81_FR_86578 81 FR 86348 - Self-Regulatory Organizations; National Securities Clearing Corporation; Notice of Filing of Advance Notice To Accelerate Its Trade Guaranty, Add New Clearing Fund Components, Enhance Its Intraday Risk Management, Provide for Loss Allocation of “Off-the-Market Transactions,” and Make Other Changes

81 FR 86348 - Self-Regulatory Organizations; National Securities Clearing Corporation; Notice of Filing of Advance Notice To Accelerate Its Trade Guaranty, Add New Clearing Fund Components, Enhance Its Intraday Risk Management, Provide for Loss Allocation of “Off-the-Market Transactions,” and Make Other Changes

SECURITIES AND EXCHANGE COMMISSION

Federal Register Volume 81, Issue 230 (November 30, 2016)

Page Range86348-86355
FR Document2016-28771

Federal Register, Volume 81 Issue 230 (Wednesday, November 30, 2016)
[Federal Register Volume 81, Number 230 (Wednesday, November 30, 2016)]
[Notices]
[Pages 86348-86355]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-28771]


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

SECURITIES AND EXCHANGE COMMISSION

[Release No. 34-79391; File No. SR-NSCC-2016-803]


Self-Regulatory Organizations; National Securities Clearing 
Corporation; Notice of Filing of Advance Notice To Accelerate Its Trade 
Guaranty, Add New Clearing Fund Components, Enhance Its Intraday Risk 
Management, Provide for Loss Allocation of ``Off-the-Market 
Transactions,'' and Make Other Changes

November 23, 2016.
    Pursuant to Section 806(e)(1) of Title VIII of the Dodd-Frank Wall 
Street Reform and Consumer Protection Act entitled the Payment, 
Clearing, and Settlement Supervision Act of 2010 (``Clearing 
Supervision Act'') \1\ and Rule 19b-4(n)(1)(i) under the Securities 
Exchange Act of 1934 (``Act''),\2\ notice is hereby given that on 
October 25, 2016, National Securities Clearing Corporation (``NSCC'' or 
the ``Corporation'') filed with the Securities and Exchange Commission 
(``Commission'') the advance notice SR-NSCC-2016-803 (``Advance 
Notice'') as described in Items I, II and III below, which Items have 
been prepared primarily by the clearing agency.\3\ The Commission is 
publishing this notice to solicit comments on the Advance Notice from 
interested persons.
---------------------------------------------------------------------------

    \1\ 12 U.S.C. 5465(e)(1).
    \2\ 17 CFR 240.19b-4(n)(1)(i).
    \3\ On October 25, 2016, NSCC filed this Advance Notice as a 
proposed rule change (SR-NSCC-2016-005) with the Commission pursuant 
to Section 19(b)(1) of the Act, 15 U.S.C. 78s(b)(1) and Rule 19b-4, 
17 CFR 240.19b-4. A copy of the proposed rule change is available at 
http://www.dtcc.com/legal/sec-rule-filings.aspx.
---------------------------------------------------------------------------

I. Clearing Agency's Statement of the Terms of Substance of the Advance 
Notice

    This Advance Notice consists of amendments to NSCC's Rules & 
Procedures (``Rules'') \4\ in order to (i) accelerate NSCC's trade 
guaranty from midnight of one day after trade date (``T+1'') to the 
point of trade comparison and validation for bilateral submissions or 
to the point of trade validation for locked-in submissions, (ii) add 
three new components to the Clearing Fund formula and eliminate the 
current Specified Activity charge from the Clearing Fund formula, (iii) 
amend Procedure II to remove language that permits NSCC to delay 
processing and reporting for certain index receipt transactions, (iv) 
enhance NSCC's current intraday mark-to-market margin process and 
clarify the circumstances and criteria for its intraday risk management 
monitoring and intraday collections of mark-to-market margin, (v) 
introduce a new loss allocation provision for any trades that fall 
within the proposed definition of ``Off-the-Market Transactions'' and 
(vi) make a technical change to Procedure XV to remove the reference to 
ID Net Subscribers, as described below.
---------------------------------------------------------------------------

    \4\ Capitalized terms not defined herein are defined in the 
Rules, available at http://dtcc.com/~/media/Files/Downloads/legal/
rules/nscc_rules.pdf.
---------------------------------------------------------------------------

II. Clearing Agency's Statement of the Purpose of, and Statutory Basis 
for, the Advance Notice

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

(A) Clearing Agency's Statement on Comments on the Advance Notice 
Received From Members, Participants, or Others

    NSCC has not received any written comments relating to this 
proposed rule change. NSCC will notify the Commission of any written 
comments it receives.

(B) Advance Notice Filed Pursuant to Section 806(e) of the Payment, 
Clearing and Settlement Supervision Act

Description of Change
(i) Accelerate the NSCC Trade Guaranty
    Pursuant to Addendum K of the Rules, NSCC currently guarantees the 
completion of trades that are cleared and settled through NSCC's 
Continuous Net Settlement (``CNS'') \5\ system (``CNS trades'') and 
through its Balance Order Accounting Operation \6\ (``Balance Order 
trades'') that have reached the later of midnight of T+1 or midnight of 
the day they are reported to Members.\7\ NSCC proposes to amend its 
Rules in order to guarantee the completion of CNS trades and Balance 
Order trades upon comparison and validation for bilateral submissions 
to NSCC or upon validation for locked-in submissions to NSCC. 
Validation refers to the process whereby NSCC validates a locked-in 
trade, or compares and validates a bilateral trade, to confirm such 
trade has sufficient and correct information for clearance and 
settlement processing. For purposes of this description in the proposed 
rule change, the process of comparing and validating bilateral 
submissions and the process for validating locked-in submissions are 
collectively referred to as ``trade validation.''
---------------------------------------------------------------------------

    \5\ CNS and its operation are described in Rule 11 and Procedure 
VII.
    \6\ The Balance Order Accounting Operation is described in Rule 
5 and Procedure V. NSCC does not become a counterparty to Balance 
Order trades, but it does provide a trade guaranty to the receive 
and deliver parties that remains effective through close of business 
on the originally scheduled settlement date.
    \7\ Today, shortened process trades, such as same-day and next-
day settling trades, are already guaranteed upon comparison or trade 
recording processing.
---------------------------------------------------------------------------

    NSCC has previously shortened the time at which its trade guaranty 
applied to trades in response to processing developments and risk 
management considerations and to follow industry settlement cycles.\8\ 
Since implementation of the current trade guaranty policy, the 
marketplace has experienced significant change. The proposed 
accelerated trade guaranty and related proposed changes described 
herein would benefit the industry by mitigating counterparty risk and 
enhancing counterparties' ability to assess that risk by having NSCC 
become the central counterparty to CNS trades and by applying the trade 
guaranty to Balance Order trades at an earlier point in the settlement 
cycle.
---------------------------------------------------------------------------

    \8\ See Securities Exchange Act Release Nos. 44648 (August 2, 
2001), 66 FR 42245 (August 10, 2001) (SR-NSCC-2001-11); 35442 (March 
3, 1995), 60 FR 13197 (March 10, 1995) (SR-NSCC-95-02); 35807 (June 
5, 1995), 60 FR 31177 (June 13, 1995) (SR-NSCC-95-03); and 27192 
(August 29, 1989), 54 FR 37010 (approving SR-NSCC-87-04, SR-MCC-87-
03, and SR-SCCP-87-03 until December 31, 1990).
---------------------------------------------------------------------------

    The transfer of counterparty credit risk from Members to NSCC at an 
earlier point in the settlement cycle facilitates a shortened holding 
period of bilateral credit risk for counterparties by transferring the 
obligation onto NSCC, which is better equipped to manage that 
counterparty credit risk, including potential systemic impact, compared 
to the counterparties themselves.

[[Page 86349]]

    In order to implement this proposed change, NSCC would amend 
Addendum K of its Rules \9\ to provide that CNS trades and Balance 
Order trades would be guaranteed by NSCC at the point of trade 
validation.\10\
---------------------------------------------------------------------------

    \9\ Supra note 4.
    \10\ The proposed accelerated trade guaranty would not apply to 
items not currently guaranteed today.
---------------------------------------------------------------------------

    NSCC also proposes to clarify in Addendum K \11\ that the guaranty 
of obligations arising out of the exercise or assignment of options 
that are settled at NSCC is not governed by Addendum K \12\ but by a 
separate arrangement between NSCC and The Options Clearing Corporation, 
as referred to in Procedure III of the Rules.\13\
---------------------------------------------------------------------------

    \11\ Supra note 4.
    \12\ Id.
    \13\ Id.
---------------------------------------------------------------------------

(ii) Proposed Enhancements to NSCC's Clearing Fund Formula
    In conjunction with accelerating the trade guaranty, NSCC would 
enhance its Clearing Fund formula to address the risks posed by the 
expanded trade guaranty. Specifically, NSCC proposes to amend Procedure 
XV \14\ (Clearing Fund Formula and Other Matters) to include three new 
components: The Margin Requirement Differential (``MRD''), the Coverage 
Component and the Intraday Backtesting Charge.
---------------------------------------------------------------------------

    \14\ Id.
---------------------------------------------------------------------------

    NSCC also proposes to add to Procedure XV \15\ a description of the 
enhanced intraday mark-to-market component of the Clearing Fund formula 
that clarifies the circumstances and criteria for the assessment of an 
intraday mark-to-market call. In addition, NSCC proposes to delete the 
Specified Activity charge, a component of the Clearing Fund formula 
that mitigates shortened cycle risk (that is, the risk of the trade 
guaranty attaching prior to collection of daily Clearing Fund). This 
charge would no longer be necessary because the MRD would mitigate 
those same risks.
---------------------------------------------------------------------------

    \15\ Id.
---------------------------------------------------------------------------

    A more detailed description of the foregoing changes follows:
A. The Required Deposit and the Accelerated Trade Guaranty
    NSCC collects Required Deposits from all Members as margin to 
protect NSCC against losses in the event of a Member's default. The 
objective of the Required Deposit is to mitigate potential losses to 
NSCC associated with liquidation of the Member's portfolio if NSCC 
ceases to act for a Member (hereinafter referred to as a ``default''). 
NSCC determines Required Deposit amounts using a risk-based margin 
methodology that is intended to capture market price risk. The 
methodology uses historical market moves to project or forecast the 
potential gains or losses on the liquidation of a defaulting Member's 
portfolio, assuming that a portfolio would take three days to liquidate 
or hedge in normal market conditions. The projected liquidation gains 
or losses are used to determine the Member's Required Deposit, which is 
calculated to cover projected liquidation losses to be at or above a 99 
percent confidence level (the ``Coverage Target''). The aggregate of 
all Members' Required Deposits constitutes NSCC's Clearing Fund, which 
NSCC would be able to access if a defaulting Member's own Required 
Deposit is insufficient to satisfy losses to NSCC caused by the 
liquidation of the Member's portfolio.
    NSCC calculates and collects Required Deposits from Members daily. 
Each Member's daily Required Deposit is calculated based on the end-of-
day positions from the prior day and is generally collected by 10:00 
a.m. ET. NSCC's current trade guaranty does not generally attach to 
trades until midnight of T+1, after Required Deposits reflecting these 
trades have been collected. Therefore, Members' Required Deposits are 
generally sufficient to cover projected liquidation losses for 
guaranteed trades. However, under the accelerated trade guaranty 
proposal, NSCC's trade guaranty would attach to current-day trades 
immediately upon trade validation, before Required Deposits reflecting 
these trades have been collected (which NSCC refers to herein as the 
``coverage gap'').\16\ Therefore, Members' Required Deposits may not be 
sufficient to cover the projected liquidation losses of trades 
guaranteed by NSCC upon trade validation, and NSCC, absent the proposed 
Clearing Fund formula enhancements, could incur a loss associated with 
those trades if it ceases to act for a Member.
---------------------------------------------------------------------------

    \16\ The coverage gap is the period between the time that NSCC 
would guarantee a trade and the time that NSCC would collect 
additional margin to cover such trade.
---------------------------------------------------------------------------

B. Addition of the MRD to the Clearing Fund Formula
    The MRD is designed to help mitigate the risks posed to the 
Corporation by day-over-day fluctuations in a Member's portfolio by 
forecasting future changes in a Member's portfolio based on a 
historical look-back at each Member's portfolio over a given time 
period. A Member's portfolio may fluctuate significantly from one 
trading day to the next as the Member executes trades throughout the 
day. Currently, daily fluctuations in a Member's portfolio resulting 
from such trades do not pose any additional or different risk to NSCC 
because those trades are not guaranteed by NSCC until a Required 
Deposit reflecting such trades is collected by NSCC. However, under the 
accelerated trade guaranty proposal, trades would be guaranteed by NSCC 
upon trade validation and therefore may result in large un-margined 
intraday portfolio fluctuations during the coverage gap. The MRD would 
increase Members' Required Deposits by an amount calculated to cover 
forecasted fluctuations in Members' portfolios, based upon historical 
activity.
    The MRD would be calculated and charged on a daily basis as a part 
of each Member's Required Deposit and consists of two components: The 
``MRD VaR'' and the ``MRD MTM.'' The MRD VaR looks at historical day-
over-day positive changes in the start of day (``SOD'') volatility 
component of a Member's Required Deposit \17\ (``Volatility Charge'') 
over a 100-day look-back period and would be calculated to equal the 
exponentially weighted moving average (``EWMA'') of such changes to the 
Member's Volatility Charge during the look-back period. The MRD MTM 
looks at historical day-over-day increases to the SOD mark-to-market 
component of a Member's Required Deposit \18\ over a 100-day look-back 
period and would be calculated to equal the EWMA of such changes to the 
Member's SOD mark-to-market component during the look-back period. The 
MRD is calculated to equal the sum of MRD VaR and MRD MTM times a 
multiplier calibrated based on backtesting results. NSCC has determined 
that a 100-day look-back period would provide it with a sufficient time 
series to reflect current market conditions.
---------------------------------------------------------------------------

    \17\ The volatility component of the Clearing Fund formula for 
CNS trades and Balance Order trades is described in Procedure XV, 
Sections I.(A)(1)(a) and I.(A)(2)(a), respectively.
    \18\ The SOD mark-to-market component of the Clearing Fund 
formula for CNS trades consists of Regular Mark-to-Market and ID Net 
Mark-to-Market, which are described in Procedure XV, Sections 
I.(A)(1)(b) and I.(A)(1)(c), respectively. The SOD mark-to-market 
component of the Clearing Fund formula for Balance Order trades is 
described in Procedure XV, Section I.(A)(2)(b).
---------------------------------------------------------------------------

