81_FR_4369 81 FR 4353 - Self-Regulatory Organizations; NYSE Arca, Inc.; Notice of Filing and Immediate Effectiveness of Proposed Rule Change Amending the Fees for NYSE Arca BBO and NYSE Arca Trades

81 FR 4353 - Self-Regulatory Organizations; NYSE Arca, Inc.; Notice of Filing and Immediate Effectiveness of Proposed Rule Change Amending the Fees for NYSE Arca BBO and NYSE Arca Trades

SECURITIES AND EXCHANGE COMMISSION

Federal Register Volume 81, Issue 16 (January 26, 2016)

Page Range4353-4358
FR Document2016-01393

Federal Register, Volume 81 Issue 16 (Tuesday, January 26, 2016)
[Federal Register Volume 81, Number 16 (Tuesday, January 26, 2016)]
[Notices]
[Pages 4353-4358]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-01393]


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SECURITIES AND EXCHANGE COMMISSION

[Release No. 34-76937; File No. SR-NYSEArca-2016-09]


Self-Regulatory Organizations; NYSE Arca, Inc.; Notice of Filing 
and Immediate Effectiveness of Proposed Rule Change Amending the Fees 
for NYSE Arca BBO and NYSE Arca Trades

January 20, 2016.
    Pursuant to section 19(b)(1) \1\ of the Securities Exchange Act of 
1934 (``Act'') \2\ and Rule 19b-4 thereunder,\3\ notice is hereby given 
that, on January 11, 2016, NYSE Arca, Inc. (``Exchange'' or ``NYSE 
Arca'') filed with the Securities and Exchange Commission 
(``Commission'' or ``SEC'') the proposed rule change as described in 
Items I, II, and III below, which Items have been prepared by the self-
regulatory organization. The Commission is publishing this notice to 
solicit comments on the proposed rule change from interested persons.
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    \1\ 15 U.S.C. 78s(b)(1).
    \2\ 15 U.S.C. 78a.
    \3\ 17 CFR 240.19b-4.
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I. Self-Regulatory Organization's Statement of the Terms of Substance 
of the Proposed Rule Change

    The Exchange proposes to amend the fees for NYSE Arca BBO and NYSE 
Arca Trades to: (1) Establish a multiple data feed fee; (2) discontinue 
fees relating to managed non-display; (3) modify the application of the 
access fee; and (4) reduce the Enterprise Fee. The proposed rule change 
is available on the Exchange's Web site at www.nyse.com, at the 
principal office of the Exchange, and at the Commission's Public 
Reference Room.

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

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

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

1. Purpose
    The Exchange proposes to amend the fees for NYSE Arca BBO and NYSE 
Arca Trades market data products,\4\ as set forth on the NYSE Arca 
Equities Proprietary Market Data Fee Schedule (``Fee Schedule''). The 
Exchange proposes to make the following fee changes effective January 4 
[sic],\5\ 2016:
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    \4\ See Securities Exchange Act Release Nos. 62188 (May 27, 
2010), 75 FR 31484 (June 3, 2010) (SR-NYSEArca-2010-23); 69315 
(April 5, 2013), 78 FR 21668 (April 11, 2013) (SR-NYSEArca-2013-37) 
(``2013 Non-Display Filing''); 70213 (Aug. 15, 2013), 78 FR 51796 
(Aug. 21, 2013) (SR-NYSEArca-2013-81) (``2013 Arca BBO and Trades 
Filing''); 73011 (Sept. 5, 2014), 79 FR 54315 (Sept. 11, 2014) (SR-
NYSEARCA-2014-93) (``2014 Non-Display Filing''); and 73998 (Jan. 6, 
2015), 80 FR 1549 (Jan. 12, 2015) (SR-NYSEArca-2014-148) (``2015 
NYSE Arca BBO and Trades Filing'').
    \5\ The Commission notes that, as stated in the Exhibit 5, the 
proposed fee changes were effective as of January 11, 2016.
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     Establish a multiple data feed fee;
     Discontinue fees relating to managed non-display;
     Modify the application of the access fee; and
     Reduce the Enterprise Fee.
Multiple Data Feed Fee \6\
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    \6\ The text of footnote 5 in Exhibit 5 of this proposed rule 
change was previously filed under a separate filing. See SR-
NYSEArca-2016-01 (Proposed Rule Change to Amend the Fees for NYSE 
ArcaBook).
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    The Exchange proposes to establish a new monthly fee, the 
``Multiple Data Feed Fee,'' that would apply to data recipients that 
take a data feed for a market data product in more than two locations. 
Data recipients taking NYSE Arca BBO or NYSE Arca Trades in more than 
two locations would be charged $200 per additional location per product 
per month. No new reporting would be required.\7\
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    \7\ Data vendors currently report a unique Vendor Account Number 
for each location at which they provide a data feed to a data 
recipient. The Exchange considers each Vendor Account Number a 
location. For example, if a data recipient has five Vendor Account 
Numbers, representing five locations, for the receipt of the NYSE 
Arca BBO product, that data recipient will pay the Multiple Data 
Feed fee with respect to three of the five locations.
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Managed Non-Display Fees
    Non-Display Use of NYSE Arca market data means accessing, 
processing, or consuming NYSE Arca market data delivered via direct 
and/or Redistributor \8\ data feeds for a purpose

[[Page 4354]]

other than in support of a data recipient's display usage or further 
internal or external redistribution.\9\ Managed Non-Display Services 
fees apply when a data recipient's non-display applications are hosted 
by a Redistributor that has been approved for Managed Non-Display 
Services.\10\ A Redistributor approved for Managed Non-Display Services 
manages and controls the access to NYSE Arca BBO and NYSE Arca Trades 
and does not allow for further internal distribution or external 
redistribution of NYSE Arca BBO and NYSE Arca Trades by the data 
recipients. A Redistributor approved for Managed Non-Display Services 
is required to report to NYSE Arca on a monthly basis the data 
recipients that are receiving NYSE Arca market data through the 
Redistributor's managed non-display service and the real-time NYSE Arca 
market data products that such data recipients are receiving through 
such service. Recipients of data through Managed Non-Display Service 
have no additional reporting requirements. Data recipients that receive 
NYSE Arca BBO from an approved Redistributor of Managed Non-Display 
Services are charged a Managed Non-Display Services Fee of $200 per 
month, and data recipients that receive NYSE Arca Trades from an 
approved Redistributor of Managed Non-Display Services are charged a 
Managed Non-Display Services Fee of $800 per month. Data recipients 
that receive NYSE Arca BBO and NYSE Arca Trades from an approved 
Redistributor of Managed Non-Display Services are also charged an 
Access Fee of $375 per month.\11\
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    \8\ ``Redistributor'' means a vendor or any other person that 
provides an NYSE Arca data product to a data recipient or to any 
system that a data recipient uses, irrespective of the means of 
transmission or access.
    \9\ See e.g. 2014 Non-Display Filing, supra note 4.
    \10\ To be approved for Managed Non-Display Services, a 
Redistributor must manage and control the access to NYSE Arca BBO 
and NYSE Arca Trades for data recipients' non-display applications 
and not allow for further internal distribution or external 
redistribution of the information by data recipients. In addition, 
the Redistributor is required to (a) host the data recipients' non-
display applications in equipment located in the Redistributor's 
data center and/or hosted space/cage and (b) offer NYSE Arca BBO and 
NYSE Arca Trades in the Redistributor's own messaging formats 
(rather than using raw NYSE Arca message formats) by reformatting 
and/or altering NYSE Arca BBO and NYSE Arca Trades prior to 
retransmission without affecting the integrity of NYSE Arca BBO and 
NYSE Arca Trades and without rendering NYSE Arca BBO and NYSE Arca 
Trades inaccurate, unfair, uninformative, fictitious, misleading or 
discriminatory.
    \11\ A single Managed Non-Display Access Fee applies for clients 
receiving both NYSE Arca BBO and NYSE Arca Trades. The Exchange is 
also proposing in this filing to modify this application of the 
access fees. See ``Modification of the application of the access 
fee,'' below.
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    The Exchange proposes to discontinue the fees related to Managed 
Non-Display Services because of the limited number of Redistributors 
that have qualified for Managed Non-Display Services and the 
administrative burdens associated with the program in light of the 
limited number of Redistributors that have qualified for Managed Non-
Display Services. As proposed, all data recipients currently using NYSE 
Arca BBO and NYSE Arca Trades on a managed non-display basis would be 
subject to the same access fee of $750 per month, and the same non-
display services fees,\12\ as other non-display data recipients.\13\
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    \12\ See Fee Schedule.
    \13\ In order to harmonize its approach to fees for its market 
data products, the Exchange is simultaneously proposing to remove 
fees related to Managed Non-Display Services for NYSE ArcaBook and 
NYSE Arca Integrated Feed. See SR-NYSEArca-2016-01 and SR-NYSEArca-
2016-03.
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Modification of the Application of the Access Fee
    The Exchange proposes to modify the application of the access fees 
for NYSE Arca BBO and NYSE Arca Trades.
    Each NYSE Arca BBO data feed recipient currently pays a monthly 
$750 access fee for NYSE Arca BBO, and each NYSE Arca Trades data feed 
recipient currently pays a monthly $750 access fee for NYSE Arca 
Trades. A single access fee applies for data recipients receiving both 
NYSE Arca BBO and NYSE Arca Trades.\14\ The Exchange proposes to amend 
the access fees so that recipients of NYSE Arca BBO and NYSE Arca 
Trades would be required to pay a separate access fees [sic] for NYSE 
Arca BBO ($750 per month) and NYSE Arca Trades ($750 per month). This 
change would have no impact on customers who receive only NYSE Arca BBO 
or only NYSE Arca Trades.
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    \14\ See Securities Exchange Act Release No. 62188 (May 27, 
2010), 75 FR 31484 (June 3, 2010) (SR-NYSEArca-2010-23).
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Reduction to Enterprise Fee
    The Exchange currently charges an enterprise fee of $175,000 per 
month for an unlimited number of professional and non-professional 
users for each of NYSE Arca BBO and NYSE Arca Trades. A single 
Enterprise Fee applies for clients receiving both NYSE Arca BBO and 
NYSE Arca Trades.\15\ The Exchange proposes to lower the enterprise fee 
to $170,000 per month.
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    \15\ See 2013 NYSE Arca BBO and Trades Filing, supra note 4.
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    As an example, under the current fee structure for per user fees, 
if a firm had 40,000 professional users who each received NYSE Arca 
Trades at $4 per month and NYSE Arca BBO at $4 per month, then the firm 
would pay $320,000 per month in professional user fees. However, under 
the current pricing structure, the fees would be capped at $175,000 and 
effective January, the fees would be capped at $170,000.
    Under the proposed enterprise fee, the firm would pay a flat fee of 
$170,000 for an unlimited number of professional and non-professional 
users for both products. As is the case currently, a data recipient 
that pays the enterprise fee would not have to report the number of 
such users on a monthly basis.\16\ However, every six months, a data 
recipient must provide the Exchange with a count of the total number of 
natural person users of each product, including both professional and 
non-professional users.
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    \16\ Professional users currently are subject to a per display 
device count. See 2015 NYSE Arca BBO and Trades Filing, supra note 
4.
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2. Statutory Basis
    The Exchange believes that the proposed rule change is consistent 
with the provisions of section 6 of the Act,\17\ in general, and 
sections 6(b)(4) and 6(b)(5) of the Act,\18\ in particular, in that it 
provides an equitable allocation of reasonable fees among users and 
recipients of the data and is not designed to permit unfair 
discrimination among customers, issuers, and brokers.
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    \17\ 15 U.S.C. 78f(b).
    \18\ 15 U.S.C. 78f(b)(4), (5).
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    The fees are also equitable and not unfairly discriminatory because 
they will apply to all data recipients that choose to subscribe to NYSE 
Arca BBO and NYSE Arca Trades.
Multiple Data Feed Fee
    The Exchange believes that it is reasonable to require data 
recipients to pay a modest additional fee for taking a data feed for a 
market data product in more than two locations, because such data 
recipients can derive substantial value from being able to consume the 
product in as many locations as they want. In addition, there are 
administrative burdens associated with tracking each location at which 
a data recipient receives the product. The Multiple Data Feed Fee is 
designed to encourage data recipients to better manage their requests 
for additional data feeds and to monitor their usage of data feeds. The 
proposed fee is designed to apply to data feeds received in more than 
two locations so that each data recipient can have one primary and one 
backup data location before having to pay a multiple data feed fee. The 
Exchange notes that this pricing is consistent with similar pricing 
adopted

