81_FR_94709 81 FR 94462 - Self-Regulatory Organizations; National Securities Clearing Corporation; Order Granting Approval of Proposed Rule Change 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 94462 - Self-Regulatory Organizations; National Securities Clearing Corporation; Order Granting Approval of Proposed Rule Change 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 247 (December 23, 2016)

Page Range94462-94467
FR Document2016-30944

Federal Register, Volume 81 Issue 247 (Friday, December 23, 2016)
[Federal Register Volume 81, Number 247 (Friday, December 23, 2016)]
[Notices]
[Pages 94462-94467]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-30944]


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SECURITIES AND EXCHANGE COMMISSION

[Release No. 34-79598; File No. SR-NSCC-2016-005]


Self-Regulatory Organizations; National Securities Clearing 
Corporation; Order Granting Approval of Proposed Rule Change 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

December 19, 2016.
    National Securities Clearing Corporation (``NSCC'') filed on 
October 25, 2016 with the Securities and Exchange Commission 
(``Commission'') proposed rule change SR-NSCC-2016-005 (``Proposed Rule 
Change'') pursuant to Section 19(b)(1) of the Securities Exchange Act 
of 1934 (``Act'') \1\ and Rule 19b-4 thereunder.\2\ The Proposed Rule 
Change was published for comment in the Federal Register on November 
10, 2016.\3\ The Commission did not receive any comments on the 
Proposed Rule Change. For the reasons discussed below, the Commission 
is granting approval of the Proposed Rule Change
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    \1\ 15 U.S.C. 78s(b)(1).
    \2\ 17 CFR 240.19b-4.
    \3\ Securities Exchange Act Release No. 79245 (November 4, 
2016), 81 FR 79071 (November 10, 2016) (SR-NSCC-2016-005) 
(``Notice''). NSCC also filed the Proposed Rule Change as an advance 
notice with the Commission, pursuant to Section 806(e)(1) of the 
Payment, Clearing, and Settlement Supervision Act of 2010 and Rule 
19b-4(n)(1) under the Act, seeking approval of changes to its Rules 
necessary to implement the Proposed Rule Change. 12 U.S.C. 5465(e) 
and 17 CFR 240.19b-4(n)(1), respectively. The advance notice was 
published in the Federal Register on November 30, 2016. Securities 
Exchange Act Release No. 79391 (November 23, 2016), 81 FR 86348 
(November 30, 2016) (SR-NSCC-2016-803). The Commission did not 
receive any comments on the advance notice.
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I. Description of the Proposed Rule Change

    The Proposed Rule Change, as described by NSCC, is a proposal to 
modify NSCC's Rules & Procedures (``Rules'') \4\ 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 NSCC's Clearing Fund 
formula, in the form of a a Margin Requirement Differential (``MRD''), 
a Coverage Component, and an Intraday Backtesting Charge); (iii) 
enhance NSCC's current intraday mark-to-market margin process; (iv) 
introduce a new loss allocation provision for any trades that fall 
within the proposed definition of ``Off-the-Market Transactions;'' and 
(v) make other related and technical changes, such as eliminating the 
current Specified Activity charge \5\ from the Clearing Fund formula, 
no longer permitting NSCC to delay processing and reporting for certain 
index receipt transactions, clarifying the calculation of the Excess 
Capital Premium charge,\6\ and removing certain references to ID Net 
Subscribers.\7\ These proposed modifications are described in detail 
below.
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    \4\ Available at http://dtcc.com/~/media/Files/Downloads/legal/
rules/nscc_rules.pdf.
    \5\ The Specified Activity charge is a current component of the 
Clearing Fund formula that mitigates the risk of NSCC's trade 
guaranty attaching prior to NSCC collecting margin on the 
transactions, where there is a shortened settlement cycle for the 
transaction. Notice, supra note 3.
    \6\ 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 of the Rules. Notice, supra note 3.
    \7\ The ID Net service allows subscribers to the service to net 
all eligible affirmed institutional transactions at the Depository 
Trust Company against their CNS transactions at NSCC. See Securities 
Exchange Act Release No. 57901 (June 2, 2008), 73 FR 32373 (June 6, 
2008) (SR-NSCC-2007-14). NSCC's ID Net service is defined further in 
Rule 65. Rules, supra note 4.
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(A) Accelerated 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, or ``CNS'' system \8\ (``CNS trades''), and 
through its Balance Order Accounting Operation \9\ (``Balance Order 
trades'') that have reached the later of midnight of T+1 or midnight of 
the day they are reported to NSCC members (``Members'').\10\ NSCC 
proposes to shorten the time at which its trade guaranty applies to 
trades by amending its Rules 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.\11\
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    \8\ CNS and its operation are described in Rule 11 and Procedure 
VII. Rules, supra note 4.
    \9\ The Balance Order Accounting Operation is described in Rule 
5 and Procedure V. Rules, supra note 4. 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.
    \10\ Today, shortened process trades, such as same-day and next-
day settling trades, are already guaranteed upon comparison or trade 
recording processing.
    \11\ 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.'' Notice, supra note 3.
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    NSCC has previously shortened the time at which its trade guaranty 
applied to trades in response to processing developments, risk 
management considerations, and to follow industry settlement 
cycles.\12\ According to NSCC, the accelerated trade guaranty and 
related changes it now proposes would benefit the industry by 
mitigating counterparty risk and enhancing counterparties' ability to 
assess that risk by having NSCC become the central counterparty 
(``CCP'') to CNS trades and by applying the trade guaranty to Balance 
Order trades at an earlier point

[[Page 94463]]

in the settlement cycle. The transfer of counterparty credit risk from 
Members to NSCC at an earlier point in the settlement cycle would 
facilitate a shortened holding period of bilateral credit risk for 
Members by transferring the obligation onto NSCC.
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    \12\ 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).
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    To implement this proposed change, NSCC would amend Addendum K of 
the Rules \13\ to provide that CNS trades and Balance Order trades 
would be guaranteed by NSCC at the time of trade validation.\14\ NSCC 
also proposes to clarify in Addendum K \15\ 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 \16\ but by a 
separate arrangement between NSCC and The Options Clearing Corporation, 
as referred to in Procedure III of the Rules.\17\
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    \13\ Supra note 4.
    \14\ The proposed accelerated trade guaranty would not apply to 
items not currently guaranteed today.
    \15\ Supra note 4.
    \16\ Id.
    \17\ Id.
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(B) Proposed Enhancements to NSCC's Clearing Fund Formula

    In conjunction with the proposed accelerated 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 (Clearing Fund Formula and Other Matters) of the Rules 
\18\ to include three new components: The MRD, the Coverage Component, 
and the Intraday Backtesting Charge.
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    \18\ Id.
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1. Margin Requirement Differential
    The MRD component is designed by NSCC to help mitigate the risks 
posed to NSCC by day-over-day fluctuations in a Member's portfolio. It 
would do this 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 margin in the 
form of a Required Deposit \19\ reflecting such trades is collected by 
NSCC. 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'').\20\ The MRD would increase Members' Required Deposits by an 
amount calculated to cover forecasted fluctuations in Members' 
portfolios, based upon historical activity.
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    \19\ 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 (i.e., a ``default''). NSCC 
determines Members' 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 (``Coverage 
Target''). Notice, supra note 3.
    \20\ 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.
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    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: 
``MRD VaR'' and ``MRD MTM.'' MRD VaR would look at historical day-over-
day positive changes in the start of day (``SOD'') volatility component 
of a Member's Required Deposit \21\ (the volatility component is 
referred to as the ``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. MRD MTM would look at historical 
day-over-day increases to the SOD mark-to-market component of a 
Member's Required Deposit \22\ 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 would 
be 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 a sufficient time series 
to reflect current market conditions.
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    \21\ The Volatility Charge 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.
    \22\ 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).
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    By addressing the day-over-day changes to each Member's SOD 
Volatility Charge and SOD mark-to-market component, NSCC states that 
the MRD would help mitigate the risks posed to NSCC by un-margined day-
over-day fluctuations to a Member's portfolio resulting from intraday 
trading activity that would be guaranteed during the coverage gap.
2. Coverage Component
    The Coverage Component is designed by NSCC 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. NSCC 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 by 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 NSCC's current Backtesting Charge \23\ (to be 
renamed as the ``Regular Backtesting Charge'' pursuant to this 
proposal, as described below) and the Intraday Backtesting Charge, both 
of which are backwards looking increases to the Member's Required 
Deposit to above the Coverage Target.
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    \23\ Rules, Procedure XV, Section I(B)(3), supra note 4.
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    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: Volatility Charge, the MRD, 
Illiquid Charge, and Market Maker Domination Charge (collectively, 
``Market Risk Components''). The results of that calculation would 
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.

[[Page 94464]]

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.
3. Intraday Backtesting Charge
    NSCC currently employs daily backtesting to determine the adequacy 
of each Member's Required Deposit. NSCC compares the Required Deposit 
\24\ 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 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.\25\
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    \24\ For backtesting comparisons, NSCC uses the Required Deposit 
amount without regard to the actual collateral posted by the Member.
    \25\ 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.
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    NSCC's objective with 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 would assess 
an Intraday Backtesting Charge that is specific to each impacted 
Member. To do so, NSCC would examine 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.\26\
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    \26\ 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.
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    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. According to NSCC, 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 could, 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.
    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).\27\
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    \27\ Supra note 4.
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    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. However, the Intraday Backtesting Charge 
would only be applicable to those Members whose overall 12-month 
trailing intraday backtesting coverage falls below the Coverage Target. 
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.

