82_FR_58025 82 FR 57791 - Self-Regulatory Organizations; National Securities Clearing Corporation; Notice of Filing of Proposed Rule Change To Enhance the Process for Submitting and Accepting ETF Creations and Redemptions

82 FR 57791 - Self-Regulatory Organizations; National Securities Clearing Corporation; Notice of Filing of Proposed Rule Change To Enhance the Process for Submitting and Accepting ETF Creations and Redemptions

SECURITIES AND EXCHANGE COMMISSION

Federal Register Volume 82, Issue 234 (December 7, 2017)

Page Range57791-57799
FR Document2017-26319

Federal Register, Volume 82 Issue 234 (Thursday, December 7, 2017)
[Federal Register Volume 82, Number 234 (Thursday, December 7, 2017)]
[Notices]
[Pages 57791-57799]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2017-26319]


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

SECURITIES AND EXCHANGE COMMISSION

[Release No. 34-82193; File No. SR-NSCC-2017-019]


Self-Regulatory Organizations; National Securities Clearing 
Corporation; Notice of Filing of Proposed Rule Change To Enhance the 
Process for Submitting and Accepting ETF Creations and Redemptions

December 1, 2017.
    Pursuant to Section 19(b)(1) of the Securities Exchange Act of 1934 
(``Act''),\1\ and Rule 19b-4 thereunder,\2\ notice is hereby given that 
on November 29, 2017, National Securities Clearing Corporation 
(``NSCC'') filed with the Securities and Exchange Commission 
(``Commission'') the proposed rule change as described in Items I, II 
and III below, which Items have been prepared by the clearing agency. 
The Commission is publishing this notice to solicit comments on the 
proposed rule change from interested persons.
---------------------------------------------------------------------------

    \1\ 15 U.S.C. 78s(b)(1).
    \2\ 17 CFR 240.19b-4.
---------------------------------------------------------------------------

I. Clearing Agency's Statement of the Terms of Substance of the 
Proposed Rule Change

    The proposed rule change consists of modifications to the Rules & 
Procedures (``Rules'') \3\ of NSCC to introduce two additional cycles 
(referred to herein as the ``intraday cycle'' and the ``supplemental 
cycle'') during which exchange-traded fund (``ETF'') agents \4\ could 
submit creation and redemption instructions, as described in greater 
detail below. The intraday cycle would span from 12:30 a.m. ET to 2:00 
p.m. ET. The supplemental cycle would span from 9:00 p.m. ET to 11:30 
p.m. ET. The introduction of the intraday cycle would enable NSCC to 
receive, on an intraday basis, creation and redemption instructions 
that are marked as-of a prior trade date. Furthermore, with the 
introduction of the intraday cycle, NSCC would be able to receive 
creation and redemption instructions for same-day settlement until the 
designated cut-off time of 11:30 a.m. ET. The introduction of the 
supplemental cycle would enable ETF agents to submit any creation and 
redemption instructions later than the current established cut-off time 
designated by NSCC of 8:00 p.m. ET. With the introduction of the 
additional cycles, NSCC would also revise the current input file and 
output files to include additional information, such as a reversal/
correction indicator and the time of the transaction, as further 
described below.
---------------------------------------------------------------------------

    \3\ Capitalized terms not defined herein are defined in the 
Rules, available at http://www.dtcc.com/~/media/Files/Downloads/
legal/rules/nscc_rules.pdf.
    \4\ ETF agents are referred to as ``Index Receipt Agents'' in 
the Rules. Section 4 of Rule 7 states that, for purposes of the 
Rules, an Index Receipt Agent shall be a Member which has entered 
into an Index Receipt Authorization Agreement as required by NSCC 
from time to time. See Rule 1 and Rule 7, Sec. 4, supra note 3.
---------------------------------------------------------------------------

    In addition, NSCC proposes to make a technical correction to 
clarify that next-day settling creation and redemption instructions are 
no longer processed differently than other instructions when they are 
submitted to NSCC, as further described below.
    NSCC also proposes to introduce an automated threshold value 
reasonability check that would pend submissions of creation and 
redemption instructions on clearing-eligible ETFs that exceed certain 
thresholds versus the most recent closing price, as further described 
below.

II. Clearing Agency's Statement of the Purpose of, and Statutory Basis 
for, the Proposed Rule Change

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

(A) Clearing Agency's Statement of the Purpose of, and Statutory Basis 
for, the Proposed Rule Change

1. Purpose
(i) Current Processes
    Outside of NSCC, ETF sponsors \5\ have processes and/or technology 
platforms that allow them to bilaterally agree to create or redeem ETF 
shares with ETF authorized participants \6\ intraday and these results 
are recorded by ETF agents on the ETF agents' technology platforms. 
These processes are not uniformly automated and may involve users 
manually entering data that is eventually submitted to NSCC within the 
standardized create-and-redeem input file. As is the case with any 
manually entered data, there is the risk

[[Page 57792]]

that incorrectly calculated figures may be entered into the transaction 
fields. Furthermore, errors made in certain ETF eligibility reference 
data (e.g., creation unit size) could also result in incorrectly valued 
contracts if the incorrect ETF eligibility reference data was used to 
calculate the creation or redemption orders. As such, if there are 
incorrect values in certain ETF eligibility reference data or if there 
are incorrect figures in the transaction fields, then NSCC members 
(``Members'') may be impacted as their Clearing Fund requirement is 
calculated using these mis-valued transactions.
---------------------------------------------------------------------------

    \5\ ETF sponsors are issuers of ETFs.
    \6\ ETF authorized participants are (1) broker/dealers that have 
authorized participant agreements with ETF sponsors and/or (2) 
broker/dealers that are full-service Members pursuant to Rule 2 with 
an established ETF trading relationship with an ETF agent that is 
representing the ETF. See Rule 2, supra note 3.
---------------------------------------------------------------------------

    Currently, there is one cycle during which ETF agents can submit 
the input file to NSCC. This cycle is known as the primary cycle and it 
spans from 2:00 p.m. ET until 8:00 p.m. ET. Errors that are made within 
an ETF sponsor's or ETF agent's processes and subsequently submitted to 
NSCC each business evening (by the cut-off time designated by NSCC of 
8:00 p.m. ET) may pass undetected by NSCC's ETF processes. As a result, 
the Universal Trade Capture system \7\ will record a contract value to 
settle versus the ETF shares that may be materially different than the 
value upon which the ETF sponsor and ETF authorized participant had 
intended to settle. Upon receipt of the order instruction to create and 
redeem shares each evening, NSCC risk management's systems will 
calculate a mark-to-market charge for both the ETF agent's and the ETF 
authorized participant's daily Clearing Fund requirement.\8\ All debit 
mark-to-market charges must be satisfied in accordance with the process 
outlined below.
---------------------------------------------------------------------------

    \7\ See Rule 7 (Comparison and Trade Recording Operation) and 
Procedure II (Trade Comparison and Recording Service), supra note 3.
    \8\ NSCC's Clearing Fund addresses potential Member exposure 
through a number of risk-based component charges (such as margin) 
calculated and assessed daily. Each of the component charges 
collectively constitute a Member's Required Deposit. The objective 
of the Required Deposit is to mitigate potential losses to NSCC 
associated with liquidation of the Member's portfolio in the event 
that NSCC ceases to act for a Member (hereinafter referred to as a 
``default''). The aggregate of all Members' Required Deposits 
constitutes the Clearing Fund, which NSCC would be able to access 
should a defaulting Member's own Required Deposit be insufficient to 
satisfy losses to NSCC caused by the liquidation of that Member's 
portfolio.
---------------------------------------------------------------------------

    Each morning (no later than 7:05 a.m. ET), the daily Clearing Fund 
requirement is calculated and distributed to Members. Members, 
including ETF agents and ETF authorized participants, must satisfy 
their daily Clearing Fund requirement deficits (if any) to NSCC by 
10:00 a.m. ET. As described above, if erroneous transactions were 
submitted to NSCC the previous day, then the daily Clearing Fund 
requirement deficit (which is due the next morning) may be impacted by 
these erroneous transactions. The daily Clearing Fund requirement 
deficit may be impacted because, today, ETF agents can only submit 
instructions, including any instructions that are intended to correct 
erroneous instructions, during the primary cycle. In other words, ETF 
agents currently do not have an opportunity to submit correcting orders 
to NSCC until the next primary cycle (from 2:00 p.m. ET until 8:00 p.m. 
ET), which is after the time at which Members must satisfy their daily 
Clearing Fund requirement deficits. As such, today, a Member that is 
impacted by a mis-valued creation or redemption order is required to 
post its Clearing Fund requirement (which would be based on the mis-
valued order) to NSCC prior to the point when ETF agents can submit an 
offsetting instruction to NSCC. This offsetting instruction would 
otherwise have relieved the Member of such requirement because it would 
have corrected the mis-valued order.
(ii) Overview of Proposal
    As described in more detail below, NSCC is proposing to enhance the 
process for submitting and accepting ETF creations and redemptions. 
NSCC is proposing to introduce two cycles (the intraday cycle and the 
supplemental cycle) during which ETF agents would be able to submit 
creations and redemptions, including as-of instructions, reversals, and 
corrections.\9\
---------------------------------------------------------------------------

    \9\ An as-of instruction is an instruction that is submitted 
with a trade date as of an earlier trade date. As-of reversal 
instructions and as-of corrections are types of as-of instructions. 
An as-of reversal instruction is an instruction that is submitted 
with a trade date as of an earlier trade date that reverses an 
instruction that has already been processed by NSCC. Reversals and 
corrections are submitted on the same business day as the incorrect 
instruction whereas as-of reversal instructions and as-of correction 
instructions are submitted on a business day after the date on which 
the incorrect instruction was submitted (but they would have the 
same trade date as the incorrect instruction).
---------------------------------------------------------------------------

    As described above, the intraday cycle would span from 12:30 a.m. 
ET to 2:00 p.m. ET. and the supplemental cycle would span from 9:00 
p.m. ET to 11:30 p.m. ET. NSCC would inform Members by Important Notice 
of any changes to the times of any cycle. The introduction of the 
intraday cycle would enable NSCC, on an intraday basis, to receive 
creation and redemption instructions that are marked as-of a prior 
trade date. Furthermore, with the introduction of the intraday cycle, 
NSCC would be able to receive creation and redemption instructions for 
same-day settlement until the designated cut-off time of 11:30 a.m. ET. 
The introduction of the supplemental cycle would enable ETF agents to 
submit any creation and redemption instructions later than the current 
established cut-off time designated by NSCC of 8:00 p.m. ET. With the 
introduction of the additional cycles, NSCC would include additional 
information, such as a reversal/correction indicator and the time of 
transaction, within its existing input file and output files (clearing 
records and reports) identifying submissions processed during the two 
new cycles. As further described below, the additional cycles proposed 
herein would provide ETF sponsors and ETF agents with an opportunity 
and the flexibility to address mis-valued creation and redemption 
orders prior to the time by which Members would be required to satisfy 
any daily Clearing Fund requirement deficits.
    In addition, NSCC proposes to make a technical correction to 
clarify that next-day settling instructions are no longer processed 
differently than other instructions when they are submitted to NSCC. 
The purpose of this technical correction is to remove repetitive 
language regarding next-day settling instructions. NSCC believes that 
simplifying this provision would help Members better understand the 
processing of next-day settling creates and redeems as well as enhance 
accuracy and clarity, as further described below.
    NSCC also proposes to introduce an automated threshold value 
reasonability check that would pend submissions of creation and 
redemption instructions on clearing-eligible ETFs that exceed certain 
thresholds versus the most recent closing price. NSCC believes it would 
be beneficial for ETF agents to have an opportunity to review and 
confirm certain potentially mis-valued transactions that have been 
submitted to NSCC before such transactions are processed by NSCC (i.e., 
before the potentially mis-valued transactions would be able to have an 
impact on Members' daily Clearing Fund requirements), as further 
described below.
    Details regarding the foregoing proposed rule changes are included 
in sections (iii) to (v) below.
(iii) Additional Cycles
    Currently, ETF agents are only able to submit ETF creation and 
redemption instructions in the standardized input file during one cycle 
(the primary cycle) each day. As described above, NSCC is proposing to 
add two cycles: (1) The

[[Page 57793]]

intraday cycle, which would span from 12:30 a.m. ET to 2:00 p.m. ET and 
(2) the supplemental cycle, which would span from 9:00 p.m. ET to 11:30 
p.m. ET. With the introduction of the additional cycles, NSCC would 
continue to maintain its current deadline of 8:00 p.m. ET for the 
submission of the input file during the primary cycle on trade date. 
NSCC believes that maintaining the same deadline that it does today 
would help ensure that the existing end of day reconciliation processes 
conducted by ETF agents and ETF authorized participants continue to be 
conducted in a timely manner and would also help prevent unnecessary 
delays to the end of day reconciliation processes. Any late 
instructions that are submitted to NSCC between 8:00 p.m. ET and 9:00 
p.m. ET would be held until 9:00 p.m. ET and then processed at 9:00 
p.m. ET (during the supplemental cycle). Therefore, upon 
implementation, NSCC's ETF primary market clearing process could 
receive any type of creation and redemption instructions (such as 
reversals, corrections, and as-of instructions) in the standardized 
input file from ETF agents from 12:30 a.m. ET to 11:30 p.m. ET each 
business day. Furthermore, Members would have the option, but would not 
be required, to submit creation and redemption instructions in the 
standardized input file during the two additional cycles.
    As described above, the introduction of the intraday cycle would 
enable NSCC to receive, on an intraday basis, creation and redemption 
instructions that are marked as-of a prior trade date. Furthermore, 
with the introduction of the intraday cycle, NSCC would be able to 
receive creation and redemption instructions for same-day settlement 
until the designated cut-off time of 11:30 a.m. ET. Today, if an ETF 
agent submits a creation and redemption instruction for same-day 
settlement during the existing primary cycle to NSCC, it would be 
rejected because NSCC is unable to process such instructions; there is 
no functionality today to support this. The cut-off time of 11:30 a.m. 
ET would align the deadline for same-day settling creation and 
redemption instructions with the 11:30 a.m. ET deadline for other same-
day settling non-ETF activity.\10\ NSCC believes aligning these 
deadlines would streamline the processing of same-day settling items 
for NSCC and its Members. ETF agents and ETF sponsors (and any third 
party service providers they use) may have to make coding changes in 
order for an ETF agent to submit a same-day settling instruction, and 
these potential coding changes would be different than the coding 
changes related to the enhanced input and output files described below. 
Under the proposal, NSCC would reject any creation and redemption 
instructions for same-day settlement that are not received by NSCC by 
the designated cut-off time instead of assigning them a new settlement 
date. This would preserve the option to settle such same-day settling 
creation and redemption instructions outside of NSCC, which is an 
option that ETF agents currently have.
---------------------------------------------------------------------------

    \10\ For example, same-day settling corporate bond trades and 
transactions in municipal securities are subject to the 11:30 a.m. 
ET deadline.
---------------------------------------------------------------------------