[[Page 4355]]

in 2013 by the Consolidated Tape Association (``CTA'').\19\ The 
Exchange also notes that the OPRA Plan imposes a similar charge of $100 
per connection for circuit connections in addition to the primary and 
backup connections.\20\
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    \19\ See Securities Exchange Act Release No. 70010 (July 19, 
2013), 78 FR 44984 (July 25, 2013) (SR-CTA/CQ-2013-04).
    \20\ See ``Direct Access Fee,'' Options Price Reporting 
Authority Fee Schedule Fee Schedule PRA [sic] Plan at http://www.opradata.com/pdf/fee_schedule.pdf.
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Managed Non-Display Fees
    The Exchange believes that it is reasonable to discontinue Managed 
Non-Display Fees. As the Exchange noted in the 2013 Non-Display Filing, 
the Exchange determined at that time that its fee structure, which was 
then based primarily on counting both display and non-display devices, 
was no longer appropriate in light of market and technology 
developments. Since then, the Exchange also modified its approach to 
display and non-display fees with changes to the fees as reflected in 
the 2014 Non-Display Filing.\21\ Discontinuing the fees applicable to 
Managed Non-Display as proposed reflects the Exchange's continuing 
review and consideration of the application of non-display fees, and 
would harmonize and simplify the application of Non-Display Use fees by 
applying them consistently to all users. In particular, after further 
experience with the application of non-display use fees, the Exchange 
believes that it is more equitable and less discriminatory to 
discontinue the distinction for Managed Non-Display services because 
all data recipients using data on a non-display basis are using it in a 
comparable way and should be subject to similar fees regardless of 
whether or not they receive the data directly from the Exchange. The 
Exchange believes that applying the same non-display fees to all data 
recipients on the same basis better reflects the significant value of 
non-display data to data recipients and eliminates what is effectively 
a discount for certain data recipients, and as such is not unfairly 
discriminatory. The Exchange believes that the non-display fees 
directly and appropriately reflect the significant value of using non-
display data in a wide range of computer-automated functions relating 
to both trading and non-trading activities and that the number and 
range of these functions continue to grow through innovation and 
technology developments.
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    \21\ See note 4, supra.
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Modifications to Access Fee
    The Exchange believes that it is reasonable to make the changes 
proposed to the application of access fees for NYSE Arca BBO and NYSE 
Arca Trades. The Exchange believes the proposed changes will make the 
application of the access fees to each of the products so that an 
access fee entitles a customer to receive, for the applicable product, 
a data feed or feeds. Specifically, data recipients that take the NYSE 
Arca BBO and/or NYSE Arca Trades products receive value from each 
product they choose to take. A data recipient that chooses to take 
multiple products (no recipient is required to take any of these 
products, or any specific combination of them) uses each product in a 
different way and therefore obtains different value from each. The 
Exchange believes that each product has a separate and distinct value 
that is appropriate to reflect in a separate access fee. Finally, the 
requirement to pay separate access fees for each market data product is 
equitable and not unfairly discriminatory because it would apply to all 
data recipients and appropriately reflects the value of each product to 
those who choose to use them.
Reduction to Enterprise Fee
    The proposed enterprise fees for NYSE Arca BBO and NYSE Arca Trades 
are reasonable because they could result in a fee reduction for data 
recipients with a large number of professional and nonprofessional 
users, as described in the example above. If a data recipient has a 
smaller number of professional users of NYSE Arca BBO and/or NYSE Arca 
Trades, then it may continue to use the per user fee structure. By 
reducing prices for data recipients with a large number of professional 
and non-professional users, the Exchange believes that more data 
recipients may choose to offer NYSE Arca BBO and NYSE Arca Trades, 
thereby expanding the distribution of this market data for the benefit 
of investors. The Exchange also believes that offering an enterprise 
fee expands the range of options for offering NYSE Arca BBO and NYSE 
Arca Trades and allows data recipients greater choice in selecting the 
most appropriate level of data and fees for the professional and non-
professional users they are servicing.
    The Exchange notes that NYSE Arca BBO and NYSE Arca Trades are 
entirely optional. The Exchange is not required to make NYSE Arca BBO 
and NYSE Arca Trades available or to offer any specific pricing 
alternatives to any customers, nor is any firm required to purchase 
NYSE Arca BBO and NYSE Arca Trades. Firms that do purchase NYSE Arca 
BBO and NYSE Arca Trades do so for the primary goals of using them to 
increase revenues, reduce expenses, and in some instances compete 
directly with the Exchange (including for order flow); those firms are 
able to determine for themselves whether NYSE Arca BBO and NYSE Arca 
Trades or any other similar products are attractively priced or 
not.\22\
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    \22\ See, e.g., Proposing Release on Regulation of NMS Stock 
Alternative Trading Systems, Securities Exchange Act Release No. 
76474 (Nov. 18, 2015) (File No. S7-23-15). See also, ``Brokers 
Warned Not to Steer Clients' Stock Trades Into Slow Lane,'' 
Bloomberg Business, December 14, 2015 (Sigma X dark pool to use 
direct exchange feeds as the primary source of price data).
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    Firms that do not wish to purchase NYSE Arca BBO and NYSE Arca 
Trades at the new prices have a variety of alternative market data 
products from which to choose,\23\ or if NYSE Arca BBO and NYSE Arca 
Trades do not provide sufficient value to firms as offered based on the 
uses those firms have or planned to make of them, such firms may simply 
choose to conduct their business operations in ways that do not use 
NYSE Arca BBO and NYSE Arca Trades or use them at different levels or 
in different configurations. The Exchange notes that broker-dealers are 
not required to purchase proprietary market data to comply with their 
best execution obligations.\24\
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    \23\ See NASDAQ Rule 7047 (Nasdaq Basic) and BATS Rule 11.22 
(BATS TOP and Last Sale).
    \24\ See FINRA Regulatory Notice 15-46, ``Best Execution,'' 
November 2015.
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    The decision of the United States Court of Appeals for the District 
of Columbia Circuit in NetCoalition v. SEC, 615 F.3d 525 (D.C. Cir. 
2010), upheld reliance by the Securities and Exchange Commission 
(``Commission'') upon the existence of competitive market mechanisms to 
set reasonable and equitably allocated fees for proprietary market 
data:
    In fact, the legislative history indicates that the Congress 
intended that the market system `evolve through the interplay of 
competitive forces as unnecessary regulatory restrictions are removed' 
and that the SEC wield its regulatory power `in those situations where 
competition may not be sufficient,' such as in the creation of a 
`consolidated transactional reporting system.'
    Id. at 535 (quoting H.R. Rep. No. 94-229 at 92 (1975), as reprinted 
in 1975 U.S.C.C.A.N. 323). The court agreed with the Commission's 
conclusion that ``Congress intended that `competitive forces should 
dictate the services and practices that constitute the U.S.

[[Page 4356]]

national market system for trading equity securities.' '' \25\
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    \25\ NetCoalition, 615 F.3d at 535.
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    As explained below in the Exchange's Statement on Burden on 
Competition, the Exchange believes that there is substantial evidence 
of competition in the marketplace for proprietary market data and that 
the Commission can rely upon such evidence in concluding that the fees 
established in this filing are the product of competition and therefore 
satisfy the relevant statutory standards. In addition, the existence of 
alternatives to these data products, such as consolidated data and 
proprietary data from other sources, as described below, further 
ensures that the Exchange cannot set unreasonable fees, or fees that 
are unreasonably discriminatory, when vendors and subscribers can 
select such alternatives.
    As the NetCoalition decision noted, the Commission is not required 
to undertake a cost-of-service or ratemaking approach. The Exchange 
believes that, even if it were possible as a matter of economic theory, 
cost-based pricing for proprietary market data would be so complicated 
that it could not be done practically or offer any significant 
benefits.\26\
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    \26\ The Exchange believes that cost-based pricing would be 
impractical because it would create enormous administrative burdens 
for all parties and the Commission to cost-regulate a large number 
of participants and standardize and analyze extraordinary amounts of 
information, accounts, and reports. In addition, and as described 
below, it is impossible to regulate market data prices in isolation 
from prices charged by markets for other services that are joint 
products. Cost-based rate regulation would also lead to litigation 
and may distort incentives, including those to minimize costs and to 
innovate, leading to further waste. Under cost-based pricing, the 
Commission would be burdened with determining a fair rate of return, 
and the industry could experience frequent rate increases based on 
escalating expense levels. Even in industries historically subject 
to utility regulation, cost-based ratemaking has been discredited. 
As such, the Exchange believes that cost-based ratemaking would be 
inappropriate for proprietary market data and inconsistent with 
Congress's direction that the Commission use its authority to foster 
the development of the national market system, and that market 
forces will continue to provide appropriate pricing discipline. See 
Appendix C to NYSE's comments to the Commission's 2000 Concept 
Release on the Regulation of Market Information Fees and Revenues, 
which can be found on the Commission's Web site at http://www.sec.gov/rules/concept/s72899/buck1.htm.
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    For these reasons, the Exchange believes that the proposed fees are 
reasonable, equitable, and not unfairly discriminatory.