    By addressing the day-over-day changes to each Member's SOD 
Volatility Charge and SOD mark-to-market component, the MRD would help 
mitigate the risks posed to the Corporation by un-margined day-over-day 
fluctuations to a Member's portfolio resulting from intraday trading 
activity

[[Page 86350]]

that would be guaranteed during the coverage gap.
C. Addition of the Coverage Component to the Clearing Fund Formula
    The ``Coverage Component'' is designed to mitigate the risks 
associated with a Member's Required Deposit being insufficient to cover 
projected liquidation losses to the Coverage Target by adjusting a 
Member's Required Deposit towards the Coverage Target. The Corporation 
would face increased exposure to a Member's un-margined portfolio as a 
result of the proposed accelerated trade guaranty and would have an 
increased need to have each Member's Required Deposit meet the Coverage 
Target. The Coverage Component would supplement the MRD by preemptively 
increasing a Member's Required Deposit in an amount calculated to 
forecast potential deficiencies in the margin coverage of a Member's 
guaranteed portfolio. The preemptive nature of the Coverage Component 
differentiates it from the Regular Backtesting Charge and the Intraday 
Backtesting Charge, both of which are reactive measures to increase the 
Member's Required Deposit to above the Coverage Target.
    The Coverage Component would be calculated and charged on a daily 
basis as a part of each Member's Required Deposit. To calculate the 
Coverage Component, NSCC would compare the simulated liquidation profit 
and loss of a Member's portfolio, using the actual positions in the 
Member's portfolio and the actual historical returns on the security 
positions in the portfolio, against the sum of each of the following 
components of the Clearing Fund formula: The Volatility Charge, the 
MRD, the Illiquid Charge and the Market Maker domination charge 
(collectively, the ``Market Risk Components''), to determine if there 
were any deficiencies between the amounts collected by these components 
and the simulated profit and loss of the Member's portfolio that would 
have been realized had it been liquidated during a 100-day look-back 
period. NSCC would then determine a daily ``peak deficiency'' amount 
for each Member equal to the maximum deficiency over a rolling 10 
business day period for the preceding 100 days. The Coverage Component 
would be calculated to equal the EWMA of the peak deficiencies over the 
100-day look-back period.
    In working to bring each Member's Required Deposit towards the 
Coverage Target by preemptively collecting an amount designed to cover 
projected liquidation profit and loss of a Member's portfolio, 
including the trades guaranteed during the coverage gap, NSCC would 
further mitigate the risks posed to it by the proposed accelerated 
trade guaranty.
D. Addition of the Intraday Backtesting Charge to the Clearing Fund 
Formula
    NSCC employs daily backtesting to determine the adequacy of each 
Member's Required Deposit. NSCC compares the Required Deposit \19\ for 
each Member with the simulated liquidation profit and loss using the 
actual positions in the Member's portfolio and the actual historical 
returns on the security positions in the portfolio. NSCC investigates 
the cause(s) of any backtesting deficiencies. As a part of this 
investigation, NSCC pays particular attention to Members with 
backtesting deficiencies that bring the results for that Member below 
the Coverage Target to determine if there is an identifiable cause of 
repeat backtesting deficiencies. NSCC also evaluates whether multiple 
Members experience backtesting deficiencies for the same underlying 
reason. Upon implementation of the accelerated trade guaranty, NSCC 
would employ a similar backtesting process on an intraday basis to 
determine the adequacy of each Member's Required Deposit. However, 
instead of backtesting a Member's Required Deposit against the Member's 
SOD portfolio, NSCC would use portfolios from two intraday time 
slices.\20\
---------------------------------------------------------------------------

    \19\ For backtesting comparisons, NSCC uses the Required Deposit 
amount without regard to the actual collateral posted by the Member.
    \20\ Intraday time slices are subject to change based upon 
market conditions and would include the positions from SOD plus any 
additional positions up to that time.
---------------------------------------------------------------------------

1. Calculation of the Intraday Backtesting Charge
    The objective of the Intraday Backtesting Charge is to increase 
Required Deposits for Members that are likely to experience intraday 
backtesting deficiencies on the basis described above by an amount 
sufficient to maintain such Member's intraday backtesting coverage 
above the Coverage Target. Members that maintain consistent end of day 
positions but have a high level of intraday trading activity pose risk 
to NSCC if they were to default intraday.
    Because the intraday trading activity and size of the intraday 
backtesting deficiencies vary among impacted Members, NSCC must assess 
an Intraday Backtesting Charge that is specific to each impacted 
Member. To do so, NSCC examines each impacted Member's historical 
intraday backtesting deficiencies observed over the prior 12-month 
period to identify the five largest intraday backtesting deficiencies 
that have occurred during that time. The presumptive Intraday 
Backtesting Charge amount would equal that Member's fifth largest 
historical intraday backtesting deficiency, subject to adjustment as 
further described below. NSCC believes that applying an additional 
margin charge equal to the fifth largest historical intraday 
backtesting deficiency to a Member's Required Deposit would have 
brought the Member's historically observed intraday backtesting 
coverage above the Coverage Target.\21\
---------------------------------------------------------------------------

    \21\ Intraday backtesting would include 500 observations per 
year (twice per day over 250 observation days). Each occurrence of a 
backtesting deficiency would reduce a Member's overall backtesting 
coverage by 0.2 percent (1 exception/500 observations). Accordingly, 
an Intraday Backtesting Charge equal to the fifth largest 
backtesting deficiency would have brought backtesting coverage up to 
99.2 percent.
---------------------------------------------------------------------------

    The Intraday Backtesting Charge would only be applicable to those 
Members whose overall 12-month trailing intraday backtesting coverage 
falls below the Coverage Target.
    Although the fifth largest historical backtesting deficiency for a 
Member would be used as the Intraday Backtesting Charge in most cases, 
NSCC would retain discretion to adjust the charge amount based on other 
circumstances that might be relevant for assessing whether an impacted 
Member is likely to experience future backtesting deficiencies and the 
estimated size of such deficiencies. Examples of relevant circumstances 
that could be considered by NSCC in calculating the final, applicable 
Intraday Backtesting Charge amount include material differences among 
the Member's five largest intraday backtesting deficiencies observed 
over the prior 12-month period, variability in the net settlement 
activity after the collection of the Member's Required Deposit and 
observed market price volatility in excess of the Member's historical 
Volatility Charge. Based on NSCC's assessment of the impact of these 
circumstances on the likelihood, and estimated size, of future intraday 
backtesting deficiencies for a Member, NSCC may, in its discretion, 
adjust the Intraday Backtesting Charge for such Member in an amount 
that NSCC determines to be more appropriate for maintaining such 
Member's intraday backtesting results above the Coverage Target.
    The resulting Intraday Backtesting Charge would be added to the 
Required

[[Page 86351]]

Deposit for such Member and would be imposed on a daily basis for a 
one-month period.
    In order to differentiate the Backtesting Charge assessed on the 
start of the day portfolio from the Backtesting Charge assessed on an 
intraday basis, NSCC would amend the Rules by adding a defined term 
``Regular Backtesting Charge'' to Procedure XV, Section I.(B)(3).\22\
---------------------------------------------------------------------------

    \22\ Supra note 4.
---------------------------------------------------------------------------

2. Communication With Members and Imposition of the Intraday 
Backtesting Charge
    If NSCC determines that an Intraday Backtesting Charge should apply 
to a Member who was not assessed an Intraday Backtesting Charge during 
the immediately preceding month or that the Intraday Backtesting Charge 
applied to a Member during the previous month should be increased, NSCC 
would notify the Member on or around the 25th calendar day of the month 
prior to the assessment of the Intraday Backtesting Charge or prior to 
the increase to the Intraday Backtesting Charge, as applicable, if not 
earlier.
    NSCC would impose the Intraday Backtesting Charge as an additional 
charge applied to each impacted Member's Required Deposit on a daily 
basis for a one-month period and would review each applied Intraday 
Backtesting Charge each month. If an impacted Member's trailing 12-
month intraday backtesting coverage exceeds the Coverage Target 
(without taking into account historically imposed Intraday Backtesting 
Charges), the Intraday Backtesting Charge would be removed.
E. Removal of the Specified Activity Charge From the Clearing Fund 
Formula
    Currently, NSCC collects a Specified Activity charge, which is 
designed to cover the risk posed to NSCC by transactions that settle on 
a shortened cycle.\23\ Such transactions pose an increased risk to NSCC 
because these trades settle on a shortened settlement cycle and may be 
guaranteed by NSCC prior to the collection of margin on them. The 
Specified Activity charge currently mitigates this risk by increasing 
the Required Deposit for a Member in relation to the number of 
Specified Activity trades submitted by the Member to NSCC over a 100-
day look-back period. However, the risk posed to NSCC by Specified 
Activity would no longer be unique to such trade activity--the proposed 
accelerated trade guaranty would result in a similar risk to NSCC. The 
addition of the MRD and Coverage Components to the Clearing Fund 
formula would mitigate the risks posed by trades guaranteed by NSCC 
prior to the collection of margin on those trades. As a result, NSCC 
proposes to eliminate the Specified Activity charge because imposing a 
separate Specified Activity charge would no longer be necessary once 
the MRD and Coverage Components are added to the Clearing Fund formula.
---------------------------------------------------------------------------

    \23\ Examples of these trades can include next day settling 
trades, same day settling trades, cash trades or sellers' options.
---------------------------------------------------------------------------

F. Enhanced Intraday Mark-to-Market Margining
    NSCC proposes to enhance its current intraday margining to further 
mitigate the intraday coverage gap risk that may be introduced to the 
Corporation as a result of the proposed accelerated trade guaranty. By 
way of background, NSCC currently collects a SOD mark-to-market margin, 
which is designed to mitigate the risk arising out of the value change 
between the contract/settlement value of a Member's open positions and 
the current market value, as part of its Clearing Fund formula. A 
Member's SOD mark-to-market margin is calculated and collected as part 
of a Member's daily Required Deposit based on the Member's prior end-
of-day positions. The SOD mark-to-market component of the daily 
Required Deposit is calculated to cover a Member's exposure due to 
market moves and/or trading and settlement activity by bringing the 
portfolio of open positions up to the current market value. However, 
because the SOD mark-to-market component is calculated only once daily 
using the prior end-of-day positions and prices, it will not cover a 
Member's exposure arising out of any intraday changes to position and 
market value in a Member's portfolio. Accordingly, NSCC currently 
collects intraday mark-to-market margin from Members to cover 
additional risk exposure arising out of intraday position and market 
value changes to the Member's portfolio if the additional risks are 
sufficiently large to warrant the collection of an intraday margin.
    NSCC has determined that it is not necessary to collect intraday 
margin from every Member that experiences an intraday mark-to-market 
change because the Volatility Charge already collected as part of 
Members' daily Required Deposits is calculated to cover projected 
changes in the contract/settlement value of a Member's portfolio and 
likely cover intraday changes to a Member's portfolio. However, in 
certain instances, Members may have intraday mark-to-market changes 
that are significant enough that NSCC is exposed to an increased risk 
of loss as a result of such Member's intraday activities. In 
particular, NSCC measures each Member's intraday mark-to-market 
exposure against the Volatility Charge. NSCC collects an intraday mark-
to-market amount from any Member that has an intraday mark-to-market 
exposure that meets or exceeds a threshold percentage as compared to 
the Member's Volatility Charge. NSCC believes that such Members pose an 
increased risk of loss to the Corporation because the coverage provided 
by the Volatility Charge, which is designed to cover estimated losses 
to a portfolio over a specified time period, would be exhausted by an 
intraday mark-to-market exposure so large that the Member's Required 
Deposit would potentially be unable to absorb further intraday losses 
to the Member's portfolio.
    In order to further mitigate the risk posed to NSCC by the proposed 
accelerated trade guaranty, NSCC is proposing to enhance its collection 
of intraday mark-to-market margin. NSCC would impose the intraday mark-
to-market margin amount at a lower threshold. Currently, NSCC makes an 
intraday mark-to-market margin call if a Member's intraday mark-to-
market exposure meets or exceeds 100 percent of such Member's 
Volatility Charge; however, such threshold may be reduced by NSCC 
during volatile market conditions. With this proposal, NSCC would make 
an intraday margin call if a Member's intraday mark-to-market exposure 
meets or exceeds 80 percent of such Member's Volatility Charge, where 
such threshold may still be reduced by NSCC during volatile market 
conditions. This proposed change would serve to collect intraday margin 
earlier and more proactively preserve the coverage provided by a 
Member's Volatility Charge and Required Deposit.
    In addition, NSCC would monitor intraday changes to Member's mark-
to-market exposure at regular intervals to further mitigate the risk 
posed to NSCC by the accelerated trade guaranty. By doing so, NSCC 
would be able to make intraday margin calls more frequently to those 
Members whose intraday mark-to-market exposures exceed the Volatility 
Charge threshold. Enhancing the collection of the intraday mark-to-
market amount so that it occurs earlier and more frequently would allow 
NSCC to reduce the amount of uncovered risk during the coverage gap and 
would therefore further mitigate the risk posed to the Corporation by 
the accelerated trade guaranty.
    NSCC proposes to amend Procedure XV to include a description of the

[[Page 86352]]

enhanced intraday mark-to-market margin charge that clarifies the 
circumstances and criteria for the assessment of an intraday mark-to-
market call. This would ensure that Members are aware that the 
Corporation regularly monitors and considers intraday mark-to-market as 
part of its regular Clearing Fund formula.
G. Adjustments to the Calculation of the Excess Capital Premium 
Component
    The Excess Capital Premium \24\ is designed to address spikes in a 
Member's Required Deposit based upon any one day of activity. It is not 
designed to provide additional Required Deposits over an extended 
period of time. Currently, the Excess Capital Premium for a Member is 
calculated based upon the Member's Clearing Fund Required Deposit and 
the Member's excess net capital. With the addition of the MRD and the 
Coverage Component, NSCC proposes to exclude these charges from the 
calculation of the Excess Capital Premium. The MRD and the Coverage 
Component all utilize a historical look-back period, which accounts for 
the risk of such activity well after the relevant trades have settled. 
Risks related to such trades would be reflected in increased amounts 
assessed for these components over the subsequent time periods. If 
these components are included in the calculation of the Excess Capital 
Premium, especially during periods following an increase in activity, 
then the increased MRD and Coverage Component could lead to more 
frequent Excess Capital Premium charges over an extended period of 
time. This is not the intended purpose of the Excess Capital Premium 
and could place an unnecessary burden on Members.
---------------------------------------------------------------------------

