82_FR_60019 82 FR 59779 - Self-Regulatory Organizations; BOX Options Exchange LLC; Notice of Filing of Amendment No. 1 to a Proposed Rule Change To Establish the Fees for Industry Members Related to the National Market System Plan Governing the Consolidated Audit Trail

82 FR 59779 - Self-Regulatory Organizations; BOX Options Exchange LLC; Notice of Filing of Amendment No. 1 to a Proposed Rule Change To Establish the Fees for Industry Members Related to the National Market System Plan Governing the Consolidated Audit Trail

SECURITIES AND EXCHANGE COMMISSION

Federal Register Volume 82, Issue 240 (December 15, 2017)

Page Range59779-59805
FR Document2017-26989

Federal Register, Volume 82 Issue 240 (Friday, December 15, 2017)
[Federal Register Volume 82, Number 240 (Friday, December 15, 2017)]
[Notices]
[Pages 59779-59805]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2017-26989]



[[Page 59779]]

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SECURITIES AND EXCHANGE COMMISSION

[Release No. 34-82266; File No. SR-BOX-2017-16]


Self-Regulatory Organizations; BOX Options Exchange LLC; Notice 
of Filing of Amendment No. 1 to a Proposed Rule Change To Establish the 
Fees for Industry Members Related to the National Market System Plan 
Governing the Consolidated Audit Trail

December 11, 2017.
    On May 15, 2017, BOX Options Exchange LLC (``Exchange'' or ``SRO'') 
filed with the Securities and Exchange Commission (``Commission''), 
pursuant to Section 19(b)(1) of the Securities Exchange Act of 1934 
(``Act'') \1\ and Rule 19b-4 thereunder,\2\ a proposed rule change to 
adopt a fee schedule to establish the fees for Industry Members related 
to the National Market System Plan Governing the Consolidated Audit 
Trail (``CAT NMS Plan''). The proposed rule change was published in the 
Federal Register for comment on May 24, 2017.\3\ The Commission 
received seven comment letters on the proposed rule change,\4\ and a 
response to comments from the Participants.\5\ On June 30, 2017, the 
Commission temporarily suspended and initiated proceedings to determine 
whether to approve or disapprove the proposed rule change.\6\ The 
Commission thereafter received seven comment letters,\7\ and a response 
to comments from the Participants.\8\ On November 7, 2017, the Exchange 
filed Amendment No. 1 to the proposed rule change, as described in 
Items I and II below, which Items have been prepared by the 
Exchange.\9\ On November 9, 2017, the Commission extended the time 
period within which to approve the proposed rule change or disapprove 
the proposed rule change to January 14, 2018.\10\ The Commission is 
publishing this notice to solicit comments from interested persons on 
Amendment No. 1.\11\
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    \1\ 15 U.S.C. 78s(b)(1).
    \2\ 17 CFR 240.19b-4.
    \3\ See Securities Exchange Act Release Nos. 80721 (May 18, 
2017), 82 FR 23864 (May 24, 2017) (``Original Proposal'').
    \4\ Since the CAT NMS Plan Participants' proposed rule changes 
to adopt fees to be charged to Industry Members to fund the 
consolidated audit trail are substantively identical, the Commission 
is considering all comments received on the proposed rule changes 
regardless of the comment file to which they were submitted. See 
text accompanying notes 12-15 infra, for a list of the CAT NMS Plan 
Participants. See Letter from Theodore R. Lazo, Managing Director 
and Associate General Counsel, Securities Industry and Financial 
Markets Association, to Brent J. Fields, Secretary, Commission 
(dated June 6, 2017), available at: https://www.sec.gov/comments/sr-batsbzx-2017-38/batsbzx201738-1788188-153228.pdf; Letter from 
Patricia L. Cerny and Steven O'Malley, Compliance Consultants, to 
Brent J. Fields, Secretary, Commission (dated June 12, 2017), 
available at: https://www.sec.gov/comments/sr-cboe-2017-040/cboe2017040-1799253-153675.pdf; Letter from Daniel Zinn, General 
Counsel, OTC Markets Group Inc., to Eduardo A. Aleman, Assistant 
Secretary, Commission (dated June 13, 2017), available at: https://www.sec.gov/comments/sr-finra-2017-011/finra2017011-1801717-153703.pdf; Letter from Joanna Mallers, Secretary, FIA Principal 
Traders Group, to Brent J. Fields, Secretary, Commission (dated June 
22, 2017), available at: https://www.sec.gov/comments/sr-cboe-2017-040/cboe2017040-1819670-154195.pdf; Letter from Stuart J. Kaswell, 
Executive Vice President and Managing Director, General Counsel, 
Managed Funds Association, to Brent J. Fields, Secretary, Commission 
(dated June 23, 2017), available at: https://www.sec.gov/comments/sr-finra-2017-011/finra2017011-1822454-154283.pdf; and Letter from 
Suzanne H. Shatto, Investor, to Commission (dated June 27, 2017), 
available at: https://www.sec.gov/comments/sr-batsedgx-2017-22/batsedgx201722-154443.pdf. The Commission also received a comment 
letter which is not pertinent to these proposed rule changes. See 
Letter from Christina Crouch, Smart Ltd., to Brent J. Fields, 
Secretary, Commission (dated June 5, 2017), available at: https://www.sec.gov/comments/sr-batsbzx-2017-38/batsbzx201738-1785545-153152.htm.
    \5\ See Letter from CAT NMS Plan Participants to Brent J. 
Fields, Secretary, Commission (dated June 29, 2017), available at: 
https://www.sec.gov/comments/sr-batsbyx-2017-11/batsbyx201711-1832632-154584.pdf.
    \6\ See Securities Exchange Act Release No. 81067 (June 30, 
2017), 82 FR 31656 (July 7, 2017).
    \7\ See Letter from W. Hardy Callcott, Partner, Sidley Austin 
LLP, to Brent J. Fields, Secretary, Commission (dated July 27, 
2017), available at: https://www.sec.gov/comments/sr-batsbyx-2017-11/batsbyx201711-2148338-157737.pdf; Letter from Kevin Coleman, 
General Counsel and Chief Compliance Officer, Belvedere Trading LLC, 
to Brent J. Fields, Secretary, Commission (dated July 28, 2017), 
available at: https://www.sec.gov/comments/sr-batsbyx-2017-11/batsbyx201711-2148360-157740.pdf; Letter from Joanna Mallers, 
Secretary, FIA Principal Traders Group, to Brent J. Fields, 
Secretary, Commission (dated July 28, 2017), available at: https://www.sec.gov/comments/sr-batsbyx-2017-11/batsbyx201711-2151228-157745.pdf; Letter from Theodore R. Lazo, Managing Director and 
Associate General Counsel, SIFMA, to Brent J. Fields, Secretary, 
Commission (dated July 28, 2017), available at: https://www.sec.gov/comments/sr-batsbyx-2017-11/batsbyx201711-2150977-157744.pdf; Letter 
from Stuart J. Kaswell, Executive Vice President and Managing 
Director, General Counsel, Managed Funds Association, to Brent J. 
Fields, Secretary, Commission (dated July 28, 2017), available at: 
https://www.sec.gov/comments/sr-batsbyx-2017-11/batsbyx201711-2150818-157743.pdf; Letter from John Kinahan, Chief Executive 
Officer, Group One Trading, L.P., to Brent J. Fields, Secretary, 
Commission (dated August 10, 2017), available at: https://www.sec.gov/comments/sr-finra-2017-011/finra2017011-2214568-160619.pdf; Letter from Joseph Molluso, Executive Vice President and 
CFO, Virtu Financial, to Brent J. Fields, Commission (dated August 
18, 2017), available at: https://www.sec.gov/comments/sr-finra-2017-011/finra2017011-2238648-160830.pdf.
    \8\ See Letter from Michael Simon, Chair, CAT NMS Plan Operating 
Committee, to Brent J. Fields, Commission, Secretary (dated November 
2, 2017), available at https://www.sec.gov/comments/sr-batsbyx-2017-11/batsbyx201711-2674608-161412.pdf.
    \9\ Amendment No. 1 to the proposed rule change replaces and 
supersedes the Original Proposal in its entirety.
    \10\ See Securities Exchange Act Release No. 82049 (November 9, 
2017), 82 FR 53549 (November 16, 2017).
    \11\ The Commission notes that on December 7, 2017, the Exchange 
filed Amendment No. 2 to the proposed rule change. Amendment No. 2 
is a partial amendment to the proposed rule change, as amended by 
Amendment No. 1. Amendment No. 2 proposes to change the 
parenthetical regarding the OTC Equity Securities discount in 
paragraph (b)(2) of the proposed fee schedule from ``with a discount 
for Equity ATSs exclusively trading OTC Equity Securities based on 
the average shares per trade ratio between NMS Stocks and OTC Equity 
Securities'' to ``with a discount for OTC Equity Securities market 
share of Equity ATSs trading OTC Equity Securities based on the 
average shares per trade ratio between NMS Stocks and OTC Equity 
Securities.'' Additionally, Amendment No. 2 deletes footnote 43 in 
Section 3(a) on page 29 of Amendment No. 1 to the proposed rule 
change as the Exchange represents that the footnote is erroneous and 
was included inadvertently. See Securities Exchange Act Release No. 
82267 (December 11, 2017).
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I. Self-Regulatory Organization's Statement of the Terms of the 
Substance of the Proposed Rule Change

    The Exchange is filing with the Securities and Exchange Commission 
(``Commission'') a proposed rule change to amend the Fee Schedule to 
establish the fees for Industry Members related to the CAT NMS Plan. 
The text of the proposed rule change is available from the principal 
office of the Exchange, at the Commission's Public Reference Room and 
also on the Exchange's internet website at http://boxoptions.com.

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

    In its filing with the Commission, the Exchange 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 Exchange has prepared summaries, set forth in 
Sections A, B, and C below, of the most significant aspects of such 
statements.

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

1. Purpose
    BOX Options Exchange LLC, Cboe BYX Exchange, Inc., Cboe BZX 
Exchange, Inc., Cboe EDGA Exchange, Inc., Cboe EDGX Exchange, Inc., 
Cboe C2 Exchange, Inc., Cboe Exchange, Inc.,\12\ Chicago Stock 
Exchange, Inc.,

[[Page 59780]]

Financial Industry Regulatory Authority, Inc. (``FINRA''), Investors' 
Exchange LLC, Miami International Securities Exchange, LLC, MIAX PEARL, 
LLC, NASDAQ BX, Inc., Nasdaq GEMX, LLC, Nasdaq ISE, LLC, Nasdaq MRX, 
LLC,\13\ NASDAQ PHLX LLC, The NASDAQ Stock Market LLC, New York Stock 
Exchange LLC, NYSE American LLC,\14\ NYSE Arca, Inc. and NYSE National, 
Inc.\15\ (collectively, the ``Participants'') filed with the 
Commission, pursuant to Section 11A of the Exchange Act \16\ and Rule 
608 of Regulation NMS thereunder,\17\ the CAT NMS Plan.\18\ The 
Participants filed the Plan to comply with Rule 613 of Regulation NMS 
under the Exchange Act. The Plan was published for comment in the 
Federal Register on May 17, 2016,\19\ and approved by the Commission, 
as modified, on November 15, 2016.\20\ The Plan is designed to create, 
implement and maintain a consolidated audit trail (``CAT'') that would 
capture customer and order event information for orders in NMS 
Securities and OTC Equity Securities, across all markets, from the time 
of order inception through routing, cancellation, modification, or 
execution in a single consolidated data source. The Plan accomplishes 
this by creating CAT NMS, LLC (the ``Company''), of which each 
Participant is a member, to operate the CAT.\21\ Under the CAT NMS 
Plan, the Operating Committee of the Company (``Operating Committee'') 
has discretion to establish funding for the Company to operate the CAT, 
including establishing fees that the Participants will pay, and 
establishing fees for Industry Members that will be implemented by the 
Participants (``CAT Fees'').\22\ The Participants are required to file 
with the SEC under Section 19(b) of the Exchange Act any such CAT Fees 
applicable to Industry Members that the Operating Committee 
approves.\23\ Accordingly, SRO submitted the Original Proposal to 
propose the Consolidated Audit Trail Funding Fees, which would require 
Industry Members that are SRO members to pay the CAT Fees determined by 
the Operating Committee.
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    \12\ Note that Bats BYX Exchange, Inc., Bats BZX Exchange, Inc., 
Bats EDGA Exchange, Inc., Bats EDGX Exchange, Inc., LLC, C2 Options 
Exchange, Incorporated, and Chicago Board Options Exchange, 
Incorporated, have been renamed Cboe BYX Exchange, Inc., Cboe BZX 
Exchange, Inc., Cboe EDGA Exchange, Inc., Cboe EDGX Exchange, Inc., 
Cboe C2 Exchange, Inc., Cboe Exchange, Inc., respectively.
    \13\ ISE Gemini, LLC, ISE Mercury, LLC and International 
Securities Exchange, LLC have been renamed Nasdaq GEMX, LLC, Nasdaq 
MRX, LLC, and Nasdaq ISE, LLC, respectively. See Securities Exchange 
Act Rel. No. 80248 (Mar. 15, 2017), 82 FR 14547 (Mar. 21, 2017); 
Securities Exchange Act Rel. No. 80326 (Mar. 29, 2017), 82 FR 16460 
(Apr. 4, 2017); and Securities Exchange Act Rel. No. 80325 (Mar. 29, 
2017), 82 FR 16445 (Apr. 4, 2017).
    \14\ NYSE MKT LLC has been renamed NYSE American LLC. See 
Securities Exchange Act Rel. No. 80283 (Mar. 21. 2017), 82 FR 15244 
(Mar. 27, 2017).
    \15\ National Stock Exchange, Inc. has been renamed NYSE 
National, Inc. See Securities Exchange Act Rel. No. 79902 (Jan. 30, 
2017), 82 FR 9258 (Feb. 3, 2017).
    \16\ 15 U.S.C. 78k-1.
    \17\ 17 CFR 242.608.
    \18\ See Letter from the Participants to Brent J. Fields, 
Secretary, Commission, dated September 30, 2014; and Letter from 
Participants to Brent J. Fields, Secretary, Commission, dated 
February 27, 2015. On December 24, 2015, the Participants submitted 
an amendment to the CAT NMS Plan. See Letter from Participants to 
Brent J. Fields, Secretary, Commission, dated December 23, 2015.
    \19\ Securities Exchange Act Rel. No. 77724 (Apr. 27, 2016), 81 
FR 30614 (May 17, 2016).
    \20\ Securities Exchange Act Rel. No. 79318 (Nov. 15, 2016), 81 
FR 84696 (Nov. 23, 2016) (``Approval Order'').
    \21\ The Plan also serves as the limited liability company 
agreement for the Company.
    \22\ Section 11.1(b) of the CAT NMS Plan.
    \23\ Id.
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    The Commission published the Original Proposal for public comment 
in the Federal Register on May 24, 2017,\24\ and received comments in 
response to the Original Proposal or similar fee filings by other 
Participants.\25\ On June 30, 2017, the Commission suspended, and 
instituted proceedings to determine whether to approve or disapprove, 
the Original Proposal.\26\ The Commission received seven comment 
letters in response to those proceedings.\27\
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    \24\ Securities Exchange Act Rel. No. 80721 (May 18, 2017), 82 
FR 23864 (May 24, 2017) (SR-BOX-2017-16).
    \25\ For a summary of comments, see generally Securities 
Exchange Act Rel. No. 81067 (June 30, 2017), 82 FR 31656 (July 7, 
2017) (``Suspension Order'').
    \26\ Suspension Order.
    \27\ See Letter from Stuart J. Kaswell, Executive Vice 
President, Managing Director and General Counsel, Managed Funds 
Association, to Brent J. Fields, Secretary, SEC (July 28, 2017) 
(``MFA Letter''); Letter from Theodore R. Lazo, Managing Director 
and Associate General Counsel, SIFMA, to Brent J. Fields, Secretary, 
SEC (July 28, 2017) (``SIFMA Letter''); Joanna Mallers, Secretary, 
FIA Principal Traders Group, to Brent J. Fields, Secretary, SEC 
(July 28, 2017) (``FIA Principal Traders Group Letter''); Letter 
from Kevin Coleman, General Counsel & Chief Compliance Officer, 
Belvedere Trading LLC, to Brent J. Fields, Secretary, SEC (July 28, 
2017) (``Belvedere Letter''); Letter from W. Hardy Callcott, Sidley 
Austin LLP, to Brent J. Fields, Secretary, SEC (July 27, 2017) 
(``Sidley Letter''); Letter from John Kinahan, Chief Executive 
Officer, Group One Trading, L.P., to Brent J. Fields, Secretary, SEC 
(Aug. 10, 2017) (``Group One Letter''); and Letter from Joseph 
Molluso, Executive Vice President, Virtu Financial, to Brent J. 
Fields, Secretary, SEC (Aug. 18, 2017) (``Virtu Financial Letter'').
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    In response to the comments on the Original Proposal, the Operating 
Committee determined to make the following changes to the funding 
model: (1) Adds two additional CAT Fee tiers for Equity Execution 
Venues; (2) discounts the market share of Execution Venue ATSs 
exclusively trading OTC Equity Securities as well as the market share 
of the FINRA over-the-counter reporting facility (``ORF'') by the 
average shares per trade ratio between NMS Stocks and OTC Equity 
Securities (calculated as 0.17% based on available data from the second 
quarter of June 2017) when calculating the market share of Execution 
Venue ATS exclusively trading OTC Equity Securities and FINRA; (3) 
discounts the Options Market Maker quotes by the trade to quote ratio 
for options (calculated as 0.01% based on available data for June 2016 
through June 2017) when calculating message traffic for Options Market 
Makers; (4) discounts equity market maker quotes by the trade to quote 
ratio for equities (calculated as 5.43% based on available data for 
June 2016 through June 2017) when calculating message traffic for 
equity market makers; (5) decreases the number of tiers for Industry 
Members (other than the Execution Venue ATSs) from nine to seven; (6) 
changes the allocation of CAT costs between Equity Execution Venues and 
Options Execution Venues from 75%/25% to 67%/33%; (7) adjusts tier 
percentages and recovery allocations for Equity Execution Venues, 
Options Execution Venues and Industry Members (other than Execution 
Venue ATSs); (8) focuses the comparability of CAT Fees on the 
individual entity level, rather than primarily on the comparability of 
affiliated entities; (9) commences invoicing of CAT Reporters as 
promptly as possible following the latest of the operative date of the 
Consolidated Audit Trail Funding Fees for each of the Participants and 
the operative date of the CAT NMS Plan amendment adopting CAT Fees for 
Participants; and (10) requires the proposed fees to automatically 
expire two years from the operative date of the CAT NMS Plan amendment 
adopting CAT Fees for Participants. As discussed in detail below, SRO 
proposes to amend the Original Proposal to reflect these changes.
(1) Executive Summary
    The following provides an executive summary of the CAT funding 
model approved by the Operating Committee, as well as Industry Members' 
rights and obligations related to the payment of CAT Fees calculated 
pursuant to the CAT funding model, as amended by this Amendment. A 
detailed description of the CAT funding model and the CAT Fees, as 
amended by this Amendment, as well as the changes made to the

[[Page 59781]]

Original Proposal follows this executive summary.
(A) CAT Funding Model
     CAT Costs. The CAT funding model is designed to establish 
CAT-specific fees to collectively recover the costs of building and 
operating the CAT from all CAT Reporters, including Industry Members 
and Participants. The overall CAT costs for the calculation of the CAT 
Fees in this fee filing are comprised of Plan Processor CAT costs and 
non-Plan Processor CAT costs incurred, and estimated to be incurred, 
from November 21, 2016 through November 21, 2017. (See Section 
3(a)(2)(E) below)
     Bifurcated Funding Model. The CAT NMS Plan requires a 
bifurcated funding model, where costs associated with building and 
operating the CAT would be borne by (1) Participants and Industry 
Members that are Execution Venues for Eligible Securities through fixed 
tier fees based on market share, and (2) Industry Members (other than 
alternative trading systems (``ATSs'') that execute transactions in 
Eligible Securities (``Execution Venue ATSs'')) through fixed tier fees 
based on message traffic for Eligible Securities. (See Section 3(a)(2) 
below)
     Industry Member Fees. Each Industry Member (other than 
Execution Venue ATSs) will be placed into one of seven tiers of fixed 
fees, based on ``message traffic'' in Eligible Securities for a defined 
period (as discussed below). Prior to the start of CAT reporting, 
``message traffic'' will be comprised of historical equity and equity 
options orders, cancels, quotes and executions provided by each 
exchange and FINRA over the previous three months. After an Industry 
Member begins reporting to the CAT, ``message traffic'' will be 
calculated based on the Industry Member's Reportable Events reported to 
the CAT. Industry Members with lower levels of message traffic will pay 
a lower fee and Industry Members with higher levels of message traffic 
will pay a higher fee. To avoid disincentives to quoting behavior, 
Options Market Maker and equity market maker quotes will be discounted 
when calculating message traffic. (See Section 3(a)(2)(B) below)
     Execution Venue Fees. Each Equity Execution Venue will be 
placed in one of four tiers of fixed fees based on market share, and 
each Options Execution Venue will be placed in one of two tiers of 
fixed fees based on market share. Equity Execution Venue market share 
will be determined by calculating each Equity Execution Venue's 
proportion of the total volume of NMS Stock and OTC Equity shares 
reported by all Equity Execution Venues during the relevant time 
period. For purposes of calculating market share, the market share of 
Execution Venue ATSs exclusively trading OTC Equity Securities as well 
as the market share of the FINRA ORF will be discounted. Similarly, 
market share for Options Execution Venues will be determined by 
calculating each Options Execution Venue's proportion of the total 
volume of Listed Options contracts reported by all Options Execution 
Venues during the relevant time period. Equity Execution Venues with a 
larger market share will pay a larger CAT Fee than Equity Execution 
Venues with a smaller market share. Similarly, Options Execution Venues 
with a larger market share will pay a larger CAT Fee than Options 
Execution Venues with a smaller market share. (See Section 3(a)(2)(C) 
below)
     Cost Allocation. For the reasons discussed below, in 
designing the model, the Operating Committee determined that 75 percent 
of total costs recovered would be allocated to Industry Members (other 
than Execution Venue ATSs) and 25 percent would be allocated to 
Execution Venues. In addition, the Operating Committee determined to 
allocate 67 percent of Execution Venue costs recovered to Equity 
Execution Venues and 33 percent to Options Execution Venues. (See 
Section 3(a)(2)(D) below)
     Comparability of Fees. The CAT funding model charges CAT 
Reporters with the most CAT-related activity (measured by market share 
and/or message traffic, as applicable) comparable CAT Fees. (See 
Section 3(a)(2)(F) below)
(B) CAT Fees for Industry Members
     Fee Schedule. The quarterly CAT Fees for each tier for 
Industry Members are set forth in the two fee schedules in the 
Consolidated Audit Trail Funding Fees, one for Equity ATSs and one for 
Industry Members other than Equity ATSs. (See Section 3(a)(3)(B) below)
     Quarterly Invoices. Industry Members will be billed 
quarterly for CAT Fees, with the invoices payable within 30 days. The 
quarterly invoices will identify within which tier the Industry Member 
falls. (See Section 3(a)(3)(C) below)
     Centralized Payment. Each Industry Member will receive 
from the Company one invoice for its applicable CAT Fees, not separate 
invoices from each Participant of which it is a member. Each Industry 
Member will pay its CAT Fees to the Company via the centralized system 
for the collection of CAT Fees established by the Operating Committee. 
(See Section 3(a)(3)(C) below)
     Billing Commencement. Industry Members will begin to 
receive invoices for CAT Fees as promptly as possible following the 
latest of the operative date of the Consolidated Audit Trail Funding 
Fees for each of the Participants and the operative date of the Plan 
amendment adopting CAT Fees for Participants. (See Section 3(a)(2)(G) 
below)
     Sunset Provision. The Consolidated Audit Trail Funding 
Fees will sunset automatically two years from the operative date of the 
CAT NMS Plan amendment adopting CAT Fees for Participants. (See Section 
3(a)(2)(J) below)
(2) Description of the CAT Funding Model
    Article XI of the CAT NMS Plan requires the Operating Committee to 
approve the operating budget, including projected costs of developing 
and operating the CAT for the upcoming year. In addition to a budget, 
Article XI of the CAT NMS Plan provides that the Operating Committee 
has discretion to establish funding for the Company, consistent with a 
bifurcated funding model, where costs associated with building and 
operating the Central Repository would be borne by (1) Participants and 
Industry Members that are Execution Venues through fixed tier fees 
based on market share, and (2) Industry Members (other than Execution 
Venue ATSs) through fixed tier fees based on message traffic. In its 
order approving the CAT NMS Plan, the Commission determined that the 
proposed funding model was ``reasonable'' \28\ and ``reflects a 
reasonable exercise of the Participants' funding authority to recover 
the Participants' costs related to the CAT.'' \29\
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    \28\ Approval Order at 84796.
    \29\ Id. at 84794.
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    More specifically, the Commission stated in approving the CAT NMS 
Plan that ``[t]he Commission believes that the proposed funding model 
is reasonably designed to allocate the costs of the CAT between the 
Participants and Industry Members.'' \30\ The Commission further noted 
the following:
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    \30\ Id. at 84795.

    The Commission believes that the proposed funding model reflects 
a reasonable exercise of the Participants' funding authority to 
recover the Participants' costs related to the CAT. The CAT is a 
regulatory facility jointly owned by the Participants and . . . the 
Exchange Act specifically permits the Participants to charge their 
members fees to fund their self-regulatory obligations. The 
Commission further believes that the

[[Page 59782]]

proposed funding model is designed to impose fees reasonably related 
to the Participants' self-regulatory obligations because the fees 
would be directly associated with the costs of establishing and 
maintaining the CAT, and not unrelated SRO services.\31\
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    \31\ Id. at 84794.

Accordingly, the funding model approved by the Operating Committee 
imposes fees on both Participants and Industry Members.
    As discussed in Appendix C of the CAT NMS Plan, in developing and 
approving the approved funding model, the Operating Committee 
considered the advantages and disadvantages of a variety of alternative 
funding and cost allocation models before selecting the proposed 
model.\32\ After analyzing the various alternatives, the Operating 
Committee determined that the proposed tiered, fixed fee funding model 
provides a variety of advantages in comparison to the alternatives.
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    \32\ Section B.7, Appendix C of the CAT NMS Plan, Approval Order 
at 85006.
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    In particular, the fixed fee model, as opposed to a variable fee 
model, provides transparency, ease of calculation, ease of billing and 
other administrative functions, and predictability of a fixed fee. Such 
factors are crucial to estimating a reliable revenue stream for the 
Company and for permitting CAT Reporters to reasonably predict their 
payment obligations for budgeting purposes. Additionally, a strictly 
variable or metered funding model based on message volume would be far 
more likely to affect market behavior and place an inappropriate burden 
on competition.
    In addition, reviews from varying time periods of current broker-
dealer order and trading data submitted under existing reporting 
requirements showed a wide range in activity among broker-dealers, with 
a number of broker-dealers submitting fewer than 1,000 orders per month 
and other broker-dealers submitting millions and even billions of 
orders in the same period. Accordingly, the CAT NMS Plan includes a 
tiered approach to fees. The tiered approach helps ensure that fees are 
equitably allocated among similarly situated CAT Reporters and furthers 
the goal of lessening the impact on smaller firms.\33\ In addition, in 
choosing a tiered fee structure, the Operating Committee concluded that 
the variety of benefits offered by a tiered fee structure, discussed 
above, outweighed the fact that CAT Reporters in any particular tier 
would pay different rates per message traffic order event or per market 
share (e.g., an Industry Member with the largest amount of message 
traffic in one tier would pay a smaller amount per order event than an 
Industry Member in the same tier with the least amount of message 
traffic). Such variation is the natural result of a tiered fee 
structure.\34\ The Operating Committee considered several approaches to 
developing a tiered model, including defining fee tiers based on such 
factors as size of firm, message traffic or trading dollar volume. 
After analyzing the alternatives, it was concluded that the tiering 
should be based on message traffic which will reflect the relative 
impact of CAT Reporters on the CAT System.
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    \33\ Section B.7, Appendix C of the CAT NMS Plan, Approval Order 
at 85006.
    \34\ Moreover, as the SEC noted in approving the CAT NMS Plan, 
``[t]he Participants also have offered a reasonable basis for 
establishing a funding model based on broad tiers, in that it may be 
easier to implement.'' Approval Order at 84796.
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    Accordingly, the CAT NMS Plan contemplates that costs will be 
allocated across the CAT Reporters on a tiered basis in order to 
allocate higher costs to those CAT Reporters that contribute more to 
the costs of creating, implementing and maintaining the CAT and lower 
costs to those that contribute less.\35\ The fees to be assessed at 
each tier are calculated so as to recoup a proportion of costs 
appropriate to the message traffic or market share (as applicable) from 
CAT Reporters in each tier. Therefore, Industry Members generating the 
most message traffic will be in the higher tiers, and will be charged a 
higher fee. Industry Members with lower levels of message traffic will 
be in lower tiers and will be assessed a smaller fee for the CAT.\36\ 
Correspondingly, Execution Venues with the highest market shares will 
be in the top tier, and will be charged higher fees. Execution Venues 
with the lowest market shares will be in the lowest tier and will be 
assessed smaller fees for the CAT.\37\
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    \35\ Approval Order at 85005.
    \36\ Id.
    \37\ Id.
---------------------------------------------------------------------------

    The CAT NMS Plan states that Industry Members (other than Execution 
Venue ATSs) will be charged based on message traffic, and that 
Execution Venues will be charged based on market share.\38\ While there 
are multiple factors that contribute to the cost of building, 
maintaining and using the CAT, processing and storage of incoming 
message traffic is one of the most significant cost drivers for the 
CAT.\39\ Thus, the CAT NMS Plan provides that the fees payable by 
Industry Members (other than Execution Venue ATSs) will be based on the 
message traffic generated by such Industry Member.\40\
---------------------------------------------------------------------------

    \38\ Section 11.3(a) and (b) of the CAT NMS Plan.
    \39\ Section B.7, Appendix C of the CAT NMS Plan, Approval Order 
at 85005.
    \40\ Section 11.3(b) of the CAT NMS Plan.
---------------------------------------------------------------------------

    In contrast to Industry Members, which determine the degree to 
which they produce message traffic that constitute CAT Reportable 
Events, the CAT Reportable Events of the Execution Venues are largely 
derivative of quotations and orders received from Industry Members that 
they are required to display. The business model for Execution Venues 
(other than FINRA), however, is focused on executions in their markets. 
As a result, the Operating Committee believes that it is more equitable 
to charge Execution Venues based on their market share rather than 
their message traffic.
    Focusing on message traffic would make it more difficult to draw 
distinctions between large and small Execution Venues and, in 
particular, between large and small options exchanges. For instance, 
the Operating Committee analyzed the message traffic of Execution 
Venues and Industry Members for the period of April 2017 to June 2017 
and placed all CAT Reporters into a nine-tier framework (i.e., a single 
tier may include both Execution Venues and Industry Members). The 
Operating Committee's analysis found that the majority of exchanges (15 
total) were grouped in Tiers 1 and 2. Moreover, virtually all of the 
options exchanges were in Tiers 1 and 2.\41\ Given the resulting 
concentration of options exchanges in Tiers 1 and 2 under this 
approach, the analysis shows that a funding model for Execution Venues 
based on message traffic would make it more difficult to distinguish 
between large and small options exchanges, as compared to the proposed 
fee approach that bases fees for Execution Venues on market share.
---------------------------------------------------------------------------

    \41\ The Operating Committee notes that this analysis did not 
place MIAX PEARL in Tier 1 or Tier 2 since the exchange commenced 
trading on February 6, 2017.
---------------------------------------------------------------------------

    The CAT NMS Plan's funding model also is structured to avoid a 
``reduction in market quality.'' \42\ The tiered, fixed fee funding 
model is designed to limit the disincentives to providing liquidity to 
the market. For example, the Operating Committee expects that a firm 
that has a large volume of quotes would likely be categorized in one of 
the upper tiers, and would not be assessed a fee for this traffic 
directly as they would under a more directly metered model. In 
contrast, strictly variable or metered funding models based on message 
volume are far more likely to affect market behavior. In approving the 
CAT NMS Plan, the SEC stated that ``[t]he

[[Page 59783]]

Participants also offered a reasonable basis for establishing a funding 
model based on broad tiers, in that it may be . . . less likely to have 
an incremental deterrent effect on liquidity provision.'' \43\
---------------------------------------------------------------------------

    \42\ Section 11.2(e) of the CAT NMS Plan.
    \43\ Approval Order at 84796.
---------------------------------------------------------------------------

    The funding model also is structured to avoid a reduction market 
quality because it discounts Options Market Maker and equity market 
maker quotes when calculating message traffic for Options Market Makers 
and equity market makers, respectively. As discussed in more detail 
below, the Operating Committee determined to discount the Options 
Market Maker quotes by the trade to quote ratio for options when 
calculating message traffic for Options Market Makers. Similarly, to 
avoid disincentives to quoting behavior on the equities side as well, 
the Operating Committee determined to discount equity market maker 
quotes by the trade to quote ratio for equities when calculating 
message traffic for equity market makers. The proposed discounts 
recognize the value of the market makers' quoting activity to the 
market as a whole.
    The CAT NMS Plan is further structured to avoid potential conflicts 
raised by the Operating Committee determining fees applicable to its 
own members--the Participants. First, the Company will operate on a 
``break-even'' basis, with fees imposed to cover costs and an 
appropriate reserve. Any surpluses will be treated as an operational 
reserve to offset future fees and will not be distributed to the 
Participants as profits.\44\ To ensure that the Participants' operation 
of the CAT will not contribute to the funding of their other 
operations, Section 11.1(c) of the CAT NMS Plan specifically states 
that ``[a]ny surplus of the Company's revenues over its expenses shall 
be treated as an operational reserve to offset future fees.'' In 
addition, as set forth in Article VIII of the CAT NMS Plan, the Company 
``intends to operate in a manner such that it qualifies as a `business 
league' within the meaning of Section 501(c)(6) of the [Internal 
Revenue] Code.'' To qualify as a business league, an organization must 
``not [be] organized for profit and no part of the net earnings of [the 
organization can] inure[] to the benefit of any private shareholder or 
individual.'' \45\ As the SEC stated when approving the CAT NMS Plan, 
``the Commission believes that the Company's application for Section 
501(c)(6) business league status addresses issues raised by commenters 
about the Plan's proposed allocation of profit and loss by mitigating 
concerns that the Company's earnings could be used to benefit 
individual Participants.'' \46\ The Internal Revenue Service recently 
has determined that the Company is exempt from federal income tax under 
Section 501(c)(6) of the Internal Revenue Code.
---------------------------------------------------------------------------

    \44\ Id. at 84792.
    \45\ 26 U.S.C. 501(c)(6).
    \46\ Approval Order at 84793.
---------------------------------------------------------------------------

