82_FR_31506 82 FR 31378 - Self-Regulatory Organizations; Fixed Income Clearing Corporation; Order Approving a Proposed Rule Change to the Mortgage-Backed Securities Division Clearing Rules Regarding Fixed Income Clearing Corporation's (1) Time of Novation, (2) Treatment of Itself as the Settlement Counterparty for Certain Transaction Types, and (3) Proposal to Implement New Processes to Promote Operational Efficiencies for Its Clearing Members

82 FR 31378 - Self-Regulatory Organizations; Fixed Income Clearing Corporation; Order Approving a Proposed Rule Change to the Mortgage-Backed Securities Division Clearing Rules Regarding Fixed Income Clearing Corporation's (1) Time of Novation, (2) Treatment of Itself as the Settlement Counterparty for Certain Transaction Types, and (3) Proposal to Implement New Processes to Promote Operational Efficiencies for Its Clearing Members

SECURITIES AND EXCHANGE COMMISSION

Federal Register Volume 82, Issue 128 (July 6, 2017)

Page Range31378-31384
FR Document2017-14142

Federal Register, Volume 82 Issue 128 (Thursday, July 6, 2017)
[Federal Register Volume 82, Number 128 (Thursday, July 6, 2017)]
[Notices]
[Pages 31378-31384]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2017-14142]


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SECURITIES AND EXCHANGE COMMISSION

[Release No. 34-81051; File No. SR-FICC-2017-012]


Self-Regulatory Organizations; Fixed Income Clearing Corporation; 
Order Approving a Proposed Rule Change to the Mortgage-Backed 
Securities Division Clearing Rules Regarding Fixed Income Clearing 
Corporation's (1) Time of Novation, (2) Treatment of Itself as the 
Settlement Counterparty for Certain Transaction Types, and (3) Proposal 
to Implement New Processes to Promote Operational Efficiencies for Its 
Clearing Members

June 29, 2017.

I. Introduction

    On May 15, 2017, Fixed Income Clearing Corporation (``FICC'') filed 
with the Securities and Exchange Commission (``Commission'') proposed 
rule change SR-FICC-2017-012, pursuant to Section 19(b)(1) of the 
Securities Exchange Act of 1934 (``Act'') \1\ and Rule 19b-4 thereunder 
\2\ (hereinafter, ``Proposed Rule Change''). The Proposed Rule Change 
was published for comment in the Federal Register on May 24, 2017.\3\ 
The Commission received no comments to the Proposed Rule Change. This 
order approves 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. 80716 (May 18, 2017), 82 
FR 23852 (May 24, 2017) (SR-FICC-2017-012) (``Notice'').
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II. Description of the Proposed Rule Change

    The Proposed Rule Change consists of modifications to FICC's 
Mortgage-Backed Securities Division (``MBSD'') Clearing Rules (``MBSD 
Rules'').\4\ Specifically, the Proposed Rule Change would (1) change 
the time that FICC treats itself as the settlement counterparty for 
SBO-Destined Trades \5\ to the time of trade comparison, which is 
earlier in the lifecycle of the trade than the current practice; (2) 
change the time that FICC novates \6\ and treats itself as the 
settlement counterparty for Trade-for-Trade Transactions \7\ to the 
time of trade comparison, which is earlier in the lifecycle of the 
trade than the current practice; (3) regarding Specified Pool 
Trades,\8\ novate and establish FICC as the settlement counterparty at 
the time of trade comparison; and (4) regarding Stipulated Trades \9\ 
(a new proposed trade type), guarantee, novate, and establish FICC as 
the settlement counterparty at the time of trade comparison.
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    \4\ FICC is comprised of two divisions, MBSD and the Government 
Securities Division (``GSD''). MBSD provides, among other things, 
clearance and settlement for trades in mortgage-backed securities. 
GSD provides, among other things, clearance and settlement for 
trades in U.S. government debt issues. MBSD and GSD maintain 
separate sets of rules, margin models, and clearing funds. The 
Proposed Rule Change relates solely to the MBSD Rules. Capitalized 
terms used and not otherwise defined shall have the meaning assigned 
to such terms in the MBSD Rules or the FICC MBSD EPN Rules, as 
applicable, available at http://www.dtcc.com/en/legal/rules-and-procedures.
    \5\ The Proposed Rule Change would add the new defined term 
``SBO'' to define the settlement balance orders that constitute the 
net positions of a Clearing Member as a result of the TBA Netting 
process. Notice, 82 FR at 23860. The term ``SBO-Destined Trade'' 
means a ``To-Be-Announced'' (``TBA'') transaction intended for TBA 
Netting. MBSD Rule 1, supra note 4. TBA transactions are trades for 
which the actual identities of and/or the number of pools underlying 
each trade are unknown at the time of trade execution. See Notice, 
82 FR at 23854. ``TBA Netting'' means the netting service that FICC 
provides to Clearing Members in connection with TBA transactions. 
MBSD Rule 1, supra note 4. The MBSD settlement balance order 
(``SBO'') system nets trades within the same mortgage backed 
security (``MBS'') product, coupon rate, maturity, and settlement 
date. The SBO system provides netting efficiencies, eliminating the 
need for Clearing Members to settle all but the resulting net buy 
and sell obligations.
    \6\ Novation terminates the obligations between Clearing Members 
to deliver, receive, and make payments to each other, and replaces 
those obligations with identical obligations between the Clearing 
Members and FICC. MBSD Rule 5 Section 13, supra note 4.
    \7\ The term ``Trade-for-Trade Transaction'' means a TBA 
transaction submitted to FICC that is not intended for TBA Netting. 
MBSD Rule 1, supra note 4. Entities use Trade-for-Trade Transactions 
either by choice or for trades that are not eligible for netting.
    \8\ The term ``Specified Pool Trade'' means a trade in which all 
required pool data, including the pool number to be delivered upon 
settlement are agreed by the counterparties at the time of trade 
execution. MBSD Rule 1, supra note 4.
    \9\ A ``Stipulated Trade'' is a trade in which pools allocated 
and delivered against the trade must satisfy certain conditions that 
are agreed upon by the parties at the time of trade execution. See 
Notice, 82 FR at 23856. Trades carrying stipulations may reflect 
terms that include, but are not limited to issuance year, issuance 
month, weighted average coupon, weighted average maturity and/or 
weighted average loan age, etc.
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    The Proposed Rule Change also includes several changes to the MBSD 
Rules regarding the operational processes for clearing MBSD trades. 
These changes include (1) eliminating the Notification of Settlement 
process regarding trades that currently settle bilaterally, as the 
process would become obsolete once FICC novates and directly settles 
all SBO-Destined Transactions, Trade-for-Trade Transactions, and 
Specified Pool Trades, as proposed; (2) establishing the ``Do Not 
Allocate'' (``DNA'') process, which would allow Clearing Members \10\ 
to offset SBON Trades \11\ and Trade-for-Trade Transactions; (3) 
establishing the ``Expanded Pool Netting'' process, which would net 
Pool Instructs \12\ stemming from SBON Trades and Trade-for-Trade 
Transactions to arrive at a single net position per counterparty in a 
particular Pool Number \13\ for next-day delivery; (4) eliminating the 
``give-up'' process for Brokered Transactions,\14\ as the process would 
become obsolete once FICC novates and settles all such transactions, as 
proposed; and (5) amending the components of the Cash Settlement \15\ 
calculation to reflect the changes above.
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    \10\ The term ``Clearing Member'' means any entity admitted into 
MBSD membership pursuant to MBSD Rule 2A. MBSD Rule 1, supra note 4.
    \11\ The proposed MBSD Rules would use the term ``SBON Trades'' 
to signify obligations that result from the TBA Netting process. 
Such obligations would reflect FICC as the settlement counterparty.
    \12\ The term ``Pool Instruct'' is defined in FICC's MBS Pool 
Netting User Guide to mean ``[a]n input used by a [M]ember to submit 
pool details directly into [FICC's Real-Time Trade Matching System] 
pool netting for bilateral matching and assignment to a 
corresponding open TBA position as a prerequisite to pool netting. 
FICC MBS Pool Netting User Guide, available at http://www.dtcc.com/clearing-services/ficc-mbsd/ficc-mbsd-user-documentation.
    \13\ The term ``Pool Number'' is defined in FICC's MBS Pool 
Netting User Guide to mean a ``[u]nique number assigned by the 
industry to identify the pool (in addition to the pool CUSIP [(i.e., 
the Committee on Uniform Securities Identification Procedures 
identifying number for a security)], since the pool CUSIP is not 
always known at the time of issuance).'' FICC MBS Pool Netting User 
Guide, supra note 12.
    \14\ The term ``Brokered Transaction'' means any ``give-up'' 
transaction calling for the delivery of a security for which data 
has been submitted to FICC by Members, in transactions to which a 
Broker is a party. MBSD Rule 1, supra note 4. FICC operates its 
brokered business on a ``give-up'' basis, which means that MBSD 
discloses (i.e., ``gives-up'') the identity of each Dealer (i.e., a 
Member that is in the business of buying and selling Securities as 
principal, either directly or through a Broker.) to a Brokered 
Transaction after a period of time. MBSD Rule 1; Rule 5 Section 7, 
supra note 4.
    \15\ The term ``Cash Settlement'' refers to the payment each 
business day by FICC to a Member or by a Member to FICC pursuant to 
Rule 11. MBSD Rule 1, supra note 4. Cash Settlement is a daily 
process of generating a single net credit or debit cash amount at 
the ``Aggregated Account'' level (i.e., either a single account 
linked to an aggregate ID or a set of accounts linked to an 
aggregate ID for the processing of transactions.) Clearing Members' 
Cash Settlement obligations are calculated on a net basis at the 
aggregate ID level. MBSD Rule 1, supra note 4.
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    Finally, the Proposed Rule Change would modify FICC's Real-Time 
Trade Matching (``RTTM'') system to remove size restrictions on SBO-
Destined Trades. Since trade size submission

[[Page 31379]]

requirements are not reflected in the MBSD Rules, this change would not 
require changes to the MBSD Rules.

A. MBSD's Current Trade Comparison and Netting Processes

    MBSD currently processes four types of trades: (1) SBO-Destined 
Trades; (2) Trade-for-Trade Transactions; (3) Specified Pool Trades; 
and (4) Option Contracts. SBO-Destined Trades and Trade-for-Trade 
Transactions are TBA transactions, which are trades for which the 
actual identities of and/or the number of pools underlying each trade 
are unknown at the time of trade execution. Specified Pool Trades are 
trades for which all pool data is agreed upon by the Clearing Members 
at the time of trade execution. Option Contracts are not addressed by 
the Proposed Rule Change.
    The first step of MBSD's clearance and settlement process is trade 
comparison, which consists of the reporting, validating, and matching 
by FICC of both sides of a transaction to ensure that the details of 
the trades are in agreement between the parties.\16\ Clearing Members 
enter trade data into the RTTM system, and once the trade is deemed 
compared, FICC guarantees settlement of the trade, provided that the 
trade meets the requirements of the MBSD Rules and was entered into in 
good faith.\17\
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    \16\ MBSD Rule 5, supra note 4.
    \17\ MBSD Rule 5 Section 8, supra note 4.
---------------------------------------------------------------------------

    FICC novates SBO-Destined Trades upon trade comparison.\18\ In 
contrast, FICC does not novate Trade-for-Trade Transactions at the time 
of trade comparison. However, FICC guarantees the settlement of Trade-
for-Trade Transactions upon trade comparison.\19\ FICC treats 
Stipulated Trades as Trade-for-Trade Transactions because Clearing 
Members currently do not notify FICC of the stipulations. Similarly, 
Specified Pool Trades are not novated upon trade comparison. However, 
FICC guarantees the obligations of Specified Pool Trade counterparties 
to deliver, receive, and make payment for securities that satisfy the 
same generic criteria as the securities underlying Specified Pool 
Trades upon trade comparison.\20\
---------------------------------------------------------------------------