(C) 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 NSCC 
as a result of the proposed accelerated trade guaranty. As part of its 
Clearing Fund formula, 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. A Member's SOD mark-to-market 
margin is calculated and collected daily 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.
    Because the SOD mark-to-market component is calculated only once 
daily using the prior end-of-day positions and prices, it does not 
cover a Member's exposure arising out of any intraday changes to 
position and market value in a Member's portfolio. For such

[[Page 94465]]

exposure, the Volatility Charge already collected from each Member as 
part of the Member's daily Required Deposit is calculated to cover 
projected changes in the contract/settlement value of a Member's 
portfolio, which should be sufficient to cover intraday changes to a 
Member's portfolio, and thus NSCC's risk of loss as a result of that 
Member's intraday activities. However, in certain instances, a Member 
could have intraday mark-to-market changes that are significant enough 
that NSCC is exposed to an increased risk of loss that would not be 
covered by the Member's Volatility Charge. To monitor and account for 
these instances, NSCC measures each Member's intraday mark-to-market 
exposure against the Volatility Charge twice daily and collects an 
intraday mark-to-market amount from any Member whose intraday mark-to-
market exposure meets or exceeds 100 percent of the Member's Volatility 
Charge, although NSCC may lower that threshold and measure exposure 
more often during volatile market conditions. NSCC believes that such 
Members pose an increased risk of loss to NSCC 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.
    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 by imposing the intraday mark-to-
market margin amount at a lower threshold. With this proposal, instead 
of collecting intraday mark-to-market margin if a Member's intraday 
mark-to-market exposure meets or exceeds 100 percent of the Member's 
Volatility Charge, NSCC would make an intraday margin call if a 
Member's intraday mark-to-market exposure meets or exceeds 80 percent 
of the Member's Volatility Charge (while still retaining the ability to 
reduce the threshold during volatile market conditions). This proposed 
change would serve to collect more intraday margin earlier and more 
proactively preserve the coverage provided by a Member's Volatility 
Charge and Required Deposit.
    Finally, to ensure that Members are aware that NSCC regularly 
monitors and considers intraday mark-to-market as part of its regular 
Clearing Fund formula and understand the circumstances and criteria for 
the assessment of an intraday mark-to-market call, NSCC proposes to 
amend Procedure XV to include a comprehensive description of the 
enhanced intraday mark-to-market margin charge and the proposed new 
criteria NSCC would use to assess it.

(D) 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.'' This loss allocation provision would be designed 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. It 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.\28\
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    \28\ 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.
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    NSCC would define ``Off-the-Market Transaction'' as a single 
transaction (or a series of transactions settled within the same trade 
cycle) that is (i) greater than $1 million in gross proceeds, and (ii) 
at trade price that differs significantly (i.e., either higher or 
lower) from the most recently observed market price, at the time the 
trade was submitted to NSCC, by a percentage amount determined by NSCC 
based upon market conditions and factors that impact trading behavior 
of the underlying security, including volatility, liquidity and other 
characteristics of such security.
    In addition to defining Off-the-Market Transactions, the proposed 
change would establish the loss allocation for when they occur. 
Specifically, any net losses to NSCC resulting from the liquidation of 
a guaranteed, Off-the-Market Transaction of a defaulted Member would be 
allocated directly and entirely to the surviving counterparty to that 
transaction, or on whose behalf the Off-the-Market Transaction was 
submitted to NSCC. 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 
would 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.\29\
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    \29\ 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.
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    According to NSCC, this proposed change would allow NSCC to 
mitigate the risk of loss associated with guaranteeing these Off-the-
Market Transactions. NSCC has recognized 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.
    To implement this proposed change, NSCC would amend Rule 4 \30\ 
(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 
also would amend Rule 1 \31\ (Definitions and Descriptions) to include 
a definition of Off-the-Market Transactions.
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    \30\ Supra note 4.
    \31\ Id.
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(E) Other Related and Technical Changes

1. Removing the Specified Activity Charge
    Currently, NSCC collects a Specified Activity charge, which is 
designed to cover the risk posed to NSCC by transactions that settle on 
a T+2, T+1, or T timeframe.\32\ Because such transactions may be 
guaranteed by NSCC prior to the collection of margin, they pose an 
increased risk to NSCC (a similar risk that posed to NSCC by the 
proposed accelerated trade guaranty). 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 
to NSCC by the Member over a 100-day look-back period. However, 
according to NSCC,

[[Page 94466]]

the addition of the proposed 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, 
thereby obviating the need to collect a separate Specified Activity 
charge. Accordingly, because it would be duplicative of the MRD and 
Coverage Components that are being added to the Clearing Fund Formula, 
NSCC proposes to eliminate the Specified Activity charge.
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    \32\ Examples of these trades can include next day settling 
trades, same day settling trades, cash trades, and sellers' options.
---------------------------------------------------------------------------

2. Eliminating Delay in Processing and Reporting of Next Day Settling 
Index Receipts
    Next day settling index receipts may be guaranteed prior to the 
collection of margin reflecting such trades and thus carry a risk 
similar to the risk posed by 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, as with the risk associated with Specified Activity, under the 
proposed change, this risk would generally be mitigated by the addition 
of the MRD and Coverage Component. Therefore, NSCC proposes to amend 
Procedure II of the Rules \33\ (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.
---------------------------------------------------------------------------

    \33\ Supra note 4.
---------------------------------------------------------------------------

3. Clarifying That the MRD and Coverage Component Should not Be 
Included in the Calculation of a Member's Excess Capital Premium Charge
    The Excess Capital Premium charge \34\ is designed to address 
significant, temporary increases 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 charge for a Member is calculated based upon the 
Member's Required Deposit and the Member's excess net capital. The 
Premium is the amount by which a Member's Required Deposit exceeds its 
excess regulatory capital multiplied by the Member's ratio of Required 
Deposit to excess regulatory capital, expressed as a percent. Because 
they would be new components of a Member's Required Deposit under the 
current proposal, the MRD and Coverage Component would necessarily be 
included in the calculation of a Member's Excess Capital Premium. 
However, the MRD and Coverage Component each 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, the increased MRD and Coverage 
Component could lead to more frequent Excess Capital Premium charges 
over an extended period of time. According to NSCC, this is not the 
intended purpose of the Excess Capital Premium and could place an 
unnecessary burden on Members. Accordingly, NSCC proposes to exclude 
these charges from the calculation of the Excess Capital Premium.
---------------------------------------------------------------------------

    \34\ As stated above, 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 of the Rules. 
Rules, supra note 4.
---------------------------------------------------------------------------

4. Removing Reference to ID Net Subscribers
    NSCC also proposes to change Procedure XV \35\ to clarify how the 
``Regular Mark-to-Market'' component of the Required Deposit for CNS 
transactions is calculated. The Mark-to-Market component of a Member's 
Required Deposit is designed to protect NSCC from risk of loss based on 
changes to the value of a Member's portfolio and therefore may result 
in a debit to a Member (i.e., NSCC would collect more Required 
Deposit), but cannot result in a credit from NSCC to a Member. 
Accordingly, if a Member's mark-to-market calculation for a CNS or 
Balance Order trade results in a credit to the Member, NSCC's policy is 
to adjust the calculation to zero, thereby avoiding a credit from NSCC 
to the Member. When NSCC implemented the ID Net service,\36\ it added a 
provision to Procedure XV \37\ that explicitly stated this policy with 
respect to CNS transactions of subscribers to the ID Net service. 
According to NSCC, 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 proposes to 
revise the applicable provision of Procedure XV to remove the reference 
to ID Net Subscribers.
---------------------------------------------------------------------------

    \35\ Id.
    \36\ Supra note 6.
    \37\ Supra note 4.
---------------------------------------------------------------------------

II. Discussion and Commission Findings

    Section 19(b)(2)(C) of the Act \38\ directs the Commission to 
approve a proposed rule change of a self-regulatory organization if it 
finds that such proposed rule change is consistent with the 
requirements of the Act and rules and regulations thereunder applicable 
to such organization. The Commission believes the Proposed Rule Change 
is consistent with Section 17A(b)(3)(F) of the Act and Rules 17Ad-
22(b)(1) and (b)(2) under the Act,\39\ as described in detail below.
---------------------------------------------------------------------------

    \38\ 15 U.S.C. 78s(b)(2)(C).
    \39\ 15 U.S.C. 78q-1(b)(3)(F); 17 CFR 240.17Ad-22(b)(1); 17 CFR 
240.17Ad-22(b)(2).
---------------------------------------------------------------------------

A. Consistency With Section 17A of the Act

    Section 17A(b)(3)(F) of the Act requires, in part, that the rules 
of a clearing agency be designed to promote the prompt and accurate 
clearance and settlement of securities transactions, to assure the 
safeguarding of securities and funds which are in the custody and 
control of NSCC or for which it is responsible, and to protect 
investors and the public interest.\40\ First, the Commission believes 
that the Proposed Rule Change is consistent with promoting prompt and 
accurate clearance and settlement. As described above, NSCC proposes to 
accelerate its trade guaranty for CNS trades and Balance Order trades 
from midnight of T+1 to the point of trade validation. This earlier 
guaranty would promote prompt and accurate clearance and settlement for 
Members because the counterparty credit risk that Members currently 
hold until NSCC's guaranty applies at midnight of T+1 would shift to 
NSCC almost immediately upon NSCC's receipt of the trade on T. Because 
NSCC risk manages its guaranteed transactions, NSCC is able to better 
ensure that trades settle if a counterparty defaults.
---------------------------------------------------------------------------