    \24\ The Excess Capital Premium is a charge imposed on a Member 
when the Member's Required Deposit exceeds its excess net capital, 
as described in Procedure XV.
---------------------------------------------------------------------------

(iii) Proposed Changes to Procedure II (Trade Comparison and Recording 
Service)
    Next day settling index receipts may be guaranteed prior to the 
collection of margin reflecting such trades and thus carry a very 
similar risk as Specified Activity trades described above. More 
specifically, because these trades are settled on the day after they 
are received and validated by NSCC, NSCC currently attaches its 
guaranty to them at the time of validation, prior to the collection of 
a Required Deposit that reflects such trades. Unlike the risk from 
Specified Activity trades, which is mitigated by the Specified Activity 
charge, the risk for next day settling index receipts is currently 
mitigated by permitting NSCC to delay the processing and reporting of 
these trades if a Member's Required Deposit is not paid on time. 
However, like the risk associated with Specified Activity, under the 
proposed rule change, this risk would generally be mitigated by the 
addition of the MRD and the Coverage Component. Therefore, NSCC 
proposes to amend Procedure II \25\ (Trade Comparison and Recording 
Service) to remove the language that permits NSCC to delay the 
processing and reporting of next day settling index receipts until the 
applicable margin on these transactions is paid.
---------------------------------------------------------------------------

    \25\ Supra note 4.
---------------------------------------------------------------------------

(iv) Loss Allocation Provision for Off-the-Market Transactions
    NSCC proposes to introduce a new loss allocation provision for any 
trades that fall within the proposed definition of ``Off-the-Market 
Transactions'' in order to limit NSCC's exposure to certain trades that 
have a price that differs significantly from the prevailing market 
price for the underlying security at the time the trade is executed. 
This provision would apply in the event that NSCC ceases to act for a 
Member that engaged in Off-the-Market Transactions and only to the 
extent that NSCC incurs a net loss in the liquidation of such 
Transactions.\26\
---------------------------------------------------------------------------

    \26\ A net loss on liquidation of the Off-the-Market Transaction 
means that the loss on liquidation of the Member's portfolio exceeds 
the collected Required Deposit of the Member and such loss is 
attributed to the Off-the-Market Transaction. Such loss would be 
allocated directly and entirely to the Member that submitted the 
Off-the-Market Transaction, or on whose behalf the Off-the-Market 
Transaction was submitted, to NSCC; however, no allocation would be 
made if such Member has satisfied all applicable intraday mark-to-
market margin charges assessed by NSCC with respect to the Off-the-
Market Transaction.
---------------------------------------------------------------------------

    NSCC would define ``Off-the-Market Transactions'' as either a 
single transaction or a series of transactions settled within the same 
cycle with greater than $1 million in gross proceeds and either higher 
or lower than the most recently observed market price by a percentage 
amount based on market conditions and factors that impact trading 
behavior of the underlying security, including volatility, liquidity 
and other characteristics of such security.
    The proposed rule change would establish the loss allocation for 
Off-the-Market Transactions. NSCC would allocate any losses to NSCC 
resulting from the liquidation of any guaranteed, open Off-the-Market 
Transaction of a defaulted Member directly and entirely to the 
surviving counterparty to that transaction. Losses would be allocated 
to counterparties in proportion to their specific Off-the-Market 
Transaction gain and would be allocated only to the extent of NSCC's 
loss; however, no allocation shall be made if the defaulted Member has 
satisfied all requisite intraday mark-to-market margin assessed by NSCC 
with respect to the Off-the-Market Transaction.\27\
---------------------------------------------------------------------------

    \27\ A Member's Off-the-Market Transaction that has been marked 
to market is, by definition, no longer an Off-the-Market Transaction 
when the mark-to-market component of the Member's Required Deposit 
is satisfied.
---------------------------------------------------------------------------

    This proposed change would allow NSCC to mitigate the risk of loss 
associated with guaranteeing these Off-the-Market Transactions. The 
proposal recognizes that applying the accelerated trade guaranty to 
transactions whose price significantly differs from the most recently 
observed market price could inappropriately increase the loss that NSCC 
may incur if a Member that has engaged in Off-the-Market Transactions 
defaults and its open, guaranteed positions are liquidated. Members not 
involved in Off-the-Market Transactions, or not involved in Off-the-
Market Transactions that result in losses to NSCC, would not be 
included in this process. This exclusion would apply only to losses 
that are attributable to Off-the-Market Transactions and would not 
exclude Members from other obligations that may result from any loss or 
liabilities incurred by NSCC from a Member default.
    In order to implement this proposed change, NSCC would amend Rule 4 
\28\ (Clearing Fund) to provide that, if a loss or liability of NSCC is 
determined by NSCC to arise in connection with the liquidation of any 
Off-the-Market Transactions, such loss or liability would be allocated 
directly to the surviving counterparty to the Off-the-Market 
Transaction that submitted the transaction to NSCC for clearing. NSCC 
would also amend Rule 1 \29\ (Definitions and Descriptions) to include 
a definition of Off-the-Market Transactions.
---------------------------------------------------------------------------

    \28\ Supra note 4.
    \29\ Id.
---------------------------------------------------------------------------

(v) Technical Proposed Rule Change
    NSCC is proposing a change to Procedure XV \30\ to clarify the 
calculation of the Regular Mark-to-Market component for CNS 
transactions. NSCC's historical and current policy for the calculation 
of any mark-to-market component of the Clearing Fund calculation for 
CNS trades and Balance Order trades is that where a credit is derived 
from a Member's mark-to-

[[Page 86353]]

market calculation, the value of the calculation is adjusted to zero. 
When NSCC implemented the ID Net service,\31\ a provision was added to 
Procedure XV \32\ that explicitly stated this policy as it relates to 
CNS transactions of subscribers to the ID Net service. This change 
inadvertently created an implication that the calculation of Regular 
Mark-to-Market credit for Members who were not ID Net Subscribers would 
not be set to zero. NSCC is proposing to revise the applicable 
provision to remove the reference to ID Net Subscribers.
---------------------------------------------------------------------------

    \30\ Id.
    \31\ NSCC's ID Net service is defined further in Rule 65. Rules, 
supra note 4. See Securities Exchange Act Release No. 57901 (June 2, 
2008), 73 FR 32373 (June 6, 2008) (SR-NSCC-2007-14).
    \32\ Supra note 4.
---------------------------------------------------------------------------

Expected Effect on Risks to the Clearing Agency, Its Participants and 
the Market
    The proposed rule changes would mitigate Member's counterparty 
risks and would enhance Members' ability to assess that risk by having 
NSCC become the central counterparty to CNS trades and by applying the 
trade guaranty to Balance Order trades at an earlier point in the 
settlement cycle.
    Although the transfer of counterparty credit risk from Members to 
NSCC at an earlier point in the settlement cycle facilitates a 
shortened holding period of bilateral credit risk for the Members, it 
does increase risk to NSCC. However, as discussed below, NSCC believes 
that it is better equipped to manage that counterparty credit risk, 
including potential systemic impact, compared to the counterparties 
themselves.
Management of Identified Risks
    The proposal is designed to mitigate counterparty risk while still 
protecting NSCC and its membership.
    The proposed rule changes to (i) add the new components to the 
Clearing Fund formula and (ii) enhance the intraday mark-to-market 
margin process would allow NSCC to appropriately collect additional 
margin to mitigate the exposure presented to NSCC by the accelerated 
trade guaranty. The proposal to introduce a new loss allocation 
provision for Off-the-Market Transactions would help NSCC to limit its 
exposure to Off-the-Market Transactions.
    Specifically, the proposal to add the MRD, the Coverage Component 
and the Intraday Backtesting Charge to the Clearing Fund formula and to 
collect intraday mark-to-market margin at a lower threshold would 
mitigate the exposure presented to NSCC by the accelerated trade 
guaranty and permit NSCC to enhance its margin requirements to better 
limit its credit exposures to participants under normal market 
conditions.
    In addition, NSCC's proposal to expand its current intraday margin 
collection to include (a) the collection of intraday mark-to-market 
margin at a lower threshold and (b) the collection of the Intraday 
Backtesting Charge would further enhance its intraday monitoring and 
its ability to measure credit exposures at least once a day.
    Similarly, the proposed rule changes to introduce a new loss 
allocation provision for any trades that fall within the proposed 
definition of Off-the-Market Transactions would help NSCC to limit its 
exposure to certain trades that have a price that differs significantly 
from the most recently observed market price for the underlying 
security. Therefore, the reduction of NSCC's exposure to Off-the-Market 
Transactions would assist NSCC in responding to a Member default and 
would minimize potential losses to NSCC and its non-defaulting Members.
    NSCC has also taken actions outside of the proposals described in 
this filing to strengthen its liquidity resources and to enable it to 
cover its total liquidity needs, including any liquidity needs that 
would arise from the accelerated trade guaranty. NSCC calculates its 
liquidity need by assuming the failure of the Member (including the 
simultaneous default of the Member's affiliated family) that has the 
largest net settlement debit in extreme but plausible market 
conditions.\33\ Although the proposal would increase the number of days 
for which NSCC would be required, under its Rules, to guarantee 
settlement to include T and T+1 trades, the Rules currently provide 
that it may, although it is not legally obligated to, optionally 
guarantee these trades. Given NSCC's role in promoting safety, 
soundness and stability in the U.S. equities markets, NSCC currently 
includes these trades in its daily liquidity need analyses to account 
for the circumstances where this optional guaranty would be called 
upon. NSCC has never actually experienced a liquidity shortfall in the 
close out of a defaulted Member.
---------------------------------------------------------------------------

    \33\ Every day NSCC measures the liquidity obligations of each 
of NSCC's Members by taking the sum of their purchase obligations on 
that day from CNS and for the following three settlement days, and 
then, taking into account certain adjustments, assumptions and 
offsets, NSCC identifies the largest Member liquidity need on each 
day and, determines if the available liquidity resources are 
adequate to cover that largest liquidity need or if there is a 
projected liquidity shortfall.
---------------------------------------------------------------------------

    NSCC measures the potential liquidity impact of the accelerated 
trade guaranty on a daily basis. NSCC has enhanced its liquidity 
resources through the implementation of NSCC's supplemental liquidity 
deposit (``SLD'') requirements.\34\ NSCC's SLD requirements were 
designed to require Members with historically elevated options activity 
to provide supplemental liquidity deposits in advance of and in 
anticipation of options expiry periods, as well as to accept voluntary 
pre-funded supplemental liquidity deposits from other Members who 
anticipate elevated liquidity needs during these periods. As such, the 
SLD requirements provide NSCC with the needed liquidity resources to 
address any liquidity shortfalls that may be experienced under the 
accelerated trade guaranty settlement cycle. Furthermore, NSCC has 
established a liquidity program to raise prefunded liquidity through 
the issuance and private placement of short-term, unsecured notes 
(``Prefunded Liquidity Program''), which may consist of a combination 
of commercial paper notes and extendible notes.\35\ Proceeds from the 
Prefunded Liquidity Program further supplement NSCC's existing default 
liquidity risk management resources.
---------------------------------------------------------------------------

    \34\ Securities Exchange Act Release No. 70999 (December 5, 
2013), 78 FR 75413 (December 11, 2013) (SR-NSCC-2013-02).
    \35\ Securities Exchange Act Release No. 75730 (August 19, 
2015), 80 FR 51638 (August 25, 2015) (SR-NSCC-2015-802).
---------------------------------------------------------------------------

Consistency With the Clearing Supervision Act
    The objectives and principles of the Clearing Supervision Act are 
to promote robust risk management, promote safety and soundness, reduce 
systemic risks, and support the stability of the broader financial 
system.\36\
---------------------------------------------------------------------------

    \36\ 12 U.S.C. 5464(b).
---------------------------------------------------------------------------

    The proposal to accelerate the time that NSCC's trade guaranty 
attaches to trades submitted to it for clearing has been designed to 
promote robust risk management, promote safety and soundness, reduce 
systemic risks and support the stability of the broader financial 
system in furtherance of the Clearing Supervision Act.
    Specifically, NSCC would provide a trade guaranty to CNS trades and 
Balance Order trades at an earlier point in the settlement cycle. The 
proposed rule changes would mitigate counterparty risk and would 
enhance NSCC Members' ability to assess that risk by having NSCC become 
the central counterparty to CNS trades and by applying the trade 
guaranty to Balance Order trades at an earlier point in the settlement 
cycle. The transfer of