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

    The Exchange does not believe that the proposed rule change will 
impose any burden on competition that is not necessary or appropriate 
in furtherance of the purposes of the Act. An exchange's ability to 
price its proprietary market data feed products is constrained by 
actual competition for the sale of proprietary market data products, 
the joint product nature of exchange platforms, and the existence of 
alternatives to the Exchange's proprietary data.
The Existence of Actual Competition
    The market for proprietary data products is currently competitive 
and inherently contestable because there is fierce competition for the 
inputs necessary for the creation of proprietary data and strict 
pricing discipline for the proprietary products themselves. Numerous 
exchanges compete with one another for listings and order flow and 
sales of market data itself, providing ample opportunities for 
entrepreneurs who wish to compete in any or all of those areas, 
including producing and distributing their own market data. Proprietary 
data products are produced and distributed by each individual exchange, 
as well as other entities, in a vigorously competitive market. Indeed, 
the U.S. Department of Justice (``DOJ'') (the primary antitrust 
regulator) has expressly acknowledged the aggressive actual competition 
among exchanges, including for the sale of proprietary market data. In 
2011, the DOJ stated that exchanges ``compete head to head to offer 
real-time equity data products. These data products include the best 
bid and offer of every exchange and information on each equity trade, 
including the last sale.'' \27\
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    \27\ Press Release, U.S. Department of Justice, Assistant 
Attorney General Christine Varney Holds Conference Call Regarding 
NASDAQ OMX Group Inc. and IntercontinentalExchange Inc. Abandoning 
Their Bid for NYSE Euronext (May 16, 2011), available at http://www.justice.gov/iso/opa/atr/speeches/2011/at-speech-110516.html; see 
also Complaint in U.S. v. Deutsche Borse AG and NYSE Euronext, Case 
No. 11-cv-2280 (D.C. Dist.) ] 24 (``NYSE and Direct Edge compete 
head-to-head . . . in the provision of real-time proprietary equity 
data products.'').
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    Moreover, competitive markets for listings, order flow, executions, 
and transaction reports provide pricing discipline for the inputs of 
proprietary data products and therefore constrain markets from 
overpricing proprietary market data. Broker-dealers send their order 
flow and transaction reports to multiple venues, rather than providing 
them all to a single venue, which in turn reinforces this competitive 
constraint. As a 2010 Commission Concept Release noted, the ``current 
market structure can be described as dispersed and complex'' with 
``trading volume . . . dispersed among many highly automated trading 
centers that compete for order flow in the same stocks'' and ``trading 
centers offer[ing] a wide range of services that are designed to 
attract different types of market participants with varying trading 
needs.'' \28\ More recently, SEC Chair Mary Jo White has noted that 
competition for order flow in exchange-listed equities is ``intense'' 
and divided among many trading venues, including exchanges, more than 
40 alternative trading systems, and more than 250 broker-dealers.\29\
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    \28\ Concept Release on Equity Market Structure, Securities 
Exchange Act Release No. 61358 (Jan. 14, 2010), 75 FR 3594 (Jan. 21, 
2010) (File No. S7-02-10). This Concept Release included data from 
the third quarter of 2009 showing that no market center traded more 
than 20% of the volume of listed stocks, further evidencing the 
dispersal of and competition for trading activity. Id. at 3598. Data 
available on ArcaVision show that from June 30, 2013 to June 30, 
2014, no exchange traded more than 12% of the volume of listed 
stocks by either trade or dollar volume, further evidencing the 
continued dispersal of and fierce competition for trading activity. 
See https://www.arcavision.com/Arcavision/arcalogin.jsp.
    \29\ Mary Jo White, Enhancing Our Equity Market Structure, 
Sandler O'Neill & Partners, L.P. Global Exchange and Brokerage 
Conference (June 5, 2014) (available on the Commission Web site), 
citing Tuttle, Laura, 2014, ``OTC Trading: Description of Non-ATS 
OTC Trading in National Market System Stocks,'' at 7-8.
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    If an exchange succeeds in competing for quotations, order flow, 
and trade executions, then it earns trading revenues and increases the 
value of its proprietary market data products because they will contain 
greater quote and trade information. Conversely, if an exchange is less 
successful in attracting quotes, order flow, and trade executions, then 
its market data products may be less desirable to customers in light of 
the diminished content and data products offered by competing venues 
may become more attractive. Thus, competition for quotations, order 
flow, and trade executions puts significant pressure on an exchange to 
maintain both execution and data fees at reasonable levels.
    In addition, in the case of products that are also redistributed 
through market data vendors, such as Bloomberg and Thompson Reuters, 
the vendors themselves provide additional price discipline for 
proprietary data products because they control the primary means of 
access to certain end users. These vendors impose price discipline 
based upon their business models. For example, vendors that assess a 
surcharge on data they sell are able to refuse to offer proprietary 
products that their end users do not or will not purchase in sufficient 
numbers. Vendors will not elect to make available NYSE Arca BBO or NYSE 
Arca Trades unless their customers request it, and

[[Page 4357]]

customers will not elect to pay the proposed fees unless NYSE Arca BBO 
and NYSE Arca Trades can provide value by sufficiently increasing 
revenues or reducing costs in the customer's business in a manner that 
will offset the fees. All of these factors operate as constraints on 
pricing proprietary data products.
Joint Product Nature of Exchange Platform
    Transaction execution and proprietary data products are 
complementary in that market data is both an input and a byproduct of 
the execution service. In fact, proprietary market data and trade 
executions are a paradigmatic example of joint products with joint 
costs. The decision of whether and on which platform to post an order 
will depend on the attributes of the platforms where the order can be 
posted, including the execution fees, data availability and quality, 
and price and distribution of data products. Without a platform to post 
quotations, receive orders, and execute trades, exchange data products 
would not exist.
    The costs of producing market data include not only the costs of 
the data distribution infrastructure, but also the costs of designing, 
maintaining, and operating the exchange's platform for posting quotes, 
accepting orders, and executing transactions and the cost of regulating 
the exchange to ensure its fair operation and maintain investor 
confidence. The total return that a trading platform earns reflects the 
revenues it receives from both products and the joint costs it incurs.
    Moreover, an exchange's broker-dealer customers generally view the 
costs of transaction executions and market data as a unified cost of 
doing business with the exchange. A broker-dealer will only choose to 
direct orders to an exchange if the revenue from the transaction 
exceeds its cost, including the cost of any market data that the 
broker-dealer chooses to buy in support of its order routing and 
trading decisions. If the costs of the transaction are not offset by 
its value, then the broker-dealer may choose instead not to purchase 
the product and trade away from that exchange. There is substantial 
evidence of the strong correlation between order flow and market data 
purchases. For example, in September 2015, more than 80% of the 
transaction volume on each of NYSE Arca and NYSE Arca's affiliates New 
York Stock Exchange LLC (``NYSE'') and NYSE MKT LLC (``NYSE MKT'') was 
executed by market participants that purchased one or more proprietary 
market data products (the 20 firms were not the same for each market). 
A supra-competitive increase in the fees for either executions or 
market data would create a risk of reducing an exchange's revenues from 
both products.
    Other market participants have noted that proprietary market data 
and trade executions are joint products of a joint platform and have 
common costs.\30\ The Exchange agrees with and adopts those discussions 
and the arguments therein. The Exchange also notes that the economics 
literature confirms that there is no way to allocate common costs 
between joint products that would shed any light on competitive or 
efficient pricing.\31\
---------------------------------------------------------------------------

    \30\ See Securities Exchange Act Release No. 72153 (May 12, 
2014), 79 FR 28575, 28578 n.15 (May 16, 2014) (SR-NASDAQ-2014-045) 
(``[A]ll of the exchange's costs are incurred for the unified 
purposes of attracting order flow, executing and/or routing orders, 
and generating and selling data about market activity. The total 
return that an exchange earns reflects the revenues it receives from 
the joint products and the total costs of the joint products.''). 
See also Securities Exchange Act Release No. 62907 (Sept. 14, 2010), 
75 FR 57314, 57317 (Sept. 20, 2010) (SR-NASDAQ-2010-110), and 
Securities Exchange Act Release No. 62908 (Sept. 14, 2010), 75 FR 
57321, 57324 (Sept. 20, 2010) (SR-NASDAQ-2010-111).
    \31\ See generally Mark Hirschey, Fundamentals of Managerial 
Economics, at 600 (2009) (``It is important to note, however, that 
although it is possible to determine the separate marginal costs of 
goods produced in variable proportions, it is impossible to 
determine their individual average costs. This is because common 
costs are expenses necessary for manufacture of a joint product. 
Common costs of production--raw material and equipment costs, 
management expenses, and other overhead--cannot be allocated to each 
individual by-product on any economically sound basis. . . . Any 
allocation of common costs is wrong and arbitrary.''). This is not 
new economic theory. See, e.g., F. W. Taussig, ``A Contribution to 
the Theory of Railway Rates,'' Quarterly Journal of Economics V(4) 
438, 465 (July 1891) (``Yet, surely, the division is purely 
arbitrary. These items of cost, in fact, are jointly incurred for 
both sorts of traffic; and I cannot share the hope entertained by 
the statistician of the Commission, Professor Henry C. Adams, that 
we shall ever reach a mode of apportionment that will lead to 
trustworthy results.'').
---------------------------------------------------------------------------

    Analyzing the cost of market data product production and 
distribution in isolation from the cost of all of the inputs supporting 
the creation of market data and market data products will inevitably 
underestimate the cost of the data and data products because it is 
impossible to obtain the data inputs to create market data products 
without a fast, technologically robust, and well-regulated execution 
system, and system and regulatory costs affect the price of both 
obtaining the market data itself and creating and distributing market 
data products. It would be equally misleading, however, to attribute 
all of an exchange's costs to the market data portion of an exchange's 
joint products. Rather, all of an exchange's costs are incurred for the 
unified purposes of attracting order flow, executing and/or routing 
orders, and generating and selling data about market activity. The 
total return that an exchange earns reflects the revenues it receives 
from the joint products and the total costs of the joint products.
    As noted above, the level of competition and contestability in the 
market is evident in the numerous alternative venues that compete for 
order flow, including 11 equities self-regulatory organization 
(``SRO'') markets, as well as various forms of alternative trading 
systems (``ATSs''), including dark pools and electronic communication 
networks (``ECNs''), and internalizing broker-dealers. SRO markets 
compete to attract order flow and produce transaction reports via trade 
executions, and two FINRA-regulated Trade Reporting Facilities compete 
to attract transaction reports from the non-SRO venues.
    Competition among trading platforms can be expected to constrain 
the aggregate return that each platform earns from the sale of its 
joint products, but different trading platforms may choose from a range 
of possible, and equally reasonable, pricing strategies as the means of 
recovering total costs. For example, some platforms may choose to pay 
rebates to attract orders, charge relatively low prices for market data 
products (or provide market data products free of charge), and charge 
relatively high prices for accessing posted liquidity. Other platforms 
may choose a strategy of paying lower rebates (or no rebates) to 
attract orders, setting relatively high prices for market data 
products, and setting relatively low prices for accessing posted 
liquidity. For example, BATS Global Markets (``BATS'') and Direct Edge, 
which previously operated as ATSs and obtained exchange status in 2008 
and 2010, respectively, provided certain market data at no charge on 
their Web sites in order to attract more order flow, and used revenue 
rebates from resulting additional executions to maintain low execution 
charges for their users.\32\ In this environment, there is no economic 
basis for regulating maximum prices for one of the joint products in an 
industry in which suppliers face competitive constraints with regard to 
the joint offering.
---------------------------------------------------------------------------

    \32\ This is simply a securities market-specific example of the 
well-established principle that in certain circumstances more sales 
at lower margins can be more profitable than fewer sales at higher 
margins; this example is additional evidence that market data is an 
inherent part of a market's joint platform.