    \18\ MBSD Rule 5 Section 13, supra note 4.
    \19\ Id.
    \20\ MBSD Rule 5 Section 12, supra note 4.
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    MBSD employs two netting processes to reduce settlement obligations 
as well as the number of securities and the amount of cash to be 
exchanged at settlement: The TBA Netting system; and the Pool Netting 
system.\21\ The TBA Netting system is used to net eligible SBO-Destined 
Trades.\22\ Three business days prior to the established settlement 
date of the TBA settlement obligations (referred to as ``72-Hour 
Day''),\23\ TBA Netting for the applicable class occurs. On 72-Hour 
Day, all compared SBO-Destined Trades within the class that have been 
designated for the TBA Netting process are netted within and across 
counterparties. Even though FICC has become the legal counterparty for 
each SBO-Destined Trade upon trade comparison, TBA Netting occurs as 
though each SBO-Destined Trade is with the Original Contra-Side 
Member.\24\ The net positions created by the TBA Netting process are 
referred to as the settlement balance order positions (``SBO 
positions''), which constitute settlement obligations against which 
Clearing Members will submit Pool Instructs for the Pool Netting 
process.\25\
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    \21\ MBSD Rules 6, 7 and 8, supra note 4.
    \22\ Although Trade-for-Trade Transactions are not netted 
through the TBA Netting system, they constitute TBA settlement 
obligations against which Pool Instructs may be submitted. Specified 
Pool Trades are also not netted through the TBA Netting system, nor 
do such trades enter the Pool Netting system. MBSD Rules 6 and 8, 
supra note 4.
    \23\ MBSD performs the TBA Netting process four times per month, 
corresponding to each of the four primary settlement classes and 
dates established by the Securities Industry Financial Markets 
Association (``SIFMA''). SIFMA publishes a calendar that specifies 
one settlement date per month for four different product classes 
(known as Classes A, B, C and D) that are used to categorize the 
various types of TBA securities. These product classes and the 
associated settlement dates are recognized by the industry, and they 
provide the foundation for MBSD's TBA Netting process.
    \24\ The term ``Original Contra-Side Member'' means a Member 
with whom a Member has entered into a contract for the purchase or 
sale of a security. MBSD Rule 1, supra note 4.
    \25\ MBSD Rule 6, supra note 4.
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    Two business days prior to the established settlement date of the 
TBA settlement obligations (referred to as ``48-Hour Day''), Clearing 
Members that have an obligation to deliver pools (``Pool Sellers'') 
must notify their counterparties (``Pool Buyers'') through MBSD's 
Electronic Pool Notification Service (``EPN Service'') \26\ of the 
relevant Pool Instructs (i.e., pools that such Pool Sellers intend to 
allocate in satisfaction of their SBO positions and/or Trade-for-Trade 
Transactions).\27\ For Trade-for-Trade Transactions, the relevant 
counterparty is the Original Contra-Side Member. For SBO-Destined 
Trades, although FICC is the legal counterparty, Clearing Members are 
directed to treat a designated SBO Contra-Side Member \28\ as their 
counterparty.\29\ Clearing Members are required to submit Pool 
Instructs on 48-Hour Day to MBSD through its RTTM system for Pool 
Comparison \30\ (which is a prerequisite to Pool Netting).\31\ Trade 
counterparties must bilaterally match their respective pools. At this 
stage, the Pool Netting System processes the compared pool allocations 
(provided that neither Clearing Member has cancelled the submitted 
allocation).\32\
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    \26\ MBSD's electronic pool notification service (the ``EPN 
Service'') provides Clearing Members with the ability to 
electronically communicate pool information to MBSD, as described in 
the proposed rule changes. MBSD Rule 1, supra note 4.
    \27\ Pool allocations occur for all TBA Obligations, whether 
established on 72-Hour Day through the TBA Netting process or 
established upon comparison when the Trade-for-Trade Transaction was 
submitted. Pool allocations are not performed for Specified Pool 
Trades because the pool that is to be delivered in connection with 
such trade is specified upon submission.
    \28\ The term ``SBO Contra-Side Member'' means the Member with 
whom a Member is directed by the Corporation to settle an SBO Trade. 
The term ``SBO Trade'' means a settlement balance order that offsets 
an SBO Net Open Position pursuant to the MBSD Rules. A Member which 
has one or more ``Long SBO Trades'' in a particular CUSIP number is 
a net purchaser with respect to that CUSIP number, as the case may 
be; a Member which has one or more ``Short SBO Trades'' is a net 
seller. MBSD Rule 1, supra note 4. An ``SBON Contra-Side Member'' is 
an SBO Contra-Side Member that is not an Original Contra-Side Member 
with respect to such SBO Trade. An ``SBOO Contra-Side Member'' is an 
SBO Contra-Side Member that is also an Original Contra-Side Member 
with respect to such SBO Trade. MBSD Rule, supra note 4.
    \29\ A Clearing Member's ``counterparty'' for purposes of 
notifications, netting, and processing is the SBO Contra-Side Member 
or the Original Contra-Side Member for SBO-Destined Trades and 
Trade-for-Trade Transactions, respectively. MBSD Rule 6, supra note 
4.
    \30\ The term ``Pool Comparison'' means the service provided to 
Clearing Members, as applicable, and the operations carried out by 
FICC in the course of providing such service, in accordance with 
Rule 7. MBSD Rule 1, supra note 4.
    \31\ As with the EPN Service allocation process described above, 
Clearing Members submit Pool Instructs against all of their TBA 
Obligations, regardless of whether the TBA Obligation is established 
upon trade comparison or stems from the TBA Netting process.
    \32\ MBSD Rule 8, supra note 4.
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    Pool netting takes place one business day prior to the established 
settlement date of the TBA settlement obligations (referred to as ``24-
Hour Day''). The Pool Netting system reduces the number of pool 
settlements by netting Pool Instructs stemming from SBO Trades and 
Trade-for-Trade Transactions to arrive at a single net position per 
counterparty in a particular pool number for next-day delivery.
    On each business day, MBSD makes available to each Clearing Member 
a report with information to enable such Clearing Member to settle its 
Pool Net Settlement Positions \33\ on that business day. At that time, 
all deliver, receive and related payment obligations between Clearing 
Members resulting

[[Page 31380]]

from compared pools that comprise a Pool Net Settlement Position or 
Positions are terminated and replaced by the Pool Deliver 
Obligations,\34\ Pool Receive Obligations,\35\ and related payment 
obligations to and from FICC. Each Clearing Member then provides 
appropriate instructions to its clearing bank to deliver to MBSD, and/
or to receive from MBSD, Eligible Securities against payment or receipt 
at the appropriate settlement value.
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    \33\ The term ``Pool Net Settlement Position'' means either a 
Pool Net Short Position or a Pool Net Long Position, as the context 
requires. MBSD Rule 1, supra note 4.
    \34\ The term ``Pool Deliver Obligation'' means a Clearing 
Member's obligation to deliver securities to FICC. MBSD Rule 1, 
supra note 4.
    \35\ The term ``Pool Receive Obligation'' means a Clearing 
Member's obligation to receive securities from FICC. MBSD Rule 1, 
supra note 4.
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    Clearing Members are required to settle certain obligations 
directly with their applicable settlement counterparties (i.e., outside 
of FICC).\36\ These obligations include (1) Pool Instructs that are not 
included in Pool Netting (either because they are ineligible or because 
they do not meet selection criteria for inclusion); and (2) Specified 
Pool Trades, which are not eligible for Pool Netting. Upon settling 
such obligations, Clearing Members must notify FICC by submitting a 
Notification of Settlement to MBSD for pool settlements relating to all 
trade types (excluding Option Contracts).\37\ Notification of 
Settlement is required for bilateral settlement because MBSD will not 
otherwise know that the subject pools have actually settled directly 
between Clearing Members. Upon both Clearing Members' submission of 
Notification of Settlement, the relevant obligation is deemed to have 
settled and is, therefore, no longer subject to MBSD's risk management.
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    \36\ MBSD Rule 5 Section 12 and MBSD Rule 8 Section 2, supra 
note 4.
    \37\ MBSD Rule 10, supra note 4.
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B. Proposed Changes to MBSD's Trade Comparison and Netting Processes

    FICC proposes to novate all transactions (except Option Contracts) 
at the time of trade comparison. Upon trade comparison, the deliver, 
receive, and related payment obligations between the Clearing Members, 
with respect to SBO-Destined Trades and Trade-for-Trade Transactions, 
would terminate and be replaced by identical obligations to and from 
FICC (i.e., FICC would become the buyer to every seller and the seller 
to every buyer). A similar process would occur for Specified Pool 
Trades and Stipulated Trades, except that, for those trades, the 
existing deliver, receive, and related payment obligations would 
terminate and be replaced with obligations to deliver, receive and make 
payment for securities that satisfy the same generic criteria (such as 
coupon rate, maturity, agency, and product) as the securities 
underlying the Specified Pool Trades or Stipulated Trades.\38\ In 
addition, FICC proposes to treat itself as the settlement counterparty 
throughout the lifecycle of the trade for netting, processing, and 
settlement purposes.\39\ These changes are described in detail below.
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    \38\ In other words, FICC would not novate or guarantee the 
obligations to deliver the particular securities underlying 
Specified Pool Trades or securities that contain the particular 
stipulations set forth in Stipulated Trades.
    \39\ Upon trade comparison, Clearing Members would receive a 
notification through the RTTM system establishing FICC as each 
party's novated and settlement counterparty.
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1. SBO-Destined Trades
    As described above, FICC currently novates SBO-Destined Trades at 
the time of trade comparison; however, FICC does not currently treat 
itself as the settlement counterparty for netting and processing 
purposes until after the Pool Netting process is complete and FICC has 
established Pool Receive Obligations or Pool Deliver Obligations. As a 
result, Clearing Members are directed to (1) allocate pools through the 
EPN Service to designated SBO Contra-Side Members and (2) submit Pool 
Instructs through the RTTM system.\40\
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    \40\ MBSD Rule 7, supra note 4.
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    Under the Proposed Rule Change, FICC would treat itself as 
settlement counterparty for netting and processing purposes from the 
time of trade comparison. SBO-Destined Trades would proceed to the TBA 
Netting process as they do currently; however, the SBO positions that 
result from the TBA Netting process would reflect FICC as the 
settlement counterparty. Thus, Clearing Members would no longer settle 
with a designated SBO Contra-Side Member,\41\ but with FICC instead.
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    \41\ FICC would eliminate its calculation for determining the 
Settlement Value of ``SBON Trades'' (i.e., SBO Trades which a Member 
settles with an SBON Contra-Side Member) and ``SBOO Trades'' (i.e., 
SBO Trades which a Member settles with an SBOO Contra-Side member). 
MBSD Rule 1, supra note 4. The MBSD Rules refer to the calculation 
as ``CUSIP Average Price'' or ``CAP'' for SBON Trades and ``Firm 
CUSIP Average Price'' or ``FCAP'' for SBOO Trades. MBSD Rule 6, 
supra note 4.
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    On 48-Hour Day, Clearing Members that are Pool Sellers would notify 
MBSD (rather than their designated SBO Contra-Side Member) through the 
EPN Service of the allocated pools. FICC would then submit 
corresponding notifications to Clearing Members that are Pool Buyers. 
Clearing Members would continue to submit Pool Instructs to MBSD on 48-
Hour Day through FICC's RTTM system. If a Clearing Member does not 
submit its Pool Instructs by the established deadline, FICC would 
determine and apply the Pool Instructs for that Clearing Member. Such 
determination would be based on the allocated pools that the Clearing 
Member has submitted through the EPN Service. As a result of this 
proposed change, all pools would be compared, and FICC would no longer 
require Clearing Members to settle uncompared pools directly with their 
applicable settlement counterparties (i.e., outside of FICC).
    Additionally, FICC proposes to eliminate the trade size restriction 
for SBO-Destined Trades. Currently, SBO-Destined Trades are only 
eligible for the TBA Netting process in multiple amounts of one 
million, with the minimum set at one million. FICC proposes to remove 
this size restriction from the RTTM system so that Clearing Members 
would be permitted to submit SBO-Destined Trades in any trade size. 
Since trade size restrictions are not reflected in the MBSD Rules, this 
proposed change would not necessitate any changes to the MBSD Rules. 
For the avoidance of doubt, FICC does not propose to change the trade 
size restrictions for Trade-for-Trade Transactions or Specified Pool 
Trades.
2. Trade-for-Trade Transactions
    Currently, as described above, FICC does not novate Trade-for-Trade 
Transactions or treat itself as settlement counterparty for purposes of 
netting, processing, and settlement until, in each case, the Pool 
Netting process is complete and each Clearing Member receives their 
Pool Receive Obligation or Pool Deliver Obligations, as applicable, 
from FICC.\42\ As a result, Clearing Members are required to allocate 
pools to their original counterparties through the EPN Service, and 
submit Pool Instructs through the RTTM system. Once Pool Netting is 
complete, the deliver, receive, and related payment obligations between 
Clearing Members that were created by compared pools that comprise a 
Pool Net Settlement Position are terminated and replaced by Pool 
Deliver Obligations, Pool Receive Obligations, and related payment 
obligations to and from FICC.\43\
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    \42\ MBSD Rule 8 Section 4, supra note 4.
    \43\ MBSD Rule 8 Section 6, supra note 4.
---------------------------------------------------------------------------

    Under the Proposed Rule Change, FICC would novate Trade-for-Trade 
Transactions at trade comparison and treat itself as settlement 
counterparty, at that time, for purposes of processing and settlement. 
Similar to the process with SBO-Destined Trades, Clearing Members with 
an obligation to deliver pools would notify MBSD (rather than

[[Page 31381]]

their original counterparty) through the EPN Service, and FICC would 
submit corresponding notifications to Clearing Members that are Pool 
Buyers. Clearing Members would continue to be required to submit Pool 
Instructs. In the event that Pool Instructs are not submitted by the 
established deadline, FICC would determine Pool Instructs for that 
Clearing Member. Such determinations would be based on the allocated 
pools that the Clearing Member has submitted through the EPN Service.
3. Specified Pool Trades
    Currently, as described above, FICC does not novate Specified Pool 
Trades during any point of the trade lifecycle (though, upon trade 
comparison of Specified Pool Trades, FICC guarantees the obligation to 
deliver, receive, and pay for securities that satisfy the same generic 
criteria as the underlying securities).\44\ Specified Pool Trades are 
currently ineligible for the TBA Netting process and the Pool Netting 
process. Specified Pool Trades are currently settled between the 
original counterparties directly (i.e., outside of FICC).
---------------------------------------------------------------------------

    \44\ MBSD Rule 5, supra note 4.
---------------------------------------------------------------------------