    The funding model also is structured to take into account 
distinctions in the securities trading operations of Participants and 
Industry Members. For example, the Operating Committee designed the 
model to address the different trading characteristics in the OTC 
Equity Securities market. Specifically, the Operating Committee 
proposes to discount the market share of Execution Venue ATSs 
exclusively trading OTC Equity Securities as well as the market share 
of the FINRA ORF by the average shares per trade ratio between NMS 
Stocks and OTC Equity Securities to adjust for the greater number of 
shares being traded in the OTC Equity Securities market, which is 
generally a function of a lower per share price for OTC Equity 
Securities when compared to NMS Stocks. In addition, the Operating 
Committee also proposes to discount Options Market Maker and equity 
market maker message traffic in recognition of their role in the 
securities markets. Furthermore, the funding model creates separate 
tiers for Equity and Options Execution Venues due to the different 
trading characteristics of those markets.
    Finally, by adopting a CAT-specific fee, the Operating Committee 
will be fully transparent regarding the costs of the CAT. Charging a 
general regulatory fee, which would be used to cover CAT costs as well 
as other regulatory costs, would be less transparent than the selected 
approach of charging a fee designated to cover CAT costs only.
    A full description of the funding model is set forth below. This 
description includes the framework for the funding model as set forth 
in the CAT NMS Plan, as well as the details as to how the funding model 
will be applied in practice, including the number of fee tiers and the 
applicable fees for each tier. The complete funding model is described 
below, including those fees that are to be paid by the Participants. 
The proposed Consolidated Audit Trail Funding Fees, however, do not 
apply to the Participants; the proposed Consolidated Audit Trail 
Funding Fees only apply to Industry Members. The CAT Fees for 
Participants will be imposed separately by the Operating Committee 
pursuant to the CAT NMS Plan.
(A) Funding Principles
    Section 11.2 of the CAT NMS Plan sets forth the principles that the 
Operating Committee applied in establishing the funding for the 
Company. The Operating Committee has considered these funding 
principles as well as the other funding requirements set forth in the 
CAT NMS Plan and in Rule 613 in developing the proposed funding model. 
The following are the funding principles in Section 11.2 of the CAT NMS 
Plan:
     To create transparent, predictable revenue streams for the 
Company that are aligned with the anticipated costs to build, operate 
and administer the CAT and other costs of the Company;
     To establish an allocation of the Company's related costs 
among Participants and Industry Members that is consistent with the 
Exchange Act, taking into account the timeline for implementation of 
the CAT and distinctions in the securities trading operations of 
Participants and Industry Members and their relative impact upon the 
Company's resources and operations;
     To establish a tiered fee structure in which the fees 
charged to: (i) CAT Reporters that are Execution Venues, including 
ATSs, are based upon the level of market share; (ii) Industry Members' 
non-ATS activities are based upon message traffic; (iii) the CAT 
Reporters with the most CAT-related activity (measured by market share 
and/or message traffic, as applicable) are generally comparable (where, 
for these comparability purposes, the tiered fee structure takes into 
consideration affiliations between or among CAT Reporters, whether 
Execution Venue and/or Industry Members);
     To provide for ease of billing and other administrative 
functions;
     To avoid any disincentives such as placing an 
inappropriate burden on competition and a reduction in market quality; 
and
     To build financial stability to support the Company as a 
going concern.
(B) Industry Member Tiering
    Under Section 11.3(b) of the CAT NMS Plan, the Operating Committee 
is required to establish fixed fees to be payable by Industry Members, 
based on message traffic generated by such Industry Member, with the 
Operating Committee establishing at least five and no more than nine 
tiers.
    The CAT NMS Plan clarifies that the fixed fees payable by Industry 
Members

[[Page 59784]]

pursuant to Section 11.3(b) shall, in addition to any other applicable 
message traffic, include message traffic generated by: (i) an ATS that 
does not execute orders that is sponsored by such Industry Member; and 
(ii) routing orders to and from any ATS sponsored by such Industry 
Member. In addition, the Industry Member fees will apply to Industry 
Members that act as routing broker-dealers for exchanges. The Industry 
Member fees will not be applicable, however, to an ATS that qualifies 
as an Execution Venue, as discussed in more detail in the section on 
Execution Venue tiering.
    In accordance with Section 11.3(b), the Operating Committee 
approved a tiered fee structure for Industry Members (other than 
Execution Venue ATSs) as described in this section. In determining the 
tiers, the Operating Committee considered the funding principles set 
forth in Section 11.2 of the CAT NMS Plan, seeking to create funding 
tiers that take into account the relative impact on CAT System 
resources of different Industry Members, and that establish comparable 
fees among the CAT Reporters with the most Reportable Events. The 
Operating Committee has determined that establishing seven tiers 
results in an allocation of fees that distinguishes between Industry 
Members with differing levels of message traffic. Thus, each such 
Industry Member will be placed into one of seven tiers of fixed fees, 
based on ``message traffic'' for a defined period (as discussed below).
    A seven tier structure was selected to provide a wide range of 
levels for tiering Industry Members such that Industry Members 
submitting significantly less message traffic to the CAT would be 
adequately differentiated from Industry Members submitting 
substantially more message traffic. The Operating Committee considered 
historical message traffic from multiple time periods, generated by 
Industry Members across all exchanges and as submitted to FINRA's Order 
Audit Trail System (``OATS''), and considered the distribution of firms 
with similar levels of message traffic, grouping together firms with 
similar levels of message traffic. Based on this, the Operating 
Committee determined that seven tiers would group firms with similar 
levels of message traffic, charging those firms with higher impact on 
the CAT more, while lowering the burden on Industry Members that have 
less CAT-related activity. Furthermore, the selection of seven tiers 
establishes comparable fees among the largest CAT Reporters.
    Each Industry Member (other than Execution Venue ATSs) will be 
ranked by message traffic and tiered by predefined Industry Member 
percentages (the ``Industry Member Percentages''). The Operating 
Committee determined to use predefined percentages rather than fixed 
volume thresholds to ensure that the total CAT Fees collected recover 
the expected CAT costs regardless of changes in the total level of 
message traffic. To determine the fixed percentage of Industry Members 
in each tier, the Operating Committee analyzed historical message 
traffic generated by Industry Members across all exchanges and as 
submitted to OATS, and considered the distribution of firms with 
similar levels of message traffic, grouping together firms with similar 
levels of message traffic. Based on this, the Operating Committee 
identified seven tiers that would group firms with similar levels of 
message traffic.
    The percentage of costs recovered by each Industry Member tier will 
be determined by predefined percentage allocations (the ``Industry 
Member Recovery Allocation''). In determining the fixed percentage 
allocation of costs recovered for each tier, the Operating Committee 
considered the impact of CAT Reporter message traffic on the CAT System 
as well as the distribution of total message volume across Industry 
Members while seeking to maintain comparable fees among the largest CAT 
Reporters. Accordingly, following the determination of the percentage 
of Industry Members in each tier, the Operating Committee identified 
the percentage of total market volume for each tier based on the 
historical message traffic upon which Industry Members had been 
initially ranked. Taking this into account along with the resulting 
percentage of total recovery, the percentage allocation of costs 
recovered for each tier were assigned, allocating higher percentages of 
recovery to tiers with higher levels of message traffic while avoiding 
any inappropriate burden on competition. Furthermore, by using 
percentages of Industry Members and costs recovered per tier, the 
Operating Committee sought to include elasticity within the funding 
model, allowing the funding model to respond to changes in either the 
total number of Industry Members or the total level of message traffic.
    The following chart illustrates the breakdown of seven Industry 
Member tiers across the monthly average of total equity and equity 
options orders, cancels, quotes and executions in the second quarter of 
2017 as well as message traffic thresholds between the largest of 
Industry Member message traffic gaps. The Operating Committee 
referenced similar distribution illustrations to determine the 
appropriate division of Industry Member percentages in each tier by 
considering the grouping of firms with similar levels of message 
traffic and seeking to identify relative breakpoints in the message 
traffic between such groupings. In reviewing the chart and its 
corresponding table, note that while these distribution illustrations 
were referenced to help differentiate between Industry Member tiers, 
the proposed funding model is driven by fixed percentages of Industry 
Members across tiers to account for fluctuating levels of message 
traffic over time. This approach also provides financial stability for 
the CAT by ensuring that the funding model will recover the required 
amounts regardless of changes in the number of Industry Members or the 
amount of message traffic. Actual messages in any tier will vary based 
on the actual traffic in a given measurement period, as well as the 
number of firms included in the measurement period. The Industry Member 
Percentages and Industry Member Recovery Allocation for each tier will 
remain fixed with each Industry Member's tier to be reassigned 
periodically, as described below in Section 3(a)(2)(I).

[[Page 59785]]

[GRAPHIC] [TIFF OMITTED] TN15DE17.007


------------------------------------------------------------------------
                                        Approximate message traffic per
        Industry Member tier          Industry Member (Q2 2017) (orders,
                                        quotes, cancels and executions)
------------------------------------------------------------------------
Tier 1..............................                     >10,000,000,000
Tier 2..............................        1,000,000,000-10,000,000,000
Tier 3..............................           100,000,000-1,000,000,000
Tier 4..............................               1,000,000-100,000,000
Tier 5..............................                   100,000-1,000,000
Tier 6..............................                      10,000-100,000
Tier 7..............................                             <10,000
------------------------------------------------------------------------

    Based on the above analysis, the Operating Committee approved the 
following Industry Member Percentages and Industry Member Recovery 
Allocations:

----------------------------------------------------------------------------------------------------------------
                                                                                   Percentage of
                                                                   Percentage of     Industry      Percentage of
                      Industry Member tier                           Industry         Member      total recovery
                                                                      Members        Recovery
----------------------------------------------------------------------------------------------------------------
Tier 1..........................................................           0.900           12.00            9.00
Tier 2..........................................................           2.150           20.50           15.38
Tier 3..........................................................           2.800           18.50           13.88
Tier 4..........................................................           7.750           32.00           24.00
Tier 5..........................................................           8.300           10.00            7.50
Tier 6..........................................................          18.800            6.00            4.50
Tier 7..........................................................          59.300            1.00            0.75
                                                                 -----------------------------------------------
    Total.......................................................             100             100              75
----------------------------------------------------------------------------------------------------------------

    For the purposes of creating these tiers based on message traffic, 
the Operating Committee determined to define the term ``message 
traffic'' separately for the period before the commencement of CAT 
reporting and for the period after the start of CAT reporting. The 
different definition for message traffic is necessary as there will be 
no Reportable Events as defined in the Plan, prior to the commencement 
of CAT reporting. Accordingly, prior to the start of CAT reporting, 
``message traffic'' will be comprised of historical equity and equity 
options orders, cancels, quotes and executions provided by each 
exchange and FINRA over the previous three months. Prior to the start 
of CAT reporting, orders would be comprised of the total number of 
equity and equity options orders received and originated by a member of 
an exchange or FINRA over the previous three-month period, including 
principal orders, cancel/replace orders, market maker orders originated 
by a member of an exchange, and reserve (iceberg) orders as well as

[[Page 59786]]

executions originated by a member of FINRA, and excluding order 
rejects, system-modified orders, order routes and implied orders.\47\ 
In addition, prior to the start of CAT reporting, cancels would be 
comprised of the total number of equity and equity option cancels 
received and originated by a member of an exchange or FINRA over a 
three-month period, excluding order modifications (e.g., order updates, 
order splits, partial cancels) and multiple cancels of a complex order. 
Furthermore, prior to the start of CAT reporting, quotes would be 
comprised of information readily available to the exchanges and FINRA, 
such as the total number of historical equity and equity options quotes 
received and originated by a member of an exchange or FINRA over the 
prior three-month period. Additionally, prior to the start of CAT 
reporting, executions would be comprised of the total number of equity 
and equity option executions received or originated by a member of an 
exchange or FINRA over a three-month period.
---------------------------------------------------------------------------

    \47\ Consequently, firms that do not have ``message traffic'' 
reported to an exchange or OATS before they are reporting to the CAT 
would not be subject to a fee until they begin to report information 
to CAT.
---------------------------------------------------------------------------

    After an Industry Member begins reporting to the CAT, ``message 
traffic'' will be calculated based on the Industry Member's Reportable 
Events reported to the CAT as will be defined in the Technical 
Specifications.\48\
---------------------------------------------------------------------------

    \48\ If an Industry Member (other than an Execution Venue ATS) 
has no orders, cancels, quotes and executions prior to the 
commencement of CAT Reporting, or no Reportable Events after CAT 
reporting commences, then the Industry Member would not have a CAT 
Fee obligation.
---------------------------------------------------------------------------

    Quotes of Options Market Makers and equity market makers will be 
included in the calculation of total message traffic for those market 
makers for purposes of tiering under the CAT funding model both prior 
to CAT reporting and once CAT reporting commences.\49\ To address 
potential concerns regarding burdens on competition or market quality 
of including quotes in the calculation of message traffic, however, the 
Operating Committee determined to discount the Options Market Maker 
quotes by the trade to quote ratio for options when calculating message 
traffic for Options Market Makers. Based on available data for June 
2016 through June 2017, the trade to quote ratio for options is 0.01%. 
Similarly, to avoid disincentives to quoting behavior on the equities 
side, the Operating Committee determined to discount equity market 
maker quotes by the trade to quote ratio for equities. Based on 
available data for June 2016 through June 2017, the trade to quote 
ratio for equities is 5.43%.\50\ The trade to quote ratio for options 
and the trade to quote ratio for equities will be calculated every 
three months when tiers are recalculated (as discussed below).
---------------------------------------------------------------------------

    \49\ The SEC approved exemptive relief permitting Options Market 
Maker quotes to be reported to the Central Repository by the 
relevant Options Exchange in lieu of requiring that such reporting 
be done by both the Options Exchange and the Options Market Maker, 
as required by Rule 613 of Regulation NMS. See Securities Exchange 
Act Rel. No. 77265 (Mar. 1, 2017), 81 FR 11856 (Mar. 7, 2016). This 
exemption applies to Options Market Maker quotes for CAT reporting 
purposes only. Therefore, notwithstanding the reporting exemption 
provided for Options Market Maker quotes, Options Market Maker 
quotes will be included in the calculation of total message traffic 
for Options Market Makers for purposes of tiering under the CAT 
funding model both prior to CAT reporting and once CAT reporting 
commences.
    \50\ The trade to quote ratios were calculated based on the 
inverse of the average of the monthly equity SIP and OPRA quote to 
trade ratios from June 2016-June 2017 that were compiled by the 
Financial Information Forum using data from NASDAQ and SIAC.
---------------------------------------------------------------------------

    The Operating Committee has determined to calculate fee tiers every 
three months, on a calendar quarter basis, based on message traffic 
from the prior three months. Based on its analysis of historical data, 
the Operating Committee believes that calculating tiers based on three 
months of data will provide the best balance between reflecting changes 
in activity by Industry Members while still providing predictability in 
the tiering for Industry Members. Because fee tiers will be calculated 
based on message traffic from the prior three months, the Operating 
Committee will begin calculating message traffic based on an Industry 
Member's Reportable Events reported to the CAT once the Industry Member 
has been reporting to the CAT for three months. Prior to that, fee 
tiers will be calculated as discussed above with regard to the period 
prior to CAT reporting.
(C) Execution Venue Tiering
    Under Section 11.3(a) of the CAT NMS Plan, the Operating Committee 
is required to establish fixed fees payable by Execution Venues. 
Section 1.1 of the CAT NMS Plan defines an Execution Venue as ``a 
Participant or an alternative trading system (``ATS'') (as defined in 
Rule 300 of Regulation ATS) that operates pursuant to Rule 301 of 
Regulation ATS (excluding any such ATS that does not execute orders).'' 
\51\
---------------------------------------------------------------------------

    \51\ Although FINRA does not operate an execution venue, because 
it is a Participant, it is considered an ``Execution Venue'' under 
the Plan for purposes of determining fees.
---------------------------------------------------------------------------

    The Operating Committee determined that ATSs should be included 
within the definition of Execution Venue. The Operating Committee 
believes that it is appropriate to treat ATSs as Execution Venues under 
the proposed funding model since ATSs have business models that are 
similar to those of exchanges, and ATSs also compete with exchanges.
    Given the differences between Execution Venues that trade NMS 
Stocks and/or OTC Equity Securities and Execution Venues that trade 
Listed Options, Section 11.3(a) addresses Execution Venues that trade 
NMS Stocks and/or OTC Equity Securities separately from Execution 
Venues that trade Listed Options. Equity and Options Execution Venues 
are treated separately for two reasons. First, the differing quoting 
behavior of Equity and Options Execution Venues makes comparison of 
activity between such Execution Venues difficult. Second, Execution 
Venue tiers are calculated based on market share of share volume, and 
it is therefore difficult to compare market share between asset classes 
(i.e., equity shares versus options contracts). Discussed below is how 
the funding model treats the two types of Execution Venues.
(I) NMS Stocks and OTC Equity Securities
    Section 11.3(a)(i) of the CAT NMS Plan states that each Execution 
Venue that (i) executes transactions or, (ii) in the case of a national 
securities association, has trades reported by its members to its trade 
reporting facility or facilities for reporting transactions effected 
otherwise than on an exchange, in NMS Stocks or OTC Equity Securities 
will pay a fixed fee depending on the market share of that Execution 
Venue in NMS Stocks and OTC Equity Securities, with the Operating 
Committee establishing at least two and not more than five tiers of 
fixed fees, based on an Execution Venue's NMS Stocks and OTC Equity 
Securities market share. For these purposes, market share for Execution 
Venues that execute transactions will be calculated by share volume, 
and market share for a national securities association that has trades 
reported by its members to its trade reporting facility or facilities 
for reporting transactions effected otherwise than on an exchange in 
NMS Stocks or OTC Equity Securities will be calculated based on share 
volume of trades reported, provided, however, that the share volume 
reported to such national securities association by an Execution Venue 
shall not be included in the calculation of such national security 
association's market share.
    In accordance with Section 11.3(a)(i) of the CAT NMS Plan, the 
Operating Committee approved a tiered fee

[[Page 59787]]

structure for Equity Execution Venues and Option Execution Venues. In 
determining the Equity Execution Venue Tiers, the Operating Committee 
considered the funding principles set forth in Section 11.2 of the CAT 
NMS Plan, seeking to create funding tiers that take into account the 
relative impact on system resources of different Equity Execution 
Venues, and that establish comparable fees among the CAT Reporters with 
the most Reportable Events. Each Equity Execution Venue will be placed 
into one of four tiers of fixed fees, based on the Execution Venue's 
NMS Stocks and OTC Equity Securities market share. In choosing four 
tiers, the Operating Committee performed an analysis similar to that 
discussed above with regard to the non-Execution Venue Industry Members 
to determine the number of tiers for Equity Execution Venues. The 
Operating Committee determined to establish four tiers for Equity 
Execution Venues, rather than a larger number of tiers as established 
for non-Execution Venue Industry Members, because the four tiers were 
sufficient to distinguish between the smaller number of Equity 
Execution Venues based on market share. Furthermore, the selection of 
four tiers serves to help establish comparability among the largest CAT 
Reporters.
    Each Equity Execution Venue will be ranked by market share and 
tiered by predefined Execution Venue percentages, (the ``Equity 
Execution Venue Percentages''). In determining the fixed percentage of 
Equity Execution Venues in each tier, the Operating Committee reviewed 
historical market share of share volume for Execution Venues. Equity 
Execution Venue market shares of share volume were sourced from market 
statistics made publicly-available by Bats Global Markets, Inc. 
(``Bats''). ATS market shares of share volume was sourced from market 
statistics made publicly-available by FINRA. FINRA trade reporting 
facility (``TRF'') and ORF market share of share volume was sourced 
from market statistics made publicly available by FINRA. Based on data 
from FINRA and otcmarkets.com, ATSs accounted for 39.12% of the share 
volume across the TRFs and ORFs during the recent tiering period. A 
39.12/60.88 split was applied to the ATS and non-ATS breakdown of FINRA 
market share, with FINRA tiered based only on the non-ATS portion of 
its market share of share volume.
    The Operating Committee determined to discount the market share of 
Execution Venue ATSs exclusively trading OTC Equity Securities as well 
as the market share of the FINRA ORF in recognition of the different 
trading characteristics of the OTC Equity Securities market as compared 
to the market in NMS Stocks. Many OTC Equity Securities are priced at 
less than one dollar--and a significant number at less than one penny--
per share and low-priced shares tend to trade in larger quantities. 
Accordingly, a disproportionately large number of shares are involved 
in transactions involving OTC Equity Securities versus NMS Stocks. 
Because the proposed fee tiers are based on market share calculated by 
share volume, Execution Venue ATSs exclusively trading OTC Equity 
Securities and FINRA would likely be subject to higher tiers than their 
operations may warrant. To address this potential concern, the 
Operating Committee determined to discount the market share of 
Execution Venue ATSs exclusively trading OTC Equity Securities and the 
market share of the FINRA ORF by multiplying such market share by the 
average shares per trade ratio between NMS Stocks and OTC Equity 
Securities in order to adjust for the greater number of shares being 
traded in the OTC Equity Securities market. Based on available data for 
the second quarter of 2017, the average shares per trade ratio between 
NMS Stocks and OTC Equity Securities is 0.17%.\52\ The average shares 
per trade ratio between NMS Stocks and OTC Equity Securities will be 
recalculated every three months when tiers are recalculated.\53\
---------------------------------------------------------------------------

    \52\ The average shares per trade ratio for both NMS Stocks and 
OTC Equity Securities from the second quarter of 2017 was calculated 
using publicly available market volume data from Bats and OTC 
Markets Group, and the totals were divided to determine the average 
number of shares per trade between NMS Stocks and OTC Equity 
Securities.
    \53\ The discount is only applied to the market share of 
Execution Venue ATSs exclusively trading OTC Equity Securities. 
Accordingly, FINRA's market share, which includes market share from 
the OTC Reporting Facility, is not discounted as a result of its OTC 
Equity Securities activity.
---------------------------------------------------------------------------

    Based on this, the Operating Committee considered the distribution 
of Execution Venues, and grouped together Execution Venues with similar 
levels of market share. The percentage of costs recovered by each 
Equity Execution Venue tier will be determined by predefined percentage 
allocations (the ``Equity Execution Venue Recovery Allocation''). In 
determining the fixed percentage allocation of costs to be recovered 
from each tier, the Operating Committee considered the impact of CAT 
Reporter market share activity on the CAT System as well as the 
distribution of total market volume across Equity Execution Venues 
while seeking to maintain comparable fees among the largest CAT 
Reporters. Accordingly, following the determination of the percentage 
of Execution Venues in each tier, the Operating Committee identified 
the percentage of total market volume for each tier based on the 
historical market share upon which Execution Venues had been initially 
ranked. Taking this into account along with the resulting percentage of 
total recovery, the percentage allocation of cost recovery for each 
tier were assigned, allocating higher percentages of recovery to the 
tier with a higher level of market share while avoiding any 
inappropriate burden on competition. Furthermore, by using percentages 
of Equity Execution Venues and cost recovery per tier, the Operating 
Committee sought to include elasticity within the funding model, 
allowing the funding model to respond to changes in either the total 
number of Equity Execution Venues or changes in market share.
    Based on this analysis, the Operating Committee approved the 
following Equity Execution Venue Percentages and Recovery Allocations:

----------------------------------------------------------------------------------------------------------------
                                                                  Percentage  of
                                                                      Equity       Percentage of   Percentage of
                   Equity Execution Venue tier                       Execution       Execution    total recovery
                                                                      Venues      Venue Recovery
----------------------------------------------------------------------------------------------------------------
Tier 1..........................................................           25.00           33.25            8.31
Tier 2..........................................................           42.00           25.73            6.43
Tier 3..........................................................           23.00            8.00            2.00
Tier 4..........................................................           10.00            0.02            0.01
                                                                 -----------------------------------------------
    Total.......................................................             100              67           16.75
----------------------------------------------------------------------------------------------------------------


[[Page 59788]]

(II) Listed Options
    Section 11.3(a)(ii) of the CAT NMS Plan states that each Execution 
Venue that executes transactions in Listed Options will pay a fixed fee 
depending on the Listed Options market share of that Execution Venue, 
with the Operating Committee establishing at least two and no more than 
five tiers of fixed fees, based on an Execution Venue's Listed Options 
market share. For these purposes, market share will be calculated by 
contract volume.
    In accordance with Section 11.3(a)(ii) of the CAT NMS Plan, the 
Operating Committee approved a tiered fee structure for Options 
Execution Venues. In determining the tiers, the Operating Committee 
considered the funding principles set forth in Section 11.2 of the CAT 
NMS Plan, seeking to create funding tiers that take into account the 
relative impact on system resources of different Options Execution 
Venues, and that establish comparable fees among the CAT Reporters with 
the most Reportable Events. Each Options Execution Venue will be placed 
into one of two tiers of fixed fees, based on the Execution Venue's 
Listed Options market share. In choosing two tiers, the Operating 
Committee performed an analysis similar to that discussed above with 
regard to Industry Members (other than Execution Venue ATSs) to 
determine the number of tiers for Options Execution Venues. The 
Operating Committee determined to establish two tiers for Options 
Execution Venues, rather than a larger number, because the two tiers 
were sufficient to distinguish between the smaller number of Options 
Execution Venues based on market share. Furthermore, due to the smaller 
number of Options Execution Venues, the incorporation of additional 
Options Execution Venue tiers would result in significantly higher fees 
for Tier 1 Options Execution Venues and reduce comparability between 
Execution Venues and Industry Members. Furthermore, the selection of 
two tiers served to establish comparable fees among the largest CAT 
Reporters.
    Each Options Execution Venue will be ranked by market share and 
tiered by predefined Execution Venue percentages, (the ``Options 
Execution Venue Percentages''). To determine the fixed percentage of 
Options Execution Venues in each tier, the Operating Committee analyzed 
the historical and publicly available market share of Options Execution 
Venues to group Options Execution Venues with similar market shares 
across the tiers. Options Execution Venue market share of share volume 
were sourced from market statistics made publicly-available by Bats. 
The process for developing the Options Execution Venue Percentages was 
the same as discussed above with regard to Equity Execution Venues.
    The percentage of costs to be recovered from each Options Execution 
Venue tier will be determined by predefined percentage allocations (the 
``Options Execution Venue Recovery Allocation''). In determining the 
fixed percentage allocation of cost recovery for each tier, the 
Operating Committee considered the impact of CAT Reporter market share 
activity on the CAT System as well as the distribution of total market 
volume across Options Execution Venues while seeking to maintain 
comparable fees among the largest CAT Reporters. Furthermore, by using 
percentages of Options Execution Venues and cost recovery per tier, the 
Operating Committee sought to include elasticity within the funding 
model, allowing the funding model to respond to changes in either the 
total number of Options Execution Venues or changes in market share. 
The process for developing the Options Execution Venue Recovery 
Allocation was the same as discussed above with regard to Equity 
Execution Venues.
    Based on this analysis, the Operating Committee approved the 
following Options Execution Venue Percentages and Recovery Allocations:

----------------------------------------------------------------------------------------------------------------
                                                                  Percentage  of  Percentage  of
                                                                      Options        Execution    Percentage  of
                  Options Execution Venue tier                       Execution         Venue           total
                                                                      Venues         Recovery        recovery
----------------------------------------------------------------------------------------------------------------
Tier 1..........................................................           75.00           28.25            7.06
Tier 2..........................................................           25.00            4.75            1.19
                                                                 -----------------------------------------------
    Total.......................................................             100              33            8.25
----------------------------------------------------------------------------------------------------------------

(III) Market Share/Tier Assignments
    The Operating Committee determined that, prior to the start of CAT 
reporting, market share for Execution Venues would be sourced from 
publicly-available market data. Options and equity volumes for 
Participants will be sourced from market data made publicly available 
by Bats while Execution Venue ATS volumes will be sourced from market 
data made publicly available by FINRA and OTC Markets. Set forth in the 
Appendix are two charts, one listing the current Equity Execution 
Venues, each with its rank and tier, and one listing the current 
Options Execution Venues, each with its rank and tier.
    After the commencement of CAT reporting, market share for Execution 
Venues will be sourced from data reported to the CAT. Equity Execution 
Venue market share will be determined by calculating each Equity 
Execution Venue's proportion of the total volume of NMS Stock and OTC 
Equity shares reported by all Equity Execution Venues during the 
relevant time period (with the discounting of market share of Execution 
Venue ATSs exclusively trading OTC Equity Securities, as described 
above). Similarly, market share for Options Execution Venues will be 
determined by calculating each Options Execution Venue's proportion of 
the total volume of Listed Options contracts reported by all Options 
Execution Venues during the relevant time period.
    The Operating Committee has determined to calculate fee tiers for 
Execution Venues every three months based on market share from the 
prior three months. Based on its analysis of historical data, the 
Operating Committee believes calculating tiers based on three months of 
data will provide the best balance between reflecting changes in 
activity by Execution Venues while still providing predictability in 
the tiering for Execution Venues.
(D) Allocation of Costs
    In addition to the funding principles discussed above, including 
comparability of fees, Section 11.1(c) of the CAT NMS Plan also 
requires expenses to be fairly and reasonably shared among the 
Participants and Industry Members. Accordingly, in developing the 
proposed fee schedules pursuant to the funding model, the Operating 
Committee calculated how the CAT costs would be allocated between 
Industry Members and Execution Venues, and how the portion

[[Page 59789]]

of CAT costs allocated to Execution Venues would be allocated between 
Equity Execution Venues and Options Execution Venues. These 
determinations are described below.
(I) Allocation Between Industry Members and Execution Venues
    In determining the cost allocation between Industry Members (other 
than Execution Venue ATSs) and Execution Venues, the Operating 
Committee analyzed a range of possible splits for revenue recovery from 
such Industry Members and Execution Venues, including 80%/20%, 75%/25%, 
70%/30% and 65%/35% allocations. Based on this analysis, the Operating 
Committee determined that 75 percent of total costs recovered would be 
allocated to Industry Members (other than Execution Venue ATSs) and 25 
percent would be allocated to Execution Venues. The Operating Committee 
determined that this 75%/25% division maintained the greatest level of 
comparability across the funding model. For example, the cost 
allocation establishes fees for the largest Industry Members (i.e., 
those Industry Members in Tiers 1) that are comparable to the largest 
Equity Execution Venues and Options Execution Venues (i.e., those 
Execution Venues in Tier 1).
    Furthermore, the allocation of total CAT cost recovery recognizes 
the difference in the number of CAT Reporters that are Industry Members 
versus CAT Reporters that are Execution Venues. Specifically, the cost 
allocation takes into consideration that there are approximately 23 
times more Industry Members expected to report to the CAT than 
Execution Venues (e.g., an estimated 1541 Industry Members versus 67 
Execution Venues as of June 2017).
(II) Allocation Between Equity Execution Venues and Options Execution 
Venues
    The Operating Committee also analyzed how the portion of CAT costs 
allocated to Execution Venues would be allocated between Equity 
Execution Venues and Options Execution Venues. In considering this 
allocation of costs, the Operating Committee analyzed a range of 
alternative splits for revenue recovered between Equity and Options 
Execution Venues, including a 70%/30%, 67%/33%, 65%/35%, 50%/50% and 
25%/75% split. Based on this analysis, the Operating Committee 
determined to allocate 67 percent of Execution Venue costs recovered to 
Equity Execution Venues and 33 percent to Options Execution Venues. The 
Operating Committee determined that a 67%/33% allocation between Equity 
and Options Execution Venues maintained the greatest level of fee 
equitability and comparability based on the current number of Equity 
and Options Execution Venues. For example, the allocation establishes 
fees for the larger Equity Execution Venues that are comparable to the 
larger Options Execution Venues. Specifically, Tier 1 Equity Execution 
Venues would pay a quarterly fee of $81,047 and Tier 1 Options 
Execution Venues would pay a quarterly fee of $81,379. In addition to 
fee comparability between Equity Execution Venues and Options Execution 
Venues, the allocation also establishes equitability between larger 
(Tier 1) and smaller (Tier 2) Execution Venues based upon the level of 
market share. Furthermore, the allocation is intended to reflect the 
relative levels of current equity and options order events.
(E) Fee Levels
    The Operating Committee determined to establish a CAT-specific fee 
to collectively recover the costs of building and operating the CAT. 
Accordingly, under the funding model, the sum of the CAT Fees is 
designed to recover the total cost of the CAT. The Operating Committee 
has determined overall CAT costs to be comprised of Plan Processor 
costs and non-Plan Processor costs, which are estimated to be 
$50,700,000 in total for the year beginning November 21, 2016.\54\
---------------------------------------------------------------------------

    \54\ It is anticipated that CAT-related costs incurred prior to 
November 21, 2016 will be addressed via a separate filing.
---------------------------------------------------------------------------

    The Plan Processor costs relate to costs incurred and to be 
incurred through November 21, 2017 by the Plan Processor and consist of 
the Plan Processor's current estimates of average yearly ongoing costs, 
including development costs, which total $37,500,000. This amount is 
based upon the fees due to the Plan Processor pursuant to the Company's 
agreement with the Plan Processor.
    The non-Plan Processor estimated costs incurred and to be incurred 
by the Company through November 21, 2017 consist of three categories of 
costs. The first category of such costs are third party support costs, 
which include legal fees, consulting fees and audit fees from November 
21, 2016 until the date of filing as well as estimated third party 
support costs for the rest of the year. These amount to an estimated 
$5,200,000. The second category of non-Plan Processor costs are 
estimated cyber-insurance costs for the year. Based on discussions with 
potential cyber-insurance providers, assuming $2-5 million cyber-
insurance premium on $100 million coverage, the Company has estimated 
$3,000,000 for the annual cost. The final cost figures will be 
determined following receipt of final underwriter quotes. The third 
category of non-Plan Processor costs is the CAT operational reserve, 
which is comprised of three months of ongoing Plan Processor costs 
($9,375,000), third party support costs ($1,300,000) and cyber-
insurance costs ($750,000). The Operating Committee aims to accumulate 
the necessary funds to establish the three-month operating reserve for 
the Company through the CAT Fees charged to CAT Reporters for the year. 
On an ongoing basis, the Operating Committee will account for any 
potential need to replenish the operating reserve or other changes to 
total cost during its annual budgeting process. The following table 
summarizes the Plan Processor and non-Plan Processor cost components 
which comprise the total estimated CAT costs of $50,700,000 for the 
covered period.

[[Page 59790]]



------------------------------------------------------------------------
         Cost category                Cost component          Amount
------------------------------------------------------------------------
Plan Processor.................  Operational Costs......     $37,500,000
Non-Plan Processor.............  Third Party Support           5,200,000
                                  Costs.
                                 Operational Reserve....  \55\ 5,000,000
                                 Cyber-insurance Costs..       3,000,000
                                                         ---------------
    Estimated Total............  .......................      50,700,000
------------------------------------------------------------------------

    Based on these estimated costs and the calculations for the funding 
model described above, the Operating Committee determined to impose the 
following fees: \56\
---------------------------------------------------------------------------

    \55\ This $5,000,000 represents the gradual accumulation of the 
funds for a target operating reserve of $11,425,000.
    \56\ Note that all monthly, quarterly and annual CAT Fees have 
been rounded to the nearest dollar.
---------------------------------------------------------------------------

    For Industry Members (other than Execution Venue ATSs):

------------------------------------------------------------------------
                                          Percentage  of
                  Tier                       Industry     Quarterly  CAT
                                              Members           fee
------------------------------------------------------------------------
1.......................................           0.900         $81,483
2.......................................           2.150          59,055
3.......................................           2.800          40,899
4.......................................           7.750          25,566
5.......................................           8.300           7,428
6.......................................          18.800           1,968
7.......................................          59.300             105
------------------------------------------------------------------------

    For Execution Venues for NMS Stocks and OTC Equity Securities:

------------------------------------------------------------------------
                                          Percentage  of
                                              Equity      Quarterly  CAT
                  Tier                       Execution          Fee
                                              Venues
------------------------------------------------------------------------
1.......................................           25.00         $81,048
2.......................................           42.00          37,062
3.......................................           23.00          21,126
4.......................................           10.00             129
------------------------------------------------------------------------

    For Execution Venues for Listed Options:

------------------------------------------------------------------------
                                          Percentage  of
                                              Options     Quarterly  CAT
                  Tier                       Execution          Fee
                                              Venues
------------------------------------------------------------------------
1.......................................           75.00         $81,381
2.......................................           25.00          37,629
------------------------------------------------------------------------

    The Operating Committee has calculated the schedule of effective 
fees for Industry Members (other than Execution Venue ATSs) and 
Execution Venues in the following manner. Note that the calculation of 
CAT Fees assumes 52 Equity Execution Venues, 15 Options Execution 
Venues and 1,541 Industry Members (other than Execution Venue ATSs) as 
of June 2017.