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

[[Page 4358]]

Existence of Alternatives
    The large number of SROs, ATSs, and internalizing broker-dealers 
that currently produce proprietary data or are currently capable of 
producing it provides further pricing discipline for proprietary data 
products. Each SRO, ATS, and broker-dealer is currently permitted to 
produce and sell proprietary data products, and many currently do, 
including but not limited to the Exchange, NYSE, NYSE MKT, NASDAQ OMX, 
BATS, and Direct Edge.
    The fact that proprietary data from ATSs, internalizing broker-
dealers, and vendors can bypass SROs is significant in two respects. 
First, non-SROs can compete directly with SROs for the production and 
sale of proprietary data products. By way of example, BATS and NYSE 
Arca both published proprietary data on the Internet before registering 
as exchanges. Second, because a single order or transaction report can 
appear in an SRO proprietary product, a non-SRO proprietary product, or 
both, the amount of data available via proprietary products is greater 
in size than the actual number of orders and transaction reports that 
exist in the marketplace. With respect to NYSE Arca BBO and NYSE Arca 
Trades, competitors offer close substitute products.\33\ Because market 
data users can find suitable substitutes for most proprietary market 
data products, a market that overprices its market data products stands 
a high risk that users may substitute another source of market data 
information for its own.
---------------------------------------------------------------------------

    \33\ See supra note 23.
---------------------------------------------------------------------------

    Those competitive pressures imposed by available alternatives are 
evident in the Exchange's proposed pricing.
    In addition to the competition and price discipline described 
above, the market for proprietary data products is also highly 
contestable because market entry is rapid and inexpensive. The history 
of electronic trading is replete with examples of entrants that swiftly 
grew into some of the largest electronic trading platforms and 
proprietary data producers: Archipelago, Bloomberg Tradebook, Island, 
RediBook, Attain, TrackECN, BATS Trading and Direct Edge. As noted 
above, BATS launched as an ATS in 2006 and became an exchange in 2008, 
while Direct Edge began operations in 2007 and obtained exchange status 
in 2010.
    In determining the proposed change to the fees for NYSE Arca BBO 
and NYSE Arca Trades, the Exchange considered the competitiveness of 
the market for proprietary data and all of the implications of that 
competition. The Exchange believes that it has considered all relevant 
factors and has not considered irrelevant factors in order to establish 
fair, reasonable, and not unreasonably discriminatory fees and an 
equitable allocation of fees among all users. The existence of numerous 
alternatives to the Exchange's products, including proprietary data 
from other sources, ensures that the Exchange cannot set unreasonable 
fees, or fees that are unreasonably discriminatory, when vendors and 
subscribers can elect these alternatives or choose not to purchase a 
specific proprietary data product if the attendant fees are not 
justified by the returns that any particular vendor or data recipient 
would achieve through the purchase.

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

    No written comments were solicited or received with respect to the 
proposed rule change.

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

    The foregoing rule change is effective upon filing pursuant to 
section 19(b)(3)(A) \34\ of the Act and subparagraph (f)(2) of Rule 
19b-4 \35\ thereunder, because it establishes a due, fee, or other 
charge imposed by the Exchange.
---------------------------------------------------------------------------

    \34\ 15 U.S.C. 78s(b)(3)(A).
    \35\ 17 CFR 240.19b-4(f)(2).
---------------------------------------------------------------------------

    At any time within 60 days of the filing of such proposed rule 
change, the Commission summarily may temporarily suspend such rule 
change if it appears to the Commission that such action is necessary or 
appropriate in the public interest, for the protection of investors, or 
otherwise in furtherance of the purposes of the Act. If the Commission 
takes such action, the Commission shall institute proceedings under 
section 19(b)(2)(B) \36\ of the Act to determine whether the proposed 
rule change should be approved or disapproved.
---------------------------------------------------------------------------

    \36\ 15 U.S.C. 78s(b)(2)(B).
---------------------------------------------------------------------------

IV. Solicitation of Comments

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

Electronic Comments

     Use the Commission's Internet comment form (http://www.sec.gov/rules/sro.shtml); or
     Send an email to [email protected]. Please include 
File Number SR-NYSEArca-2016-09 on the subject line.

Paper Comments

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

All submissions should refer to File Number SR-NYSEArca-2016-09. This 
file number should be included on the subject line if email is used. To 
help the Commission process and review your comments more efficiently, 
please use only one method. The Commission will post all comments on 
the Commission's Internet Web site (http://www.sec.gov/rules/sro.shtml). Copies of the submission, all subsequent amendments, all 
written statements with respect to the proposed rule change that are 
filed with the Commission, and all written communications relating to 
the proposed rule change between the Commission and any person, other 
than those that may be withheld from the public in accordance with the 
provisions of 5 U.S.C. 552, will be available for Web site viewing and 
printing in the Commission's Public Reference Room, 100 F Street NE., 
Washington, DC 20549 on official business days between the hours of 
10:00 a.m. and 3:00 p.m. Copies of the filing will also be available 
for inspection and copying at the principal office of the Exchange. All 
comments received will be posted without change; the Commission does 
not edit personal identifying information from submissions.
    You should submit only information that you wish to make available 
publicly. All submissions should refer to File Number SR-NYSEArca-2016-
09 and should be submitted on or before February 16, 2016.
---------------------------------------------------------------------------

    \37\ 17 CFR 200.30-3(a)(12).

    For the Commission, by the Division of Trading and Markets, 
pursuant to delegated authority.\37\
Brent J. Fields,
Secretary.
[FR Doc. 2016-01393 Filed 1-25-16; 8:45 am]
BILLING CODE 8011-01-P



                                                                                Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Notices                                                      4353

                                                  eXtensible Business Reporting Language                  SECURITIES AND EXCHANGE                                A. Self-Regulatory Organization’s
                                                  (XBRL). This collection of information                  COMMISSION                                             Statement of the Purpose of, and the
                                                  is located primarily in registration                                                                           Statutory Basis for, the Proposed Rule
                                                  statement and report exhibit provisions,                [Release No. 34–76937; File No. SR–                    Change
                                                  which require interactive data, and Rule                NYSEArca–2016–09]                                      1. Purpose
                                                  405 of Regulation S–T (17 CFR 232.405),
                                                  which specifies how to submit and post                  Self-Regulatory Organizations; NYSE                       The Exchange proposes to amend the
                                                  interactive data. The exhibit provisions                Arca, Inc.; Notice of Filing and                       fees for NYSE Arca BBO and NYSE Arca
                                                  are in Item 601(b)(101) of Regulation S–                Immediate Effectiveness of Proposed                    Trades market data products,4 as set
                                                  K (17 CFR 229.601(b)(101)), Form F–10                   Rule Change Amending the Fees for                      forth on the NYSE Arca Equities
                                                  under the Securities Act (17 CFR                                                                               Proprietary Market Data Fee Schedule
                                                                                                          NYSE Arca BBO and NYSE Arca
                                                  239.40) and Forms 20–F, 40–F and 6–K                                                                           (‘‘Fee Schedule’’). The Exchange
                                                                                                          Trades
                                                  under the Exchange Act (17 CFR                                                                                 proposes to make the following fee
                                                  249.220f, 17 CFR 249.240f and 17 CFR                    January 20, 2016.                                      changes effective January 4 [sic],5 2016:
                                                  249.306).                                                                                                         • Establish a multiple data feed fee;
                                                                                                             Pursuant to section 19(b)(1) 1 of the                  • Discontinue fees relating to
                                                     In interactive data format, financial                Securities Exchange Act of 1934
                                                  statement information could be                                                                                 managed non-display;
                                                                                                          (‘‘Act’’) 2 and Rule 19b–4 thereunder,3                   • Modify the application of the access
                                                  downloaded directly into spreedsheets
                                                                                                          notice is hereby given that, on January                fee; and
                                                  and analyzed in a variety of ways using
                                                  commercial off-the-shelf software. The
                                                                                                          11, 2016, NYSE Arca, Inc. (‘‘Exchange’’                   • Reduce the Enterprise Fee.
                                                                                                          or ‘‘NYSE Arca’’) filed with the
                                                  specified financial information already                                                                        Multiple Data Feed Fee 6
                                                  is and will continue to be required to be               Securities and Exchange Commission
                                                                                                          (‘‘Commission’’ or ‘‘SEC’’) the proposed                 The Exchange proposes to establish a
                                                  submitted to the Commission in
                                                                                                          rule change as described in Items I, II,               new monthly fee, the ‘‘Multiple Data
                                                  traditional format under existing
                                                                                                          and III below, which Items have been                   Feed Fee,’’ that would apply to data
                                                  requirements. The purpose of the
                                                                                                          prepared by the self-regulatory                        recipients that take a data feed for a
                                                  interactive data requirement is to make
                                                                                                          organization. The Commission is                        market data product in more than two
                                                  financial information easier for
                                                                                                          publishing this notice to solicit                      locations. Data recipients taking NYSE
                                                  investors to analyze and assist issuers in
                                                                                                          comments on the proposed rule change                   Arca BBO or NYSE Arca Trades in more
                                                  automating regulatory filings and
                                                                                                          from interested persons.                               than two locations would be charged
                                                  business information processing. We
                                                                                                                                                                 $200 per additional location per product
                                                  estimate that 8601 respondents per year                 I. Self-Regulatory Organization’s                      per month. No new reporting would be
                                                  will each submit an average of 4.5                      Statement of the Terms of Substance of                 required.7
                                                  reponses per year for an estimated total                the Proposed Rule Change
                                                  of 38,705 responses. We further estimate                                                                       Managed Non-Display Fees
                                                  an internal burden of 56 hours per                         The Exchange proposes to amend the                    Non-Display Use of NYSE Arca
                                                  response for a total annual internal                    fees for NYSE Arca BBO and NYSE Arca                   market data means accessing,
                                                  burden of 2,167,480 hours (56 hours per                 Trades to: (1) Establish a multiple data               processing, or consuming NYSE Arca
                                                  response × 38,705 responses).                           feed fee; (2) discontinue fees relating to             market data delivered via direct and/or
                                                     An agency may not conduct or                         managed non-display; (3) modify the                    Redistributor 8 data feeds for a purpose
                                                  sponsor, and a person is not required to                application of the access fee; and (4)
                                                  respond to, a collection of information                 reduce the Enterprise Fee. The proposed                   4 See Securities Exchange Act Release Nos. 62188