    In addition, as described above, the introduction of the 
supplemental cycle would allow late submissions (i.e., instructions 
received by NSCC after the designated deadline of 8:00 p.m. ET for the 
primary cycle) to be processed without delaying the existing ETF 
agents' and ETF authorized participants' end-of-day reconciliation 
processes. Furthermore, today, any extensions for the submission of 
late instructions are done manually. The introduction of the 
supplemental cycle would remove the need for manual extensions to the 
existing deadline of 8:00 p.m. ET for the primary cycle because 
instructions received by NSCC after such deadline of 8:00 p.m. ET would 
be held and processed during the proposed supplemental cycle, which 
would begin at 9:00 p.m. ET.
    NSCC believes the introduction of the intraday cycle and the 
supplemental cycle would provide ETF agents with the flexibility and 
opportunity to submit (i) creation and redemption instructions that 
would either reverse or correct erroneous creation and redemption 
instructions that have been previously processed by NSCC (i.e., 
reversals and corrections) or (ii) as-of instructions (e.g., as-of 
reversal instructions and as-of correction instructions) that would be 
intended to correct erroneous creation and redemption instructions that 
have been previously processed by NSCC, in both cases, earlier than 
they are able to today.\11\ Specifically, ETF agents would have an 
opportunity to submit these reversals, corrections, and as-of 
instructions prior to the time by which Members would be required to 
satisfy any Clearing Fund requirement deficits. This would help ensure 
that their Clearing Fund requirement has been calculated based on 
transactions that they intended to submit.
---------------------------------------------------------------------------

    \11\ Supra note 9.
---------------------------------------------------------------------------

    For example, assume an ETF agent submits a creation and redemption 
instruction today (on trade date (``T'')) with a settlement date in 2 
days (``T+2'') and this instruction has been accepted by NSCC. Assume 
that, on the next day (``T+1''), the ETF agent realizes the creation 
and redemption instruction that it submitted on T is incorrect. With 
this proposal, generally, the ETF agent would be able to submit an as-
of reversal instruction on T+1, during the intraday cycle, prior to the 
point when the Members would be required to post margin. As described 
above, Members must satisfy their daily Clearing Fund requirement 
deficits (if any) to NSCC by 10:00 a.m. ET. Because this as-of reversal 
instruction was received by NSCC during the intraday cycle on T+1 by 
the designated cut-off time in this scenario, it would offset the 
incorrect instruction submitted on T, and thus the incorrect 
instruction would no longer have an impact on Members' daily Clearing 
Fund requirement. Furthermore, this as-of reversal would have a trade 
date of T (not T+1). As such, Members would avoid posting margin that 
would have been inclusive of the erroneous transaction because they 
would now have an earlier opportunity to correct such erroneous 
transactions. The ETF agent could then also submit on T+1 an as-of 
correction instruction (which would also have a trade date as of T 
rather than T+1) in order for NSCC to receive the correct instruction 
that the ETF agent had intended to submit on T.
    NSCC believes that subdividing the day into multiple cycles (i.e., 
the intraday cycle, the primary cycle, and the supplemental cycle), as 
proposed, would prevent unnecessary coding changes to the existing 
standardized input file that ETF agents submit to NSCC and the output 
files distributed by NSCC to ETF agents and ETF authorized 
participants. ETF agents currently submit creation and redemption 
instructions to NSCC using a standardized electronic input file. As 
described above, NSCC would add additional information, such as the 
reversal/correction indicator and the time of transaction, to the input 
file. The format of the input file would be revised to accommodate the 
additional information. Because the format of the input file would be 
changed, ETF agents, ETF sponsors and any third party service providers 
they may use would be required to make coding changes to their systems 
to submit the standardized input file during any of the cycles. 
Although ETF agents would not be required to submit input files during 
all of the cycles, they would still be required to make coding changes 
to

[[Page 57794]]

their systems because one standardized input file would be submitted to 
NSCC.
    To avoid changing the format of the output files (and thereby 
minimizing the coding changes that ETF agents, ETF authorized 
participants and any third service providers that they use may have to 
make to their systems), the additional information that would be 
included in the output files, such as the reversal/correction indicator 
and the time of transaction, would either be appended to the output 
files or would appear in fields in the output files that are currently 
reserved and do not contain any information. NSCC expects that the 
coding changes (if any) would be minimal. ETF agents would be 
responsible for communicating these changes to their clients (ETF 
sponsors) or any third party service providers that they utilize. 
Furthermore, NSCC would continue to distribute all existing output 
files during the primary cycle and would also distribute output files 
during the additional cycles. NSCC believes this proposal would enhance 
efficiency because NSCC would be able to distribute the output files 
multiple times per day and Members would have the option to submit the 
input file multiple times per day.
    As described above, while these proposed changes to the input file 
would require that ETF agents and ETF sponsors (and any third party 
service providers that they utilize) make coding changes to their 
systems and the proposed changes to the output files may require ETF 
agents and ETF authorized participants (and any third party service 
providers that they utilize) to make some coding changes, NSCC believes 
that the changes to the input file and output files would be beneficial 
to ETF agents and ETF authorized participants. As described above, the 
current standardized input file does not contain a field that would 
indicate whether an instruction is a reversal or a correction. In 
addition, the output files that NSCC distributes to ETF agents and ETF 
authorized participants do not indicate whether an instruction is a 
reversal or a correction. ETF authorized participants are locked in to 
the creation or redemption order by the submitting ETF agent upon 
receipt and validation by NSCC. While the ETF authorized participant 
will have agreed to the creation or redemption on trade date, the 
submitting ETF agent may issue a reversal and/or correction 
automatically in certain circumstances, thereby locking the ETF 
authorized participant into the reversal and/or correction. ETF 
authorized participants have requested that they have the ability to 
differentiate new orders from reversals or corrections in the output 
files that they receive from NSCC. With this proposal, as described 
above, NSCC would provide the functionality to enable the submitting 
ETF agent to indicate whether an instruction is a reversal or 
correction as well as the time of the transaction in the input file and 
this additional information would appear in the output files 
distributed by NSCC. NSCC believes the additional information that 
would be provided in these files could help Members and any of their 
third party service providers with reconciliation of their transactions 
by enabling ETF agents and ETF authorized participants to easily 
understand if an instruction is a new instruction, a reversal or a 
correction.
    To implement the proposed changes described above, NSCC proposes to 
revise Section F.2 of Procedure II (Trade Comparison and Recording 
Service) of the Rules. Section F.2 of Procedure II (Trade Comparison 
and Recording Service) of the Rules currently provides that, on trade 
date, by such time as established by NSCC from time to time, an ETF 
agent may submit index creation and redemption instructions along with 
other specified information. To enhance clarity, NSCC would add 
``during the additional cycles'' to the provision stating that, on T, 
by such time as established by NSCC from time to time, an Index Receipt 
agent may submit to NSCC, index receipt creation and redemption 
instructions and their scheduled settlement date. Furthermore, NSCC 
would add that from time to time, NSCC will inform Members of the time 
period for each cycle (the intraday cycle, the primary cycle, and the 
supplemental cycle) applicable to creation/redemption input.
    NSCC would inform Members of the designated cut-off times by 
Important Notice. Under the proposed rule change, Section F.2 of 
Procedure II (Trade Comparison and Recording Service) of the Rules 
would be revised to state that an ETF agent may submit as-of index 
creation and redemption instructions, but only if such as-of data is 
received (instead of submitted) by the cut-off time designated by NSCC 
from time to time. As described above, the introduction of the intraday 
cycle would enable NSCC to receive, on an intraday basis, creation and 
redemption instructions that are marked as-of a prior trade date. 
Furthermore, Section F.2 of Procedure II (Trade Comparison and 
Recording Service) of the Rules would be revised to state that same-day 
settling creates and redeems are required to be received by such cut-
off time on Settlement Date. In addition, Section F.2 of Procedure II 
(Trade Comparison and Recording Service) of the Rules would be revised 
to specifically include that as-of index creation and redemption 
instructions for same-day settlement received by NSCC after the cut-off 
time, designated by NSCC from time to time, will be rejected. As 
described above, creation and redemption instructions for same-day 
settlement must be received by NSCC by the designated cut-off time of 
11:30 a.m. ET.
    In addition, NSCC is proposing to revise Section G of Procedure II 
(Trade Recording and Comparison Service) and Section B of Procedure VII 
(CNS Accounting Operation) of the Rules to expressly state that any 
Index Receipts for same-day settlement that are received by NSCC after 
the applicable cut-off time will not be assigned a new settlement date 
and will be rejected. Section G of Procedure II (Trade Recording and 
Comparison Service) and Section B of Procedure VII (CNS Accounting 
Operation) of the Rules currently provide that trades that are received 
after the established cut-off time will be assigned a new settlement 
date. As such, NSCC believes these proposed rule changes would clarify 
that, in the case of Index Receipts for same-day settlement, any 
creation and redemption instructions for same-day settlement that are 
received after the applicable cut-off time will not be assigned a new 
settlement date and will be rejected.
(iv) Technical Correction for ETF Next-Day Settling Create and Redeems
    NSCC is also proposing to make a technical correction to clarify 
that next-day settling instructions are no longer processed differently 
when they are submitted to NSCC, as further described below. The 
purpose of this technical correction is to remove repetitive language 
regarding next-day settling instructions. NSCC believes that 
simplifying this provision would help Members better understand the 
processing of next-day settling creates and redeems as well as enhance 
accuracy and clarity.
    Today, post-implementation of the accelerated trade guaranty,\12\ 
NSCC no longer processes next-day settling instructions differently 
than other instructions when they are submitted to NSCC.\13\ The 
accelerated trade guaranty rule filing, among other things, accelerated 
NSCC's trade guaranty from midnight of T+1 to the point of trade

[[Page 57795]]

comparison and validation for bilateral submissions or to the point of 
trade validation for locked-in submissions. In addition, it also 
removed language that permitted NSCC to delay processing and reporting 
of next day settling index receipts until the applicable margin on 
these transactions is paid. The risk associated with next-day settling 
index receipts (i.e., NSCC attaches a guaranty to them at the time of 
validation, prior to the collection of margin reflecting such trades), 
which was previously mitigated with the delay in processing, is now, 
with the approval of the accelerated trade guaranty rule filing, 
mitigated by the addition of certain components to NSCC's Clearing Fund 
formula (as described in greater detail in the accelerated trade 
guaranty rule filing).\14\ As such, with the implementation of the 
accelerated trade guaranty, next-day settling index receipts (with a 
Settlement Date of T+1) are no longer treated differently than regular-
way instructions (i.e., those with a Settlement Date of T+2), and 
therefore, NSCC believes the language stating ``next day settling 
creates and redeems required to be submitted by such cut-off time on 
T'' in Section F.2 of Procedure II of the Rules is repetitive and 
proposes to delete it. NSCC believes this proposed change to remove 
repetitive language regarding next-day settling creates and redeems 
would enhance clarity and accuracy as well as help Members better 
understand the processing of next-day settling creates and redeems.
---------------------------------------------------------------------------

    \12\ See Securities Exchange Act Release No. 79598 (December 19, 
2016), 81 FR 94462 (December 23, 2016) (SR-NSCC-2016-005).
    \13\ Id.
    \14\ Id.
---------------------------------------------------------------------------

(v) Automated Threshold Value Reasonability Check
    NSCC is proposing to introduce an automated threshold value 
reasonability check that would pend certain potentially mis-valued 
transactions (whether due to mistakes in manual entry or otherwise) 
that exceed thresholds established by NSCC. As described above, the 
additional cycles proposed herein would provide ETF sponsors and ETF 
agents with an opportunity and the flexibility to address mis-valued 
creation and redemption orders prior to the time by which Members would 
be required to satisfy any daily Clearing Fund requirement deficits. 
However, as further described below, NSCC believes it would also be 
beneficial for ETF agents to have an opportunity to review and confirm 
certain transactions that they have submitted to NSCC before such 
transactions are processed by NSCC (i.e., before they are processed and 
therefore before they would be able to have an impact on Members' daily 
Clearing Fund requirements).
    The proposal would introduce an automated threshold value 
reasonability check, which would enable NSCC to assign a status of 
pended to certain potentially mis-valued transactions while preserving 
them for reinstatement. If the automated threshold value reasonability 
check identifies an out-of-bound transaction (as described in detail 
below), it would assign the transaction a status of pended. NSCC would 
send notifications to the submitting ETF agent by email and through the 
output files on an automated basis. Internal NSCC operations would also 
be notified. If the submitting ETF agent would like the pended 
transaction to continue through NSCC processing, then the submitting 
ETF agent would be required to confirm that such transaction should be 
released. Such confirmation must be received by NSCC by a specified 
time (i.e., by the end of the supplemental cycle). If the submitting 
ETF agent does not respond by the specified time or responds that the 
transaction should be rejected, then NSCC would reject the transaction 
and it would not continue through to processing.
    This automated threshold value reasonability check would apply to 
all submissions of creation and redemption instructions on clearing-
eligible ETFs. Automated threshold value reasonability checks would be 
performed using the most recently available closing price from the 
primary listing marketplace as compared to the per-share value for 
every individual creation or redemption instruction that is submitted. 
Per-share values that exceed established thresholds as compared to the 
most recently available closing price would be marked as pended by NSCC 
and would be assigned a pended status while awaiting confirmation for 
reinstatement (or rejection) by the submitting ETF agent.
    NSCC believes this proposed enhancement to the ETF clearing process 
(in concert with existing controls \15\ and expanded processing with 
respect to as-of instructions (including as-of reversal instructions 
and as-of correction instructions), reversals, and corrections) would 
mitigate the risks associated with potentially mis-valued transactions 
described above. As an example, assume an in-kind ETF creation 
instruction \16\ is received by NSCC from an ETF agent versus a 
component-based basket at 8:00 p.m. on T. Currently, NSCC assigns 
contract values on the underlying components based on (1) the basket 
components previously provided on T-1 or intraday on T, (2) customized 
instructions received on the order instruction on T (if any), and (3) 
the closing market prices on the component securities. Then, NSCC takes 
the total settlement value of the underlying components and adds the 
cash component value specified on the order instruction (received on 
T). When added to the cash component, NSCC determines that the total 
settlement value of the ETF ``ABC'' equals $100,000,000 to settle 
versus 1,000,000 shares of ETF ticker ``ABC'' to be created. With this 
proposal, the automated threshold value reasonability check would 
determine that the derived price per share of this creation order on 
``ABC'' equals $100 ($100,000,000/1,000,000 = $100). The reasonability 
check would compare this derived ``contract price'' to the most 
recently available closing market price from the primary listing 
marketplace for ``ABC'' for the trade date specified on the 
instruction. It would determine that the last close for ``ABC'' was 
$48.50 per share.
---------------------------------------------------------------------------

    \15\ For example, one of the existing controls will reject an 
order if the total settlement value is negative.
    \16\ As used herein, in-kind creation or redemption instruction 
refers to an ETF create or redeem order that is placed versus a 
component-based basket rather than a cash-based basket. An 
instruction on a component-based basket results in contracts on the 
ETF as well as the underlying securities (the underlying components) 
that comprise the basket. An instruction on a cash-based basket 
results in a contract on the ETF versus a cash settlement; the cash 
settlement represents the value of the underlying securities, and 
contracts are not issued on the underlying components.
---------------------------------------------------------------------------