    Under the Proposed Rule Change, FICC would novate Specified Pool 
Trades upon trade comparison. Such novation would be limited to the 
obligations to deliver, receive, and make payment for securities 
satisfying the same generic criteria as the securities underlying the 
Specified Pool Trades. As a result, upon trade comparison, the existing 
deliver, receive, and related payment obligations between Clearing 
Members under Specified Pool Trades would be terminated and replaced 
with obligations to or from FICC to deliver, receive, and make payment 
for securities satisfying the same generic criteria as the securities 
underlying the Specified Pool Trades. FICC would not novate the 
obligation to deliver the securities for the particular specified pool.
    Additionally, FICC proposes to settle Specified Pool Trades 
directly with the Clearing Member party thereto (rather than require 
that counterparties to such trades settle directly with one another). 
No other changes are being proposed with respect to the processing of 
Specified Pool Trades. Such trades would continue to be ineligible for 
the TBA Netting and Pool Netting systems.
4. Stipulated Trades
    Currently, as described above, FICC does not treat Stipulated 
Trades as a separate type of trading activity because Clearing Members 
submit Stipulated Trades to FICC as Trade-for-Trade Transactions, 
without notifying FICC of the stipulations. Under the Proposed Rule 
Change, FICC would add Stipulated Trades as a new trade type that would 
be eligible for processing by MBSD. FICC would guarantee and novate 
Stipulated Trades at trade comparison, provided that such trades meet 
the requirements of the MBSD Rules and are entered into in good faith. 
Such guarantee and novation would be limited to the obligations to 
deliver, receive, and make payment for securities satisfying the same 
generic criteria as the securities underlying the Stipulated Trade, but 
not the obligation to deliver securities that contain the particular 
stipulations contained in the Stipulated Trades. At trade comparison, 
the deliver, receive, and related payment obligations between Clearing 
Members would be terminated and replaced with obligations to or from 
FICC to deliver, receive, and make payment for securities satisfying 
the same generic criteria as the securities underlying the Stipulated 
Trades.
    Because of the narrow nature of FICC's guarantee and novation, in 
the event of a Clearing Member's default, FICC would only be required 
to deliver, receive, or make payment for securities that have the same 
generic terms, such as coupon rate, maturity, agency, and product, as 
the securities underlying the Stipulated Transaction.
    Clearing Members would be required to allocate Stipulated Trades to 
FICC through the EPN Service. Such allocation would result in the 
creation of pool obligations, which would settle with FICC based on the 
settlement date agreed to as part of the terms of the trade. Similar to 
Specified Pool Trades, Stipulated Trades would not be eligible for the 
TBA Netting process and the Pool Netting process.
5. Notification of Settlement Process
    As described above, the Notification of Settlement process 
currently requires Clearing Members to notify FICC of obligations that 
have settled directly between Clearing Members and their applicable 
settlement counterparties.\45\ Once both parties to a transaction 
submit a Notification of Settlement to MBSD through the RTTM system, 
the obligations are no longer subject to MBSD's margin calculation 
process.\46\ Because, under the Proposed Rule Change, FICC would novate 
and directly settle all SBO-Destined Transactions, Trade-for-Trade 
Transactions, and Specified Pool Trades, the Notification of Settlement 
process would become obsolete. Therefore, FICC proposes to delete 
Notification of Settlement from the MBSD Rules.
---------------------------------------------------------------------------

    \45\ MBSD Rule 10, supra note 4.
    \46\ MBSD Rule 4, supra note 4.
---------------------------------------------------------------------------

6. Do Not Allocate (``DNA'') Process
    Under the Proposed Rule Change, FICC would establish a process to 
enable Clearing Members to offset Trade-for-Trade Transactions \47\ and 
SBON Trades. This process would be referred to as the ``Do Not 
Allocate'' or ``DNA'' process. The purpose of this process is to 
exclude SBON Trades and Trade-for-Trade Transactions from the pool 
allocation process \48\ and securities settlement.
---------------------------------------------------------------------------

    \47\ Specified Pool Trades and Stipulated Trades would not be 
eligible for the proposed DNA process because such trades are not 
eligible for the Pool Netting process. MBSD Rule 8, supra note 4.
    \48\ As noted above, the pool allocation process requires 
Clearing Members to allocate pools on 48-Hour Day through the EPN 
Service. Under the Proposed Rule Change, Clearing Members would not 
be required to allocate pools for obligations that have been offset 
through the DNA process.
---------------------------------------------------------------------------

    The DNA process would be available to Clearing Members at the start 
of the business day on 48-Hour Day through 4:30 p.m.\49\ on 24-Hour 
Day. During this time, Clearing Members with two or more open TBA 
Obligations \50\ with the same Par Amount,\51\ CUSIP Number, and SIFMA 
designated settlement date would be permitted to offset such 
obligations. In order to initiate the offset, Clearing Members would be 
required to submit a request (``DNA Request'') to MBSD through the RTTM 
system. Upon FICC's validation of this request, the obligations would 
be reduced, and the Clearing Member would not be required to allocate 
pools against such obligations. As a result, a Clearing Member's 
overall number of open obligations would be reduced.
---------------------------------------------------------------------------

    \49\ All times referenced herein are Eastern Time.
    \50\ The term ``TBA Obligations'' means SBO-Destined obligations 
and, with respect to Trade-for-Trade Transactions, settlement 
obligations generated by the Trade Comparison system. MBSD Rule 1, 
supra note 4.
    \51\ The term ``Par Amount'' means for Trade-for-Trade and SBO 
Transactions, Option Contracts and Pool Deliver and Pool Receive 
Obligations, the current face value of a Security to be delivered on 
the Contractual Settlement Date. With respect to Specified Pool 
Trades, ``Par Amount'' shall mean the original face value of a 
Security to be delivered on the Contractual Settlement Date. MBSD 
Rule 1, supra note 4.
---------------------------------------------------------------------------

    Clearing Members would be permitted to cancel a DNA Request; 
however, such cancellation must be submitted through the RTTM system 
prior to the time that the designated offsetting TBA Obligations have 
settled. Upon FICC's timely receipt of a cancellation request, the 
trades that were previously marked for the DNA process would reopen and 
the Clearing Member would be expected

[[Page 31382]]

to notify MBSD through the EPN Service of the pools that such Clearing 
Member intends to allocate to the open obligations.\52\
---------------------------------------------------------------------------

    \52\ A detailed example of the DNA process is described in the 
Notice. Notice, 82 FR at 23857.
---------------------------------------------------------------------------

    The proposed DNA process would generate Cash Settlement credits and 
debits from the price differential of the resulting offsetting 
obligations. The proposed Cash Settlement obligations are described 
more fully below in Item 9.
7. Expanded Pool Netting Process
    As described above, the Pool Netting system reduces the number of 
pool settlements by netting Pool Instructs stemming from SBON Trades 
and Trade-for-Trade Transactions to arrive at a single net position per 
counterparty in a particular pool number for next-day delivery. Prior 
to the Pool Netting process, Pool Sellers must notify their Pool Buyers 
through MBSD's EPN Service of the pools to be allocated in satisfaction 
of a TBA Obligation. In accordance with the SIFMA Guidelines,\53\ such 
notifications must occur before 3:00 p.m. on 48-Hour Day.\54\ 
Notifications that take place after this time are considered late, and 
the delivery of such pools to the related Pool Buyers will be delayed 
for one additional business day.
---------------------------------------------------------------------------

    \53\ The term ``SIFMA Guidelines'' means the guidelines for good 
delivery of Mortgage-Backed Securities as promulgated from time to 
time by SIFMA. MBSD Rule 1, supra note 4.
    \54\ All times referenced herein are Eastern Time.
---------------------------------------------------------------------------

    In order to capture notifications submitted after 3:00 p.m. on 48-
Hour Day through 4:30 p.m. on 24-Hour Day, FICC proposes to establish 
an additional netting cycle, referred to as ``Expanded Pool Netting.'' 
Similar to the initial Pool Netting process, Expanded Pool Netting 
would result in a reduction in the number of Pool Delivery Obligations. 
As with the existing Pool Netting process, the proposed Expanded Pool 
Netting process would (1) calculate Pool Net Settlement Positions in a 
manner that is consistent with Section 3 of MBSD Rule 8, and (2) 
allocate Pool Deliver Obligations and Pool Receive Obligations in a 
manner that is consistent with Section 4 of MBSD Rule 8.
    The Expanded Pool Netting process would occur four times per month 
in accordance with the SIFMA designated settlement dates. Pool Net 
Settlement Positions and the resultant Pool Deliver Obligations and 
Pool Receive Obligations would only be provided to Clearing Members 
during such times. The proposed Expanded Pool Netting process would 
generate Cash Settlement credits and debits, described more fully below 
in Item 9.
8. Give-Up Process for Brokered Transactions
    Currently, as described above, FICC operates its brokered business 
on a ``give-up'' basis, which means that MBSD discloses (i.e., ``gives-
up'') the identity of each Dealer to a Brokered Transaction after a 
period of time.\55\ Under the Proposed Rule Change, FICC would 
eliminate the need to disclose Dealers' identities because FICC would 
novate all Brokered Transactions and treat itself as the settlement 
counterparty upon trade comparison. Thus, the report that FICC issues 
after trade comparison of a Brokered Transaction would refer to FICC as 
settlement counterparty.
---------------------------------------------------------------------------

    \55\ MBSD Rule 5 Section 7, supra note 4.
---------------------------------------------------------------------------

9. Cash Settlement Calculations
    As described above, Cash Settlement is a daily process of 
generating a single net credit or debit cash amount at the Aggregated 
Account level and settling those cash amounts between Clearing Members 
and MBSD.\56\ FICC's proposal to become the settlement counterparty 
upon trade comparison and the proposed DNA process would require 
several changes to the Cash Settlement calculation described below.\57\
---------------------------------------------------------------------------

    \56\ MBSD Rule 11, supra note 4.
    \57\ Detailed examples of the proposed changes to the Cash 
Settlement calculations are provided in the Notice. Notice, 82 FR at 
23858-59.
---------------------------------------------------------------------------

     SBO Market Differential. Under the Proposed Rule Change, 
FICC would eliminate the SBO Market Differential \58\ because it 
reflects the price difference for SBO positions settled among Clearing 
Members. This amount would no longer be required because Clearing 
Members would settle all SBO-Destined Trades directly with FICC.
---------------------------------------------------------------------------

    \58\ The term ``SBO Market Differential'' means the amount 
computed pursuant to the MBSD Rules, reflecting the difference 
between Firm CUSIP Average Prices (i.e., the average purchase or 
sale contract price of a Member's SBO-Destined Trades with a 
particular Original Contra-Side Member in a particular CUSIP number) 
or between the CUSIP Average Price (i.e., the average contract price 
of all SBO-Destined Trades in the CUSIP number that have been 
netted) and the Firm CUSIP Average Price, as the case may be. MBSD 
Rule 1, supra note 4.
---------------------------------------------------------------------------

     TBA Transaction Adjustment Payment. Under the Proposed 
Rule Change, FICC would add the TBA Transaction Adjustment Payment to 
reflect the cash differential that would result when calculating the 
net proceeds of the contractual quantity of an SBO-Destined Trade when 
comparing such trade's Settlement Price \59\ and the System Price.\60\ 
The proposed TBA Transaction Adjustment Payment would be an amount 
equal to the difference between the SBO-Destined Trade's Settlement 
Price and the System Price, multiplied by the contractual quantity of 
such trade, and then divided by 100. To differentiate between the buyer 
and seller of the transaction, an indicator of -1 for the buy trade and 
+1 for the sell trade is multiplied by the contractual quantity of such 
trade.
---------------------------------------------------------------------------

    \59\ The term ``Settlement Price'' means: (a) In the case of a 
Trade-for-Trade Transaction, Specified Pool Trade, or SBO-Destined 
Trade, the contractual settlement price agreed to by the parties; 
(b) in the case of an SBON Trade, the CUSIP Average Price; (c) in 
the case of an SBOO Trade, the Firm CUSIP Average Price; and (d) in 
the case of a Pool Deliver or Pool Receive Obligation, the Pool Net 
Price. MBSD Rule 1, supra note 4.
    \60\ The term ``System Price'' means the price for any trade or 
any Pool Deliver Obligations or Pool Receive Obligation not 
including accrued interest, established by FICC on each Business 
Day, based on current market information, for each security. MBSD 
Rule 1, supra note 4.
---------------------------------------------------------------------------

     Expanded Pool Net Transaction Adjustment Payment. Under 
the Proposed Rule Change, FICC would add the Expanded Pool Net 
Transaction Adjustment Payment to be applied when a Clearing Member 
misses the deadline established by FICC for the Pool Netting process. 
Unlike the daily Pool Netting process, the Expanded Pool Netting 
process would only run four times per month in accordance with the 
SIFMA designated settlement dates. As a result, an Expanded Pool Net 
Transaction Adjustment Payment would only occur four times per month. 
The Expanded Pool Net Transaction Adjustment Payment would reflect an 
amount equal to the difference between the System Price and the SBON 
Trade's Settlement Price or Trade-for-Trade Transaction's Settlement 
Price, as applicable, multiplied by the total current face value of the 
pools used to satisfy such obligation, and then divided by 100. To 
differentiate between a buy and sell transaction, an indicator of +1 
for a buy trade and -1 for a sell trade would be multiplied by the 
total current face value of the pools used to satisfy the obligation.
     Do Not Allocate Transaction Adjustment Payment. Under the 
Proposed Rule Change, FICC would add the Do Not Allocate Transaction 
Adjustment Payment to reflect the cash differential among TBA 
Obligations that have been offset through the DNA process. The proposed 
Do Not Allocate Transaction Adjustment Payment would be an amount equal 
to the difference between the Settlement Price of the buy and sell TBA 
Obligation transactions multiplied by the contractual quantity. To 
differentiate between a buy and sell transaction, an indicator of -1 
for a buy

[[Page 31383]]

trade and +1 for a sell trade is multiplied by the contractual quantity 
of such trade.
     TBA Reprice Transaction Adjustment Payment. Under the 
Proposed Rule Change, FICC would add the TBA Reprice Transaction 
Adjustment Payment to reflect the cash differential between the price 
of a TBA Obligation that was not allocated by a Clearing Member before 
the deadline established by FICC and the price of the replacement TBA 
Obligation that was calculated at the System Price. The TBA Reprice 
Transaction Adjustment Payment would be an amount equal to the 
difference between the TBA Obligation's Settlement Price and the System 
Price, multiplied by the unallocated contractual quantity, and then 
divided by 100. To differentiate between a buy and sell transaction, an 
indicator of -1 for a sell trade and +1 for a buy trade is multiplied 
by the unallocated pool's contractual quantity.
     Variance Transaction Adjustment Payment. Under the 
Proposed Rule Change, FICC would add the Variance Transaction 
Adjustment Payment to capture the variance (i.e., difference) \61\ 
between a TBA Obligation and the current face value of the pools 
allocated in satisfaction of such obligation. Specifically, this 
payment would reflect the cash differential calculated between the SBON 
Trade's Settlement Price or the Trade-for-Trade Transaction's 
Settlement Price, as applicable, and the System Price using the 
variance of the Pool Netting process or the Expanded Pool Netting 
process, as applicable, based on the current face value of the pools 
used in satisfaction of the trade. The Variance Transaction Adjustment 
Payment would be an amount equal to the difference between the SBON 
Trade's Settlement Price or the Trade-for-Trade Transaction's 
Settlement Price, as applicable, and the System Price, multiplied by 
the difference between the TBA Obligation and the allocated pools used 
in satisfaction of such trade, and then divided by 100. To 
differentiate between a buy and sell transaction, an indicator of -1 
for a buy trade and +1 for a sell trade would be multiplied by the 
total variance amount.
---------------------------------------------------------------------------

    \61\ Pursuant to the SIFMA Guidelines, TBA trades are allowed to 
have a variance equal to plus or minus 0.01 percent of the dollar 
amount of the transaction agreed to by the parties. As a result of 
this guideline, FICC would capture the variance of TBA Obligations 
and the current face value of the pools allocated in satisfaction of 
such obligations.
---------------------------------------------------------------------------

     Factor Update Adjustment Payment. Under the Proposed Rule 
Change, FICC would add the Factor Update Adjustment Payment, to be 
applied when updated pool factor information is released after the 
clearing bank's settlement of a pool. This update would create a cash 
differential that would require a debit to the seller and a credit to 
the buyer.