                          Calculation of Annual Tier Fees for Industry Members (``IM'')
----------------------------------------------------------------------------------------------------------------
                                                                                  Percentage  of
                                                                  Percentage  of     Industry     Percentage  of
                      Industry Member tier                           Industry         Member           total
                                                                      Members        Recovery        recovery
----------------------------------------------------------------------------------------------------------------
Tier 1..........................................................           0.900           12.00            9.00
Tier 2..........................................................           2.150           20.50           15.38
Tier 3..........................................................           2.800           18.50           13.88
Tier 4..........................................................           7.750           32.00           24.00
Tier 5..........................................................           8.300           10.00            7.50
Tier 6..........................................................          18.800            6.00            4.50
Tier 7..........................................................          59.300            1.00            0.75
                                                                 -----------------------------------------------
    Total.......................................................             100             100              75
----------------------------------------------------------------------------------------------------------------



------------------------------------------------------------------------
                                                             Estimated
                                                             Number of
                  Industry Member tier                       Industry
                                                              Members
------------------------------------------------------------------------
Tier 1..................................................              14
Tier 2..................................................              33
Tier 3..................................................              43
Tier 4..................................................             119
Tier 5..................................................             128
Tier 6..................................................             290
Tier 7..................................................             914
                                                         ---------------
    Total...............................................           1,541
------------------------------------------------------------------------

BILLING CODE 8011-01-P

[[Page 59791]]

[GRAPHIC] [TIFF OMITTED] TN15DE17.008

BILLING CODE 8011-01-C

[[Page 59792]]



                      Calculation of Annual Tier Fees for Equity Execution Venues (``EV'')
----------------------------------------------------------------------------------------------------------------
                                                                  Percentage  of  Percentage  of
                                                                      Equity         Execution    Percentage  of
                   Equity Execution Venue tier                       Execution         Venue           total
                                                                      Venues         Recovery        recovery
----------------------------------------------------------------------------------------------------------------
Tier 1..........................................................           25.00           33.25            8.31
Tier 2..........................................................           42.00           25.73            6.43
Tier 3..........................................................           23.00            8.00            2.00
Tier 4..........................................................           10.00           49.00            0.01
                                                                 -----------------------------------------------
    Total.......................................................             100              67           16.75
----------------------------------------------------------------------------------------------------------------


------------------------------------------------------------------------
                                                             Estimated
                                                             number of
               Equity Execution Venue tier                    Equity
                                                             Execution
                                                              Venues
------------------------------------------------------------------------
Tier 1..................................................              13
Tier 2..................................................              22
Tier 3..................................................              12
Tier 4..................................................               5
                                                         ---------------
    Total...............................................              52
------------------------------------------------------------------------

                                                          [GRAPHIC] [TIFF OMITTED] TN15DE17.009
                                                          

[[Page 59793]]


                      Calculation of Annual Tier Fees for Options Execution Venues (``EV'')
----------------------------------------------------------------------------------------------------------------
                                                                  Percentage  of  Percentage  of
                                                                      Options        Execution    Percentage  of
                  Options Execution Venue tier                       Execution         Venue           total
                                                                      Venues         Recovery        recovery
----------------------------------------------------------------------------------------------------------------
Tier 1..........................................................           75.00           28.25            7.06
Tier 2..........................................................           25.00            4.75            1.19
                                                                 -----------------------------------------------
    Total.......................................................             100              33            8.25
----------------------------------------------------------------------------------------------------------------


------------------------------------------------------------------------
                                                             Estimated
                                                             number of
              Options Execution Venue Tier                    Options
                                                             Execution
                                                              Venues
------------------------------------------------------------------------
Tier 1..................................................              11
Tier 2..................................................               4
                                                         ---------------
    Total...............................................              15
------------------------------------------------------------------------

                                                          [GRAPHIC] [TIFF OMITTED] TN15DE17.010
                                                          

                                         Traceability of Total CAT Fees
----------------------------------------------------------------------------------------------------------------
                                                                     Estimated
                Type                     Industry  Member tier       number of     CAT Fees paid  Total recovery
                                                                      Members      annually  ($)        ($)
----------------------------------------------------------------------------------------------------------------
Industry Members....................  Tier 1....................              14         325,932       4,563,048
                                      Tier 2....................              33         236,220       7,795,260
                                      Tier 3....................              43         163,596       7,034,628
                                      Tier 4....................             119         102,264      12,169,416
                                      Tier 5....................             128          29,712       3,803,136
                                      Tier 6....................             290           7,872       2,282,880
                                      Tier 7....................             914             420         383,880
                                                                 -----------------------------------------------
    Total...........................  ..........................           1,541  ..............      38,032,248
----------------------------------------------------------------------------------------------------------------
Equity Execution Venues.............  Tier 1....................              13         324,192       4,214,496
                                      Tier 2....................              22         148,248       3,261,456
                                      Tier 3....................              12          84,504       1,014,048
                                      Tier 4....................               5             516           2,580
                                                                 -----------------------------------------------
    Total...........................  ..........................              52  ..............       8,492,580
----------------------------------------------------------------------------------------------------------------
Options Execution Venues............  Tier 1....................              11         325,524       3,580,764
                                      Tier 2....................               4         150,516         602,064
                                                                 -----------------------------------------------
    Total...........................  ..........................              15  ..............       4,182,828
----------------------------------------------------------------------------------------------------------------
        Total.......................  ..........................  ..............  ..............      50,700,000
                                                                 -----------------------------------------------

[[Page 59794]]

 
        Excess \57\.................  ..........................  ..............  ..............           7,656
----------------------------------------------------------------------------------------------------------------

(F) Comparability of Fees
---------------------------------------------------------------------------

    \57\ The amount in excess of the total CAT costs will contribute 
to the gradual accumulation of the target operating reserve of 
$11.425 million.
---------------------------------------------------------------------------

    The funding principles require a funding model in which the fees 
charged to the CAT Reporters with the most CAT-related activity 
(measured by market share and/or message traffic, as applicable) are 
generally comparable (where, for these comparability purposes, the 
tiered fee structure takes into consideration affiliations between or 
among CAT Reporters, whether Execution Venue and/or Industry Members). 
Accordingly, in creating the model, the Operating Committee sought to 
establish comparable fees for the top tier of Industry Members (other 
than Execution Venue ATSs), Equity Execution Venues and Options 
Execution Venues. Specifically, each Tier 1 CAT Reporter would be 
required to pay a quarterly fee of approximately $81,000.
(G) Billing Onset
    Under Section 11.1(c) of the CAT NMS Plan, to fund the development 
and implementation of the CAT, the Company shall time the imposition 
and collection of all fees on Participants and Industry Members in a 
manner reasonably related to the timing when the Company expects to 
incur such development and implementation costs. The Company is 
currently incurring such development and implementation costs and will 
continue to do so prior to the commencement of CAT reporting and 
thereafter. In accordance with the CAT NMS Plan, all CAT Reporters, 
including both Industry Members and Execution Venues (including 
Participants), will be invoiced as promptly as possible following the 
latest of the operative date of the Consolidated Audit Trail Funding 
Fees for each of the Participants and the operative date of the Plan 
amendment adopting CAT Fees for Participants.
(H) Changes to Fee Levels and Tiers
    Section 11.3(d) of the CAT NMS Plan states that ``[t]he Operating 
Committee shall review such fee schedule on at least an annual basis 
and shall make any changes to such fee schedule that it deems 
appropriate. The Operating Committee is authorized to review such fee 
schedule on a more regular basis, but shall not make any changes on 
more than a semi-annual basis unless, pursuant to a Supermajority Vote, 
the Operating Committee concludes that such change is necessary for the 
adequate funding of the Company.'' With such reviews, the Operating 
Committee will review the distribution of Industry Members and 
Execution Venues across tiers, and make any updates to the percentage 
of CAT Reporters allocated to each tier as may be necessary. In 
addition, the reviews will evaluate the estimated ongoing CAT costs and 
the level of the operating reserve. To the extent that the total CAT 
costs decrease, the fees would be adjusted downward, and to the extent 
that the total CAT costs increase, the fees would be adjusted 
upward.\58\ Furthermore, any surplus of the Company's revenues over its 
expenses is to be included within the operational reserve to offset 
future fees. The limitations on more frequent changes to the fee, 
however, are intended to provide budgeting certainty for the CAT 
Reporters and the Company.\59\ To the extent that the Operating 
Committee approves changes to the number of tiers in the funding model 
or the fees assigned to each tier, then the Operating Committee will 
file such changes with the SEC pursuant to Rule 608 of the Exchange 
Act, and any such changes will become effective in accordance with the 
requirements of Rule 608.
---------------------------------------------------------------------------

    \58\ The CAT Fees are designed to recover the costs associated 
with the CAT. Accordingly, CAT Fees would not be affected by 
increases or decreases in other non-CAT expenses incurred by the 
Participants, such as any changes in costs related to the retirement 
of existing regulatory systems, such as OATS.
    \59\ Section B.7, Appendix C of the CAT NMS Plan, Approval Order 
at 85006.
---------------------------------------------------------------------------

(I) Initial and Periodic Tier Reassignments
    The Operating Committee has determined to calculate fee tiers every 
three months based on market share or message traffic, as applicable, 
from the prior three months. For the initial tier assignments, the 
Company will calculate the relevant tier for each CAT Reporter using 
the three months of data prior to the commencement date. As with the 
initial tier assignment, for the tri-monthly reassignments, the Company 
will calculate the relevant tier using the three months of data prior 
to the relevant tri-monthly date. Any movement of CAT Reporters between 
tiers will not change the criteria for each tier or the fee amount 
corresponding to each tier.
    In performing the tri-monthly reassignments, the assignment of CAT 
Reporters in each assigned tier is relative. Therefore, a CAT 
Reporter's assigned tier will depend, not only on its own message 
traffic or market share, but also on the message traffic/market share 
across all CAT Reporters. For example, the percentage of Industry 
Members (other than Execution Venue ATSs) in each tier is relative such 
that such Industry Member's assigned tier will depend on message 
traffic generated across all CAT Reporters as well as the total number 
of CAT Reporters. The Operating Committee will inform CAT Reporters of 
their assigned tier every three months following the periodic tiering 
process, as the funding model will compare an individual CAT Reporter's 
activity to that of other CAT Reporters in the marketplace.
    The following demonstrates a tier reassignment. In accordance with 
the funding model, the top 75% of Options Execution Venues in market 
share are categorized as Tier 1 while the bottom 25% of Options 
Execution Venues in market share are categorized as Tier 2. In the 
sample scenario below, Options Execution Venue L is initially 
categorized as a Tier 2 Options Execution Venue in Period A due to its 
market share. When market share is recalculated for Period B, the 
market share of Execution Venue L increases, and it is therefore 
subsequently reranked and reassigned to Tier 1 in Period B. 
Correspondingly, Options Execution Venue K, initially a Tier 1 Options 
Execution Venue in Period A, is reassigned to Tier 2 in Period B due to 
decreases in its market share.

[[Page 59795]]



--------------------------------------------------------------------------------------------------------------------------------------------------------
                                    Period A                                                                     Period B
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                  Market share                                                             Market share
            Options Execution Venue                   rank             Tier               Options Execution Venue              rank            Tier
--------------------------------------------------------------------------------------------------------------------------------------------------------
Options Execution Venue A......................               1               1   Options Execution Venue A.............               1               1
Options Execution Venue B......................               2               1   Options Execution Venue B.............               2               1
Options Execution Venue C......................               3               1   Options Execution Venue C.............               3               1
Options Execution Venue D......................               4               1   Options Execution Venue D.............               4               1
Options Execution Venue E......................               5               1   Options Execution Venue E.............               5               1
Options Execution Venue F......................               6               1   Options Execution Venue F.............               6               1
Options Execution Venue G......................               7               1   Options Execution Venue I.............               7               1
Options Execution Venue H......................               8               1   Options Execution Venue H.............               8               1
Options Execution Venue I......................               9               1   Options Execution Venue G.............               9               1
Options Execution Venue J......................              10               1   Options Execution Venue J.............              10               1
Options Execution Venue K......................              11               1   Options Execution Venue L.............              11               1
Options Execution Venue L......................              12               2   Options Execution Venue K.............              12               2
Options Execution Venue M......................              13               2   Options Execution Venue N.............              13               2
Options Execution Venue N......................              14               2   Options Execution Venue M.............              14               2
Options Execution Venue O......................              15               2   Options Execution Venue O.............              15               2
--------------------------------------------------------------------------------------------------------------------------------------------------------

    For each periodic tier reassignment, the Operating Committee will 
review the new tier assignments, particularly those assignments for CAT 
Reporters that shift from the lowest tier to a higher tier. This review 
is intended to evaluate whether potential changes to the market or CAT 
Reporters (e.g., dissolution of a large CAT Reporter) adversely affect 
the tier reassignments.
(J) Sunset Provision
    The Operating Committee developed the proposed funding model by 
analyzing currently available historical data. Such historical data, 
however, is not as comprehensive as data that will be submitted to the 
CAT. Accordingly, the Operating Committee believes that it will be 
appropriate to revisit the funding model once CAT Reporters have actual 
experience with the funding model. Accordingly, the Operating Committee 
determined to include an automatic sunsetting provision for the 
proposed fees. Specifically, the Operating Committee determined that 
the CAT Fees should automatically expire two years after the operative 
date of the CAT NMS Plan amendment adopting CAT Fees for Participants. 
The Operating Committee intends to monitor the operation of the funding 
model during this two year period and to evaluate its effectiveness 
during that period. Such a process will inform the Operating 
Committee's approach to funding the CAT after the two year period.
(3) Proposed CAT Fee Schedule
    SRO proposes the Consolidated Audit Trail Funding Fees to impose 
the CAT Fees determined by the Operating Committee on SRO's members. 
The proposed fee schedule has four sections, covering definitions, the 
fee schedule for CAT Fees, the timing and manner of payments, and the 
automatic sunsetting of the CAT Fees. Each of these sections is 
discussed in detail below.
(A) Definitions
    Paragraph (a) of the proposed fee schedule sets forth the 
definitions for the proposed fee schedule. Paragraph (a)(1) states 
that, for purposes of the Consolidated Audit Trail Funding Fees, the 
terms ``CAT'', ``CAT NMS Plan,'' ``Industry Member,'' ``NMS Stock,'' 
``OTC Equity Security'', ``Options Market Maker'', and ``Participant'' 
are defined as set forth in Rule 16010 (Consolidated Audit Trail--
Definitions).
    The proposed fee schedule imposes different fees on Equity ATSs and 
Industry Members that are not Equity ATSs. Accordingly, the proposed 
fee schedule defines the term ``Equity ATS.'' First, paragraph (a)(2) 
defines an ``ATS'' to mean an alternative trading system as defined in 
Rule 300(a) of Regulation ATS under the Securities Exchange Act of 
1934, as amended, that operates pursuant to Rule 301 of Regulation ATS. 
This is the same definition of an ATS as set forth in Section 1.1 of 
the CAT NMS Plan in the definition of an ``Execution Venue.'' Then, 
paragraph (a)(4) defines an ``Equity ATS'' as an ATS that executes 
transactions in NMS Stocks and/or OTC Equity Securities.
    Paragraph (a)(3) of the proposed fee schedule defines the term 
``CAT Fee'' to mean the Consolidated Audit Trail Funding Fee(s) to be 
paid by Industry Members as set forth in paragraph (b) in the proposed 
fee schedule.
    Finally, Paragraph (a)(6) defines an ``Execution Venue'' as a 
Participant or an ATS (excluding any such ATS that does not execute 
orders). This definition is the same substantive definition as set 
forth in Section 1.1 of the CAT NMS Plan. Paragraph (a)(5) defines an 
``Equity Execution Venue'' as an Execution Venue that trades NMS Stocks 
and/or OTC Equity Securities.
(B) Fee Schedule
    SRO proposes to impose the CAT Fees applicable to its Industry 
Members through paragraph (b) of the proposed fee schedule. Paragraph 
(b)(1) of the proposed fee schedule sets forth the CAT Fees applicable 
to Industry Members other than Equity ATSs. Specifically, paragraph 
(b)(1) states that the Company will assign each Industry Member (other 
than an Equity ATS) to a fee tier once every quarter, where such tier 
assignment is calculated by ranking each Industry Member based on its 
total message traffic (with discounts for equity market maker quotes 
and Options Market Maker quotes based on the trade to quote ratio for 
equities and options, respectively) for the three months prior to the 
quarterly tier calculation day and assigning each Industry Member to a 
tier based on that ranking and predefined Industry Member percentages. 
The Industry Members with the highest total quarterly message traffic 
will be ranked in Tier 1, and the Industry Members with lowest 
quarterly message traffic will be ranked in Tier 7. Each quarter, each 
Industry Member (other than an Equity ATS) shall pay the following CAT 
Fee corresponding to the tier assigned by the Company for such Industry 
Member for that quarter:

------------------------------------------------------------------------
                                                 Percentage
                     Tier                       of Industry   Quarterly
                                                  Members      CAT Fee
------------------------------------------------------------------------
1.............................................        0.900      $81,483
2.............................................        2.150       59,055
3.............................................        2.800       40,899
4.............................................        7.750       25,566
5.............................................        8.300        7,428
6.............................................       18.800        1,968
7.............................................       59.300          105
------------------------------------------------------------------------


[[Page 59796]]

    Paragraph (b)(2) of the proposed fee schedule sets forth the CAT 
Fees applicable to Equity ATSs.\60\ These are the same fees that 
Participants that trade NMS Stocks and/or OTC Equity Securities will 
pay. Specifically, paragraph (b)(2) states that the Company will assign 
each Equity ATS to a fee tier once every quarter, where such tier 
assignment is calculated by ranking each Equity Execution Venue based 
on its total market share of NMS Stocks and OTC Equity Securities (with 
a discount for Equity ATSs exclusively trading OTC Equity Securities 
based on the average shares per trade ratio between NMS Stocks and OTC 
Equity Securities) for the three months prior to the quarterly tier 
calculation day and assigning each Equity ATS to a tier based on that 
ranking and predefined Equity Execution Venue percentages. The Equity 
ATSs with the higher total quarterly market share will be ranked in 
Tier 1, and the Equity ATSs with the lowest quarterly market share will 
be ranked in Tier 4. Specifically, paragraph (b)(2) states that, each 
quarter, each Equity ATS shall pay the following CAT Fee corresponding 
to the tier assigned by the Company for such Equity ATS for that 
quarter:
---------------------------------------------------------------------------

    \60\ Note that no fee schedule is provided for Execution Venue 
ATSs that execute transactions in Listed Options, as no such 
Execution Venue ATSs currently exist due to trading restrictions 
related to Listed Options.

------------------------------------------------------------------------
                                                 Percentage
                                                 of Equity    Quarterly
                     Tier                        Execution     CAT Fee
                                                   Venues
------------------------------------------------------------------------
1.............................................        25.00      $81,048
2.............................................        42.00       37,062
3.............................................        23.00       21,126
4.............................................        10.00          129
------------------------------------------------------------------------

(C) Timing and Manner of Payment
    Section 11.4 of the CAT NMS Plan states that the Operating 
Committee shall establish a system for the collection of fees 
authorized under the CAT NMS Plan. The Operating Committee may include 
such collection responsibility as a function of the Plan Processor or 
another administrator. To implement the payment process to be adopted 
by the Operating Committee, paragraph (c)(1) of the proposed fee 
schedule states that the Company will provide each Industry Member with 
one invoice each quarter for its CAT Fees as determined pursuant to 
paragraph (b) of the proposed fee schedule, regardless of whether the 
Industry Member is a member of multiple self-regulatory organizations. 
Paragraph (c)(1) further states that each Industry Member will pay its 
CAT Fees to the Company via the centralized system for the collection 
of CAT Fees established by the Company in the manner prescribed by the 
Company. SRO will provide Industry Members with details regarding the 
manner of payment of CAT Fees by Informational Circular.
    All CAT Fees will be billed and collected centrally through the 
Company via the Plan Processor. Although each Participant will adopt 
its own fee schedule regarding CAT Fees, no CAT Fees or portion thereof 
will be collected by the individual Participants. Each Industry Member 
will receive from the Company one invoice for its applicable CAT fees, 
not separate invoices from each Participant of which it is a member. 
The Industry Members will pay the CAT Fees to the Company via the 
centralized system for the collection of CAT Fees established by the 
Company.\61\
---------------------------------------------------------------------------

    \61\ Section 11.4 of the CAT NMS Plan.
---------------------------------------------------------------------------

    Section 11.4 of the CAT NMS Plan also states that Participants 
shall require each Industry Member to pay all applicable authorized CAT 
Fees within thirty days after receipt of an invoice or other notice 
indicating payment is due (unless a longer payment period is otherwise 
indicated). Section 11.4 further states that, if an Industry Member 
fails to pay any such fee when due, such Industry Member shall pay 
interest on the outstanding balance from such due date until such fee 
is paid at a per annum rate equal to the lesser of: (i) The Prime Rate 
plus 300 basis points; or (ii) the maximum rate permitted by applicable 
law. Therefore, in accordance with Section 11.4 of the CAT NMS Plan, 
SRO proposed to adopt paragraph (c)(2) of the proposed fee schedule. 
Paragraph (c)(2) of the proposed fee schedule states that each Industry 
Member shall pay CAT Fees within thirty days after receipt of an 
invoice or other notice indicating payment is due (unless a longer 
payment period is otherwise indicated). If an Industry Member fails to 
pay any such fee when due, such Industry Member shall pay interest on 
the outstanding balance from such due date until such fee is paid at a 
per annum rate equal to the lesser of: (i) The Prime Rate plus 300 
basis points; or (ii) the maximum rate permitted by applicable law.
(D) Sunset Provision
    The Operating Committee has determined to require that the CAT Fees 
automatically sunset two years from the operative date of the CAT NMS 
Plan amendment adopting CAT Fees for Participants. Accordingly, SRO 
proposes paragraph (d) of the fee schedule, which states that ``[t]hese 
Consolidated Audit Trailing Funding Fees will automatically expire two 
years after the operative date of the amendment of the CAT NMS Plan 
that adopts CAT fees for the Participants.''
(4) Changes to Prior CAT Fee Plan Amendment
    The proposed funding model set forth in this Amendment is a revised 
version of the Original Proposal. The Commission received a number of 
comment letters in response to the Original Proposal.\62\ The SEC 
suspended the Original Proposal and instituted proceedings to determine 
whether to approve or disapprove it.\63\ Pursuant to those proceedings, 
additional comment letters were submitted regarding the proposed 
funding model.\64\ In developing this Amendment, the Operating 
Committee carefully considered these comments and made a number of 
changes to the Original Proposal to address these comments where 
appropriate.
---------------------------------------------------------------------------

    \62\ For a description of the comments submitted in response to 
the Original Proposal, see Suspension Order.
    \63\ Suspension Order.
    \64\ See MFA Letter; SIFMA Letter; FIA Principal Traders Group 
Letter; Belvedere Letter; Sidley Letter; Group One Letter; and Virtu 
Financial Letter.
---------------------------------------------------------------------------

    This Amendment makes the following changes to the Original 
Proposal: (1) Adds two additional CAT Fee tiers for Equity Execution 
Venues; (2) discounts the market share of Execution Venue ATSs 
exclusively trading OTC Equity Securities as well as the market share 
of the FINRA ORF by the average shares per trade ratio between NMS 
Stocks and OTC Equity Securities (calculated as 0.17% based on 
available data from the second quarter of June 2017) when calculating 
the market share of Execution Venue ATSs exclusively trading OTC Equity 
Securities and FINRA; (3) discounts the Options Market Maker quotes by 
the trade to quote ratio for options (calculated as 0.01% based on 
available data for June 2016 through June 2017) when calculating 
message traffic for Options Market Makers; (4) discounts equity market 
maker quotes by the trade to quote ratio for equities (calculated as 
5.43% based on available data for June 2016 through June 2017) when 
calculating message traffic for equity market makers; (5) decreases the 
number of tiers for Industry Members (other than the Execution Venue 
ATSs) from nine to seven; (6) changes the allocation of CAT costs 
between Equity Execution Venues and Options Execution Venues from 75%/
25% to

[[Page 59797]]

67%/33%; (7) adjusts tier percentages and recovery allocations for 
Equity Execution Venues, Options Execution Venues and Industry Members 
(other than Execution Venue ATSs); (8) focuses the comparability of CAT 
Fees on the individual entity level, rather than primarily on the 
comparability of affiliated entities; (9) commences invoicing of CAT 
Reporters as promptly as possible following the latest of the operative 
date of the Consolidated Audit Trail Funding Fees for each of the 
Participants and the operative date of the CAT NMS Plan amendment 
adopting CAT Fees for Participants; and (10) requires the proposed fees 
to automatically expire two years from the operative date of the CAT 
NMS Plan amendment adopting CAT Fees for the Participants.
(A) Equity Execution Venues
(i) Small Equity Execution Venues
    In the Original Proposal, the Operating Committee proposed to 
establish two fee tiers for Equity Execution Venues. The Commission and 
commenters raised the concern that, by establishing only two tiers, 
smaller Equity Execution Venues (e.g., those Equity ATSs representing 
less than 1% of NMS market share) would be placed in the same fee tier 
as larger Equity Execution Venues, thereby imposing an undue or 
inappropriate burden on competition.\65\ To address this concern, the 
Operating Committee proposes to add two additional tiers for Equity 
Execution Venues, a third tier for smaller Equity Execution Venues and 
a fourth tier for the smallest Equity Execution Venues.
---------------------------------------------------------------------------

    \65\ See Suspension Order at 31664; SIFMA Letter at 3.
---------------------------------------------------------------------------

    Specifically, the Original Proposal had two tiers of Equity 
Execution Venues. Tier 1 required the largest Equity Execution Venues 
to pay a quarterly fee of $63,375. Based on available data, these 
largest Equity Execution Venues were those that had equity market share 
of share volume greater than or equal to 1%.\66\ Tier 2 required the 
remaining smaller Equity Execution Venues to pay a quarterly fee of 
$38,820.
---------------------------------------------------------------------------

    \66\ Note that while these equity market share thresholds were 
referenced as data points to help differentiate between Equity 
Execution Venue tiers, the proposed funding model is directly driven 
not by market share thresholds, but rather by fixed percentages of 
Equity Execution Venues across tiers to account for fluctuating 
levels of market share across time. Actual market share in any tier 
will vary based on the actual market activity in a given measurement 
period, as well as the number of Equity Execution Venues included in 
the measurement period.
---------------------------------------------------------------------------

    To address concerns about the potential for the $38,820 quarterly 
fee to impose an undue burden on smaller Equity Execution Venues, the 
Operating Committee determined to move to a four tier structure for 
Equity Execution Venues. Tier 1 would continue to include the largest 
Equity Execution Venues by share volume (that is, based on currently 
available data, those with market share of equity share volume greater 
than or equal to one percent), and these Equity Execution Venues would 
be required to pay a quarterly fee of $81,048. The Operating Committee 
determined to divide the original Tier 2 into three tiers. The new Tier 
2 Equity Execution Venues, which would include the next largest Equity 
Execution Venues by equity share volume, would be required to pay a 
quarterly fee of $37,062. The new Tier 3 Equity Execution Venues would 
be required to pay a quarterly fee of $21,126. The new Tier 4 Equity 
Execution Venues, which would include the smallest Equity Execution 
Venues by share volume, would be required to pay a quarterly fee of 
$129.
    In developing the proposed four tier structure, the Operating 
Committee considered keeping the existing two tiers, as well as 
shifting to three, four or five Equity Execution Venue tiers (the 
maximum number of tiers permitted under the Plan), to address the 
concerns regarding small Equity Execution Venues. For each of the two, 
three, four and five tier alternatives, the Operating Committee 
considered the assignment of various percentages of Equity Execution 
Venues to each tier as well as various percentage of Equity Execution 
Venue recovery allocations for each alternative. As discussed below in 
more detail, each of these options was considered in the context of the 
full model, as changes in each variable in the model affect other 
variables in the model when allocating the total CAT costs among CAT 
Reporters. The Operating Committee determined that the four tier 
alternative addressed the spectrum of different Equity Execution 
Venues. The Operating Committee determined that neither a two tier 
structure nor a three tier structure sufficiently accounted for the 
range of market shares of smaller Equity Execution Venues. The 
Operating Committee also determined that, given the limited number of 
Equity Execution Venues, that a fifth tier was unnecessary to address 
the range of market shares of the Equity Execution Venues.
    By increasing the number of tiers for Equity Execution Venues and 
reducing the proposed CAT Fees for the smaller Equity Execution Venues, 
the Operating Committee believes that the proposed fees for Equity 
Execution Venues would not impose an undue or inappropriate burden on 
competition under Section 6 or Section 15A of the Exchange Act. 
Moreover, the Operating Committee believes that the proposed fees 
appropriately take into account the distinctions in the securities 
trading operations of different Equity Execution Venues, as required 
under the funding principles of the CAT NMS Plan.\67\ The larger number 
of tiers more closely tracks the variety of sizes of equity share 
volume of Equity Execution Venues. In addition, the reduction in the 
fees for the smaller Equity Execution Venues recognizes the potential 
burden of larger fees on smaller entities. In particular, the very 
small quarterly fee of $129 for Tier 4 Equity Execution Venues reflects 
the fact that certain Equity Execution Venues have a very small share 
volume due to their typically more focused business models.
---------------------------------------------------------------------------

    \67\ Section 11.2(b) of the CAT NMS Plan.
---------------------------------------------------------------------------

    Accordingly, with this Amendment, SRO proposes to amend paragraph 
(b)(2) of the proposed fee schedule to add the two additional tiers for 
Equity Execution Venues, to establish the percentages and fees for 
Tiers 3 and 4 as described, and to revise the percentages and fees for 
Tiers 1 and 2 as described.
(ii) Execution Venues for OTC Equity Securities
    In the Original Proposal, the Operating Committee proposed to group 
Execution Venues for OTC Equity Securities and Execution Venues for NMS 
Stocks in the same tier structure. The Commission and commenters raised 
concerns as to whether this determination to place Execution Venues for 
OTC Equity Securities in the same tier structure as Execution Venues 
for NMS Stocks would result in an undue or inappropriate burden on 
competition, recognizing that the application of share volume may lead 
to different outcomes as applied to OTC Equity Securities and NMS 
Stocks.\68\ To address this concern, the Operating Committee proposes 
to discount the market share of Execution Venue ATSs exclusively 
trading OTC Equity Securities as well as the market share of the FINRA 
ORF by the average shares per trade ratio between NMS Stocks and OTC 
Equity Securities (0.17% for the second quarter of 2017) in order to 
adjust for the greater number of shares being traded in the OTC Equity 
Securities market, which is generally a function of a lower per share 
price for

[[Page 59798]]

OTC Equity Securities when compared to NMS Stocks.
---------------------------------------------------------------------------

    \68\ See Suspension Order at 31664-5.
---------------------------------------------------------------------------

    As commenters noted, many OTC Equity Securities are priced at less 
than one dollar--and a significant number at less than one penny--and 
low-priced shares tend to trade in larger quantities. Accordingly, a 
disproportionately large number of shares are involved in transactions 
involving OTC Equity Securities versus NMS Stocks, which has the effect 
of overstating an Execution Venue's true market share when the 
Execution Venue is involved in the trading of OTC Equity Securities. 
Because the proposed fee tiers are based on market share calculated by 
share volume, Execution Venue ATSs trading OTC Equity Securities and 
FINRA may be subject to higher tiers than their operations may 
warrant.\69\ The Operating Committee proposes to address this concern 
in two ways. First, the Operating Committee proposes to increase the 
number of Equity Execution Venue tiers, as discussed above. Second, the 
Operating Committee determined to discount the market share of 
Execution Venue ATSs exclusively trading OTC Equity Securities as well 
as the market share of the FINRA ORF when calculating their tier 
placement. Because the disparity in share volume between Execution 
Venues trading in OTC Equity Securities and NMS Stocks is based on the 
different number of shares per trade for OTC Equity Securities and NMS 
Stocks, the Operating Committee believes that discounting the share 
volume of such Execution Venue ATSs as well as the market share of the 
FINRA ORF would address the difference in shares per trade for OTC 
Equity Securities and NMS Stocks. Specifically, the Operating Committee 
proposes to impose a discount based on the objective measure of the 
average shares per trade ratio between NMS Stocks and OTC Equity 
Securities. Based on available data from the second quarter of 2017, 
the average shares per trade ratio between NMS Stocks and OTC Equity 
Securities is 0.17%.
---------------------------------------------------------------------------

    \69\ Suspension Order at 31664-5.
---------------------------------------------------------------------------

    The practical effect of applying such a discount for trading in OTC 
Equity Securities is to shift Execution Venue ATSs exclusively trading 
OTC Equity Securities to tiers for smaller Execution Venues and with 
lower fees. For example, under the Original Proposal, one Execution 
Venue ATS exclusively trading OTC Equity Securities was placed in the 
first CAT Fee tier, which had a quarterly fee of $63,375. With the 
imposition of the proposed tier changes and the discount, this ATS 
would be ranked in Tier 3 and would owe a quarterly fee of $21,126.
    In developing the proposed discount for Equity Execution Venue ATSs 
exclusively trading OTC Equity Securities and FINRA, the Operating 
Committee evaluated different alternatives to address the concerns 
related to OTC Equity Securities, including creating a separate tier 
structure for Execution Venues trading OTC Equity Securities (like the 
separate tier for Options Execution Venues) as well as the proposed 
discounting method for Execution Venue ATSs exclusively trading OTC 
Equity Securities and FINRA. For these alternatives, the Operating 
Committee considered how each alternative would affect the recovery 
allocations. In addition, each of these options was considered in the 
context of the full model, as changes in each variable in the model 
affect other variables in the model when allocating the total CAT costs 
among CAT Reporters. The Operating Committee did not adopt a separate 
tier structure for Equity Execution Venues trading OTC Equity 
Securities as they determined that the proposed discount approach 
appropriately addresses the concern. The Operating Committee determined 
to adopt the proposed discount because it directly relates to the 
concern regarding the trading patterns and operations in the OTC Equity 
Securities markets, and is an objective discounting method.
    By increasing the number of tiers for Equity Execution Venues and 
imposing a discount on the market share of share volume calculation for 
trading in OTC Equity Securities, the Operating Committee believes that 
the proposed fees for Equity Execution Venues would not impose an undue 
or inappropriate burden on competition under Section 6 or Section 15A 
of the Exchange Act. Moreover, the Operating Committee believes that 
the proposed fees appropriately take into account the distinctions in 
the securities trading operations of different Equity Execution Venues, 
as required under the funding principles of the CAT NMS Plan.\70\ As 
discussed above, the larger number of tiers more closely tracks the 
variety of sizes of equity share volume of Equity Execution Venues. In 
addition, the proposed discount recognizes the different types of 
trading operations at Equity Execution Venues trading OTC Equity 
Securities versus those trading NMS Stocks, thereby more closing 
matching the relative revenue generation by Equity Execution Venues 
trading OTC Equity Securities to their CAT Fees.
---------------------------------------------------------------------------