[[Page 86354]]

counterparty credit risk from Members to NSCC at an earlier point in 
the settlement cycle facilitates a shortened holding period of 
bilateral credit risk for the counterparties by transferring the 
obligation onto NSCC, which is better equipped to manage that 
counterparty credit risk, including potential systemic impact, compared 
to the counterparties themselves. Therefore, NSCC believes the proposal 
to accelerate the trade guaranty would promote robust risk management, 
promote safety and soundness, reduce systemic risks and support the 
stability of the broader financial system, consistent with the 
objectives and principles of Section 805(b) of the Clearing Supervision 
Act cited above.
    The proposed rule changes to enhance the Clearing Fund formula and 
to introduce a new loss allocation provision for Off-the-Market 
Transactions have been designed to promote robust risk management and 
promote safety and soundness in furtherance of the Clearing Supervision 
Act. In conjunction with the enhanced trade processing in the form of 
the accelerated trade guaranty, the proposed additional Clearing Fund 
components and enhancements to NSCC's current intraday mark-to-market 
margin process would allow NSCC to appropriately manage its risk by 
collecting additional margin to mitigate the exposure presented to NSCC 
by the accelerated trade guaranty. Additionally, the proposal to 
introduce a new loss allocation provision for any trades that fall 
within a proposed definition of ``Off-the-Market Transactions'' would 
help NSCC to limit its exposure to certain trades that have a price 
that differs significantly from the most recently observed market price 
for the underlying security. Together, the collection of additional 
margin and the reduction of NSCC's exposures to ``Off-the-Market 
Transactions'' would assist NSCC in responding to a Member default and 
would minimize potential losses to NSCC and its non-defaulting Members. 
Therefore, NSCC believes the proposed enhancements to the Clearing Fund 
formula and the introduction of an Off-the-Market Transaction 
allocation process would also promote robust risk management and 
promote safety and soundness, consistent with objectives and principles 
of Section 805(b) of the Clearing Supervision Act, cited above.
    NSCC believes that the proposal is also consistent with Rules 17Ad-
22(b)(1) and (b)(2), promulgated under the Act. Rule 17Ad-22(b)(1) 
requires NSCC to establish, implement, maintain and enforce written 
policies and procedures reasonably designed to measure its credit 
exposures to its participants at least once a day and limit its 
exposures to potential losses from defaults by its participants under 
normal market conditions so that the operations of NSCC would not be 
disrupted and non-defaulting participants would not be exposed to 
losses that they cannot anticipate or control.\37\ NSCC's proposal to 
expand its current intraday margin collection to include (a) the 
collection of intraday mark-to-market margin at a lower threshold and 
(b) the collection of the Intraday Backtesting Charge would further 
enhance its intraday monitoring and its ability to measure credit 
exposures at least once a day. The proposal to enhance the amount of 
margin collected from each Member would help NSCC to limit its exposure 
to potential losses from defaults by its participants under normal 
market conditions and reduce risk of loss mutualization to the NSCC 
membership. Similarly, the proposal to introduce a new loss allocation 
provision for Off-the-Market Transactions would also help NSCC to limit 
its exposure to potential losses from defaults by its participants 
under normal market conditions. Therefore, NSCC believes the proposals 
are consistent with the requirements of Rule 17Ad-22(b)(1), promulgated 
under the Act, cited above.
---------------------------------------------------------------------------

    \37\ 17 CFR 240.17Ad-22(b)(1).
---------------------------------------------------------------------------

    Rule 17Ad-22(b)(2) requires NSCC to establish, implement, maintain 
and enforce written policies and procedures reasonably designed to 
``use margin requirements to limit its credit exposures to participants 
under normal market conditions and use risk-based models and parameters 
to set margin requirements.'' \38\ The proposal to add the MRD, the 
Coverage Component and the Intraday Backtesting Charge to the Clearing 
Fund formula and to collect intraday mark-to-market margin at a lower 
threshold in order to mitigate the exposure presented to NSCC by the 
accelerated trade guaranty would enable NSCC to enhance its margin 
requirements to better limit its credit exposures to participants under 
normal market conditions. Therefore, NSCC believes the proposed changes 
are consistent with the requirements of Rule 17Ad-22(b)(2), promulgated 
under the Act, cited above.
---------------------------------------------------------------------------

    \38\ 17 CFR 240.17Ad-22(b)(2).
---------------------------------------------------------------------------

    The proposed changes to NSCC's Clearing Fund formula and the 
intraday margin process are also designed to be consistent with Rules 
17Ad-22(e)(4) and (e)(6) of the Act, which were recently adopted by the 
Commission.\39\ Rule 17Ad-22(e)(4) will require NSCC to establish, 
implement, maintain and enforce written policies and procedures 
reasonably designed to effectively identify, measure, monitor, and 
manage its credit exposures to participants and those exposures arising 
from its payment, clearing, and settlement processes.\40\ NSCC's 
proposal to expand its current intraday margin collection to include 
(a) the collection of intraday mark-to-market margin at a lower 
threshold and (b) the collection of the Intraday Backtesting Charge 
would enhance its ability to identify, measure, monitor and manage its 
credit exposures to participants. The proposal to enhance the amount of 
margin NSCC collected from each Member and to introduce a new loss 
allocation provision for Off-the-Market Transactions would further help 
NSCC to manage its credit exposures to participants and those exposures 
arising from its payment, clearing, and settlement processes. 
Therefore, NSCC believes these proposals are consistent with the 
requirements of Rule 17Ad-22(e)(4), promulgated under the Act, cited 
above.
---------------------------------------------------------------------------

    \39\ The Commission adopted amendments to Rule 17Ad-22, 
including the addition of new section 17Ad-22(e), on September 28, 
2016. See Securities Exchange Act Release No. 78961 (September 28, 
2016), 81 FR 70786 (October 13, 2016) (S7-03-14). The amendments to 
Rule 17Ad-22 become effective on December 12, 2016. Id. NSCC is a 
``covered clearing agency'' as defined in Rule 17Ad-22(a)(5) and 
must comply with new section (e) of Rule 17Ad-22 by April 11, 2017. 
Id.
    \40\ See Securities Exchange Act Release No. 78961 (September 
28, 2016), 81 FR 70786 (October 13, 2016) (S7-03-14).
---------------------------------------------------------------------------

    Rule 17Ad-22(e)(6) will require NSCC to establish, implement, 
maintain and enforce written policies and procedures reasonably 
designed to cover its credit exposures to its participants by 
establishing a risk-based margin system that is monitored by management 
on an ongoing basis and regularly reviewed, tested, and verified.\41\ 
The proposal to add the MRD, the Coverage Component and the Intraday 
Backtesting Charge to the Clearing Fund formula and to collect intraday 
mark-to-market margin at a lower threshold would help NSCC to cover its 
credit exposures to its participants by establishing a risk-based 
margin system that is monitored by management on an ongoing basis and 
regularly reviewed, tested, and verified. Therefore, NSCC believes this 
proposal is consistent with the requirements of Rule 17Ad-22(e)(6), 
promulgated under the Act, cited above.
---------------------------------------------------------------------------

    \41\ Id.

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

[[Page 86355]]

Implementation Timeframe
    Pending Commission approval, Members would be advised of the 
implementation date of this proposal through issuance of an NSCC 
Important Notice. NSCC expects to run the proposed changes in a test 
environment for a parallel period of at least three months prior to 
implementation. Details and dates regarding such test period would be 
communicated to Members through an NSCC Important Notice.

III. Date of Effectiveness of the Advance Notice, and Timing for 
Commission Action

    The proposed change may be implemented if the Commission does not 
object to the proposed change within 60 days of the later of (i) the 
date that the proposed change was filed with the Commission or (ii) the 
date that any additional information requested by the Commission is 
received. The clearing agency shall not implement the proposed change 
if the Commission has any objection to the proposed change.
    The Commission may extend the period for review by an additional 60 
days if the proposed change raises novel or complex issues, subject to 
the Commission providing the clearing agency with prompt written notice 
of the extension. A proposed change may be implemented in less than 60 
days from the date the advance notice is filed, or the date further 
information requested by the Commission is received, if the Commission 
notifies the clearing agency in writing that it does not object to the 
proposed change and authorizes the clearing agency to implement the 
proposed change on an earlier date, subject to any conditions imposed 
by the Commission.
    The clearing agency shall post notice on its Web site of proposed 
changes that are implemented.
    The proposal shall not take effect until all regulatory actions 
required with respect to the proposal are completed.

IV. Solicitation of Comments

    Interested persons are invited to submit written data, views and 
arguments concerning the foregoing, including whether the Advance 
Notice is consistent with the Clearing Supervision 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-NSCC-2016-803 on the subject line.

Paper Comments

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

All submissions should refer to File Number SR-NSCC-2016-803. 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 Advance Notice that are filed 
with the Commission, and all written communications relating to the 
Advance Notice between the Commission and any person, other than those 
that may be withheld from the public in accordance with the provisions 
of 5 U.S.C. 552, will be available for Web site viewing and printing in 
the Commission's Public Reference Room, 100 F Street NE., Washington, 
DC 20549 on official business days between the hours of 10:00 a.m. and 
3:00 p.m. Copies of the filing also will be available for inspection 
and copying at the principal office of NSCC and on DTCC's Web site 
(http://dtcc.com/legal/sec-rule-filings.aspx). 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-NSCC-2016-803 and should be submitted on 
or before December 15, 2016.

    By the Commission.
Brent J. Fields,
Secretary.
[FR Doc. 2016-28771 Filed 11-29-16; 8:45 am]
 BILLING CODE 8011-01-P



                                                86348                    Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Notices

                                                information that you wish to make                       Procedures (‘‘Rules’’) 4 in order to (i)               trades’’) and through its Balance Order
                                                available publicly. All submissions                     accelerate NSCC’s trade guaranty from                  Accounting Operation 6 (‘‘Balance Order
                                                should refer to File No. SR–BatsBYX–                    midnight of one day after trade date                   trades’’) that have reached the later of
                                                2016–35 and should be submitted on or                   (‘‘T+1’’) to the point of trade comparison             midnight of T+1 or midnight of the day
                                                before December 21, 2016.                               and validation for bilateral submissions               they are reported to Members.7 NSCC
                                                  For the Commission, by the Division of                or to the point of trade validation for                proposes to amend its Rules in order to
                                                Trading and Markets, pursuant to delegated              locked-in submissions, (ii) add three                  guarantee the completion of CNS trades
                                                authority.15                                            new components to the Clearing Fund                    and Balance Order trades upon
                                                Robert W. Errett,                                       formula and eliminate the current                      comparison and validation for bilateral
                                                Deputy Secretary.                                       Specified Activity charge from the                     submissions to NSCC or upon validation
                                                                                                        Clearing Fund formula, (iii) amend                     for locked-in submissions to NSCC.
                                                [FR Doc. 2016–28776 Filed 11–29–16; 8:45 am]
                                                                                                        Procedure II to remove language that                   Validation refers to the process whereby
                                                BILLING CODE 8011–01–P
                                                                                                        permits NSCC to delay processing and                   NSCC validates a locked-in trade, or
                                                                                                        reporting for certain index receipt                    compares and validates a bilateral trade,
                                                                                                        transactions, (iv) enhance NSCC’s                      to confirm such trade has sufficient and
                                                SECURITIES AND EXCHANGE
                                                                                                        current intraday mark-to-market margin                 correct information for clearance and
                                                COMMISSION
                                                                                                        process and clarify the circumstances                  settlement processing. For purposes of
                                                                                                        and criteria for its intraday risk                     this description in the proposed rule
                                                [Release No. 34–79391; File No. SR–NSCC–
                                                2016–803]                                               management monitoring and intraday                     change, the process of comparing and
                                                                                                        collections of mark-to-market margin,                  validating bilateral submissions and the
                                                Self-Regulatory Organizations;                          (v) introduce a new loss allocation                    process for validating locked-in
                                                National Securities Clearing                            provision for any trades that fall within              submissions are collectively referred to
                                                Corporation; Notice of Filing of                        the proposed definition of ‘‘Off-the-                  as ‘‘trade validation.’’
                                                Advance Notice To Accelerate Its                        Market Transactions’’ and (vi) make a                     NSCC has previously shortened the
                                                Trade Guaranty, Add New Clearing                        technical change to Procedure XV to                    time at which its trade guaranty applied
                                                Fund Components, Enhance Its                            remove the reference to ID Net                         to trades in response to processing
                                                Intraday Risk Management, Provide for                   Subscribers, as described below.                       developments and risk management
                                                Loss Allocation of ‘‘Off-the-Market                                                                            considerations and to follow industry
                                                                                                        II. Clearing Agency’s Statement of the
                                                Transactions,’’ and Make Other                                                                                 settlement cycles.8 Since
                                                                                                        Purpose of, and Statutory Basis for, the
                                                Changes                                                                                                        implementation of the current trade
                                                                                                        Advance Notice
                                                                                                                                                               guaranty policy, the marketplace has
                                                November 23, 2016.                                         In its filing with the Commission, the              experienced significant change. The
                                                   Pursuant to Section 806(e)(1) of Title               clearing agency included statements                    proposed accelerated trade guaranty and
                                                VIII of the Dodd-Frank Wall Street                      concerning the purpose of and basis for                related proposed changes described
                                                Reform and Consumer Protection Act                      the Advance Notice and discussed any                   herein would benefit the industry by
                                                entitled the Payment, Clearing, and                     comments it received on the Advance                    mitigating counterparty risk and
                                                Settlement Supervision Act of 2010                      Notice. The text of these statements may               enhancing counterparties’ ability to
                                                (‘‘Clearing Supervision Act’’) 1 and Rule               be examined at the places specified in                 assess that risk by having NSCC become
                                                19b–4(n)(1)(i) under the Securities                     Item IV below. The clearing agency has                 the central counterparty to CNS trades
                                                Exchange Act of 1934 (‘‘Act’’),2 notice is              prepared summaries, set forth in                       and by applying the trade guaranty to
                                                hereby given that on October 25, 2016,                  sections A and B below, of the most                    Balance Order trades at an earlier point
                                                National Securities Clearing Corporation                significant aspects of such statements.                in the settlement cycle.
                                                (‘‘NSCC’’ or the ‘‘Corporation’’) filed                 (A) Clearing Agency’s Statement on                        The transfer of counterparty credit
                                                with the Securities and Exchange                        Comments on the Advance Notice                         risk from Members to NSCC at an earlier
                                                Commission (‘‘Commission’’) the                         Received From Members, Participants,                   point in the settlement cycle facilitates
                                                advance notice SR–NSCC–2016–803                         or Others                                              a shortened holding period of bilateral
                                                (‘‘Advance Notice’’) as described in                                                                           credit risk for counterparties by
                                                Items I, II and III below, which Items                    NSCC has not received any written                    transferring the obligation onto NSCC,
                                                have been prepared primarily by the                     comments relating to this proposed rule                which is better equipped to manage that
                                                clearing agency.3 The Commission is                     change. NSCC will notify the                           counterparty credit risk, including
                                                publishing this notice to solicit                       Commission of any written comments it                  potential systemic impact, compared to
                                                comments on the Advance Notice from                     receives.                                              the counterparties themselves.
                                                interested persons.                                     (B) Advance Notice Filed Pursuant to
                                                                                                                                                                  6 The Balance Order Accounting Operation is
                                                I. Clearing Agency’s Statement of the                   Section 806(e) of the Payment, Clearing
                                                                                                                                                               described in Rule 5 and Procedure V. NSCC does
                                                Terms of Substance of the Advance                       and Settlement Supervision Act                         not become a counterparty to Balance Order trades,
                                                Notice                                                  Description of Change                                  but it does provide a trade guaranty to the receive
                                                                                                                                                               and deliver parties that remains effective through
                                                  This Advance Notice consists of                       (i) Accelerate the NSCC Trade Guaranty                 close of business on the originally scheduled
                                                amendments to NSCC’s Rules &                                                                                   settlement date.
                                                                                                           Pursuant to Addendum K of the                          7 Today, shortened process trades, such as same-
                                                                                                        Rules, NSCC currently guarantees the                   day and next-day settling trades, are already
                                                  15 17 CFR 200.30–3(a)(12).                            completion of trades that are cleared                  guaranteed upon comparison or trade recording
sradovich on DSK3GMQ082PROD with NOTICES




                                                  1 12 U.S.C. 5465(e)(1).
                                                                                                        and settled through NSCC’s Continuous                  processing.
                                                  2 17 CFR 240.19b–4(n)(1)(i).                                                                                    8 See Securities Exchange Act Release Nos. 44648
                                                  3 On October 25, 2016, NSCC filed this Advance
                                                                                                        Net Settlement (‘‘CNS’’) 5 system (‘‘CNS               (August 2, 2001), 66 FR 42245 (August 10, 2001)
                                                Notice as a proposed rule change (SR–NSCC–2016–                                                                (SR–NSCC–2001–11); 35442 (March 3, 1995), 60 FR
                                                                                                          4 Capitalized terms not defined herein are defined
                                                005) with the Commission pursuant to Section                                                                   13197 (March 10, 1995) (SR–NSCC–95–02); 35807
                                                19(b)(1) of the Act, 15 U.S.C. 78s(b)(1) and Rule       in the Rules, available at http://dtcc.com/∼/media/    (June 5, 1995), 60 FR 31177 (June 13, 1995) (SR–
                                                19b–4, 17 CFR 240.19b–4. A copy of the proposed         Files/Downloads/legal/rules/nscc_rules.pdf.            NSCC–95–03); and 27192 (August 29, 1989), 54 FR
                                                rule change is available at http://www.dtcc.com/          5 CNS and its operation are described in Rule 11     37010 (approving SR–NSCC–87–04, SR–MCC–87–
                                                legal/sec-rule-filings.aspx.                            and Procedure VII.                                     03, and SR–SCCP–87–03 until December 31, 1990).