    The reasonability check would recognize that the creation order 
derived ``contract price'' represents a greater than 100% variance from 
the most recent market close. The reasonability check would flag the 
order instruction prior to any contracts being generated, segregating 
it from all of the other orders received by the submitting ETF agent. 
This order would be assigned a status of pended. The submitting ETF 
agent would be notified by NSCC of the pended status via email 
notification and outputs generated by the ETF process. The email 
notification would be sent to the designated contact(s) specified in 
the ETF application by the submitting ETF agent and would provide 
explicit instructions of what has occurred, what actions must be taken, 
and what would occur if no action is taken. NSCC anticipates that one 
of the following scenarios would then ensue: (1) The submitting ETF 
agent would do nothing and allow the instruction to be rejected

[[Page 57796]]

by the end of the supplemental cycle, (2) the submitting ETF agent 
would formally instruct NSCC via email to reinstate the pended order 
instruction and allow it to continue processing, or (3) the submitting 
ETF agent would provide NSCC with instructions to reject the pended 
order instruction. If NSCC does not receive instructions from the 
submitting ETF agent by the end of the supplemental cycle (11:30 p.m. 
ET), then NSCC would permanently assign the order instruction a status 
of rejected. In any case, the submitting ETF agent would receive 
confirmation, on the final supplemental cycle ETF clearing outputs, 
that the order instruction has either been marked as accepted or 
rejected.
    Regarding the automated threshold value reasonability check, NSCC 
proposes to establish the following threshold values initially:
     For ETFs with a Current Market Price equal to or greater 
than $3.00: ETF contract value/calculated effective price per share is 
greater than or equal to a 98% variance from the market closing price 
from the trade date provided on the order.
     For ETFs with a Current Market Price less than $3.00: ETF 
contract value/calculated effective price per share is greater than or 
equal to a 98% variance from the market closing price from the trade 
date provided on the order.
    Initially, NSCC would set the same price range for the threshold 
band of equal to or greater than $3.00 and the threshold band of less 
than $3.00. NSCC is proposing to establish these initial threshold 
values as shown above because NSCC believes these initial threshold 
values would only flag the most extreme value differences, whether 
overvalued or undervalued, and therefore, would likely avoid excessive 
manual trade reconciliation efforts by ETF agents. NSCC believes that 
setting the initial threshold value at 98% would capture overvalued and 
undervalued transactions while not being an excessively narrow control. 
Setting controls that are excessively narrow versus the closing market 
price on the trade date that is specified on the instruction would 
likely result in excessive manual trade reconciliation efforts. In 
other words, NSCC believes that this would result in a greater number 
of transactions that would be pended and therefore would need to be 
confirmed by ETF agents. NSCC believes excessive manual trade 
reconciliation efforts would be undesirable, especially if many 
transactions were pended in the evening on trade date after the ETF 
agent trading applications have closed for the day. NSCC believes that 
it is likely that some ETF agents would have to escalate internally to 
determine whether the flagged transactions should be accepted or 
rejected.
    NSCC would retain the flexibility and discretion to adjust the 
price range and the threshold values described above. NSCC may consider 
market conditions and feedback from Members and internal stakeholders 
when determining whether and what adjustments would be made. NSCC 
believes that adjustments to price ranges or threshold values may be 
needed in two cases: (1) If requested by Members and/or NSCC internal 
stakeholders and (2) in response to a future market event. In the first 
possible use case, NSCC may make such adjustments if Members and/or 
NSCC internal stakeholders request that the thresholds be re-
established so that they are closer to the ETF's closing market price 
than the initial setting. Adjusting the thresholds to make them 
narrower versus the ETF's closing market price (so that the threshold 
check would be triggered at smaller value differences) may prevent 
unnecessary reversals and margining on orders that contain errors. 
Internal NSCC stakeholders consisting of product management, risk 
management and operations management would collectively determine if an 
adjustment to price ranges or threshold values is needed. NSCC product 
management would make the final decision as to whether and what 
adjustment would be made. Operations would effectuate the actual 
adjustments because they would have the entitlements to do so. In the 
second possible use case, NSCC may make such adjustments in response to 
a future market event that results in a significant number of ETFs 
trading at market prices below the initial price range setting of 
$3.00. This could result in the need to update the threshold setting. 
NSCC would notify Members of any adjustment via Important Notice. NSCC 
expects that changes to either setting would be rare.
    NSCC proposes to revise Procedure II, Section F.2 of the Rules to 
reflect the introduction of this automated threshold value 
reasonability check. It would provide that NSCC would perform 
reasonability checks on creation and redemption transaction data 
submitted by ETF agents to NSCC on each business day and that any 
transaction data that exceeds thresholds established by NSCC would be 
pended. It would also provide that NSCC would notify ETF agents of any 
pended transactions. ETF agents would then be required to confirm if 
such pended transactions should be accepted and such confirmation must 
be provided in the form and within the timeframe required by NSCC. In 
addition, if ETF agents fail to provide such confirmation, the pended 
transaction data would be rejected. The proposed rule change would also 
provide that NSCC may, in its sole discretion, adjust the thresholds 
and that NSCC may consider feedback from Members and market conditions.
2. Statutory Basis
    NSCC believes that the proposed rule change is consistent with 
Section 17A(b)(3)(F) of the Act.\17\ Section 17A(b)(3)(F) of the Act 
requires, in part, that the Rules be designed to promote the prompt and 
accurate clearance and settlement of securities transactions.\18\ NSCC 
believes the proposed enhancements to the process for submitting and 
accepting ETF creation and redemption transactions (i.e., introduction 
of the additional cycles, enabling NSCC to receive same-day settling 
creation and redemption instructions until the applicable cut-off time, 
and introduction of the automated threshold value reasonability check) 
would promote the prompt and accurate clearance and settlement of 
securities transactions by providing ETF agents with an opportunity to 
address transactions with errors prior to the point at which they would 
be required to post their Clearing Fund requirement, as further 
described below. In addition, NSCC believes that removing the 
repetitive language regarding next-day settling creates and redeems in 
Procedure II, Section F.2 of the Rules would also promote the prompt 
and accurate clearance and settlement of securities transactions by 
clarifying the Rules, which NSCC believes would enable stakeholders to 
better understand their rights and obligations regarding next-day 
settling creates and redeems, as further described below.
---------------------------------------------------------------------------

    \17\ 15 U.S.C. 78q-1(b)(3)(F).
    \18\ Id.
---------------------------------------------------------------------------

    Specifically, with the introduction of the additional cycles, even 
in circumstances where an erroneous transaction proceeds through NSCC's 
processes, ETF agents would have an opportunity to address the 
erroneous transactions before Members would be required to satisfy any 
Clearing Fund requirement deficits that would be due to those erroneous 
transactions. Specifically, the introduction of the additional cycles 
would enable NSCC to receive offsetting corrections from ETF agents 
intraday that would relieve the Member of the related Clearing Fund 
requirement deficit, which is not

[[Page 57797]]

possible today. Today, there is only one cycle of submission of such 
activity (the primary cycle which runs from 2:00 p.m. ET until 8:00 
p.m. ET) and Members are required to satisfy their daily Clearing Fund 
requirement by the next morning (10:00 a.m. ET). The proposed 
enhancements described above would enable ETF agents to confirm whether 
or not potentially erroneous transactions should proceed through NSCC's 
processes and NSCC to receive offsetting corrections intraday in 
circumstances where erroneous transactions have been submitted, thereby 
minimizing the potential impact that such erroneous transactions may 
have to Members' daily Clearing Fund requirement deficit. Therefore, 
NSCC believes the introduction of the additional cycles would promote 
the prompt and accurate clearance and settlement of securities 
transactions, consistent with the requirements of Section 17A(b)(3)(F) 
of the Act.\19\
---------------------------------------------------------------------------

    \19\ Id.
---------------------------------------------------------------------------

    Furthermore, NSCC believes that the proposed change enabling NSCC 
to receive creation and redemption instructions for same-day settlement 
until the applicable cut-off time of 11:30 a.m. ET would promote the 
prompt and accurate clearance and settlement of securities 
transactions, consistent with the requirements of Section 17A(b)(3)(F) 
of the Act \20\ because it would allow transactions that cannot be 
processed by NSCC today to be processed. This proposed change would 
enable these same-day settling instructions to receive the benefits of 
NSCC processing. Specifically, NSCC would be able to receive same-day 
settling instructions by the designated cut-off time to correct an 
erroneous instruction that has already been processed. This would 
enable Members to receive the benefit of offsetting their erroneous 
transactions (which today, they would have to do outside of NSCC) and 
thereby address any potential impact to their Clearing Fund requirement 
prior to the time by which they would be required to satisfy any 
Clearing Fund requirement deficit. Furthermore, these same-day settling 
instructions, whether intended to be corrections or otherwise, would 
also receive the benefit of being guaranteed by NSCC. In addition, they 
would receive the benefit of netting reversals and corrections with 
other primary and secondary market activity. NSCC believes that by 
allowing the foregoing transactions that cannot be processed by NSCC 
today to be processed and thereby allowing Members to address erroneous 
transactions along with the other benefits of NSCC processing described 
above, the proposed change would promote the prompt and accurate 
clearance and settlement of securities transactions, consistent with 
the requirements of Section 17A(b)(3)(F) of the Act.\21\
---------------------------------------------------------------------------

    \20\ Id.
    \21\ Id.
---------------------------------------------------------------------------

    In addition, NSCC believes that by pending potentially erroneous 
transactions with the automated threshold value reasonability check 
before they would be allowed to proceed through NSCC's processes, the 
potential impact to Members' daily Clearing Fund requirement deficit 
would be minimized. It would also help to ensure that Members are 
subject to Clearing Fund requirements for intended activity and not 
erroneous activity because Members would be required to confirm that 
such activity should proceed through the NSCC's systems. Therefore, 
NSCC believes the introduction of the automated threshold value 
reasonability check would promote the prompt and accurate clearance and 
settlement of securities transactions, consistent with the requirements 
of Section 17A(b)(3)(F) of the Act.\22\
---------------------------------------------------------------------------

    \22\ Id.
---------------------------------------------------------------------------

    NSCC also believes the proposed change to remove the repetitive 
language regarding next-day settling creates and redeems in Procedure 
II, Section F.2 of the Rules would promote the prompt and accurate 
clearance and settlement of securities transactions, consistent with 
the requirements of Section 17A(b)(3)(F) of the Act \23\ because it 
would ensure that the Rules remain accurate and clear. NSCC believes 
that maintaining accurate and clear Rules would enable all stakeholders 
to continue to readily understand their respective rights and 
obligations regarding NSCC's clearance and settlement of securities 
transactions. When stakeholders better understand their rights and 
obligations regarding NSCC's clearance and settlement of securities 
transactions, then they can act in accordance with the Rules, which 
NSCC believes would promote the prompt and accurate clearance and 
settlement of securities transactions by NSCC. Post-implementation of 
the accelerated trade guaranty,\24\ NSCC no longer processes next-day 
settling instructions differently than other instructions when they are 
submitted to NSCC. As such, NSCC believes that simplifying Procedure 
II, Section F.2 of the Rules (by removing the repetitive language 
described above) would enable all stakeholders to better understand 
their respective rights and obligations regarding NSCC's clearance and 
settlement of securities transactions (specifically, of next-day 
settling creates and redeems) and thus would enable them to continue to 
act in accordance with the Rules. Therefore, NSCC believes this 
proposed rule change would promote the prompt and accurate clearance 
and settlement of securities transactions by NSCC, consistent with the 
requirements Section 17A(b)(3)(F) of the Act.\25\
---------------------------------------------------------------------------

    \23\ Id.
    \24\ Supra note 12.
    \25\ 15 U.S.C. 78q-1(b)(3)(F).
---------------------------------------------------------------------------

(B) Clearing Agency's Statement on Burden on Competition

    NSCC believes that the proposed changes to introduce additional 
cycles (i.e., the intraday cycle and the supplemental cycle) may impose 
a burden on competition by requiring ETF agents, ETF sponsors, and 
potentially, third party service providers utilized by ETF agents or 
ETF sponsors to make enhancements to their processes (e.g., coding 
changes) in order to send the enhanced input file to NSCC during any of 
the cycles, including the current primary cycle. The format of the 
input file would be revised to incorporate additional information, 
namely, a reversal/correction indicator and the time of the 
transaction. The format of the output files would not change, but the 
output files would be revised to reflect this additional information 
(which would either be appended or appear in current fields that do not 
contain any information). ETF agents, ETF sponsors and any third party 
service providers might need to make some enhancements (e.g., coding 
changes) to process the output files. However, NSCC believes that any 
burden on competition that may result from the proposed change to 
introduce additional cycles would not be significant and would be 
necessary and appropriate in furtherance of the purposes of the Act for 
the reasons described below.\26\
---------------------------------------------------------------------------

    \26\ 15 U.S.C. 78q-1(b)(3)(I).
---------------------------------------------------------------------------

    NSCC believes that any burden on competition that may result from 
the proposed change to introduce additional cycles is necessary in 
furtherance of the Act because it would enable Members to better manage 
mis-valued transactions due to operational errors and thereby minimize 
any potential impact to their daily Clearing Fund requirement. NSCC 
also believes that any related burden on competition would be necessary 
in furtherance of the Act because NSCC would be able to receive as-of 
instructions, reversals and corrections

[[Page 57798]]

during the additional cycles, thereby enabling ETF agents to address 
erroneous transactions prior to the point at which Members would be 
required to post their Clearing Fund requirement (which they are unable 
to do today). This would help ensure that Members would be subject to 
Clearing Fund requirements for intended activity and not erroneous 
activity. Furthermore, ETF agents would be able to provide additional 
information, such as whether a transaction is a reversal or a 
correction and the time of the transaction, in the enhanced input file. 
NSCC believes the enhancements to the input file are required because 
the format of the input file would be changed in order to incorporate 
additional information, such as the reversal/correction indicator. The 
enhanced output files would also contain this additional information. 
As such, NSCC believes that the enhanced input and output files would 
increase clarity and transparency and thus help with reconciliation of 
transactions because Members would have more details regarding their 
transactions.
    NSCC believes that any related burden on competition from the 
introduction of the additional cycles would be appropriate in 
furtherance of the Act because subdividing the day into multiple cycles 
would minimize the functional changes to the existing input and output 
files. NSCC would revise the input file and the output files in a 
manner that would minimize the potential enhancements (e.g., coding 
changes) that ETF agents, ETF authorized participants, ETF sponsors, 
and any third party service providers would be required to make. The 
additional information would be included in the output files--either by 
appending the information or having it appear in fields that are 
currently reserved and do not contain any information--which would 
prevent any unnecessary functional changes. NSCC believes the changes 
that would be made to the input file and output files described above 
would result in the least amount of coding changes or other 
enhancements that ETF agents, ETF authorized participants, ETF 
sponsors, and third service party providers would be required to make 
and therefore, any burden on competition from the introduction of the 
additional cycles would be appropriate in furtherance of the Act.
    NSCC also believes that any related burden on competition from the 
introduction of the additional cycles would not be significant because 
any enhancements that would be required to submit the input file and 
the enhancements that may be needed to process the output files would 
be minimal, as further described above. As such, NSCC believes that any 
burden on competition derived from these proposed change to introduce 
additional cycles would be necessary and appropriate, as permitted by 
Section 17A(b)(3)(I) of the Act for the reasons described above.\27\
---------------------------------------------------------------------------