    \40\ 15 U.S.C. 78q-1(b)(3)(F).
---------------------------------------------------------------------------

    The above-described proposed changes to NSCC's margin methodology 
(i.e., the addition of the MRD, Coverage Component, and Intraday 
Backtesting Charge), along with the proposed reduction of NSCC's 
intraday mark-to-

[[Page 94467]]

margin threshold, also would promote prompt and accurate clearance and 
settlement at NSCC because they would improve NSCC's ability to collect 
margin. Likewise, the proposed loss allocation provision for off-the-
market transactions would promote prompt and accurate clearance and 
settlement at NSCC by helping to protect NSCC from losses due to 
transactions of a defaulted Member that were made at prices 
significantly different from the prevailing market price at the time of 
the trade. Collectively, these proposed changes would enable NSCC to 
manage better the additional risk that would result from the proposed 
accelerated guaranty, ensuring that NSCC could continue prompt 
clearance and settlement in a stress environment.
    Second, the Commission believes that the Proposed Rule Change, as 
described above, are consistent with safeguarding funds within NSCC's 
control. NSCC's proposal to add the three new components to its margin 
methodology (i.e., the MRD, Coverage Component, and Intraday 
Backtesting Charge) would enable NSCC to collect more margin, thereby 
safeguarding existing margin funds within NSCC's control with respect 
to the potential default of a Member. By collecting more margin, NSCC 
would be in a better position to manage the counterparty credit risk 
presented by Members, particularly the additional counterparty credit 
risk from the proposed accelerated trade guaranty. Similarly, the 
proposal to lower the threshold for collection of intraday mark-to-
margin by collecting intraday mark-to-market margin when NSCC's 
exposure to a Member meets or exceeds 80 percent of that Member's 
Volatility Charge, rather than 100 percent, would enhance NSCC's 
intraday mark-to-market margin practice by allowing NSCC to collect 
more intraday margin stemming from intraday price fluctuations more 
often. As such, the proposed threshold reduction would also promote 
safeguarding funds within NSCC's control. With respect to the proposed 
change to introduce a new loss allocation provision for certain off-
the-market transactions, it too would promote safeguarding funds within 
NSCC's control, as it would help protect NSCC from transactions of a 
defaulted Member that were made at prices that differed significantly 
from the prevailing market price at the time the trade is executed and 
resulted in a loss to NSCC in connection with NSCC's liquidation of the 
transaction.
    Third, the Commission believes that the Proposed Rule Change is 
consistent with protecting investors and the public interest. As 
described above, by providing a trade guaranty at an earlier point in 
the settlement cycle, counterparty credit risk also would transfer from 
Members, which are not CCPs, to NSCC, which is a third-party CCP that 
risk-manages its guaranteed transactions, at an earlier point in the 
settlement cycle. Because NSCC risk manages its guaranteed 
transactions, NSCC is able to better ensure that trades settle if a 
counterparty defaults. Thus, the proposed accelerated process would 
help reduce protect investors and the public interest by mitigating 
Members' exposure to a counterparty default earlier in the settlement 
cycle and by providing an earlier assurance that transactions will 
settle despite a Member default.
    At the same time, the three proposed additions to NSCC's margin 
methodology, the proposed reduction of NSCC's intraday mark-to-margin 
threshold, and the proposed loss allocation provision for off-the-
market transactions, as described above, would also help mitigate the 
systemic risks that NSCC presents as a CCP because they would improve 
NSCC's margining abilities and help protect NSCC against potential 
losses from a Member default. Accordingly, the proposed changes would 
therefore protect investors and the public interest by promoting the 
stability of the broader financial system.

B. Consistency With Rule 17Ad-22(b)(1)

    Rule 17Ad-22(b)(1) under the Act requires a CCP, such as NSCC, to, 
among other things, ``establish, implement, maintain and enforce 
written policies and procedures reasonably designed to . . . limit its 
exposures to potential losses from defaults by its participants under 
normal market conditions . . . '' As described above, because the 
proposed accelerated trade guaranty would transfer counterparty credit 
risk to NSCC at an earlier point in the settlement cycle, NSCC proposes 
to enhance its margin methodology by adding three new margin components 
and by lowering the threshold for the intraday mark-to-market margin 
collection. It also proposes to establish a loss allocation provision 
for off-the-market transactions. These proposed changes are designed to 
limit NSCC's exposure to potential losses from the default of a Member 
by enabling NSCC to collect more margin, better manage when it collects 
margin, and protect itself from certain losses of a defaulted Member. 
Therefore, the Commission believes that the Proposed Rule Change would 
be consistent with Rule 17Ad-22(b)(1).

C. Consistency With Rule 17Ad-22(b)(2)

    Rule 17Ad-22(b)(2) under the Act requires a CCP, such as NSCC, to, 
among other things, ``establish, implement, maintain and enforce 
written policies and procedures reasonably designed to . . . [u]se 
margin requirements to limit its credit exposures to participants under 
normal market conditions and use risk-based models and parameters to 
set margin requirements . . . '' Again, the proposal would add three 
new components to NSCC's margin methodology (i.e., the MRD, Coverage 
Component, and Intraday Backtesting Charge), which use risk based 
models and parameters to calculate charges, and would lower the 
threshold at which NSCC would make an intraday mark-to-market margin 
call. As such, the proposal would help NSCC better account for and 
cover its credit exposure to Members. In addition, by establishing the 
proposed margin components and the new intraday mark-to-market margin 
collection threshold, the proposal is consistent with using risk-based 
models and parameters to set margin requirements. Therefore, the 
Commission believes that the Proposed Rule Change would be consistent 
with Rule 17Ad-22(b)(2).

III. Conclusion

    On the basis of the foregoing, the Commission finds that the 
Proposed Rule Change is consistent with the requirements of the Act and 
in particular with the requirements of Section 17A of the Act \41\ and 
the rules and regulations thereunder.
---------------------------------------------------------------------------

    \41\ 15 U.S.C. 78q-1.
---------------------------------------------------------------------------

    It is therefore ordered, pursuant to Section 19(b)(2) of the Act, 
that proposed rule change SR-NSCC-2016-005 be, and hereby is, approved 
as of the date of this order or the date of a notice by the Commission 
authorizing NSCC to implement NSCC's advance notice proposal that is 
consistent with this proposed rule change (SR-NSCC-2016-803), whichever 
is later.\42\
---------------------------------------------------------------------------

    \42\ In approving the proposed rule change, the Commission 
considered the proposals' impact on efficiency, competition, and 
capital formation. 15 U.S.C. 78c(f).

    For the Commission, by the Division of Trading and Markets, 
pursuant to delegated authority.\43\
---------------------------------------------------------------------------

    \43\ 17 CFR 200.30-3(a)(12).
---------------------------------------------------------------------------

Eduardo A. Aleman,
Assistant Secretary.
[FR Doc. 2016-30944 Filed 12-22-16; 8:45 am]
 BILLING CODE 8011-01-P