                                           VerDate Sep<11>2014   16:51 Nov 29, 2016   Jkt 241001   PO 00000   Frm 00030   Fmt 4703   Sfmt 4703   E:\FR\FM\30NON1.SGM   30NON1


                                                                        Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Notices                                                   86349

                                                   In order to implement this proposed                  capture market price risk. The                        throughout the day. Currently, daily
                                                change, NSCC would amend Addendum                       methodology uses historical market                    fluctuations in a Member’s portfolio
                                                K of its Rules 9 to provide that CNS                    moves to project or forecast the                      resulting from such trades do not pose
                                                trades and Balance Order trades would                   potential gains or losses on the                      any additional or different risk to NSCC
                                                be guaranteed by NSCC at the point of                   liquidation of a defaulting Member’s                  because those trades are not guaranteed
                                                trade validation.10                                     portfolio, assuming that a portfolio                  by NSCC until a Required Deposit
                                                   NSCC also proposes to clarify in                     would take three days to liquidate or                 reflecting such trades is collected by
                                                Addendum K 11 that the guaranty of                      hedge in normal market conditions. The                NSCC. However, under the accelerated
                                                obligations arising out of the exercise or              projected liquidation gains or losses are             trade guaranty proposal, trades would
                                                assignment of options that are settled at               used to determine the Member’s                        be guaranteed by NSCC upon trade
                                                NSCC is not governed by Addendum                        Required Deposit, which is calculated to              validation and therefore may result in
                                                K 12 but by a separate arrangement                      cover projected liquidation losses to be              large un-margined intraday portfolio
                                                between NSCC and The Options                            at or above a 99 percent confidence                   fluctuations during the coverage gap.
                                                Clearing Corporation, as referred to in                 level (the ‘‘Coverage Target’’). The                  The MRD would increase Members’
                                                Procedure III of the Rules.13                           aggregate of all Members’ Required                    Required Deposits by an amount
                                                (ii) Proposed Enhancements to NSCC’s                    Deposits constitutes NSCC’s Clearing                  calculated to cover forecasted
                                                Clearing Fund Formula                                   Fund, which NSCC would be able to                     fluctuations in Members’ portfolios,
                                                                                                        access if a defaulting Member’s own                   based upon historical activity.
                                                   In conjunction with accelerating the                 Required Deposit is insufficient to                      The MRD would be calculated and
                                                trade guaranty, NSCC would enhance its                  satisfy losses to NSCC caused by the                  charged on a daily basis as a part of each
                                                Clearing Fund formula to address the                    liquidation of the Member’s portfolio.                Member’s Required Deposit and consists
                                                risks posed by the expanded trade                          NSCC calculates and collects
                                                guaranty. Specifically, NSCC proposes                                                                         of two components: The ‘‘MRD VaR’’
                                                                                                        Required Deposits from Members daily.                 and the ‘‘MRD MTM.’’ The MRD VaR
                                                to amend Procedure XV 14 (Clearing
                                                                                                        Each Member’s daily Required Deposit                  looks at historical day-over-day positive
                                                Fund Formula and Other Matters) to
                                                                                                        is calculated based on the end-of-day                 changes in the start of day (‘‘SOD’’)
                                                include three new components: The
                                                                                                        positions from the prior day and is                   volatility component of a Member’s
                                                Margin Requirement Differential
                                                                                                        generally collected by 10:00 a.m. ET.                 Required Deposit 17 (‘‘Volatility
                                                (‘‘MRD’’), the Coverage Component and
                                                                                                        NSCC’s current trade guaranty does not                Charge’’) over a 100-day look-back
                                                the Intraday Backtesting Charge.
                                                   NSCC also proposes to add to                         generally attach to trades until midnight             period and would be calculated to equal
                                                Procedure XV 15 a description of the                    of T+1, after Required Deposits                       the exponentially weighted moving
                                                enhanced intraday mark-to-market                        reflecting these trades have been                     average (‘‘EWMA’’) of such changes to
                                                component of the Clearing Fund                          collected. Therefore, Members’ Required               the Member’s Volatility Charge during
                                                formula that clarifies the circumstances                Deposits are generally sufficient to cover            the look-back period. The MRD MTM
                                                and criteria for the assessment of an                   projected liquidation losses for                      looks at historical day-over-day
                                                intraday mark-to-market call. In                        guaranteed trades. However, under the                 increases to the SOD mark-to-market
                                                addition, NSCC proposes to delete the                   accelerated trade guaranty proposal,                  component of a Member’s Required
                                                Specified Activity charge, a component                  NSCC’s trade guaranty would attach to                 Deposit 18 over a 100-day look-back
                                                of the Clearing Fund formula that                       current-day trades immediately upon                   period and would be calculated to equal
                                                mitigates shortened cycle risk (that is,                trade validation, before Required                     the EWMA of such changes to the
                                                the risk of the trade guaranty attaching                Deposits reflecting these trades have                 Member’s SOD mark-to-market
                                                prior to collection of daily Clearing                   been collected (which NSCC refers to                  component during the look-back period.
                                                Fund). This charge would no longer be                   herein as the ‘‘coverage gap’’).16                    The MRD is calculated to equal the sum
                                                necessary because the MRD would                         Therefore, Members’ Required Deposits                 of MRD VaR and MRD MTM times a
                                                mitigate those same risks.                              may not be sufficient to cover the                    multiplier calibrated based on
                                                   A more detailed description of the                   projected liquidation losses of trades                backtesting results. NSCC has
                                                foregoing changes follows:                              guaranteed by NSCC upon trade                         determined that a 100-day look-back
                                                                                                        validation, and NSCC, absent the                      period would provide it with a
                                                A. The Required Deposit and the                         proposed Clearing Fund formula                        sufficient time series to reflect current
                                                Accelerated Trade Guaranty                              enhancements, could incur a loss                      market conditions.
                                                   NSCC collects Required Deposits from                 associated with those trades if it ceases                By addressing the day-over-day
                                                all Members as margin to protect NSCC                   to act for a Member.                                  changes to each Member’s SOD
                                                against losses in the event of a Member’s                                                                     Volatility Charge and SOD mark-to-
                                                                                                        B. Addition of the MRD to the Clearing
                                                default. The objective of the Required                                                                        market component, the MRD would
                                                                                                        Fund Formula
                                                Deposit is to mitigate potential losses to                                                                    help mitigate the risks posed to the
                                                NSCC associated with liquidation of the                   The MRD is designed to help mitigate                Corporation by un-margined day-over-
                                                Member’s portfolio if NSCC ceases to act                the risks posed to the Corporation by                 day fluctuations to a Member’s portfolio
                                                for a Member (hereinafter referred to as                day-over-day fluctuations in a Member’s               resulting from intraday trading activity
                                                a ‘‘default’’). NSCC determines Required                portfolio by forecasting future changes
                                                Deposit amounts using a risk-based                      in a Member’s portfolio based on a                       17 The volatility component of the Clearing Fund

                                                margin methodology that is intended to                  historical look-back at each Member’s                 formula for CNS trades and Balance Order trades is
                                                                                                        portfolio over a given time period. A                 described in Procedure XV, Sections I.(A)(1)(a) and
sradovich on DSK3GMQ082PROD with NOTICES




                                                  9 Supra note 4.                                       Member’s portfolio may fluctuate                      I.(A)(2)(a), respectively.
                                                                                                                                                                 18 The SOD mark-to-market component of the
                                                  10 The proposed accelerated trade guaranty would      significantly from one trading day to the
                                                not apply to items not currently guaranteed today.                                                            Clearing Fund formula for CNS trades consists of
                                                                                                        next as the Member executes trades                    Regular Mark-to-Market and ID Net Mark-to-Market,
                                                  11 Supra note 4.
                                                  12 Id.
                                                                                                                                                              which are described in Procedure XV, Sections
                                                                                                          16 The coverage gap is the period between the       I.(A)(1)(b) and I.(A)(1)(c), respectively. The SOD
                                                  13 Id.
                                                                                                        time that NSCC would guarantee a trade and the        mark-to-market component of the Clearing Fund
                                                  14 Id.
                                                                                                        time that NSCC would collect additional margin to     formula for Balance Order trades is described in
                                                  15 Id.                                                cover such trade.                                     Procedure XV, Section I.(A)(2)(b).



                                           VerDate Sep<11>2014   16:51 Nov 29, 2016   Jkt 241001   PO 00000   Frm 00031   Fmt 4703   Sfmt 4703   E:\FR\FM\30NON1.SGM   30NON1


                                                86350                   Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Notices

                                                that would be guaranteed during the                     Member’s portfolio, including the trades                historical intraday backtesting
                                                coverage gap.                                           guaranteed during the coverage gap,                     deficiencies observed over the prior 12-
                                                                                                        NSCC would further mitigate the risks                   month period to identify the five largest
                                                C. Addition of the Coverage Component
                                                                                                        posed to it by the proposed accelerated                 intraday backtesting deficiencies that
                                                to the Clearing Fund Formula
                                                                                                        trade guaranty.                                         have occurred during that time. The
                                                   The ‘‘Coverage Component’’ is                                                                                presumptive Intraday Backtesting
                                                designed to mitigate the risks associated               D. Addition of the Intraday Backtesting
                                                                                                        Charge to the Clearing Fund Formula                     Charge amount would equal that
                                                with a Member’s Required Deposit being                                                                          Member’s fifth largest historical
                                                insufficient to cover projected                            NSCC employs daily backtesting to                    intraday backtesting deficiency, subject
                                                liquidation losses to the Coverage Target               determine the adequacy of each                          to adjustment as further described
                                                by adjusting a Member’s Required                        Member’s Required Deposit. NSCC                         below. NSCC believes that applying an
                                                Deposit towards the Coverage Target.                    compares the Required Deposit 19 for                    additional margin charge equal to the
                                                The Corporation would face increased                    each Member with the simulated                          fifth largest historical intraday
                                                exposure to a Member’s un-margined                      liquidation profit and loss using the                   backtesting deficiency to a Member’s
                                                portfolio as a result of the proposed                   actual positions in the Member’s                        Required Deposit would have brought
                                                accelerated trade guaranty and would                    portfolio and the actual historical                     the Member’s historically observed
                                                have an increased need to have each                     returns on the security positions in the                intraday backtesting coverage above the
                                                Member’s Required Deposit meet the                      portfolio. NSCC investigates the cause(s)               Coverage Target.21
                                                Coverage Target. The Coverage                           of any backtesting deficiencies. As a                      The Intraday Backtesting Charge
                                                Component would supplement the MRD                      part of this investigation, NSCC pays                   would only be applicable to those
                                                by preemptively increasing a Member’s                   particular attention to Members with                    Members whose overall 12-month
                                                Required Deposit in an amount                           backtesting deficiencies that bring the                 trailing intraday backtesting coverage
                                                calculated to forecast potential                        results for that Member below the                       falls below the Coverage Target.
                                                deficiencies in the margin coverage of a                Coverage Target to determine if there is                   Although the fifth largest historical
                                                Member’s guaranteed portfolio. The                      an identifiable cause of repeat                         backtesting deficiency for a Member
                                                preemptive nature of the Coverage                       backtesting deficiencies. NSCC also                     would be used as the Intraday
                                                Component differentiates it from the                    evaluates whether multiple Members                      Backtesting Charge in most cases, NSCC
                                                Regular Backtesting Charge and the                      experience backtesting deficiencies for                 would retain discretion to adjust the
                                                Intraday Backtesting Charge, both of                    the same underlying reason. Upon                        charge amount based on other
                                                which are reactive measures to increase                 implementation of the accelerated trade                 circumstances that might be relevant for
                                                the Member’s Required Deposit to above                  guaranty, NSCC would employ a similar                   assessing whether an impacted Member
                                                the Coverage Target.                                    backtesting process on an intraday basis                is likely to experience future backtesting
                                                   The Coverage Component would be                      to determine the adequacy of each                       deficiencies and the estimated size of
                                                calculated and charged on a daily basis                 Member’s Required Deposit. However,                     such deficiencies. Examples of relevant
                                                as a part of each Member’s Required                     instead of backtesting a Member’s                       circumstances that could be considered
                                                Deposit. To calculate the Coverage                      Required Deposit against the Member’s                   by NSCC in calculating the final,
                                                Component, NSCC would compare the                       SOD portfolio, NSCC would use                           applicable Intraday Backtesting Charge
                                                simulated liquidation profit and loss of                portfolios from two intraday time                       amount include material differences
                                                a Member’s portfolio, using the actual                  slices.20                                               among the Member’s five largest
                                                positions in the Member’s portfolio and
                                                                                                        1. Calculation of the Intraday                          intraday backtesting deficiencies
                                                the actual historical returns on the
                                                                                                        Backtesting Charge                                      observed over the prior 12-month
                                                security positions in the portfolio,
                                                against the sum of each of the following                                                                        period, variability in the net settlement
                                                                                                           The objective of the Intraday
                                                components of the Clearing Fund                                                                                 activity after the collection of the
                                                                                                        Backtesting Charge is to increase
                                                formula: The Volatility Charge, the                                                                             Member’s Required Deposit and
                                                                                                        Required Deposits for Members that are
                                                MRD, the Illiquid Charge and the                                                                                observed market price volatility in
                                                                                                        likely to experience intraday backtesting
                                                Market Maker domination charge                                                                                  excess of the Member’s historical
                                                                                                        deficiencies on the basis described
                                                (collectively, the ‘‘Market Risk                                                                                Volatility Charge. Based on NSCC’s
                                                                                                        above by an amount sufficient to
                                                Components’’), to determine if there                                                                            assessment of the impact of these
                                                                                                        maintain such Member’s intraday
                                                were any deficiencies between the                                                                               circumstances on the likelihood, and
                                                                                                        backtesting coverage above the Coverage
                                                amounts collected by these components                                                                           estimated size, of future intraday
                                                                                                        Target. Members that maintain
                                                and the simulated profit and loss of the                                                                        backtesting deficiencies for a Member,
                                                                                                        consistent end of day positions but have
                                                Member’s portfolio that would have                                                                              NSCC may, in its discretion, adjust the
                                                                                                        a high level of intraday trading activity
                                                been realized had it been liquidated                                                                            Intraday Backtesting Charge for such
                                                                                                        pose risk to NSCC if they were to default
                                                during a 100-day look-back period.                                                                              Member in an amount that NSCC
                                                                                                        intraday.
                                                NSCC would then determine a daily                                                                               determines to be more appropriate for
                                                                                                           Because the intraday trading activity
                                                ‘‘peak deficiency’’ amount for each                                                                             maintaining such Member’s intraday
                                                                                                        and size of the intraday backtesting
                                                Member equal to the maximum                                                                                     backtesting results above the Coverage
                                                                                                        deficiencies vary among impacted
                                                deficiency over a rolling 10 business                                                                           Target.
                                                                                                        Members, NSCC must assess an Intraday
                                                day period for the preceding 100 days.                                                                             The resulting Intraday Backtesting
                                                                                                        Backtesting Charge that is specific to
                                                The Coverage Component would be                                                                                 Charge would be added to the Required
                                                                                                        each impacted Member. To do so, NSCC
sradovich on DSK3GMQ082PROD with NOTICES