    \27\ Id.
---------------------------------------------------------------------------

    Similarly, NSCC believes the proposed change to introduce the 
automated threshold value reasonability check may impose a burden on 
competition by potentially adding an additional step for the submitting 
ETF agents once a transaction is submitted to NSCC for processing. 
Specifically, NSCC would pend certain potentially mis-valued 
transactions and then submitting ETF agents would have to confirm 
whether or not the pended transaction should be processed by NSCC. NSCC 
believes that any burden on competition that may result from the 
proposed change to introduce an automated threshold value reasonability 
check would not be significant and would be necessary and appropriate 
in furtherance of the Act. NSCC believes that any related burden on 
competition from the introduction of the automated threshold value 
reasonability check would not be significant because NSCC believes the 
burden of reconciliation described above would be minimal. Furthermore, 
as described above, the initial values of the automated threshold value 
reasonability check would be set to only flag the most extreme value 
differences and therefore, avoid excessive manual reconciliation 
efforts. NSCC believes that any related burden on competition is 
necessary in furtherance of the Act because the automated threshold 
reasonability check would help ensure that Members are subject to 
Clearing Fund requirements for intended activity and not erroneous 
activity by enabling NSCC to pend certain potentially mis-valued 
transactions that could have an impact on a Member's Clearing Fund 
requirement. NSCC believes any related burden on competition is 
appropriate in furtherance of the Act because NSCC would establish the 
initial threshold values so that NSCC would only flag the most extreme 
value differences, thereby avoiding excessive manual trade 
reconciliation. Furthermore, submitting ETF agents would have an 
opportunity to confirm whether or not any pended transactions should 
proceed to processing, and if they do not respond by the established 
deadline, then the pended transactions would be rejected. As such, NSCC 
believes that any burden on competition derived from the proposed 
change to introduce an automated threshold value reasonability check 
would not be significant and would be necessary and appropriate, as 
permitted by Section 17A(b)(3)(I) of the Act for the reasons described 
above.\28\
---------------------------------------------------------------------------

    \28\ Id.
---------------------------------------------------------------------------

    At the same time, NSCC also believes that the proposed changes to 
introduce additional cycles and the automated threshold value 
reasonability check may relieve any burden on, or otherwise promote 
competition, by providing Members with a more efficient system for 
discovering and addressing potentially erroneous transactions before 
such transactions can impact Members' Clearing Fund requirement. By 
discovering and addressing potentially mis-valued transactions earlier, 
Members may be able to avoid posting additional Clearing Fund for 
unintended transactions. Furthermore, the introduction of the 
additional cycles means that Members would have more opportunities than 
during the current primary cycle (from 2:00 p.m. ET to 8:00 p.m. ET) to 
enter into and submit create and redeem instructions to NSCC as well as 
submit reversals or corrections. NSCC believes these improvements may 
encourage Members to submit more instructions to NSCC for processing or 
submit instructions that they would have otherwise settled outside of 
NSCC. Therefore, NSCC believes that the proposed changes to introduce 
additional cycles and the automated threshold reasonability check may 
also relieve any burden on, or otherwise promote competition.
    Similarly, NSCC believes that the proposed change to allow 
instructions for same-day settlement that are received by NSCC by the 
designated cut-off time may relieve any burden on, or otherwise promote 
competition by providing Members with a means to address erroneous 
transactions intraday, prior to the point where they would have to 
satisfy any Clearing Fund requirement deficits that may be due to such 
erroneous transactions. This proposed change would increase the 
efficiency of the systems for addressing erroneous transactions because 
it would allow NSCC to receive reversals or corrections earlier than 
NSCC is able to receive today. NSCC believes this improvement may also 
encourage Members to submit more instructions to NSCC for processing or 
submit instructions that they would have otherwise settled outside of 
NSCC. Furthermore, as described below, it would also allow NSCC to 
align the

[[Page 57799]]

deadline for same-day settling instructions with the deadline for other 
same-day settling non-ETF activity and streamline the processing of 
same-day settling items for NSCC and its Members.
    At the same time, NSCC believes that allowing instructions for 
same-day settlement that are received by NSCC by the designated cut-off 
time may impose a burden on competition because ETF agents and ETF 
sponsors (and third party service providers they use) may have to make 
coding changes; these potential coding changes would be different than 
the coding changes related to the enhanced input and output files 
described above. However, NSCC believes that any burden on competition 
that may result from this proposed change would be necessary and 
appropriate in furtherance of the Act.\29\ As described above, under 
the proposal, NSCC would be able to receive creation and redemption 
instructions for same-day settlement until the designated cut-off time 
of 11:30 a.m. ET. NSCC believes this proposed change would be necessary 
in furtherance of the Act because it would allow NSCC to align this 
deadline for same-day settling instructions with the deadline for other 
same-day settling non-ETF activity and would streamline the processing 
of same-day settling items for both NSCC and its Members.\30\ 
Furthermore, NSCC believes this proposed change would be appropriate in 
furtherance of the Act because any same-day settling instructions that 
are not received by the designated cut-off time could still be settled 
outside of NSCC (which is what happens today). Because same-day 
settling instructions that are received after the deadline would not be 
assigned a new settlement date under the proposal, Members would still 
be able to settle these same-day settling instructions that day, 
outside of NSCC. Therefore, NSCC believes that any burden on 
competition derived from the proposed change to allow instructions for 
same-day settlement that are received by NSCC by the designated cut-off 
time would be necessary and appropriate as permitted by Section 
17A(b)(3)(I) of the Act.\31\
---------------------------------------------------------------------------

    \29\ 15 U.S.C. 78q-1(b)(3)(I).
    \30\ Supra note 10.
    \31\ 15 U.S.C. 78q-1(b)(3)(I).
---------------------------------------------------------------------------

    In addition, regarding next-day settling creates and redeems, NSCC 
believes that the proposed technical correction to remove the language 
stating that next-day settling creates and redeems are required to be 
submitted by such cut-off time on T would not have any impact or impose 
any burden on competition. Post-implementation of the accelerated trade 
guaranty,\32\ NSCC no longer processes next-day settling instructions 
differently than other instructions when they are submitted to NSCC. As 
such, NSCC believes that deleting this repetitive language would 
promote clarity and accuracy and enable Members to readily understand 
how such instructions are processed when submitted to NSCC.
---------------------------------------------------------------------------

    \32\ Supra note 12.
---------------------------------------------------------------------------

(C) Clearing Agency's Statement on Comments on the Proposed Rule Change 
Received From Members, Participants, or Others

    NSCC has not received or solicited any written comments relating to 
this proposal. NSCC will notify the Commission of any written comments 
received by NSCC.

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

    Within 45 days of the date of publication of this notice in the 
Federal Register or within such longer period up to 90 days (i) as the 
Commission may designate if it finds such longer period to be 
appropriate and publishes its reasons for so finding or (ii) as to 
which the self-regulatory organization consents, the Commission will:
    (A) By order approve or disapprove such proposed rule change, or
    (B) institute proceedings to determine whether the proposed rule 
change should be disapproved.

IV. Solicitation of Comments

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

Electronic Comments

     Use the Commission's Internet comment form (http://www.sec.gov/rules/sro.shtml); or
     Send an email to [email protected]. Please include 
File Number SR-NSCC-2017-019 on the subject line.

Paper Comments

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

All submissions should refer to File Number SR-NSCC-2017-019. This file 
number should be included on the subject line if email is used. To help 
the Commission process and review your comments more efficiently, 
please use only one method. The Commission will post all comments on 
the Commission's Internet Web site (http://www.sec.gov/rules/sro.shtml). Copies of the submission, all subsequent amendments, all 
written statements with respect to the proposed rule change that are 
filed with the Commission, and all written communications relating to 
the proposed rule change between the Commission and any person, other 
than those that may be withheld from the public in accordance with the 
provisions of 5 U.S.C. 552, will be available for Web site viewing and 
printing in the Commission's Public Reference Room, 100 F Street NE., 
Washington, DC 20549 on official business days between the hours of 
10:00 a.m. and 3:00 p.m. Copies of the filing also will be available 
for inspection and copying at the principal office of NSCC and on 
DTCC's Web site (http://dtcc.com/legal/sec-rule-filings.aspx). All 
comments received will be posted without change. Persons submitting 
comments are cautioned that we do not redact or edit personal 
identifying information from comment submissions. You should submit 
only information that you wish to make available publicly. All 
submissions should refer to File Number SR-NSCC-2017-019 and should be 
submitted on or before December 28, 2017.

    For the Commission, by the Division of Trading and Markets, 
pursuant to delegated authority.\33\
---------------------------------------------------------------------------

    \33\ 17 CFR 200.30-3(a)(12).
---------------------------------------------------------------------------

Eduardo A. Aleman,
Assistant Secretary.
[FR Doc. 2017-26319 Filed 12-6-17; 8:45 am]
BILLING CODE 8011-01-P



                                                                           Federal Register / Vol. 82, No. 234 / Thursday, December 7, 2017 / Notices                                                       57791

                                                system, and, in general, to protect                     SECURITIES AND EXCHANGE                                   later than the current established cut-off
                                                investors and the public interest.                      COMMISSION                                                time designated by NSCC of 8:00 p.m.
                                                  The Commission believes that the                                                                                ET. With the introduction of the
                                                                                                        [Release No. 34–82193; File No. SR–NSCC–
                                                proposed rule change is designed to                     2017–019]
                                                                                                                                                                  additional cycles, NSCC would also
                                                remove impediments to and perfect the                                                                             revise the current input file and output
                                                                                                        Self-Regulatory Organizations;                            files to include additional information,
                                                mechanism of a free and open market
                                                                                                        National Securities Clearing                              such as a reversal/correction indicator
                                                and national market system by
                                                                                                        Corporation; Notice of Filing of                          and the time of the transaction, as
                                                providing TPHs with a more efficient                                                                              further described below.
                                                means to submit to the Exchange                         Proposed Rule Change To Enhance
                                                                                                        the Process for Submitting and                               In addition, NSCC proposes to make
                                                instructions to prevent an order from                                                                             a technical correction to clarify that
                                                                                                        Accepting ETF Creations and
                                                routing to a PAR or OMT on the floor                                                                              next-day settling creation and
                                                                                                        Redemptions
                                                of the Exchange. Currently, a TPH that                                                                            redemption instructions are no longer
                                                seeks to avoid manual handling of a                     December 1, 2017.                                         processed differently than other
                                                specific order and obtain a solely                         Pursuant to Section 19(b)(1) of the                    instructions when they are submitted to
                                                electronic execution must inform its                    Securities Exchange Act of 1934                           NSCC, as further described below.
                                                OMT operator or PAR broker of this                      (‘‘Act’’),1 and Rule 19b–4 thereunder,2                      NSCC also proposes to introduce an
                                                instruction. The Exchange’s new                         notice is hereby given that on November                   automated threshold value reasonability
                                                electronic-only order type will avoid the               29, 2017, National Securities Clearing                    check that would pend submissions of
                                                need for a TPH to take this additional                  Corporation (‘‘NSCC’’) filed with the                     creation and redemption instructions on
                                                step and will allow the TPH to submit                   Securities and Exchange Commission                        clearing-eligible ETFs that exceed
                                                such order instructions directly to the                 (‘‘Commission’’) the proposed rule                        certain thresholds versus the most
                                                                                                        change as described in Items I, II and III                recent closing price, as further described
                                                Exchange when it submits its order.10
                                                                                                        below, which Items have been prepared                     below.
                                                The Commission notes that Cboe
                                                                                                        by the clearing agency. The Commission
                                                Options represents that the new                         is publishing this notice to solicit                      II. Clearing Agency’s Statement of the
                                                electronic-only order type will not                     comments on the proposed rule change                      Purpose of, and Statutory Basis for, the
                                                materially change how orders are                        from interested persons.                                  Proposed Rule Change
                                                handled or processed on the Exchange,
                                                                                                        I. Clearing Agency’s Statement of the                       In its filing with the Commission, the
                                                but rather will streamline how TPHs can                                                                           clearing agency included statements
                                                indicate their instructions that a                      Terms of Substance of the Proposed
                                                                                                        Rule Change                                               concerning the purpose of and basis for
                                                particular order avoid manual handling                                                                            the proposed rule change and discussed
                                                on the Exchange’s floor.11 For the                         The proposed rule change consists of                   any comments it received on the
                                                reasons noted above, the Commission                     modifications to the Rules & Procedures                   proposed rule change. The text of these
                                                believes that the proposal to create an                 (‘‘Rules’’) 3 of NSCC to introduce two                    statements may be examined at the
                                                electronic-only order type is consistent                additional cycles (referred to herein as                  places specified in Item IV below. The
                                                with the Act.                                           the ‘‘intraday cycle’’ and the                            clearing agency has prepared
                                                                                                        ‘‘supplemental cycle’’) during which                      summaries, set forth in sections A, B,
                                                IV. Conclusion                                          exchange-traded fund (‘‘ETF’’) agents 4
                                                                                                                                                                  and C below, of the most significant
                                                                                                        could submit creation and redemption
                                                  It is therefore ordered, pursuant to                                                                            aspects of such statements.
                                                                                                        instructions, as described in greater
                                                Section 19(b)(2) of the Act,12 that the                 detail below. The intraday cycle would                    (A) Clearing Agency’s Statement of the
                                                proposed rule change (SR–CBOE–2017–                     span from 12:30 a.m. ET to 2:00 p.m.                      Purpose of, and Statutory Basis for, the
                                                064) be, and hereby is, approved.                       ET. The supplemental cycle would span                     Proposed Rule Change
                                                  For the Commission, by the Division of                from 9:00 p.m. ET to 11:30 p.m. ET. The
                                                                                                                                                                  1. Purpose
                                                Trading and Markets, pursuant to delegated              introduction of the intraday cycle would
                                                authority.13                                            enable NSCC to receive, on an intraday                    (i) Current Processes
                                                Eduardo A. Aleman,                                      basis, creation and redemption                              Outside of NSCC, ETF sponsors 5 have
                                                                                                        instructions that are marked as-of a                      processes and/or technology platforms
                                                Assistant Secretary.
                                                                                                        prior trade date. Furthermore, with the                   that allow them to bilaterally agree to
                                                [FR Doc. 2017–26317 Filed 12–6–17; 8:45 am]             introduction of the intraday cycle,                       create or redeem ETF shares with ETF
                                                BILLING CODE 8011–01–P                                  NSCC would be able to receive creation                    authorized participants 6 intraday and
                                                                                                        and redemption instructions for same-                     these results are recorded by ETF agents
                                                                                                        day settlement until the designated cut-                  on the ETF agents’ technology
                                                                                                        off time of 11:30 a.m. ET. The                            platforms. These processes are not
                                                                                                        introduction of the supplemental cycle                    uniformly automated and may involve
                                                                                                        would enable ETF agents to submit any                     users manually entering data that is
                                                                                                        creation and redemption instructions                      eventually submitted to NSCC within
                                                                                                          1 15
                                                                                                                                                                  the standardized create-and-redeem
                                                                                                               U.S.C. 78s(b)(1).
                                                                                                          2 17 CFR 240.19b–4.
                                                                                                                                                                  input file. As is the case with any
                                                                                                          3 Capitalized terms not defined herein are defined      manually entered data, there is the risk
sradovich on DSK3GMQ082PROD with NOTICES




                                                                                                        in the Rules, available at http://www.dtcc.com/∼/
                                                                                                        media/Files/Downloads/legal/rules/nscc_rules.pdf.           5 ETF  sponsors are issuers of ETFs.
                                                                                                          4 ETF agents are referred to as ‘‘Index Receipt           6 ETF  authorized participants are (1) broker/
                                                                                                        Agents’’ in the Rules. Section 4 of Rule 7 states that,   dealers that have authorized participant agreements
                                                  10 See Notice, supra note 3, at 48551.                for purposes of the Rules, an Index Receipt Agent         with ETF sponsors and/or (2) broker/dealers that
                                                  11 See
                                                                                                        shall be a Member which has entered into an Index         are full-service Members pursuant to Rule 2 with
                                                         id.
                                                                                                        Receipt Authorization Agreement as required by            an established ETF trading relationship with an
                                                  12 15 U.S.C. 78s(b)(2).
                                                                                                        NSCC from time to time. See Rule 1 and Rule 7,            ETF agent that is representing the ETF. See Rule 2,
                                                  13 17 CFR 200.30–3(a)(12).                            Sec. 4, supra note 3.                                     supra note 3.