                                                  94462                            Federal Register / Vol. 81, No. 247 / Friday, December 23, 2016 / Notices

                                                  Internet Web site (http://www.sec.gov/                    19b–4 thereunder.2 The Proposed Rule                   modifications are described in detail
                                                  rules/sro.shtml). Copies of the                           Change was published for comment in                    below.
                                                  submission, all subsequent                                the Federal Register on November 10,
                                                                                                                                                                   (A) Accelerated Trade Guaranty
                                                  amendments, all written statements                        2016.3 The Commission did not receive
                                                  with respect to the proposed rule                         any comments on the Proposed Rule                         Pursuant to Addendum K of the
                                                  change that are filed with the                            Change. For the reasons discussed                      Rules, NSCC currently guarantees the
                                                  Commission, and all written                               below, the Commission is granting                      completion of trades that are cleared
                                                  communications relating to the                            approval of the Proposed Rule Change                   and settled through NSCC’s Continuous
                                                  proposed rule change between the                                                                                 Net Settlement, or ‘‘CNS’’ system 8
                                                                                                            I. Description of the Proposed Rule                    (‘‘CNS trades’’), and through its Balance
                                                  Commission and any person, other than
                                                                                                            Change                                                 Order Accounting Operation 9 (‘‘Balance
                                                  those that may be withheld from the
                                                  public in accordance with the                                The Proposed Rule Change, as                        Order trades’’) that have reached the
                                                  provisions of 5 U.S.C. 552, will be                       described by NSCC, is a proposal to                    later of midnight of T+1 or midnight of
                                                  available for Web site viewing and                        modify NSCC’s Rules & Procedures                       the day they are reported to NSCC
                                                  printing in the Commission’s Public                       (‘‘Rules’’) 4 to: (i) Accelerate NSCC’s                members (‘‘Members’’).10 NSCC
                                                  Reference Room, 100 F Street NE.,                         trade guaranty from midnight of one day                proposes to shorten the time at which
                                                  Washington, DC 20549 on official                          after trade date (‘‘T+1’’) to the point of             its trade guaranty applies to trades by
                                                  business days between the hours of                        trade comparison and validation for                    amending its Rules to guarantee the
                                                  10:00 a.m. and 3:00 p.m. Copies of the                    bilateral submissions or to the point of               completion of CNS trades and Balance
                                                  filing also will be available for                         trade validation for locked-in                         Order trades upon comparison and
                                                  inspection and copying at the principal                   submissions; (ii) add three new                        validation for bilateral submissions to
                                                  office of the Exchange. All comments                      components to NSCC’s Clearing Fund                     NSCC or upon validation for locked-in
                                                  received will be posted without change;                   formula, in the form of a a Margin                     submissions to NSCC.11
                                                  the Commission does not edit personal                     Requirement Differential (‘‘MRD’’), a                     NSCC has previously shortened the
                                                  identifying information from                              Coverage Component, and an Intraday                    time at which its trade guaranty applied
                                                  submissions. You should submit only                       Backtesting Charge); (iii) enhance                     to trades in response to processing
                                                  information that you wish to make                         NSCC’s current intraday mark-to-market                 developments, risk management
                                                  available publicly. All submissions                       margin process; (iv) introduce a new                   considerations, and to follow industry
                                                  should refer to File Number SR–                           loss allocation provision for any trades               settlement cycles.12 According to NSCC,
                                                  NYSEArca–2016–165 and should be                           that fall within the proposed definition               the accelerated trade guaranty and
                                                  submitted on or before January 13, 2017.                  of ‘‘Off-the-Market Transactions;’’ and                related changes it now proposes would
                                                                                                            (v) make other related and technical                   benefit the industry by mitigating
                                                    For the Commission, by the Division of
                                                  Trading and Markets, pursuant to delegated                changes, such as eliminating the current               counterparty risk and enhancing
                                                  authority.14                                              Specified Activity charge 5 from the                   counterparties’ ability to assess that risk
                                                  Eduardo A. Aleman,                                        Clearing Fund formula, no longer                       by having NSCC become the central
                                                                                                            permitting NSCC to delay processing                    counterparty (‘‘CCP’’) to CNS trades and
                                                  Assistant Secretary.
                                                                                                            and reporting for certain index receipt                by applying the trade guaranty to
                                                  [FR Doc. 2016–30943 Filed 12–22–16; 8:45 am]
                                                                                                            transactions, clarifying the calculation               Balance Order trades at an earlier point
                                                  BILLING CODE 8011–01–P
                                                                                                            of the Excess Capital Premium charge,6
                                                                                                            and removing certain references to ID                  against their CNS transactions at NSCC. See
                                                                                                            Net Subscribers.7 These proposed                       Securities Exchange Act Release No. 57901 (June 2,
                                                  SECURITIES AND EXCHANGE                                                                                          2008), 73 FR 32373 (June 6, 2008) (SR–NSCC–2007–
                                                  COMMISSION                                                                                                       14). NSCC’s ID Net service is defined further in
                                                                                                              2 17 CFR 240.19b–4.                                  Rule 65. Rules, supra note 4.
                                                                                                              3 Securities Exchange Act Release No. 79245
                                                  [Release No. 34–79598; File No. SR–NSCC–                                                                           8 CNS and its operation are described in Rule 11

                                                  2016–005]                                                 (November 4, 2016), 81 FR 79071 (November 10,          and Procedure VII. Rules, supra note 4.
                                                                                                            2016) (SR–NSCC–2016–005) (‘‘Notice’’). NSCC also         9 The Balance Order Accounting Operation is

                                                  Self-Regulatory Organizations;                            filed the Proposed Rule Change as an advance           described in Rule 5 and Procedure V. Rules, supra
                                                                                                            notice with the Commission, pursuant to Section        note 4. NSCC does not become a counterparty to
                                                  National Securities Clearing                              806(e)(1) of the Payment, Clearing, and Settlement     Balance Order trades, but it does provide a trade
                                                  Corporation; Order Granting Approval                      Supervision Act of 2010 and Rule 19b–4(n)(1)           guaranty to the receive and deliver parties that
                                                  of Proposed Rule Change To                                under the Act, seeking approval of changes to its      remains effective through close of business on the
                                                                                                            Rules necessary to implement the Proposed Rule         originally scheduled settlement date.
                                                  Accelerate Its Trade Guaranty, Add                        Change. 12 U.S.C. 5465(e) and 17 CFR 240.19b–            10 Today, shortened process trades, such as same-
                                                  New Clearing Fund Components,                             4(n)(1), respectively. The advance notice was          day and next-day settling trades, are already
                                                  Enhance Its Intraday Risk                                 published in the Federal Register on November 30,      guaranteed upon comparison or trade recording
                                                  Management, Provide for Loss                              2016. Securities Exchange Act Release No. 79391        processing.
                                                                                                            (November 23, 2016), 81 FR 86348 (November 30,
                                                  Allocation of ‘‘Off-the-Market                            2016) (SR–NSCC–2016–803). The Commission did
                                                                                                                                                                     11 Validation refers to the process whereby NSCC

                                                  Transactions,’’ and Make Other                                                                                   validates a locked-in trade, or compares and
                                                                                                            not receive any comments on the advance notice.        validates a bilateral trade, to confirm such trade has
                                                  Changes                                                      4 Available at http://dtcc.com/∼/media/Files/
                                                                                                                                                                   sufficient and correct information for clearance and
                                                                                                            Downloads/legal/rules/nscc_rules.pdf.                  settlement processing. For purposes of this
                                                  December 19, 2016.                                           5 The Specified Activity charge is a current
                                                                                                                                                                   description in the proposed rule change, the
                                                    National Securities Clearing                            component of the Clearing Fund formula that            process of comparing and validating bilateral
                                                  Corporation (‘‘NSCC’’) filed on October                   mitigates the risk of NSCC’s trade guaranty            submissions and the process for validating locked-
                                                                                                            attaching prior to NSCC collecting margin on the       in submissions are collectively referred to as ‘‘trade
                                                  25, 2016 with the Securities and                          transactions, where there is a shortened settlement    validation.’’ Notice, supra note 3.
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                                                  Exchange Commission (‘‘Commission’’)                      cycle for the transaction. Notice, supra note 3.         12 See Securities Exchange Act Release Nos.
                                                  proposed rule change SR–NSCC–2016–                           6 The Excess Capital Premium is a charge
                                                                                                                                                                   44648 (August 2, 2001), 66 FR 42245 (August 10,
                                                  005 (‘‘Proposed Rule Change’’) pursuant                   imposed on a Member when the Member’s Required         2001) (SR–NSCC–2001–11); 35442 (March 3, 1995),
                                                  to Section 19(b)(1) of the Securities                     Deposit exceeds its excess net capital, as described   60 FR 13197 (March 10, 1995) (SR–NSCC–95–02);
                                                                                                            in Procedure XV of the Rules. Notice, supra note       35807 (June 5, 1995), 60 FR 31177 (June 13, 1995)
                                                  Exchange Act of 1934 (‘‘Act’’) 1 and Rule                 3.                                                     (SR–NSCC–95–03); and 27192 (August 29, 1989), 54
                                                                                                               7 The ID Net service allows subscribers to the      FR 37010 (approving SR–NSCC–87–04, SR–MCC–
                                                    14 17   CFR 200.30–3(a)(12).                            service to net all eligible affirmed institutional     87–03, and SR–SCCP–87–03 until December 31,
                                                    1 15   U.S.C. 78s(b)(1).                                transactions at the Depository Trust Company           1990).



                                             VerDate Sep<11>2014     18:33 Dec 22, 2016   Jkt 241001   PO 00000   Frm 00151   Fmt 4703   Sfmt 4703   E:\FR\FM\23DEN1.SGM   23DEN1


                                                                              Federal Register / Vol. 81, No. 247 / Friday, December 23, 2016 / Notices                                                      94463