    \70\ Section 11.2(b) of the CAT NMS Plan.
---------------------------------------------------------------------------

    Accordingly, with this Amendment, SRO proposes to amend paragraph 
(b)(2) of the proposed fee schedule to indicate that the market share 
for Equity ATSs exclusively trading OTC Equity Securities as well as 
the market share of the FINRA ORF would be discounted. In addition, as 
discussed above, to address concerns related to smaller ATSs, including 
those that exclusively trade OTC Equity Securities, SRO proposes to 
amend paragraph (b)(2) of the proposed fee schedule to add two 
additional tiers for Equity Execution Venues, to establish the 
percentages and fees for Tiers 3 and 4 as described, and to revise the 
percentages and fees for Tiers 1 and 2 as described.
(B) Market Makers
    In the Original Proposal, the Operating Committee proposed to 
include both Options Market Maker quotes and equities market maker 
quotes in the calculation of total message traffic for such market 
makers for purposes of tiering for Industry Members (other than 
Execution Venue ATSs). The Commission and commenters raised questions 
as to whether the proposed treatment of Options Market Maker quotes may 
result in an undue or inappropriate burden on competition or may lead 
to a reduction in market quality.\71\ To address this concern, the 
Operating Committee determined to discount the Options Market Maker 
quotes by the trade to quote ratio for options when calculating message 
traffic for Options Market Makers. Similarly, to avoid disincentives to 
quoting behavior on the equities side as well, the Operating Committee 
determined to discount equity market maker quotes by the trade to quote 
ratio for equities when calculating message traffic for equities market 
makers.
---------------------------------------------------------------------------

    \71\ See Suspension Order at 31663-4; SIFMA Letter at 4-6; FIA 
Principal Traders Group Letter at 3; Sidley Letter at 2-6; Group One 
Letter at 2-6; and Belvedere Letter at 2.
---------------------------------------------------------------------------

    In the Original Proposal, market maker quotes were treated the same 
as other message traffic for purposes of tiering for Industry Members 
(other than Execution Venue ATSs). Commenters noted, however, that 
charging Industry Members on the basis of message traffic will impact 
market makers disproportionately because of their continuous quoting 
obligations. Moreover, in the context of options market makers, message 
traffic would include bids and offers for every listed options strikes 
and series, which are not

[[Page 59799]]

an issue for equities.\72\ The Operating Committee proposes to address 
this concern in two ways. First, the Operating Committee proposes to 
discount Options Market Maker quotes when calculating the Options 
Market Makers' tier placement. Specifically, the Operating Committee 
proposes to impose a discount based on the objective measure of the 
trade to quote ratio for options. Based on available data from June 
2016 through June 2017, the trade to quote ratio for options is 0.01%. 
Second, the Operating Committee proposes to discount equities market 
maker quotes when calculating the equities market makers' tier 
placement. Specifically, the Operating Committee proposes to impose a 
discount based on the objective measure of the trade to quote ratio for 
equities. Based on available data for June 2016 through June 2017, this 
trade to quote ratio for equities is 5.43%.
---------------------------------------------------------------------------

    \72\ Suspension Order at 31664.
---------------------------------------------------------------------------

    The practical effect of applying such discounts for quoting 
activity is to shift market makers' calculated message traffic lower, 
leading to the potential shift to tiers for lower message traffic and 
reduced fees. Such an approach would move sixteen Industry Member CAT 
Reporters that are market makers to a lower tier than in the Original 
Proposal. For example, under the Original Proposal, Broker-Dealer Firm 
ABC was placed in the first CAT Fee tier, which had a quarterly fee of 
$101,004. With the imposition of the proposed tier changes and the 
discount, Broker-Dealer Firm ABC, an options market maker, would be 
ranked in Tier 3 and would owe a quarterly fee of $40,899.
    In developing the proposed market maker discounts, the Operating 
Committee considered various discounts for Options Market Makers and 
equity market makers, including discounts of 50%, 25%, 0.00002%, as 
well as the 5.43% for option market makers and 0.01% for equity market 
makers. Each of these options were considered in the context of the 
full model, as changes in each variable in the model affect other 
variables in the model when allocating the total CAT costs among CAT 
Reporters. The Operating Committee determined to adopt the proposed 
discount because it directly relates to the concern regarding the 
quoting requirement, is an objective discounting method, and has the 
desired potential to shift market makers to lower fee tiers.
    By imposing a discount on Options Market Makers and equities market 
makers' quoting traffic for the calculation of message traffic, the 
Operating Committee believes that the proposed fees for market makers 
would not impose an undue or inappropriate burden on competition under 
Section 6 or Section 15A of the Exchange Act. Moreover, the Operating 
Committee believes that the proposed fees appropriately take into 
account the distinctions in the securities trading operations of 
different Industry Members, and avoid disincentives, such as a 
reduction in market quality, as required under the funding principles 
of the CAT NMS Plan.\73\ The proposed discounts recognize the different 
types of trading operations presented by Options Market Makers and 
equities market makers, as well as the value of the market makers' 
quoting activity to the market as a whole. Accordingly, the Operating 
Committee believes that the proposed discounts will not impact the 
ability of small Options Market Makers or equities market makers to 
provide liquidity.
---------------------------------------------------------------------------

    \73\ Section 11.2(b) of the CAT NMS Plan.
---------------------------------------------------------------------------

    Accordingly, with this Amendment, SRO proposes to amend paragraph 
(b)(1) of the proposed fee schedule to indicate that the message 
traffic related to equity market maker quotes and Options Market Maker 
quotes would be discounted. In addition, SRO proposes to define the 
term ``Options Market Maker'' in paragraph (a)(1) of the proposed fee 
schedule.
(C) Comparability/Allocation of Costs
    Under the Original Proposal, 75% of CAT costs were allocated to 
Industry Members (other than Execution Venue ATSs) and 25% of CAT costs 
were allocated to Execution Venues. This cost allocation sought to 
maintain the greatest level of comparability across the funding model, 
where comparability considered affiliations among or between CAT 
Reporters. The Commission and commenters expressed concerns regarding 
whether the proposed 75%/25% allocation of CAT costs is consistent with 
the Plan's funding principles and the Exchange Act, including whether 
the allocation places a burden on competition or reduces market 
quality. The Commission and commenters also questioned whether the 
approach of accounting for affiliations among CAT Reporters in setting 
CAT Fees disadvantages non-affiliated CAT Reporters or otherwise 
burdens competition in the market for trading services.\74\
---------------------------------------------------------------------------

    \74\ See Suspension Order at 31662-3; SIFMA Letter at 3; Sidley 
Letter at 6-7; Group One Letter at 2; and Belvedere Letter at 2.
---------------------------------------------------------------------------

    In response to these concerns, the Operating Committee determined 
to revise the proposed funding model to focus the comparability of CAT 
Fees on the individual entity level, rather than primarily on the 
comparability of affiliated entities. In light of the interconnected 
nature of the various aspects of the funding model, the Operating 
Committee determined to revise various aspects of the model to enhance 
comparability at the individual entity level. Specifically, to achieve 
such comparability, the Operating Committee determined to (1) decrease 
the number of tiers for Industry Members (other than Execution Venue 
ATSs) from nine to seven; (2) change the allocation of CAT costs 
between Equity Execution Venues and Options Execution Venues from 75%/
25% to 67%/33%; and (3) adjust tier percentages and recovery 
allocations for Equity Execution Venues, Options Execution Venues and 
Industry Members (other than Execution Venue ATSs). With these changes, 
the proposed funding model provides fee comparability for the largest 
individual entities, with the largest Industry Members (other than 
Execution Venue ATSs), Equity Execution Venues and Options Execution 
Venues each paying a CAT Fee of approximately $81,000 each quarter.
(i) Number of Industry Member Tiers
    In the Original Proposal, the proposed funding model had nine tiers 
for Industry Members (other than Execution Venue ATSs). The Operating 
Committee determined that reducing the number of tiers from nine tiers 
to seven tiers (and adjusting the predefined Industry Member 
Percentages as well) continues to provide a fair allocation of fees 
among Industry Members and appropriately distinguishes between Industry 
Members with differing levels of message traffic. In reaching this 
conclusion, the Operating Committee considered historical message 
traffic generated by Industry Members across all exchanges and as 
submitted to FINRA's OATS, and considered the distribution of firms 
with similar levels of message traffic, grouping together firms with 
similar levels of message traffic. Based on this, the Operating 
Committee determined that seven tiers would group firms with similar 
levels of message traffic, while also achieving greater comparability 
in the model for

[[Page 59800]]

the individual CAT Reporters with the greatest market share or message 
traffic.
    In developing the proposed seven tier structure, the Operating 
Committee considered remaining at nine tiers, as well as reducing the 
number of tiers down to seven when considering how to address the 
concerns raised regarding comparability. For each of the alternatives, 
the Operating Committee considered the assignment of various 
percentages of Industry Members to each tier as well as various 
percentages of Industry Member recovery allocations for each 
alternative. Each of these options was considered in the context of its 
effects on the full funding model, as changes in each variable in the 
model affect other variables in the model when allocating the total CAT 
costs among CAT Reporters. The Operating Committee determined that the 
seven tier alternative provided the most fee comparability at the 
individual entity level for the largest CAT Reporters, while both 
providing logical breaks in tiering for Industry Members with different 
levels of message traffic and a sufficient number of tiers to provide 
for the full spectrum of different levels of message traffic for all 
Industry Members.
(ii) Allocation of CAT Costs Between Equity and Options Execution 
Venues
    The Operating Committee also determined to adjust the allocation of 
CAT costs between Equity Execution Venues and Options Execution Venues 
to enhance comparability at the individual entity level. In the 
Original Proposal, 75% of Execution Venue CAT costs were allocated to 
Equity Execution Venues, and 25% of Execution Venue CAT costs were 
allocated to Options Execution Venues. To achieve the goal of increased 
comparability at the individual entity level, the Operating Committee 
analyzed a range of alternative splits for revenue recovery between 
Equity and Options Execution Venues, along with other changes in the 
proposed funding model. Based on this analysis, the Operating Committee 
determined to allocate 67 percent of Execution Venue costs recovered to 
Equity Execution Venues and 33 percent to Options Execution Venues. The 
Operating Committee determined that a 67/33 allocation between Equity 
and Options Execution Venues enhances the level of fee comparability 
for the largest CAT Reporters. Specifically, the largest Equity and 
Options Execution Venues would pay a quarterly CAT Fee of approximately 
$81,000.
    In developing the proposed allocation of CAT costs between Equity 
and Options Execution Venues, the Operating Committee considered 
various different options for such allocation, including keeping the 
original 75%25% allocation, as well as shifting to a 70%/30%, 67%/33%, 
or 57.75%/42.25% allocation. For each of the alternatives, the 
Operating Committee considered the effect each allocation would have on 
the assignment of various percentages of Equity Execution Venues to 
each tier as well as various percentages of Equity Execution Venue 
recovery allocations for each alternative. Moreover, each of these 
options was considered in the context of the full model, as changes in 
each variable in the model affect other variables in the model when 
allocating the total CAT costs among CAT Reporters. The Operating 
Committee determined that the 67%/33% allocation between Equity and 
Options Execution Venues provided the greatest level of fee 
comparability at the individual entity level for the largest CAT 
Reporters, while still providing for appropriate fee levels across all 
tiers for all CAT Reporters.
(iii) Allocation of Costs Between Execution Venues and Industry Members
    The Operating Committee determined to allocate 25% of CAT costs to 
Execution Venues and 75% to Industry Members (other than Execution 
Venue ATSs), as it had in the Original Proposal. The Operating 
Committee determined that this 75%/25% allocation, along with the other 
changes proposed above, led to the most comparable fees for the largest 
Equity Execution Venues, Options Execution Venues and Industry Members 
(other than Execution Venue ATSs). The largest Equity Execution Venues, 
Options Execution Venues and Industry Members (other than Execution 
Venue ATSs) would each pay a quarterly CAT Fee of approximately 
$81,000.
    As a preliminary matter, the Operating Committee determined that it 
is appropriate to allocate most of the costs to create, implement and 
maintain the CAT to Industry Members for several reasons. First, there 
are many more broker-dealers expected to report to the CAT than 
Participants (i.e., 1,541 broker-dealer CAT Reporters versus 22 
Participants). Second, since most of the costs to process CAT 
reportable data is generated by Industry Members, Industry Members 
could be expected to contribute toward such costs. Finally, as noted by 
the SEC, the CAT ``substantially enhance[s] the ability of the SROs and 
the Commission to oversee today's securities markets,'' \75\ thereby 
benefitting all market participants. After making this determination, 
the Operating Committee analyzed several different cost allocations, as 
discussed further below, and determined that an allocation where 75% of 
the CAT costs should be borne by the Industry Members (other than 
Execution Venue ATSs) and 25% should be paid by Execution Venues was 
most appropriate and led to the greatest comparability of CAT Fees for 
the largest CAT Reporters.
---------------------------------------------------------------------------

    \75\ Securities Exchange Act Rel. No. 67457 (Jul 18, 2012), 77 
FR 45722, 45726 (Aug. 1, 2012) (``Rule 613 Adopting Release'').
---------------------------------------------------------------------------

    In developing the proposed allocation of CAT costs between 
Execution Venues and Industry Members (other than Execution Venue 
ATSs), the Operating Committee considered various different options for 
such allocation, including keeping the original 75%/25% allocation, as 
well as shifting to an 80%/20%, 70%/30%, or 65%/35% allocation. Each of 
these options was considered in the context of the full model, 
including the effect on each of the changes discussed above, as changes 
in each variable in the model affect other variables in the model when 
allocating the total CAT costs among CAT Reporters. In particular, for 
each of the alternatives, the Operating Committee considered the effect 
each allocation had on the assignment of various percentages of Equity 
Execution Venues, Options Execution Venues and Industry Members (other 
than Execution Venue ATSs) to each relevant tier as well as various 
percentages of recovery allocations for each tier. The Operating 
Committee determined that the 75%/25% allocation between Execution 
Venues and Industry Members (other than Execution Venue ATSs) provided 
the greatest level of fee comparability at the individual entity level 
for the largest CAT Reporters, while still providing for appropriate 
fee levels across all tiers for all CAT Reporters.
(iv) Affiliations
    The funding principles set forth in Section 11.2 of the Plan 
require that the fees charged to CAT Reporters with the most CAT-
related activity (measured by market share and/or message traffic, as 
applicable) are generally comparable (where, for these comparability 
purposes, the tiered fee structure takes into consideration 
affiliations between or among CAT Reporters, whether Execution Venue 
and/or Industry Members). The proposed funding model satisfies this 
requirement. As discussed above, under the proposed funding

[[Page 59801]]

model, the largest Equity Execution Venues, Options Execution Venues, 
and Industry Members (other than Execution Venue ATSs) pay 
approximately the same fee. Moreover, the Operating Committee believes 
that the proposed funding model takes into consideration affiliations 
between or among CAT Reporters as complexes with multiple CAT Reporters 
will pay the appropriate fee based on the proposed fee schedule for 
each of the CAT Reporters in the complex. For example, a complex with a 
Tier 1 Equity Execution Venue and Tier 2 Industry Member will a pay the 
same as another complex with a Tier 1 Equity Execution Venue and Tier 2 
Industry Member.
(v) Fee Schedule Changes
    Accordingly, with this Amendment, SRO proposes to amend paragraphs 
(b)(1) and (2) of the proposed fee schedule to reflect the changes 
discussed in this section. Specifically, SRO proposes to amend 
paragraph (b)(1) and (2) of the proposed fee schedule to update the 
number of tiers, and the fees and percentages assigned to each tier to 
reflect the described changes.
(D) Market Share/Message Traffic
    In the Original Proposal, the Operating Committee proposed to 
charge Execution Venues based on market share and Industry Members 
(other than Execution Venue ATSs) based on message traffic. Commenters 
questioned the use of the two different metrics for calculating CAT 
Fees.\76\ The Operating Committee continues to believe that the 
proposed use of market share and message traffic satisfies the 
requirements of the Exchange Act and the funding principles set forth 
in the CAT NMS Plan. Accordingly, the proposed funding model continues 
to charge Execution Venues based on market share and Industry Members 
(other than Execution Venue ATSs) based on message traffic.
---------------------------------------------------------------------------

    \76\ Suspension Order at 31663; FIA Principal Traders Group 
Letter at 2.
---------------------------------------------------------------------------

    In drafting the Plan and the Original Proposal, the Operating 
Committee expressed the view that the correlation between message 
traffic and size does not apply to Execution Venues, which they 
described as producing similar amounts of message traffic regardless of 
size. The Operating Committee believed that charging Execution Venues 
based on message traffic would result in both large and small Execution 
Venues paying comparable fees, which would be inequitable, so the 
Operating Committee determined that it would be more appropriate to 
treat Execution Venues differently from Industry Members in the funding 
model. Upon a more detailed analysis of available data, however, the 
Operating Committee noted that Execution Venues have varying levels of 
message traffic. Nevertheless, the Operating Committee continues to 
believe that a bifurcated funding model--where Industry Members (other 
than Execution Venue ATSs) are charged fees based on message traffic 
and Execution Venues are charged based on market share--complies with 
the Plan and meets the standards of the Exchange Act for the reasons 
set forth below.
    Charging Industry Members based on message traffic is the most 
equitable means for establishing fees for Industry Members (other than 
Execution Venue ATSs). This approach will assess fees to Industry 
Members that create larger volumes of message traffic that are 
relatively higher than those fees charged to Industry Members that 
create smaller volumes of message traffic. Since message traffic, along 
with fixed costs of the Plan Processor, is a key component of the costs 
of operating the CAT, message traffic is an appropriate criterion for 
placing Industry Members in a particular fee tier.
    The Operating Committee also believes that it is appropriate to 
charge Execution Venues CAT Fees based on their market share. In 
contrast to Industry Members (other than Execution Venue ATSs), which 
determine the degree to which they produce the message traffic that 
constitutes CAT Reportable Events, the CAT Reportable Events of 
Execution Venues are largely derivative of quotations and orders 
received from Industry Members that the Execution Venues are required 
to display. The business model for Execution Venues, however, is 
focused on executions in their markets. As a result, the Operating 
Committee believes that it is more equitable to charge Execution Venues 
based on their market share rather than their message traffic.
    Similarly, focusing on message traffic would make it more difficult 
to draw distinctions between large and small exchanges, including 
options exchanges in particular. For instance, the Operating Committee 
analyzed the message traffic of Execution Venues and Industry Members 
for the period of April 2017 to June 2017 and placed all CAT Reporters 
into a nine-tier framework (i.e., a single tier may include both 
Execution Venues and Industry Members). The Operating Committee's 
analysis found that the majority of exchanges (15 total) were grouped 
in Tiers 1 and 2. Moreover, virtually all of the options exchanges were 
in Tiers 1 and 2.\77\ Given the concentration of options exchanges in 
Tiers 1 and 2, the Operating Committee believes that using a funding 
model based purely on message traffic would make it more difficult to 
distinguish between large and small options exchanges, as compared to 
the proposed bifurcated fee approach.
---------------------------------------------------------------------------

    \77\ The Participants note that this analysis did not place MIAX 
PEARL in Tier 1 or Tier 2 since the exchange commenced trading on 
February 6, 2017.
---------------------------------------------------------------------------

    In addition, the Operating Committee also believes that it is 
appropriate to treat ATSs as Execution Venues under the proposed 
funding model since ATSs have business models that are similar to those 
of exchanges, and ATSs also compete with exchanges. For these reasons, 
the Operating Committee believes that charging Execution Venues based 
on market share is more appropriate and equitable than charging 
Execution Venues based on message traffic.
(E) Time Limit
    In the Original Proposal, the Operating Committee did not impose 
any time limit on the application of the proposed CAT Fees. As 
discussed above, the Operating Committee developed the proposed funding 
model by analyzing currently available historical data. Such historical 
data, however, is not as comprehensive as data that will be submitted 
to the CAT. Accordingly, the Operating Committee believes that it will 
be appropriate to revisit the funding model once CAT Reporters have 
actual experience with the funding model. Accordingly, the Operating 
Committee proposes to include a sunsetting provision in the proposed 
fee model. The proposed CAT Fees will sunset two years after the 
operative date of the CAT NMS Plan amendment adopting CAT Fees for 
Participants. Specifically, SRO proposes to add paragraph (d) of the 
proposed fee schedule to include this sunsetting provision. Such a 
provision will provide the Operating Committee and other market 
participants with the opportunity to reevaluate the performance of the 
proposed funding model.
(F) Tier Structure/Decreasing Cost per Unit
    In the Original Proposal, the Operating Committee determined to use 
a tiered fee structure. The Commission and commenters questioned 
whether the decreasing cost per additional unit (of message traffic in 
the case of Industry Members, or of share volume

[[Page 59802]]

in the case of Execution Venues) in the proposed fee schedules burdens 
competition by disadvantaging small Industry Members and Execution 
Venues and/or by creating barriers to entry in the market for trading 
services and/or the market for broker-dealer services.\78\
---------------------------------------------------------------------------

    \78\ Suspension Order at 31667.
---------------------------------------------------------------------------

    The Operating Committee does not believe that decreasing cost per 
additional unit in the proposed fee schedules places an unfair 
competitive burden on Small Industry Members and Execution Venues. 
While the cost per unit of message traffic or share volume necessarily 
will decrease as volume increases in any tiered fee model using fixed 
fee percentages and, as a result, Small Industry Members and small 
Execution Venues may pay a larger fee per message or share, this 
comment fails to take account of the substantial differences in the 
absolute fees paid by Small Industry Members and small Execution Venues 
as opposed to large Industry Members and large Execution Venues. For 
example, under the fee proposals, Tier 7 Industry Members would pay a 
quarterly fee of $105, while Tier 1 Industry Members would pay a 
quarterly fee of $81,483. Similarly, a Tier 4 Equity Execution Venue 
would pay a quarterly fee of $129, while a Tier 1 Equity Execution 
Venue would pay a quarterly fee of $81,048. Thus, Small Industry 
Members and small Execution Venues are not disadvantaged in terms of 
the total fees that they actually pay. In contrast to a tiered model 
using fixed fee percentages, the Operating Committee believes that 
strictly variable or metered funding models based on message traffic or 
share volume would be more likely to affect market behavior and may 
present administrative challenges (e.g., the costs to calculate and 
monitor fees may exceed the fees charged to the smallest CAT 
Reporters).
(G) Other Alternatives Considered
    In addition to the various funding model alternatives discussed 
above regarding discounts, number of tiers and allocation percentages, 
the Operating Committee also discussed other possible funding models. 
For example, the Operating Committee considered allocating the total 
CAT costs equally among each of the Participants, and then permitting 
each Participant to charge its own members as it deems appropriate.\79\ 
The Operating Committee determined that such an approach raised a 
variety of issues, including the likely inconsistency of the ensuing 
charges, potential for lack of transparency, and the impracticality of 
multiple SROs submitting invoices for CAT charges. The Operating 
Committee therefore determined that the proposed funding model was 
preferable to this alternative.
---------------------------------------------------------------------------

    \79\ See FIA Principal Traders Group Letter at 2; Belvedere 
Letter at 4.
---------------------------------------------------------------------------

(H) Industry Member Input
    Commenters expressed concern regarding the level of Industry Member 
input into the development of the proposed funding model, and certain 
commenters have recommended a greater role in the governance of the 
CAT.\80\ The Participants previously addressed this concern in its 
letters responding to comments on the Plan and the CAT Fees.\81\ As 
discussed in those letters, the Participants discussed the funding 
model with the Development Advisory Group (``DAG''), the advisory group 
formed to assist in the development of the Plan, during its original 
development.\82\ Moreover, Industry Members currently have a voice in 
the affairs of the Operating Committee and operation of the CAT 
generally through the Advisory Committee established pursuant to Rule 
613(b)(7) and Section 4.13 of the Plan. The Advisory Committee attends 
all meetings of the Operating Committee, as well as meetings of various 
subcommittees and working groups, and provides valuable and critical 
input for the Participants' and Operating Committee's consideration. 
The Operating Committee continues to believe that that Industry Members 
have an appropriate voice regarding the funding of the Company.
---------------------------------------------------------------------------

    \80\ See Suspension Order at 31662; MFA Letter at 1-2.
    \81\ Letter from Participants to Brent J. Fields, Secretary, SEC 
(Sept. 23, 2016) (``Plan Response Letter''); Letter from CAT NMS 
Plan Participants to Brent J. Fields, Secretary, SEC (June 29, 2017) 
(``Fee Rule Response Letter'').
    \82\ Fee Rule Response Letter at 2; Plan Response Letter at 18.
---------------------------------------------------------------------------

(I) Conflicts of Interest
    Commenters also raised concerns regarding Participant conflicts of 
interest in setting the CAT Fees.\83\ The Participants previously 
responded to this concern in both the Plan Response Letter and the Fee 
Rule Response Letter.\84\ As discussed in those letters, the Plan, as 
approved by the SEC, adopts various measures to protect against the 
potential conflicts issues raised by the Participants' fee-setting 
authority. Such measures include the operation of the Company as a not 
for profit business league and on a break-even basis, and the 
requirement that the Participants file all CAT Fees under Section 19(b) 
of the Exchange Act. The Operating Committee continues to believe that 
these measures adequately protect against concerns regarding conflicts 
of interest in setting fees, and that additional measures, such as an 
independent third party to evaluate an appropriate CAT Fee, are 
unnecessary.
---------------------------------------------------------------------------

    \83\ See Suspension Order at 31662; FIA Principal Traders Group 
at 3.
    \84\ See Plan Response Letter at 16, 17; Fee Rule Response 
Letter at 10-12.
---------------------------------------------------------------------------

(J) Fee Transparency
    Commenters also argued that they could not adequately assess 
whether the CAT Fees were fair and equitable because the Operating 
Committee has not provided details as to what the Participants are 
receiving in return for the CAT Fees.\85\ The Operating Committee 
provided a detailed discussion of the proposed funding model in the 
Plan, including the expenses to be covered by the CAT Fees. In 
addition, the agreement between the Company and the Plan Processor sets 
forth a comprehensive set of services to be provided to the Company 
with regard to the CAT. Such services include, without limitation: user 
support services (e.g., a help desk); tools to allow each CAT Reporter 
to monitor and correct their submissions; a comprehensive compliance 
program to monitor CAT Reporters' adherence to Rule 613; publication of 
detailed Technical Specifications for Industry Members and 
Participants; performing data linkage functions; creating comprehensive 
data security and confidentiality safeguards; creating query 
functionality for regulatory users (i.e., the Participants, and the SEC 
and SEC staff); and performing billing and collection functions. The 
Operating Committee further notes that the services provided by the 
Plan Processor and the costs related thereto were subject to a bidding 
process.
---------------------------------------------------------------------------

    \85\ See FIA Principal Traders Group at 3; SIFMA Letter at 3.
---------------------------------------------------------------------------

(K) Funding Authority
    Commenters also questioned the authority of the Operating Committee 
to impose CAT Fees on Industry Members.\86\ The Participants previously 
responded to this same comment in the Plan Response Letter and the Fee 
Rule Response Letter.\87\ As the Participants previously noted, SEC 
Rule 613 specifically contemplates broker-dealers contributing to the 
funding of the CAT. In addition, as noted by the SEC, the CAT 
``substantially enhance[s] the

[[Page 59803]]

ability of the SROs and the Commission to oversee today's securities 
markets,'' \88\ thereby benefitting all market participants. Therefore, 
the Operating Committing continues to believe that it is equitable for 
both Participants and Industry Members to contribute to funding the 
cost of the CAT.
---------------------------------------------------------------------------

    \86\ See Suspension Order at 31661-2; SIFMA Letter at 2.
    \87\ See Plan Response Letter at 9-10; Fee Rule Response Letter 
at 3-4.
    \88\ Rule 613 Adopting Release at 45726.
---------------------------------------------------------------------------

2. Statutory Basis
    SRO believes that the proposed rule change is consistent with the 
provisions of Section 6(b)(5) of the Act \89\, which require, among 
other things, that the SRO rules must be designed to prevent fraudulent 
and manipulative acts and practices, to promote just and equitable 
principles of trade, and, in general, to protect investors and the 
public interest, and not designed to permit unfair discrimination 
between customers, issuers, brokers and dealer, and Section 6(b)(4) of 
the Act \90\, which requires that SRO rules provide for the equitable 
allocation of reasonable dues, fees, and other charges among members 
and issuers and other persons using its facilities. As discussed above, 
the SEC approved the bifurcated, tiered, fixed fee funding model in the 
CAT NMS Plan, finding it was reasonable and that it equitably allocated 
fees among Participants and Industry Members. SRO believes that the 
proposed tiered fees adopted pursuant to the funding model approved by 
the SEC in the CAT NMS Plan are reasonable, equitably allocated and not 
unfairly discriminatory.
---------------------------------------------------------------------------

    \89\ 15 U.S.C. 78f(b)(5).
    \90\ 15 U.S.C. 78f(b)(4).
---------------------------------------------------------------------------

    SRO believes that this proposal is consistent with the Act because 
it implements, interprets or clarifies the provisions of the Plan, and 
is designed to assist SRO and its Industry Members in meeting 
regulatory obligations pursuant to the Plan. In approving the Plan, the 
SEC noted that the Plan ``is necessary and appropriate in the public 
interest, for the protection of investors and the maintenance of fair 
and orderly markets, to remove impediments to, and perfect the 
mechanism of a national market system, or is otherwise in furtherance 
of the purposes of the Act.'' \91\ To the extent that this proposal 
implements, interprets or clarifies the Plan and applies specific 
requirements to Industry Members, SRO believes that this proposal 
furthers the objectives of the Plan, as identified by the SEC, and is 
therefore consistent with the Act.
---------------------------------------------------------------------------

    \91\ Approval Order at 84697.
---------------------------------------------------------------------------

    SRO believes that the proposed tiered fees are reasonable. First, 
the total CAT Fees to be collected would be directly associated with 
the costs of establishing and maintaining the CAT, where such costs 
include Plan Processor costs and costs related to insurance, third 
party services and the operational reserve. The CAT Fees would not 
cover Participant services unrelated to the CAT. In addition, any 
surplus CAT Fees cannot be distributed to the individual Participants; 
such surpluses must be used as a reserve to offset future fees. Given 
the direct relationship between the fees and the CAT costs, SRO 
believes that the total level of the CAT Fees is reasonable.
    In addition, SRO believes that the proposed CAT Fees are reasonably 
designed to allocate the total costs of the CAT equitably between and 
among the Participants and Industry Members, and are therefore not 
unfairly discriminatory. As discussed in detail above, the proposed 
tiered fees impose comparable fees on similarly situated CAT Reporters. 
For example, those with a larger impact on the CAT (measured via 
message traffic or market share) pay higher fees, whereas CAT Reporters 
with a smaller impact pay lower fees. Correspondingly, the tiered 
structure lessens the impact on smaller CAT Reporters by imposing 
smaller fees on those CAT Reporters with less market share or message 
traffic. In addition, the fee structure takes into consideration 
distinctions in securities trading operations of CAT Reporters, 
including ATSs trading OTC Equity Securities, and equity and options 
market makers.
    Moreover, SRO believes that the division of the total CAT costs 
between Industry Members and Execution Venues, and the division of the 
Execution Venue portion of total costs between Equity and Options 
Execution Venues, is reasonably designed to allocate CAT costs among 
CAT Reporters. The 75%/25% division between Industry Members (other 
than Execution Venue ATSs) and Execution Venues maintains the greatest 
level of comparability across the funding model. For example, the cost 
allocation establishes fees for the largest Industry Members (i.e., 
those Industry Members in Tiers 1) that are comparable to the largest 
Equity Execution Venues and Options Execution Venues (i.e., those 
Execution Venues in Tier 1). Furthermore, the allocation of total CAT 
cost recovery recognizes the difference in the number of CAT Reporters 
that are Industry Members (other than Execution Venue ATSs) versus CAT 
Reporters that are Execution Venues. Similarly, the 67%/33% allocation 
between Equity and Options Execution Venues also helps to provide fee 
comparability for the largest CAT Reporters.
    Finally, SRO believes that the proposed fees are reasonable because 
they would provide ease of calculation, ease of billing and other 
administrative functions, and predictability of a fixed fee. Such 
factors are crucial to estimating a reliable revenue stream for the 
Company and for permitting CAT Reporters to reasonably predict their 
payment obligations for budgeting purposes.

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

    Section 6(b)(8) of the Act \92\ require that SRO rules not impose 
any burden on competition that is not necessary or appropriate. SRO 
does not believe that the proposed rule change will result in any 
burden on competition that is not necessary or appropriate in 
furtherance of the purposes of the Act. SRO notes that the proposed 
rule change implements provisions of the CAT NMS Plan approved by the 
Commission, and is designed to assist SRO in meeting its regulatory 
obligations pursuant to the Plan. Similarly, all national securities 
exchanges and FINRA are proposing this proposed fee schedule to 
implement the requirements of the CAT NMS Plan. Therefore, this is not 
a competitive fee filing and, therefore, it does not raise competition 
issues between and among the exchanges and FINRA.
---------------------------------------------------------------------------

    \92\ 15 U.S.C. 78f(b)(8)
---------------------------------------------------------------------------

    Moreover, as previously described, SRO believes that the proposed 
rule change fairly and equitably allocates costs among CAT Reporters. 
In particular, the proposed fee schedule is structured to impose 
comparable fees on similarly situated CAT Reporters, and lessen the 
impact on smaller CAT Reporters. CAT Reporters with similar levels of 
CAT activity will pay similar fees. For example, Industry Members 
(other than Execution Venue ATSs) with higher levels of message traffic 
will pay higher fees, and those with lower levels of message traffic 
will pay lower fees. Similarly, Execution Venue ATSs and other 
Execution Venues with larger market share will pay higher fees, and 
those with lower levels of market share will pay lower fees. Therefore, 
given that there is generally a relationship between message traffic 
and/or market share to the CAT Reporter's size, smaller CAT Reporters 
generally pay less than larger CAT Reporters. Accordingly, SRO does not 
believe that the CAT Fees would have a disproportionate effect on 
smaller or larger CAT Reporters. In addition, ATSs and exchanges will 
pay the same fees based on market share. Therefore, SRO does not 
believe that the

[[Page 59804]]

fees will impose any burden on the competition between ATSs and 
exchanges. Accordingly, SRO believes that the proposed fees will 
minimize the potential for adverse effects on competition between CAT 
Reporters in the market.
    Furthermore, the tiered, fixed fee funding model limits the 
disincentives to providing liquidity to the market. Therefore, the 
proposed fees are structured to limit burdens on competitive quoting 
and other liquidity provision in the market.
    In addition, the Operating Committee believes that the proposed 
changes to the Original Proposal, as discussed above in detail, address 
certain competitive concerns raised by commenters, including concerns 
related to, among other things, smaller ATSs, ATSs trading OTC Equity 
Securities, market making quoting and fee comparability. As discussed 
above, the Operating Committee believes that the proposals address the 
competitive concerns raised by commenters.

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

    SRO has set forth responses to comments received regarding the 
Original Proposal in Section 3(a)(4) above.