                                           VerDate Sep<11>2014   18:50 Dec 06, 2017   Jkt 244001   PO 00000   Frm 00089   Fmt 4703   Sfmt 4703   E:\FR\FM\07DEN1.SGM        07DEN1


                                                57792                      Federal Register / Vol. 82, No. 234 / Thursday, December 7, 2017 / Notices

                                                that incorrectly calculated figures may                 transactions were submitted to NSCC                     instructions for same-day settlement
                                                be entered into the transaction fields.                 the previous day, then the daily                        until the designated cut-off time of
                                                Furthermore, errors made in certain ETF                 Clearing Fund requirement deficit                       11:30 a.m. ET. The introduction of the
                                                eligibility reference data (e.g., creation              (which is due the next morning) may be                  supplemental cycle would enable ETF
                                                unit size) could also result in incorrectly             impacted by these erroneous                             agents to submit any creation and
                                                valued contracts if the incorrect ETF                   transactions. The daily Clearing Fund                   redemption instructions later than the
                                                eligibility reference data was used to                  requirement deficit may be impacted                     current established cut-off time
                                                calculate the creation or redemption                    because, today, ETF agents can only                     designated by NSCC of 8:00 p.m. ET.
                                                orders. As such, if there are incorrect                 submit instructions, including any                      With the introduction of the additional
                                                values in certain ETF eligibility                       instructions that are intended to correct               cycles, NSCC would include additional
                                                reference data or if there are incorrect                erroneous instructions, during the                      information, such as a reversal/
                                                figures in the transaction fields, then                 primary cycle. In other words, ETF                      correction indicator and the time of
                                                NSCC members (‘‘Members’’) may be                       agents currently do not have an                         transaction, within its existing input file
                                                impacted as their Clearing Fund                         opportunity to submit correcting orders                 and output files (clearing records and
                                                requirement is calculated using these                   to NSCC until the next primary cycle                    reports) identifying submissions
                                                mis-valued transactions.                                (from 2:00 p.m. ET until 8:00 p.m. ET),                 processed during the two new cycles.
                                                   Currently, there is one cycle during                 which is after the time at which                        As further described below, the
                                                which ETF agents can submit the input                   Members must satisfy their daily                        additional cycles proposed herein
                                                file to NSCC. This cycle is known as the                Clearing Fund requirement deficits. As                  would provide ETF sponsors and ETF
                                                primary cycle and it spans from 2:00                    such, today, a Member that is impacted                  agents with an opportunity and the
                                                p.m. ET until 8:00 p.m. ET. Errors that                 by a mis-valued creation or redemption                  flexibility to address mis-valued
                                                are made within an ETF sponsor’s or                     order is required to post its Clearing                  creation and redemption orders prior to
                                                ETF agent’s processes and subsequently                  Fund requirement (which would be                        the time by which Members would be
                                                submitted to NSCC each business                         based on the mis-valued order) to NSCC                  required to satisfy any daily Clearing
                                                evening (by the cut-off time designated                 prior to the point when ETF agents can                  Fund requirement deficits.
                                                by NSCC of 8:00 p.m. ET) may pass                       submit an offsetting instruction to                        In addition, NSCC proposes to make
                                                undetected by NSCC’s ETF processes.                     NSCC. This offsetting instruction would                 a technical correction to clarify that
                                                As a result, the Universal Trade Capture                otherwise have relieved the Member of                   next-day settling instructions are no
                                                system 7 will record a contract value to                such requirement because it would have                  longer processed differently than other
                                                settle versus the ETF shares that may be                corrected the mis-valued order.                         instructions when they are submitted to
                                                materially different than the value upon                                                                        NSCC. The purpose of this technical
                                                                                                        (ii) Overview of Proposal                               correction is to remove repetitive
                                                which the ETF sponsor and ETF
                                                authorized participant had intended to                     As described in more detail below,                   language regarding next-day settling
                                                settle. Upon receipt of the order                       NSCC is proposing to enhance the                        instructions. NSCC believes that
                                                instruction to create and redeem shares                 process for submitting and accepting                    simplifying this provision would help
                                                each evening, NSCC risk management’s                    ETF creations and redemptions. NSCC                     Members better understand the
                                                systems will calculate a mark-to-market                 is proposing to introduce two cycles                    processing of next-day settling creates
                                                charge for both the ETF agent’s and the                 (the intraday cycle and the                             and redeems as well as enhance
                                                ETF authorized participant’s daily                      supplemental cycle) during which ETF                    accuracy and clarity, as further
                                                Clearing Fund requirement.8 All debit                   agents would be able to submit creations                described below.
                                                mark-to-market charges must be                          and redemptions, including as-of                           NSCC also proposes to introduce an
                                                satisfied in accordance with the process                instructions, reversals, and corrections.9              automated threshold value reasonability
                                                                                                           As described above, the intraday cycle               check that would pend submissions of
                                                outlined below.
                                                   Each morning (no later than 7:05 a.m.                would span from 12:30 a.m. ET to 2:00                   creation and redemption instructions on
                                                ET), the daily Clearing Fund                            p.m. ET. and the supplemental cycle                     clearing-eligible ETFs that exceed
                                                requirement is calculated and                           would span from 9:00 p.m. ET to 11:30                   certain thresholds versus the most
                                                distributed to Members. Members,                        p.m. ET. NSCC would inform Members                      recent closing price. NSCC believes it
                                                                                                        by Important Notice of any changes to                   would be beneficial for ETF agents to
                                                including ETF agents and ETF
                                                                                                        the times of any cycle. The introduction                have an opportunity to review and
                                                authorized participants, must satisfy
                                                                                                        of the intraday cycle would enable                      confirm certain potentially mis-valued
                                                their daily Clearing Fund requirement
                                                                                                        NSCC, on an intraday basis, to receive                  transactions that have been submitted to
                                                deficits (if any) to NSCC by 10:00 a.m.
                                                                                                        creation and redemption instructions                    NSCC before such transactions are
                                                ET. As described above, if erroneous
                                                                                                        that are marked as-of a prior trade date.               processed by NSCC (i.e., before the
                                                   7 See Rule 7 (Comparison and Trade Recording
                                                                                                        Furthermore, with the introduction of                   potentially mis-valued transactions
                                                Operation) and Procedure II (Trade Comparison and       the intraday cycle, NSCC would be able                  would be able to have an impact on
                                                Recording Service), supra note 3.                       to receive creation and redemption                      Members’ daily Clearing Fund
                                                   8 NSCC’s Clearing Fund addresses potential
                                                                                                                                                                requirements), as further described
                                                Member exposure through a number of risk-based            9 An as-of instruction is an instruction that is
                                                component charges (such as margin) calculated and                                                               below.
                                                                                                        submitted with a trade date as of an earlier trade
                                                assessed daily. Each of the component charges           date. As-of reversal instructions and as-of                Details regarding the foregoing
                                                collectively constitute a Member’s Required             corrections are types of as-of instructions. An as-of   proposed rule changes are included in
                                                Deposit. The objective of the Required Deposit is to    reversal instruction is an instruction that is          sections (iii) to (v) below.
                                                mitigate potential losses to NSCC associated with
sradovich on DSK3GMQ082PROD with NOTICES




                                                                                                        submitted with a trade date as of an earlier trade
                                                liquidation of the Member’s portfolio in the event      date that reverses an instruction that has already      (iii) Additional Cycles
                                                that NSCC ceases to act for a Member (hereinafter       been processed by NSCC. Reversals and corrections
                                                referred to as a ‘‘default’’). The aggregate of all     are submitted on the same business day as the              Currently, ETF agents are only able to
                                                Members’ Required Deposits constitutes the              incorrect instruction whereas as-of reversal            submit ETF creation and redemption
                                                Clearing Fund, which NSCC would be able to              instructions and as-of correction instructions are      instructions in the standardized input
                                                access should a defaulting Member’s own Required        submitted on a business day after the date on which
                                                Deposit be insufficient to satisfy losses to NSCC       the incorrect instruction was submitted (but they
                                                                                                                                                                file during one cycle (the primary cycle)
                                                caused by the liquidation of that Member’s              would have the same trade date as the incorrect         each day. As described above, NSCC is
                                                portfolio.                                              instruction).                                           proposing to add two cycles: (1) The


                                           VerDate Sep<11>2014   18:50 Dec 06, 2017   Jkt 244001   PO 00000   Frm 00090   Fmt 4703   Sfmt 4703   E:\FR\FM\07DEN1.SGM   07DEN1


                                                                           Federal Register / Vol. 82, No. 234 / Thursday, December 7, 2017 / Notices                                             57793

                                                intraday cycle, which would span from                   they use) may have to make coding                      instruction today (on trade date (‘‘T’’))
                                                12:30 a.m. ET to 2:00 p.m. ET and (2)                   changes in order for an ETF agent to                   with a settlement date in 2 days (‘‘T+2’’)
                                                the supplemental cycle, which would                     submit a same-day settling instruction,                and this instruction has been accepted
                                                span from 9:00 p.m. ET to 11:30 p.m.                    and these potential coding changes                     by NSCC. Assume that, on the next day
                                                ET. With the introduction of the                        would be different than the coding                     (‘‘T+1’’), the ETF agent realizes the
                                                additional cycles, NSCC would continue                  changes related to the enhanced input                  creation and redemption instruction
                                                to maintain its current deadline of 8:00                and output files described below. Under                that it submitted on T is incorrect. With
                                                p.m. ET for the submission of the input                 the proposal, NSCC would reject any                    this proposal, generally, the ETF agent
                                                file during the primary cycle on trade                  creation and redemption instructions for               would be able to submit an as-of
                                                date. NSCC believes that maintaining                    same-day settlement that are not                       reversal instruction on T+1, during the
                                                the same deadline that it does today                    received by NSCC by the designated cut-                intraday cycle, prior to the point when
                                                would help ensure that the existing end                 off time instead of assigning them a new               the Members would be required to post
                                                of day reconciliation processes                         settlement date. This would preserve                   margin. As described above, Members
                                                conducted by ETF agents and ETF                         the option to settle such same-day                     must satisfy their daily Clearing Fund
                                                authorized participants continue to be                  settling creation and redemption                       requirement deficits (if any) to NSCC by
                                                conducted in a timely manner and                        instructions outside of NSCC, which is                 10:00 a.m. ET. Because this as-of
                                                would also help prevent unnecessary                     an option that ETF agents currently                    reversal instruction was received by
                                                delays to the end of day reconciliation                 have.                                                  NSCC during the intraday cycle on T+1
                                                processes. Any late instructions that are                  In addition, as described above, the                by the designated cut-off time in this
                                                submitted to NSCC between 8:00 p.m.                     introduction of the supplemental cycle                 scenario, it would offset the incorrect
                                                ET and 9:00 p.m. ET would be held                       would allow late submissions (i.e.,                    instruction submitted on T, and thus the
                                                until 9:00 p.m. ET and then processed                   instructions received by NSCC after the                incorrect instruction would no longer
                                                at 9:00 p.m. ET (during the                             designated deadline of 8:00 p.m. ET for                have an impact on Members’ daily
                                                supplemental cycle). Therefore, upon                    the primary cycle) to be processed                     Clearing Fund requirement.
                                                implementation, NSCC’s ETF primary                      without delaying the existing ETF                      Furthermore, this as-of reversal would
                                                market clearing process could receive                   agents’ and ETF authorized participants’               have a trade date of T (not T+1). As
                                                any type of creation and redemption                     end-of-day reconciliation processes.                   such, Members would avoid posting
                                                instructions (such as reversals,                        Furthermore, today, any extensions for                 margin that would have been inclusive
                                                corrections, and as-of instructions) in                 the submission of late instructions are                of the erroneous transaction because
                                                the standardized input file from ETF                    done manually. The introduction of the                 they would now have an earlier
                                                agents from 12:30 a.m. ET to 11:30 p.m.                 supplemental cycle would remove the                    opportunity to correct such erroneous
                                                ET each business day. Furthermore,                      need for manual extensions to the                      transactions. The ETF agent could then
                                                Members would have the option, but                      existing deadline of 8:00 p.m. ET for the              also submit on T+1 an as-of correction
                                                would not be required, to submit                        primary cycle because instructions                     instruction (which would also have a
                                                creation and redemption instructions in                 received by NSCC after such deadline of                trade date as of T rather than T+1) in
                                                the standardized input file during the                  8:00 p.m. ET would be held and                         order for NSCC to receive the correct
                                                two additional cycles.                                  processed during the proposed                          instruction that the ETF agent had
                                                   As described above, the introduction                 supplemental cycle, which would begin                  intended to submit on T.
                                                of the intraday cycle would enable                      at 9:00 p.m. ET.
                                                                                                           NSCC believes the introduction of the                  NSCC believes that subdividing the
                                                NSCC to receive, on an intraday basis,
                                                                                                        intraday cycle and the supplemental                    day into multiple cycles (i.e., the
                                                creation and redemption instructions
                                                                                                        cycle would provide ETF agents with                    intraday cycle, the primary cycle, and
                                                that are marked as-of a prior trade date.
                                                                                                        the flexibility and opportunity to submit              the supplemental cycle), as proposed,
                                                Furthermore, with the introduction of
                                                                                                        (i) creation and redemption instructions               would prevent unnecessary coding
                                                the intraday cycle, NSCC would be able
                                                                                                        that would either reverse or correct                   changes to the existing standardized
                                                to receive creation and redemption
                                                                                                        erroneous creation and redemption                      input file that ETF agents submit to
                                                instructions for same-day settlement
                                                                                                        instructions that have been previously                 NSCC and the output files distributed
                                                until the designated cut-off time of
                                                                                                        processed by NSCC (i.e., reversals and                 by NSCC to ETF agents and ETF
                                                11:30 a.m. ET. Today, if an ETF agent
                                                                                                        corrections) or (ii) as-of instructions                authorized participants. ETF agents
                                                submits a creation and redemption
                                                                                                        (e.g., as-of reversal instructions and as-             currently submit creation and
                                                instruction for same-day settlement
                                                                                                        of correction instructions) that would be              redemption instructions to NSCC using
                                                during the existing primary cycle to
                                                                                                        intended to correct erroneous creation                 a standardized electronic input file. As
                                                NSCC, it would be rejected because
                                                                                                        and redemption instructions that have                  described above, NSCC would add
                                                NSCC is unable to process such
                                                                                                        been previously processed by NSCC, in                  additional information, such as the
                                                instructions; there is no functionality
                                                                                                        both cases, earlier than they are able to              reversal/correction indicator and the
                                                today to support this. The cut-off time
                                                                                                        today.11 Specifically, ETF agents would                time of transaction, to the input file. The
                                                of 11:30 a.m. ET would align the
                                                                                                        have an opportunity to submit these                    format of the input file would be revised
                                                deadline for same-day settling creation
                                                                                                        reversals, corrections, and as-of                      to accommodate the additional
                                                and redemption instructions with the
                                                                                                        instructions prior to the time by which                information. Because the format of the
                                                11:30 a.m. ET deadline for other same-
                                                                                                        Members would be required to satisfy                   input file would be changed, ETF
                                                day settling non-ETF activity.10 NSCC
                                                                                                        any Clearing Fund requirement deficits.                agents, ETF sponsors and any third
                                                believes aligning these deadlines would
                                                                                                                                                               party service providers they may use
sradovich on DSK3GMQ082PROD with NOTICES