                                                  in the settlement cycle. The transfer of                collected by NSCC. However, under the                   series to reflect current market
                                                  counterparty credit risk from Members                   accelerated trade guaranty proposal,                    conditions.
                                                  to NSCC at an earlier point in the                      NSCC’s trade guaranty would attach to                     By addressing the day-over-day
                                                  settlement cycle would facilitate a                     current-day trades immediately upon                     changes to each Member’s SOD
                                                  shortened holding period of bilateral                   trade validation, before Required                       Volatility Charge and SOD mark-to-
                                                  credit risk for Members by transferring                 Deposits reflecting these trades have                   market component, NSCC states that the
                                                  the obligation onto NSCC.                               been collected (which NSCC refers to                    MRD would help mitigate the risks
                                                    To implement this proposed change,                    herein as the ‘‘coverage gap’’).20 The                  posed to NSCC by un-margined day-
                                                  NSCC would amend Addendum K of                          MRD would increase Members’                             over-day fluctuations to a Member’s
                                                  the Rules 13 to provide that CNS trades                 Required Deposits by an amount                          portfolio resulting from intraday trading
                                                  and Balance Order trades would be                       calculated to cover forecasted                          activity that would be guaranteed
                                                  guaranteed by NSCC at the time of trade                 fluctuations in Members’ portfolios,                    during the coverage gap.
                                                  validation.14 NSCC also proposes to                     based upon historical activity.                         2. Coverage Component
                                                  clarify in Addendum K 15 that the
                                                  guaranty of obligations arising out of the                 The MRD would be calculated and                         The Coverage Component is designed
                                                  exercise or assignment of options that                  charged on a daily basis, as a part of                  by NSCC to mitigate the risks associated
                                                  are settled at NSCC is not governed by                  each Member’s Required Deposit, and                     with a Member’s Required Deposit being
                                                  Addendum K 16 but by a separate                         consists of two components: ‘‘MRD                       insufficient to cover projected
                                                  arrangement between NSCC and The                        VaR’’ and ‘‘MRD MTM.’’ MRD VaR                          liquidation losses to the Coverage Target
                                                  Options Clearing Corporation, as                        would look at historical day-over-day                   by adjusting a Member’s Required
                                                  referred to in Procedure III of the                     positive changes in the start of day                    Deposit towards the Coverage Target.
                                                  Rules.17                                                (‘‘SOD’’) volatility component of a                     NSCC would face increased exposure to
                                                                                                          Member’s Required Deposit 21 (the                       a Member’s un-margined portfolio as a
                                                  (B) Proposed Enhancements to NSCC’s                     volatility component is referred to as the              result of the proposed accelerated trade
                                                  Clearing Fund Formula                                   ‘‘Volatility Charge’’) over a 100-day                   guaranty and would have an increased
                                                     In conjunction with the proposed                     look-back period and would be                           need to have each Member’s Required
                                                  accelerated trade guaranty, NSCC would                  calculated to equal the exponentially                   Deposit meet the Coverage Target. The
                                                  enhance its Clearing Fund formula to                    weighted moving average (‘‘EWMA’’) of                   Coverage Component would
                                                  address the risks posed by the expanded                 such changes to the Member’s Volatility                 supplement the MRD by preemptively
                                                  trade guaranty. Specifically, NSCC                      Charge during the look-back period.                     increasing a Member’s Required Deposit
                                                  proposes to amend Procedure XV                          MRD MTM would look at historical day-                   by an amount calculated to forecast
                                                  (Clearing Fund Formula and Other                        over-day increases to the SOD mark-to-                  potential deficiencies in the margin
                                                  Matters) of the Rules 18 to include three               market component of a Member’s                          coverage of a Member’s guaranteed
                                                  new components: The MRD, the                            Required Deposit 22 over a 100-day look-                portfolio. The preemptive nature of the
                                                  Coverage Component, and the Intraday                    back period and would be calculated to                  Coverage Component differentiates it
                                                  Backtesting Charge.                                     equal the EWMA of such changes to the                   from NSCC’s current Backtesting
                                                                                                          Member’s SOD mark-to-market                             Charge 23 (to be renamed as the ‘‘Regular
                                                  1. Margin Requirement Differential                      component during the look-back period.                  Backtesting Charge’’ pursuant to this
                                                     The MRD component is designed by                     The MRD would be calculated to equal                    proposal, as described below) and the
                                                  NSCC to help mitigate the risks posed                   the sum of MRD VaR and MRD MTM                          Intraday Backtesting Charge, both of
                                                  to NSCC by day-over-day fluctuations in                 times a multiplier calibrated based on                  which are backwards looking increases
                                                  a Member’s portfolio. It would do this                  backtesting results. NSCC has                           to the Member’s Required Deposit to
                                                  by forecasting future changes in a                      determined that a 100-day look-back                     above the Coverage Target.
                                                  Member’s portfolio based on a historical                period would provide a sufficient time                     The Coverage Component would be
                                                  look-back at each Member’s portfolio                                                                            calculated and charged on a daily basis
                                                  over a given time period. A Member’s                    Members’ Required Deposit amounts using a risk-         as a part of each Member’s Required
                                                  portfolio may fluctuate significantly                   based margin methodology that is intended to            Deposit. To calculate the Coverage
                                                  from one trading day to the next as the                 capture market price risk. The methodology uses
                                                                                                          historical market moves to project or forecast the
                                                                                                                                                                  Component, NSCC would compare the
                                                  Member executes trades throughout the                   potential gains or losses on the liquidation of a       simulated liquidation profit and loss of
                                                  day. Currently, daily fluctuations in a                 defaulting Member’s portfolio, assuming that a          a Member’s portfolio, using the actual
                                                  Member’s portfolio resulting from such                  portfolio would take three days to liquidate or         positions in the Member’s portfolio and
                                                  trades do not pose any additional or                    hedge in normal market conditions. The projected
                                                                                                          liquidation gains or losses are used to determine the
                                                                                                                                                                  the actual historical returns on the
                                                  different risk to NSCC because those                    Member’s Required Deposit, which is calculated to       security positions in the portfolio,
                                                  trades are not guaranteed by NSCC until                 cover projected liquidation losses to be at or above    against the sum of each of the following
                                                  a margin in the form of a Required                      a 99 percent confidence level (‘‘Coverage Target’’).    components of the Clearing Fund
                                                  Deposit 19 reflecting such trades is                    Notice, supra note 3.
                                                                                                             20 The coverage gap is the period between the
                                                                                                                                                                  formula: Volatility Charge, the MRD,
                                                                                                          time that NSCC would guarantee a trade and the          Illiquid Charge, and Market Maker
                                                    13 Supra  note 4.
                                                                                                          time that NSCC would collect additional margin to       Domination Charge (collectively,
                                                    14 The  proposed accelerated trade guaranty would
                                                  not apply to items not currently guaranteed today.
                                                                                                          cover such trade.                                       ‘‘Market Risk Components’’). The results
                                                                                                             21 The Volatility Charge component of the
                                                    15 Supra note 4.                                                                                              of that calculation would determine if
                                                                                                          Clearing Fund formula for CNS trades and Balance
                                                    16 Id.
                                                                                                          Order trades is described in Procedure XV, Sections
                                                                                                                                                                  there were any deficiencies between the
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                                                    17 Id.
                                                                                                          I.(A)(1)(a) and I.(A)(2)(a), respectively.              amounts collected by these components
                                                    18 Id.                                                   22 The SOD mark-to-market component of the           and the simulated profit and loss of the
                                                    19 NSCC collects Required Deposits from all           Clearing Fund formula for CNS trades consists of        Member’s portfolio that would have
                                                  Members as margin to protect NSCC against losses        Regular Mark-to-Market and ID Net Mark-to-Market,       been realized had it been liquidated
                                                  in the event of a Member’s default. The objective       which are described in Procedure XV, Sections
                                                  of the Required Deposit is to mitigate potential        I(A)(1)(b) and I(A)(1)(c), respectively. The SOD        during a 100-day look-back period.
                                                  losses to NSCC associated with liquidation of the       mark-to-market component of the Clearing Fund
                                                  Member’s portfolio if NSCC ceases to act for a          formula for Balance Order trades is described in          23 Rules, Procedure XV, Section I(B)(3), supra

                                                  Member (i.e., a ‘‘default’’). NSCC determines           Procedure XV, Section I(A)(2)(b).                       note 4.



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                                                  94464                        Federal Register / Vol. 81, No. 247 / Friday, December 23, 2016 / Notices