                                                  unless it displays a currently valid                    rule change is available on the                        (May 27, 2010), 75 FR 31484 (June 3, 2010) (SR–
                                                  control number.                                                                                                NYSEArca–2010–23); 69315 (April 5, 2013), 78 FR
                                                                                                          Exchange’s Web site at www.nyse.com,                   21668 (April 11, 2013) (SR–NYSEArca–2013–37)
                                                     The public may view the background                   at the principal office of the Exchange,               (‘‘2013 Non-Display Filing’’); 70213 (Aug. 15, 2013),
                                                  documentation for this information                      and at the Commission’s Public                         78 FR 51796 (Aug. 21, 2013) (SR–NYSEArca–2013–
                                                  collection at the following Web site,                   Reference Room.                                        81) (‘‘2013 Arca BBO and Trades Filing’’); 73011
                                                  www.reginfo.gov . Comments should be                                                                           (Sept. 5, 2014), 79 FR 54315 (Sept. 11, 2014) (SR–
                                                                                                                                                                 NYSEARCA–2014–93) (‘‘2014 Non-Display Filing’’);
                                                  directed to: (i) Desk Officer for the                   II. Self-Regulatory Organization’s                     and 73998 (Jan. 6, 2015), 80 FR 1549 (Jan. 12, 2015)
                                                  Securities and Exchange Commission,                     Statement of the Purpose of, and                       (SR–NYSEArca–2014–148) (‘‘2015 NYSE Arca BBO
                                                  Office of Information and Regulatory                    Statutory Basis for, the Proposed Rule                 and Trades Filing’’).
                                                                                                                                                                    5 The Commission notes that, as stated in the
                                                  Affairs, Office of Management and                       Change
                                                                                                                                                                 Exhibit 5, the proposed fee changes were effective
                                                  Budget, Room 10102, New Executive                                                                              as of January 11, 2016.
                                                  Office Building, Washington, DC 20503,                    In its filing with the Commission, the                  6 The text of footnote 5 in Exhibit 5 of this
                                                  or by sending an email to: Shagufta_                    self-regulatory organization included                  proposed rule change was previously filed under a
                                                  Ahmed@omb.eop.gov; and (ii) Pamela                      statements concerning the purpose of,                  separate filing. See SR–NYSEArca–2016–01
                                                  Dyson, Director/Chief Information                       and basis for, the proposed rule change                (Proposed Rule Change to Amend the Fees for
                                                                                                          and discussed any comments it received                 NYSE ArcaBook).
                                                  Officer, Securities and Exchange                                                                                  7 Data vendors currently report a unique Vendor
                                                  Commission, c/o Remi Pavlik-Simon,                      on the proposed rule change. The text                  Account Number for each location at which they
                                                  100 F Street NE., Washington, DC 20549                  of those statements may be examined at                 provide a data feed to a data recipient. The
                                                  or send an email to: PRA_Mailbox@                       the places specified in Item IV below.                 Exchange considers each Vendor Account Number
                                                                                                                                                                 a location. For example, if a data recipient has five
mstockstill on DSK4VPTVN1PROD with NOTICES




                                                  sec.gov. Comments must be submitted to                  The Exchange has prepared summaries,
                                                                                                                                                                 Vendor Account Numbers, representing five
                                                  OMB within 30 days of this notice.                      set forth in sections A, B, and C below,               locations, for the receipt of the NYSE Arca BBO
                                                    Dated: January 20, 2016.                              of the most significant parts of such                  product, that data recipient will pay the Multiple
                                                                                                          statements.                                            Data Feed fee with respect to three of the five
                                                  Brent J. Fields,                                                                                               locations.
                                                  Secretary.                                                                                                        8 ‘‘Redistributor’’ means a vendor or any other
                                                                                                            1 15 U.S.C. 78s(b)(1).
                                                  [FR Doc. 2016–01394 Filed 1–25–16; 8:45 am]                                                                    person that provides an NYSE Arca data product to
                                                                                                            2 15 U.S.C. 78a.                                     a data recipient or to any system that a data
                                                  BILLING CODE 8011–01–P                                    3 17 CFR 240.19b–4.                                                                             Continued




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                                                  4354                          Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Notices

                                                  other than in support of a data                            The Exchange proposes to                            month, then the firm would pay
                                                  recipient’s display usage or further                     discontinue the fees related to Managed               $320,000 per month in professional user
                                                  internal or external redistribution.9                    Non-Display Services because of the                   fees. However, under the current pricing
                                                  Managed Non-Display Services fees                        limited number of Redistributors that                 structure, the fees would be capped at
                                                  apply when a data recipient’s non-                       have qualified for Managed Non-Display                $175,000 and effective January, the fees
                                                  display applications are hosted by a                     Services and the administrative burdens               would be capped at $170,000.
                                                  Redistributor that has been approved for                 associated with the program in light of                  Under the proposed enterprise fee, the
                                                  Managed Non-Display Services.10 A                        the limited number of Redistributors                  firm would pay a flat fee of $170,000 for
                                                  Redistributor approved for Managed                       that have qualified for Managed Non-                  an unlimited number of professional
                                                  Non-Display Services manages and                         Display Services. As proposed, all data               and non-professional users for both
                                                  controls the access to NYSE Arca BBO                     recipients currently using NYSE Arca                  products. As is the case currently, a data
                                                  and NYSE Arca Trades and does not                        BBO and NYSE Arca Trades on a                         recipient that pays the enterprise fee
                                                  allow for further internal distribution or               managed non-display basis would be                    would not have to report the number of
                                                  external redistribution of NYSE Arca                     subject to the same access fee of $750                such users on a monthly basis.16
                                                  BBO and NYSE Arca Trades by the data                     per month, and the same non-display                   However, every six months, a data
                                                  recipients. A Redistributor approved for                 services fees,12 as other non-display                 recipient must provide the Exchange
                                                  Managed Non-Display Services is                          data recipients.13                                    with a count of the total number of
                                                  required to report to NYSE Arca on a                                                                           natural person users of each product,
                                                                                                           Modification of the Application of the                including both professional and non-
                                                  monthly basis the data recipients that                   Access Fee
                                                  are receiving NYSE Arca market data                                                                            professional users.
                                                                                                             The Exchange proposes to modify the
                                                  through the Redistributor’s managed                      application of the access fees for NYSE               2. Statutory Basis
                                                  non-display service and the real-time                    Arca BBO and NYSE Arca Trades.                           The Exchange believes that the
                                                  NYSE Arca market data products that                        Each NYSE Arca BBO data feed                        proposed rule change is consistent with
                                                  such data recipients are receiving                       recipient currently pays a monthly $750               the provisions of section 6 of the Act,17
                                                  through such service. Recipients of data                 access fee for NYSE Arca BBO, and each                in general, and sections 6(b)(4) and
                                                  through Managed Non-Display Service                      NYSE Arca Trades data feed recipient                  6(b)(5) of the Act,18 in particular, in that
                                                  have no additional reporting                             currently pays a monthly $750 access                  it provides an equitable allocation of
                                                  requirements. Data recipients that                       fee for NYSE Arca Trades. A single                    reasonable fees among users and
                                                  receive NYSE Arca BBO from an                            access fee applies for data recipients                recipients of the data and is not
                                                  approved Redistributor of Managed                        receiving both NYSE Arca BBO and                      designed to permit unfair
                                                  Non-Display Services are charged a                       NYSE Arca Trades.14 The Exchange                      discrimination among customers,
                                                  Managed Non-Display Services Fee of                      proposes to amend the access fees so                  issuers, and brokers.
                                                  $200 per month, and data recipients that                 that recipients of NYSE Arca BBO and                     The fees are also equitable and not
                                                  receive NYSE Arca Trades from an                         NYSE Arca Trades would be required to                 unfairly discriminatory because they
                                                  approved Redistributor of Managed                        pay a separate access fees [sic] for NYSE             will apply to all data recipients that
                                                  Non-Display Services are charged a                       Arca BBO ($750 per month) and NYSE                    choose to subscribe to NYSE Arca BBO
                                                  Managed Non-Display Services Fee of                      Arca Trades ($750 per month). This                    and NYSE Arca Trades.
                                                  $800 per month. Data recipients that                     change would have no impact on                        Multiple Data Feed Fee
                                                  receive NYSE Arca BBO and NYSE Arca                      customers who receive only NYSE Arca
                                                  Trades from an approved Redistributor                    BBO or only NYSE Arca Trades.                            The Exchange believes that it is
                                                  of Managed Non-Display Services are                                                                            reasonable to require data recipients to
                                                                                                           Reduction to Enterprise Fee                           pay a modest additional fee for taking a
                                                  also charged an Access Fee of $375 per
                                                  month.11                                                    The Exchange currently charges an                  data feed for a market data product in
                                                                                                           enterprise fee of $175,000 per month for              more than two locations, because such
                                                  recipient uses, irrespective of the means of             an unlimited number of professional                   data recipients can derive substantial
                                                  transmission or access.                                  and non-professional users for each of                value from being able to consume the
                                                     9 See e.g. 2014 Non-Display Filing, supra note 4.     NYSE Arca BBO and NYSE Arca Trades.                   product in as many locations as they
                                                     10 To be approved for Managed Non-Display
                                                                                                           A single Enterprise Fee applies for                   want. In addition, there are
                                                  Services, a Redistributor must manage and control        clients receiving both NYSE Arca BBO                  administrative burdens associated with
                                                  the access to NYSE Arca BBO and NYSE Arca                                                                      tracking each location at which a data
                                                  Trades for data recipients’ non-display applications     and NYSE Arca Trades.15 The Exchange
                                                  and not allow for further internal distribution or       proposes to lower the enterprise fee to               recipient receives the product. The
                                                  external redistribution of the information by data       $170,000 per month.                                   Multiple Data Feed Fee is designed to
                                                  recipients. In addition, the Redistributor is required      As an example, under the current fee               encourage data recipients to better
                                                  to (a) host the data recipients’ non-display                                                                   manage their requests for additional
                                                  applications in equipment located in the                 structure for per user fees, if a firm had
                                                  Redistributor’s data center and/or hosted space/cage     40,000 professional users who each                    data feeds and to monitor their usage of
                                                  and (b) offer NYSE Arca BBO and NYSE Arca                received NYSE Arca Trades at $4 per                   data feeds. The proposed fee is designed
                                                  Trades in the Redistributor’s own messaging              month and NYSE Arca BBO at $4 per                     to apply to data feeds received in more
                                                  formats (rather than using raw NYSE Arca message                                                               than two locations so that each data
                                                  formats) by reformatting and/or altering NYSE Arca
                                                  BBO and NYSE Arca Trades prior to retransmission
                                                                                                             12 See  Fee Schedule.                               recipient can have one primary and one
                                                  without affecting the integrity of NYSE Arca BBO           13 In order to harmonize its approach to fees for   backup data location before having to
                                                  and NYSE Arca Trades and without rendering               its market data products, the Exchange is             pay a multiple data feed fee. The
mstockstill on DSK4VPTVN1PROD with NOTICES




                                                  NYSE Arca BBO and NYSE Arca Trades inaccurate,           simultaneously proposing to remove fees related to    Exchange notes that this pricing is
                                                  unfair, uninformative, fictitious, misleading or         Managed Non-Display Services for NYSE ArcaBook
                                                  discriminatory.                                          and NYSE Arca Integrated Feed. See SR–                consistent with similar pricing adopted
                                                     11 A single Managed Non-Display Access Fee            NYSEArca–2016–01 and SR–NYSEArca–2016–03.
                                                                                                              14 See Securities Exchange Act Release No. 62188     16 Professional users currently are subject to a per
                                                  applies for clients receiving both NYSE Arca BBO
                                                  and NYSE Arca Trades. The Exchange is also               (May 27, 2010), 75 FR 31484 (June 3, 2010) (SR–       display device count. See 2015 NYSE Arca BBO
                                                  proposing in this filing to modify this application      NYSEArca–2010–23).                                    and Trades Filing, supra note 4.
                                                                                                                                                                   17 15 U.S.C. 78f(b).
                                                  of the access fees. See ‘‘Modification of the               15 See 2013 NYSE Arca BBO and Trades Filing,

                                                  application of the access fee,’’ below.                  supra note 4.                                           18 15 U.S.C. 78f(b)(4), (5).