                                                streamline the processing of same-day                   This would help ensure that their
                                                                                                        Clearing Fund requirement has been                     would be required to make coding
                                                settling items for NSCC and its
                                                                                                        calculated based on transactions that                  changes to their systems to submit the
                                                Members. ETF agents and ETF sponsors
                                                                                                        they intended to submit.                               standardized input file during any of the
                                                (and any third party service providers
                                                                                                           For example, assume an ETF agent                    cycles. Although ETF agents would not
                                                   10 For example, same-day settling corporate bond     submits a creation and redemption                      be required to submit input files during
                                                trades and transactions in municipal securities are                                                            all of the cycles, they would still be
                                                subject to the 11:30 a.m. ET deadline.                    11 Supra   note 9.                                   required to make coding changes to


                                           VerDate Sep<11>2014   18:50 Dec 06, 2017   Jkt 244001   PO 00000   Frm 00091    Fmt 4703   Sfmt 4703   E:\FR\FM\07DEN1.SGM   07DEN1


                                                57794                      Federal Register / Vol. 82, No. 234 / Thursday, December 7, 2017 / Notices

                                                their systems because one standardized                  in the output files that they receive from            Comparison and Recording Service) of
                                                input file would be submitted to NSCC.                  NSCC. With this proposal, as described                the Rules would be revised to
                                                   To avoid changing the format of the                  above, NSCC would provide the                         specifically include that as-of index
                                                output files (and thereby minimizing the                functionality to enable the submitting                creation and redemption instructions for
                                                coding changes that ETF agents, ETF                     ETF agent to indicate whether an                      same-day settlement received by NSCC
                                                authorized participants and any third                   instruction is a reversal or correction as            after the cut-off time, designated by
                                                service providers that they use may                     well as the time of the transaction in the            NSCC from time to time, will be
                                                have to make to their systems), the                     input file and this additional                        rejected. As described above, creation
                                                additional information that would be                    information would appear in the output                and redemption instructions for same-
                                                included in the output files, such as the               files distributed by NSCC. NSCC                       day settlement must be received by
                                                reversal/correction indicator and the                   believes the additional information that              NSCC by the designated cut-off time of
                                                time of transaction, would either be                    would be provided in these files could                11:30 a.m. ET.
                                                appended to the output files or would                   help Members and any of their third                      In addition, NSCC is proposing to
                                                appear in fields in the output files that               party service providers with                          revise Section G of Procedure II (Trade
                                                are currently reserved and do not                       reconciliation of their transactions by               Recording and Comparison Service) and
                                                contain any information. NSCC expects                   enabling ETF agents and ETF authorized                Section B of Procedure VII (CNS
                                                that the coding changes (if any) would                  participants to easily understand if an               Accounting Operation) of the Rules to
                                                be minimal. ETF agents would be                         instruction is a new instruction, a                   expressly state that any Index Receipts
                                                responsible for communicating these                     reversal or a correction.                             for same-day settlement that are
                                                changes to their clients (ETF sponsors)                    To implement the proposed changes                  received by NSCC after the applicable
                                                or any third party service providers that               described above, NSCC proposes to                     cut-off time will not be assigned a new
                                                they utilize. Furthermore, NSCC would                   revise Section F.2 of Procedure II (Trade             settlement date and will be rejected.
                                                continue to distribute all existing output              Comparison and Recording Service) of                  Section G of Procedure II (Trade
                                                files during the primary cycle and                      the Rules. Section F.2 of Procedure II                Recording and Comparison Service) and
                                                would also distribute output files during               (Trade Comparison and Recording                       Section B of Procedure VII (CNS
                                                the additional cycles. NSCC believes                    Service) of the Rules currently provides              Accounting Operation) of the Rules
                                                this proposal would enhance efficiency                  that, on trade date, by such time as                  currently provide that trades that are
                                                because NSCC would be able to                           established by NSCC from time to time,                received after the established cut-off
                                                distribute the output files multiple                    an ETF agent may submit index creation                time will be assigned a new settlement
                                                times per day and Members would have                    and redemption instructions along with                date. As such, NSCC believes these
                                                the option to submit the input file                     other specified information. To enhance               proposed rule changes would clarify
                                                multiple times per day.                                 clarity, NSCC would add ‘‘during the                  that, in the case of Index Receipts for
                                                   As described above, while these                      additional cycles’’ to the provision                  same-day settlement, any creation and
                                                proposed changes to the input file                      stating that, on T, by such time as                   redemption instructions for same-day
                                                would require that ETF agents and ETF                   established by NSCC from time to time,                settlement that are received after the
                                                sponsors (and any third party service                   an Index Receipt agent may submit to                  applicable cut-off time will not be
                                                providers that they utilize) make coding                NSCC, index receipt creation and                      assigned a new settlement date and will
                                                changes to their systems and the                        redemption instructions and their                     be rejected.
                                                proposed changes to the output files                    scheduled settlement date. Furthermore,
                                                may require ETF agents and ETF                          NSCC would add that from time to time,                (iv) Technical Correction for ETF Next-
                                                authorized participants (and any third                  NSCC will inform Members of the time                  Day Settling Create and Redeems
                                                party service providers that they utilize)              period for each cycle (the intraday                      NSCC is also proposing to make a
                                                to make some coding changes, NSCC                       cycle, the primary cycle, and the                     technical correction to clarify that next-
                                                believes that the changes to the input                  supplemental cycle) applicable to                     day settling instructions are no longer
                                                file and output files would be beneficial               creation/redemption input.                            processed differently when they are
                                                to ETF agents and ETF authorized                           NSCC would inform Members of the                   submitted to NSCC, as further described
                                                participants. As described above, the                   designated cut-off times by Important                 below. The purpose of this technical
                                                current standardized input file does not                Notice. Under the proposed rule change,               correction is to remove repetitive
                                                contain a field that would indicate                     Section F.2 of Procedure II (Trade                    language regarding next-day settling
                                                whether an instruction is a reversal or                 Comparison and Recording Service) of                  instructions. NSCC believes that
                                                a correction. In addition, the output files             the Rules would be revised to state that              simplifying this provision would help
                                                that NSCC distributes to ETF agents and                 an ETF agent may submit as-of index                   Members better understand the
                                                ETF authorized participants do not                      creation and redemption instructions,
                                                                                                                                                              processing of next-day settling creates
                                                indicate whether an instruction is a                    but only if such as-of data is received
                                                                                                                                                              and redeems as well as enhance
                                                reversal or a correction. ETF authorized                (instead of submitted) by the cut-off
                                                                                                                                                              accuracy and clarity.
                                                participants are locked in to the creation              time designated by NSCC from time to                     Today, post-implementation of the
                                                or redemption order by the submitting                   time. As described above, the                         accelerated trade guaranty,12 NSCC no
                                                ETF agent upon receipt and validation                   introduction of the intraday cycle would
                                                                                                                                                              longer processes next-day settling
                                                by NSCC. While the ETF authorized                       enable NSCC to receive, on an intraday
                                                                                                                                                              instructions differently than other
                                                participant will have agreed to the                     basis, creation and redemption
                                                                                                                                                              instructions when they are submitted to
                                                creation or redemption on trade date,                   instructions that are marked as-of a
                                                                                                                                                              NSCC.13 The accelerated trade guaranty
sradovich on DSK3GMQ082PROD with NOTICES




                                                the submitting ETF agent may issue a                    prior trade date. Furthermore, Section
                                                                                                                                                              rule filing, among other things,
                                                reversal and/or correction automatically                F.2 of Procedure II (Trade Comparison
                                                                                                                                                              accelerated NSCC’s trade guaranty from
                                                in certain circumstances, thereby                       and Recording Service) of the Rules
                                                                                                                                                              midnight of T+1 to the point of trade
                                                locking the ETF authorized participant                  would be revised to state that same-day
                                                into the reversal and/or correction. ETF                settling creates and redeems are                        12 See Securities Exchange Act Release No. 79598
                                                authorized participants have requested                  required to be received by such cut-off               (December 19, 2016), 81 FR 94462 (December 23,
                                                that they have the ability to differentiate             time on Settlement Date. In addition,                 2016) (SR–NSCC–2016–005).
                                                new orders from reversals or corrections                Section F.2 of Procedure II (Trade                      13 Id.




                                           VerDate Sep<11>2014   18:50 Dec 06, 2017   Jkt 244001   PO 00000   Frm 00092   Fmt 4703   Sfmt 4703   E:\FR\FM\07DEN1.SGM   07DEN1


                                                                           Federal Register / Vol. 82, No. 234 / Thursday, December 7, 2017 / Notices                                                    57795

                                                comparison and validation for bilateral                 to have an impact on Members’ daily                   received by NSCC from an ETF agent
                                                submissions or to the point of trade                    Clearing Fund requirements).                          versus a component-based basket at 8:00
                                                validation for locked-in submissions. In                   The proposal would introduce an                    p.m. on T. Currently, NSCC assigns
                                                addition, it also removed language that                 automated threshold value reasonability               contract values on the underlying
                                                permitted NSCC to delay processing and                  check, which would enable NSCC to                     components based on (1) the basket
                                                reporting of next day settling index                    assign a status of pended to certain                  components previously provided on T–
                                                receipts until the applicable margin on                 potentially mis-valued transactions                   1 or intraday on T, (2) customized
                                                these transactions is paid. The risk                    while preserving them for                             instructions received on the order
                                                associated with next-day settling index                 reinstatement. If the automated                       instruction on T (if any), and (3) the
                                                receipts (i.e., NSCC attaches a guaranty                threshold value reasonability check                   closing market prices on the component
                                                to them at the time of validation, prior                identifies an out-of-bound transaction                securities. Then, NSCC takes the total
                                                to the collection of margin reflecting                  (as described in detail below), it would              settlement value of the underlying
                                                such trades), which was previously                      assign the transaction a status of                    components and adds the cash
                                                mitigated with the delay in processing,                 pended. NSCC would send notifications                 component value specified on the order
                                                is now, with the approval of the                        to the submitting ETF agent by email                  instruction (received on T). When added
                                                accelerated trade guaranty rule filing,                 and through the output files on an                    to the cash component, NSCC
                                                mitigated by the addition of certain                    automated basis. Internal NSCC                        determines that the total settlement
                                                components to NSCC’s Clearing Fund                      operations would also be notified. If the             value of the ETF ‘‘ABC’’ equals
                                                formula (as described in greater detail in              submitting ETF agent would like the                   $100,000,000 to settle versus 1,000,000
                                                the accelerated trade guaranty rule                     pended transaction to continue through                shares of ETF ticker ‘‘ABC’’ to be
                                                filing).14 As such, with the                            NSCC processing, then the submitting                  created. With this proposal, the
                                                implementation of the accelerated trade                 ETF agent would be required to confirm                automated threshold value reasonability
                                                guaranty, next-day settling index                       that such transaction should be                       check would determine that the derived
                                                receipts (with a Settlement Date of T+1)                released. Such confirmation must be                   price per share of this creation order on
                                                are no longer treated differently than                  received by NSCC by a specified time                  ‘‘ABC’’ equals $100 ($100,000,000/
                                                regular-way instructions (i.e., those with              (i.e., by the end of the supplemental                 1,000,000 = $100). The reasonability
                                                a Settlement Date of T+2), and therefore,               cycle). If the submitting ETF agent does              check would compare this derived
                                                NSCC believes the language stating                      not respond by the specified time or                  ‘‘contract price’’ to the most recently
                                                ‘‘next day settling creates and redeems                 responds that the transaction should be               available closing market price from the
                                                required to be submitted by such cut-off                rejected, then NSCC would reject the                  primary listing marketplace for ‘‘ABC’’
                                                time on T’’ in Section F.2 of Procedure                 transaction and it would not continue                 for the trade date specified on the
                                                II of the Rules is repetitive and proposes              through to processing.                                instruction. It would determine that the
                                                to delete it. NSCC believes this                           This automated threshold value                     last close for ‘‘ABC’’ was $48.50 per
                                                proposed change to remove repetitive                    reasonability check would apply to all                share.
                                                language regarding next-day settling                    submissions of creation and redemption                   The reasonability check would
                                                creates and redeems would enhance                       instructions on clearing-eligible ETFs.               recognize that the creation order derived
                                                clarity and accuracy as well as help                    Automated threshold value                             ‘‘contract price’’ represents a greater
                                                Members better understand the                           reasonability checks would be                         than 100% variance from the most
                                                processing of next-day settling creates                 performed using the most recently                     recent market close. The reasonability
                                                and redeems.                                            available closing price from the primary              check would flag the order instruction
                                                (v) Automated Threshold Value                           listing marketplace as compared to the                prior to any contracts being generated,
                                                Reasonability Check                                     per-share value for every individual                  segregating it from all of the other orders
                                                   NSCC is proposing to introduce an                    creation or redemption instruction that               received by the submitting ETF agent.
                                                automated threshold value reasonability                 is submitted. Per-share values that                   This order would be assigned a status of
                                                check that would pend certain                           exceed established thresholds as                      pended. The submitting ETF agent
                                                potentially mis-valued transactions                     compared to the most recently available               would be notified by NSCC of the
                                                (whether due to mistakes in manual                      closing price would be marked as                      pended status via email notification and
                                                entry or otherwise) that exceed                         pended by NSCC and would be assigned                  outputs generated by the ETF process.
                                                thresholds established by NSCC. As                      a pended status while awaiting                        The email notification would be sent to
                                                described above, the additional cycles                  confirmation for reinstatement (or                    the designated contact(s) specified in
                                                proposed herein would provide ETF                       rejection) by the submitting ETF agent.               the ETF application by the submitting
                                                sponsors and ETF agents with an                            NSCC believes this proposed                        ETF agent and would provide explicit
                                                opportunity and the flexibility to                      enhancement to the ETF clearing                       instructions of what has occurred, what
                                                address mis-valued creation and                         process (in concert with existing                     actions must be taken, and what would
                                                redemption orders prior to the time by                  controls 15 and expanded processing                   occur if no action is taken. NSCC
                                                which Members would be required to                      with respect to as-of instructions                    anticipates that one of the following
                                                satisfy any daily Clearing Fund                         (including as-of reversal instructions                scenarios would then ensue: (1) The
                                                requirement deficits. However, as                       and as-of correction instructions),                   submitting ETF agent would do nothing
                                                further described below, NSCC believes                  reversals, and corrections) would                     and allow the instruction to be rejected
                                                it would also be beneficial for ETF                     mitigate the risks associated with
                                                                                                        potentially mis-valued transactions                   that is placed versus a component-based basket
sradovich on DSK3GMQ082PROD with NOTICES




                                                agents to have an opportunity to review
                                                                                                        described above. As an example, assume                rather than a cash-based basket. An instruction on
                                                and confirm certain transactions that                                                                         a component-based basket results in contracts on
                                                they have submitted to NSCC before                      an in-kind ETF creation instruction 16 is             the ETF as well as the underlying securities (the
                                                such transactions are processed by                                                                            underlying components) that comprise the basket.
                                                                                                          15 For example, one of the existing controls will
                                                NSCC (i.e., before they are processed                                                                         An instruction on a cash-based basket results in a
                                                                                                        reject an order if the total settlement value is      contract on the ETF versus a cash settlement; the
                                                and therefore before they would be able                 negative.                                             cash settlement represents the value of the
                                                                                                          16 As used herein, in-kind creation or redemption   underlying securities, and contracts are not issued
                                                  14 Id.                                                instruction refers to an ETF create or redeem order   on the underlying components.