                                                  NSCC would then determine a daily                       impacted Member’s historical intraday                 Backtesting Charge’’ to Procedure XV,
                                                  ‘‘peak deficiency’’ amount for each                     backtesting deficiencies observed over                Section I.(B)(3).27
                                                  Member equal to the maximum                             the prior 12-month period to identify                    If NSCC determines that an Intraday
                                                  deficiency over a rolling 10 business                   the five largest intraday backtesting                 Backtesting Charge should apply to a
                                                  day period for the preceding 100 days.                  deficiencies that have occurred during                Member who was not assessed an
                                                  The Coverage Component would be                         that time. The presumptive Intraday                   Intraday Backtesting Charge during the
                                                  calculated to equal the EWMA of the                     Backtesting Charge amount would equal                 immediately preceding month or that
                                                  peak deficiencies over the 100-day look-                that Member’s fifth largest historical                the Intraday Backtesting Charge applied
                                                  back period.                                            intraday backtesting deficiency, subject              to a Member during the previous month
                                                                                                          to adjustment as further described                    should be increased, NSCC would notify
                                                  3. Intraday Backtesting Charge                                                                                the Member on or around the 25th
                                                                                                          below. NSCC believes that applying an
                                                     NSCC currently employs daily                         additional margin charge equal to the                 calendar day of the month prior to the
                                                  backtesting to determine the adequacy                   fifth largest historical intraday                     assessment of the Intraday Backtesting
                                                  of each Member’s Required Deposit.                      backtesting deficiency to a Member’s                  Charge or prior to the increase to the
                                                  NSCC compares the Required Deposit 24                   Required Deposit would have brought                   Intraday Backtesting Charge, as
                                                  for each Member with the simulated                      the Member’s historically observed                    applicable, if not earlier.
                                                  liquidation profit and loss using the                   intraday backtesting coverage above the                  NSCC would impose the Intraday
                                                  actual positions in the Member’s                        Coverage Target.26                                    Backtesting Charge as an additional
                                                  portfolio and the actual historical                                                                           charge applied to each impacted
                                                  returns on the security positions in the                   Although the fifth largest historical              Member’s Required Deposit on a daily
                                                  portfolio. NSCC investigates the cause of               backtesting deficiency for a Member                   basis for a one-month period and would
                                                  any backtesting deficiencies. As a part                 would be used as the Intraday                         review each applied Intraday
                                                  of this investigation, NSCC pays                        Backtesting Charge in most cases, NSCC                Backtesting Charge each month.
                                                  particular attention to Members with                    would retain discretion to adjust the                 However, the Intraday Backtesting
                                                  backtesting deficiencies that bring the                 charge amount based on other                          Charge would only be applicable to
                                                  results for that Member below the                       circumstances that might be relevant for              those Members whose overall 12-month
                                                  Coverage Target to determine if there is                assessing whether an impacted Member                  trailing intraday backtesting coverage
                                                  an identifiable cause of repeat                         is likely to experience future backtesting            falls below the Coverage Target. If an
                                                  backtesting deficiencies. NSCC also                     deficiencies and the estimated size of                impacted Member’s trailing 12-month
                                                  evaluates whether multiple Members                      such deficiencies. According to NSCC,                 intraday backtesting coverage exceeds
                                                  experience backtesting deficiencies for                 examples of relevant circumstances that               the Coverage Target (without taking into
                                                  the same underlying reason. Upon                        could be considered by NSCC in                        account historically imposed Intraday
                                                  implementation of the accelerated trade                 calculating the final, applicable Intraday            Backtesting Charges), the Intraday
                                                  guaranty, NSCC would employ a similar                   Backtesting Charge amount include                     Backtesting Charge would be removed.
                                                  backtesting process on an intraday basis                material differences among the
                                                                                                          Member’s five largest intraday                        (C) Enhanced Intraday Mark-to-Market
                                                  to determine the adequacy of each
                                                                                                          backtesting deficiencies observed over                Margining
                                                  Member’s Required Deposit. However,
                                                  instead of backtesting a Member’s                       the prior 12-month period, variability in               NSCC proposes to enhance its current
                                                  Required Deposit against the Member’s                   the net settlement activity after the                 intraday margining to further mitigate
                                                  SOD portfolio, NSCC would use                           collection of the Member’s Required                   the intraday coverage gap risk that may
                                                  portfolios from two intraday time                       Deposit, and observed market price                    be introduced to NSCC as a result of the
                                                  slices.25                                               volatility in excess of the Member’s                  proposed accelerated trade guaranty. As
                                                     NSCC’s objective with the Intraday                   historical Volatility Charge. Based on                part of its Clearing Fund formula, NSCC
                                                  Backtesting Charge is to increase                       NSCC’s assessment of the impact of                    currently collects a SOD mark-to-market
                                                  Required Deposits for Members that are                  these circumstances on the likelihood,                margin, which is designed to mitigate
                                                  likely to experience intraday backtesting               and estimated size, of future intraday                the risk arising out of the value change
                                                  deficiencies on the basis described                     backtesting deficiencies for a Member,                between the contract/settlement value of
                                                  above by an amount sufficient to                        NSCC could, in its discretion, adjust the             a Member’s open positions and the
                                                  maintain such Member’s intraday                         Intraday Backtesting Charge for such                  current market value. A Member’s SOD
                                                  backtesting coverage above the Coverage                 Member in an amount that NSCC                         mark-to-market margin is calculated and
                                                  Target. Members that maintain                           determines to be more appropriate for                 collected daily as part of a Member’s
                                                  consistent end of day positions but have                maintaining such Member’s intraday                    daily Required Deposit based on the
                                                  a high level of intraday trading activity               backtesting results above the Coverage                Member’s prior end-of-day positions.
                                                  pose risk to NSCC if they were to default               Target.                                               The SOD mark-to-market component of
                                                  intraday.                                                  In order to differentiate the                      the daily Required Deposit is calculated
                                                     Because the intraday trading activity                Backtesting Charge assessed on the start              to cover a Member’s exposure due to
                                                  and size of the intraday backtesting                    of the day portfolio from the Backtesting             market moves and/or trading and
                                                  deficiencies vary among impacted                        Charge assessed on an intraday basis,                 settlement activity by bringing the
                                                  Members, NSCC would assess an                           NSCC would amend the Rules by                         portfolio of open positions up to the
                                                  Intraday Backtesting Charge that is                     adding a defined term ‘‘Regular                       current market value.
                                                  specific to each impacted Member. To                                                                            Because the SOD mark-to-market
                                                                                                                                                                component is calculated only once daily
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                                                  do so, NSCC would examine each                            26 Intraday backtesting would include 500

                                                                                                          observations per year (twice per day over 250         using the prior end-of-day positions and
                                                    24 For backtesting comparisons, NSCC uses the
                                                                                                          observation days). Each occurrence of a backtesting   prices, it does not cover a Member’s
                                                  Required Deposit amount without regard to the           deficiency would reduce a Member’s overall            exposure arising out of any intraday
                                                  actual collateral posted by the Member.                 backtesting coverage by 0.2 percent (1 exception/
                                                    25 Intraday time slices are subject to change based
                                                                                                                                                                changes to position and market value in
                                                                                                          500 observations). Accordingly, an Intraday
                                                  upon market conditions and would include the            Backtesting Charge equal to the fifth largest         a Member’s portfolio. For such
                                                  positions from SOD plus any additional positions        backtesting deficiency would have brought
                                                  up to that time.                                        backtesting coverage up to 99.2 percent.                27 Supra   note 4.



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                                                                              Federal Register / Vol. 81, No. 247 / Friday, December 23, 2016 / Notices                                                        94465

                                                  exposure, the Volatility Charge already                 amend Procedure XV to include a                            According to NSCC, this proposed
                                                  collected from each Member as part of                   comprehensive description of the                        change would allow NSCC to mitigate
                                                  the Member’s daily Required Deposit is                  enhanced intraday mark-to-market                        the risk of loss associated with
                                                  calculated to cover projected changes in                margin charge and the proposed new                      guaranteeing these Off-the-Market
                                                  the contract/settlement value of a                      criteria NSCC would use to assess it.                   Transactions. NSCC has recognized that
                                                  Member’s portfolio, which should be                                                                             applying the accelerated trade guaranty
                                                                                                          (D) Loss Allocation Provision for Off-
                                                  sufficient to cover intraday changes to a                                                                       to transactions whose price significantly
                                                                                                          the-Market Transactions
                                                  Member’s portfolio, and thus NSCC’s                                                                             differs from the most recently observed
                                                  risk of loss as a result of that Member’s                  NSCC proposes to introduce a new                     market price could inappropriately
                                                  intraday activities. However, in certain                loss allocation provision for any trades                increase the loss that NSCC may incur
                                                  instances, a Member could have                          that fall within the proposed definition                if a Member that has engaged in Off-the-
                                                  intraday mark-to-market changes that                    of ‘‘Off-the-Market Transactions.’’ This                Market Transactions defaults and its
                                                  are significant enough that NSCC is                     loss allocation provision would be                      open, guaranteed positions are
                                                  exposed to an increased risk of loss that               designed to limit NSCC’s exposure to                    liquidated. Members not involved in
                                                  would not be covered by the Member’s                    certain trades that have a price that                   Off-the-Market Transactions, or not
                                                  Volatility Charge. To monitor and                       differs significantly from the prevailing               involved in Off-the-Market Transactions
                                                  account for these instances, NSCC                       market price for the underlying security                that result in losses to NSCC, would not
                                                  measures each Member’s intraday mark-                   at the time the trade is executed. It                   be included in this process. This
                                                  to-market exposure against the Volatility               would apply in the event that NSCC                      exclusion would apply only to losses
                                                  Charge twice daily and collects an                      ceases to act for a Member that engaged                 that are attributable to Off-the-Market
                                                  intraday mark-to-market amount from                     in Off-the-Market Transactions and only                 Transactions and would not exclude
                                                  any Member whose intraday mark-to-                      to the extent that NSCC incurs a net loss               Members from other obligations that
                                                  market exposure meets or exceeds 100                    in the liquidation of such                              may result from any loss or liabilities
                                                  percent of the Member’s Volatility                      Transactions.28                                         incurred by NSCC from a Member
                                                  Charge, although NSCC may lower that                       NSCC would define ‘‘Off-the-Market                   default.
                                                  threshold and measure exposure more                     Transaction’’ as a single transaction (or                  To implement this proposed change,
                                                  often during volatile market conditions.                a series of transactions settled within                 NSCC would amend Rule 4 30 (Clearing
                                                  NSCC believes that such Members pose                    the same trade cycle) that is (i) greater               Fund) to provide that, if a loss or
                                                  an increased risk of loss to NSCC                       than $1 million in gross proceeds, and                  liability of NSCC is determined by
                                                  because the coverage provided by the                    (ii) at trade price that differs                        NSCC to arise in connection with the
                                                  Volatility Charge, which is designed to                 significantly (i.e., either higher or lower)            liquidation of any Off-the-Market
                                                  cover estimated losses to a portfolio                   from the most recently observed market                  Transactions, such loss or liability
                                                  over a specified time period, would be                  price, at the time the trade was                        would be allocated directly to the
                                                  exhausted by an intraday mark-to-                       submitted to NSCC, by a percentage                      surviving counterparty to the Off-the-
                                                  market exposure so large that the                       amount determined by NSCC based                         Market Transaction that submitted the
                                                  Member’s Required Deposit would                         upon market conditions and factors that                 transaction to NSCC for clearing. NSCC
                                                  potentially be unable to absorb further                 impact trading behavior of the                          also would amend Rule 1 31 (Definitions
                                                  intraday losses to the Member’s                         underlying security, including                          and Descriptions) to include a definition
                                                  portfolio.                                              volatility, liquidity and other                         of Off-the-Market Transactions.
                                                     To further mitigate the risk posed to                characteristics of such security.
                                                  NSCC by the proposed accelerated trade                     In addition to defining Off-the-Market               (E) Other Related and Technical
                                                  guaranty, NSCC is proposing to enhance                  Transactions, the proposed change                       Changes
                                                  its collection of intraday mark-to-market               would establish the loss allocation for                 1. Removing the Specified Activity
                                                  margin by imposing the intraday mark-                   when they occur. Specifically, any net                  Charge
                                                  to-market margin amount at a lower                      losses to NSCC resulting from the
                                                  threshold. With this proposal, instead of               liquidation of a guaranteed, Off-the-                      Currently, NSCC collects a Specified
                                                  collecting intraday mark-to-market                      Market Transaction of a defaulted                       Activity charge, which is designed to
                                                  margin if a Member’s intraday mark-to-                  Member would be allocated directly and                  cover the risk posed to NSCC by
                                                  market exposure meets or exceeds 100                    entirely to the surviving counterparty to               transactions that settle on a T+2, T+1, or
                                                  percent of the Member’s Volatility                      that transaction, or on whose behalf the                T timeframe.32 Because such
                                                  Charge, NSCC would make an intraday                     Off-the-Market Transaction was                          transactions may be guaranteed by
                                                  margin call if a Member’s intraday                      submitted to NSCC. Losses would be                      NSCC prior to the collection of margin,
                                                  mark-to-market exposure meets or                        allocated to counterparties in proportion               they pose an increased risk to NSCC (a
                                                  exceeds 80 percent of the Member’s                      to their specific Off-the-Market                        similar risk that posed to NSCC by the
                                                  Volatility Charge (while still retaining                Transaction gain and would be allocated                 proposed accelerated trade guaranty).
                                                  the ability to reduce the threshold                     only to the extent of NSCC’s loss;                      The Specified Activity charge currently
                                                  during volatile market conditions). This                however, no allocation would be made                    mitigates this risk by increasing the
                                                  proposed change would serve to collect                  if the defaulted Member has satisfied all               Required Deposit for a Member in
                                                  more intraday margin earlier and more                   requisite intraday mark-to-market                       relation to the number of Specified
                                                  proactively preserve the coverage                       margin assessed by NSCC with respect                    Activity trades submitted to NSCC by
                                                  provided by a Member’s Volatility                       to the Off-the-Market Transaction.29                    the Member over a 100-day look-back
                                                                                                                                                                  period. However, according to NSCC,
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                                                  Charge and Required Deposit.
                                                     Finally, to ensure that Members are                     28 A net loss on liquidation of the Off-the-Market