III. Discussion and Commission Findings

    Section 19(b)(2)(C) of the Act \62\ 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. After carefully considering the Proposed Rule 
Change, the Commission finds that the Proposed Rule Change is 
consistent with the requirements of the Act and the rules and 
regulations thereunder applicable to FICC. In particular, the 
Commission finds that the Proposed Rule Change is consistent with 
Section 17A(b)(3)(F) of the Act \63\ and Rule 17Ad-22(e)(21) \64\ under 
the Act.
---------------------------------------------------------------------------

    \62\ 15 U.S.C. 78s(b)(2)(C).
    \63\ 15 U.S.C. 78q-1(b)(3)(F).
    \64\ 17 CFR 240.17Ad-22(e)(21).
---------------------------------------------------------------------------

    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.\65\ As discussed 
above, the Proposed Rule Change would result in FICC novating and 
treating itself as the settlement counterparty from the time of trade 
comparison with respect to SBO-Destined Trades, Trade-for-Trade 
Transactions, Specified Pool Trades, and Stipulated Trades. By novating 
such trades to FICC and treating FICC as the settlement counterparty to 
such trades the Proposed Rule Change would make FICC the only 
counterparty to whom the Clearing Members are obligated, as compared to 
the current process where Clearing Members may have multiple 
counterparties with whom they need to settle multiple obligations 
outside of FICC. Additionally, the Proposed Rule Change would also 
accelerate the point in time at which FICC becomes that ultimate 
counterparty (i.e., at the time of trade comparison), resulting in such 
trades being governed by the MBSD Rules from that time. Collectively, 
the proposed changes are designed to simplify, streamline, and 
centralize trade processing under the MBSD Rules, which would help 
promote the prompt and accurate clearance and settlement of these types 
of securities transactions. Therefore, the Commission believes that the 
Proposed Rule Change is consistent with Section 17A(b)(3)(F) of the 
Act.\66\
---------------------------------------------------------------------------

    \65\ 15 U.S.C. 78q-1(b)(3)(F).
    \66\ 15 U.S.C. 78q-1(b)(3)(F).
---------------------------------------------------------------------------

    As discussed above, the Proposed Rule Change would make a number of 
operational changes with respect to MBSD trade processing. 
Specifically, the Proposed Rule Change would provide that (1) the 
submission of Pool Instructs by Clearing Members would become optional 
because FICC would be permitted to submit on behalf Clearing Members; 
(2) Clearing Members would no longer to be required to fulfill 
Notification of Settlement obligations because all of the above-
referenced transactions would settle with FICC; (3) Clearing Members 
would have the ability to exclude TBA Obligations from the pool 
allocation process, netting, and securities settlement through the DNA 
process; (4) Clearing Members would have the ability to net their pools 
via the Expanded Pool Netting process in the event that such Clearing 
Members miss the established deadline for the initial Pool Netting 
process; (5) Dealer Netting Members would remain anonymous with the 
elimination of the ``give-up'' process for Brokered Transactions; (6) 
Clearing Members would be allowed to submit SBO-Destined Trades in all 
trade sizes; and (7) Clearing Members would be allowed to submit 
Stipulated Trades as a new trade type. These proposed changes are 
designed to eliminate operational steps in the current trade processing 
cycle and enable Clearing Members to take advantage of MBSD's trade 
processing efficiencies at an earlier point, which would help promote 
the prompt and accurate clearance and settlement of these types of 
securities transactions. Therefore, Commission believes that the 
Proposed Rule Change is consistent with Section 17A(b)(3)(F) of the 
Act.\67\
---------------------------------------------------------------------------

    \67\ Id.
---------------------------------------------------------------------------

    Rule 17Ad-22(e)(21) under the Act requires, in part, that FICC 
establish, implement, maintain, and enforce written policies and 
procedures reasonably designed to be efficient and effective in meeting 
the requirements of its participants and the markets it serves, and 
regularly review the efficiency and effectiveness of its (i) clearing 
and settlement arrangements; (ii) operating structure; and (iii) scope 
of products cleared or settled.\68\ As discussed above, the Proposed 
Rule Change would enable FICC to novate MBS trades at an earlier point 
the trade lifecycle (i.e., upon trade comparison). Additionally, as 
described above, the Proposed Rule Change would add Stipulated Trades 
as a new trade type

[[Page 31384]]

that could be cleared and settled at MBSD, and it would remove the size 
restrictions with respect to SBO-Destined Trades.
---------------------------------------------------------------------------

    \68\ See 17 CFR 240.17Ad-22(e)(21).
---------------------------------------------------------------------------

    With these changes, which were developed in consideration of the 
feedback received from MBSD Clearing Members,\69\ FICC could provide a 
more efficient and effective operational processes in connection with 
the clearance and settlement of MBS trades, expand the scope of 
products cleared and settled by MBSD, and enable Clearing Members to 
submit such trades in any size. Therefore, the Commission believes that 
the Proposed Rule Change is designed to help FICC be more efficient and 
effective in meeting the requirements of its participants and the 
markets it serves, and in providing clearing and settlement 
arrangements, operating structure, and scope of products cleared or 
settled, which is consistent with Rule 17Ad-22(e)(21).
---------------------------------------------------------------------------

    \69\ FICC describes in Item 7 of its Form 19b-4 responses the 
extent to which the proposed changes were informed by feedback from 
its Clearing Members and various working groups over numerous years. 
Available at http://www.dtcc.com/legal/sec-rule-filings. 
Specifically, FICC states that in 2015, 92 Clearing Member 
representatives participated in forums held in June, and 157 
representatives participated in forums in September and October. Id. 
FICC states that in 2016, 139 representatives participated in forums 
held in March, 241 representatives participated in forums held in 
August, and 121 participated in forums held in December. Id. 
Additionally, FICC states that it held a number of conference calls 
with individual Clearing Members to address questions and concerns 
on the subject. Id. Moreover, FICC explains that the Proposed Rule 
Change was even the subject of a prior rule filing with the 
Commission to fund the proposed changes. Id. See also Exchange Act 
Release No. 74033 (January 12, 2015), 80 FR 2452 (January 16, 2015) 
(SR-FICC-2014-12).
---------------------------------------------------------------------------

V. 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 \70\ and 
the rules and regulations promulgated thereunder.
---------------------------------------------------------------------------

    \70\ 15 U.S.C. 78q-1.
---------------------------------------------------------------------------

    It is therefore ordered, pursuant to Section 19(b)(2) of the Act 
\71\ that proposed rule change SR-FICC-2017-012 be, and hereby is, 
approved.\72\
---------------------------------------------------------------------------

    \71\ 15 U.S.C. 78s(b)(2).
    \72\ 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.\73\
Jill M. Peterson,
Assistant Secretary.
[FR Doc. 2017-14142 Filed 7-5-17; 8:45 am]
 BILLING CODE 8011-01-P



                                                31378                             Federal Register / Vol. 82, No. 128 / Thursday, July 6, 2017 / Notices

                                                and refiled the submission on May 23,                      would (1) change the time that FICC                     settles all SBO-Destined Transactions,
                                                2017.’’                                                    treats itself as the settlement                         Trade-for-Trade Transactions, and
                                                                                                           counterparty for SBO-Destined Trades 5                  Specified Pool Trades, as proposed; (2)
                                                Brent J. Fields,
                                                                                                           to the time of trade comparison, which                  establishing the ‘‘Do Not Allocate’’
                                                Secretary.
                                                                                                           is earlier in the lifecycle of the trade                (‘‘DNA’’) process, which would allow
                                                [FR Doc. 2017–14199 Filed 7–5–17; 8:45 am]                 than the current practice; (2) change the               Clearing Members 10 to offset SBON
                                                BILLING CODE 8011–01–P                                     time that FICC novates 6 and treats itself              Trades 11 and Trade-for-Trade
                                                                                                           as the settlement counterparty for                      Transactions; (3) establishing the
                                                                                                           Trade-for-Trade Transactions 7 to the                   ‘‘Expanded Pool Netting’’ process,
                                                SECURITIES AND EXCHANGE                                    time of trade comparison, which is                      which would net Pool Instructs 12
                                                COMMISSION                                                 earlier in the lifecycle of the trade than              stemming from SBON Trades and
                                                [Release No. 34–81051; File No. SR–FICC–                   the current practice; (3) regarding                     Trade-for-Trade Transactions to arrive at
                                                2017–012]                                                  Specified Pool Trades,8 novate and                      a single net position per counterparty in
                                                                                                           establish FICC as the settlement                        a particular Pool Number 13 for next-day
                                                Self-Regulatory Organizations; Fixed                       counterparty at the time of trade                       delivery; (4) eliminating the ‘‘give-up’’
                                                Income Clearing Corporation; Order                         comparison; and (4) regarding                           process for Brokered Transactions,14 as
                                                Approving a Proposed Rule Change to                        Stipulated Trades 9 (a new proposed                     the process would become obsolete once
                                                the Mortgage-Backed Securities                             trade type), guarantee, novate, and                     FICC novates and settles all such
                                                Division Clearing Rules Regarding                          establish FICC as the settlement                        transactions, as proposed; and (5)
                                                Fixed Income Clearing Corporation’s                        counterparty at the time of trade                       amending the components of the Cash
                                                (1) Time of Novation, (2) Treatment of                     comparison.                                             Settlement 15 calculation to reflect the
                                                Itself as the Settlement Counterparty                         The Proposed Rule Change also                        changes above.
                                                for Certain Transaction Types, and (3)                     includes several changes to the MBSD                       Finally, the Proposed Rule Change
                                                Proposal to Implement New Processes                        Rules regarding the operational                         would modify FICC’s Real-Time Trade
                                                to Promote Operational Efficiencies for                    processes for clearing MBSD trades.                     Matching (‘‘RTTM’’) system to remove
                                                Its Clearing Members                                       These changes include (1) eliminating                   size restrictions on SBO-Destined
                                                June 29, 2017.
                                                                                                           the Notification of Settlement process                  Trades. Since trade size submission
                                                                                                           regarding trades that currently settle
                                                I. Introduction                                            bilaterally, as the process would become                   10 The term ‘‘Clearing Member’’ means any entity

                                                                                                           obsolete once FICC novates and directly                 admitted into MBSD membership pursuant to
                                                   On May 15, 2017, Fixed Income                                                                                   MBSD Rule 2A. MBSD Rule 1, supra note 4.
                                                Clearing Corporation (‘‘FICC’’) filed                                                                                 11 The proposed MBSD Rules would use the term
                                                                                                              5 The Proposed Rule Change would add the new
                                                with the Securities and Exchange                                                                                   ‘‘SBON Trades’’ to signify obligations that result
                                                                                                           defined term ‘‘SBO’’ to define the settlement           from the TBA Netting process. Such obligations
                                                Commission (‘‘Commission’’) proposed                       balance orders that constitute the net positions of     would reflect FICC as the settlement counterparty.
                                                rule change SR–FICC–2017–012,                              a Clearing Member as a result of the TBA Netting           12 The term ‘‘Pool Instruct’’ is defined in FICC’s
                                                pursuant to Section 19(b)(1) of the                        process. Notice, 82 FR at 23860. The term ‘‘SBO-
                                                                                                           Destined Trade’’ means a ‘‘To-Be-Announced’’            MBS Pool Netting User Guide to mean ‘‘[a]n input
                                                Securities Exchange Act of 1934                            (‘‘TBA’’) transaction intended for TBA Netting.         used by a [M]ember to submit pool details directly
                                                (‘‘Act’’) 1 and Rule 19b–4 thereunder 2                    MBSD Rule 1, supra note 4. TBA transactions are         into [FICC’s Real-Time Trade Matching System]
                                                (hereinafter, ‘‘Proposed Rule Change’’).                   trades for which the actual identities of and/or the    pool netting for bilateral matching and assignment
                                                                                                           number of pools underlying each trade are               to a corresponding open TBA position as a
                                                The Proposed Rule Change was                                                                                       prerequisite to pool netting. FICC MBS Pool Netting
                                                                                                           unknown at the time of trade execution. See Notice,
                                                published for comment in the Federal                       82 FR at 23854. ‘‘TBA Netting’’ means the netting       User Guide, available at http://www.dtcc.com/
                                                Register on May 24, 2017.3 The                             service that FICC provides to Clearing Members in       clearing-services/ficc-mbsd/ficc-mbsd-user-
                                                Commission received no comments to                         connection with TBA transactions. MBSD Rule 1,          documentation.
                                                                                                                                                                      13 The term ‘‘Pool Number’’ is defined in FICC’s
                                                the Proposed Rule Change. This order                       supra note 4. The MBSD settlement balance order
                                                                                                           (‘‘SBO’’) system nets trades within the same            MBS Pool Netting User Guide to mean a ‘‘[u]nique
                                                approves the Proposed Rule Change.                         mortgage backed security (‘‘MBS’’) product, coupon      number assigned by the industry to identify the
                                                                                                           rate, maturity, and settlement date. The SBO system     pool (in addition to the pool CUSIP [(i.e., the
                                                II. Description of the Proposed Rule                       provides netting efficiencies, eliminating the need     Committee on Uniform Securities Identification
                                                Change                                                     for Clearing Members to settle all but the resulting    Procedures identifying number for a security)],
                                                                                                           net buy and sell obligations.                           since the pool CUSIP is not always known at the
                                                   The Proposed Rule Change consists of                       6 Novation terminates the obligations between        time of issuance).’’ FICC MBS Pool Netting User
                                                modifications to FICC’s Mortgage-                          Clearing Members to deliver, receive, and make          Guide, supra note 12.
                                                Backed Securities Division (‘‘MBSD’’)                      payments to each other, and replaces those                 14 The term ‘‘Brokered Transaction’’ means any