                                           VerDate Sep<11>2014   18:50 Dec 06, 2017   Jkt 244001   PO 00000   Frm 00093   Fmt 4703   Sfmt 4703   E:\FR\FM\07DEN1.SGM   07DEN1


                                                57796                      Federal Register / Vol. 82, No. 234 / Thursday, December 7, 2017 / Notices

                                                by the end of the supplemental cycle,                   applications have closed for the day.                 transactions should be accepted and
                                                (2) the submitting ETF agent would                      NSCC believes that it is likely that some             such confirmation must be provided in
                                                formally instruct NSCC via email to                     ETF agents would have to escalate                     the form and within the timeframe
                                                reinstate the pended order instruction                  internally to determine whether the                   required by NSCC. In addition, if ETF
                                                and allow it to continue processing, or                 flagged transactions should be accepted               agents fail to provide such confirmation,
                                                (3) the submitting ETF agent would                      or rejected.                                          the pended transaction data would be
                                                provide NSCC with instructions to reject                   NSCC would retain the flexibility and              rejected. The proposed rule change
                                                the pended order instruction. If NSCC                   discretion to adjust the price range and              would also provide that NSCC may, in
                                                does not receive instructions from the                  the threshold values described above.                 its sole discretion, adjust the thresholds
                                                submitting ETF agent by the end of the                  NSCC may consider market conditions                   and that NSCC may consider feedback
                                                supplemental cycle (11:30 p.m. ET),                     and feedback from Members and                         from Members and market conditions.
                                                then NSCC would permanently assign                      internal stakeholders when determining
                                                                                                        whether and what adjustments would                    2. Statutory Basis
                                                the order instruction a status of rejected.
                                                In any case, the submitting ETF agent                   be made. NSCC believes that                              NSCC believes that the proposed rule
                                                would receive confirmation, on the final                adjustments to price ranges or threshold              change is consistent with Section
                                                supplemental cycle ETF clearing                         values may be needed in two cases: (1)                17A(b)(3)(F) of the Act.17 Section
                                                outputs, that the order instruction has                 If requested by Members and/or NSCC                   17A(b)(3)(F) of the Act requires, in part,
                                                either been marked as accepted or                       internal stakeholders and (2) in                      that the Rules be designed to promote
                                                rejected.                                               response to a future market event. In the             the prompt and accurate clearance and
                                                   Regarding the automated threshold                    first possible use case, NSCC may make                settlement of securities transactions.18
                                                value reasonability check, NSCC                         such adjustments if Members and/or                    NSCC believes the proposed
                                                proposes to establish the following                     NSCC internal stakeholders request that               enhancements to the process for
                                                threshold values initially:                             the thresholds be re-established so that              submitting and accepting ETF creation
                                                   • For ETFs with a Current Market                     they are closer to the ETF’s closing                  and redemption transactions (i.e.,
                                                Price equal to or greater than $3.00: ETF               market price than the initial setting.                introduction of the additional cycles,
                                                contract value/calculated effective price               Adjusting the thresholds to make them                 enabling NSCC to receive same-day
                                                per share is greater than or equal to a                 narrower versus the ETF’s closing                     settling creation and redemption
                                                98% variance from the market closing                    market price (so that the threshold                   instructions until the applicable cut-off
                                                price from the trade date provided on                   check would be triggered at smaller                   time, and introduction of the automated
                                                the order.                                              value differences) may prevent                        threshold value reasonability check)
                                                   • For ETFs with a Current Market                     unnecessary reversals and margining on                would promote the prompt and accurate
                                                Price less than $3.00: ETF contract                     orders that contain errors. Internal                  clearance and settlement of securities
                                                value/calculated effective price per                    NSCC stakeholders consisting of                       transactions by providing ETF agents
                                                share is greater than or equal to a 98%                 product management, risk management                   with an opportunity to address
                                                variance from the market closing price                  and operations management would                       transactions with errors prior to the
                                                from the trade date provided on the                     collectively determine if an adjustment               point at which they would be required
                                                order.                                                  to price ranges or threshold values is                to post their Clearing Fund requirement,
                                                   Initially, NSCC would set the same                   needed. NSCC product management                       as further described below. In addition,
                                                price range for the threshold band of                   would make the final decision as to                   NSCC believes that removing the
                                                equal to or greater than $3.00 and the                  whether and what adjustment would be                  repetitive language regarding next-day
                                                threshold band of less than $3.00. NSCC                 made. Operations would effectuate the                 settling creates and redeems in
                                                is proposing to establish these initial                 actual adjustments because they would                 Procedure II, Section F.2 of the Rules
                                                threshold values as shown above                         have the entitlements to do so. In the                would also promote the prompt and
                                                because NSCC believes these initial                     second possible use case, NSCC may                    accurate clearance and settlement of
                                                threshold values would only flag the                    make such adjustments in response to a                securities transactions by clarifying the
                                                most extreme value differences, whether                 future market event that results in a                 Rules, which NSCC believes would
                                                overvalued or undervalued, and                          significant number of ETFs trading at                 enable stakeholders to better understand
                                                therefore, would likely avoid excessive                 market prices below the initial price                 their rights and obligations regarding
                                                manual trade reconciliation efforts by                  range setting of $3.00. This could result             next-day settling creates and redeems,
                                                ETF agents. NSCC believes that setting                  in the need to update the threshold                   as further described below.
                                                the initial threshold value at 98% would                setting. NSCC would notify Members of                    Specifically, with the introduction of
                                                capture overvalued and undervalued                      any adjustment via Important Notice.                  the additional cycles, even in
                                                transactions while not being an                         NSCC expects that changes to either                   circumstances where an erroneous
                                                excessively narrow control. Setting                     setting would be rare.                                transaction proceeds through NSCC’s
                                                controls that are excessively narrow                       NSCC proposes to revise Procedure II,              processes, ETF agents would have an
                                                versus the closing market price on the                  Section F.2 of the Rules to reflect the               opportunity to address the erroneous
                                                trade date that is specified on the                     introduction of this automated                        transactions before Members would be
                                                instruction would likely result in                      threshold value reasonability check. It               required to satisfy any Clearing Fund
                                                excessive manual trade reconciliation                   would provide that NSCC would                         requirement deficits that would be due
                                                efforts. In other words, NSCC believes                  perform reasonability checks on                       to those erroneous transactions.
                                                that this would result in a greater                     creation and redemption transaction                   Specifically, the introduction of the
                                                number of transactions that would be
sradovich on DSK3GMQ082PROD with NOTICES




                                                                                                        data submitted by ETF agents to NSCC                  additional cycles would enable NSCC to
                                                pended and therefore would need to be                   on each business day and that any                     receive offsetting corrections from ETF
                                                confirmed by ETF agents. NSCC                           transaction data that exceeds thresholds              agents intraday that would relieve the
                                                believes excessive manual trade                         established by NSCC would be pended.                  Member of the related Clearing Fund
                                                reconciliation efforts would be                         It would also provide that NSCC would                 requirement deficit, which is not
                                                undesirable, especially if many                         notify ETF agents of any pended
                                                transactions were pended in the evening                 transactions. ETF agents would then be                  17 15    U.S.C. 78q–1(b)(3)(F).
                                                on trade date after the ETF agent trading               required to confirm if such pended                      18 Id.




                                           VerDate Sep<11>2014   18:50 Dec 06, 2017   Jkt 244001   PO 00000   Frm 00094   Fmt 4703   Sfmt 4703   E:\FR\FM\07DEN1.SGM      07DEN1


                                                                           Federal Register / Vol. 82, No. 234 / Thursday, December 7, 2017 / Notices                                             57797

                                                possible today. Today, there is only one                benefits of NSCC processing described                  would enable all stakeholders to better
                                                cycle of submission of such activity (the               above, the proposed change would                       understand their respective rights and
                                                primary cycle which runs from 2:00                      promote the prompt and accurate                        obligations regarding NSCC’s clearance
                                                p.m. ET until 8:00 p.m. ET) and                         clearance and settlement of securities                 and settlement of securities transactions
                                                Members are required to satisfy their                   transactions, consistent with the                      (specifically, of next-day settling creates
                                                daily Clearing Fund requirement by the                  requirements of Section 17A(b)(3)(F) of                and redeems) and thus would enable
                                                next morning (10:00 a.m. ET). The                       the Act.21                                             them to continue to act in accordance
                                                proposed enhancements described                            In addition, NSCC believes that by                  with the Rules. Therefore, NSCC
                                                above would enable ETF agents to                        pending potentially erroneous                          believes this proposed rule change
                                                confirm whether or not potentially                      transactions with the automated                        would promote the prompt and accurate
                                                erroneous transactions should proceed                   threshold value reasonability check                    clearance and settlement of securities
                                                through NSCC’s processes and NSCC to                    before they would be allowed to                        transactions by NSCC, consistent with
                                                receive offsetting corrections intraday in              proceed through NSCC’s processes, the                  the requirements Section 17A(b)(3)(F) of
                                                circumstances where erroneous                           potential impact to Members’ daily                     the Act.25
                                                transactions have been submitted,                       Clearing Fund requirement deficit
                                                                                                        would be minimized. It would also help                 (B) Clearing Agency’s Statement on
                                                thereby minimizing the potential impact
                                                                                                        to ensure that Members are subject to                  Burden on Competition
                                                that such erroneous transactions may
                                                have to Members’ daily Clearing Fund                    Clearing Fund requirements for                            NSCC believes that the proposed
                                                requirement deficit. Therefore, NSCC                    intended activity and not erroneous                    changes to introduce additional cycles
                                                believes the introduction of the                        activity because Members would be                      (i.e., the intraday cycle and the
                                                additional cycles would promote the                     required to confirm that such activity                 supplemental cycle) may impose a
                                                prompt and accurate clearance and                       should proceed through the NSCC’s                      burden on competition by requiring ETF
                                                settlement of securities transactions,                  systems. Therefore, NSCC believes the                  agents, ETF sponsors, and potentially,
                                                consistent with the requirements of                     introduction of the automated threshold                third party service providers utilized by
                                                Section 17A(b)(3)(F) of the Act.19                      value reasonability check would                        ETF agents or ETF sponsors to make
                                                   Furthermore, NSCC believes that the                  promote the prompt and accurate                        enhancements to their processes (e.g.,
                                                proposed change enabling NSCC to                        clearance and settlement of securities                 coding changes) in order to send the
                                                receive creation and redemption                         transactions, consistent with the                      enhanced input file to NSCC during any
                                                instructions for same-day settlement                    requirements of Section 17A(b)(3)(F) of                of the cycles, including the current
                                                until the applicable cut-off time of 11:30              the Act.22                                             primary cycle. The format of the input
                                                a.m. ET would promote the prompt and                       NSCC also believes the proposed                     file would be revised to incorporate
                                                accurate clearance and settlement of                    change to remove the repetitive                        additional information, namely, a
                                                securities transactions, consistent with                language regarding next-day settling                   reversal/correction indicator and the
                                                the requirements of Section 17A(b)(3)(F)                creates and redeems in Procedure II,                   time of the transaction. The format of
                                                of the Act 20 because it would allow                    Section F.2 of the Rules would promote                 the output files would not change, but
                                                transactions that cannot be processed by                the prompt and accurate clearance and                  the output files would be revised to
                                                NSCC today to be processed. This                        settlement of securities transactions,                 reflect this additional information
                                                proposed change would enable these                      consistent with the requirements of                    (which would either be appended or
                                                same-day settling instructions to receive               Section 17A(b)(3)(F) of the Act 23                     appear in current fields that do not
                                                the benefits of NSCC processing.                        because it would ensure that the Rules                 contain any information). ETF agents,
                                                Specifically, NSCC would be able to                     remain accurate and clear. NSCC                        ETF sponsors and any third party
                                                receive same-day settling instructions                  believes that maintaining accurate and                 service providers might need to make
                                                by the designated cut-off time to correct               clear Rules would enable all                           some enhancements (e.g., coding
                                                an erroneous instruction that has                       stakeholders to continue to readily                    changes) to process the output files.
                                                already been processed. This would                      understand their respective rights and                 However, NSCC believes that any
                                                enable Members to receive the benefit of                obligations regarding NSCC’s clearance                 burden on competition that may result
                                                offsetting their erroneous transactions                 and settlement of securities                           from the proposed change to introduce
                                                (which today, they would have to do                     transactions. When stakeholders better                 additional cycles would not be
                                                outside of NSCC) and thereby address                    understand their rights and obligations                significant and would be necessary and
                                                any potential impact to their Clearing                  regarding NSCC’s clearance and                         appropriate in furtherance of the
                                                Fund requirement prior to the time by                   settlement of securities transactions,                 purposes of the Act for the reasons
                                                which they would be required to satisfy                 then they can act in accordance with the               described below.26
                                                any Clearing Fund requirement deficit.                  Rules, which NSCC believes would                          NSCC believes that any burden on
                                                Furthermore, these same-day settling                    promote the prompt and accurate                        competition that may result from the
                                                instructions, whether intended to be                    clearance and settlement of securities                 proposed change to introduce additional
                                                corrections or otherwise, would also                    transactions by NSCC. Post-                            cycles is necessary in furtherance of the
                                                receive the benefit of being guaranteed                 implementation of the accelerated trade                Act because it would enable Members to
                                                by NSCC. In addition, they would                        guaranty,24 NSCC no longer processes                   better manage mis-valued transactions
                                                receive the benefit of netting reversals                next-day settling instructions differently             due to operational errors and thereby
                                                and corrections with other primary and                  than other instructions when they are                  minimize any potential impact to their
                                                secondary market activity. NSCC                         submitted to NSCC. As such, NSCC                       daily Clearing Fund requirement. NSCC
sradovich on DSK3GMQ082PROD with NOTICES




                                                believes that by allowing the foregoing                 believes that simplifying Procedure II,                also believes that any related burden on
                                                transactions that cannot be processed by                Section F.2 of the Rules (by removing                  competition would be necessary in
                                                NSCC today to be processed and thereby                  the repetitive language described above)               furtherance of the Act because NSCC
                                                allowing Members to address erroneous                                                                          would be able to receive as-of
                                                transactions along with the other                         21 Id.                                               instructions, reversals and corrections
                                                                                                          22 Id.
                                                  19 Id.                                                  23 Id.                                                 25 15   U.S.C. 78q–1(b)(3)(F).
                                                  20 Id.                                                  24 Supra   note 12.                                    26 15   U.S.C. 78q–1(b)(3)(I).