                                                  aware that NSCC regularly monitors and                  Transaction means that the loss on liquidation of       mark-to-market component of the Member’s
                                                  considers intraday mark-to-market as                    the Member’s portfolio exceeds the collected            Required Deposit is satisfied.
                                                                                                                                                                    30 Supra note 4.
                                                  part of its regular Clearing Fund formula               Required Deposit of the Member and such loss is
                                                                                                          attributed to the Off-the-Market Transaction.             31 Id.
                                                  and understand the circumstances and                       29 A Member’s Off-the-Market Transaction that          32 Examples of these trades can include next day
                                                  criteria for the assessment of an intraday              has been marked to market is, by definition, no         settling trades, same day settling trades, cash trades,
                                                  mark-to-market call, NSCC proposes to                   longer an Off-the-Market Transaction when the           and sellers’ options.



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                                                  94466                       Federal Register / Vol. 81, No. 247 / Friday, December 23, 2016 / Notices

                                                  the addition of the proposed MRD and                    charge for a Member is calculated based                According to NSCC, this change
                                                  Coverage Components to the Clearing                     upon the Member’s Required Deposit                     inadvertently created an implication
                                                  Fund formula would mitigate the risks                   and the Member’s excess net capital.                   that the calculation of Regular Mark-to-
                                                  posed by trades guaranteed by NSCC                      The Premium is the amount by which                     Market credit for Members who were
                                                  prior to the collection of margin on                    a Member’s Required Deposit exceeds                    not ID Net Subscribers would not be set
                                                  those trades, thereby obviating the need                its excess regulatory capital multiplied               to zero. NSCC proposes to revise the
                                                  to collect a separate Specified Activity                by the Member’s ratio of Required                      applicable provision of Procedure XV to
                                                  charge. Accordingly, because it would                   Deposit to excess regulatory capital,                  remove the reference to ID Net
                                                  be duplicative of the MRD and Coverage                  expressed as a percent. Because they                   Subscribers.
                                                  Components that are being added to the                  would be new components of a
                                                  Clearing Fund Formula, NSCC proposes                    Member’s Required Deposit under the                    II. Discussion and Commission
                                                  to eliminate the Specified Activity                     current proposal, the MRD and Coverage                 Findings
                                                  charge.                                                 Component would necessarily be                            Section 19(b)(2)(C) of the Act 38
                                                                                                          included in the calculation of a                       directs the Commission to approve a
                                                  2. Eliminating Delay in Processing and
                                                                                                          Member’s Excess Capital Premium.                       proposed rule change of a self-
                                                  Reporting of Next Day Settling Index
                                                                                                          However, the MRD and Coverage                          regulatory organization if it finds that
                                                  Receipts
                                                                                                          Component each utilize a historical                    such proposed rule change is consistent
                                                     Next day settling index receipts may                 look-back period, which accounts for                   with the requirements of the Act and
                                                  be guaranteed prior to the collection of                the risk of such activity well after the               rules and regulations thereunder
                                                  margin reflecting such trades and thus                  relevant trades have settled. Risks                    applicable to such organization. The
                                                  carry a risk similar to the risk posed by               related to such trades would be reflected              Commission believes the Proposed Rule
                                                  Specified Activity trades described                     in increased amounts assessed for these                Change is consistent with Section
                                                  above. More specifically, because these                 components over the subsequent time                    17A(b)(3)(F) of the Act and Rules 17Ad–
                                                  trades are settled on the day after they                periods. If these components are                       22(b)(1) and (b)(2) under the Act,39 as
                                                  are received and validated by NSCC,                     included in the calculation of the Excess              described in detail below.
                                                  NSCC currently attaches its guaranty to                 Capital Premium, especially during
                                                  them at the time of validation, prior to                periods following an increase in                       A. Consistency With Section 17A of the
                                                  the collection of a Required Deposit that               activity, the increased MRD and                        Act
                                                  reflects such trades. Unlike the risk from              Coverage Component could lead to more                     Section 17A(b)(3)(F) of the Act
                                                  Specified Activity trades, which is                     frequent Excess Capital Premium                        requires, in part, that the rules of a
                                                  mitigated by the Specified Activity                     charges over an extended period of time.               clearing agency be designed to promote
                                                  charge, the risk for next day settling                  According to NSCC, this is not the                     the prompt and accurate clearance and
                                                  index receipts is currently mitigated by                intended purpose of the Excess Capital                 settlement of securities transactions, to
                                                  permitting NSCC to delay the processing                 Premium and could place an                             assure the safeguarding of securities and
                                                  and reporting of these trades if a                      unnecessary burden on Members.                         funds which are in the custody and
                                                  Member’s Required Deposit is not paid                   Accordingly, NSCC proposes to exclude                  control of NSCC or for which it is
                                                  on time. However, as with the risk                      these charges from the calculation of the              responsible, and to protect investors and
                                                  associated with Specified Activity,                     Excess Capital Premium.                                the public interest.40 First, the
                                                  under the proposed change, this risk                                                                           Commission believes that the Proposed
                                                  would generally be mitigated by the                     4. Removing Reference to ID Net
                                                                                                          Subscribers                                            Rule Change is consistent with
                                                  addition of the MRD and Coverage                                                                               promoting prompt and accurate
                                                  Component. Therefore, NSCC proposes                        NSCC also proposes to change                        clearance and settlement. As described
                                                  to amend Procedure II of the Rules 33                   Procedure XV 35 to clarify how the                     above, NSCC proposes to accelerate its
                                                  (Trade Comparison and Recording                         ‘‘Regular Mark-to-Market’’ component of                trade guaranty for CNS trades and
                                                  Service) to remove the language that                    the Required Deposit for CNS                           Balance Order trades from midnight of
                                                  permits NSCC to delay the processing                    transactions is calculated. The Mark-to-               T+1 to the point of trade validation.
                                                  and reporting of next day settling index                Market component of a Member’s                         This earlier guaranty would promote
                                                  receipts until the applicable margin on                 Required Deposit is designed to protect                prompt and accurate clearance and
                                                  these transactions is paid.                             NSCC from risk of loss based on changes                settlement for Members because the
                                                  3. Clarifying That the MRD and                          to the value of a Member’s portfolio and               counterparty credit risk that Members
                                                  Coverage Component Should not Be                        therefore may result in a debit to a                   currently hold until NSCC’s guaranty
                                                  Included in the Calculation of a                        Member (i.e., NSCC would collect more                  applies at midnight of T+1 would shift
                                                  Member’s Excess Capital Premium                         Required Deposit), but cannot result in                to NSCC almost immediately upon
                                                  Charge                                                  a credit from NSCC to a Member.                        NSCC’s receipt of the trade on T.
                                                                                                          Accordingly, if a Member’s mark-to-                    Because NSCC risk manages its
                                                     The Excess Capital Premium charge 34                 market calculation for a CNS or Balance                guaranteed transactions, NSCC is able to
                                                  is designed to address significant,                     Order trade results in a credit to the                 better ensure that trades settle if a
                                                  temporary increases in a Member’s                       Member, NSCC’s policy is to adjust the                 counterparty defaults.
                                                  Required Deposit based upon any one                     calculation to zero, thereby avoiding a                   The above-described proposed
                                                  day of activity. It is not designed to                  credit from NSCC to the Member. When                   changes to NSCC’s margin methodology
                                                  provide additional Required Deposits                    NSCC implemented the ID Net service,36                 (i.e., the addition of the MRD, Coverage
                                                  over an extended period of time.
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                                                                                                          it added a provision to Procedure XV 37                Component, and Intraday Backtesting
                                                  Currently, the Excess Capital Premium                   that explicitly stated this policy with                Charge), along with the proposed
                                                                                                          respect to CNS transactions of                         reduction of NSCC’s intraday mark-to-
                                                    33 Supra  note 4.
                                                    34 As
                                                                                                          subscribers to the ID Net service.
                                                          stated above, the Excess Capital Premium is
                                                                                                                                                                   38 15 U.S.C. 78s(b)(2)(C).
                                                  a charge imposed on a Member when the Member’s
                                                                                                            35 Id.                                                 39 15
                                                  Required Deposit exceeds its excess net capital, as                                                                    U.S.C. 78q–1(b)(3)(F); 17 CFR 240.17Ad–
                                                                                                            36 Supra   note 6.                                   22(b)(1); 17 CFR 240.17Ad–22(b)(2).
                                                  described in Procedure XV of the Rules. Rules,
                                                  supra note 4.                                             37 Supra   note 4.                                     40 15 U.S.C. 78q–1(b)(3)(F).