                                                Clearing Rules (‘‘MBSD Rules’’).4                          obligations with identical obligations between the      ‘‘give-up’’ transaction calling for the delivery of a
                                                Specifically, the Proposed Rule Change                     Clearing Members and FICC. MBSD Rule 5 Section          security for which data has been submitted to FICC
                                                                                                           13, supra note 4.                                       by Members, in transactions to which a Broker is
                                                                                                              7 The term ‘‘Trade-for-Trade Transaction’’ means     a party. MBSD Rule 1, supra note 4. FICC operates
                                                  1 15  U.S.C. 78s(b)(1).                                  a TBA transaction submitted to FICC that is not         its brokered business on a ‘‘give-up’’ basis, which
                                                  2 17  CFR 240.19b–4.                                     intended for TBA Netting. MBSD Rule 1, supra note       means that MBSD discloses (i.e., ‘‘gives-up’’) the
                                                   3 Securities Exchange Act Release No. 80716 (May                                                                identity of each Dealer (i.e., a Member that is in the
                                                                                                           4. Entities use Trade-for-Trade Transactions either
                                                18, 2017), 82 FR 23852 (May 24, 2017) (SR–FICC–            by choice or for trades that are not eligible for       business of buying and selling Securities as
                                                2017–012) (‘‘Notice’’).                                    netting.                                                principal, either directly or through a Broker.) to a
                                                   4 FICC is comprised of two divisions, MBSD and             8 The term ‘‘Specified Pool Trade’’ means a trade    Brokered Transaction after a period of time. MBSD
                                                the Government Securities Division (‘‘GSD’’). MBSD         in which all required pool data, including the pool     Rule 1; Rule 5 Section 7, supra note 4.
                                                provides, among other things, clearance and                number to be delivered upon settlement are agreed          15 The term ‘‘Cash Settlement’’ refers to the

                                                settlement for trades in mortgage-backed securities.       by the counterparties at the time of trade execution.   payment each business day by FICC to a Member
                                                GSD provides, among other things, clearance and            MBSD Rule 1, supra note 4.                              or by a Member to FICC pursuant to Rule 11. MBSD
sradovich on DSK3GMQ082PROD with NOTICES




                                                settlement for trades in U.S. government debt                 9 A ‘‘Stipulated Trade’’ is a trade in which pools   Rule 1, supra note 4. Cash Settlement is a daily
                                                issues. MBSD and GSD maintain separate sets of             allocated and delivered against the trade must          process of generating a single net credit or debit
                                                rules, margin models, and clearing funds. The              satisfy certain conditions that are agreed upon by      cash amount at the ‘‘Aggregated Account’’ level
                                                Proposed Rule Change relates solely to the MBSD            the parties at the time of trade execution. See         (i.e., either a single account linked to an aggregate
                                                Rules. Capitalized terms used and not otherwise            Notice, 82 FR at 23856. Trades carrying stipulations    ID or a set of accounts linked to an aggregate ID for
                                                defined shall have the meaning assigned to such            may reflect terms that include, but are not limited     the processing of transactions.) Clearing Members’
                                                terms in the MBSD Rules or the FICC MBSD EPN               to issuance year, issuance month, weighted average      Cash Settlement obligations are calculated on a net
                                                Rules, as applicable, available at http://                 coupon, weighted average maturity and/or weighted       basis at the aggregate ID level. MBSD Rule 1, supra
                                                www.dtcc.com/en/legal/rules-and-procedures.                average loan age, etc.                                  note 4.



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                                                                                Federal Register / Vol. 82, No. 128 / Thursday, July 6, 2017 / Notices                                                        31379

                                                requirements are not reflected in the                    SBO-Destined Trades.22 Three business                     relevant counterparty is the Original
                                                MBSD Rules, this change would not                        days prior to the established settlement                  Contra-Side Member. For SBO-Destined
                                                require changes to the MBSD Rules.                       date of the TBA settlement obligations                    Trades, although FICC is the legal
                                                                                                         (referred to as ‘‘72-Hour Day’’),23 TBA                   counterparty, Clearing Members are
                                                A. MBSD’s Current Trade Comparison
                                                                                                         Netting for the applicable class occurs.                  directed to treat a designated SBO
                                                and Netting Processes                                                                                              Contra-Side Member 28 as their
                                                                                                         On 72-Hour Day, all compared SBO-
                                                   MBSD currently processes four types                   Destined Trades within the class that                     counterparty.29 Clearing Members are
                                                of trades: (1) SBO-Destined Trades; (2)                  have been designated for the TBA                          required to submit Pool Instructs on 48-
                                                Trade-for-Trade Transactions; (3)                        Netting process are netted within and                     Hour Day to MBSD through its RTTM
                                                Specified Pool Trades; and (4) Option                    across counterparties. Even though FICC                   system for Pool Comparison 30 (which is
                                                Contracts. SBO-Destined Trades and                       has become the legal counterparty for                     a prerequisite to Pool Netting).31 Trade
                                                Trade-for-Trade Transactions are TBA                     each SBO-Destined Trade upon trade                        counterparties must bilaterally match
                                                transactions, which are trades for which                 comparison, TBA Netting occurs as                         their respective pools. At this stage, the
                                                the actual identities of and/or the                      though each SBO-Destined Trade is                         Pool Netting System processes the
                                                number of pools underlying each trade                    with the Original Contra-Side                             compared pool allocations (provided
                                                are unknown at the time of trade                         Member.24 The net positions created by                    that neither Clearing Member has
                                                execution. Specified Pool Trades are                     the TBA Netting process are referred to                   cancelled the submitted allocation).32
                                                trades for which all pool data is agreed                 as the settlement balance order                              Pool netting takes place one business
                                                upon by the Clearing Members at the                      positions (‘‘SBO positions’’), which                      day prior to the established settlement
                                                time of trade execution. Option                          constitute settlement obligations against                 date of the TBA settlement obligations
                                                Contracts are not addressed by the                       which Clearing Members will submit                        (referred to as ‘‘24-Hour Day’’). The Pool
                                                Proposed Rule Change.                                    Pool Instructs for the Pool Netting                       Netting system reduces the number of
                                                   The first step of MBSD’s clearance                    process.25                                                pool settlements by netting Pool
                                                and settlement process is trade                             Two business days prior to the                         Instructs stemming from SBO Trades
                                                comparison, which consists of the                        established settlement date of the TBA                    and Trade-for-Trade Transactions to
                                                reporting, validating, and matching by                   settlement obligations (referred to as                    arrive at a single net position per
                                                FICC of both sides of a transaction to                   ‘‘48-Hour Day’’), Clearing Members that                   counterparty in a particular pool
                                                ensure that the details of the trades are                have an obligation to deliver pools                       number for next-day delivery.
                                                in agreement between the parties.16                      (‘‘Pool Sellers’’) must notify their                         On each business day, MBSD makes
                                                Clearing Members enter trade data into                   counterparties (‘‘Pool Buyers’’) through                  available to each Clearing Member a
                                                the RTTM system, and once the trade is                   MBSD’s Electronic Pool Notification                       report with information to enable such
                                                deemed compared, FICC guarantees                         Service (‘‘EPN Service’’) 26 of the                       Clearing Member to settle its Pool Net
                                                settlement of the trade, provided that                                                                             Settlement Positions 33 on that business
                                                                                                         relevant Pool Instructs (i.e., pools that
                                                the trade meets the requirements of the                                                                            day. At that time, all deliver, receive
                                                                                                         such Pool Sellers intend to allocate in
                                                MBSD Rules and was entered into in                                                                                 and related payment obligations
                                                                                                         satisfaction of their SBO positions and/
                                                good faith.17                                                                                                      between Clearing Members resulting
                                                                                                         or Trade-for-Trade Transactions).27 For
                                                   FICC novates SBO-Destined Trades                      Trade-for-Trade Transactions, the                            28 The term ‘‘SBO Contra-Side Member’’ means
                                                upon trade comparison.18 In contrast,
                                                                                                                                                                   the Member with whom a Member is directed by
                                                FICC does not novate Trade-for-Trade                        22 Although Trade-for-Trade Transactions are not
                                                                                                                                                                   the Corporation to settle an SBO Trade. The term
                                                Transactions at the time of trade                        netted through the TBA Netting system, they               ‘‘SBO Trade’’ means a settlement balance order that
                                                comparison. However, FICC guarantees                     constitute TBA settlement obligations against which       offsets an SBO Net Open Position pursuant to the
                                                                                                         Pool Instructs may be submitted. Specified Pool           MBSD Rules. A Member which has one or more
                                                the settlement of Trade-for-Trade                        Trades are also not netted through the TBA Netting        ‘‘Long SBO Trades’’ in a particular CUSIP number
                                                Transactions upon trade comparison.19                    system, nor do such trades enter the Pool Netting         is a net purchaser with respect to that CUSIP
                                                FICC treats Stipulated Trades as Trade-                  system. MBSD Rules 6 and 8, supra note 4.                 number, as the case may be; a Member which has
                                                for-Trade Transactions because Clearing                     23 MBSD performs the TBA Netting process four          one or more ‘‘Short SBO Trades’’ is a net seller.
                                                                                                         times per month, corresponding to each of the four        MBSD Rule 1, supra note 4. An ‘‘SBON Contra-Side
                                                Members currently do not notify FICC of                  primary settlement classes and dates established by       Member’’ is an SBO Contra-Side Member that is not
                                                the stipulations. Similarly, Specified                   the Securities Industry Financial Markets                 an Original Contra-Side Member with respect to
                                                Pool Trades are not novated upon trade                   Association (‘‘SIFMA’’). SIFMA publishes a                such SBO Trade. An ‘‘SBOO Contra-Side Member’’
                                                comparison. However, FICC guarantees                     calendar that specifies one settlement date per           is an SBO Contra-Side Member that is also an
                                                                                                         month for four different product classes (known as        Original Contra-Side Member with respect to such
                                                the obligations of Specified Pool Trade                  Classes A, B, C and D) that are used to categorize        SBO Trade. MBSD Rule, supra note 4.
                                                counterparties to deliver, receive, and                  the various types of TBA securities. These product           29 A Clearing Member’s ‘‘counterparty’’ for

                                                make payment for securities that satisfy                 classes and the associated settlement dates are           purposes of notifications, netting, and processing is
                                                the same generic criteria as the                         recognized by the industry, and they provide the          the SBO Contra-Side Member or the Original
                                                                                                         foundation for MBSD’s TBA Netting process.                Contra-Side Member for SBO-Destined Trades and
                                                securities underlying Specified Pool                        24 The term ‘‘Original Contra-Side Member’’            Trade-for-Trade Transactions, respectively. MBSD
                                                Trades upon trade comparison.20                          means a Member with whom a Member has entered             Rule 6, supra note 4.
                                                   MBSD employs two netting processes                    into a contract for the purchase or sale of a security.      30 The term ‘‘Pool Comparison’’ means the service

                                                to reduce settlement obligations as well                 MBSD Rule 1, supra note 4.                                provided to Clearing Members, as applicable, and
                                                as the number of securities and the                         25 MBSD Rule 6, supra note 4.                          the operations carried out by FICC in the course of
                                                                                                            26 MBSD’s electronic pool notification service         providing such service, in accordance with Rule 7.
                                                amount of cash to be exchanged at                                                                                  MBSD Rule 1, supra note 4.
                                                                                                         (the ‘‘EPN Service’’) provides Clearing Members
                                                settlement: The TBA Netting system;                      with the ability to electronically communicate pool          31 As with the EPN Service allocation process

                                                and the Pool Netting system.21 The TBA                   information to MBSD, as described in the proposed         described above, Clearing Members submit Pool
sradovich on DSK3GMQ082PROD with NOTICES




                                                Netting system is used to net eligible                   rule changes. MBSD Rule 1, supra note 4.                  Instructs against all of their TBA Obligations,
                                                                                                            27 Pool allocations occur for all TBA Obligations,     regardless of whether the TBA Obligation is
                                                  16 MBSD                                                whether established on 72-Hour Day through the            established upon trade comparison or stems from
                                                          Rule 5, supra note 4.                                                                                    the TBA Netting process.
                                                  17 MBSD                                                TBA Netting process or established upon
                                                          Rule 5 Section 8, supra note 4.                                                                             32 MBSD Rule 8, supra note 4.
                                                  18 MBSD Rule 5 Section 13, supra note 4.
                                                                                                         comparison when the Trade-for-Trade Transaction
                                                                                                         was submitted. Pool allocations are not performed            33 The term ‘‘Pool Net Settlement Position’’ means
                                                  19 Id.
                                                                                                         for Specified Pool Trades because the pool that is        either a Pool Net Short Position or a Pool Net Long
                                                  20 MBSD Rule 5 Section 12, supra note 4.
                                                                                                         to be delivered in connection with such trade is          Position, as the context requires. MBSD Rule 1,
                                                  21 MBSD Rules 6, 7 and 8, supra note 4.                specified upon submission.                                supra note 4.