                                           VerDate Sep<11>2014   18:50 Dec 06, 2017   Jkt 244001   PO 00000   Frm 00095    Fmt 4703   Sfmt 4703   E:\FR\FM\07DEN1.SGM     07DEN1


                                                57798                      Federal Register / Vol. 82, No. 234 / Thursday, December 7, 2017 / Notices

                                                during the additional cycles, thereby                   enhancements that may be needed to                    As such, NSCC believes that any burden
                                                enabling ETF agents to address                          process the output files would be                     on competition derived from the
                                                erroneous transactions prior to the point               minimal, as further described above. As               proposed change to introduce an
                                                at which Members would be required to                   such, NSCC believes that any burden on                automated threshold value reasonability
                                                post their Clearing Fund requirement                    competition derived from these                        check would not be significant and
                                                (which they are unable to do today).                    proposed change to introduce additional               would be necessary and appropriate, as
                                                This would help ensure that Members                     cycles would be necessary and                         permitted by Section 17A(b)(3)(I) of the
                                                would be subject to Clearing Fund                       appropriate, as permitted by Section                  Act for the reasons described above.28
                                                requirements for intended activity and                  17A(b)(3)(I) of the Act for the reasons                  At the same time, NSCC also believes
                                                not erroneous activity. Furthermore,                    described above.27                                    that the proposed changes to introduce
                                                ETF agents would be able to provide                        Similarly, NSCC believes the                       additional cycles and the automated
                                                additional information, such as whether                 proposed change to introduce the                      threshold value reasonability check may
                                                a transaction is a reversal or a correction             automated threshold value reasonability               relieve any burden on, or otherwise
                                                and the time of the transaction, in the                 check may impose a burden on                          promote competition, by providing
                                                enhanced input file. NSCC believes the                  competition by potentially adding an                  Members with a more efficient system
                                                enhancements to the input file are                      additional step for the submitting ETF                for discovering and addressing
                                                required because the format of the input                agents once a transaction is submitted to             potentially erroneous transactions
                                                file would be changed in order to                       NSCC for processing. Specifically,                    before such transactions can impact
                                                incorporate additional information,                     NSCC would pend certain potentially                   Members’ Clearing Fund requirement.
                                                such as the reversal/correction                         mis-valued transactions and then                      By discovering and addressing
                                                indicator. The enhanced output files                    submitting ETF agents would have to                   potentially mis-valued transactions
                                                would also contain this additional                      confirm whether or not the pended                     earlier, Members may be able to avoid
                                                information. As such, NSCC believes                     transaction should be processed by                    posting additional Clearing Fund for
                                                that the enhanced input and output files                NSCC. NSCC believes that any burden                   unintended transactions. Furthermore,
                                                would increase clarity and transparency                 on competition that may result from the               the introduction of the additional cycles
                                                and thus help with reconciliation of                    proposed change to introduce an                       means that Members would have more
                                                transactions because Members would                      automated threshold value reasonability               opportunities than during the current
                                                have more details regarding their                       check would not be significant and                    primary cycle (from 2:00 p.m. ET to 8:00
                                                transactions.                                           would be necessary and appropriate in                 p.m. ET) to enter into and submit create
                                                   NSCC believes that any related                       furtherance of the Act. NSCC believes                 and redeem instructions to NSCC as
                                                burden on competition from the                          that any related burden on competition                well as submit reversals or corrections.
                                                introduction of the additional cycles                   from the introduction of the automated                NSCC believes these improvements may
                                                would be appropriate in furtherance of                  threshold value reasonability check                   encourage Members to submit more
                                                the Act because subdividing the day                     would not be significant because NSCC                 instructions to NSCC for processing or
                                                into multiple cycles would minimize                     believes the burden of reconciliation                 submit instructions that they would
                                                the functional changes to the existing                  described above would be minimal.                     have otherwise settled outside of NSCC.
                                                input and output files. NSCC would                      Furthermore, as described above, the                  Therefore, NSCC believes that the
                                                revise the input file and the output files              initial values of the automated threshold             proposed changes to introduce
                                                in a manner that would minimize the                     value reasonability check would be set                additional cycles and the automated
                                                potential enhancements (e.g., coding                    to only flag the most extreme value                   threshold reasonability check may also
                                                changes) that ETF agents, ETF                           differences and therefore, avoid                      relieve any burden on, or otherwise
                                                authorized participants, ETF sponsors,                  excessive manual reconciliation efforts.              promote competition.
                                                and any third party service providers                   NSCC believes that any related burden                    Similarly, NSCC believes that the
                                                would be required to make. The                          on competition is necessary in                        proposed change to allow instructions
                                                additional information would be                         furtherance of the Act because the                    for same-day settlement that are
                                                included in the output files—either by                  automated threshold reasonability check               received by NSCC by the designated cut-
                                                appending the information or having it                  would help ensure that Members are                    off time may relieve any burden on, or
                                                appear in fields that are currently                     subject to Clearing Fund requirements                 otherwise promote competition by
                                                reserved and do not contain any                         for intended activity and not erroneous               providing Members with a means to
                                                information—which would prevent any                     activity by enabling NSCC to pend                     address erroneous transactions intraday,
                                                unnecessary functional changes. NSCC                    certain potentially mis-valued                        prior to the point where they would
                                                believes the changes that would be                      transactions that could have an impact                have to satisfy any Clearing Fund
                                                made to the input file and output files                 on a Member’s Clearing Fund                           requirement deficits that may be due to
                                                described above would result in the                     requirement. NSCC believes any related                such erroneous transactions. This
                                                least amount of coding changes or other                 burden on competition is appropriate in               proposed change would increase the
                                                enhancements that ETF agents, ETF                       furtherance of the Act because NSCC                   efficiency of the systems for addressing
                                                authorized participants, ETF sponsors,                  would establish the initial threshold                 erroneous transactions because it would
                                                and third service party providers would                 values so that NSCC would only flag the               allow NSCC to receive reversals or
                                                be required to make and therefore, any                  most extreme value differences, thereby               corrections earlier than NSCC is able to
                                                burden on competition from the                          avoiding excessive manual trade                       receive today. NSCC believes this
                                                introduction of the additional cycles                   reconciliation. Furthermore, submitting               improvement may also encourage
sradovich on DSK3GMQ082PROD with NOTICES




                                                would be appropriate in furtherance of                  ETF agents would have an opportunity                  Members to submit more instructions to
                                                the Act.                                                to confirm whether or not any pended                  NSCC for processing or submit
                                                   NSCC also believes that any related                  transactions should proceed to                        instructions that they would have
                                                burden on competition from the                          processing, and if they do not respond                otherwise settled outside of NSCC.
                                                introduction of the additional cycles                   by the established deadline, then the                 Furthermore, as described below, it
                                                would not be significant because any                    pended transactions would be rejected.                would also allow NSCC to align the
                                                enhancements that would be required to
                                                submit the input file and the                             27 Id.                                                28 Id.




                                           VerDate Sep<11>2014   18:50 Dec 06, 2017   Jkt 244001   PO 00000   Frm 00096   Fmt 4703   Sfmt 4703   E:\FR\FM\07DEN1.SGM     07DEN1


                                                                            Federal Register / Vol. 82, No. 234 / Thursday, December 7, 2017 / Notices                                                 57799

                                                deadline for same-day settling                          competition. Post-implementation of the                comments more efficiently, please use
                                                instructions with the deadline for other                accelerated trade guaranty,32 NSCC no                  only one method. The Commission will
                                                same-day settling non-ETF activity and                  longer processes next-day settling                     post all comments on the Commission’s
                                                streamline the processing of same-day                   instructions differently than other                    Internet Web site (http://www.sec.gov/
                                                settling items for NSCC and its                         instructions when they are submitted to                rules/sro.shtml). Copies of the
                                                Members.                                                NSCC. As such, NSCC believes that                      submission, all subsequent
                                                   At the same time, NSCC believes that                 deleting this repetitive language would                amendments, all written statements
                                                allowing instructions for same-day                      promote clarity and accuracy and enable                with respect to the proposed rule
                                                settlement that are received by NSCC by                 Members to readily understand how                      change that are filed with the
                                                the designated cut-off time may impose                  such instructions are processed when                   Commission, and all written
                                                a burden on competition because ETF                     submitted to NSCC.                                     communications relating to the
                                                agents and ETF sponsors (and third                                                                             proposed rule change between the
                                                party service providers they use) may                   (C) Clearing Agency’s Statement on
                                                                                                                                                               Commission and any person, other than
                                                have to make coding changes; these                      Comments on the Proposed Rule
                                                                                                                                                               those that may be withheld from the
                                                potential coding changes would be                       Change Received From Members,
                                                                                                                                                               public in accordance with the
                                                different than the coding changes                       Participants, or Others
                                                                                                                                                               provisions of 5 U.S.C. 552, will be
                                                related to the enhanced input and                         NSCC has not received or solicited                   available for Web site viewing and
                                                output files described above. However,                  any written comments relating to this                  printing in the Commission’s Public
                                                NSCC believes that any burden on                        proposal. NSCC will notify the                         Reference Room, 100 F Street NE.,
                                                competition that may result from this                   Commission of any written comments                     Washington, DC 20549 on official
                                                proposed change would be necessary                      received by NSCC.                                      business days between the hours of
                                                and appropriate in furtherance of the                                                                          10:00 a.m. and 3:00 p.m. Copies of the
                                                Act.29 As described above, under the                    III. Date of Effectiveness of the
                                                                                                        Proposed Rule Change, and Timing for                   filing also will be available for
                                                proposal, NSCC would be able to                                                                                inspection and copying at the principal
                                                receive creation and redemption                         Commission Action
                                                                                                                                                               office of NSCC and on DTCC’s Web site
                                                instructions for same-day settlement                       Within 45 days of the date of                       (http://dtcc.com/legal/sec-rule-
                                                until the designated cut-off time of                    publication of this notice in the Federal              filings.aspx). All comments received
                                                11:30 a.m. ET. NSCC believes this                       Register or within such longer period                  will be posted without change. Persons
                                                proposed change would be necessary in                   up to 90 days (i) as the Commission may                submitting comments are cautioned that
                                                furtherance of the Act because it would                 designate if it finds such longer period               we do not redact or edit personal
                                                allow NSCC to align this deadline for                   to be appropriate and publishes its                    identifying information from comment
                                                same-day settling instructions with the                 reasons for so finding or (ii) as to which             submissions. You should submit only
                                                deadline for other same-day settling                    the self-regulatory organization                       information that you wish to make
                                                non-ETF activity and would streamline                   consents, the Commission will:                         available publicly. All submissions
                                                the processing of same-day settling                        (A) By order approve or disapprove                  should refer to File Number SR–NSCC–
                                                items for both NSCC and its Members.30                  such proposed rule change, or                          2017–019 and should be submitted on
                                                Furthermore, NSCC believes this                            (B) institute proceedings to determine              or before December 28, 2017.
                                                proposed change would be appropriate                    whether the proposed rule change
                                                in furtherance of the Act because any                   should be disapproved.                                   For the Commission, by the Division of
                                                same-day settling instructions that are                                                                        Trading and Markets, pursuant to delegated
                                                not received by the designated cut-off                  IV. Solicitation of Comments                           authority.33
                                                time could still be settled outside of                    Interested persons are invited to                    Eduardo A. Aleman,
                                                NSCC (which is what happens today).                     submit written data, views and                         Assistant Secretary.
                                                Because same-day settling instructions                  arguments concerning the foregoing,                    [FR Doc. 2017–26319 Filed 12–6–17; 8:45 am]
                                                that are received after the deadline                    including whether the proposed rule                    BILLING CODE 8011–01–P
                                                would not be assigned a new settlement                  change is consistent with the Act.
                                                date under the proposal, Members                        Comments may be submitted by any of
                                                would still be able to settle these same-               the following methods:                                 SECURITIES AND EXCHANGE
                                                day settling instructions that day,                                                                            COMMISSION
                                                                                                        Electronic Comments
                                                outside of NSCC. Therefore, NSCC
                                                believes that any burden on competition                   • Use the Commission’s Internet                      [Release No. 34–82197; File No. SR–
                                                derived from the proposed change to                     comment form (http://www.sec.gov/                      PEARL–2017–37]
                                                allow instructions for same-day                         rules/sro.shtml); or
                                                settlement that are received by NSCC by                   • Send an email to rule-comments@                    Self-Regulatory Organizations; MIAX
                                                the designated cut-off time would be                    sec.gov. Please include File Number SR–                PEARL, LLC; Notice of Filing and
                                                necessary and appropriate as permitted                  NSCC–2017–019 on the subject line.                     Immediate Effectiveness of a Proposed
                                                by Section 17A(b)(3)(I) of the Act.31                                                                          Rule Change To Amend MIAX PEARL
                                                                                                        Paper Comments
                                                   In addition, regarding next-day                                                                             Rules 517A, Aggregate Risk Manager
                                                settling creates and redeems, NSCC                        • Send paper comments in triplicate                  for EEMs (‘‘ARM–E’’), and 517B,
                                                believes that the proposed technical                    to Secretary, Securities and Exchange                  Aggregate Risk Manager for Market
                                                correction to remove the language                       Commission, 100 F Street NE.,                          Makers (‘‘ARM–M’’)
                                                                                                        Washington, DC 20549.
sradovich on DSK3GMQ082PROD with NOTICES




                                                stating that next-day settling creates and                                                                     December 1, 2017.
                                                redeems are required to be submitted by                 All submissions should refer to File
                                                such cut-off time on T would not have                   Number SR–NSCC–2017–019. This file                       Pursuant to the provisions of Section
                                                any impact or impose any burden on                      number should be included on the                       19(b)(1) of the Securities Exchange Act
                                                                                                        subject line if email is used. To help the             of 1934 (‘‘Act’’) 1 and Rule 19b–4
                                                  29 15 U.S.C. 78q–1(b)(3)(I).                          Commission process and review your
                                                  30 Supra note 10.                                                                                              33 17   CFR 200.30–3(a)(12).
                                                  31 15 U.S.C. 78q–1(b)(3)(I).                            32 Supra   note 12.                                    1 15   U.S.C. 78s(b)(1).



                                           VerDate Sep<11>2014   18:50 Dec 06, 2017   Jkt 244001   PO 00000   Frm 00097    Fmt 4703   Sfmt 4703   E:\FR\FM\07DEN1.SGM    07DEN1



Document Created: 2017-12-07 00:34:34
Document Modified: 2017-12-07 00:34:34
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 57791 

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