III. Solicitation of Comments on Amendment No. 1

    Interested persons are invited to submit written data, views, and 
arguments concerning the foregoing, including whether Amendment No. 1 
is consistent with the Act. In particular, the Commission seeks comment 
on the following:
Allocation of Costs
    (1) Commenters' views as to whether the allocation of CAT costs is 
consistent with the funding principle expressed in the CAT NMS Plan 
that requires the Operating Committee to ``avoid any disincentives such 
as placing an inappropriate burden on competition and a reduction in 
market quality.'' \93\
---------------------------------------------------------------------------

    \93\ Section 11.2(e) of the CAT NMS Plan.
---------------------------------------------------------------------------

    (2) Commenters' views as to whether the allocation of 25% of CAT 
costs to the Execution Venues (including all the Participants) and 75% 
to Industry Members, will incentivize or disincentivize the 
Participants to effectively and efficiently manage the CAT costs 
incurred by the Participants since they will only bear 25% of such 
costs.
    (3) Commenters' views on the determination to allocate 75% of all 
costs incurred by the Participants from November 21, 2016 to November 
21, 2017 to Industry Members (other than Execution Venue ATSs), when 
such costs are development and build costs and when Industry Member 
reporting is scheduled to commence a year later, including views on 
whether such ``fees, costs and expenses . . . [are] fairly and 
reasonably shared among the Participants and Industry Members'' in 
accordance with the CAT NMS Plan.\94\
---------------------------------------------------------------------------

    \94\ Section 11.1(c) of the CAT NMS Plan.
---------------------------------------------------------------------------

    (4) Commenters' views on whether an analysis of the ratio of the 
expected Industry Member-reported CAT messages to the expected SRO-
reported CAT messages should be the basis for determining the 
allocation of costs between Industry Members and Execution Venues.\95\
---------------------------------------------------------------------------

    \95\ The Notice for the CAT NMS Plan did not provide a 
comprehensive count of audit trail message traffic from different 
regulatory data sources, but the Commission did estimate the ratio 
of all SRO audit trail messages to OATS audit trail messages to be 
1.9431. See Securities Exchange Act Release No. 77724 (April 27, 
2016), 81 FR 30613, 30721 n.919 and accompanying text (May 17, 
2016).
---------------------------------------------------------------------------

    (5) Any additional data analysis on the allocation of CAT costs, 
including any existing supporting evidence.
Comparability
    (6) Commenters' views on the shift in the standard used to assess 
the comparability of CAT Fees, with the emphasis now on comparability 
of individual entities instead of affiliated entities, including views 
as to whether this shift is consistent with the funding principle 
expressed in the CAT NMS Plan that requires the Operating Committee to 
establish a fee structure in which the fees charged to ``CAT Reporters 
with the most CAT-related activity (measured by market share and/or 
message traffic, as applicable) are generally comparable (where, for 
these comparability purposes, the tiered fee structure takes into 
consideration affiliations between or among CAT Reporters, whether 
Execution Venues and/or Industry Members).'' \96\
---------------------------------------------------------------------------

    \96\ Section 11.2(c) of the CAT NMS Plan.
---------------------------------------------------------------------------

    (7) Commenters' views as to whether the reduction in the number of 
tiers for Industry Members (other than Execution Venue ATSs) from nine 
to seven, the revised allocation of CAT costs between Equity Execution 
Venues and Options Execution Venues from a 75%/25% split to a 67%/33% 
split, and the adjustment of all tier percentages and recovery 
allocations achieves comparability across individual entities, and 
whether these changes should have resulted in a change to the 
allocation of 75% of total CAT costs to Industry Members (other than 
Execution Venue ATSs) and 25% of such costs to Execution Venues.
Discounts
    (8) Commenters' views as to whether the discounts for options 
market-makers, equities market-makers, and Equity ATSs trading OTC 
Equity Securities are clear, reasonable, and consistent with the 
funding principle expressed in the CAT NMS Plan that requires the 
Operating Committee to ``avoid any disincentives such as placing an 
inappropriate burden on competition and a reduction in market 
quality,'' \97\ including views as to whether the discounts for market-
makers limit any potential disincentives to act as a market-maker and/
or to provide liquidity due to CAT fees.
---------------------------------------------------------------------------

    \97\ Section 11.2(e) of the CAT NMS Plan.
---------------------------------------------------------------------------

Calculation of Costs and Imposition of CAT Fees
    (9) Commenters' views as to whether the amendment provides 
sufficient information regarding the amount of costs incurred from 
November 21, 2016 to November 21, 2017, particularly, how those costs 
were calculated, how those costs relate to the proposed CAT Fees, and 
how costs incurred after November 21, 2017 will be assessed upon 
Industry Members and Execution Venues;
    (10) Commenters' views as to whether the timing of the imposition 
and collection of CAT Fees on Execution Venues and Industry Members is 
reasonably related to the timing of when the Company expects to incur 
such development and implementation costs.\98\
---------------------------------------------------------------------------

    \98\ Section 11.1(c) of the CAT NMS Plan.
---------------------------------------------------------------------------

    (11) Commenters' views on dividing CAT costs equally among each of 
the Participants, and then each Participant charging its own members as 
it deems appropriate, taking into consideration the possibility of 
inconsistency in charges, the potential for lack of transparency, and 
the impracticality of multiple SROs submitting invoices for CAT 
charges.
Burden on Competition and Barriers to Entry
    (12) Commenters' views as to whether the allocation of 75% of CAT 
costs to Industry Members (other than Execution Venue ATSs) imposes any 
burdens on competition to Industry Members, including views on what 
baseline competitive landscape the Commission should consider when 
analyzing the proposed allocation of CAT costs.

[[Page 59805]]

    (13) Commenters' views on the burdens on competition, including the 
relevant markets and services and the impact of such burdens on the 
baseline competitive landscape in those relevant markets and services.
    (14) Commenters' views on any potential burdens imposed by the fees 
on competition between and among CAT Reporters, including views on 
which baseline markets and services the fees could have competitive 
effects on and whether the fees are designed to minimize such effects.
    (15) Commenters' general views on the impact of the proposed fees 
on economies of scale and barriers to entry.
    (16) Commenters' views on the baseline economies of scale and 
barriers to entry for Industry Members and Execution Venues and the 
relevant markets and services over which these economies of scale and 
barriers to entry exist.
    (17) Commenters' views as to whether a tiered fee structure 
necessarily results in less active tiers paying more per unit than 
those in more active tiers, thus creating economies of scale, with 
supporting information if possible.
    (18) Commenters' views as to how the level of the fees for the 
least active tiers would or would not affect barriers to entry.
    (19) Commenters' views on whether the difference between the cost 
per unit (messages or market share) in less active tiers compared to 
the cost per unit in more active tiers creates regulatory economies of 
scale that favor larger competitors and, if so:
    (a) How those economies of scale compare to operational economies 
of scale; and
    (b) Whether those economies of scale reduce or increase the current 
advantages enjoyed by larger competitors or otherwise alter the 
competitive landscape.
    (20) Commenters' views on whether the fees could affect competition 
between and among national securities exchanges and FINRA, in light of 
the fact that implementation of the fees does not require the unanimous 
consent of all such entities, and, specifically:
    (a) Whether any of the national securities exchanges or FINRA are 
disadvantaged by the fees; and
    (b) If so, whether any such disadvantages would be of a magnitude 
that would alter the competitive landscape.
    (21) Commenters' views on any potential burden imposed by the fees 
on competitive quoting and other liquidity provision in the market, 
including, specifically:
    (a) Commenters' views on the kinds of disincentives that discourage 
liquidity provision and/or disincentives that the Commission should 
consider in its analysis;
    (b) Commenters' views as to whether the fees could disincentivize 
the provision of liquidity; and
    (c) Commenters' views as to whether the fees limit any 
disincentives to provide liquidity.
    (22) Commenters' views as to whether the amendment adequately 
responds to and/or addresses comments received on related filings.

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-BOX-2017-16 on the subject line.

Paper Comments

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

All submissions should refer to File Number SR-BOX-2017-16. 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 website (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 website 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 the Exchange. 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-BOX-2017-16, and should be submitted on 
or before January 5, 2018.

    For the Commission, by the Division of Trading and Markets, 
pursuant to delegated authority.\99\
---------------------------------------------------------------------------

    \99\ 17 CFR 200.30-3(a)(12).
---------------------------------------------------------------------------

Robert W. Errett,
Deputy Secretary.
[FR Doc. 2017-26989 Filed 12-14-17; 8:45 am]
 BILLING CODE 8011-01-P



                                                                            Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Notices                                                   59779

                                                SECURITIES AND EXCHANGE                                 comments from the Participants.5 On                    Commission is publishing this notice to
                                                COMMISSION                                              June 30, 2017, the Commission                          solicit comments from interested
                                                                                                        temporarily suspended and initiated                    persons on Amendment No. 1.11
                                                [Release No. 34–82266; File No. SR–BOX–
                                                                                                        proceedings to determine whether to
                                                2017–16]                                                                                                       I. Self-Regulatory Organization’s
                                                                                                        approve or disapprove the proposed
                                                                                                                                                               Statement of the Terms of the Substance
                                                Self-Regulatory Organizations; BOX                      rule change.6 The Commission
                                                                                                                                                               of the Proposed Rule Change
                                                Options Exchange LLC; Notice of                         thereafter received seven comment
                                                Filing of Amendment No. 1 to a                          letters,7 and a response to comments                      The Exchange is filing with the
                                                Proposed Rule Change To Establish                       from the Participants.8 On November 7,                 Securities and Exchange Commission
                                                                                                        2017, the Exchange filed Amendment                     (‘‘Commission’’) a proposed rule change
                                                the Fees for Industry Members Related
                                                                                                        No. 1 to the proposed rule change, as                  to amend the Fee Schedule to establish
                                                to the National Market System Plan
                                                                                                        described in Items I and II below, which               the fees for Industry Members related to
                                                Governing the Consolidated Audit Trail
                                                                                                        Items have been prepared by the                        the CAT NMS Plan. The text of the
                                                December 11, 2017.                                      Exchange.9 On November 9, 2017, the                    proposed rule change is available from
                                                   On May 15, 2017, BOX Options                         Commission extended the time period                    the principal office of the Exchange, at
                                                Exchange LLC (‘‘Exchange’’ or ‘‘SRO’’)                  within which to approve the proposed                   the Commission’s Public Reference
                                                filed with the Securities and Exchange                  rule change or disapprove the proposed                 Room and also on the Exchange’s
                                                Commission (‘‘Commission’’), pursuant                   rule change to January 14, 2018.10 The                 internet website at http://
                                                to Section 19(b)(1) of the Securities                                                                          boxoptions.com.
                                                Exchange Act of 1934 (‘‘Act’’) 1 and Rule               comment letter which is not pertinent to these
                                                                                                                                                               II. Self-Regulatory Organization’s
                                                19b–4 thereunder,2 a proposed rule                      proposed rule changes. See Letter from Christina
                                                                                                        Crouch, Smart Ltd., to Brent J. Fields, Secretary,     Statement of the Purpose of, and
                                                change to adopt a fee schedule to                       Commission (dated June 5, 2017), available at:         Statutory Basis for, the Proposed Rule
                                                establish the fees for Industry Members                 https://www.sec.gov/comments/sr-batsbzx-2017-38/       Change
                                                related to the National Market System                   batsbzx201738-1785545-153152.htm.
                                                Plan Governing the Consolidated Audit                      5 See Letter from CAT NMS Plan Participants to         In its filing with the Commission, the
                                                Trail (‘‘CAT NMS Plan’’). The proposed
                                                                                                        Brent J. Fields, Secretary, Commission (dated June     Exchange included statements
                                                                                                        29, 2017), available at: https://www.sec.gov/          concerning the purpose of and basis for
                                                rule change was published in the                        comments/sr-batsbyx-2017-11/batsbyx201711-
                                                Federal Register for comment on May                     1832632-154584.pdf.                                    the proposed rule change and discussed
                                                24, 2017.3 The Commission received                         6 See Securities Exchange Act Release No. 81067     any comments it received on the
                                                seven comment letters on the proposed
                                                                                                        (June 30, 2017), 82 FR 31656 (July 7, 2017).           proposed rule change. The text of these
                                                                                                           7 See Letter from W. Hardy Callcott, Partner,
                                                rule change,4 and a response to                                                                                statements may be examined at the
                                                                                                        Sidley Austin LLP, to Brent J. Fields, Secretary,
                                                                                                        Commission (dated July 27, 2017), available at:
                                                                                                                                                               places specified in Item IV below. The
                                                  1 15  U.S.C. 78s(b)(1).                               https://www.sec.gov/comments/sr-batsbyx-2017-11/       Exchange has prepared summaries, set
                                                  2 17  CFR 240.19b–4.                                  batsbyx201711-2148338-157737.pdf; Letter from          forth in Sections A, B, and C below, of
                                                   3 See Securities Exchange Act Release Nos. 80721     Kevin Coleman, General Counsel and Chief               the most significant aspects of such
                                                                                                        Compliance Officer, Belvedere Trading LLC, to
                                                (May 18, 2017), 82 FR 23864 (May 24, 2017)
                                                                                                        Brent J. Fields, Secretary, Commission (dated July
                                                                                                                                                               statements.
                                                (‘‘Original Proposal’’).
                                                                                                        28, 2017), available at: https://www.sec.gov/          A. Self-Regulatory Organization’s
                                                   4 Since the CAT NMS Plan Participants’ proposed
                                                                                                        comments/sr-batsbyx-2017-11/batsbyx201711-
                                                rule changes to adopt fees to be charged to Industry    2148360-157740.pdf; Letter from Joanna Mallers,        Statement of the Purpose of, and
                                                Members to fund the consolidated audit trail are        Secretary, FIA Principal Traders Group, to Brent J.    Statutory Basis for, the Proposed Rule
                                                substantively identical, the Commission is              Fields, Secretary, Commission (dated July 28, 2017),
                                                considering all comments received on the proposed
                                                                                                                                                               Change
                                                                                                        available at: https://www.sec.gov/comments/sr-
                                                rule changes regardless of the comment file to          batsbyx-2017-11/batsbyx201711-2151228-                 1. Purpose
                                                which they were submitted. See text accompanying        157745.pdf; Letter from Theodore R. Lazo,
                                                notes 12–15 infra, for a list of the CAT NMS Plan       Managing Director and Associate General Counsel,          BOX Options Exchange LLC, Cboe
                                                Participants. See Letter from Theodore R. Lazo,         SIFMA, to Brent J. Fields, Secretary, Commission       BYX Exchange, Inc., Cboe BZX
                                                Managing Director and Associate General Counsel,        (dated July 28, 2017), available at: https://          Exchange, Inc., Cboe EDGA Exchange,
                                                Securities Industry and Financial Markets               www.sec.gov/comments/sr-batsbyx-2017-11/
                                                Association, to Brent J. Fields, Secretary,             batsbyx201711-2150977-157744.pdf; Letter from          Inc., Cboe EDGX Exchange, Inc., Cboe
                                                Commission (dated June 6, 2017), available at:          Stuart J. Kaswell, Executive Vice President and        C2 Exchange, Inc., Cboe Exchange,
                                                https://www.sec.gov/comments/sr-batsbzx-2017-38/        Managing Director, General Counsel, Managed            Inc.,12 Chicago Stock Exchange, Inc.,
                                                batsbzx201738-1788188-153228.pdf; Letter from           Funds Association, to Brent J. Fields, Secretary,
                                                Patricia L. Cerny and Steven O’Malley, Compliance       Commission (dated July 28, 2017), available at:           11 The Commission notes that on December 7,
                                                Consultants, to Brent J. Fields, Secretary,             https://www.sec.gov/comments/sr-batsbyx-2017-11/
                                                                                                                                                               2017, the Exchange filed Amendment No. 2 to the
                                                Commission (dated June 12, 2017), available at:         batsbyx201711-2150818-157743.pdf; Letter from
                                                                                                                                                               proposed rule change. Amendment No. 2 is a partial
                                                https://www.sec.gov/comments/sr-cboe-2017-040/          John Kinahan, Chief Executive Officer, Group One
                                                                                                                                                               amendment to the proposed rule change, as
                                                cboe2017040-1799253-153675.pdf; Letter from             Trading, L.P., to Brent J. Fields, Secretary,
                                                                                                                                                               amended by Amendment No. 1. Amendment No. 2
                                                Daniel Zinn, General Counsel, OTC Markets Group         Commission (dated August 10, 2017), available at:
                                                                                                                                                               proposes to change the parenthetical regarding the
                                                Inc., to Eduardo A. Aleman, Assistant Secretary,        https://www.sec.gov/comments/sr-finra-2017-011/
                                                                                                                                                               OTC Equity Securities discount in paragraph (b)(2)
                                                Commission (dated June 13, 2017), available at:         finra2017011-2214568-160619.pdf; Letter from
                                                                                                                                                               of the proposed fee schedule from ‘‘with a discount
                                                https://www.sec.gov/comments/sr-finra-2017-011/         Joseph Molluso, Executive Vice President and CFO,      for Equity ATSs exclusively trading OTC Equity
                                                finra2017011-1801717-153703.pdf; Letter from            Virtu Financial, to Brent J. Fields, Commission        Securities based on the average shares per trade
                                                Joanna Mallers, Secretary, FIA Principal Traders        (dated August 18, 2017), available at: https://        ratio between NMS Stocks and OTC Equity
                                                Group, to Brent J. Fields, Secretary, Commission        www.sec.gov/comments/sr-finra-2017-011/                Securities’’ to ‘‘with a discount for OTC Equity
                                                (dated June 22, 2017), available at: https://           finra2017011-2238648-160830.pdf.                       Securities market share of Equity ATSs trading OTC
                                                                                                           8 See Letter from Michael Simon, Chair, CAT
                                                www.sec.gov/comments/sr-cboe-2017-040/                                                                         Equity Securities based on the average shares per
                                                cboe2017040-1819670-154195.pdf; Letter from             NMS Plan Operating Committee, to Brent J. Fields,      trade ratio between NMS Stocks and OTC Equity
                                                Stuart J. Kaswell, Executive Vice President and         Commission, Secretary (dated November 2, 2017),        Securities.’’ Additionally, Amendment No. 2
sradovich on DSK3GMQ082PROD with NOTICES




                                                Managing Director, General Counsel, Managed             available at https://www.sec.gov/comments/sr-          deletes footnote 43 in Section 3(a) on page 29 of
                                                Funds Association, to Brent J. Fields, Secretary,       batsbyx-2017-11/batsbyx201711-2674608-                 Amendment No. 1 to the proposed rule change as
                                                Commission (dated June 23, 2017), available at:         161412.pdf.                                            the Exchange represents that the footnote is
                                                                                                           9 Amendment No. 1 to the proposed rule change       erroneous and was included inadvertently. See
                                                https://www.sec.gov/comments/sr-finra-2017-011/
                                                finra2017011-1822454-154283.pdf; and Letter from        replaces and supersedes the Original Proposal in its   Securities Exchange Act Release No. 82267
                                                Suzanne H. Shatto, Investor, to Commission (dated       entirety.                                              (December 11, 2017).
                                                June 27, 2017), available at: https://www.sec.gov/         10 See Securities Exchange Act Release No. 82049       12 Note that Bats BYX Exchange, Inc., Bats BZX

                                                comments/sr-batsedgx-2017-22/batsedgx201722-            (November 9, 2017), 82 FR 53549 (November 16,          Exchange, Inc., Bats EDGA Exchange, Inc., Bats
                                                154443.pdf. The Commission also received a              2017).                                                                                           Continued




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                                                59780                        Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Notices

                                                Financial Industry Regulatory                            operate the CAT.21 Under the CAT NMS                    discounts the market share of Execution
                                                Authority, Inc. (‘‘FINRA’’), Investors’                  Plan, the Operating Committee of the                    Venue ATSs exclusively trading OTC
                                                Exchange LLC, Miami International                        Company (‘‘Operating Committee’’) has                   Equity Securities as well as the market
                                                Securities Exchange, LLC, MIAX                           discretion to establish funding for the                 share of the FINRA over-the-counter
                                                PEARL, LLC, NASDAQ BX, Inc., Nasdaq                      Company to operate the CAT, including                   reporting facility (‘‘ORF’’) by the average
                                                GEMX, LLC, Nasdaq ISE, LLC, Nasdaq                       establishing fees that the Participants                 shares per trade ratio between NMS
                                                MRX, LLC,13 NASDAQ PHLX LLC, The                         will pay, and establishing fees for                     Stocks and OTC Equity Securities
                                                NASDAQ Stock Market LLC, New York                        Industry Members that will be                           (calculated as 0.17% based on available
                                                Stock Exchange LLC, NYSE American                        implemented by the Participants (‘‘CAT                  data from the second quarter of June
                                                LLC,14 NYSE Arca, Inc. and NYSE                          Fees’’).22 The Participants are required                2017) when calculating the market share
                                                National, Inc.15 (collectively, the                      to file with the SEC under Section 19(b)                of Execution Venue ATS exclusively
                                                ‘‘Participants’’) filed with the                         of the Exchange Act any such CAT Fees                   trading OTC Equity Securities and
                                                Commission, pursuant to Section 11A of                   applicable to Industry Members that the                 FINRA; (3) discounts the Options
                                                the Exchange Act 16 and Rule 608 of                      Operating Committee approves.23                         Market Maker quotes by the trade to
                                                Regulation NMS thereunder,17 the CAT                     Accordingly, SRO submitted the                          quote ratio for options (calculated as
                                                NMS Plan.18 The Participants filed the                   Original Proposal to propose the                        0.01% based on available data for June
                                                Plan to comply with Rule 613 of                          Consolidated Audit Trail Funding Fees,                  2016 through June 2017) when
                                                Regulation NMS under the Exchange                        which would require Industry Members                    calculating message traffic for Options
                                                Act. The Plan was published for                          that are SRO members to pay the CAT                     Market Makers; (4) discounts equity
                                                comment in the Federal Register on                       Fees determined by the Operating                        market maker quotes by the trade to
                                                May 17, 2016,19 and approved by the                      Committee.                                              quote ratio for equities (calculated as
                                                Commission, as modified, on November                        The Commission published the                         5.43% based on available data for June
                                                15, 2016.20 The Plan is designed to                      Original Proposal for public comment in                 2016 through June 2017) when
                                                create, implement and maintain a                         the Federal Register on May 24, 2017,24                 calculating message traffic for equity
                                                consolidated audit trail (‘‘CAT’’) that                  and received comments in response to                    market makers; (5) decreases the
                                                would capture customer and order event                   the Original Proposal or similar fee                    number of tiers for Industry Members
                                                information for orders in NMS                            filings by other Participants.25 On June                (other than the Execution Venue ATSs)
                                                Securities and OTC Equity Securities,                    30, 2017, the Commission suspended,                     from nine to seven; (6) changes the
                                                across all markets, from the time of                     and instituted proceedings to determine                 allocation of CAT costs between Equity
                                                order inception through routing,                         whether to approve or disapprove, the                   Execution Venues and Options
                                                cancellation, modification, or execution                 Original Proposal.26 The Commission                     Execution Venues from 75%/25% to
                                                in a single consolidated data source.                    received seven comment letters in                       67%/33%; (7) adjusts tier percentages
                                                The Plan accomplishes this by creating                   response to those proceedings.27                        and recovery allocations for Equity
                                                                                                            In response to the comments on the
                                                CAT NMS, LLC (the ‘‘Company’’), of                                                                               Execution Venues, Options Execution
                                                                                                         Original Proposal, the Operating
                                                which each Participant is a member, to                                                                           Venues and Industry Members (other
                                                                                                         Committee determined to make the
                                                                                                                                                                 than Execution Venue ATSs); (8)
                                                                                                         following changes to the funding model:
                                                EDGX Exchange, Inc., LLC, C2 Options Exchange,                                                                   focuses the comparability of CAT Fees
                                                Incorporated, and Chicago Board Options Exchange,        (1) Adds two additional CAT Fee tiers
                                                                                                                                                                 on the individual entity level, rather
                                                Incorporated, have been renamed Cboe BYX                 for Equity Execution Venues; (2)
                                                Exchange, Inc., Cboe BZX Exchange, Inc., Cboe
                                                                                                                                                                 than primarily on the comparability of
                                                EDGA Exchange, Inc., Cboe EDGX Exchange, Inc.,              21 The Plan also serves as the limited liability
                                                                                                                                                                 affiliated entities; (9) commences
                                                Cboe C2 Exchange, Inc., Cboe Exchange, Inc.,             company agreement for the Company.                      invoicing of CAT Reporters as promptly
                                                respectively.                                               22 Section 11.1(b) of the CAT NMS Plan.              as possible following the latest of the
                                                   13 ISE Gemini, LLC, ISE Mercury, LLC and
                                                                                                            23 Id.                                               operative date of the Consolidated Audit
                                                International Securities Exchange, LLC have been
                                                renamed Nasdaq GEMX, LLC, Nasdaq MRX, LLC,
                                                                                                            24 Securities Exchange Act Rel. No. 80721 (May
                                                                                                                                                                 Trail Funding Fees for each of the
                                                                                                         18, 2017), 82 FR 23864 (May 24, 2017) (SR–BOX–          Participants and the operative date of
                                                and Nasdaq ISE, LLC, respectively. See Securities
                                                                                                         2017–16).
                                                Exchange Act Rel. No. 80248 (Mar. 15, 2017), 82 FR          25 For a summary of comments, see generally          the CAT NMS Plan amendment
                                                14547 (Mar. 21, 2017); Securities Exchange Act Rel.                                                              adopting CAT Fees for Participants; and
                                                No. 80326 (Mar. 29, 2017), 82 FR 16460 (Apr. 4,          Securities Exchange Act Rel. No. 81067 (June 30,
                                                2017); and Securities Exchange Act Rel. No. 80325        2017), 82 FR 31656 (July 7, 2017) (‘‘Suspension         (10) requires the proposed fees to
                                                (Mar. 29, 2017), 82 FR 16445 (Apr. 4, 2017).             Order’’).                                               automatically expire two years from the
                                                                                                            26 Suspension Order.
                                                   14 NYSE MKT LLC has been renamed NYSE
                                                                                                            27 See Letter from Stuart J. Kaswell, Executive
                                                                                                                                                                 operative date of the CAT NMS Plan
                                                American LLC. See Securities Exchange Act Rel.                                                                   amendment adopting CAT Fees for
                                                No. 80283 (Mar. 21. 2017), 82 FR 15244 (Mar. 27,         Vice President, Managing Director and General
                                                2017).                                                   Counsel, Managed Funds Association, to Brent J.         Participants. As discussed in detail
                                                   15 National Stock Exchange, Inc. has been             Fields, Secretary, SEC (July 28, 2017) (‘‘MFA           below, SRO proposes to amend the
                                                renamed NYSE National, Inc. See Securities               Letter’’); Letter from Theodore R. Lazo, Managing       Original Proposal to reflect these
                                                                                                         Director and Associate General Counsel, SIFMA, to
                                                Exchange Act Rel. No. 79902 (Jan. 30, 2017), 82 FR
                                                                                                         Brent J. Fields, Secretary, SEC (July 28, 2017)
                                                                                                                                                                 changes.
                                                9258 (Feb. 3, 2017).
                                                   16 15 U.S.C. 78k–1.                                   (‘‘SIFMA Letter’’); Joanna Mallers, Secretary, FIA      (1) Executive Summary
                                                   17 17 CFR 242.608.
                                                                                                         Principal Traders Group, to Brent J. Fields,
                                                                                                         Secretary, SEC (July 28, 2017) (‘‘FIA Principal
                                                   18 See Letter from the Participants to Brent J.
                                                                                                         Traders Group Letter’’); Letter from Kevin Coleman,
                                                                                                                                                                   The following provides an executive
                                                Fields, Secretary, Commission, dated September 30,       General Counsel & Chief Compliance Officer,             summary of the CAT funding model
                                                2014; and Letter from Participants to Brent J. Fields,   Belvedere Trading LLC, to Brent J. Fields, Secretary,   approved by the Operating Committee,
                                                Secretary, Commission, dated February 27, 2015.          SEC (July 28, 2017) (‘‘Belvedere Letter’’); Letter      as well as Industry Members’ rights and
sradovich on DSK3GMQ082PROD with NOTICES




                                                On December 24, 2015, the Participants submitted         from W. Hardy Callcott, Sidley Austin LLP, to Brent
                                                an amendment to the CAT NMS Plan. See Letter             J. Fields, Secretary, SEC (July 27, 2017) (‘‘Sidley
                                                                                                                                                                 obligations related to the payment of
                                                from Participants to Brent J. Fields, Secretary,         Letter’’); Letter from John Kinahan, Chief Executive    CAT Fees calculated pursuant to the
                                                Commission, dated December 23, 2015.                     Officer, Group One Trading, L.P., to Brent J. Fields,   CAT funding model, as amended by this
                                                   19 Securities Exchange Act Rel. No. 77724 (Apr.
                                                                                                         Secretary, SEC (Aug. 10, 2017) (‘‘Group One             Amendment. A detailed description of
                                                27, 2016), 81 FR 30614 (May 17, 2016).                   Letter’’); and Letter from Joseph Molluso, Executive
                                                   20 Securities Exchange Act Rel. No. 79318 (Nov.       Vice President, Virtu Financial, to Brent J. Fields,
                                                                                                                                                                 the CAT funding model and the CAT
                                                15, 2016), 81 FR 84696 (Nov. 23, 2016) (‘‘Approval       Secretary, SEC (Aug. 18, 2017) (‘‘Virtu Financial       Fees, as amended by this Amendment,
                                                Order’’).                                                Letter’’).                                              as well as the changes made to the


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                                                                            Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Notices                                              59781

                                                Original Proposal follows this executive                reported by all Equity Execution Venues               established by the Operating Committee.
                                                summary.                                                during the relevant time period. For                  (See Section 3(a)(3)(C) below)
                                                                                                        purposes of calculating market share,                   • Billing Commencement. Industry
                                                (A) CAT Funding Model                                                                                         Members will begin to receive invoices
                                                                                                        the market share of Execution Venue
                                                   • CAT Costs. The CAT funding model                   ATSs exclusively trading OTC Equity                   for CAT Fees as promptly as possible
                                                is designed to establish CAT-specific                   Securities as well as the market share of             following the latest of the operative date
                                                fees to collectively recover the costs of               the FINRA ORF will be discounted.                     of the Consolidated Audit Trail Funding
                                                building and operating the CAT from all                 Similarly, market share for Options                   Fees for each of the Participants and the
                                                CAT Reporters, including Industry                       Execution Venues will be determined by                operative date of the Plan amendment
                                                Members and Participants. The overall                   calculating each Options Execution                    adopting CAT Fees for Participants. (See
                                                CAT costs for the calculation of the CAT                Venue’s proportion of the total volume                Section 3(a)(2)(G) below)
                                                Fees in this fee filing are comprised of                of Listed Options contracts reported by                 • Sunset Provision. The Consolidated
                                                Plan Processor CAT costs and non-Plan                   all Options Execution Venues during                   Audit Trail Funding Fees will sunset
                                                Processor CAT costs incurred, and                       the relevant time period. Equity                      automatically two years from the
                                                estimated to be incurred, from                          Execution Venues with a larger market                 operative date of the CAT NMS Plan
                                                November 21, 2016 through November                      share will pay a larger CAT Fee than                  amendment adopting CAT Fees for
                                                21, 2017. (See Section 3(a)(2)(E) below)                Equity Execution Venues with a smaller                Participants. (See Section 3(a)(2)(J)
                                                   • Bifurcated Funding Model. The                      market share. Similarly, Options                      below)
                                                CAT NMS Plan requires a bifurcated                      Execution Venues with a larger market
                                                funding model, where costs associated                                                                         (2) Description of the CAT Funding
                                                                                                        share will pay a larger CAT Fee than                  Model
                                                with building and operating the CAT                     Options Execution Venues with a
                                                would be borne by (1) Participants and                                                                           Article XI of the CAT NMS Plan
                                                                                                        smaller market share. (See Section
                                                Industry Members that are Execution                                                                           requires the Operating Committee to
                                                                                                        3(a)(2)(C) below)
                                                Venues for Eligible Securities through                                                                        approve the operating budget, including
                                                                                                           • Cost Allocation. For the reasons                 projected costs of developing and
                                                fixed tier fees based on market share,
                                                                                                        discussed below, in designing the                     operating the CAT for the upcoming
                                                and (2) Industry Members (other than
                                                alternative trading systems (‘‘ATSs’’)                  model, the Operating Committee                        year. In addition to a budget, Article XI
                                                that execute transactions in Eligible                   determined that 75 percent of total costs             of the CAT NMS Plan provides that the
                                                Securities (‘‘Execution Venue ATSs’’))                  recovered would be allocated to                       Operating Committee has discretion to
                                                through fixed tier fees based on message                Industry Members (other than Execution                establish funding for the Company,
                                                traffic for Eligible Securities. (See                   Venue ATSs) and 25 percent would be                   consistent with a bifurcated funding
                                                Section 3(a)(2) below)                                  allocated to Execution Venues. In                     model, where costs associated with
                                                   • Industry Member Fees. Each                         addition, the Operating Committee                     building and operating the Central
                                                Industry Member (other than Execution                   determined to allocate 67 percent of                  Repository would be borne by (1)
                                                Venue ATSs) will be placed into one of                  Execution Venue costs recovered to                    Participants and Industry Members that
                                                seven tiers of fixed fees, based on                     Equity Execution Venues and 33 percent                are Execution Venues through fixed tier
                                                ‘‘message traffic’’ in Eligible Securities              to Options Execution Venues. (See                     fees based on market share, and (2)
                                                for a defined period (as discussed                      Section 3(a)(2)(D) below)                             Industry Members (other than Execution
                                                below). Prior to the start of CAT                          • Comparability of Fees. The CAT                   Venue ATSs) through fixed tier fees
                                                reporting, ‘‘message traffic’’ will be                  funding model charges CAT Reporters                   based on message traffic. In its order
                                                comprised of historical equity and                      with the most CAT-related activity                    approving the CAT NMS Plan, the
                                                equity options orders, cancels, quotes                  (measured by market share and/or                      Commission determined that the
                                                and executions provided by each                         message traffic, as applicable)                       proposed funding model was
                                                exchange and FINRA over the previous                    comparable CAT Fees. (See Section                     ‘‘reasonable’’ 28 and ‘‘reflects a
                                                three months. After an Industry Member                  3(a)(2)(F) below)                                     reasonable exercise of the Participants’
                                                begins reporting to the CAT, ‘‘message                  (B) CAT Fees for Industry Members                     funding authority to recover the
                                                traffic’’ will be calculated based on the                                                                     Participants’ costs related to the
                                                Industry Member’s Reportable Events                       • Fee Schedule. The quarterly CAT                   CAT.’’ 29
                                                reported to the CAT. Industry Members                   Fees for each tier for Industry Members                  More specifically, the Commission
                                                with lower levels of message traffic will               are set forth in the two fee schedules in             stated in approving the CAT NMS Plan
                                                pay a lower fee and Industry Members                    the Consolidated Audit Trail Funding                  that ‘‘[t]he Commission believes that the
                                                with higher levels of message traffic will              Fees, one for Equity ATSs and one for                 proposed funding model is reasonably
                                                pay a higher fee. To avoid disincentives                Industry Members other than Equity                    designed to allocate the costs of the CAT
                                                to quoting behavior, Options Market                     ATSs. (See Section 3(a)(3)(B) below)                  between the Participants and Industry
                                                Maker and equity market maker quotes                      • Quarterly Invoices. Industry                      Members.’’ 30 The Commission further
                                                will be discounted when calculating                     Members will be billed quarterly for                  noted the following:
                                                message traffic. (See Section 3(a)(2)(B)                CAT Fees, with the invoices payable                      The Commission believes that the
                                                below)                                                  within 30 days. The quarterly invoices                proposed funding model reflects a reasonable
                                                   • Execution Venue Fees. Each Equity                  will identify within which tier the                   exercise of the Participants’ funding
                                                Execution Venue will be placed in one                   Industry Member falls. (See Section                   authority to recover the Participants’ costs
                                                of four tiers of fixed fees based on                    3(a)(3)(C) below)                                     related to the CAT. The CAT is a regulatory
                                                market share, and each Options                            • Centralized Payment. Each Industry                facility jointly owned by the Participants and
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                                                Execution Venue will be placed in one                   Member will receive from the Company                  . . . the Exchange Act specifically permits
                                                                                                                                                              the Participants to charge their members fees
                                                of two tiers of fixed fees based on                     one invoice for its applicable CAT Fees,              to fund their self-regulatory obligations. The
                                                market share. Equity Execution Venue                    not separate invoices from each                       Commission further believes that the
                                                market share will be determined by                      Participant of which it is a member.
                                                calculating each Equity Execution                       Each Industry Member will pay its CAT                   28 Approval   Order at 84796.
                                                Venue’s proportion of the total volume                  Fees to the Company via the centralized                 29 Id. at 84794.
                                                of NMS Stock and OTC Equity shares                      system for the collection of CAT Fees                   30 Id. at 84795.