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                                                31380                           Federal Register / Vol. 82, No. 128 / Thursday, July 6, 2017 / Notices

                                                from compared pools that comprise a                      that satisfy the same generic criteria                    Instructs by the established deadline,
                                                Pool Net Settlement Position or                          (such as coupon rate, maturity, agency,                   FICC would determine and apply the
                                                Positions are terminated and replaced                    and product) as the securities                            Pool Instructs for that Clearing Member.
                                                by the Pool Deliver Obligations,34 Pool                  underlying the Specified Pool Trades or                   Such determination would be based on
                                                Receive Obligations,35 and related                       Stipulated Trades.38 In addition, FICC                    the allocated pools that the Clearing
                                                payment obligations to and from FICC.                    proposes to treat itself as the settlement                Member has submitted through the EPN
                                                Each Clearing Member then provides                       counterparty throughout the lifecycle of                  Service. As a result of this proposed
                                                appropriate instructions to its clearing                 the trade for netting, processing, and                    change, all pools would be compared,
                                                bank to deliver to MBSD, and/or to                       settlement purposes.39 These changes                      and FICC would no longer require
                                                receive from MBSD, Eligible Securities                   are described in detail below.                            Clearing Members to settle uncompared
                                                against payment or receipt at the                                                                                  pools directly with their applicable
                                                                                                         1. SBO-Destined Trades
                                                appropriate settlement value.                                                                                      settlement counterparties (i.e., outside
                                                   Clearing Members are required to                         As described above, FICC currently                     of FICC).
                                                settle certain obligations directly with                 novates SBO-Destined Trades at the                           Additionally, FICC proposes to
                                                their applicable settlement                              time of trade comparison; however,                        eliminate the trade size restriction for
                                                counterparties (i.e., outside of FICC).36                FICC does not currently treat itself as                   SBO-Destined Trades. Currently, SBO-
                                                These obligations include (1) Pool                       the settlement counterparty for netting                   Destined Trades are only eligible for the
                                                Instructs that are not included in Pool                  and processing purposes until after the                   TBA Netting process in multiple
                                                Netting (either because they are                         Pool Netting process is complete and                      amounts of one million, with the
                                                ineligible or because they do not meet                   FICC has established Pool Receive                         minimum set at one million. FICC
                                                selection criteria for inclusion); and (2)               Obligations or Pool Deliver Obligations.                  proposes to remove this size restriction
                                                Specified Pool Trades, which are not                     As a result, Clearing Members are                         from the RTTM system so that Clearing
                                                eligible for Pool Netting. Upon settling                 directed to (1) allocate pools through the                Members would be permitted to submit
                                                such obligations, Clearing Members                       EPN Service to designated SBO Contra-                     SBO-Destined Trades in any trade size.
                                                must notify FICC by submitting a                         Side Members and (2) submit Pool                          Since trade size restrictions are not
                                                Notification of Settlement to MBSD for                   Instructs through the RTTM system.40                      reflected in the MBSD Rules, this
                                                pool settlements relating to all trade                      Under the Proposed Rule Change,                        proposed change would not necessitate
                                                types (excluding Option Contracts).37                    FICC would treat itself as settlement                     any changes to the MBSD Rules. For the
                                                Notification of Settlement is required for               counterparty for netting and processing                   avoidance of doubt, FICC does not
                                                bilateral settlement because MBSD will                   purposes from the time of trade                           propose to change the trade size
                                                not otherwise know that the subject                      comparison. SBO-Destined Trades                           restrictions for Trade-for-Trade
                                                pools have actually settled directly                     would proceed to the TBA Netting                          Transactions or Specified Pool Trades.
                                                between Clearing Members. Upon both                      process as they do currently; however,
                                                                                                         the SBO positions that result from the                    2. Trade-for-Trade Transactions
                                                Clearing Members’ submission of
                                                Notification of Settlement, the relevant                 TBA Netting process would reflect FICC                       Currently, as described above, FICC
                                                obligation is deemed to have settled and                 as the settlement counterparty. Thus,                     does not novate Trade-for-Trade
                                                is, therefore, no longer subject to                      Clearing Members would no longer                          Transactions or treat itself as settlement
                                                MBSD’s risk management.                                  settle with a designated SBO Contra-                      counterparty for purposes of netting,
                                                                                                         Side Member,41 but with FICC instead.                     processing, and settlement until, in each
                                                B. Proposed Changes to MBSD’s Trade                         On 48-Hour Day, Clearing Members                       case, the Pool Netting process is
                                                Comparison and Netting Processes                         that are Pool Sellers would notify MBSD                   complete and each Clearing Member
                                                   FICC proposes to novate all                           (rather than their designated SBO                         receives their Pool Receive Obligation or
                                                transactions (except Option Contracts)                   Contra-Side Member) through the EPN                       Pool Deliver Obligations, as applicable,
                                                at the time of trade comparison. Upon                    Service of the allocated pools. FICC                      from FICC.42 As a result, Clearing
                                                trade comparison, the deliver, receive,                  would then submit corresponding                           Members are required to allocate pools
                                                and related payment obligations                          notifications to Clearing Members that                    to their original counterparties through
                                                between the Clearing Members, with                       are Pool Buyers. Clearing Members                         the EPN Service, and submit Pool
                                                respect to SBO-Destined Trades and                       would continue to submit Pool Instructs                   Instructs through the RTTM system.
                                                Trade-for-Trade Transactions, would                      to MBSD on 48-Hour Day through                            Once Pool Netting is complete, the
                                                terminate and be replaced by identical                   FICC’s RTTM system. If a Clearing                         deliver, receive, and related payment
                                                obligations to and from FICC (i.e., FICC                 Member does not submit its Pool                           obligations between Clearing Members
                                                would become the buyer to every seller                                                                             that were created by compared pools
                                                                                                            38 In other words, FICC would not novate or
                                                and the seller to every buyer). A similar                                                                          that comprise a Pool Net Settlement
                                                                                                         guarantee the obligations to deliver the particular
                                                process would occur for Specified Pool                   securities underlying Specified Pool Trades or            Position are terminated and replaced by
                                                Trades and Stipulated Trades, except                     securities that contain the particular stipulations set   Pool Deliver Obligations, Pool Receive
                                                that, for those trades, the existing                     forth in Stipulated Trades.                               Obligations, and related payment
                                                                                                            39 Upon trade comparison, Clearing Members
                                                deliver, receive, and related payment                                                                              obligations to and from FICC.43
                                                                                                         would receive a notification through the RTTM
                                                obligations would terminate and be                       system establishing FICC as each party’s novated
                                                                                                                                                                      Under the Proposed Rule Change,
                                                replaced with obligations to deliver,                    and settlement counterparty.                              FICC would novate Trade-for-Trade
                                                receive and make payment for securities                     40 MBSD Rule 7, supra note 4.                          Transactions at trade comparison and
                                                                                                            41 FICC would eliminate its calculation for
                                                                                                                                                                   treat itself as settlement counterparty, at
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                                                   34 The term ‘‘Pool Deliver Obligation’’ means a
                                                                                                         determining the Settlement Value of ‘‘SBON                that time, for purposes of processing
                                                                                                         Trades’’ (i.e., SBO Trades which a Member settles
                                                Clearing Member’s obligation to deliver securities to
                                                                                                         with an SBON Contra-Side Member) and ‘‘SBOO               and settlement. Similar to the process
                                                FICC. MBSD Rule 1, supra note 4.                                                                                   with SBO-Destined Trades, Clearing
                                                                                                         Trades’’ (i.e., SBO Trades which a Member settles
                                                   35 The term ‘‘Pool Receive Obligation’’ means a

                                                Clearing Member’s obligation to receive securities
                                                                                                         with an SBOO Contra-Side member). MBSD Rule 1,            Members with an obligation to deliver
                                                                                                         supra note 4. The MBSD Rules refer to the                 pools would notify MBSD (rather than
                                                from FICC. MBSD Rule 1, supra note 4.                    calculation as ‘‘CUSIP Average Price’’ or ‘‘CAP’’ for
                                                   36 MBSD Rule 5 Section 12 and MBSD Rule 8
                                                                                                         SBON Trades and ‘‘Firm CUSIP Average Price’’ or
                                                Section 2, supra note 4.                                 ‘‘FCAP’’ for SBOO Trades. MBSD Rule 6, supra note          42 MBSD   Rule 8 Section 4, supra note 4.
                                                   37 MBSD Rule 10, supra note 4.                        4.                                                         43 MBSD   Rule 8 Section 6, supra note 4.



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                                                                                Federal Register / Vol. 82, No. 128 / Thursday, July 6, 2017 / Notices                                                       31381

                                                their original counterparty) through the                 Trades to FICC as Trade-for-Trade                       of Settlement process would become
                                                EPN Service, and FICC would submit                       Transactions, without notifying FICC of                 obsolete. Therefore, FICC proposes to
                                                corresponding notifications to Clearing                  the stipulations. Under the Proposed                    delete Notification of Settlement from
                                                Members that are Pool Buyers. Clearing                   Rule Change, FICC would add                             the MBSD Rules.
                                                Members would continue to be required                    Stipulated Trades as a new trade type
                                                                                                                                                                 6. Do Not Allocate (‘‘DNA’’) Process
                                                to submit Pool Instructs. In the event                   that would be eligible for processing by
                                                that Pool Instructs are not submitted by                 MBSD. FICC would guarantee and                             Under the Proposed Rule Change,
                                                the established deadline, FICC would                     novate Stipulated Trades at trade                       FICC would establish a process to
                                                determine Pool Instructs for that                        comparison, provided that such trades                   enable Clearing Members to offset
                                                Clearing Member. Such determinations                     meet the requirements of the MBSD                       Trade-for-Trade Transactions 47 and
                                                would be based on the allocated pools                    Rules and are entered into in good faith.               SBON Trades. This process would be
                                                that the Clearing Member has submitted                   Such guarantee and novation would be                    referred to as the ‘‘Do Not Allocate’’ or
                                                through the EPN Service.                                 limited to the obligations to deliver,                  ‘‘DNA’’ process. The purpose of this
                                                                                                         receive, and make payment for                           process is to exclude SBON Trades and
                                                3. Specified Pool Trades                                                                                         Trade-for-Trade Transactions from the
                                                                                                         securities satisfying the same generic
                                                   Currently, as described above, FICC                   criteria as the securities underlying the               pool allocation process 48 and securities
                                                does not novate Specified Pool Trades                    Stipulated Trade, but not the obligation                settlement.
                                                during any point of the trade lifecycle                  to deliver securities that contain the                     The DNA process would be available
                                                (though, upon trade comparison of                        particular stipulations contained in the                to Clearing Members at the start of the
                                                Specified Pool Trades, FICC guarantees                   Stipulated Trades. At trade comparison,                 business day on 48-Hour Day through
                                                the obligation to deliver, receive, and                  the deliver, receive, and related                       4:30 p.m.49 on 24-Hour Day. During this
                                                pay for securities that satisfy the same                 payment obligations between Clearing                    time, Clearing Members with two or
                                                generic criteria as the underlying                       Members would be terminated and                         more open TBA Obligations 50 with the
                                                securities).44 Specified Pool Trades are                 replaced with obligations to or from                    same Par Amount,51 CUSIP Number,
                                                currently ineligible for the TBA Netting                 FICC to deliver, receive, and make                      and SIFMA designated settlement date
                                                process and the Pool Netting process.                    payment for securities satisfying the                   would be permitted to offset such
                                                Specified Pool Trades are currently                      same generic criteria as the securities                 obligations. In order to initiate the
                                                settled between the original                             underlying the Stipulated Trades.                       offset, Clearing Members would be
                                                counterparties directly (i.e., outside of                   Because of the narrow nature of                      required to submit a request (‘‘DNA
                                                FICC).                                                   FICC’s guarantee and novation, in the                   Request’’) to MBSD through the RTTM
                                                   Under the Proposed Rule Change,                       event of a Clearing Member’s default,                   system. Upon FICC’s validation of this
                                                FICC would novate Specified Pool                         FICC would only be required to deliver,                 request, the obligations would be
                                                Trades upon trade comparison. Such                       receive, or make payment for securities                 reduced, and the Clearing Member
                                                novation would be limited to the                         that have the same generic terms, such                  would not be required to allocate pools
                                                obligations to deliver, receive, and make                as coupon rate, maturity, agency, and                   against such obligations. As a result, a
                                                payment for securities satisfying the                    product, as the securities underlying the               Clearing Member’s overall number of
                                                same generic criteria as the securities                  Stipulated Transaction.                                 open obligations would be reduced.
                                                underlying the Specified Pool Trades.                       Clearing Members would be required                      Clearing Members would be permitted
                                                As a result, upon trade comparison, the                  to allocate Stipulated Trades to FICC                   to cancel a DNA Request; however, such
                                                existing deliver, receive, and related                   through the EPN Service. Such                           cancellation must be submitted through
                                                payment obligations between Clearing                     allocation would result in the creation                 the RTTM system prior to the time that
                                                Members under Specified Pool Trades                      of pool obligations, which would settle                 the designated offsetting TBA
                                                would be terminated and replaced with                    with FICC based on the settlement date                  Obligations have settled. Upon FICC’s
                                                obligations to or from FICC to deliver,                  agreed to as part of the terms of the                   timely receipt of a cancellation request,
                                                receive, and make payment for                            trade. Similar to Specified Pool Trades,                the trades that were previously marked
                                                securities satisfying the same generic                   Stipulated Trades would not be eligible                 for the DNA process would reopen and
                                                criteria as the securities underlying the                for the TBA Netting process and the                     the Clearing Member would be expected
                                                Specified Pool Trades. FICC would not                    Pool Netting process.
                                                novate the obligation to deliver the                                                                               47 Specified Pool Trades and Stipulated Trades
                                                                                                         5. Notification of Settlement Process
                                                securities for the particular specified                                                                          would not be eligible for the proposed DNA process
                                                pool.                                                       As described above, the Notification                 because such trades are not eligible for the Pool
                                                                                                                                                                 Netting process. MBSD Rule 8, supra note 4.
                                                   Additionally, FICC proposes to settle                 of Settlement process currently requires                  48 As noted above, the pool allocation process
                                                Specified Pool Trades directly with the                  Clearing Members to notify FICC of                      requires Clearing Members to allocate pools on 48-
                                                Clearing Member party thereto (rather                    obligations that have settled directly                  Hour Day through the EPN Service. Under the
                                                than require that counterparties to such                 between Clearing Members and their                      Proposed Rule Change, Clearing Members would
                                                                                                         applicable settlement counterparties.45                 not be required to allocate pools for obligations that
                                                trades settle directly with one another).                                                                        have been offset through the DNA process.
                                                No other changes are being proposed                      Once both parties to a transaction                        49 All times referenced herein are Eastern Time.
                                                with respect to the processing of                        submit a Notification of Settlement to                    50 The term ‘‘TBA Obligations’’ means SBO-