                                                calculated to equal the EWMA of the                     examines each impacted Member’s                           21 Intraday backtesting would include 500
                                                peak deficiencies over the 100-day look-                                                                        observations per year (twice per day over 250
                                                back period.                                              19 For backtesting comparisons, NSCC uses the
                                                                                                                                                                observation days). Each occurrence of a backtesting
                                                   In working to bring each Member’s                    Required Deposit amount without regard to the           deficiency would reduce a Member’s overall
                                                Required Deposit towards the Coverage                   actual collateral posted by the Member.                 backtesting coverage by 0.2 percent (1 exception/
                                                                                                          20 Intraday time slices are subject to change based   500 observations). Accordingly, an Intraday
                                                Target by preemptively collecting an                    upon market conditions and would include the            Backtesting Charge equal to the fifth largest
                                                amount designed to cover projected                      positions from SOD plus any additional positions        backtesting deficiency would have brought
                                                liquidation profit and loss of a                        up to that time.                                        backtesting coverage up to 99.2 percent.



                                           VerDate Sep<11>2014   16:51 Nov 29, 2016   Jkt 241001   PO 00000   Frm 00032   Fmt 4703   Sfmt 4703   E:\FR\FM\30NON1.SGM    30NON1


                                                                          Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Notices                                           86351

                                                Deposit for such Member and would be                     guaranty would result in a similar risk               increased risk of loss as a result of such
                                                imposed on a daily basis for a one-                      to NSCC. The addition of the MRD and                  Member’s intraday activities. In
                                                month period.                                            Coverage Components to the Clearing                   particular, NSCC measures each
                                                  In order to differentiate the                          Fund formula would mitigate the risks                 Member’s intraday mark-to-market
                                                Backtesting Charge assessed on the start                 posed by trades guaranteed by NSCC                    exposure against the Volatility Charge.
                                                of the day portfolio from the Backtesting                prior to the collection of margin on                  NSCC collects an intraday mark-to-
                                                Charge assessed on an intraday basis,                    those trades. As a result, NSCC proposes              market amount from any Member that
                                                NSCC would amend the Rules by                            to eliminate the Specified Activity                   has an intraday mark-to-market
                                                adding a defined term ‘‘Regular                          charge because imposing a separate                    exposure that meets or exceeds a
                                                Backtesting Charge’’ to Procedure XV,                    Specified Activity charge would no                    threshold percentage as compared to the
                                                Section I.(B)(3).22                                      longer be necessary once the MRD and                  Member’s Volatility Charge. NSCC
                                                                                                         Coverage Components are added to the                  believes that such Members pose an
                                                2. Communication With Members and                        Clearing Fund formula.                                increased risk of loss to the Corporation
                                                Imposition of the Intraday Backtesting                                                                         because the coverage provided by the
                                                Charge                                                   F. Enhanced Intraday Mark-to-Market
                                                                                                                                                               Volatility Charge, which is designed to
                                                                                                         Margining
                                                  If NSCC determines that an Intraday                                                                          cover estimated losses to a portfolio
                                                Backtesting Charge should apply to a                        NSCC proposes to enhance its current               over a specified time period, would be
                                                Member who was not assessed an                           intraday margining to further mitigate                exhausted by an intraday mark-to-
                                                Intraday Backtesting Charge during the                   the intraday coverage gap risk that may               market exposure so large that the
                                                immediately preceding month or that                      be introduced to the Corporation as a                 Member’s Required Deposit would
                                                the Intraday Backtesting Charge applied                  result of the proposed accelerated trade              potentially be unable to absorb further
                                                to a Member during the previous month                    guaranty. By way of background, NSCC                  intraday losses to the Member’s
                                                should be increased, NSCC would notify                   currently collects a SOD mark-to-market               portfolio.
                                                the Member on or around the 25th                         margin, which is designed to mitigate                    In order to further mitigate the risk
                                                calendar day of the month prior to the                   the risk arising out of the value change              posed to NSCC by the proposed
                                                assessment of the Intraday Backtesting                   between the contract/settlement value of              accelerated trade guaranty, NSCC is
                                                Charge or prior to the increase to the                   a Member’s open positions and the                     proposing to enhance its collection of
                                                Intraday Backtesting Charge, as                          current market value, as part of its                  intraday mark-to-market margin. NSCC
                                                applicable, if not earlier.                              Clearing Fund formula. A Member’s                     would impose the intraday mark-to-
                                                  NSCC would impose the Intraday                         SOD mark-to-market margin is                          market margin amount at a lower
                                                Backtesting Charge as an additional                      calculated and collected as part of a                 threshold. Currently, NSCC makes an
                                                charge applied to each impacted                          Member’s daily Required Deposit based                 intraday mark-to-market margin call if a
                                                Member’s Required Deposit on a daily                     on the Member’s prior end-of-day                      Member’s intraday mark-to-market
                                                basis for a one-month period and would                   positions. The SOD mark-to-market                     exposure meets or exceeds 100 percent
                                                review each applied Intraday                             component of the daily Required                       of such Member’s Volatility Charge;
                                                Backtesting Charge each month. If an                     Deposit is calculated to cover a                      however, such threshold may be
                                                impacted Member’s trailing 12-month                      Member’s exposure due to market                       reduced by NSCC during volatile market
                                                intraday backtesting coverage exceeds                    moves and/or trading and settlement                   conditions. With this proposal, NSCC
                                                the Coverage Target (without taking into                 activity by bringing the portfolio of open            would make an intraday margin call if
                                                                                                         positions up to the current market                    a Member’s intraday mark-to-market
                                                account historically imposed Intraday
                                                                                                         value. However, because the SOD mark-                 exposure meets or exceeds 80 percent of
                                                Backtesting Charges), the Intraday
                                                                                                         to-market component is calculated only                such Member’s Volatility Charge, where
                                                Backtesting Charge would be removed.
                                                                                                         once daily using the prior end-of-day                 such threshold may still be reduced by
                                                E. Removal of the Specified Activity                     positions and prices, it will not cover a             NSCC during volatile market conditions.
                                                Charge From the Clearing Fund Formula                    Member’s exposure arising out of any                  This proposed change would serve to
                                                   Currently, NSCC collects a Specified                  intraday changes to position and market               collect intraday margin earlier and more
                                                Activity charge, which is designed to                    value in a Member’s portfolio.                        proactively preserve the coverage
                                                cover the risk posed to NSCC by                          Accordingly, NSCC currently collects                  provided by a Member’s Volatility
                                                transactions that settle on a shortened                  intraday mark-to-market margin from                   Charge and Required Deposit.
                                                                                                         Members to cover additional risk                         In addition, NSCC would monitor
                                                cycle.23 Such transactions pose an
                                                                                                         exposure arising out of intraday position             intraday changes to Member’s mark-to-
                                                increased risk to NSCC because these
                                                                                                         and market value changes to the                       market exposure at regular intervals to
                                                trades settle on a shortened settlement
                                                                                                         Member’s portfolio if the additional                  further mitigate the risk posed to NSCC
                                                cycle and may be guaranteed by NSCC
                                                                                                         risks are sufficiently large to warrant the           by the accelerated trade guaranty. By
                                                prior to the collection of margin on
                                                                                                         collection of an intraday margin.                     doing so, NSCC would be able to make
                                                them. The Specified Activity charge                         NSCC has determined that it is not                 intraday margin calls more frequently to
                                                currently mitigates this risk by                         necessary to collect intraday margin                  those Members whose intraday mark-to-
                                                increasing the Required Deposit for a                    from every Member that experiences an                 market exposures exceed the Volatility
                                                Member in relation to the number of                      intraday mark-to-market change because                Charge threshold. Enhancing the
                                                Specified Activity trades submitted by                   the Volatility Charge already collected               collection of the intraday mark-to-
                                                the Member to NSCC over a 100-day                        as part of Members’ daily Required                    market amount so that it occurs earlier
                                                look-back period. However, the risk                      Deposits is calculated to cover projected
sradovich on DSK3GMQ082PROD with NOTICES




                                                                                                                                                               and more frequently would allow NSCC
                                                posed to NSCC by Specified Activity                      changes in the contract/settlement value              to reduce the amount of uncovered risk
                                                would no longer be unique to such trade                  of a Member’s portfolio and likely cover              during the coverage gap and would
                                                activity—the proposed accelerated trade                  intraday changes to a Member’s                        therefore further mitigate the risk posed
                                                  22 Supra
                                                                                                         portfolio. However, in certain instances,             to the Corporation by the accelerated
                                                             note 4.
                                                  23 Examples   of these trades can include next day
                                                                                                         Members may have intraday mark-to-                    trade guaranty.
                                                settling trades, same day settling trades, cash trades   market changes that are significant                      NSCC proposes to amend Procedure
                                                or sellers’ options.                                     enough that NSCC is exposed to an                     XV to include a description of the


                                           VerDate Sep<11>2014    16:51 Nov 29, 2016   Jkt 241001   PO 00000   Frm 00033   Fmt 4703   Sfmt 4703   E:\FR\FM\30NON1.SGM   30NON1


                                                86352                   Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Notices