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                                                                                Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Notices                                                    4355

                                                  in 2013 by the Consolidated Tape                        Modifications to Access Fee                            purchase NYSE Arca BBO and NYSE
                                                  Association (‘‘CTA’’).19 The Exchange                      The Exchange believes that it is                    Arca Trades. Firms that do purchase
                                                  also notes that the OPRA Plan imposes                   reasonable to make the changes                         NYSE Arca BBO and NYSE Arca Trades
                                                  a similar charge of $100 per connection                 proposed to the application of access                  do so for the primary goals of using
                                                  for circuit connections in addition to the              fees for NYSE Arca BBO and NYSE Arca                   them to increase revenues, reduce
                                                  primary and backup connections.20                       Trades. The Exchange believes the                      expenses, and in some instances
                                                                                                          proposed changes will make the                         compete directly with the Exchange
                                                  Managed Non-Display Fees                                                                                       (including for order flow); those firms
                                                                                                          application of the access fees to each of
                                                                                                          the products so that an access fee                     are able to determine for themselves
                                                     The Exchange believes that it is
                                                                                                                                                                 whether NYSE Arca BBO and NYSE
                                                  reasonable to discontinue Managed                       entitles a customer to receive, for the
                                                                                                                                                                 Arca Trades or any other similar
                                                  Non-Display Fees. As the Exchange                       applicable product, a data feed or feeds.
                                                                                                                                                                 products are attractively priced or not.22
                                                  noted in the 2013 Non-Display Filing,                   Specifically, data recipients that take
                                                                                                                                                                    Firms that do not wish to purchase
                                                  the Exchange determined at that time                    the NYSE Arca BBO and/or NYSE Arca
                                                                                                                                                                 NYSE Arca BBO and NYSE Arca Trades
                                                  that its fee structure, which was then                  Trades products receive value from each                at the new prices have a variety of
                                                  based primarily on counting both                        product they choose to take. A data                    alternative market data products from
                                                  display and non-display devices, was no                 recipient that chooses to take multiple                which to choose,23 or if NYSE Arca BBO
                                                  longer appropriate in light of market                   products (no recipient is required to                  and NYSE Arca Trades do not provide
                                                  and technology developments. Since                      take any of these products, or any                     sufficient value to firms as offered based
                                                  then, the Exchange also modified its                    specific combination of them) uses each                on the uses those firms have or planned
                                                  approach to display and non-display                     product in a different way and therefore               to make of them, such firms may simply
                                                  fees with changes to the fees as reflected              obtains different value from each. The                 choose to conduct their business
                                                  in the 2014 Non-Display Filing.21                       Exchange believes that each product has                operations in ways that do not use
                                                  Discontinuing the fees applicable to                    a separate and distinct value that is                  NYSE Arca BBO and NYSE Arca Trades
                                                  Managed Non-Display as proposed                         appropriate to reflect in a separate                   or use them at different levels or in
                                                  reflects the Exchange’s continuing                      access fee. Finally, the requirement to                different configurations. The Exchange
                                                  review and consideration of the                         pay separate access fees for each market               notes that broker-dealers are not
                                                  application of non-display fees, and                    data product is equitable and not                      required to purchase proprietary market
                                                  would harmonize and simplify the                        unfairly discriminatory because it                     data to comply with their best execution
                                                                                                          would apply to all data recipients and                 obligations.24
                                                  application of Non-Display Use fees by
                                                                                                          appropriately reflects the value of each                  The decision of the United States
                                                  applying them consistently to all users.
                                                                                                          product to those who choose to use                     Court of Appeals for the District of
                                                  In particular, after further experience
                                                                                                          them.                                                  Columbia Circuit in NetCoalition v.
                                                  with the application of non-display use
                                                  fees, the Exchange believes that it is                  Reduction to Enterprise Fee                            SEC, 615 F.3d 525 (D.C. Cir. 2010),
                                                  more equitable and less discriminatory                                                                         upheld reliance by the Securities and
                                                                                                            The proposed enterprise fees for                     Exchange Commission (‘‘Commission’’)
                                                  to discontinue the distinction for                      NYSE Arca BBO and NYSE Arca Trades
                                                  Managed Non-Display services because                                                                           upon the existence of competitive
                                                                                                          are reasonable because they could result               market mechanisms to set reasonable
                                                  all data recipients using data on a non-                in a fee reduction for data recipients                 and equitably allocated fees for
                                                  display basis are using it in a                         with a large number of professional and                proprietary market data:
                                                  comparable way and should be subject                    nonprofessional users, as described in                    In fact, the legislative history
                                                  to similar fees regardless of whether or                the example above. If a data recipient                 indicates that the Congress intended
                                                  not they receive the data directly from                 has a smaller number of professional                   that the market system ‘evolve through
                                                  the Exchange. The Exchange believes                     users of NYSE Arca BBO and/or NYSE                     the interplay of competitive forces as
                                                  that applying the same non-display fees                 Arca Trades, then it may continue to use               unnecessary regulatory restrictions are
                                                  to all data recipients on the same basis                the per user fee structure. By reducing                removed’ and that the SEC wield its
                                                  better reflects the significant value of                prices for data recipients with a large                regulatory power ‘in those situations
                                                  non-display data to data recipients and                 number of professional and non-                        where competition may not be
                                                  eliminates what is effectively a discount               professional users, the Exchange                       sufficient,’ such as in the creation of a
                                                  for certain data recipients, and as such                believes that more data recipients may                 ‘consolidated transactional reporting
                                                  is not unfairly discriminatory. The                     choose to offer NYSE Arca BBO and                      system.’
                                                  Exchange believes that the non-display                  NYSE Arca Trades, thereby expanding                       Id. at 535 (quoting H.R. Rep. No. 94–
                                                  fees directly and appropriately reflect                 the distribution of this market data for               229 at 92 (1975), as reprinted in 1975
                                                  the significant value of using non-                     the benefit of investors. The Exchange                 U.S.C.C.A.N. 323). The court agreed
                                                  display data in a wide range of                         also believes that offering an enterprise              with the Commission’s conclusion that
                                                  computer-automated functions relating                   fee expands the range of options for                   ‘‘Congress intended that ‘competitive
                                                  to both trading and non-trading                         offering NYSE Arca BBO and NYSE                        forces should dictate the services and
                                                  activities and that the number and range                Arca Trades and allows data recipients                 practices that constitute the U.S.
                                                  of these functions continue to grow                     greater choice in selecting the most
                                                  through innovation and technology                       appropriate level of data and fees for the               22 See, e.g., Proposing Release on Regulation of

                                                  developments.                                           professional and non-professional users                NMS Stock Alternative Trading Systems, Securities
                                                                                                                                                                 Exchange Act Release No. 76474 (Nov. 18, 2015)
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                                                                                                          they are servicing.                                    (File No. S7–23–15). See also, ‘‘Brokers Warned Not
                                                     19 See Securities Exchange Act Release No. 70010       The Exchange notes that NYSE Arca                    to Steer Clients’ Stock Trades Into Slow Lane,’’
                                                  (July 19, 2013), 78 FR 44984 (July 25, 2013) (SR–       BBO and NYSE Arca Trades are entirely                  Bloomberg Business, December 14, 2015 (Sigma X
                                                  CTA/CQ–2013–04).                                        optional. The Exchange is not required                 dark pool to use direct exchange feeds as the
                                                     20 See ‘‘Direct Access Fee,’’ Options Price                                                                 primary source of price data).
                                                                                                          to make NYSE Arca BBO and NYSE
                                                  Reporting Authority Fee Schedule Fee Schedule                                                                    23 See NASDAQ Rule 7047 (Nasdaq Basic) and

                                                  PRA [sic] Plan at http://www.opradata.com/pdf/          Arca Trades available or to offer any                  BATS Rule 11.22 (BATS TOP and Last Sale).
                                                  fee_schedule.pdf.                                       specific pricing alternatives to any                     24 See FINRA Regulatory Notice 15–46, ‘‘Best
                                                     21 See note 4, supra.                                customers, nor is any firm required to                 Execution,’’ November 2015.



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                                                  4356                          Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Notices