                                                Specified Pool Trades. Such trades                       MBSD through the RTTM system, the                       Destined obligations and, with respect to Trade-for-
                                                would continue to be ineligible for the                  obligations are no longer subject to                    Trade Transactions, settlement obligations
                                                                                                         MBSD’s margin calculation process.46                    generated by the Trade Comparison system. MBSD
                                                TBA Netting and Pool Netting systems.                                                                            Rule 1, supra note 4.
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                                                                                                         Because, under the Proposed Rule
                                                4. Stipulated Trades                                     Change, FICC would novate and directly
                                                                                                                                                                   51 The term ‘‘Par Amount’’ means for Trade-for-

                                                                                                                                                                 Trade and SBO Transactions, Option Contracts and
                                                   Currently, as described above, FICC                   settle all SBO-Destined Transactions,                   Pool Deliver and Pool Receive Obligations, the
                                                does not treat Stipulated Trades as a                    Trade-for-Trade Transactions, and                       current face value of a Security to be delivered on
                                                separate type of trading activity because                                                                        the Contractual Settlement Date. With respect to
                                                                                                         Specified Pool Trades, the Notification                 Specified Pool Trades, ‘‘Par Amount’’ shall mean
                                                Clearing Members submit Stipulated                                                                               the original face value of a Security to be delivered
                                                                                                              45 MBSD   Rule 10, supra note 4.                   on the Contractual Settlement Date. MBSD Rule 1,
                                                  44 MBSD   Rule 5, supra note 4.                             46 MBSD   Rule 4, supra note 4.                    supra note 4.



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                                                31382                           Federal Register / Vol. 82, No. 128 / Thursday, July 6, 2017 / Notices

                                                to notify MBSD through the EPN Service                   credits and debits, described more fully                 System Price.60 The proposed TBA
                                                of the pools that such Clearing Member                   below in Item 9.                                         Transaction Adjustment Payment would
                                                intends to allocate to the open                                                                                   be an amount equal to the difference
                                                                                                         8. Give-Up Process for Brokered
                                                obligations.52                                                                                                    between the SBO-Destined Trade’s
                                                   The proposed DNA process would                        Transactions
                                                                                                                                                                  Settlement Price and the System Price,
                                                generate Cash Settlement credits and                        Currently, as described above, FICC                   multiplied by the contractual quantity
                                                debits from the price differential of the                operates its brokered business on a                      of such trade, and then divided by 100.
                                                resulting offsetting obligations. The                    ‘‘give-up’’ basis, which means that                      To differentiate between the buyer and
                                                proposed Cash Settlement obligations                     MBSD discloses (i.e., ‘‘gives-up’’) the                  seller of the transaction, an indicator of
                                                are described more fully below in Item                   identity of each Dealer to a Brokered                    ¥1 for the buy trade and +1 for the sell
                                                9.                                                       Transaction after a period of time.55                    trade is multiplied by the contractual
                                                                                                         Under the Proposed Rule Change, FICC                     quantity of such trade.
                                                7. Expanded Pool Netting Process
                                                                                                         would eliminate the need to disclose                        • Expanded Pool Net Transaction
                                                   As described above, the Pool Netting                  Dealers’ identities because FICC would                   Adjustment Payment. Under the
                                                system reduces the number of pool                        novate all Brokered Transactions and                     Proposed Rule Change, FICC would add
                                                settlements by netting Pool Instructs                    treat itself as the settlement                           the Expanded Pool Net Transaction
                                                stemming from SBON Trades and                            counterparty upon trade comparison.                      Adjustment Payment to be applied
                                                Trade-for-Trade Transactions to arrive at                Thus, the report that FICC issues after                  when a Clearing Member misses the
                                                a single net position per counterparty in                trade comparison of a Brokered                           deadline established by FICC for the
                                                a particular pool number for next-day                    Transaction would refer to FICC as                       Pool Netting process. Unlike the daily
                                                delivery. Prior to the Pool Netting                      settlement counterparty.                                 Pool Netting process, the Expanded Pool
                                                process, Pool Sellers must notify their                                                                           Netting process would only run four
                                                Pool Buyers through MBSD’s EPN                           9. Cash Settlement Calculations                          times per month in accordance with the
                                                Service of the pools to be allocated in                     As described above, Cash Settlement                   SIFMA designated settlement dates. As
                                                satisfaction of a TBA Obligation. In                     is a daily process of generating a single                a result, an Expanded Pool Net
                                                accordance with the SIFMA                                net credit or debit cash amount at the                   Transaction Adjustment Payment would
                                                Guidelines,53 such notifications must                    Aggregated Account level and settling                    only occur four times per month. The
                                                occur before 3:00 p.m. on 48-Hour                        those cash amounts between Clearing                      Expanded Pool Net Transaction
                                                Day.54 Notifications that take place after               Members and MBSD.56 FICC’s proposal                      Adjustment Payment would reflect an
                                                this time are considered late, and the                   to become the settlement counterparty                    amount equal to the difference between
                                                delivery of such pools to the related                    upon trade comparison and the                            the System Price and the SBON Trade’s
                                                Pool Buyers will be delayed for one                      proposed DNA process would require                       Settlement Price or Trade-for-Trade
                                                additional business day.                                 several changes to the Cash Settlement                   Transaction’s Settlement Price, as
                                                   In order to capture notifications                     calculation described below.57                           applicable, multiplied by the total
                                                submitted after 3:00 p.m. on 48-Hour                        • SBO Market Differential. Under the                  current face value of the pools used to
                                                Day through 4:30 p.m. on 24-Hour Day,                    Proposed Rule Change, FICC would                         satisfy such obligation, and then
                                                FICC proposes to establish an additional                 eliminate the SBO Market Differential 58                 divided by 100. To differentiate between
                                                netting cycle, referred to as ‘‘Expanded                 because it reflects the price difference                 a buy and sell transaction, an indicator
                                                Pool Netting.’’ Similar to the initial Pool              for SBO positions settled among                          of +1 for a buy trade and ¥1 for a sell
                                                Netting process, Expanded Pool Netting                   Clearing Members. This amount would                      trade would be multiplied by the total
                                                would result in a reduction in the                       no longer be required because Clearing                   current face value of the pools used to
                                                number of Pool Delivery Obligations. As                  Members would settle all SBO-Destined                    satisfy the obligation.
                                                with the existing Pool Netting process,                  Trades directly with FICC.                                  • Do Not Allocate Transaction
                                                the proposed Expanded Pool Netting                          • TBA Transaction Adjustment                          Adjustment Payment. Under the
                                                process would (1) calculate Pool Net                     Payment. Under the Proposed Rule                         Proposed Rule Change, FICC would add
                                                Settlement Positions in a manner that is                 Change, FICC would add the TBA                           the Do Not Allocate Transaction
                                                consistent with Section 3 of MBSD Rule                   Transaction Adjustment Payment to                        Adjustment Payment to reflect the cash
                                                8, and (2) allocate Pool Deliver                         reflect the cash differential that would                 differential among TBA Obligations that
                                                Obligations and Pool Receive                             result when calculating the net proceeds                 have been offset through the DNA
                                                Obligations in a manner that is                          of the contractual quantity of an SBO-                   process. The proposed Do Not Allocate
                                                consistent with Section 4 of MBSD Rule                   Destined Trade when comparing such                       Transaction Adjustment Payment would
                                                8.                                                       trade’s Settlement Price 59 and the                      be an amount equal to the difference
                                                   The Expanded Pool Netting process                                                                              between the Settlement Price of the buy
                                                would occur four times per month in                           55 MBSD Rule 5 Section 7, supra note 4.             and sell TBA Obligation transactions
                                                accordance with the SIFMA designated                          56 MBSD Rule 11, supra note 4.                      multiplied by the contractual quantity.
                                                settlement dates. Pool Net Settlement                       57 Detailed examples of the proposed changes to
                                                                                                                                                                  To differentiate between a buy and sell
                                                Positions and the resultant Pool Deliver                 the Cash Settlement calculations are provided in
                                                                                                         the Notice. Notice, 82 FR at 23858–59.                   transaction, an indicator of ¥1 for a buy
                                                Obligations and Pool Receive                                58 The term ‘‘SBO Market Differential’’ means the
                                                Obligations would only be provided to                    amount computed pursuant to the MBSD Rules,              Pool Trade, or SBO-Destined Trade, the contractual
                                                Clearing Members during such times.                      reflecting the difference between Firm CUSIP             settlement price agreed to by the parties; (b) in the
                                                The proposed Expanded Pool Netting                       Average Prices (i.e., the average purchase or sale       case of an SBON Trade, the CUSIP Average Price;
                                                                                                         contract price of a Member’s SBO-Destined Trades         (c) in the case of an SBOO Trade, the Firm CUSIP
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                                                process would generate Cash Settlement                   with a particular Original Contra-Side Member in         Average Price; and (d) in the case of a Pool Deliver
                                                                                                         a particular CUSIP number) or between the CUSIP          or Pool Receive Obligation, the Pool Net Price.
                                                  52 A detailed example of the DNA process is
                                                                                                         Average Price (i.e., the average contract price of all   MBSD Rule 1, supra note 4.
                                                described in the Notice. Notice, 82 FR at 23857.         SBO-Destined Trades in the CUSIP number that                60 The term ‘‘System Price’’ means the price for
                                                  53 The term ‘‘SIFMA Guidelines’’ means the             have been netted) and the Firm CUSIP Average             any trade or any Pool Deliver Obligations or Pool
                                                guidelines for good delivery of Mortgage-Backed          Price, as the case may be. MBSD Rule 1, supra note       Receive Obligation not including accrued interest,
                                                Securities as promulgated from time to time by           4.                                                       established by FICC on each Business Day, based
                                                SIFMA. MBSD Rule 1, supra note 4.                           59 The term ‘‘Settlement Price’’ means: (a) In the    on current market information, for each security.
                                                  54 All times referenced herein are Eastern Time.       case of a Trade-for-Trade Transaction, Specified         MBSD Rule 1, supra note 4.



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                                                                                Federal Register / Vol. 82, No. 128 / Thursday, July 6, 2017 / Notices                                                    31383