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                                                                              Federal Register / Vol. 81, No. 247 / Friday, December 23, 2016 / Notices                                                    94467

                                                  margin threshold, also would promote                    providing a trade guaranty at an earlier              C. Consistency With Rule 17Ad–22(b)(2)
                                                  prompt and accurate clearance and                       point in the settlement cycle,
                                                  settlement at NSCC because they would                   counterparty credit risk also would                      Rule 17Ad–22(b)(2) under the Act
                                                  improve NSCC’s ability to collect                       transfer from Members, which are not                  requires a CCP, such as NSCC, to,
                                                  margin. Likewise, the proposed loss                     CCPs, to NSCC, which is a third-party                 among other things, ‘‘establish,
                                                  allocation provision for off-the-market                 CCP that risk-manages its guaranteed                  implement, maintain and enforce
                                                  transactions would promote prompt and                   transactions, at an earlier point in the              written policies and procedures
                                                  accurate clearance and settlement at                    settlement cycle. Because NSCC risk                   reasonably designed to . . . [u]se
                                                  NSCC by helping to protect NSCC from                    manages its guaranteed transactions,                  margin requirements to limit its credit
                                                  losses due to transactions of a defaulted               NSCC is able to better ensure that trades             exposures to participants under normal
                                                  Member that were made at prices                         settle if a counterparty defaults. Thus,              market conditions and use risk-based
                                                  significantly different from the                        the proposed accelerated process would                models and parameters to set margin
                                                  prevailing market price at the time of                  help reduce protect investors and the                 requirements . . . ’’ Again, the proposal
                                                  the trade. Collectively, these proposed                 public interest by mitigating Members’                would add three new components to
                                                  changes would enable NSCC to manage                     exposure to a counterparty default                    NSCC’s margin methodology (i.e., the
                                                  better the additional risk that would                   earlier in the settlement cycle and by                MRD, Coverage Component, and
                                                  result from the proposed accelerated                    providing an earlier assurance that                   Intraday Backtesting Charge), which use
                                                  guaranty, ensuring that NSCC could                      transactions will settle despite a                    risk based models and parameters to
                                                  continue prompt clearance and                           Member default.                                       calculate charges, and would lower the
                                                  settlement in a stress environment.                        At the same time, the three proposed
                                                     Second, the Commission believes that                                                                       threshold at which NSCC would make
                                                                                                          additions to NSCC’s margin                            an intraday mark-to-market margin call.
                                                  the Proposed Rule Change, as described                  methodology, the proposed reduction of
                                                  above, are consistent with safeguarding                                                                       As such, the proposal would help NSCC
                                                                                                          NSCC’s intraday mark-to-margin                        better account for and cover its credit
                                                  funds within NSCC’s control. NSCC’s                     threshold, and the proposed loss
                                                  proposal to add the three new                                                                                 exposure to Members. In addition, by
                                                                                                          allocation provision for off-the-market
                                                  components to its margin methodology                                                                          establishing the proposed margin
                                                                                                          transactions, as described above, would
                                                  (i.e., the MRD, Coverage Component,                                                                           components and the new intraday mark-
                                                                                                          also help mitigate the systemic risks that
                                                  and Intraday Backtesting Charge) would                                                                        to-market margin collection threshold,
                                                                                                          NSCC presents as a CCP because they
                                                  enable NSCC to collect more margin,                                                                           the proposal is consistent with using
                                                                                                          would improve NSCC’s margining
                                                  thereby safeguarding existing margin                                                                          risk-based models and parameters to set
                                                                                                          abilities and help protect NSCC against
                                                  funds within NSCC’s control with                                                                              margin requirements. Therefore, the
                                                                                                          potential losses from a Member default.
                                                  respect to the potential default of a                                                                         Commission believes that the Proposed
                                                                                                          Accordingly, the proposed changes
                                                  Member. By collecting more margin,                                                                            Rule Change would be consistent with
                                                                                                          would therefore protect investors and
                                                  NSCC would be in a better position to                                                                         Rule 17Ad–22(b)(2).
                                                  manage the counterparty credit risk                     the public interest by promoting the
                                                  presented by Members, particularly the                  stability of the broader financial system.            III. Conclusion
                                                  additional counterparty credit risk from                B. Consistency With Rule 17Ad–22(b)(1)
                                                  the proposed accelerated trade guaranty.                                                                        On the basis of the foregoing, the
                                                  Similarly, the proposal to lower the                       Rule 17Ad–22(b)(1) under the Act                   Commission finds that the Proposed
                                                  threshold for collection of intraday                    requires a CCP, such as NSCC, to,                     Rule Change is consistent with the
                                                  mark-to-margin by collecting intraday                   among other things, ‘‘establish,                      requirements of the Act and in
                                                  mark-to-market margin when NSCC’s                       implement, maintain and enforce                       particular with the requirements of
                                                  exposure to a Member meets or exceeds                   written policies and procedures                       Section 17A of the Act 41 and the rules
                                                  80 percent of that Member’s Volatility                  reasonably designed to . . . limit its                and regulations thereunder.
                                                  Charge, rather than 100 percent, would                  exposures to potential losses from
                                                                                                                                                                  It is therefore ordered, pursuant to
                                                  enhance NSCC’s intraday mark-to-                        defaults by its participants under
                                                                                                                                                                Section 19(b)(2) of the Act, that
                                                  market margin practice by allowing                      normal market conditions . . . ’’ As
                                                                                                                                                                proposed rule change SR–NSCC–2016–
                                                  NSCC to collect more intraday margin                    described above, because the proposed
                                                                                                                                                                005 be, and hereby is, approved as of
                                                  stemming from intraday price                            accelerated trade guaranty would
                                                                                                          transfer counterparty credit risk to                  the date of this order or the date of a
                                                  fluctuations more often. As such, the                                                                         notice by the Commission authorizing
                                                  proposed threshold reduction would                      NSCC at an earlier point in the
                                                                                                          settlement cycle, NSCC proposes to                    NSCC to implement NSCC’s advance
                                                  also promote safeguarding funds within                                                                        notice proposal that is consistent with
                                                  NSCC’s control. With respect to the                     enhance its margin methodology by
                                                                                                          adding three new margin components                    this proposed rule change (SR–NSCC–
                                                  proposed change to introduce a new
                                                                                                          and by lowering the threshold for the                 2016–803), whichever is later.42
                                                  loss allocation provision for certain off-
                                                  the-market transactions, it too would                   intraday mark-to-market margin                          For the Commission, by the Division of
                                                  promote safeguarding funds within                       collection. It also proposes to establish             Trading and Markets, pursuant to delegated
                                                  NSCC’s control, as it would help protect                a loss allocation provision for off-the-              authority.43
                                                  NSCC from transactions of a defaulted                   market transactions. These proposed                   Eduardo A. Aleman,
                                                  Member that were made at prices that                    changes are designed to limit NSCC’s                  Assistant Secretary.
                                                  differed significantly from the                         exposure to potential losses from the
                                                                                                                                                                [FR Doc. 2016–30944 Filed 12–22–16; 8:45 am]
                                                                                                          default of a Member by enabling NSCC
mstockstill on DSK3G9T082PROD with NOTICES




                                                  prevailing market price at the time the
                                                                                                          to collect more margin, better manage                 BILLING CODE 8011–01–P
                                                  trade is executed and resulted in a loss
                                                  to NSCC in connection with NSCC’s                       when it collects margin, and protect
                                                                                                                                                                  41 15  U.S.C. 78q–1.
                                                  liquidation of the transaction.                         itself from certain losses of a defaulted
                                                                                                                                                                  42 In approving the proposed rule change, the
                                                     Third, the Commission believes that                  Member. Therefore, the Commission
                                                                                                                                                                Commission considered the proposals’ impact on
                                                  the Proposed Rule Change is consistent                  believes that the Proposed Rule Change                efficiency, competition, and capital formation. 15
                                                  with protecting investors and the public                would be consistent with Rule 17Ad–                   U.S.C. 78c(f).
                                                  interest. As described above, by                        22(b)(1).                                                43 17 CFR 200.30–3(a)(12).




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Document Created: 2016-12-23 12:30:07
Document Modified: 2016-12-23 12:30:07
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 94462 

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