                                                  national market system for trading                      necessary or appropriate in furtherance                 centers that compete for order flow in
                                                  equity securities.’ ’’ 25                               of the purposes of the Act. An                          the same stocks’’ and ‘‘trading centers
                                                     As explained below in the Exchange’s                 exchange’s ability to price its                         offer[ing] a wide range of services that
                                                  Statement on Burden on Competition,                     proprietary market data feed products is                are designed to attract different types of
                                                  the Exchange believes that there is                     constrained by actual competition for                   market participants with varying trading
                                                  substantial evidence of competition in                  the sale of proprietary market data                     needs.’’ 28 More recently, SEC Chair
                                                  the marketplace for proprietary market                  products, the joint product nature of                   Mary Jo White has noted that
                                                  data and that the Commission can rely                   exchange platforms, and the existence of                competition for order flow in exchange-
                                                  upon such evidence in concluding that                   alternatives to the Exchange’s                          listed equities is ‘‘intense’’ and divided
                                                  the fees established in this filing are the             proprietary data.                                       among many trading venues, including
                                                  product of competition and therefore                                                                            exchanges, more than 40 alternative
                                                                                                          The Existence of Actual Competition
                                                  satisfy the relevant statutory standards.                                                                       trading systems, and more than 250
                                                  In addition, the existence of alternatives                 The market for proprietary data                      broker-dealers.29
                                                  to these data products, such as                         products is currently competitive and                      If an exchange succeeds in competing
                                                  consolidated data and proprietary data                  inherently contestable because there is                 for quotations, order flow, and trade
                                                  from other sources, as described below,                 fierce competition for the inputs                       executions, then it earns trading
                                                  further ensures that the Exchange                       necessary for the creation of proprietary               revenues and increases the value of its
                                                  cannot set unreasonable fees, or fees                   data and strict pricing discipline for the              proprietary market data products
                                                  that are unreasonably discriminatory,                   proprietary products themselves.                        because they will contain greater quote
                                                  when vendors and subscribers can                        Numerous exchanges compete with one                     and trade information. Conversely, if an
                                                  select such alternatives.                               another for listings and order flow and                 exchange is less successful in attracting
                                                     As the NetCoalition decision noted,                  sales of market data itself, providing                  quotes, order flow, and trade
                                                  the Commission is not required to                       ample opportunities for entrepreneurs                   executions, then its market data
                                                  undertake a cost-of-service or                          who wish to compete in any or all of                    products may be less desirable to
                                                  ratemaking approach. The Exchange                       those areas, including producing and                    customers in light of the diminished
                                                  believes that, even if it were possible as              distributing their own market data.                     content and data products offered by
                                                  a matter of economic theory, cost-based                 Proprietary data products are produced                  competing venues may become more
                                                  pricing for proprietary market data                     and distributed by each individual                      attractive. Thus, competition for
                                                  would be so complicated that it could                   exchange, as well as other entities, in a               quotations, order flow, and trade
                                                  not be done practically or offer any                    vigorously competitive market. Indeed,                  executions puts significant pressure on
                                                  significant benefits.26                                 the U.S. Department of Justice (‘‘DOJ’’)                an exchange to maintain both execution
                                                    For these reasons, the Exchange                       (the primary antitrust regulator) has                   and data fees at reasonable levels.
                                                  believes that the proposed fees are                     expressly acknowledged the aggressive                      In addition, in the case of products
                                                  reasonable, equitable, and not unfairly                 actual competition among exchanges,                     that are also redistributed through
                                                  discriminatory.                                         including for the sale of proprietary                   market data vendors, such as Bloomberg
                                                                                                          market data. In 2011, the DOJ stated that               and Thompson Reuters, the vendors
                                                  B. Self-Regulatory Organization’s                       exchanges ‘‘compete head to head to                     themselves provide additional price
                                                  Statement on Burden on Competition                      offer real-time equity data products.                   discipline for proprietary data products
                                                    The Exchange does not believe that                    These data products include the best bid                because they control the primary means
                                                  the proposed rule change will impose                    and offer of every exchange and                         of access to certain end users. These
                                                  any burden on competition that is not                   information on each equity trade,                       vendors impose price discipline based
                                                                                                          including the last sale.’’ 27                           upon their business models. For
                                                    25 NetCoalition,  615 F.3d at 535.                       Moreover, competitive markets for                    example, vendors that assess a
                                                    26 The  Exchange believes that cost-based pricing     listings, order flow, executions, and                   surcharge on data they sell are able to
                                                  would be impractical because it would create            transaction reports provide pricing                     refuse to offer proprietary products that
                                                  enormous administrative burdens for all parties and
                                                  the Commission to cost-regulate a large number of       discipline for the inputs of proprietary                their end users do not or will not
                                                  participants and standardize and analyze                data products and therefore constrain                   purchase in sufficient numbers. Vendors
                                                  extraordinary amounts of information, accounts,         markets from overpricing proprietary                    will not elect to make available NYSE
                                                  and reports. In addition, and as described below, it    market data. Broker-dealers send their                  Arca BBO or NYSE Arca Trades unless
                                                  is impossible to regulate market data prices in
                                                  isolation from prices charged by markets for other      order flow and transaction reports to                   their customers request it, and
                                                  services that are joint products. Cost-based rate       multiple venues, rather than providing
                                                  regulation would also lead to litigation and may        them all to a single venue, which in turn                  28 Concept Release on Equity Market Structure,

                                                  distort incentives, including those to minimize         reinforces this competitive constraint.                 Securities Exchange Act Release No. 61358 (Jan. 14,
                                                  costs and to innovate, leading to further waste.                                                                2010), 75 FR 3594 (Jan. 21, 2010) (File No. S7–02–
                                                  Under cost-based pricing, the Commission would          As a 2010 Commission Concept Release                    10). This Concept Release included data from the
                                                  be burdened with determining a fair rate of return,     noted, the ‘‘current market structure can               third quarter of 2009 showing that no market center
                                                  and the industry could experience frequent rate         be described as dispersed and complex’’                 traded more than 20% of the volume of listed
                                                  increases based on escalating expense levels. Even                                                              stocks, further evidencing the dispersal of and
                                                                                                          with ‘‘trading volume . . . dispersed                   competition for trading activity. Id. at 3598. Data
                                                  in industries historically subject to utility
                                                  regulation, cost-based ratemaking has been              among many highly automated trading                     available on ArcaVision show that from June 30,
                                                  discredited. As such, the Exchange believes that                                                                2013 to June 30, 2014, no exchange traded more
                                                  cost-based ratemaking would be inappropriate for           27 Press Release, U.S. Department of Justice,        than 12% of the volume of listed stocks by either
                                                  proprietary market data and inconsistent with           Assistant Attorney General Christine Varney Holds       trade or dollar volume, further evidencing the
                                                  Congress’s direction that the Commission use its        Conference Call Regarding NASDAQ OMX Group              continued dispersal of and fierce competition for
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                                                  authority to foster the development of the national     Inc. and IntercontinentalExchange Inc. Abandoning       trading activity. See https://www.arcavision.com/
                                                  market system, and that market forces will continue     Their Bid for NYSE Euronext (May 16, 2011),             Arcavision/arcalogin.jsp.
                                                  to provide appropriate pricing discipline. See          available at http://www.justice.gov/iso/opa/atr/           29 Mary Jo White, Enhancing Our Equity Market

                                                  Appendix C to NYSE’s comments to the                    speeches/2011/at-speech-110516.html; see also           Structure, Sandler O’Neill & Partners, L.P. Global
                                                  Commission’s 2000 Concept Release on the                Complaint in U.S. v. Deutsche Borse AG and NYSE         Exchange and Brokerage Conference (June 5, 2014)
                                                  Regulation of Market Information Fees and               Euronext, Case No. 11–cv–2280 (D.C. Dist.) ¶ 24         (available on the Commission Web site), citing
                                                  Revenues, which can be found on the Commission’s        (‘‘NYSE and Direct Edge compete head-to-head . . .      Tuttle, Laura, 2014, ‘‘OTC Trading: Description of
                                                  Web site at http://www.sec.gov/rules/concept/           in the provision of real-time proprietary equity data   Non-ATS OTC Trading in National Market System
                                                  s72899/buck1.htm.                                       products.’’).                                           Stocks,’’ at 7–8.



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                                                                                Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Notices                                                          4357

                                                  customers will not elect to pay the                     same for each market). A supra-                            attracting order flow, executing and/or
                                                  proposed fees unless NYSE Arca BBO                      competitive increase in the fees for                       routing orders, and generating and
                                                  and NYSE Arca Trades can provide                        either executions or market data would                     selling data about market activity. The
                                                  value by sufficiently increasing                        create a risk of reducing an exchange’s                    total return that an exchange earns
                                                  revenues or reducing costs in the                       revenues from both products.                               reflects the revenues it receives from the
                                                  customer’s business in a manner that                       Other market participants have noted                    joint products and the total costs of the
                                                  will offset the fees. All of these factors              that proprietary market data and trade                     joint products.
                                                  operate as constraints on pricing                       executions are joint products of a joint
                                                                                                          platform and have common costs.30 The                         As noted above, the level of
                                                  proprietary data products.
                                                                                                          Exchange agrees with and adopts those                      competition and contestability in the
                                                  Joint Product Nature of Exchange                        discussions and the arguments therein.                     market is evident in the numerous
                                                  Platform                                                The Exchange also notes that the                           alternative venues that compete for
                                                     Transaction execution and proprietary                economics literature confirms that there                   order flow, including 11 equities self-
                                                  data products are complementary in that                 is no way to allocate common costs                         regulatory organization (‘‘SRO’’)
                                                  market data is both an input and a                      between joint products that would shed                     markets, as well as various forms of
                                                  byproduct of the execution service. In                  any light on competitive or efficient                      alternative trading systems (‘‘ATSs’’),
                                                  fact, proprietary market data and trade                 pricing.31                                                 including dark pools and electronic
                                                  executions are a paradigmatic example                      Analyzing the cost of market data                       communication networks (‘‘ECNs’’), and
                                                  of joint products with joint costs. The                 product production and distribution in                     internalizing broker-dealers. SRO
                                                  decision of whether and on which                        isolation from the cost of all of the                      markets compete to attract order flow
                                                  platform to post an order will depend                   inputs supporting the creation of market                   and produce transaction reports via
                                                  on the attributes of the platforms where                data and market data products will                         trade executions, and two FINRA-
                                                  the order can be posted, including the                  inevitably underestimate the cost of the                   regulated Trade Reporting Facilities
                                                  execution fees, data availability and                   data and data products because it is                       compete to attract transaction reports
                                                  quality, and price and distribution of                  impossible to obtain the data inputs to                    from the non-SRO venues.
                                                  data products. Without a platform to                    create market data products without a                         Competition among trading platforms
                                                  post quotations, receive orders, and                    fast, technologically robust, and well-                    can be expected to constrain the
                                                  execute trades, exchange data products                  regulated execution system, and system                     aggregate return that each platform
                                                  would not exist.                                        and regulatory costs affect the price of                   earns from the sale of its joint products,
                                                     The costs of producing market data                   both obtaining the market data itself and                  but different trading platforms may
                                                  include not only the costs of the data                  creating and distributing market data                      choose from a range of possible, and
                                                  distribution infrastructure, but also the               products. It would be equally
                                                  costs of designing, maintaining, and                                                                               equally reasonable, pricing strategies as
                                                                                                          misleading, however, to attribute all of
                                                  operating the exchange’s platform for                                                                              the means of recovering total costs. For
                                                                                                          an exchange’s costs to the market data
                                                  posting quotes, accepting orders, and                                                                              example, some platforms may choose to
                                                                                                          portion of an exchange’s joint products.
                                                  executing transactions and the cost of                                                                             pay rebates to attract orders, charge
                                                                                                          Rather, all of an exchange’s costs are
                                                  regulating the exchange to ensure its fair                                                                         relatively low prices for market data
                                                                                                          incurred for the unified purposes of
                                                  operation and maintain investor                                                                                    products (or provide market data
                                                  confidence. The total return that a                        30 See Securities Exchange Act Release No. 72153
                                                                                                                                                                     products free of charge), and charge
                                                  trading platform earns reflects the                     (May 12, 2014), 79 FR 28575, 28578 n.15 (May 16,           relatively high prices for accessing
                                                  revenues it receives from both products                 2014) (SR–NASDAQ–2014–045) (‘‘[A]ll of the                 posted liquidity. Other platforms may
                                                                                                          exchange’s costs are incurred for the unified              choose a strategy of paying lower
                                                  and the joint costs it incurs.                          purposes of attracting order flow, executing and/or
                                                     Moreover, an exchange’s broker-                      routing orders, and generating and selling data
                                                                                                                                                                     rebates (or no rebates) to attract orders,
                                                  dealer customers generally view the                     about market activity. The total return that an            setting relatively high prices for market
                                                  costs of transaction executions and                     exchange earns reflects the revenues it receives           data products, and setting relatively low
                                                  market data as a unified cost of doing                  from the joint products and the total costs of the         prices for accessing posted liquidity. For
                                                                                                          joint products.’’). See also Securities Exchange Act
                                                  business with the exchange. A broker-                   Release No. 62907 (Sept. 14, 2010), 75 FR 57314,
                                                                                                                                                                     example, BATS Global Markets
                                                  dealer will only choose to direct orders                57317 (Sept. 20, 2010) (SR–NASDAQ–2010–110),               (‘‘BATS’’) and Direct Edge, which
                                                  to an exchange if the revenue from the                  and Securities Exchange Act Release No. 62908              previously operated as ATSs and
                                                  transaction exceeds its cost, including                 (Sept. 14, 2010), 75 FR 57321, 57324 (Sept. 20,            obtained exchange status in 2008 and
                                                                                                          2010) (SR–NASDAQ–2010–111).
                                                  the cost of any market data that the                       31 See generally Mark Hirschey, Fundamentals of
                                                                                                                                                                     2010, respectively, provided certain
                                                  broker-dealer chooses to buy in support                 Managerial Economics, at 600 (2009) (‘‘It is               market data at no charge on their Web
                                                  of its order routing and trading                        important to note, however, that although it is            sites in order to attract more order flow,
                                                  decisions. If the costs of the transaction              possible to determine the separate marginal costs of       and used revenue rebates from resulting
                                                                                                          goods produced in variable proportions, it is
                                                  are not offset by its value, then the                   impossible to determine their individual average
                                                                                                                                                                     additional executions to maintain low
                                                  broker-dealer may choose instead not to                 costs. This is because common costs are expenses           execution charges for their users.32 In
                                                  purchase the product and trade away                     necessary for manufacture of a joint product.              this environment, there is no economic
                                                  from that exchange. There is substantial                Common costs of production—raw material and                basis for regulating maximum prices for
                                                                                                          equipment costs, management expenses, and other
                                                  evidence of the strong correlation                      overhead—cannot be allocated to each individual            one of the joint products in an industry
                                                  between order flow and market data                      by-product on any economically sound basis. . . .          in which suppliers face competitive
                                                  purchases. For example, in September                    Any allocation of common costs is wrong and                constraints with regard to the joint
                                                                                                          arbitrary.’’). This is not new economic theory. See,
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                                                  2015, more than 80% of the transaction                                                                             offering.
                                                                                                          e.g., F. W. Taussig, ‘‘A Contribution to the Theory
                                                  volume on each of NYSE Arca and                         of Railway Rates,’’ Quarterly Journal of Economics
                                                  NYSE Arca’s affiliates New York Stock                   V(4) 438, 465 (July 1891) (‘‘Yet, surely, the division       32 This is simply a securities market-specific