                                                enhanced intraday mark-to-market                        for next day settling index receipts is                 to the surviving counterparty to that
                                                margin charge that clarifies the                        currently mitigated by permitting NSCC                  transaction. Losses would be allocated
                                                circumstances and criteria for the                      to delay the processing and reporting of                to counterparties in proportion to their
                                                assessment of an intraday mark-to-                      these trades if a Member’s Required                     specific Off-the-Market Transaction gain
                                                market call. This would ensure that                     Deposit is not paid on time. However,                   and would be allocated only to the
                                                Members are aware that the Corporation                  like the risk associated with Specified                 extent of NSCC’s loss; however, no
                                                regularly monitors and considers                        Activity, under the proposed rule                       allocation shall be made if the defaulted
                                                intraday mark-to-market as part of its                  change, this risk would generally be                    Member has satisfied all requisite
                                                regular Clearing Fund formula.                          mitigated by the addition of the MRD                    intraday mark-to-market margin
                                                                                                        and the Coverage Component.                             assessed by NSCC with respect to the
                                                G. Adjustments to the Calculation of the                                                                        Off-the-Market Transaction.27
                                                                                                        Therefore, NSCC proposes to amend
                                                Excess Capital Premium Component                                                                                   This proposed change would allow
                                                                                                        Procedure II 25 (Trade Comparison and
                                                   The Excess Capital Premium 24 is                     Recording Service) to remove the                        NSCC to mitigate the risk of loss
                                                designed to address spikes in a                         language that permits NSCC to delay the                 associated with guaranteeing these Off-
                                                Member’s Required Deposit based upon                    processing and reporting of next day                    the-Market Transactions. The proposal
                                                any one day of activity. It is not                      settling index receipts until the                       recognizes that applying the accelerated
                                                designed to provide additional Required                 applicable margin on these transactions                 trade guaranty to transactions whose
                                                Deposits over an extended period of                     is paid.                                                price significantly differs from the most
                                                time. Currently, the Excess Capital                                                                             recently observed market price could
                                                Premium for a Member is calculated                      (iv) Loss Allocation Provision for Off-                 inappropriately increase the loss that
                                                based upon the Member’s Clearing Fund                   the-Market Transactions                                 NSCC may incur if a Member that has
                                                Required Deposit and the Member’s                          NSCC proposes to introduce a new                     engaged in Off-the-Market Transactions
                                                excess net capital. With the addition of                loss allocation provision for any trades                defaults and its open, guaranteed
                                                the MRD and the Coverage Component,                     that fall within the proposed definition                positions are liquidated. Members not
                                                NSCC proposes to exclude these charges                  of ‘‘Off-the-Market Transactions’’ in                   involved in Off-the-Market
                                                from the calculation of the Excess                      order to limit NSCC’s exposure to                       Transactions, or not involved in Off-the-
                                                Capital Premium. The MRD and the                        certain trades that have a price that                   Market Transactions that result in losses
                                                Coverage Component all utilize a                        differs significantly from the prevailing               to NSCC, would not be included in this
                                                historical look-back period, which                      market price for the underlying security                process. This exclusion would apply
                                                accounts for the risk of such activity                  at the time the trade is executed. This                 only to losses that are attributable to
                                                well after the relevant trades have                     provision would apply in the event that                 Off-the-Market Transactions and would
                                                settled. Risks related to such trades                   NSCC ceases to act for a Member that                    not exclude Members from other
                                                would be reflected in increased amounts                 engaged in Off-the-Market Transactions                  obligations that may result from any loss
                                                assessed for these components over the                  and only to the extent that NSCC incurs                 or liabilities incurred by NSCC from a
                                                subsequent time periods. If these                       a net loss in the liquidation of such                   Member default.
                                                components are included in the                          Transactions.26                                            In order to implement this proposed
                                                calculation of the Excess Capital                          NSCC would define ‘‘Off-the-Market                   change, NSCC would amend Rule 4 28
                                                Premium, especially during periods                      Transactions’’ as either a single                       (Clearing Fund) to provide that, if a loss
                                                following an increase in activity, then                 transaction or a series of transactions                 or liability of NSCC is determined by
                                                the increased MRD and Coverage                          settled within the same cycle with                      NSCC to arise in connection with the
                                                Component could lead to more frequent                   greater than $1 million in gross                        liquidation of any Off-the-Market
                                                Excess Capital Premium charges over an                  proceeds and either higher or lower                     Transactions, such loss or liability
                                                extended period of time. This is not the                than the most recently observed market                  would be allocated directly to the
                                                intended purpose of the Excess Capital                  price by a percentage amount based on                   surviving counterparty to the Off-the-
                                                Premium and could place an                              market conditions and factors that                      Market Transaction that submitted the
                                                unnecessary burden on Members.                          impact trading behavior of the                          transaction to NSCC for clearing. NSCC
                                                                                                        underlying security, including                          would also amend Rule 1 29 (Definitions
                                                (iii) Proposed Changes to Procedure II                  volatility, liquidity and other                         and Descriptions) to include a definition
                                                (Trade Comparison and Recording                         characteristics of such security.                       of Off-the-Market Transactions.
                                                Service)                                                   The proposed rule change would                       (v) Technical Proposed Rule Change
                                                   Next day settling index receipts may                 establish the loss allocation for Off-the-
                                                be guaranteed prior to the collection of                Market Transactions. NSCC would                           NSCC is proposing a change to
                                                margin reflecting such trades and thus                  allocate any losses to NSCC resulting                   Procedure XV 30 to clarify the
                                                carry a very similar risk as Specified                  from the liquidation of any guaranteed,                 calculation of the Regular Mark-to-
                                                Activity trades described above. More                   open Off-the-Market Transaction of a                    Market component for CNS transactions.
                                                specifically, because these trades are                  defaulted Member directly and entirely                  NSCC’s historical and current policy for
                                                settled on the day after they are received                                                                      the calculation of any mark-to-market
                                                and validated by NSCC, NSCC currently                     25 Supra   note 4.                                    component of the Clearing Fund
                                                attaches its guaranty to them at the time                 26 A  net loss on liquidation of the Off-the-Market   calculation for CNS trades and Balance
                                                of validation, prior to the collection of               Transaction means that the loss on liquidation of       Order trades is that where a credit is
                                                                                                        the Member’s portfolio exceeds the collected            derived from a Member’s mark-to-
                                                a Required Deposit that reflects such                   Required Deposit of the Member and such loss is
sradovich on DSK3GMQ082PROD with NOTICES




                                                trades. Unlike the risk from Specified                  attributed to the Off-the-Market Transaction. Such        27 A Member’s Off-the-Market Transaction that
                                                Activity trades, which is mitigated by                  loss would be allocated directly and entirely to the
                                                                                                        Member that submitted the Off-the-Market                has been marked to market is, by definition, no
                                                the Specified Activity charge, the risk                 Transaction, or on whose behalf the Off-the-Market      longer an Off-the-Market Transaction when the
                                                                                                        Transaction was submitted, to NSCC; however, no         mark-to-market component of the Member’s
                                                  24 The Excess Capital Premium is a charge             allocation would be made if such Member has             Required Deposit is satisfied.
                                                                                                                                                                  28 Supra note 4.
                                                imposed on a Member when the Member’s Required          satisfied all applicable intraday mark-to-market
                                                                                                                                                                  29 Id.
                                                Deposit exceeds its excess net capital, as described    margin charges assessed by NSCC with respect to
                                                in Procedure XV.                                        the Off-the-Market Transaction.                           30 Id.




                                           VerDate Sep<11>2014   16:51 Nov 29, 2016   Jkt 241001   PO 00000   Frm 00034   Fmt 4703   Sfmt 4703   E:\FR\FM\30NON1.SGM    30NON1


                                                                        Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Notices                                                      86353

                                                market calculation, the value of the                    requirements to better limit its credit                  on a daily basis. NSCC has enhanced its
                                                calculation is adjusted to zero. When                   exposures to participants under normal                   liquidity resources through the
                                                NSCC implemented the ID Net service,31                  market conditions.                                       implementation of NSCC’s
                                                a provision was added to Procedure                         In addition, NSCC’s proposal to                       supplemental liquidity deposit (‘‘SLD’’)
                                                XV 32 that explicitly stated this policy as             expand its current intraday margin                       requirements.34 NSCC’s SLD
                                                it relates to CNS transactions of                       collection to include (a) the collection of              requirements were designed to require
                                                subscribers to the ID Net service. This                 intraday mark-to-market margin at a                      Members with historically elevated
                                                change inadvertently created an                         lower threshold and (b) the collection of                options activity to provide
                                                implication that the calculation of                     the Intraday Backtesting Charge would                    supplemental liquidity deposits in
                                                Regular Mark-to-Market credit for                       further enhance its intraday monitoring                  advance of and in anticipation of
                                                Members who were not ID Net                             and its ability to measure credit                        options expiry periods, as well as to
                                                Subscribers would not be set to zero.                   exposures at least once a day.                           accept voluntary pre-funded
                                                NSCC is proposing to revise the                            Similarly, the proposed rule changes                  supplemental liquidity deposits from
                                                applicable provision to remove the                      to introduce a new loss allocation                       other Members who anticipate elevated
                                                reference to ID Net Subscribers.                        provision for any trades that fall within                liquidity needs during these periods. As
                                                                                                        the proposed definition of Off-the-                      such, the SLD requirements provide
                                                Expected Effect on Risks to the Clearing                Market Transactions would help NSCC                      NSCC with the needed liquidity
                                                Agency, Its Participants and the Market                 to limit its exposure to certain trades                  resources to address any liquidity
                                                   The proposed rule changes would                      that have a price that differs                           shortfalls that may be experienced
                                                mitigate Member’s counterparty risks                    significantly from the most recently                     under the accelerated trade guaranty
                                                and would enhance Members’ ability to                   observed market price for the                            settlement cycle. Furthermore, NSCC
                                                assess that risk by having NSCC become                  underlying security. Therefore, the                      has established a liquidity program to
                                                the central counterparty to CNS trades                  reduction of NSCC’s exposure to Off-                     raise prefunded liquidity through the
                                                and by applying the trade guaranty to                   the-Market Transactions would assist                     issuance and private placement of short-
                                                Balance Order trades at an earlier point                NSCC in responding to a Member                           term, unsecured notes (‘‘Prefunded
                                                in the settlement cycle.                                default and would minimize potential                     Liquidity Program’’), which may consist
                                                   Although the transfer of counterparty                losses to NSCC and its non-defaulting                    of a combination of commercial paper
                                                credit risk from Members to NSCC at an                  Members.                                                 notes and extendible notes.35 Proceeds
                                                earlier point in the settlement cycle                      NSCC has also taken actions outside                   from the Prefunded Liquidity Program
                                                facilitates a shortened holding period of               of the proposals described in this filing                further supplement NSCC’s existing
                                                bilateral credit risk for the Members, it               to strengthen its liquidity resources and                default liquidity risk management
                                                does increase risk to NSCC. However, as                 to enable it to cover its total liquidity                resources.
                                                discussed below, NSCC believes that it                  needs, including any liquidity needs
                                                is better equipped to manage that                       that would arise from the accelerated                    Consistency With the Clearing
                                                counterparty credit risk, including                     trade guaranty. NSCC calculates its                      Supervision Act
                                                potential systemic impact, compared to                  liquidity need by assuming the failure of                   The objectives and principles of the
                                                the counterparties themselves.                          the Member (including the                                Clearing Supervision Act are to promote
                                                                                                        simultaneous default of the Member’s                     robust risk management, promote safety
                                                Management of Identified Risks
                                                                                                        affiliated family) that has the largest net              and soundness, reduce systemic risks,
                                                   The proposal is designed to mitigate                 settlement debit in extreme but                          and support the stability of the broader
                                                counterparty risk while still protecting                plausible market conditions.33 Although                  financial system.36
                                                NSCC and its membership.                                the proposal would increase the number                      The proposal to accelerate the time
                                                   The proposed rule changes to (i) add                 of days for which NSCC would be                          that NSCC’s trade guaranty attaches to
                                                the new components to the Clearing                      required, under its Rules, to guarantee                  trades submitted to it for clearing has
                                                Fund formula and (ii) enhance the                       settlement to include T and T+1 trades,                  been designed to promote robust risk
                                                intraday mark-to-market margin process                  the Rules currently provide that it may,                 management, promote safety and
                                                would allow NSCC to appropriately                       although it is not legally obligated to,                 soundness, reduce systemic risks and
                                                collect additional margin to mitigate the               optionally guarantee these trades. Given                 support the stability of the broader
                                                exposure presented to NSCC by the                       NSCC’s role in promoting safety,                         financial system in furtherance of the
                                                accelerated trade guaranty. The proposal                soundness and stability in the U.S.                      Clearing Supervision Act.
                                                to introduce a new loss allocation                      equities markets, NSCC currently                            Specifically, NSCC would provide a
                                                provision for Off-the-Market                            includes these trades in its daily                       trade guaranty to CNS trades and
                                                Transactions would help NSCC to limit                   liquidity need analyses to account for                   Balance Order trades at an earlier point
                                                its exposure to Off-the-Market                          the circumstances where this optional                    in the settlement cycle. The proposed
                                                Transactions.                                           guaranty would be called upon. NSCC                      rule changes would mitigate
                                                   Specifically, the proposal to add the                has never actually experienced a                         counterparty risk and would enhance
                                                MRD, the Coverage Component and the                     liquidity shortfall in the close out of a                NSCC Members’ ability to assess that
                                                Intraday Backtesting Charge to the                      defaulted Member.                                        risk by having NSCC become the central
                                                Clearing Fund formula and to collect                       NSCC measures the potential liquidity                 counterparty to CNS trades and by
                                                intraday mark-to-market margin at a                     impact of the accelerated trade guaranty                 applying the trade guaranty to Balance
                                                lower threshold would mitigate the                                                                               Order trades at an earlier point in the
                                                exposure presented to NSCC by the                          33 Every day NSCC measures the liquidity
sradovich on DSK3GMQ082PROD with NOTICES




                                                                                                                                                                 settlement cycle. The transfer of
                                                accelerated trade guaranty and permit                   obligations of each of NSCC’s Members by taking
                                                NSCC to enhance its margin                              the sum of their purchase obligations on that day
                                                                                                                                                                   34 Securities Exchange Act Release No. 70999
                                                                                                        from CNS and for the following three settlement
                                                                                                        days, and then, taking into account certain              (December 5, 2013), 78 FR 75413 (December 11,
                                                  31 NSCC’s ID Net service is defined further in
                                                                                                        adjustments, assumptions and offsets, NSCC               2013) (SR–NSCC–2013–02).
                                                Rule 65. Rules, supra note 4. See Securities            identifies the largest Member liquidity need on each       35 Securities Exchange Act Release No. 75730

                                                Exchange Act Release No. 57901 (June 2, 2008), 73       day and, determines if the available liquidity           (August 19, 2015), 80 FR 51638 (August 25, 2015)
                                                FR 32373 (June 6, 2008) (SR–NSCC–2007–14).              resources are adequate to cover that largest liquidity   (SR–NSCC–2015–802).
                                                  32 Supra note 4.                                      need or if there is a projected liquidity shortfall.       36 12 U.S.C. 5464(b).