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                                                59782                       Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Notices

                                                proposed funding model is designed to                   (e.g., an Industry Member with the                      be based on the message traffic
                                                impose fees reasonably related to the                   largest amount of message traffic in one                generated by such Industry Member.40
                                                Participants’ self-regulatory obligations               tier would pay a smaller amount per                        In contrast to Industry Members,
                                                because the fees would be directly associated                                                                   which determine the degree to which
                                                                                                        order event than an Industry Member in
                                                with the costs of establishing and
                                                maintaining the CAT, and not unrelated SRO              the same tier with the least amount of                  they produce message traffic that
                                                services.31                                             message traffic). Such variation is the                 constitute CAT Reportable Events, the
                                                                                                        natural result of a tiered fee structure.34             CAT Reportable Events of the Execution
                                                Accordingly, the funding model                          The Operating Committee considered                      Venues are largely derivative of
                                                approved by the Operating Committee                     several approaches to developing a                      quotations and orders received from
                                                imposes fees on both Participants and                   tiered model, including defining fee                    Industry Members that they are required
                                                Industry Members.                                       tiers based on such factors as size of                  to display. The business model for
                                                   As discussed in Appendix C of the                                                                            Execution Venues (other than FINRA),
                                                                                                        firm, message traffic or trading dollar
                                                CAT NMS Plan, in developing and                                                                                 however, is focused on executions in
                                                                                                        volume. After analyzing the alternatives,
                                                approving the approved funding model,                                                                           their markets. As a result, the Operating
                                                                                                        it was concluded that the tiering should
                                                the Operating Committee considered the                                                                          Committee believes that it is more
                                                advantages and disadvantages of a                       be based on message traffic which will
                                                                                                        reflect the relative impact of CAT                      equitable to charge Execution Venues
                                                variety of alternative funding and cost                                                                         based on their market share rather than
                                                allocation models before selecting the                  Reporters on the CAT System.
                                                                                                           Accordingly, the CAT NMS Plan                        their message traffic.
                                                proposed model.32 After analyzing the                                                                              Focusing on message traffic would
                                                                                                        contemplates that costs will be allocated
                                                various alternatives, the Operating                                                                             make it more difficult to draw
                                                                                                        across the CAT Reporters on a tiered
                                                Committee determined that the                                                                                   distinctions between large and small
                                                                                                        basis in order to allocate higher costs to
                                                proposed tiered, fixed fee funding                                                                              Execution Venues and, in particular,
                                                                                                        those CAT Reporters that contribute
                                                model provides a variety of advantages                                                                          between large and small options
                                                in comparison to the alternatives.                      more to the costs of creating,
                                                                                                        implementing and maintaining the CAT                    exchanges. For instance, the Operating
                                                   In particular, the fixed fee model, as                                                                       Committee analyzed the message traffic
                                                opposed to a variable fee model,                        and lower costs to those that contribute
                                                                                                        less.35 The fees to be assessed at each                 of Execution Venues and Industry
                                                provides transparency, ease of                                                                                  Members for the period of April 2017 to
                                                calculation, ease of billing and other                  tier are calculated so as to recoup a
                                                                                                        proportion of costs appropriate to the                  June 2017 and placed all CAT Reporters
                                                administrative functions, and                                                                                   into a nine-tier framework (i.e., a single
                                                predictability of a fixed fee. Such factors             message traffic or market share (as
                                                                                                        applicable) from CAT Reporters in each                  tier may include both Execution Venues
                                                are crucial to estimating a reliable                                                                            and Industry Members). The Operating
                                                revenue stream for the Company and for                  tier. Therefore, Industry Members
                                                                                                        generating the most message traffic will                Committee’s analysis found that the
                                                permitting CAT Reporters to reasonably                                                                          majority of exchanges (15 total) were
                                                predict their payment obligations for                   be in the higher tiers, and will be
                                                                                                        charged a higher fee. Industry Members                  grouped in Tiers 1 and 2. Moreover,
                                                budgeting purposes. Additionally, a                                                                             virtually all of the options exchanges
                                                strictly variable or metered funding                    with lower levels of message traffic will
                                                                                                        be in lower tiers and will be assessed a                were in Tiers 1 and 2.41 Given the
                                                model based on message volume would                                                                             resulting concentration of options
                                                be far more likely to affect market                     smaller fee for the CAT.36
                                                                                                        Correspondingly, Execution Venues                       exchanges in Tiers 1 and 2 under this
                                                behavior and place an inappropriate                                                                             approach, the analysis shows that a
                                                burden on competition.                                  with the highest market shares will be
                                                                                                        in the top tier, and will be charged                    funding model for Execution Venues
                                                   In addition, reviews from varying
                                                                                                        higher fees. Execution Venues with the                  based on message traffic would make it
                                                time periods of current broker-dealer
                                                                                                        lowest market shares will be in the                     more difficult to distinguish between
                                                order and trading data submitted under
                                                                                                        lowest tier and will be assessed smaller                large and small options exchanges, as
                                                existing reporting requirements showed
                                                                                                        fees for the CAT.37                                     compared to the proposed fee approach
                                                a wide range in activity among broker-
                                                                                                           The CAT NMS Plan states that                         that bases fees for Execution Venues on
                                                dealers, with a number of broker-dealers
                                                                                                        Industry Members (other than Execution                  market share.
                                                submitting fewer than 1,000 orders per                                                                             The CAT NMS Plan’s funding model
                                                month and other broker-dealers                          Venue ATSs) will be charged based on
                                                                                                        message traffic, and that Execution                     also is structured to avoid a ‘‘reduction
                                                submitting millions and even billions of                                                                        in market quality.’’ 42 The tiered, fixed
                                                orders in the same period. Accordingly,                 Venues will be charged based on market
                                                                                                        share.38 While there are multiple factors               fee funding model is designed to limit
                                                the CAT NMS Plan includes a tiered                                                                              the disincentives to providing liquidity
                                                approach to fees. The tiered approach                   that contribute to the cost of building,
                                                                                                                                                                to the market. For example, the
                                                helps ensure that fees are equitably                    maintaining and using the CAT,
                                                                                                                                                                Operating Committee expects that a firm
                                                allocated among similarly situated CAT                  processing and storage of incoming
                                                                                                                                                                that has a large volume of quotes would
                                                Reporters and furthers the goal of                      message traffic is one of the most
                                                                                                                                                                likely be categorized in one of the upper
                                                lessening the impact on smaller firms.33                significant cost drivers for the CAT.39
                                                                                                                                                                tiers, and would not be assessed a fee
                                                In addition, in choosing a tiered fee                   Thus, the CAT NMS Plan provides that
                                                                                                                                                                for this traffic directly as they would
                                                structure, the Operating Committee                      the fees payable by Industry Members
                                                                                                                                                                under a more directly metered model. In
                                                concluded that the variety of benefits                  (other than Execution Venue ATSs) will
                                                                                                                                                                contrast, strictly variable or metered
                                                offered by a tiered fee structure,                                                                              funding models based on message
                                                                                                          34 Moreover, as the SEC noted in approving the
                                                discussed above, outweighed the fact                                                                            volume are far more likely to affect
                                                                                                        CAT NMS Plan, ‘‘[t]he Participants also have
                                                that CAT Reporters in any particular tier                                                                       market behavior. In approving the CAT
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                                                                                                        offered a reasonable basis for establishing a funding
                                                would pay different rates per message                   model based on broad tiers, in that it may be easier    NMS Plan, the SEC stated that ‘‘[t]he
                                                traffic order event or per market share                 to implement.’’ Approval Order at 84796.
                                                                                                          35 Approval Order at 85005.
                                                                                                                                                                  40 Section 11.3(b) of the CAT NMS Plan.
                                                  31 Id.                                                  36 Id.
                                                       at 84794.                                                                                                  41 The  Operating Committee notes that this
                                                 32 Section B.7, Appendix C of the CAT NMS Plan,          37 Id.
                                                                                                                                                                analysis did not place MIAX PEARL in Tier 1 or
                                                Approval Order at 85006.                                  38 Section 11.3(a) and (b) of the CAT NMS Plan.       Tier 2 since the exchange commenced trading on
                                                 33 Section B.7, Appendix C of the CAT NMS Plan,          39 Section B.7, Appendix C of the CAT NMS Plan,       February 6, 2017.
                                                Approval Order at 85006.                                Approval Order at 85005.                                  42 Section 11.2(e) of the CAT NMS Plan.




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                                                                            Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Notices                                            59783

                                                Participants also offered a reasonable                  addresses issues raised by commenters                 by the Operating Committee pursuant to
                                                basis for establishing a funding model                  about the Plan’s proposed allocation of               the CAT NMS Plan.
                                                based on broad tiers, in that it may be                 profit and loss by mitigating concerns
                                                                                                                                                              (A) Funding Principles
                                                . . . less likely to have an incremental                that the Company’s earnings could be
                                                deterrent effect on liquidity                           used to benefit individual                               Section 11.2 of the CAT NMS Plan
                                                provision.’’ 43                                         Participants.’’ 46 The Internal Revenue               sets forth the principles that the
                                                   The funding model also is structured                 Service recently has determined that the              Operating Committee applied in
                                                to avoid a reduction market quality                     Company is exempt from federal income                 establishing the funding for the
                                                because it discounts Options Market                     tax under Section 501(c)(6) of the                    Company. The Operating Committee has
                                                Maker and equity market maker quotes                    Internal Revenue Code.                                considered these funding principles as
                                                when calculating message traffic for                       The funding model also is structured               well as the other funding requirements
                                                Options Market Makers and equity                        to take into account distinctions in the              set forth in the CAT NMS Plan and in
                                                market makers, respectively. As                         securities trading operations of                      Rule 613 in developing the proposed
                                                discussed in more detail below, the                     Participants and Industry Members. For                funding model. The following are the
                                                Operating Committee determined to                       example, the Operating Committee                      funding principles in Section 11.2 of the
                                                discount the Options Market Maker                       designed the model to address the                     CAT NMS Plan:
                                                quotes by the trade to quote ratio for                  different trading characteristics in the                 • To create transparent, predictable
                                                options when calculating message traffic                OTC Equity Securities market.                         revenue streams for the Company that
                                                for Options Market Makers. Similarly, to                Specifically, the Operating Committee                 are aligned with the anticipated costs to
                                                avoid disincentives to quoting behavior                 proposes to discount the market share of              build, operate and administer the CAT
                                                on the equities side as well, the                       Execution Venue ATSs exclusively                      and other costs of the Company;
                                                Operating Committee determined to                       trading OTC Equity Securities as well as                 • To establish an allocation of the
                                                discount equity market maker quotes by                  the market share of the FINRA ORF by                  Company’s related costs among
                                                the trade to quote ratio for equities                   the average shares per trade ratio                    Participants and Industry Members that
                                                when calculating message traffic for                    between NMS Stocks and OTC Equity                     is consistent with the Exchange Act,
                                                equity market makers. The proposed                      Securities to adjust for the greater                  taking into account the timeline for
                                                discounts recognize the value of the                    number of shares being traded in the                  implementation of the CAT and
                                                market makers’ quoting activity to the                  OTC Equity Securities market, which is                distinctions in the securities trading
                                                market as a whole.                                      generally a function of a lower per share             operations of Participants and Industry
                                                   The CAT NMS Plan is further                          price for OTC Equity Securities when                  Members and their relative impact upon
                                                structured to avoid potential conflicts                 compared to NMS Stocks. In addition,                  the Company’s resources and
                                                raised by the Operating Committee                       the Operating Committee also proposes                 operations;
                                                determining fees applicable to its own                  to discount Options Market Maker and                     • To establish a tiered fee structure in
                                                members—the Participants. First, the                    equity market maker message traffic in                which the fees charged to: (i) CAT
                                                Company will operate on a ‘‘break-                      recognition of their role in the securities           Reporters that are Execution Venues,
                                                even’’ basis, with fees imposed to cover                markets. Furthermore, the funding                     including ATSs, are based upon the
                                                costs and an appropriate reserve. Any                   model creates separate tiers for Equity               level of market share; (ii) Industry
                                                surpluses will be treated as an                         and Options Execution Venues due to                   Members’ non-ATS activities are based
                                                operational reserve to offset future fees               the different trading characteristics of              upon message traffic; (iii) the CAT
                                                and will not be distributed to the                      those markets.                                        Reporters with the most CAT-related
                                                Participants as profits.44 To ensure that                  Finally, by adopting a CAT-specific                activity (measured by market share and/
                                                the Participants’ operation of the CAT                  fee, the Operating Committee will be                  or message traffic, as applicable) are
                                                will not contribute to the funding of                   fully transparent regarding the costs of              generally comparable (where, for these
                                                their other operations, Section 11.1(c) of              the CAT. Charging a general regulatory                comparability purposes, the tiered fee
                                                the CAT NMS Plan specifically states                    fee, which would be used to cover CAT                 structure takes into consideration
                                                that ‘‘[a]ny surplus of the Company’s                   costs as well as other regulatory costs,              affiliations between or among CAT
                                                revenues over its expenses shall be                     would be less transparent than the                    Reporters, whether Execution Venue
                                                treated as an operational reserve to                    selected approach of charging a fee                   and/or Industry Members);
                                                offset future fees.’’ In addition, as set               designated to cover CAT costs only.                      • To provide for ease of billing and
                                                forth in Article VIII of the CAT NMS                       A full description of the funding                  other administrative functions;
                                                Plan, the Company ‘‘intends to operate                  model is set forth below. This                           • To avoid any disincentives such as
                                                in a manner such that it qualifies as a                 description includes the framework for                placing an inappropriate burden on
                                                ‘business league’ within the meaning of                 the funding model as set forth in the                 competition and a reduction in market
                                                Section 501(c)(6) of the [Internal                      CAT NMS Plan, as well as the details as               quality; and
                                                Revenue] Code.’’ To qualify as a                        to how the funding model will be                         • To build financial stability to
                                                business league, an organization must                   applied in practice, including the                    support the Company as a going
                                                ‘‘not [be] organized for profit and no                  number of fee tiers and the applicable                concern.
                                                part of the net earnings of [the                        fees for each tier. The complete funding
                                                                                                        model is described below, including                   (B) Industry Member Tiering
                                                organization can] inure[] to the benefit
                                                of any private shareholder or                           those fees that are to be paid by the                    Under Section 11.3(b) of the CAT
                                                individual.’’ 45 As the SEC stated when                 Participants. The proposed                            NMS Plan, the Operating Committee is
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                                                approving the CAT NMS Plan, ‘‘the                       Consolidated Audit Trail Funding Fees,                required to establish fixed fees to be
                                                Commission believes that the                            however, do not apply to the                          payable by Industry Members, based on
                                                Company’s application for Section                       Participants; the proposed Consolidated               message traffic generated by such
                                                501(c)(6) business league status                        Audit Trail Funding Fees only apply to                Industry Member, with the Operating
                                                                                                        Industry Members. The CAT Fees for                    Committee establishing at least five and
                                                  43 Approval  Order at 84796.                          Participants will be imposed separately               no more than nine tiers.
                                                  44 Id.at 84792.                                                                                                The CAT NMS Plan clarifies that the
                                                  45 26 U.S.C. 501(c)(6).                                 46 Approval   Order at 84793.                       fixed fees payable by Industry Members


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                                                59784                       Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Notices

                                                pursuant to Section 11.3(b) shall, in                   traffic. Based on this, the Operating                 percentage of total recovery, the
                                                addition to any other applicable                        Committee determined that seven tiers                 percentage allocation of costs recovered
                                                message traffic, include message traffic                would group firms with similar levels of              for each tier were assigned, allocating
                                                generated by: (i) an ATS that does not                  message traffic, charging those firms                 higher percentages of recovery to tiers
                                                execute orders that is sponsored by such                with higher impact on the CAT more,                   with higher levels of message traffic
                                                Industry Member; and (ii) routing orders                while lowering the burden on Industry                 while avoiding any inappropriate
                                                to and from any ATS sponsored by such                   Members that have less CAT-related                    burden on competition. Furthermore, by
                                                Industry Member. In addition, the                       activity. Furthermore, the selection of               using percentages of Industry Members
                                                Industry Member fees will apply to                      seven tiers establishes comparable fees               and costs recovered per tier, the
                                                Industry Members that act as routing                    among the largest CAT Reporters.                      Operating Committee sought to include
                                                broker-dealers for exchanges. The                          Each Industry Member (other than                   elasticity within the funding model,
                                                Industry Member fees will not be                        Execution Venue ATSs) will be ranked                  allowing the funding model to respond
                                                applicable, however, to an ATS that                     by message traffic and tiered by                      to changes in either the total number of
                                                qualifies as an Execution Venue, as                     predefined Industry Member                            Industry Members or the total level of
                                                discussed in more detail in the section                 percentages (the ‘‘Industry Member                    message traffic.
                                                on Execution Venue tiering.                             Percentages’’). The Operating                            The following chart illustrates the
                                                   In accordance with Section 11.3(b),                  Committee determined to use                           breakdown of seven Industry Member
                                                the Operating Committee approved a                      predefined percentages rather than fixed              tiers across the monthly average of total
                                                tiered fee structure for Industry                       volume thresholds to ensure that the                  equity and equity options orders,
                                                Members (other than Execution Venue                     total CAT Fees collected recover the                  cancels, quotes and executions in the
                                                ATSs) as described in this section. In                  expected CAT costs regardless of                      second quarter of 2017 as well as
                                                determining the tiers, the Operating                    changes in the total level of message                 message traffic thresholds between the
                                                Committee considered the funding                        traffic. To determine the fixed                       largest of Industry Member message
                                                principles set forth in Section 11.2 of                 percentage of Industry Members in each                traffic gaps. The Operating Committee
                                                the CAT NMS Plan, seeking to create                     tier, the Operating Committee analyzed                referenced similar distribution
                                                funding tiers that take into account the                historical message traffic generated by               illustrations to determine the
                                                relative impact on CAT System                           Industry Members across all exchanges                 appropriate division of Industry
                                                resources of different Industry Members,                and as submitted to OATS, and                         Member percentages in each tier by
                                                and that establish comparable fees                      considered the distribution of firms                  considering the grouping of firms with
                                                among the CAT Reporters with the most                   with similar levels of message traffic,               similar levels of message traffic and
                                                Reportable Events. The Operating                        grouping together firms with similar                  seeking to identify relative breakpoints
                                                Committee has determined that                           levels of message traffic. Based on this,             in the message traffic between such
                                                establishing seven tiers results in an                  the Operating Committee identified                    groupings. In reviewing the chart and its
                                                allocation of fees that distinguishes                   seven tiers that would group firms with               corresponding table, note that while
                                                between Industry Members with                           similar levels of message traffic.                    these distribution illustrations were
                                                differing levels of message traffic. Thus,                 The percentage of costs recovered by               referenced to help differentiate between
                                                each such Industry Member will be                       each Industry Member tier will be                     Industry Member tiers, the proposed
                                                placed into one of seven tiers of fixed                 determined by predefined percentage                   funding model is driven by fixed
                                                fees, based on ‘‘message traffic’’ for a                allocations (the ‘‘Industry Member                    percentages of Industry Members across
                                                defined period (as discussed below).                    Recovery Allocation’’). In determining                tiers to account for fluctuating levels of
                                                   A seven tier structure was selected to               the fixed percentage allocation of costs              message traffic over time. This approach
                                                provide a wide range of levels for tiering              recovered for each tier, the Operating                also provides financial stability for the
                                                Industry Members such that Industry                     Committee considered the impact of                    CAT by ensuring that the funding model
                                                Members submitting significantly less                   CAT Reporter message traffic on the                   will recover the required amounts
                                                message traffic to the CAT would be                     CAT System as well as the distribution                regardless of changes in the number of
                                                adequately differentiated from Industry                 of total message volume across Industry               Industry Members or the amount of
                                                Members submitting substantially more                   Members while seeking to maintain                     message traffic. Actual messages in any
                                                message traffic. The Operating                          comparable fees among the largest CAT                 tier will vary based on the actual traffic
                                                Committee considered historical                         Reporters. Accordingly, following the                 in a given measurement period, as well
                                                message traffic from multiple time                      determination of the percentage of                    as the number of firms included in the
                                                periods, generated by Industry Members                  Industry Members in each tier, the                    measurement period. The Industry
                                                across all exchanges and as submitted to                Operating Committee identified the                    Member Percentages and Industry
                                                FINRA’s Order Audit Trail System                        percentage of total market volume for                 Member Recovery Allocation for each
                                                (‘‘OATS’’), and considered the                          each tier based on the historical message             tier will remain fixed with each
                                                distribution of firms with similar levels               traffic upon which Industry Members                   Industry Member’s tier to be reassigned
                                                of message traffic, grouping together                   had been initially ranked. Taking this                periodically, as described below in
                                                firms with similar levels of message                    into account along with the resulting                 Section 3(a)(2)(I).
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                                                                                         Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Notices                                                                                            59785




                                                                                                                                                                                                                                         Approximate message
                                                                                                                                                                                                                                                traffic per
                                                                                                                                                                                                                                            Industry Member
                                                                                                                    Industry Member tier                                                                                                       (Q2 2017)
                                                                                                                                                                                                                                        (orders, quotes, cancels
                                                                                                                                                                                                                                             and executions)

                                                Tier   1   ................................................................................................................................................................                         >10,000,000,000
                                                Tier   2   ................................................................................................................................................................            1,000,000,000–10,000,000,000
                                                Tier   3   ................................................................................................................................................................               100,000,000–1,000,000,000
                                                Tier   4   ................................................................................................................................................................                   1,000,000–100,000,000
                                                Tier   5   ................................................................................................................................................................                       100,000–1,000,000
                                                Tier   6   ................................................................................................................................................................                          10,000–100,000
                                                Tier   7   ................................................................................................................................................................                                 <10,000



                                                  Based on the above analysis, the                                             and Industry Member Recovery
                                                Operating Committee approved the                                               Allocations:
                                                following Industry Member Percentages

                                                                                                                                                                                                                                       Percentage of
                                                                                                                                                                                                           Percentage of                 Industry       Percentage of
                                                                                                           Industry Member tier                                                                              Industry                    Member         total recovery
                                                                                                                                                                                                             Members                     Recovery

                                                Tier   1   ............................................................................................................................................                  0.900                 12.00                9.00
                                                Tier   2   ............................................................................................................................................                  2.150                 20.50               15.38
                                                Tier   3   ............................................................................................................................................                  2.800                 18.50               13.88
                                                Tier   4   ............................................................................................................................................                  7.750                 32.00               24.00
                                                Tier   5   ............................................................................................................................................                  8.300                 10.00                7.50
                                                Tier   6   ............................................................................................................................................                 18.800                  6.00                4.50
                                                Tier   7   ............................................................................................................................................                 59.300                  1.00                0.75

                                                       Total ......................................................................................................................................                           100                100                 75



                                                   For the purposes of creating these                                          be no Reportable Events as defined in                                           reporting, orders would be comprised of
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                                                tiers based on message traffic, the                                            the Plan, prior to the commencement of                                          the total number of equity and equity
                                                Operating Committee determined to                                              CAT reporting. Accordingly, prior to the                                        options orders received and originated
                                                define the term ‘‘message traffic’’                                            start of CAT reporting, ‘‘message traffic’’                                     by a member of an exchange or FINRA
                                                separately for the period before the                                           will be comprised of historical equity                                          over the previous three-month period,
                                                commencement of CAT reporting and                                              and equity options orders, cancels,                                             including principal orders, cancel/
                                                for the period after the start of CAT                                          quotes and executions provided by each                                          replace orders, market maker orders
                                                reporting. The different definition for                                        exchange and FINRA over the previous                                            originated by a member of an exchange,
                                                                                                                                                                                                                                                                           EN15DE17.007</GPH>




                                                message traffic is necessary as there will                                     three months. Prior to the start of CAT                                         and reserve (iceberg) orders as well as


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                                                59786                        Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Notices

                                                executions originated by a member of                     the Operating Committee determined to                  Operating Committee believes that it is
                                                FINRA, and excluding order rejects,                      discount the Options Market Maker                      appropriate to treat ATSs as Execution
                                                system-modified orders, order routes                     quotes by the trade to quote ratio for                 Venues under the proposed funding
                                                and implied orders.47 In addition, prior                 options when calculating message traffic               model since ATSs have business models
                                                to the start of CAT reporting, cancels                   for Options Market Makers. Based on                    that are similar to those of exchanges,
                                                would be comprised of the total number                   available data for June 2016 through                   and ATSs also compete with exchanges.
                                                of equity and equity option cancels                      June 2017, the trade to quote ratio for                   Given the differences between
                                                received and originated by a member of                   options is 0.01%. Similarly, to avoid                  Execution Venues that trade NMS
                                                an exchange or FINRA over a three-                       disincentives to quoting behavior on the               Stocks and/or OTC Equity Securities
                                                month period, excluding order                            equities side, the Operating Committee                 and Execution Venues that trade Listed
                                                modifications (e.g., order updates, order                determined to discount equity market                   Options, Section 11.3(a) addresses
                                                splits, partial cancels) and multiple                    maker quotes by the trade to quote ratio               Execution Venues that trade NMS
                                                cancels of a complex order.                              for equities. Based on available data for              Stocks and/or OTC Equity Securities
                                                Furthermore, prior to the start of CAT                   June 2016 through June 2017, the trade                 separately from Execution Venues that
                                                reporting, quotes would be comprised of                  to quote ratio for equities is 5.43%.50                trade Listed Options. Equity and
                                                information readily available to the                     The trade to quote ratio for options and               Options Execution Venues are treated
                                                exchanges and FINRA, such as the total                   the trade to quote ratio for equities will             separately for two reasons. First, the
                                                number of historical equity and equity                   be calculated every three months when                  differing quoting behavior of Equity and
                                                options quotes received and originated                   tiers are recalculated (as discussed                   Options Execution Venues makes
                                                by a member of an exchange or FINRA                      below).                                                comparison of activity between such
                                                over the prior three-month period.                          The Operating Committee has                         Execution Venues difficult. Second,
                                                Additionally, prior to the start of CAT                  determined to calculate fee tiers every                Execution Venue tiers are calculated
                                                reporting, executions would be                           three months, on a calendar quarter                    based on market share of share volume,
                                                comprised of the total number of equity                  basis, based on message traffic from the               and it is therefore difficult to compare
                                                and equity option executions received                    prior three months. Based on its                       market share between asset classes (i.e.,
                                                or originated by a member of an                          analysis of historical data, the Operating             equity shares versus options contracts).
                                                exchange or FINRA over a three-month                     Committee believes that calculating tiers              Discussed below is how the funding
                                                period.                                                  based on three months of data will                     model treats the two types of Execution
                                                   After an Industry Member begins                       provide the best balance between                       Venues.
                                                reporting to the CAT, ‘‘message traffic’’                reflecting changes in activity by
                                                                                                                                                                (I) NMS Stocks and OTC Equity
                                                will be calculated based on the Industry                 Industry Members while still providing
                                                                                                                                                                Securities
                                                Member’s Reportable Events reported to                   predictability in the tiering for Industry
                                                the CAT as will be defined in the                        Members. Because fee tiers will be                        Section 11.3(a)(i) of the CAT NMS
                                                Technical Specifications.48                              calculated based on message traffic from               Plan states that each Execution Venue
                                                   Quotes of Options Market Makers and                   the prior three months, the Operating                  that (i) executes transactions or, (ii) in
                                                equity market makers will be included                    Committee will begin calculating                       the case of a national securities
                                                in the calculation of total message traffic              message traffic based on an Industry                   association, has trades reported by its
                                                for those market makers for purposes of                  Member’s Reportable Events reported to                 members to its trade reporting facility or
                                                tiering under the CAT funding model                      the CAT once the Industry Member has                   facilities for reporting transactions
                                                both prior to CAT reporting and once                     been reporting to the CAT for three                    effected otherwise than on an exchange,
                                                CAT reporting commences.49 To                            months. Prior to that, fee tiers will be               in NMS Stocks or OTC Equity Securities
                                                address potential concerns regarding                     calculated as discussed above with                     will pay a fixed fee depending on the
                                                burdens on competition or market                         regard to the period prior to CAT                      market share of that Execution Venue in
                                                quality of including quotes in the                       reporting.                                             NMS Stocks and OTC Equity Securities,
                                                calculation of message traffic, however,                                                                        with the Operating Committee
                                                                                                         (C) Execution Venue Tiering                            establishing at least two and not more
                                                  47 Consequently,    firms that do not have ‘‘message      Under Section 11.3(a) of the CAT                    than five tiers of fixed fees, based on an
                                                traffic’’ reported to an exchange or OATS before         NMS Plan, the Operating Committee is                   Execution Venue’s NMS Stocks and
                                                they are reporting to the CAT would not be subject       required to establish fixed fees payable               OTC Equity Securities market share. For
                                                to a fee until they begin to report information to
                                                CAT.                                                     by Execution Venues. Section 1.1 of the                these purposes, market share for
                                                   48 If an Industry Member (other than an Execution     CAT NMS Plan defines an Execution                      Execution Venues that execute
                                                Venue ATS) has no orders, cancels, quotes and            Venue as ‘‘a Participant or an alternative             transactions will be calculated by share
                                                executions prior to the commencement of CAT              trading system (‘‘ATS’’) (as defined in                volume, and market share for a national
                                                Reporting, or no Reportable Events after CAT             Rule 300 of Regulation ATS) that
                                                reporting commences, then the Industry Member
                                                                                                                                                                securities association that has trades
                                                would not have a CAT Fee obligation.                     operates pursuant to Rule 301 of                       reported by its members to its trade
                                                   49 The SEC approved exemptive relief permitting       Regulation ATS (excluding any such                     reporting facility or facilities for
                                                Options Market Maker quotes to be reported to the        ATS that does not execute orders).’’ 51                reporting transactions effected
                                                Central Repository by the relevant Options                  The Operating Committee determined                  otherwise than on an exchange in NMS
                                                Exchange in lieu of requiring that such reporting be     that ATSs should be included within
                                                done by both the Options Exchange and the Options                                                               Stocks or OTC Equity Securities will be
                                                Market Maker, as required by Rule 613 of                 the definition of Execution Venue. The                 calculated based on share volume of
                                                Regulation NMS. See Securities Exchange Act Rel.                                                                trades reported, provided, however, that
                                                No. 77265 (Mar. 1, 2017), 81 FR 11856 (Mar. 7,             50 The trade to quote ratios were calculated based
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                                                                                                                                                                the share volume reported to such
                                                2016). This exemption applies to Options Market          on the inverse of the average of the monthly equity
                                                Maker quotes for CAT reporting purposes only.            SIP and OPRA quote to trade ratios from June 2016–     national securities association by an
                                                Therefore, notwithstanding the reporting exemption       June 2017 that were compiled by the Financial          Execution Venue shall not be included
                                                provided for Options Market Maker quotes, Options        Information Forum using data from NASDAQ and           in the calculation of such national
                                                Market Maker quotes will be included in the              SIAC.                                                  security association’s market share.
                                                calculation of total message traffic for Options           51 Although FINRA does not operate an execution

                                                Market Makers for purposes of tiering under the          venue, because it is a Participant, it is considered
                                                                                                                                                                   In accordance with Section 11.3(a)(i)
                                                CAT funding model both prior to CAT reporting            an ‘‘Execution Venue’’ under the Plan for purposes     of the CAT NMS Plan, the Operating
                                                and once CAT reporting commences.                        of determining fees.                                   Committee approved a tiered fee


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                                                                                         Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Notices                                                                                 59787

                                                structure for Equity Execution Venues                                          (‘‘TRF’’) and ORF market share of share                                    ratio between NMS Stocks and OTC
                                                and Option Execution Venues. In                                                volume was sourced from market                                             Equity Securities will be recalculated
                                                determining the Equity Execution                                               statistics made publicly available by                                      every three months when tiers are
                                                Venue Tiers, the Operating Committee                                           FINRA. Based on data from FINRA and                                        recalculated.53
                                                considered the funding principles set                                          otcmarkets.com, ATSs accounted for                                            Based on this, the Operating
                                                forth in Section 11.2 of the CAT NMS                                           39.12% of the share volume across the                                      Committee considered the distribution
                                                Plan, seeking to create funding tiers that                                     TRFs and ORFs during the recent tiering                                    of Execution Venues, and grouped
                                                take into account the relative impact on                                       period. A 39.12/60.88 split was applied                                    together Execution Venues with similar
                                                system resources of different Equity                                           to the ATS and non-ATS breakdown of                                        levels of market share. The percentage
                                                Execution Venues, and that establish                                           FINRA market share, with FINRA tiered                                      of costs recovered by each Equity
                                                comparable fees among the CAT                                                  based only on the non-ATS portion of                                       Execution Venue tier will be determined
                                                Reporters with the most Reportable                                             its market share of share volume.
                                                                                                                                                                                                          by predefined percentage allocations
                                                Events. Each Equity Execution Venue                                               The Operating Committee determined
                                                                                                                                                                                                          (the ‘‘Equity Execution Venue Recovery
                                                will be placed into one of four tiers of                                       to discount the market share of
                                                                                                                               Execution Venue ATSs exclusively                                           Allocation’’). In determining the fixed
                                                fixed fees, based on the Execution
                                                                                                                               trading OTC Equity Securities as well as                                   percentage allocation of costs to be
                                                Venue’s NMS Stocks and OTC Equity
                                                                                                                               the market share of the FINRA ORF in                                       recovered from each tier, the Operating
                                                Securities market share. In choosing
                                                                                                                               recognition of the different trading                                       Committee considered the impact of
                                                four tiers, the Operating Committee
                                                                                                                               characteristics of the OTC Equity                                          CAT Reporter market share activity on
                                                performed an analysis similar to that
                                                                                                                               Securities market as compared to the                                       the CAT System as well as the
                                                discussed above with regard to the non-
                                                                                                                               market in NMS Stocks. Many OTC                                             distribution of total market volume
                                                Execution Venue Industry Members to
                                                                                                                               Equity Securities are priced at less than                                  across Equity Execution Venues while
                                                determine the number of tiers for Equity
                                                Execution Venues. The Operating                                                one dollar—and a significant number at                                     seeking to maintain comparable fees
                                                Committee determined to establish four                                         less than one penny—per share and                                          among the largest CAT Reporters.
                                                tiers for Equity Execution Venues, rather                                      low-priced shares tend to trade in larger                                  Accordingly, following the
                                                than a larger number of tiers as                                               quantities. Accordingly, a                                                 determination of the percentage of
                                                established for non-Execution Venue                                            disproportionately large number of                                         Execution Venues in each tier, the
                                                Industry Members, because the four                                             shares are involved in transactions                                        Operating Committee identified the
                                                tiers were sufficient to distinguish                                           involving OTC Equity Securities versus                                     percentage of total market volume for
                                                between the smaller number of Equity                                           NMS Stocks. Because the proposed fee                                       each tier based on the historical market
                                                Execution Venues based on market                                               tiers are based on market share                                            share upon which Execution Venues
                                                share. Furthermore, the selection of four                                      calculated by share volume, Execution                                      had been initially ranked. Taking this
                                                tiers serves to help establish                                                 Venue ATSs exclusively trading OTC                                         into account along with the resulting
                                                comparability among the largest CAT                                            Equity Securities and FINRA would                                          percentage of total recovery, the
                                                Reporters.                                                                     likely be subject to higher tiers than                                     percentage allocation of cost recovery
                                                   Each Equity Execution Venue will be                                         their operations may warrant. To                                           for each tier were assigned, allocating
                                                ranked by market share and tiered by                                           address this potential concern, the                                        higher percentages of recovery to the
                                                predefined Execution Venue                                                     Operating Committee determined to                                          tier with a higher level of market share
                                                percentages, (the ‘‘Equity Execution                                           discount the market share of Execution                                     while avoiding any inappropriate
                                                Venue Percentages’’). In determining the                                       Venue ATSs exclusively trading OTC                                         burden on competition. Furthermore, by
                                                fixed percentage of Equity Execution                                           Equity Securities and the market share                                     using percentages of Equity Execution
                                                Venues in each tier, the Operating                                             of the FINRA ORF by multiplying such                                       Venues and cost recovery per tier, the
                                                Committee reviewed historical market                                           market share by the average shares per                                     Operating Committee sought to include
                                                share of share volume for Execution                                            trade ratio between NMS Stocks and                                         elasticity within the funding model,
                                                Venues. Equity Execution Venue market                                          OTC Equity Securities in order to adjust                                   allowing the funding model to respond
                                                shares of share volume were sourced                                            for the greater number of shares being                                     to changes in either the total number of
                                                from market statistics made publicly-                                          traded in the OTC Equity Securities                                        Equity Execution Venues or changes in
                                                available by Bats Global Markets, Inc.                                         market. Based on available data for the                                    market share.
                                                (‘‘Bats’’). ATS market shares of share                                         second quarter of 2017, the average                                           Based on this analysis, the Operating
                                                volume was sourced from market                                                 shares per trade ratio between NMS                                         Committee approved the following
                                                statistics made publicly-available by                                          Stocks and OTC Equity Securities is                                        Equity Execution Venue Percentages
                                                FINRA. FINRA trade reporting facility                                          0.17%.52 The average shares per trade                                      and Recovery Allocations:

