders?                                       position?                                              rules also allow for masking of the size
                                                      d. Should the submitter of a quote                                                                          of large transactions to help mitigate the
                                                   and/or order be identified uniquely or                  IV. An Assessment of the Data
                                                                                                           Available to the Public on U.S.                        concern of higher market impact costs.
                                                   categorized by counterparty type? If the                                                                       The futures markets also require that net
                                                   latter, what counterparty types should                  Treasury Cash Securities Markets
                                                                                                                                                                  positions greater than specified
                                                   be identified? Are there generally                         The extent of publicly available                    thresholds (for all market participants
                                                   accepted definitions for these categories               information for U.S. Treasury markets,                 and not just entities subject to
                                                   of counterparties?                                      including that related to market prices,               registration requirements) be reported to
                                                      3.7 Is it appropriate to have                        trading volumes, market participant                    the market regulator.
                                                   transactions, orders, and quotes time                   inventories, and trends in market risk
                                                   stamped at a certain clock precision                    and liquidity, is substantially more                   Questions for Public Comment
                                                   (e.g., microsecond) level? Are the                      limited than for many other major asset                  We request comment on the questions
                                                   answers to these questions different for                classes. For example, there are no public              below. We are interested in the
                                                   different types of transactions (e.g.,                  reporting requirements for transaction                 appropriate level and form of data about
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                                                   electronic or voice) or different products              or order book information with respect                 Treasury market activity that should be
                                                   (e.g., Treasury bills, notes, bonds, on-                to transactions in Treasury securities. In             made available to the public. This
                                                   the-runs, off-the-runs, cash, or futures)?              addition to obtaining the appropriate                  includes use of transmission protocols,
                                                   Would the answer be different for trade                 data for the official sector, we are                   data standards and identifiers to
                                                   reporting, quote reporting, or order                    committed to continuing to                             facilitate the public’s ability to link and
                                                   reporting? Would the answer be                          appropriately enhance the information                  integrate data.
                                                   different for different categories of                   made public about the U.S. Treasury                      4.1 Is the publicly available
                                                   market participants?                                    market.                                                information for U.S. Treasury market


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                                                   3934                           Federal Register / Vol. 81, No. 14 / Friday, January 22, 2016 / Notices

                                                   trading activity sufficiently transparent               Should all quotes and/or orders in the                 the operation of trading platforms or
                                                   to foster an efficient, healthy, and liquid             inter-dealer market be made public, or                 trade execution algorithms on trading
                                                   market? What changes to public                          just ‘‘top of book’’? What characteristics             platforms (for inter-dealer as well as
                                                   reporting would be most advisable, if                   should be reported (e.g., participant                  dealer-to-customer platforms)? For
                                                   any, including the use of data standards                type, aggressor side, volume, price)?                  example:
                                                   and identifiers?                                        Should the release of any or all of the
                                                      4.2 What additional information                                                                                a. Should information about order
                                                                                                           data be in real time or delayed? Should
                                                   should be made available to the public                  the available data differ depending on                 types, agreed upon fee arrangements,
                                                   in order to better assess liquidity                     the age of the security, size of the                   user agreements, and/or brokerage
                                                   conditions in the U.S. Treasury market,                 transaction or other characteristics of a              agreements be disclosed?
                                                   and at what frequency? For instance,                    particular security or transaction?                       b. Should the degree to which
                                                   should there be readily available                          4.4 Is there an existing public                     subscribers to the platform may limit
                                                   transaction cost data that accounts for                 reporting model that would be                          their interaction with or exposure to
                                                   price movements that occur from the                     appropriate, in whole or in part, for the              other subscribers be disclosed?
                                                   initiation of a trade request on RFQ                    U.S. Treasury market (e.g., swap data
                                                   platforms?                                              repositories for swaps, or FINRA’s Trade                  c. Should the degree and extent to
                                                      4.3 If additional public transparency                Reporting and Compliance Engine                        which the sponsor of a platform trades
                                                   is necessary at the transaction level,                  (TRACE) for corporate bonds and                        on the platform be disclosed?
                                                   what is the most appropriate level of                   agency mortgage-backed securities), or                 David R. Pearl,
                                                   transparency for publicly available data                would the Treasury market benefit from                 Office of the Executive Secretary.
                                                   on trading in the secondary market?                     a new model?
                                                                                                                                                                  [FR Doc. 2016–01246 Filed 1–21–16; 8:45 am]
                                                   Should additional public transparency                      4.5 What additional information
                                                   be phased in over time in any way?                      should be available to the public about                BILLING CODE 4810–AS–P
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Document Created: 2016-01-22 01:16:28
Document Modified: 2016-01-22 01:16:28
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
ActionNotice and Request for Information.
DatesComments must be received no later than March 22, 2016.
ContactFor general inquiries, submission process questions or any additional information, please email TreasuryMarket [email protected] or call (202) 622-2396. If you use a telecommunications device for the deaf (TDD) or a text telephone (TTY), call the Federal Relay Service (FRS), toll free, at 1-800-877-8339. All responses to this Notice and Request for Information should be submitted via http://regulations.gov to ensure consideration.
FR Citation81 FR 3927 

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