                                           VerDate Sep<11>2014   16:51 Nov 29, 2016   Jkt 241001   PO 00000   Frm 00035   Fmt 4703   Sfmt 4703   E:\FR\FM\30NON1.SGM     30NON1


                                                86354                   Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Notices

                                                counterparty credit risk from Members                   measure its credit exposures to its                   recently adopted by the Commission.39
                                                to NSCC at an earlier point in the                      participants at least once a day and limit            Rule 17Ad–22(e)(4) will require NSCC
                                                settlement cycle facilitates a shortened                its exposures to potential losses from                to establish, implement, maintain and
                                                holding period of bilateral credit risk for             defaults by its participants under                    enforce written policies and procedures
                                                the counterparties by transferring the                  normal market conditions so that the                  reasonably designed to effectively
                                                obligation onto NSCC, which is better                   operations of NSCC would not be                       identify, measure, monitor, and manage
                                                equipped to manage that counterparty                    disrupted and non-defaulting                          its credit exposures to participants and
                                                credit risk, including potential systemic               participants would not be exposed to                  those exposures arising from its
                                                impact, compared to the counterparties                  losses that they cannot anticipate or                 payment, clearing, and settlement
                                                themselves. Therefore, NSCC believes                    control.37 NSCC’s proposal to expand its              processes.40 NSCC’s proposal to expand
                                                the proposal to accelerate the trade                    current intraday margin collection to                 its current intraday margin collection to
                                                guaranty would promote robust risk                      include (a) the collection of intraday
                                                management, promote safety and                                                                                include (a) the collection of intraday
                                                                                                        mark-to-market margin at a lower                      mark-to-market margin at a lower
                                                soundness, reduce systemic risks and                    threshold and (b) the collection of the
                                                support the stability of the broader                                                                          threshold and (b) the collection of the
                                                                                                        Intraday Backtesting Charge would                     Intraday Backtesting Charge would
                                                financial system, consistent with the                   further enhance its intraday monitoring
                                                objectives and principles of Section                                                                          enhance its ability to identify, measure,
                                                                                                        and its ability to measure credit
                                                805(b) of the Clearing Supervision Act                                                                        monitor and manage its credit exposures
                                                                                                        exposures at least once a day. The
                                                cited above.                                                                                                  to participants. The proposal to enhance
                                                                                                        proposal to enhance the amount of
                                                   The proposed rule changes to enhance                                                                       the amount of margin NSCC collected
                                                                                                        margin collected from each Member
                                                the Clearing Fund formula and to                                                                              from each Member and to introduce a
                                                                                                        would help NSCC to limit its exposure
                                                introduce a new loss allocation                                                                               new loss allocation provision for Off-
                                                                                                        to potential losses from defaults by its
                                                provision for Off-the-Market                                                                                  the-Market Transactions would further
                                                                                                        participants under normal market
                                                Transactions have been designed to                                                                            help NSCC to manage its credit
                                                                                                        conditions and reduce risk of loss
                                                promote robust risk management and                                                                            exposures to participants and those
                                                promote safety and soundness in                         mutualization to the NSCC membership.
                                                                                                        Similarly, the proposal to introduce a                exposures arising from its payment,
                                                furtherance of the Clearing Supervision                                                                       clearing, and settlement processes.
                                                Act. In conjunction with the enhanced                   new loss allocation provision for Off-
                                                                                                        the-Market Transactions would also                    Therefore, NSCC believes these
                                                trade processing in the form of the                                                                           proposals are consistent with the
                                                accelerated trade guaranty, the proposed                help NSCC to limit its exposure to
                                                                                                        potential losses from defaults by its                 requirements of Rule 17Ad–22(e)(4),
                                                additional Clearing Fund components
                                                                                                        participants under normal market                      promulgated under the Act, cited above.
                                                and enhancements to NSCC’s current
                                                intraday mark-to-market margin process                  conditions. Therefore, NSCC believes                     Rule 17Ad–22(e)(6) will require NSCC
                                                would allow NSCC to appropriately                       the proposals are consistent with the                 to establish, implement, maintain and
                                                manage its risk by collecting additional                requirements of Rule 17Ad–22(b)(1),                   enforce written policies and procedures
                                                margin to mitigate the exposure                         promulgated under the Act, cited above.               reasonably designed to cover its credit
                                                presented to NSCC by the accelerated                       Rule 17Ad–22(b)(2) requires NSCC to                exposures to its participants by
                                                trade guaranty. Additionally, the                       establish, implement, maintain and                    establishing a risk-based margin system
                                                proposal to introduce a new loss                        enforce written policies and procedures               that is monitored by management on an
                                                allocation provision for any trades that                reasonably designed to ‘‘use margin                   ongoing basis and regularly reviewed,
                                                fall within a proposed definition of                    requirements to limit its credit                      tested, and verified.41 The proposal to
                                                ‘‘Off-the-Market Transactions’’ would                   exposures to participants under normal                add the MRD, the Coverage Component
                                                help NSCC to limit its exposure to                      market conditions and use risk-based                  and the Intraday Backtesting Charge to
                                                certain trades that have a price that                   models and parameters to set margin                   the Clearing Fund formula and to collect
                                                differs significantly from the most                     requirements.’’ 38 The proposal to add                intraday mark-to-market margin at a
                                                recently observed market price for the                  the MRD, the Coverage Component and                   lower threshold would help NSCC to
                                                underlying security. Together, the                      the Intraday Backtesting Charge to the
                                                collection of additional margin and the                                                                       cover its credit exposures to its
                                                                                                        Clearing Fund formula and to collect                  participants by establishing a risk-based
                                                reduction of NSCC’s exposures to ‘‘Off-                 intraday mark-to-market margin at a
                                                the-Market Transactions’’ would assist                                                                        margin system that is monitored by
                                                                                                        lower threshold in order to mitigate the              management on an ongoing basis and
                                                NSCC in responding to a Member                          exposure presented to NSCC by the
                                                default and would minimize potential                                                                          regularly reviewed, tested, and verified.
                                                                                                        accelerated trade guaranty would enable               Therefore, NSCC believes this proposal
                                                losses to NSCC and its non-defaulting                   NSCC to enhance its margin
                                                Members. Therefore, NSCC believes the                                                                         is consistent with the requirements of
                                                                                                        requirements to better limit its credit
                                                proposed enhancements to the Clearing                                                                         Rule 17Ad–22(e)(6), promulgated under
                                                                                                        exposures to participants under normal
                                                Fund formula and the introduction of an                                                                       the Act, cited above.
                                                                                                        market conditions. Therefore, NSCC
                                                Off-the-Market Transaction allocation
                                                                                                        believes the proposed changes are
                                                process would also promote robust risk                                                                          39 The Commission adopted amendments to Rule
                                                                                                        consistent with the requirements of Rule
                                                management and promote safety and                                                                             17Ad–22, including the addition of new section
                                                                                                        17Ad–22(b)(2), promulgated under the                  17Ad–22(e), on September 28, 2016. See Securities
                                                soundness, consistent with objectives
                                                                                                        Act, cited above.                                     Exchange Act Release No. 78961 (September 28,
                                                and principles of Section 805(b) of the                                                                       2016), 81 FR 70786 (October 13, 2016) (S7–03–14).
                                                                                                           The proposed changes to NSCC’s
sradovich on DSK3GMQ082PROD with NOTICES




                                                Clearing Supervision Act, cited above.                                                                        The amendments to Rule 17Ad–22 become effective
                                                   NSCC believes that the proposal is                   Clearing Fund formula and the intraday                on December 12, 2016. Id. NSCC is a ‘‘covered
                                                also consistent with Rules 17Ad–                        margin process are also designed to be                clearing agency’’ as defined in Rule 17Ad–22(a)(5)
                                                22(b)(1) and (b)(2), promulgated under                  consistent with Rules 17Ad–22(e)(4)                   and must comply with new section (e) of Rule
                                                                                                                                                              17Ad–22 by April 11, 2017. Id.
                                                the Act. Rule 17Ad–22(b)(1) requires                    and (e)(6) of the Act, which were                       40 See Securities Exchange Act Release No. 78961
                                                NSCC to establish, implement, maintain                                                                        (September 28, 2016), 81 FR 70786 (October 13,
                                                and enforce written policies and                          37 17   CFR 240.17Ad–22(b)(1).                      2016) (S7–03–14).
                                                procedures reasonably designed to                         38 17   CFR 240.17Ad–22(b)(2).                        41 Id.




                                           VerDate Sep<11>2014   16:51 Nov 29, 2016   Jkt 241001   PO 00000   Frm 00036   Fmt 4703   Sfmt 4703   E:\FR\FM\30NON1.SGM   30NON1


                                                                        Federal Register / Vol. 81, No. 230 / Wednesday, November 30, 2016 / Notices                                                86355

                                                Implementation Timeframe                                  • Send an email to rule-comments@                   SECURITIES AND EXCHANGE
                                                                                                        sec.gov. Please include File Number SR–               COMMISSION
                                                  Pending Commission approval,
                                                                                                        NSCC–2016–803 on the subject line.
                                                Members would be advised of the
                                                implementation date of this proposal                    Paper Comments                                        [Release No. 34–79387; File No. SR–
                                                through issuance of an NSCC Important                                                                         NYSEArca–2016–150]
                                                Notice. NSCC expects to run the                           • Send paper comments in triplicate
                                                proposed changes in a test environment                  to Secretary, Securities and Exchange                 Self-Regulatory Organizations; NYSE
                                                for a parallel period of at least three                 Commission, 100 F Street NE.,                         Arca, Inc.; Notice of Filing and
                                                months prior to implementation. Details                 Washington, DC 20549.                                 Immediate Effectiveness of Proposed
                                                and dates regarding such test period                                                                          Rule Change Amending NYSE Arca
                                                                                                        All submissions should refer to File                  Equities Rule 7.16
                                                would be communicated to Members
                                                                                                        Number SR–NSCC–2016–803. This file
                                                through an NSCC Important Notice.
                                                                                                        number should be included on the                      November 23, 2016.
                                                III. Date of Effectiveness of the Advance               subject line if email is used. To help the               Pursuant to Section 19(b)(1) 1 of the
                                                Notice, and Timing for Commission                       Commission process and review your                    Securities Exchange Act of 1934 (the
                                                Action                                                  comments more efficiently, please use                 ‘‘Act’’) 2 and Rule 19b–4 thereunder,3
                                                   The proposed change may be                           only one method. The Commission will                  notice is hereby given that, on
                                                implemented if the Commission does                      post all comments on the Commission’s                 November 15, 2016, NYSE Arca, Inc.
                                                not object to the proposed change                       Internet Web site (http://www.sec.gov/                (the ‘‘Exchange’’ or ‘‘NYSE Arca’’) filed
                                                within 60 days of the later of (i) the date             rules/sro.shtml). Copies of the                       with the Securities and Exchange
                                                that the proposed change was filed with                 submission, all subsequent                            Commission (the ‘‘Commission’’) the
                                                the Commission or (ii) the date that any                amendments, all written statements                    proposed rule change as described in
                                                additional information requested by the                 with respect to the Advance Notice that               Items I and II below, which Items have
                                                Commission is received. The clearing                    are filed with the Commission, and all                been prepared by the self-regulatory
                                                agency shall not implement the                          written communications relating to the                organization. The Commission is
                                                proposed change if the Commission has                   Advance Notice between the                            publishing this notice to solicit
                                                any objection to the proposed change.                   Commission and any person, other than                 comments on the proposed rule change
                                                   The Commission may extend the                        those that may be withheld from the                   from interested persons.
                                                period for review by an additional 60                   public in accordance with the
                                                days if the proposed change raises novel                provisions of 5 U.S.C. 552, will be                   I. Self-Regulatory Organization’s
                                                or complex issues, subject to the                       available for Web site viewing and                    Statement of the Terms of Substance of
                                                Commission providing the clearing                       printing in the Commission’s Public                   the Proposed Rule Change
                                                agency with prompt written notice of                    Reference Room, 100 F Street NE.,
                                                the extension. A proposed change may                                                                             The Exchange proposes to amend
                                                                                                        Washington, DC 20549 on official
                                                be implemented in less than 60 days                                                                           NYSE Arca Equities Rule 7.16 (Short
                                                                                                        business days between the hours of
                                                from the date the advance notice is                                                                           Sales) to eliminate the option for a short
                                                                                                        10:00 a.m. and 3:00 p.m. Copies of the
                                                filed, or the date further information                                                                        sale order to include an instruction that
                                                                                                        filing also will be available for
                                                requested by the Commission is                                                                                it be rejected or cancelled if it is
                                                                                                        inspection and copying at the principal
                                                received, if the Commission notifies the                                                                      required to be re-priced. The proposed
                                                                                                        office of NSCC and on DTCC’s Web site
                                                clearing agency in writing that it does                                                                       rule change is available on the
                                                                                                        (http://dtcc.com/legal/sec-rule-
                                                not object to the proposed change and                                                                         Exchange’s Web site at www.nyse.com,
                                                                                                        filings.aspx). All comments received
                                                authorizes the clearing agency to                                                                             at the principal office of the Exchange,
                                                                                                        will be posted without change; the
                                                implement the proposed change on an                                                                           and at the Commission’s Public
                                                                                                        Commission does not edit personal
                                                earlier date, subject to any conditions                                                                       Reference Room.
                                                imposed by the Commission.                              identifying information from
                                                                                                        submissions. You should submit only                   II. Self-Regulatory Organization’s
                                                   The clearing agency shall post notice
                                                                                                        information that you wish to make                     Statement of the Purpose of, and
                                                on its Web site of proposed changes that
                                                                                                        available publicly. All submissions                   Statutory Basis for, the Proposed Rule
                                                are implemented.
                                                                                                        should refer to File Number SR–NSCC–                  Change
                                                   The proposal shall not take effect
                                                                                                        2016–803 and should be submitted on
                                                until all regulatory actions required                                                                           In its filing with the Commission, the
                                                                                                        or before December 15, 2016.
                                                with respect to the proposal are                                                                              self-regulatory organization included
                                                completed.                                                By the Commission.                                  statements concerning the purpose of,
                                                                                                        Brent J. Fields,                                      and basis for, the proposed rule change
                                                IV. Solicitation of Comments
                                                                                                        Secretary.                                            and discussed any comments it received
                                                   Interested persons are invited to                    [FR Doc. 2016–28771 Filed 11–29–16; 8:45 am]          on the proposed rule change. The text
                                                submit written data, views and                                                                                of those statements may be examined at
                                                                                                        BILLING CODE 8011–01–P
                                                arguments concerning the foregoing,                                                                           the places specified in Item IV below.
                                                including whether the Advance Notice                                                                          The Exchange has prepared summaries,
                                                is consistent with the Clearing
                                                                                                                                                              set forth in sections A, B, and C below,
                                                Supervision Act. Comments may be
sradovich on DSK3GMQ082PROD with NOTICES




                                                                                                                                                              of the most significant parts of such
                                                submitted by any of the following
                                                methods:                                                                                                      statements.

                                                Electronic Comments
                                                  • Use the Commission’s Internet                                                                               1 15 U.S.C. 78s(b)(1).
                                                comment form (http://www.sec.gov/                                                                               2 15 U.S.C. 78a.
                                                rules/sro.shtml); or                                                                                            3 17 CFR 240.19b–4.




                                           VerDate Sep<11>2014   16:51 Nov 29, 2016   Jkt 241001   PO 00000   Frm 00037   Fmt 4703   Sfmt 4703   E:\FR\FM\30NON1.SGM   30NON1



Document Created: 2016-11-30 02:17:52
Document Modified: 2016-11-30 02:17:52
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 86348 

2025 Federal Register | Disclaimer | Privacy Policy
USC | CFR | eCFR