                                                                                                                                                                                                          Percentage       Percentage         Percentage
                                                                                                                                                                                                           of Equity       of Execution
                                                                                                     Equity Execution Venue tier                                                                                                                of total
                                                                                                                                                                                                           Execution          Venue            recovery
                                                                                                                                                                                                            Venues          Recovery

                                                Tier   1   ............................................................................................................................................          25.00             33.25               8.31
                                                Tier   2   ............................................................................................................................................          42.00             25.73               6.43
                                                Tier   3   ............................................................................................................................................          23.00              8.00               2.00
                                                Tier   4   ............................................................................................................................................          10.00              0.02               0.01
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                                                       Total ......................................................................................................................................                100                 67             16.75

                                                  52 The average shares per trade ratio for both NMS                           determine the average number of shares per trade                           OTC Equity Securities. Accordingly, FINRA’s
                                                Stocks and OTC Equity Securities from the second                               between NMS Stocks and OTC Equity Securities.                              market share, which includes market share from the
                                                quarter of 2017 was calculated using publicly                                    53 The discount is only applied to the market                            OTC Reporting Facility, is not discounted as a
                                                available market volume data from Bats and OTC                                                                                                            result of its OTC Equity Securities activity.
                                                                                                                               share of Execution Venue ATSs exclusively trading
                                                Markets Group, and the totals were divided to



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                                                59788                                   Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Notices

                                                (II) Listed Options                                                          determine the number of tiers for                                        Bats. The process for developing the
                                                   Section 11.3(a)(ii) of the CAT NMS                                        Options Execution Venues. The                                            Options Execution Venue Percentages
                                                Plan states that each Execution Venue                                        Operating Committee determined to                                        was the same as discussed above with
                                                that executes transactions in Listed                                         establish two tiers for Options                                          regard to Equity Execution Venues.
                                                Options will pay a fixed fee depending                                       Execution Venues, rather than a larger                                      The percentage of costs to be
                                                on the Listed Options market share of                                        number, because the two tiers were                                       recovered from each Options Execution
                                                that Execution Venue, with the                                               sufficient to distinguish between the                                    Venue tier will be determined by
                                                Operating Committee establishing at                                          smaller number of Options Execution                                      predefined percentage allocations (the
                                                least two and no more than five tiers of                                     Venues based on market share.                                            ‘‘Options Execution Venue Recovery
                                                fixed fees, based on an Execution                                            Furthermore, due to the smaller number                                   Allocation’’). In determining the fixed
                                                Venue’s Listed Options market share.                                         of Options Execution Venues, the                                         percentage allocation of cost recovery
                                                For these purposes, market share will be                                     incorporation of additional Options                                      for each tier, the Operating Committee
                                                calculated by contract volume.                                               Execution Venue tiers would result in                                    considered the impact of CAT Reporter
                                                   In accordance with Section 11.3(a)(ii)                                    significantly higher fees for Tier 1                                     market share activity on the CAT
                                                of the CAT NMS Plan, the Operating                                           Options Execution Venues and reduce                                      System as well as the distribution of
                                                Committee approved a tiered fee                                              comparability between Execution                                          total market volume across Options
                                                structure for Options Execution Venues.                                      Venues and Industry Members.                                             Execution Venues while seeking to
                                                In determining the tiers, the Operating                                      Furthermore, the selection of two tiers                                  maintain comparable fees among the
                                                Committee considered the funding                                             served to establish comparable fees                                      largest CAT Reporters. Furthermore, by
                                                principles set forth in Section 11.2 of                                      among the largest CAT Reporters.                                         using percentages of Options Execution
                                                the CAT NMS Plan, seeking to create                                             Each Options Execution Venue will                                     Venues and cost recovery per tier, the
                                                funding tiers that take into account the                                     be ranked by market share and tiered by                                  Operating Committee sought to include
                                                relative impact on system resources of                                       predefined Execution Venue                                               elasticity within the funding model,
                                                different Options Execution Venues,                                          percentages, (the ‘‘Options Execution                                    allowing the funding model to respond
                                                and that establish comparable fees                                           Venue Percentages’’). To determine the                                   to changes in either the total number of
                                                among the CAT Reporters with the most                                        fixed percentage of Options Execution                                    Options Execution Venues or changes in
                                                Reportable Events. Each Options                                              Venues in each tier, the Operating                                       market share. The process for
                                                Execution Venue will be placed into one                                      Committee analyzed the historical and                                    developing the Options Execution
                                                of two tiers of fixed fees, based on the                                     publicly available market share of                                       Venue Recovery Allocation was the
                                                Execution Venue’s Listed Options                                             Options Execution Venues to group                                        same as discussed above with regard to
                                                market share. In choosing two tiers, the                                     Options Execution Venues with similar                                    Equity Execution Venues.
                                                Operating Committee performed an                                             market shares across the tiers. Options                                     Based on this analysis, the Operating
                                                analysis similar to that discussed above                                     Execution Venue market share of share                                    Committee approved the following
                                                with regard to Industry Members (other                                       volume were sourced from market                                          Options Execution Venue Percentages
                                                than Execution Venue ATSs) to                                                statistics made publicly-available by                                    and Recovery Allocations:

                                                                                                                                                                                                      Percentage      Percentage     Percentage
                                                                                                                                                                                                      of Options      of Execution
                                                                                                  Options Execution Venue tier                                                                                                         of total
                                                                                                                                                                                                       Execution         Venue        recovery
                                                                                                                                                                                                        Venues         Recovery

                                                Tier 1 ............................................................................................................................................         75.00            28.25          7.06
                                                Tier 2 ............................................................................................................................................         25.00             4.75          1.19

                                                       Total ......................................................................................................................................           100               33          8.25



                                                (III) Market Share/Tier Assignments                                          Venue market share will be determined                                    historical data, the Operating Committee
                                                   The Operating Committee determined                                        by calculating each Equity Execution                                     believes calculating tiers based on three
                                                that, prior to the start of CAT reporting,                                   Venue’s proportion of the total volume                                   months of data will provide the best
                                                market share for Execution Venues                                            of NMS Stock and OTC Equity shares                                       balance between reflecting changes in
                                                would be sourced from publicly-                                              reported by all Equity Execution Venues                                  activity by Execution Venues while still
                                                available market data. Options and                                           during the relevant time period (with                                    providing predictability in the tiering
                                                equity volumes for Participants will be                                      the discounting of market share of                                       for Execution Venues.
                                                sourced from market data made publicly                                       Execution Venue ATSs exclusively
                                                                                                                                                                                                      (D) Allocation of Costs
                                                available by Bats while Execution                                            trading OTC Equity Securities, as
                                                Venue ATS volumes will be sourced                                            described above). Similarly, market                                        In addition to the funding principles
                                                from market data made publicly                                               share for Options Execution Venues will                                  discussed above, including
                                                available by FINRA and OTC Markets.                                          be determined by calculating each                                        comparability of fees, Section 11.1(c) of
                                                Set forth in the Appendix are two                                            Options Execution Venue’s proportion                                     the CAT NMS Plan also requires
                                                charts, one listing the current Equity                                       of the total volume of Listed Options                                    expenses to be fairly and reasonably
                                                                                                                             contracts reported by all Options                                        shared among the Participants and
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                                                Execution Venues, each with its rank
                                                and tier, and one listing the current                                        Execution Venues during the relevant                                     Industry Members. Accordingly, in
                                                Options Execution Venues, each with its                                      time period.                                                             developing the proposed fee schedules
                                                rank and tier.                                                                  The Operating Committee has                                           pursuant to the funding model, the
                                                   After the commencement of CAT                                             determined to calculate fee tiers for                                    Operating Committee calculated how
                                                reporting, market share for Execution                                        Execution Venues every three months                                      the CAT costs would be allocated
                                                Venues will be sourced from data                                             based on market share from the prior                                     between Industry Members and
                                                reported to the CAT. Equity Execution                                        three months. Based on its analysis of                                   Execution Venues, and how the portion


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                                                                            Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Notices                                              59789

                                                of CAT costs allocated to Execution                     Venues and Options Execution Venues.                         The Plan Processor costs relate to
                                                Venues would be allocated between                       In considering this allocation of costs,                  costs incurred and to be incurred
                                                Equity Execution Venues and Options                     the Operating Committee analyzed a                        through November 21, 2017 by the Plan
                                                Execution Venues. These                                 range of alternative splits for revenue                   Processor and consist of the Plan
                                                determinations are described below.                     recovered between Equity and Options                      Processor’s current estimates of average
                                                                                                        Execution Venues, including a 70%/                        yearly ongoing costs, including
                                                (I) Allocation Between Industry                         30%, 67%/33%, 65%/35%, 50%/50%
                                                Members and Execution Venues                                                                                      development costs, which total
                                                                                                        and 25%/75% split. Based on this                          $37,500,000. This amount is based upon
                                                   In determining the cost allocation                   analysis, the Operating Committee                         the fees due to the Plan Processor
                                                between Industry Members (other than                    determined to allocate 67 percent of                      pursuant to the Company’s agreement
                                                Execution Venue ATSs) and Execution                     Execution Venue costs recovered to                        with the Plan Processor.
                                                Venues, the Operating Committee                         Equity Execution Venues and 33 percent
                                                                                                                                                                     The non-Plan Processor estimated
                                                analyzed a range of possible splits for                 to Options Execution Venues. The
                                                revenue recovery from such Industry                     Operating Committee determined that a                     costs incurred and to be incurred by the
                                                Members and Execution Venues,                           67%/33% allocation between Equity                         Company through November 21, 2017
                                                including 80%/20%, 75%/25%, 70%/                        and Options Execution Venues                              consist of three categories of costs. The
                                                30% and 65%/35% allocations. Based                      maintained the greatest level of fee                      first category of such costs are third
                                                on this analysis, the Operating                         equitability and comparability based on                   party support costs, which include legal
                                                Committee determined that 75 percent                    the current number of Equity and                          fees, consulting fees and audit fees from
                                                of total costs recovered would be                       Options Execution Venues. For                             November 21, 2016 until the date of
                                                allocated to Industry Members (other                    example, the allocation establishes fees                  filing as well as estimated third party
                                                than Execution Venue ATSs) and 25                       for the larger Equity Execution Venues                    support costs for the rest of the year.
                                                percent would be allocated to Execution                 that are comparable to the larger                         These amount to an estimated
                                                Venues. The Operating Committee                         Options Execution Venues. Specifically,                   $5,200,000. The second category of non-
                                                determined that this 75%/25% division                   Tier 1 Equity Execution Venues would                      Plan Processor costs are estimated
                                                maintained the greatest level of                        pay a quarterly fee of $81,047 and Tier                   cyber-insurance costs for the year. Based
                                                comparability across the funding model.                 1 Options Execution Venues would pay                      on discussions with potential cyber-
                                                For example, the cost allocation                        a quarterly fee of $81,379. In addition to                insurance providers, assuming $2–5
                                                establishes fees for the largest Industry               fee comparability between Equity                          million cyber-insurance premium on
                                                Members (i.e., those Industry Members                   Execution Venues and Options                              $100 million coverage, the Company has
                                                in Tiers 1) that are comparable to the                  Execution Venues, the allocation also                     estimated $3,000,000 for the annual
                                                largest Equity Execution Venues and                     establishes equitability between larger                   cost. The final cost figures will be
                                                Options Execution Venues (i.e., those                   (Tier 1) and smaller (Tier 2) Execution                   determined following receipt of final
                                                Execution Venues in Tier 1).                            Venues based upon the level of market                     underwriter quotes. The third category
                                                   Furthermore, the allocation of total                 share. Furthermore, the allocation is                     of non-Plan Processor costs is the CAT
                                                CAT cost recovery recognizes the                        intended to reflect the relative levels of                operational reserve, which is comprised
                                                difference in the number of CAT                         current equity and options order events.                  of three months of ongoing Plan
                                                Reporters that are Industry Members                                                                               Processor costs ($9,375,000), third party
                                                                                                        (E) Fee Levels
                                                versus CAT Reporters that are Execution                                                                           support costs ($1,300,000) and cyber-
                                                Venues. Specifically, the cost allocation                 The Operating Committee determined                      insurance costs ($750,000). The
                                                takes into consideration that there are                 to establish a CAT-specific fee to                        Operating Committee aims to
                                                approximately 23 times more Industry                    collectively recover the costs of building                accumulate the necessary funds to
                                                Members expected to report to the CAT                   and operating the CAT. Accordingly,                       establish the three-month operating
                                                than Execution Venues (e.g., an                         under the funding model, the sum of the                   reserve for the Company through the
                                                                                                        CAT Fees is designed to recover the                       CAT Fees charged to CAT Reporters for
                                                estimated 1541 Industry Members
                                                                                                        total cost of the CAT. The Operating                      the year. On an ongoing basis, the
                                                versus 67 Execution Venues as of June
                                                                                                        Committee has determined overall CAT                      Operating Committee will account for
                                                2017).
                                                                                                        costs to be comprised of Plan Processor                   any potential need to replenish the
                                                (II) Allocation Between Equity                          costs and non-Plan Processor costs,                       operating reserve or other changes to
                                                Execution Venues and Options                            which are estimated to be $50,700,000                     total cost during its annual budgeting
                                                Execution Venues                                        in total for the year beginning November                  process. The following table
                                                   The Operating Committee also                         21, 2016.54                                               summarizes the Plan Processor and non-
                                                analyzed how the portion of CAT costs                      54 It is anticipated that CAT-related costs incurred
                                                                                                                                                                  Plan Processor cost components which
                                                allocated to Execution Venues would be                  prior to November 21, 2016 will be addressed via          comprise the total estimated CAT costs
                                                allocated between Equity Execution                      a separate filing.                                        of $50,700,000 for the covered period.
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                                                59790                                    Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Notices

                                                                                       Cost category                                                                                           Cost component                                                     Amount

                                                Plan Processor ............................................................................              Operational Costs ......................................................................                $37,500,000
                                                Non-Plan Processor ....................................................................                  Third Party Support Costs .........................................................                        5,200,000
                                                                                                                                                         Operational Reserve ..................................................................                  55 5,000,000

                                                                                                                                                         Cyber-insurance Costs ..............................................................                       3,000,000

                                                       Estimated Total ....................................................................               ....................................................................................................    50,700,000



                                                  Based on these estimated costs and                                             For Execution Venues for NMS Stocks                                                                    Percentage
                                                the calculations for the funding model                                         and OTC Equity Securities:                                                            Tier               of Options               Quarterly
                                                described above, the Operating                                                                                                                                                           Execution               CAT Fee
                                                Committee determined to impose the                                                                                                                                                        Venues
                                                                                                                                                          Percentage
                                                following fees: 56                                                                                         of Equity                   Quarterly
                                                                                                                                      Tier                                                                    1 ................                    75.00            $81,381
                                                  For Industry Members (other than                                                                         Execution                   CAT Fee
                                                                                                                                                            Venues                                            2 ................                    25.00             37,629
                                                Execution Venue ATSs):
                                                                                                                               1   ................                   25.00                   $81,048
                                                                          Percentage                                                                                                                            The Operating Committee has
                                                                                                        Quarterly              2   ................                   42.00                    37,062
                                                       Tier               of Industry                                                                                                                         calculated the schedule of effective fees
                                                                                                        CAT fee                3   ................                   23.00                    21,126
                                                                           Members                                                                                                                            for Industry Members (other than
                                                                                                                               4   ................                   10.00                       129
                                                1   ................                 0.900                    $81,483                                                                                         Execution Venue ATSs) and Execution
                                                2   ................                 2.150                     59,055                                                                                         Venues in the following manner. Note
                                                3   ................                 2.800                     40,899           For Execution Venues for Listed                                               that the calculation of CAT Fees
                                                4   ................                 7.750                     25,566          Options:                                                                       assumes 52 Equity Execution Venues,
                                                5   ................                 8.300                      7,428                                                                                         15 Options Execution Venues and 1,541
                                                6   ................                18.800                      1,968
                                                                                                                                                                                                              Industry Members (other than Execution
                                                7   ................                59.300                        105
                                                                                                                                                                                                              Venue ATSs) as of June 2017.

                                                                                                  CALCULATION OF ANNUAL TIER FEES FOR INDUSTRY MEMBERS (‘‘IM’’)
                                                                                                                                                                                                                                        Percentage
                                                                                                                                                                                                            Percentage                                           Percentage
                                                                                                                                                                                                                                        of Industry
                                                                                                          Industry Member tier                                                                              of Industry                                            of total
                                                                                                                                                                                                                                         Member
                                                                                                                                                                                                             Members                                              recovery
                                                                                                                                                                                                                                         Recovery

                                                Tier   1   ............................................................................................................................................                 0.900                       12.00               9.00
                                                Tier   2   ............................................................................................................................................                 2.150                       20.50              15.38
                                                Tier   3   ............................................................................................................................................                 2.800                       18.50              13.88
                                                Tier   4   ............................................................................................................................................                 7.750                       32.00              24.00
                                                Tier   5   ............................................................................................................................................                 8.300                       10.00               7.50
                                                Tier   6   ............................................................................................................................................                18.800                        6.00               4.50
                                                Tier   7   ............................................................................................................................................                59.300                        1.00               0.75

                                                       Total ......................................................................................................................................                         100                         100                  75



                                                                                                                                                                                      Estimated                                                                  Estimated
                                                                                                                                                                                      Number of                                                                  Number of
                                                                                                                                      Industry Member tier                                                           Industry Member tier
                                                                                                       Estimated                                                                       Industry                                                                   Industry
                                                                                                       Number of                                                                      Members                                                                    Members
                                                       Industry Member tier                             Industry
                                                                                                       Members                 Tier    4   ....................................                      119             Total ...............................             1,541
                                                                                                                               Tier    5   ....................................                      128
                                                Tier 1 ....................................                            14      Tier    6   ....................................                      290      BILLING CODE 8011–01–P
                                                Tier 2 ....................................                            33      Tier    7   ....................................                      914
                                                Tier 3 ....................................                            43
sradovich on DSK3GMQ082PROD with NOTICES




                                                  55 This $5,000,000 represents the gradual                                     56 Note that all monthly, quarterly and annual

                                                accumulation of the funds for a target operating                               CAT Fees have been rounded to the nearest dollar.
                                                reserve of $11,425,000.



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                                                                             Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Notices                                                   59791

                                                                          Calculation 1.1 (Calculation of a Tier 1 Industry Member Monthly Fee)

                                                    1,541 [Estimated Tot.!Ms] x 0.9% [%of Tier 1 !Ms]                           = 14 [Estimated Tier 1 !Ms]
                                                         $50,700,000 [Tot.Ann.CAT Costs]x 75% [IM% of Tot.Ann.CAT Costs]X12% [%of Tier 1 /M Recovery])                     [M      h           ]
                                                     (                                                                                                            -;- 12        ont s per year
                                                                                              14 [Estimated Tier 1 /Ms]


                                                               $27,161

                                                                          Calculation 1.2 (Calculation of a Tier 2 Industry Member Monthly Fee)

                                                    1,541 [Estimated Tot.!Ms] x 2.15% [%of Tier 2 !Ms]                           = 33 [Estimated Tier 2 !Ms]
                                                         $50,700,000 [Tot.Ann.CAT Costs]x 75% [IM% of Tot.Ann.CAT Costs]X20.5% [%of Tier 2 /M Recovery])                     [M      h           ]
                                                     (
                                                                                               33 [Estimated Tier 2 /Ms]
                                                                                                                                                                    -;- 12        ont s per year     =
                                                               $19,685

                                                                          Calculation 1.3 (Calculation of a Tier 3 Industry Member Monthly Fee)

                                                    1,541 [Estimated Tot. !Ms] x 2.125% [%of Tier 3 !Ms]                              = 43 [Estimated Tier 3 !Ms]
                                                         $50,700,000 [Tot.Ann.CAT Costs]x 75% [IM% of Tot.Ann.CAT Costs]X18.5% [%of Tier 3 /M Recovery])                     [M     th          ]
                                                     (
                                                                                               43 [Estimated Tier 3 /Ms]
                                                                                                                                                                    -;- 12        on s per year      =
                                                               $13,633

                                                                          Calculation 1.4 (Calculation of a Tier 4 Industry Member Monthly Fee)

                                                    1,541 [Estimated Tot. !Ms] x 7.75% [%of Tier 4 !Ms]                          = 119 [Estimated Tier 4 !Ms]
                                                         $50,700,000 [Tot.Ann.CAT Costs]x 75% [IM% of Tot.Ann.CAT Costs]X32% [%of Tier 4 /M Recovery]) -;-           12 [Months er ear]            = $8522
                                                     (                                        119[EstimatedTier4IMs]                                                           p Y

                                                                          Calculation 1.5 (Calculation of a Tier 5 Industry Member Annual Fee)

                                                    1,541 [Estimated Tot.!Ms] x 8.3% [%of Tier 5 !Ms]                           = 128 [Estimated Tier 5 !Ms]
                                                         $50,700,000 [Tot.Ann.CAT Costs]x 75% [IM% of Tot.Ann.CAT Costs]x7.75% [%of Tier 5 /M Recovery]) -;-             12 [Months er ear]          = $24 76
                                                     (                                         128 [Estimated Tier 5 /Ms]                                                          p Y

                                                                          Calculation 1.6 (Calculation of a Tier 6 Industry Member Monthly Fee)

                                                    1,541 [Estimated Tot.!Ms] x 18.8% [%of Tier 6 !Ms]                           = 290 [Estimated Tier 6 !Ms]

                                                     (
                                                         $50,700,000 [Tot.Ann.CAT Costs]x 75% [IM% of Tot.Ann.CAT Costs]X6% [%of Tier 6 IM Recovery] )
                                                                                             290 [Estimated Tier 6 /Ms]
                                                                                                                                                                  -;- 12
                                                                                                                                                                           [M      h
                                                                                                                                                                                ont s per year
                                                                                                                                                                                               ]
                                                                                                                                                                                                   = $656
                                                                          Calculation 1. 7 (Calculation of a Tier 7 Industry Member Monthly Fee)

                                                    1,541 [Estimated Tot.!Ms] x 59.3% [%of Tier 7 !Ms]                           = 914 [Estimated Tier 7 !Ms]

                                                     (
                                                         $50,700,000 [Tot.Ann.CAT Costs]x 75% [IM% of Tot.Ann.CAT Costs]x1% [%of Tier 7 IM Recovery           l) -;- 12 [M onth s per year] = $3 5
                                                                                             914 [Estimated Tier 7 /Ms]
sradovich on DSK3GMQ082PROD with NOTICES




                                                BILLING CODE 8011–01–C
                                                                                                                                                                                                                 EN15DE17.008</GPH>




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                                                59792                                    Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Notices

                                                                                          CALCULATION OF ANNUAL TIER FEES FOR EQUITY EXECUTION VENUES (‘‘EV’’)
                                                                                                                                                                                                             Percentage                 Percentage                Percentage
                                                                                                                                                                                                              of Equity                 of Execution
                                                                                                     Equity Execution Venue tier                                                                                                                                    of total
                                                                                                                                                                                                              Execution                    Venue                   recovery
                                                                                                                                                                                                               Venues                    Recovery

                                                Tier   1   ............................................................................................................................................                   25.00                       33.25              8.31
                                                Tier   2   ............................................................................................................................................                   42.00                       25.73              6.43
                                                Tier   3   ............................................................................................................................................                   23.00                        8.00              2.00
                                                Tier   4   ............................................................................................................................................                   10.00                       49.00              0.01

                                                       Total ......................................................................................................................................                          100                           67           16.75


                                                                                                                                                                                                                                                                  Estimated
                                                                                                                                                                                                                                                                  number of
                                                                                                                                 Equity Execution Venue tier                                                                                                        Equity
                                                                                                                                                                                                                                                                  Execution
                                                                                                                                                                                                                                                                   Venues

                                                Tier   1   ....................................................................................................................................................................................................            13
                                                Tier   2   ....................................................................................................................................................................................................            22
                                                Tier   3   ....................................................................................................................................................................................................            12
                                                Tier   4   ....................................................................................................................................................................................................             5

                                                       Total ..............................................................................................................................................................................................                52
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                                                                                                                                                                                                                                                                                EN15DE17.009</GPH>




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                                                                                        Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Notices                                                                                                  59793

                                                                                        CALCULATION OF ANNUAL TIER FEES FOR OPTIONS EXECUTION VENUES (‘‘EV’’)
                                                                                                                                                                                                          Percentage                 Percentage                Percentage
                                                                                                                                                                                                          of Options                 of Execution
                                                                                                  Options Execution Venue tier                                                                                                                                   of total
                                                                                                                                                                                                           Execution                    Venue                   recovery
                                                                                                                                                                                                            Venues                    Recovery

                                                Tier 1 ............................................................................................................................................                   75.00                       28.25                 7.06
                                                Tier 2 ............................................................................................................................................                   25.00                        4.75                 1.19

                                                       Total ......................................................................................................................................                      100                           33               8.25


                                                                                                                                                                                                                                                                Estimated
                                                                                                                                                                                                                                                                number of
                                                                                                                             Options Execution Venue Tier                                                                                                        Options
                                                                                                                                                                                                                                                                Execution
                                                                                                                                                                                                                                                                 Venues

                                                Tier 1 ....................................................................................................................................................................................................              11
                                                Tier 2 ....................................................................................................................................................................................................               4

                                                       Total ..............................................................................................................................................................................................              15




                                                                                                                                 TRACEABILITY OF TOTAL CAT FEES
                                                                                                                                                                                                           Estimated                 CAT Fees
                                                                                                                                                                               Industry                                                                       Total recovery
                                                                                                        Type                                                                                               number of                paid annually
                                                                                                                                                                              Member tier                                                                           ($)
                                                                                                                                                                                                           Members                       ($)

                                                Industry Members ............................................................................................               Tier   1   .............                      14                  325,932             4,563,048
                                                                                                                                                                            Tier   2   .............                      33                  236,220             7,795,260
                                                                                                                                                                            Tier   3   .............                      43                  163,596             7,034,628
                                                                                                                                                                            Tier   4   .............                     119                  102,264            12,169,416
                                                                                                                                                                            Tier   5   .............                     128                   29,712             3,803,136
                                                                                                                                                                            Tier   6   .............                     290                    7,872             2,282,880
                                                                                                                                                                            Tier   7   .............                     914                      420               383,880

                                                       Total ..........................................................................................................     ........................                  1,541        ........................      38,032,248

                                                Equity Execution Venues ................................................................................                    Tier   1   .............                       13                 324,192             4,214,496
                                                                                                                                                                            Tier   2   .............                       22                 148,248             3,261,456
                                                                                                                                                                            Tier   3   .............                       12                  84,504             1,014,048
                                                                                                                                                                            Tier   4   .............                        5                     516                 2,580

                                                       Total ..........................................................................................................     ........................                       52      ........................       8,492,580
sradovich on DSK3GMQ082PROD with NOTICES




                                                Options Execution Venues ..............................................................................                     Tier 1 .............                           11                 325,524             3,580,764
                                                                                                                                                                            Tier 2 .............                            4                 150,516               602,064

                                                       Total ..........................................................................................................     ........................                       15      ........................       4,182,828

                                                              Total ..................................................................................................      ........................   ........................    ........................      50,700,000
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                                                59794                              Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Notices

                                                                                                              TRACEABILITY OF TOTAL CAT FEES—Continued
                                                                                                                                                                                                Estimated                 CAT Fees
                                                                                                                                                                     Industry                                                                      Total recovery
                                                                                                 Type                                                                                           number of                paid annually
                                                                                                                                                                    Member tier                                                                          ($)
                                                                                                                                                                                                Members                       ($)

                                                          Excess 57 ...........................................................................................   ........................   ........................   ........................           7,656



                                                (F) Comparability of Fees                                             least an annual basis and shall make any                                   with the initial tier assignment, for the
                                                                                                                      changes to such fee schedule that it                                       tri-monthly reassignments, the
                                                   The funding principles require a
                                                                                                                      deems appropriate. The Operating                                           Company will calculate the relevant tier
                                                funding model in which the fees
                                                                                                                      Committee is authorized to review such                                     using the three months of data prior to
                                                charged to the CAT Reporters with the
                                                                                                                      fee schedule on a more regular basis, but                                  the relevant tri-monthly date. Any
                                                most CAT-related activity (measured by
                                                                                                                      shall not make any changes on more                                         movement of CAT Reporters between
                                                market share and/or message traffic, as
                                                                                                                      than a semi-annual basis unless,                                           tiers will not change the criteria for each
                                                applicable) are generally comparable
                                                                                                                      pursuant to a Supermajority Vote, the                                      tier or the fee amount corresponding to
                                                (where, for these comparability
                                                                                                                      Operating Committee concludes that                                         each tier.
                                                purposes, the tiered fee structure takes                              such change is necessary for the
                                                into consideration affiliations between                                                                                                             In performing the tri-monthly
                                                                                                                      adequate funding of the Company.’’                                         reassignments, the assignment of CAT
                                                or among CAT Reporters, whether                                       With such reviews, the Operating
                                                Execution Venue and/or Industry                                                                                                                  Reporters in each assigned tier is
                                                                                                                      Committee will review the distribution                                     relative. Therefore, a CAT Reporter’s
                                                Members). Accordingly, in creating the                                of Industry Members and Execution
                                                model, the Operating Committee sought                                                                                                            assigned tier will depend, not only on
                                                                                                                      Venues across tiers, and make any                                          its own message traffic or market share,
                                                to establish comparable fees for the top                              updates to the percentage of CAT
                                                tier of Industry Members (other than                                                                                                             but also on the message traffic/market
                                                                                                                      Reporters allocated to each tier as may                                    share across all CAT Reporters. For
                                                Execution Venue ATSs), Equity                                         be necessary. In addition, the reviews
                                                Execution Venues and Options                                                                                                                     example, the percentage of Industry
                                                                                                                      will evaluate the estimated ongoing                                        Members (other than Execution Venue
                                                Execution Venues. Specifically, each                                  CAT costs and the level of the operating
                                                Tier 1 CAT Reporter would be required                                                                                                            ATSs) in each tier is relative such that
                                                                                                                      reserve. To the extent that the total CAT                                  such Industry Member’s assigned tier
                                                to pay a quarterly fee of approximately                               costs decrease, the fees would be
                                                $81,000.                                                                                                                                         will depend on message traffic
                                                                                                                      adjusted downward, and to the extent                                       generated across all CAT Reporters as
                                                (G) Billing Onset                                                     that the total CAT costs increase, the                                     well as the total number of CAT
                                                                                                                      fees would be adjusted upward.58                                           Reporters. The Operating Committee
                                                  Under Section 11.1(c) of the CAT                                    Furthermore, any surplus of the
                                                NMS Plan, to fund the development and                                                                                                            will inform CAT Reporters of their
                                                                                                                      Company’s revenues over its expenses is                                    assigned tier every three months
                                                implementation of the CAT, the                                        to be included within the operational
                                                Company shall time the imposition and                                                                                                            following the periodic tiering process,
                                                                                                                      reserve to offset future fees. The
                                                collection of all fees on Participants and                                                                                                       as the funding model will compare an
                                                                                                                      limitations on more frequent changes to
                                                Industry Members in a manner                                                                                                                     individual CAT Reporter’s activity to
                                                                                                                      the fee, however, are intended to
                                                reasonably related to the timing when                                                                                                            that of other CAT Reporters in the
                                                                                                                      provide budgeting certainty for the CAT
                                                the Company expects to incur such                                                                                                                marketplace.
                                                                                                                      Reporters and the Company.59 To the
                                                development and implementation costs.                                 extent that the Operating Committee                                           The following demonstrates a tier
                                                The Company is currently incurring                                    approves changes to the number of tiers                                    reassignment. In accordance with the
                                                such development and implementation                                   in the funding model or the fees                                           funding model, the top 75% of Options
                                                costs and will continue to do so prior                                assigned to each tier, then the Operating                                  Execution Venues in market share are
                                                to the commencement of CAT reporting                                  Committee will file such changes with                                      categorized as Tier 1 while the bottom
                                                and thereafter. In accordance with the                                the SEC pursuant to Rule 608 of the                                        25% of Options Execution Venues in
                                                CAT NMS Plan, all CAT Reporters,                                      Exchange Act, and any such changes                                         market share are categorized as Tier 2.
                                                including both Industry Members and                                   will become effective in accordance                                        In the sample scenario below, Options
                                                Execution Venues (including                                           with the requirements of Rule 608.                                         Execution Venue L is initially
                                                Participants), will be invoiced as                                                                                                               categorized as a Tier 2 Options
                                                promptly as possible following the latest                             (I) Initial and Periodic Tier                                              Execution Venue in Period A due to its
                                                of the operative date of the Consolidated                             Reassignments                                                              market share. When market share is
                                                Audit Trail Funding Fees for each of the                                 The Operating Committee has                                             recalculated for Period B, the market
                                                Participants and the operative date of                                determined to calculate fee tiers every                                    share of Execution Venue L increases,
                                                the Plan amendment adopting CAT Fees                                  three months based on market share or                                      and it is therefore subsequently
                                                for Participants.                                                     message traffic, as applicable, from the                                   reranked and reassigned to Tier 1 in
                                                                                                                      prior three months. For the initial tier                                   Period B. Correspondingly, Options
                                                (H) Changes to Fee Levels and Tiers                                                                                                              Execution Venue K, initially a Tier 1
                                                                                                                      assignments, the Company will
                                                  Section 11.3(d) of the CAT NMS Plan                                 calculate the relevant tier for each CAT                                   Options Execution Venue in Period A,
                                                states that ‘‘[t]he Operating Committee                               Reporter using the three months of data                                    is reassigned to Tier 2 in Period B due
sradovich on DSK3GMQ082PROD with NOTICES




                                                shall review such fee schedule on at                                  prior to the commencement date. As                                         to decreases in its market share.