                                                  Exchange LLC (‘‘NYSE’’) and NYSE                        is purely arbitrary. These items of cost, in fact, are     example of the well-established principle that in
                                                  MKT LLC (‘‘NYSE MKT’’) was executed                     jointly incurred for both sorts of traffic; and I cannot   certain circumstances more sales at lower margins
                                                                                                          share the hope entertained by the statistician of the      can be more profitable than fewer sales at higher
                                                  by market participants that purchased                   Commission, Professor Henry C. Adams, that we              margins; this example is additional evidence that
                                                  one or more proprietary market data                     shall ever reach a mode of apportionment that will         market data is an inherent part of a market’s joint
                                                  products (the 20 firms were not the                     lead to trustworthy results.’’).                           platform.



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                                                  4358                            Federal Register / Vol. 81, No. 16 / Tuesday, January 26, 2016 / Notices

                                                  Existence of Alternatives                                 The Exchange believes that it has                      Electronic Comments
                                                     The large number of SROs, ATSs, and                    considered all relevant factors and has
                                                                                                            not considered irrelevant factors in                     • Use the Commission’s Internet
                                                  internalizing broker-dealers that                                                                                comment form (http://www.sec.gov/
                                                  currently produce proprietary data or                     order to establish fair, reasonable, and
                                                                                                            not unreasonably discriminatory fees                   rules/sro.shtml); or
                                                  are currently capable of producing it
                                                  provides further pricing discipline for                   and an equitable allocation of fees                      • Send an email to rule-comments@
                                                  proprietary data products. Each SRO,                      among all users. The existence of                      sec.gov. Please include File Number SR–
                                                  ATS, and broker-dealer is currently                       numerous alternatives to the Exchange’s                NYSEArca–2016–09 on the subject line.
                                                  permitted to produce and sell                             products, including proprietary data
                                                                                                                                                                   Paper Comments
                                                  proprietary data products, and many                       from other sources, ensures that the
                                                  currently do, including but not limited                   Exchange cannot set unreasonable fees,                   • Send paper comments in triplicate
                                                  to the Exchange, NYSE, NYSE MKT,                          or fees that are unreasonably                          to Brent J. Fields, Secretary, Securities
                                                  NASDAQ OMX, BATS, and Direct Edge.                        discriminatory, when vendors and                       and Exchange Commission, 100 F Street
                                                     The fact that proprietary data from                    subscribers can elect these alternatives               NE., Washington, DC 20549–1090.
                                                  ATSs, internalizing broker-dealers, and                   or choose not to purchase a specific
                                                  vendors can bypass SROs is significant                    proprietary data product if the attendant              All submissions should refer to File
                                                  in two respects. First, non-SROs can                      fees are not justified by the returns that             Number SR–NYSEArca–2016–09. This
                                                  compete directly with SROs for the                        any particular vendor or data recipient                file number should be included on the
                                                  production and sale of proprietary data                   would achieve through the purchase.                    subject line if email is used. To help the
                                                  products. By way of example, BATS and                                                                            Commission process and review your
                                                  NYSE Arca both published proprietary                      C. Self-Regulatory Organization’s                      comments more efficiently, please use
                                                  data on the Internet before registering as                Statement on Comments on the                           only one method. The Commission will
                                                  exchanges. Second, because a single                       Proposed Rule Change Received From                     post all comments on the Commission’s
                                                  order or transaction report can appear in                 Members, Participants, or Others                       Internet Web site (http://www.sec.gov/
                                                  an SRO proprietary product, a non-SRO                       No written comments were solicited                   rules/sro.shtml). Copies of the
                                                  proprietary product, or both, the amount                                                                         submission, all subsequent
                                                                                                            or received with respect to the proposed
                                                  of data available via proprietary                                                                                amendments, all written statements
                                                                                                            rule change.
                                                  products is greater in size than the                                                                             with respect to the proposed rule
                                                  actual number of orders and transaction                   III. Date of Effectiveness of the                      change that are filed with the
                                                  reports that exist in the marketplace.                    Proposed Rule Change and Timing for                    Commission, and all written
                                                  With respect to NYSE Arca BBO and                         Commission Action                                      communications relating to the
                                                  NYSE Arca Trades, competitors offer                                                                              proposed rule change between the
                                                  close substitute products.33 Because                         The foregoing rule change is effective
                                                                                                            upon filing pursuant to section                        Commission and any person, other than
                                                  market data users can find suitable
                                                                                                            19(b)(3)(A) 34 of the Act and                          those that may be withheld from the
                                                  substitutes for most proprietary market
                                                  data products, a market that overprices                   subparagraph (f)(2) of Rule 19b–4 35                   public in accordance with the
                                                  its market data products stands a high                    thereunder, because it establishes a due,              provisions of 5 U.S.C. 552, will be
                                                  risk that users may substitute another                    fee, or other charge imposed by the                    available for Web site viewing and
                                                  source of market data information for its                 Exchange.                                              printing in the Commission’s Public
                                                  own.                                                                                                             Reference Room, 100 F Street NE.,
                                                                                                               At any time within 60 days of the
                                                     Those competitive pressures imposed                                                                           Washington, DC 20549 on official
                                                                                                            filing of such proposed rule change, the
                                                  by available alternatives are evident in                                                                         business days between the hours of
                                                                                                            Commission summarily may
                                                  the Exchange’s proposed pricing.                                                                                 10:00 a.m. and 3:00 p.m. Copies of the
                                                                                                            temporarily suspend such rule change if
                                                     In addition to the competition and                     it appears to the Commission that such                 filing will also be available for
                                                  price discipline described above, the                     action is necessary or appropriate in the              inspection and copying at the principal
                                                  market for proprietary data products is                   public interest, for the protection of                 office of the Exchange. All comments
                                                  also highly contestable because market                                                                           received will be posted without change;
                                                                                                            investors, or otherwise in furtherance of
                                                  entry is rapid and inexpensive. The                                                                              the Commission does not edit personal
                                                                                                            the purposes of the Act. If the
                                                  history of electronic trading is replete                                                                         identifying information from
                                                                                                            Commission takes such action, the
                                                  with examples of entrants that swiftly                                                                           submissions.
                                                                                                            Commission shall institute proceedings
                                                  grew into some of the largest electronic
                                                                                                            under section 19(b)(2)(B) 36 of the Act to                You should submit only information
                                                  trading platforms and proprietary data
                                                  producers: Archipelago, Bloomberg                         determine whether the proposed rule                    that you wish to make available
                                                  Tradebook, Island, RediBook, Attain,                      change should be approved or                           publicly. All submissions should refer
                                                  TrackECN, BATS Trading and Direct                         disapproved.                                           to File Number SR–NYSEArca–2016–09
                                                  Edge. As noted above, BATS launched                                                                              and should be submitted on or before
                                                                                                            IV. Solicitation of Comments
                                                  as an ATS in 2006 and became an                                                                                  February 16, 2016.
                                                  exchange in 2008, while Direct Edge                         Interested persons are invited to                      For the Commission, by the Division of
                                                  began operations in 2007 and obtained                     submit written data, views, and                        Trading and Markets, pursuant to delegated
                                                  exchange status in 2010.                                  arguments concerning the foregoing,                    authority.37
mstockstill on DSK4VPTVN1PROD with NOTICES




                                                     In determining the proposed change                     including whether the proposed rule                    Brent J. Fields,
                                                  to the fees for NYSE Arca BBO and                         change is consistent with the Act.                     Secretary.
                                                  NYSE Arca Trades, the Exchange                            Comments may be submitted by any of
                                                                                                                                                                   [FR Doc. 2016–01393 Filed 1–25–16; 8:45 am]
                                                  considered the competitiveness of the                     the following methods:
                                                  market for proprietary data and all of                                                                           BILLING CODE 8011–01–P

                                                  the implications of that competition.                       34 15 U.S.C. 78s(b)(3)(A).
                                                                                                              35 17 CFR 240.19b–4(f)(2).
                                                    33 See   supra note 23.                                   36 15 U.S.C. 78s(b)(2)(B).                             37 17   CFR 200.30–3(a)(12).



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Document Created: 2018-02-02 12:38:31
Document Modified: 2018-02-02 12:38:31
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionNotices
FR Citation81 FR 4353 

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