                                                trade and +1 for a sell trade is                         information is released after the clearing              the Proposed Rule Change is consistent
                                                multiplied by the contractual quantity                   bank’s settlement of a pool. This update                with Section 17A(b)(3)(F) of the Act.66
                                                of such trade.                                           would create a cash differential that                      As discussed above, the Proposed
                                                   • TBA Reprice Transaction                             would require a debit to the seller and                 Rule Change would make a number of
                                                Adjustment Payment. Under the                            a credit to the buyer.                                  operational changes with respect to
                                                Proposed Rule Change, FICC would add                                                                             MBSD trade processing. Specifically,
                                                the TBA Reprice Transaction                              III. Discussion and Commission                          the Proposed Rule Change would
                                                Adjustment Payment to reflect the cash                   Findings                                                provide that (1) the submission of Pool
                                                differential between the price of a TBA                                                                          Instructs by Clearing Members would
                                                Obligation that was not allocated by a                      Section 19(b)(2)(C) of the Act 62                    become optional because FICC would be
                                                Clearing Member before the deadline                      directs the Commission to approve a                     permitted to submit on behalf Clearing
                                                established by FICC and the price of the                 proposed rule change of a self-                         Members; (2) Clearing Members would
                                                replacement TBA Obligation that was                      regulatory organization if it finds that                no longer to be required to fulfill
                                                calculated at the System Price. The TBA                  such proposed rule change is consistent                 Notification of Settlement obligations
                                                Reprice Transaction Adjustment                           with the requirements of the Act and                    because all of the above-referenced
                                                Payment would be an amount equal to                      rules and regulations thereunder                        transactions would settle with FICC; (3)
                                                the difference between the TBA                           applicable to such organization. After                  Clearing Members would have the
                                                Obligation’s Settlement Price and the                    carefully considering the Proposed Rule                 ability to exclude TBA Obligations from
                                                System Price, multiplied by the                          Change, the Commission finds that the                   the pool allocation process, netting, and
                                                unallocated contractual quantity, and                    Proposed Rule Change is consistent                      securities settlement through the DNA
                                                then divided by 100. To differentiate                    with the requirements of the Act and the                process; (4) Clearing Members would
                                                between a buy and sell transaction, an                   rules and regulations thereunder                        have the ability to net their pools via the
                                                indicator of ¥1 for a sell trade and +1                  applicable to FICC. In particular, the                  Expanded Pool Netting process in the
                                                for a buy trade is multiplied by the                     Commission finds that the Proposed                      event that such Clearing Members miss
                                                unallocated pool’s contractual quantity.                 Rule Change is consistent with Section                  the established deadline for the initial
                                                   • Variance Transaction Adjustment                     17A(b)(3)(F) of the Act 63 and Rule                     Pool Netting process; (5) Dealer Netting
                                                Payment. Under the Proposed Rule                         17Ad–22(e)(21) 64 under the Act.                        Members would remain anonymous
                                                Change, FICC would add the Variance                                                                              with the elimination of the ‘‘give-up’’
                                                                                                            Section 17A(b)(3)(F) of the Act
                                                Transaction Adjustment Payment to                                                                                process for Brokered Transactions; (6)
                                                                                                         requires, in part, that the rules of a
                                                capture the variance (i.e., difference) 61                                                                       Clearing Members would be allowed to
                                                                                                         clearing agency be designed to promote
                                                between a TBA Obligation and the                                                                                 submit SBO-Destined Trades in all trade
                                                                                                         the prompt and accurate clearance and
                                                current face value of the pools allocated                                                                        sizes; and (7) Clearing Members would
                                                                                                         settlement of securities transactions.65
                                                in satisfaction of such obligation.                                                                              be allowed to submit Stipulated Trades
                                                Specifically, this payment would reflect                 As discussed above, the Proposed Rule
                                                                                                                                                                 as a new trade type. These proposed
                                                the cash differential calculated between                 Change would result in FICC novating
                                                                                                                                                                 changes are designed to eliminate
                                                the SBON Trade’s Settlement Price or                     and treating itself as the settlement
                                                                                                                                                                 operational steps in the current trade
                                                the Trade-for-Trade Transaction’s                        counterparty from the time of trade                     processing cycle and enable Clearing
                                                Settlement Price, as applicable, and the                 comparison with respect to SBO-                         Members to take advantage of MBSD’s
                                                System Price using the variance of the                   Destined Trades, Trade-for-Trade                        trade processing efficiencies at an
                                                Pool Netting process or the Expanded                     Transactions, Specified Pool Trades,                    earlier point, which would help
                                                Pool Netting process, as applicable,                     and Stipulated Trades. By novating such                 promote the prompt and accurate
                                                based on the current face value of the                   trades to FICC and treating FICC as the                 clearance and settlement of these types
                                                pools used in satisfaction of the trade.                 settlement counterparty to such trades                  of securities transactions. Therefore,
                                                The Variance Transaction Adjustment                      the Proposed Rule Change would make                     Commission believes that the Proposed
                                                Payment would be an amount equal to                      FICC the only counterparty to whom the                  Rule Change is consistent with Section
                                                the difference between the SBON                          Clearing Members are obligated, as                      17A(b)(3)(F) of the Act.67
                                                Trade’s Settlement Price or the Trade-                   compared to the current process where                      Rule 17Ad–22(e)(21) under the Act
                                                for-Trade Transaction’s Settlement                       Clearing Members may have multiple                      requires, in part, that FICC establish,
                                                Price, as applicable, and the System                     counterparties with whom they need to                   implement, maintain, and enforce
                                                Price, multiplied by the difference                      settle multiple obligations outside of                  written policies and procedures
                                                between the TBA Obligation and the                       FICC. Additionally, the Proposed Rule                   reasonably designed to be efficient and
                                                allocated pools used in satisfaction of                  Change would also accelerate the point                  effective in meeting the requirements of
                                                such trade, and then divided by 100. To                  in time at which FICC becomes that                      its participants and the markets it
                                                differentiate between a buy and sell                     ultimate counterparty (i.e., at the time of             serves, and regularly review the
                                                transaction, an indicator of ¥1 for a buy                trade comparison), resulting in such                    efficiency and effectiveness of its (i)
                                                trade and +1 for a sell trade would be                   trades being governed by the MBSD                       clearing and settlement arrangements;
                                                multiplied by the total variance amount.                 Rules from that time. Collectively, the                 (ii) operating structure; and (iii) scope of
                                                   • Factor Update Adjustment                            proposed changes are designed to                        products cleared or settled.68 As
                                                Payment. Under the Proposed Rule                         simplify, streamline, and centralize                    discussed above, the Proposed Rule
                                                Change, FICC would add the Factor                        trade processing under the MBSD Rules,                  Change would enable FICC to novate
                                                Update Adjustment Payment, to be                         which would help promote the prompt                     MBS trades at an earlier point the trade
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                                                applied when updated pool factor                         and accurate clearance and settlement of                lifecycle (i.e., upon trade comparison).
                                                                                                         these types of securities transactions.                 Additionally, as described above, the
                                                   61 Pursuant to the SIFMA Guidelines, TBA trades       Therefore, the Commission believes that                 Proposed Rule Change would add
                                                are allowed to have a variance equal to plus or                                                                  Stipulated Trades as a new trade type
                                                minus 0.01 percent of the dollar amount of the                62 15
                                                transaction agreed to by the parties. As a result of                U.S.C. 78s(b)(2)(C).
                                                                                                              63 15 U.S.C. 78q–1(b)(3)(F).                         66 15    U.S.C. 78q–1(b)(3)(F).
                                                this guideline, FICC would capture the variance of
                                                                                                              64 17 CFR 240.17Ad–22(e)(21).                        67 Id.
                                                TBA Obligations and the current face value of the
                                                pools allocated in satisfaction of such obligations.          65 15 U.S.C. 78q–1(b)(3)(F).                         68 See    17 CFR 240.17Ad–22(e)(21).



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                                                31384                           Federal Register / Vol. 82, No. 128 / Thursday, July 6, 2017 / Notices

                                                that could be cleared and settled at                        For the Commission, by the Division of               II. Clearing Agency’s Statement of the
                                                MBSD, and it would remove the size                       Trading and Markets, pursuant to delegated              Purpose of, and Statutory Basis for, the
                                                restrictions with respect to SBO-                        authority.73                                            Proposed Rule Change
                                                Destined Trades.                                         Jill M. Peterson,                                          In its filing with the Commission, the
                                                   With these changes, which were                        Assistant Secretary.                                    clearing agency included statements
                                                developed in consideration of the                        [FR Doc. 2017–14142 Filed 7–5–17; 8:45 am]              concerning the purpose of and basis for
                                                feedback received from MBSD Clearing                     BILLING CODE 8011–01–P                                  the proposed rule change and discussed
                                                Members,69 FICC could provide a more                                                                             any comments it received on the
                                                efficient and effective operational                                                                              proposed rule change. The text of these
                                                processes in connection with the                         SECURITIES AND EXCHANGE                                 statements may be examined at the
                                                                                                         COMMISSION                                              places specified in Item IV below. The
                                                clearance and settlement of MBS trades,
                                                                                                                                                                 clearing agency has prepared
                                                expand the scope of products cleared
                                                                                                         [Release No. 34–81044; File No. SR–NSCC–                summaries, set forth in sections A, B,
                                                and settled by MBSD, and enable                                                                                  and C below, of the most significant
                                                Clearing Members to submit such trades                   2017–009]
                                                                                                                                                                 aspects of such statements.
                                                in any size. Therefore, the Commission
                                                                                                         Self-Regulatory Organizations;                          (A) Clearing Agency’s Statement of the
                                                believes that the Proposed Rule Change
                                                                                                         National Securities Clearing                            Purpose of, and Statutory Basis for, the
                                                is designed to help FICC be more
                                                                                                         Corporation; Notice of Filing and                       Proposed Rule Change
                                                efficient and effective in meeting the
                                                                                                         Immediate Effectiveness of a Proposed
                                                requirements of its participants and the                 Rule Change To Further Describe and                     1. Purpose
                                                markets it serves, and in providing                      Codify Existing Practices Relating to                   Proposal Overview
                                                clearing and settlement arrangements,                    the Bond Haircut
                                                operating structure, and scope of                                                                                  The proposed rule change would
                                                products cleared or settled, which is                    June 29, 2017.                                          provide additional transparency in the
                                                consistent with Rule 17Ad–22(e)(21).                                                                             Rules with respect to the calculation
                                                                                                            Pursuant toSection 19(b)(1) of the                   and the application of the Bond Haircut.
                                                V. Conclusion                                            Securities Exchange Act of 1934                         NSCC currently excludes Net Unsettled
                                                                                                         (‘‘Act’’) 1 and Rule 19b–4 thereunder,2                 Positions in corporate and municipal
                                                  On the basis of the foregoing, the                     notice is hereby given that on June 23,                 bonds from its parametric VaR
                                                Commission finds that the Proposed                       2017, National Securities Clearing                      calculation and instead charges a Bond
                                                Rule Change is consistent with the                       Corporation (‘‘NSCC’’) filed with the                   Haircut, which is calculated by
                                                requirements of the Act and in                           Securities and Exchange Commission                      multiplying the absolute value of the
                                                particular with the requirements of                      (‘‘Commission’’) the proposed rule                      Net Unsettled Positions in each security
                                                Section 17A of the Act 70 and the rules                  change as described in Items I, II and III              by a percentage that is no less than two
                                                and regulations promulgated                              below, which Items have been prepared                   percent.
                                                thereunder.                                              by the clearing agency. The Commission                    NSCC is proposing to enhance the
                                                                                                         is publishing this notice to solicit                    description of the Bond Haircut in
                                                  It is therefore ordered, pursuant to                   comments on the proposed rule change                    Procedure XV to provide more detail
                                                Section 19(b)(2) of the Act 71 that                      from interested persons.                                regarding the determination of the
                                                proposed rule change SR–FICC–2017–                                                                               applied percentage, and to codify
                                                012 be, and hereby is, approved.72                       I. Clearing Agency’s Statement of the
                                                                                                                                                                 NSCC’s existing practice of applying the
                                                                                                         Terms of Substance of the Proposed
                                                                                                                                                                 Bond Haircut to all corporate and
                                                                                                         Rule Change
                                                                                                                                                                 municipal bonds without discretion.
                                                   69 FICC describes in Item 7 of its Form 19b–4

                                                responses the extent to which the proposed changes          The proposed rule change consists of                 The Required Deposit and the Bond
                                                were informed by feedback from its Clearing              amendments to NSCC’s Rules &                            Haircut
                                                Members and various working groups over                  Procedures (‘‘Rules’’) 3 in order to (1)
                                                                                                                                                                    A primary objective of NSCC’s
                                                numerous years. Available at http://www.dtcc.com/        provide additional transparency in the
                                                legal/sec-rule-filings. Specifically, FICC states that                                                           Clearing Fund is to have on deposit
                                                                                                         Rules with respect to the existing
                                                in 2015, 92 Clearing Member representatives                                                                      from each applicable Member assets
                                                                                                         methodology for calculating margin on
                                                participated in forums held in June, and 157                                                                     sufficient to satisfy losses that may
                                                                                                         Members’ Net Unsettled Positions and
                                                representatives participated in forums in September                                                              otherwise be incurred by NSCC as the
                                                                                                         Net Balance Order Unsettled Positions
                                                and October. Id. FICC states that in 2016, 139                                                                   result of the default of the Member and
                                                representatives participated in forums held in           (for purposes of this filing, referred to
                                                                                                                                                                 the resultant close out of that Member’s
                                                March, 241 representatives participated in forums        collectively herein as ‘‘Net Unsettled
                                                                                                                                                                 unsettled positions under NSCC’s trade
                                                held in August, and 121 participated in forums held      Positions’’) in corporate and municipal
                                                                                                                                                                 guaranty. Each Member’s Clearing Fund
                                                in December. Id. Additionally, FICC states that it       bonds (‘‘Bond Haircut’’), which are
                                                held a number of conference calls with individual                                                                required deposit is calculated daily
                                                                                                         excluded from the parametric volatility
                                                Clearing Members to address questions and                                                                        pursuant to a formula set forth in
                                                                                                         component of the margin calculation
                                                concerns on the subject. Id. Moreover, FICC                                                                      Procedure XV of the Rules designed to
                                                                                                         (‘‘VaR Charge’’); and (2) codify NSCC’s
                                                explains that the Proposed Rule Change was even                                                                  provide sufficient funds to cover this
                                                the subject of a prior rule filing with the              existing practice of applying the Bond
                                                                                                                                                                 risk of loss. The Clearing Fund formula
                                                Commission to fund the proposed changes. Id. See         Haircut to all corporate and municipal
                                                                                                                                                                 accounts for a variety of risk factors
                                                also Exchange Act Release No. 74033 (January 12,         bonds without discretion, as described
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                                                                                                                                                                 through the application of a number of
                                                2015), 80 FR 2452 (January 16, 2015) (SR–FICC–           below.
                                                2014–12).                                                                                                        charges, each described in Procedure
                                                   70 15 U.S.C. 78q–1.
                                                                                                              73 17
                                                                                                                                                                 XV.
                                                                                                                 CFR 200.30–3(a)(12).                               The VaR Charge is a core component
                                                   71 15 U.S.C. 78s(b)(2).                                    1 15
                                                                                                                U.S.C. 78s(b)(1).
                                                   72 In approving the proposed rule change, the           2 17 CFR 240.19b–4.
                                                                                                                                                                 of this formula and is designed to
                                                Commission considered the proposals’ impact on             3 Terms not defined herein are defined in the         calculate the amount of money that may
                                                efficiency, competition, and capital formation. 15       Rules, available at www.dtcc.com/∼/media/Files/         be lost on a portfolio over a given period
                                                U.S.C. 78c(f).                                           Downloads/legal/rules/nscc_rules.pdf.                   of time assumed necessary to liquidate


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Document Created: 2017-07-06 01:05:03
Document Modified: 2017-07-06 01:05:03
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 Citation82 FR 31378 

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