                                                  57 The amount in excess of the total CAT costs                        58 The CAT Fees are designed to recover the costs                        to the retirement of existing regulatory systems,
                                                will contribute to the gradual accumulation of the                    associated with the CAT. Accordingly, CAT Fees                             such as OATS.
                                                target operating reserve of $11.425 million.                          would not be affected by increases or decreases in                           59 Section B.7, Appendix C of the CAT NMS Plan,
                                                                                                                      other non-CAT expenses incurred by the
                                                                                                                                                                                                 Approval Order at 85006.
                                                                                                                      Participants, such as any changes in costs related



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                                                                              Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Notices                                                           59795

                                                                                      Period A                                                                               Period B

                                                                                                    Market                                                                                      Market
                                                      Options Execution Venue                                           Tier                 Options Execution Venue                                             Tier
                                                                                                  share rank                                                                                  share rank

                                                Options   Execution   Venue   A .............                1                   1     Options     Execution   Venue   A ............                    1                  1
                                                Options   Execution   Venue   B .............                2                   1     Options     Execution   Venue   B ............                    2                  1
                                                Options   Execution   Venue   C .............                3                   1     Options     Execution   Venue   C ............                    3                  1
                                                Options   Execution   Venue   D .............                4                   1     Options     Execution   Venue   D ............                    4                  1
                                                Options   Execution   Venue   E .............                5                   1     Options     Execution   Venue   E ............                    5                  1
                                                Options   Execution   Venue   F ..............               6                   1     Options     Execution   Venue   F .............                   6                  1
                                                Options   Execution   Venue   G .............                7                   1     Options     Execution   Venue   I ..............                  7                  1
                                                Options   Execution   Venue   H .............                8                   1     Options     Execution   Venue   H ............                    8                  1
                                                Options   Execution   Venue   I ...............              9                   1     Options     Execution   Venue   G ............                    9                  1
                                                Options   Execution   Venue   J ..............              10                   1     Options     Execution   Venue   J .............                  10                  1
                                                Options   Execution   Venue   K .............               11                   1     Options     Execution   Venue   L .............                  11                  1
                                                Options   Execution   Venue   L ..............              12                   2     Options     Execution   Venue   K ............                   12                  2
                                                Options   Execution   Venue   M .............               13                   2     Options     Execution   Venue   N ............                   13                  2
                                                Options   Execution   Venue   N .............               14                   2     Options     Execution   Venue   M ............                   14                  2
                                                Options   Execution   Venue   O .............               15                   2     Options     Execution   Venue   O ............                   15                  2



                                                   For each periodic tier reassignment,                   payments, and the automatic sunsetting                   ‘‘Equity Execution Venue’’ as an
                                                the Operating Committee will review                       of the CAT Fees. Each of these sections                  Execution Venue that trades NMS
                                                the new tier assignments, particularly                    is discussed in detail below.                            Stocks and/or OTC Equity Securities.
                                                those assignments for CAT Reporters
                                                                                                          (A) Definitions                                          (B) Fee Schedule
                                                that shift from the lowest tier to a higher
                                                tier. This review is intended to evaluate                    Paragraph (a) of the proposed fee                        SRO proposes to impose the CAT Fees
                                                whether potential changes to the market                   schedule sets forth the definitions for                  applicable to its Industry Members
                                                or CAT Reporters (e.g., dissolution of a                  the proposed fee schedule. Paragraph                     through paragraph (b) of the proposed
                                                large CAT Reporter) adversely affect the                  (a)(1) states that, for purposes of the                  fee schedule. Paragraph (b)(1) of the
                                                tier reassignments.                                       Consolidated Audit Trail Funding Fees,                   proposed fee schedule sets forth the
                                                                                                          the terms ‘‘CAT’’, ‘‘CAT NMS Plan,’’                     CAT Fees applicable to Industry
                                                (J) Sunset Provision                                      ‘‘Industry Member,’’ ‘‘NMS Stock,’’                      Members other than Equity ATSs.
                                                  The Operating Committee developed                       ‘‘OTC Equity Security’’, ‘‘Options                       Specifically, paragraph (b)(1) states that
                                                the proposed funding model by                             Market Maker’’, and ‘‘Participant’’ are                  the Company will assign each Industry
                                                analyzing currently available historical                  defined as set forth in Rule 16010                       Member (other than an Equity ATS) to
                                                data. Such historical data, however, is                   (Consolidated Audit Trail—Definitions).                  a fee tier once every quarter, where such
                                                not as comprehensive as data that will                       The proposed fee schedule imposes                     tier assignment is calculated by ranking
                                                be submitted to the CAT. Accordingly,                     different fees on Equity ATSs and                        each Industry Member based on its total
                                                the Operating Committee believes that it                  Industry Members that are not Equity                     message traffic (with discounts for
                                                will be appropriate to revisit the                        ATSs. Accordingly, the proposed fee                      equity market maker quotes and Options
                                                funding model once CAT Reporters                          schedule defines the term ‘‘Equity                       Market Maker quotes based on the trade
                                                have actual experience with the funding                   ATS.’’ First, paragraph (a)(2) defines an                to quote ratio for equities and options,
                                                model. Accordingly, the Operating                         ‘‘ATS’’ to mean an alternative trading                   respectively) for the three months prior
                                                Committee determined to include an                        system as defined in Rule 300(a) of                      to the quarterly tier calculation day and
                                                automatic sunsetting provision for the                    Regulation ATS under the Securities                      assigning each Industry Member to a tier
                                                proposed fees. Specifically, the                          Exchange Act of 1934, as amended, that                   based on that ranking and predefined
                                                Operating Committee determined that                       operates pursuant to Rule 301 of                         Industry Member percentages. The
                                                the CAT Fees should automatically                         Regulation ATS. This is the same                         Industry Members with the highest total
                                                expire two years after the operative date                 definition of an ATS as set forth in                     quarterly message traffic will be ranked
                                                of the CAT NMS Plan amendment                             Section 1.1 of the CAT NMS Plan in the                   in Tier 1, and the Industry Members
                                                adopting CAT Fees for Participants. The                   definition of an ‘‘Execution Venue.’’                    with lowest quarterly message traffic
                                                Operating Committee intends to monitor                    Then, paragraph (a)(4) defines an                        will be ranked in Tier 7. Each quarter,
                                                the operation of the funding model                        ‘‘Equity ATS’’ as an ATS that executes                   each Industry Member (other than an
                                                during this two year period and to                        transactions in NMS Stocks and/or OTC                    Equity ATS) shall pay the following
                                                evaluate its effectiveness during that                    Equity Securities.                                       CAT Fee corresponding to the tier
                                                period. Such a process will inform the                       Paragraph (a)(3) of the proposed fee                  assigned by the Company for such
                                                Operating Committee’s approach to                         schedule defines the term ‘‘CAT Fee’’ to                 Industry Member for that quarter:
                                                funding the CAT after the two year                        mean the Consolidated Audit Trail
                                                period.                                                   Funding Fee(s) to be paid by Industry                                                   Percentage    Quarterly
                                                                                                                                                                              Tier                of Industry
                                                                                                          Members as set forth in paragraph (b) in                                                 Members      CAT Fee
                                                (3) Proposed CAT Fee Schedule
                                                                                                          the proposed fee schedule.
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                                                  SRO proposes the Consolidated Audit                        Finally, Paragraph (a)(6) defines an                  1   ........................        0.900      $81,483
                                                Trail Funding Fees to impose the CAT                      ‘‘Execution Venue’’ as a Participant or                  2   ........................        2.150       59,055
                                                Fees determined by the Operating                          an ATS (excluding any such ATS that                      3   ........................        2.800       40,899
                                                Committee on SRO’s members. The                           does not execute orders). This definition                4   ........................        7.750       25,566
                                                proposed fee schedule has four sections,                  is the same substantive definition as set                5   ........................        8.300        7,428
                                                                                                                                                                   6   ........................       18.800        1,968
                                                covering definitions, the fee schedule                    forth in Section 1.1 of the CAT NMS                      7   ........................       59.300          105
                                                for CAT Fees, the timing and manner of                    Plan. Paragraph (a)(5) defines an


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                                                59796                               Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Notices

                                                   Paragraph (b)(2) of the proposed fee                         pay its CAT Fees to the Company via                    proposes paragraph (d) of the fee
                                                schedule sets forth the CAT Fees                                the centralized system for the collection              schedule, which states that ‘‘[t]hese
                                                applicable to Equity ATSs.60 These are                          of CAT Fees established by the                         Consolidated Audit Trailing Funding
                                                the same fees that Participants that trade                      Company in the manner prescribed by                    Fees will automatically expire two years
                                                NMS Stocks and/or OTC Equity                                    the Company. SRO will provide                          after the operative date of the
                                                Securities will pay. Specifically,                              Industry Members with details                          amendment of the CAT NMS Plan that
                                                paragraph (b)(2) states that the Company                        regarding the manner of payment of                     adopts CAT fees for the Participants.’’
                                                will assign each Equity ATS to a fee tier                       CAT Fees by Informational Circular.
                                                                                                                   All CAT Fees will be billed and                     (4) Changes to Prior CAT Fee Plan
                                                once every quarter, where such tier                                                                                    Amendment
                                                assignment is calculated by ranking                             collected centrally through the
                                                each Equity Execution Venue based on                            Company via the Plan Processor.                           The proposed funding model set forth
                                                its total market share of NMS Stocks and                        Although each Participant will adopt its               in this Amendment is a revised version
                                                OTC Equity Securities (with a discount                          own fee schedule regarding CAT Fees,                   of the Original Proposal. The
                                                for Equity ATSs exclusively trading                             no CAT Fees or portion thereof will be                 Commission received a number of
                                                OTC Equity Securities based on the                              collected by the individual Participants.              comment letters in response to the
                                                average shares per trade ratio between                          Each Industry Member will receive from                 Original Proposal.62 The SEC suspended
                                                NMS Stocks and OTC Equity Securities)                           the Company one invoice for its                        the Original Proposal and instituted
                                                for the three months prior to the                               applicable CAT fees, not separate                      proceedings to determine whether to
                                                quarterly tier calculation day and                              invoices from each Participant of which                approve or disapprove it.63 Pursuant to
                                                assigning each Equity ATS to a tier                             it is a member. The Industry Members                   those proceedings, additional comment
                                                based on that ranking and predefined                            will pay the CAT Fees to the Company                   letters were submitted regarding the
                                                Equity Execution Venue percentages.                             via the centralized system for the                     proposed funding model.64 In
                                                The Equity ATSs with the higher total                           collection of CAT Fees established by                  developing this Amendment, the
                                                quarterly market share will be ranked in                        the Company.61                                         Operating Committee carefully
                                                Tier 1, and the Equity ATSs with the                               Section 11.4 of the CAT NMS Plan                    considered these comments and made a
                                                lowest quarterly market share will be                           also states that Participants shall require            number of changes to the Original
                                                ranked in Tier 4. Specifically, paragraph                       each Industry Member to pay all                        Proposal to address these comments
                                                (b)(2) states that, each quarter, each                          applicable authorized CAT Fees within                  where appropriate.
                                                                                                                thirty days after receipt of an invoice or                This Amendment makes the following
                                                Equity ATS shall pay the following CAT
                                                                                                                other notice indicating payment is due                 changes to the Original Proposal: (1)
                                                Fee corresponding to the tier assigned
                                                                                                                (unless a longer payment period is                     Adds two additional CAT Fee tiers for
                                                by the Company for such Equity ATS for
                                                                                                                otherwise indicated). Section 11.4                     Equity Execution Venues; (2) discounts
                                                that quarter:                                                                                                          the market share of Execution Venue
                                                                                                                further states that, if an Industry
                                                                               Percentage                       Member fails to pay any such fee when                  ATSs exclusively trading OTC Equity
                                                                                of Equity        Quarterly      due, such Industry Member shall pay                    Securities as well as the market share of
                                                           Tier                                                                                                        the FINRA ORF by the average shares
                                                                                Execution        CAT Fee        interest on the outstanding balance from
                                                                                 Venues                         such due date until such fee is paid at                per trade ratio between NMS Stocks and
                                                                                                                a per annum rate equal to the lesser of:               OTC Equity Securities (calculated as
                                                1   ........................         25.00          $81,048                                                            0.17% based on available data from the
                                                2   ........................         42.00           37,062     (i) The Prime Rate plus 300 basis points;
                                                3   ........................         23.00           21,126     or (ii) the maximum rate permitted by                  second quarter of June 2017) when
                                                4   ........................         10.00              129     applicable law. Therefore, in accordance               calculating the market share of
                                                                                                                with Section 11.4 of the CAT NMS Plan,                 Execution Venue ATSs exclusively
                                                (C) Timing and Manner of Payment                                SRO proposed to adopt paragraph (c)(2)                 trading OTC Equity Securities and
                                                                                                                of the proposed fee schedule. Paragraph                FINRA; (3) discounts the Options
                                                  Section 11.4 of the CAT NMS Plan                              (c)(2) of the proposed fee schedule states             Market Maker quotes by the trade to
                                                states that the Operating Committee                             that each Industry Member shall pay                    quote ratio for options (calculated as
                                                shall establish a system for the                                CAT Fees within thirty days after                      0.01% based on available data for June
                                                collection of fees authorized under the                         receipt of an invoice or other notice                  2016 through June 2017) when
                                                CAT NMS Plan. The Operating                                     indicating payment is due (unless a                    calculating message traffic for Options
                                                Committee may include such collection                           longer payment period is otherwise                     Market Makers; (4) discounts equity
                                                responsibility as a function of the Plan                        indicated). If an Industry Member fails                market maker quotes by the trade to
                                                Processor or another administrator. To                          to pay any such fee when due, such                     quote ratio for equities (calculated as
                                                implement the payment process to be                             Industry Member shall pay interest on                  5.43% based on available data for June
                                                adopted by the Operating Committee,                             the outstanding balance from such due                  2016 through June 2017) when
                                                paragraph (c)(1) of the proposed fee                            date until such fee is paid at a per                   calculating message traffic for equity
                                                schedule states that the Company will                           annum rate equal to the lesser of: (i) The             market makers; (5) decreases the
                                                provide each Industry Member with one                           Prime Rate plus 300 basis points; or (ii)              number of tiers for Industry Members
                                                invoice each quarter for its CAT Fees as                        the maximum rate permitted by                          (other than the Execution Venue ATSs)
                                                determined pursuant to paragraph (b) of                         applicable law.                                        from nine to seven; (6) changes the
                                                the proposed fee schedule, regardless of                                                                               allocation of CAT costs between Equity
                                                whether the Industry Member is a                                (D) Sunset Provision                                   Execution Venues and Options
                                                member of multiple self-regulatory
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                                                                                                                  The Operating Committee has                          Execution Venues from 75%/25% to
                                                organizations. Paragraph (c)(1) further                         determined to require that the CAT Fees
                                                states that each Industry Member will                           automatically sunset two years from the                  62 For a description of the comments submitted in

                                                                                                                operative date of the CAT NMS Plan                     response to the Original Proposal, see Suspension
                                                  60 Note that no fee schedule is provided for                                                                         Order.
                                                                                                                amendment adopting CAT Fees for                          63 Suspension Order.
                                                Execution Venue ATSs that execute transactions in
                                                Listed Options, as no such Execution Venue ATSs                 Participants. Accordingly, SRO                           64 See MFA Letter; SIFMA Letter; FIA Principal

                                                currently exist due to trading restrictions related to                                                                 Traders Group Letter; Belvedere Letter; Sidley
                                                Listed Options.                                                   61 Section   11.4 of the CAT NMS Plan.               Letter; Group One Letter; and Virtu Financial Letter.



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                                                                              Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Notices                                                      59797

                                                67%/33%; (7) adjusts tier percentages                        To address concerns about the                      Committee believes that the proposed
                                                and recovery allocations for Equity                       potential for the $38,820 quarterly fee to            fees for Equity Execution Venues would
                                                Execution Venues, Options Execution                       impose an undue burden on smaller                     not impose an undue or inappropriate
                                                Venues and Industry Members (other                        Equity Execution Venues, the Operating                burden on competition under Section 6
                                                than Execution Venue ATSs); (8)                           Committee determined to move to a four                or Section 15A of the Exchange Act.
                                                focuses the comparability of CAT Fees                     tier structure for Equity Execution                   Moreover, the Operating Committee
                                                on the individual entity level, rather                    Venues. Tier 1 would continue to                      believes that the proposed fees
                                                than primarily on the comparability of                    include the largest Equity Execution                  appropriately take into account the
                                                affiliated entities; (9) commences                        Venues by share volume (that is, based                distinctions in the securities trading
                                                invoicing of CAT Reporters as promptly                    on currently available data, those with               operations of different Equity Execution
                                                as possible following the latest of the                   market share of equity share volume                   Venues, as required under the funding
                                                operative date of the Consolidated Audit                  greater than or equal to one percent),                principles of the CAT NMS Plan.67 The
                                                Trail Funding Fees for each of the                        and these Equity Execution Venues                     larger number of tiers more closely
                                                Participants and the operative date of                    would be required to pay a quarterly fee              tracks the variety of sizes of equity share
                                                the CAT NMS Plan amendment                                of $81,048. The Operating Committee                   volume of Equity Execution Venues. In
                                                adopting CAT Fees for Participants; and                   determined to divide the original Tier 2              addition, the reduction in the fees for
                                                (10) requires the proposed fees to                        into three tiers. The new Tier 2 Equity               the smaller Equity Execution Venues
                                                automatically expire two years from the                   Execution Venues, which would                         recognizes the potential burden of larger
                                                operative date of the CAT NMS Plan                        include the next largest Equity                       fees on smaller entities. In particular,
                                                amendment adopting CAT Fees for the                       Execution Venues by equity share                      the very small quarterly fee of $129 for
                                                Participants.                                             volume, would be required to pay a                    Tier 4 Equity Execution Venues reflects
                                                                                                          quarterly fee of $37,062. The new Tier                the fact that certain Equity Execution
                                                (A) Equity Execution Venues                               3 Equity Execution Venues would be                    Venues have a very small share volume
                                                (i) Small Equity Execution Venues                         required to pay a quarterly fee of                    due to their typically more focused
                                                                                                          $21,126. The new Tier 4 Equity                        business models.
                                                  In the Original Proposal, the                           Execution Venues, which would                            Accordingly, with this Amendment,
                                                Operating Committee proposed to                           include the smallest Equity Execution                 SRO proposes to amend paragraph (b)(2)
                                                establish two fee tiers for Equity                        Venues by share volume, would be                      of the proposed fee schedule to add the
                                                Execution Venues. The Commission and                      required to pay a quarterly fee of $129.              two additional tiers for Equity
                                                commenters raised the concern that, by                       In developing the proposed four tier               Execution Venues, to establish the
                                                establishing only two tiers, smaller                      structure, the Operating Committee                    percentages and fees for Tiers 3 and 4
                                                Equity Execution Venues (e.g., those                      considered keeping the existing two                   as described, and to revise the
                                                Equity ATSs representing less than 1%                     tiers, as well as shifting to three, four or          percentages and fees for Tiers 1 and 2
                                                of NMS market share) would be placed                      five Equity Execution Venue tiers (the                as described.
                                                in the same fee tier as larger Equity                     maximum number of tiers permitted
                                                Execution Venues, thereby imposing an                                                                           (ii) Execution Venues for OTC Equity
                                                                                                          under the Plan), to address the concerns
                                                undue or inappropriate burden on                                                                                Securities
                                                                                                          regarding small Equity Execution
                                                competition.65 To address this concern,                   Venues. For each of the two, three, four                 In the Original Proposal, the
                                                the Operating Committee proposes to                       and five tier alternatives, the Operating             Operating Committee proposed to group
                                                add two additional tiers for Equity                       Committee considered the assignment of                Execution Venues for OTC Equity
                                                Execution Venues, a third tier for                        various percentages of Equity Execution               Securities and Execution Venues for
                                                smaller Equity Execution Venues and a                     Venues to each tier as well as various                NMS Stocks in the same tier structure.
                                                fourth tier for the smallest Equity                       percentage of Equity Execution Venue                  The Commission and commenters
                                                Execution Venues.                                         recovery allocations for each alternative.            raised concerns as to whether this
                                                  Specifically, the Original Proposal                     As discussed below in more detail, each               determination to place Execution
                                                had two tiers of Equity Execution                         of these options was considered in the                Venues for OTC Equity Securities in the
                                                Venues. Tier 1 required the largest                       context of the full model, as changes in              same tier structure as Execution Venues
                                                Equity Execution Venues to pay a                          each variable in the model affect other               for NMS Stocks would result in an
                                                quarterly fee of $63,375. Based on                        variables in the model when allocating                undue or inappropriate burden on
                                                available data, these largest Equity                      the total CAT costs among CAT                         competition, recognizing that the
                                                Execution Venues were those that had                      Reporters. The Operating Committee                    application of share volume may lead to
                                                equity market share of share volume                       determined that the four tier alternative             different outcomes as applied to OTC
                                                greater than or equal to 1%.66 Tier 2                     addressed the spectrum of different                   Equity Securities and NMS Stocks.68 To
                                                required the remaining smaller Equity                     Equity Execution Venues. The                          address this concern, the Operating
                                                Execution Venues to pay a quarterly fee                   Operating Committee determined that                   Committee proposes to discount the
                                                of $38,820.                                               neither a two tier structure nor a three              market share of Execution Venue ATSs
                                                                                                          tier structure sufficiently accounted for             exclusively trading OTC Equity
                                                  65 See   Suspension Order at 31664; SIFMA Letter        the range of market shares of smaller                 Securities as well as the market share of
                                                at 3.                                                     Equity Execution Venues. The                          the FINRA ORF by the average shares
                                                  66 Note that while these equity market share            Operating Committee also determined                   per trade ratio between NMS Stocks and
                                                thresholds were referenced as data points to help         that, given the limited number of Equity              OTC Equity Securities (0.17% for the
                                                differentiate between Equity Execution Venue tiers,
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                                                                                                          Execution Venues, that a fifth tier was               second quarter of 2017) in order to
                                                the proposed funding model is directly driven not
                                                by market share thresholds, but rather by fixed           unnecessary to address the range of                   adjust for the greater number of shares
                                                percentages of Equity Execution Venues across tiers       market shares of the Equity Execution                 being traded in the OTC Equity
                                                to account for fluctuating levels of market share         Venues.                                               Securities market, which is generally a
                                                across time. Actual market share in any tier will            By increasing the number of tiers for
                                                vary based on the actual market activity in a given
                                                                                                                                                                function of a lower per share price for
                                                measurement period, as well as the number of
                                                                                                          Equity Execution Venues and reducing
                                                Equity Execution Venues included in the                   the proposed CAT Fees for the smaller                   67 Section  11.2(b) of the CAT NMS Plan.
                                                measurement period.                                       Equity Execution Venues, the Operating                  68 See   Suspension Order at 31664–5.



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                                                59798                        Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Notices

                                                OTC Equity Securities when compared                      ranked in Tier 3 and would owe a                       trading OTC Equity Securities to their
                                                to NMS Stocks.                                           quarterly fee of $21,126.                              CAT Fees.
                                                   As commenters noted, many OTC                            In developing the proposed discount                    Accordingly, with this Amendment,
                                                Equity Securities are priced at less than                for Equity Execution Venue ATSs                        SRO proposes to amend paragraph (b)(2)
                                                one dollar—and a significant number at                   exclusively trading OTC Equity                         of the proposed fee schedule to indicate
                                                less than one penny—and low-priced                       Securities and FINRA, the Operating                    that the market share for Equity ATSs
                                                shares tend to trade in larger quantities.               Committee evaluated different                          exclusively trading OTC Equity
                                                Accordingly, a disproportionately large                  alternatives to address the concerns                   Securities as well as the market share of
                                                number of shares are involved in                         related to OTC Equity Securities,                      the FINRA ORF would be discounted. In
                                                transactions involving OTC Equity                        including creating a separate tier                     addition, as discussed above, to address
                                                Securities versus NMS Stocks, which                      structure for Execution Venues trading                 concerns related to smaller ATSs,
                                                has the effect of overstating an                         OTC Equity Securities (like the separate               including those that exclusively trade
                                                Execution Venue’s true market share                      tier for Options Execution Venues) as                  OTC Equity Securities, SRO proposes to
                                                when the Execution Venue is involved                     well as the proposed discounting                       amend paragraph (b)(2) of the proposed
                                                in the trading of OTC Equity Securities.                 method for Execution Venue ATSs                        fee schedule to add two additional tiers
                                                Because the proposed fee tiers are based                 exclusively trading OTC Equity                         for Equity Execution Venues, to
                                                on market share calculated by share                      Securities and FINRA. For these                        establish the percentages and fees for
                                                volume, Execution Venue ATSs trading                     alternatives, the Operating Committee                  Tiers 3 and 4 as described, and to revise
                                                OTC Equity Securities and FINRA may                      considered how each alternative would                  the percentages and fees for Tiers 1 and
                                                be subject to higher tiers than their                    affect the recovery allocations. In                    2 as described.
                                                operations may warrant.69 The                            addition, each of these options was
                                                                                                                                                                (B) Market Makers
                                                Operating Committee proposes to                          considered in the context of the full
                                                address this concern in two ways. First,                 model, as changes in each variable in                     In the Original Proposal, the
                                                the Operating Committee proposes to                      the model affect other variables in the                Operating Committee proposed to
                                                increase the number of Equity Execution                  model when allocating the total CAT                    include both Options Market Maker
                                                Venue tiers, as discussed above. Second,                 costs among CAT Reporters. The                         quotes and equities market maker
                                                the Operating Committee determined to                    Operating Committee did not adopt a                    quotes in the calculation of total
                                                discount the market share of Execution                   separate tier structure for Equity                     message traffic for such market makers
                                                Venue ATSs exclusively trading OTC                       Execution Venues trading OTC Equity                    for purposes of tiering for Industry
                                                Equity Securities as well as the market                  Securities as they determined that the                 Members (other than Execution Venue
                                                share of the FINRA ORF when                              proposed discount approach                             ATSs). The Commission and
                                                calculating their tier placement. Because                appropriately addresses the concern.                   commenters raised questions as to
                                                the disparity in share volume between                    The Operating Committee determined to                  whether the proposed treatment of
                                                Execution Venues trading in OTC                          adopt the proposed discount because it                 Options Market Maker quotes may
                                                Equity Securities and NMS Stocks is                      directly relates to the concern regarding              result in an undue or inappropriate
                                                based on the different number of shares                  the trading patterns and operations in                 burden on competition or may lead to
                                                per trade for OTC Equity Securities and                  the OTC Equity Securities markets, and                 a reduction in market quality.71 To
                                                NMS Stocks, the Operating Committee                      is an objective discounting method.                    address this concern, the Operating
                                                believes that discounting the share                         By increasing the number of tiers for               Committee determined to discount the
                                                volume of such Execution Venue ATSs                      Equity Execution Venues and imposing                   Options Market Maker quotes by the
                                                as well as the market share of the FINRA                 a discount on the market share of share                trade to quote ratio for options when
                                                ORF would address the difference in                      volume calculation for trading in OTC                  calculating message traffic for Options
                                                shares per trade for OTC Equity                          Equity Securities, the Operating                       Market Makers. Similarly, to avoid
                                                Securities and NMS Stocks.                               Committee believes that the proposed                   disincentives to quoting behavior on the
                                                Specifically, the Operating Committee                    fees for Equity Execution Venues would                 equities side as well, the Operating
                                                proposes to impose a discount based on                   not impose an undue or inappropriate                   Committee determined to discount
                                                the objective measure of the average                     burden on competition under Section 6                  equity market maker quotes by the trade
                                                shares per trade ratio between NMS                       or Section 15A of the Exchange Act.                    to quote ratio for equities when
                                                Stocks and OTC Equity Securities.                        Moreover, the Operating Committee                      calculating message traffic for equities
                                                Based on available data from the second                  believes that the proposed fees                        market makers.
                                                quarter of 2017, the average shares per                  appropriately take into account the                       In the Original Proposal, market
                                                trade ratio between NMS Stocks and                       distinctions in the securities trading                 maker quotes were treated the same as
                                                OTC Equity Securities is 0.17%.                          operations of different Equity Execution               other message traffic for purposes of
                                                   The practical effect of applying such                 Venues, as required under the funding                  tiering for Industry Members (other than
                                                a discount for trading in OTC Equity                     principles of the CAT NMS Plan.70 As                   Execution Venue ATSs). Commenters
                                                Securities is to shift Execution Venue                   discussed above, the larger number of                  noted, however, that charging Industry
                                                ATSs exclusively trading OTC Equity                      tiers more closely tracks the variety of               Members on the basis of message traffic
                                                Securities to tiers for smaller Execution                sizes of equity share volume of Equity                 will impact market makers
                                                Venues and with lower fees. For                          Execution Venues. In addition, the                     disproportionately because of their
                                                example, under the Original Proposal,                    proposed discount recognizes the                       continuous quoting obligations.
                                                one Execution Venue ATS exclusively                      different types of trading operations at               Moreover, in the context of options
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                                                trading OTC Equity Securities was                        Equity Execution Venues trading OTC                    market makers, message traffic would
                                                placed in the first CAT Fee tier, which                  Equity Securities versus those trading                 include bids and offers for every listed
                                                had a quarterly fee of $63,375. With the                 NMS Stocks, thereby more closing                       options strikes and series, which are not
                                                imposition of the proposed tier changes                  matching the relative revenue
                                                                                                                                                                   71 See Suspension Order at 31663–4; SIFMA
                                                and the discount, this ATS would be                      generation by Equity Execution Venues
                                                                                                                                                                Letter at 4–6; FIA Principal Traders Group Letter at
                                                                                                                                                                3; Sidley Letter at 2–6; Group One Letter at 2–6; and
                                                  69 Suspension   Order at 31664–5.                        70 Section   11.2(b) of the CAT NMS Plan.            Belvedere Letter at 2.



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                                                                             Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Notices                                                      59799

                                                an issue for equities.72 The Operating                   makers’ quoting traffic for the                        competition in the market for trading
                                                Committee proposes to address this                       calculation of message traffic, the                    services.74
                                                concern in two ways. First, the                          Operating Committee believes that the                     In response to these concerns, the
                                                Operating Committee proposes to                          proposed fees for market makers would                  Operating Committee determined to
                                                discount Options Market Maker quotes                     not impose an undue or inappropriate                   revise the proposed funding model to
                                                when calculating the Options Market                      burden on competition under Section 6                  focus the comparability of CAT Fees on
                                                Makers’ tier placement. Specifically, the                or Section 15A of the Exchange Act.                    the individual entity level, rather than
                                                Operating Committee proposes to                          Moreover, the Operating Committee                      primarily on the comparability of
                                                impose a discount based on the                                                                                  affiliated entities. In light of the
                                                                                                         believes that the proposed fees
                                                objective measure of the trade to quote                                                                         interconnected nature of the various
                                                                                                         appropriately take into account the
                                                ratio for options. Based on available                                                                           aspects of the funding model, the
                                                                                                         distinctions in the securities trading                 Operating Committee determined to
                                                data from June 2016 through June 2017,
                                                the trade to quote ratio for options is                  operations of different Industry                       revise various aspects of the model to
                                                0.01%. Second, the Operating                             Members, and avoid disincentives, such                 enhance comparability at the individual
                                                Committee proposes to discount                           as a reduction in market quality, as                   entity level. Specifically, to achieve
                                                equities market maker quotes when                        required under the funding principles of               such comparability, the Operating
                                                calculating the equities market makers’                  the CAT NMS Plan.73 The proposed                       Committee determined to (1) decrease
                                                tier placement. Specifically, the                        discounts recognize the different types                the number of tiers for Industry
                                                Operating Committee proposes to                          of trading operations presented by                     Members (other than Execution Venue
                                                impose a discount based on the                           Options Market Makers and equities                     ATSs) from nine to seven; (2) change the
                                                objective measure of the trade to quote                  market makers, as well as the value of                 allocation of CAT costs between Equity
                                                ratio for equities. Based on available                   the market makers’ quoting activity to                 Execution Venues and Options
                                                data for June 2016 through June 2017,                    the market as a whole. Accordingly, the                Execution Venues from 75%/25% to
                                                this trade to quote ratio for equities is                Operating Committee believes that the                  67%/33%; and (3) adjust tier
                                                5.43%.                                                   proposed discounts will not impact the                 percentages and recovery allocations for
                                                   The practical effect of applying such                 ability of small Options Market Makers                 Equity Execution Venues, Options
                                                discounts for quoting activity is to shift               or equities market makers to provide                   Execution Venues and Industry
                                                market makers’ calculated message                        liquidity.                                             Members (other than Execution Venue
                                                traffic lower, leading to the potential                                                                         ATSs). With these changes, the
                                                shift to tiers for lower message traffic                    Accordingly, with this Amendment,
                                                                                                                                                                proposed funding model provides fee
                                                and reduced fees. Such an approach                       SRO proposes to amend paragraph (b)(1)                 comparability for the largest individual
                                                would move sixteen Industry Member                       of the proposed fee schedule to indicate               entities, with the largest Industry
                                                CAT Reporters that are market makers to                  that the message traffic related to equity             Members (other than Execution Venue
                                                a lower tier than in the Original                        market maker quotes and Options                        ATSs), Equity Execution Venues and
                                                Proposal. For example, under the                         Market Maker quotes would be                           Options Execution Venues each paying
                                                Original Proposal, Broker-Dealer Firm                    discounted. In addition, SRO proposes                  a CAT Fee of approximately $81,000
                                                ABC was placed in the first CAT Fee                      to define the term ‘‘Options Market                    each quarter.
                                                tier, which had a quarterly fee of                       Maker’’ in paragraph (a)(1) of the
                                                $101,004. With the imposition of the                     proposed fee schedule.                                 (i) Number of Industry Member Tiers
                                                proposed tier changes and the discount,                                                                            In the Original Proposal, the proposed
                                                Broker-Dealer Firm ABC, an options                       (C) Comparability/Allocation of Costs                  funding model had nine tiers for
                                                market maker, would be ranked in Tier                                                                           Industry Members (other than Execution
                                                                                                            Under the Original Proposal, 75% of
                                                3 and would owe a quarterly fee of                                                                              Venue ATSs). The Operating Committee
                                                $40,899.                                                 CAT costs were allocated to Industry
                                                                                                                                                                determined that reducing the number of
                                                   In developing the proposed market                     Members (other than Execution Venue
                                                                                                                                                                tiers from nine tiers to seven tiers (and
                                                maker discounts, the Operating                           ATSs) and 25% of CAT costs were
                                                                                                                                                                adjusting the predefined Industry
                                                Committee considered various                             allocated to Execution Venues. This cost
                                                                                                                                                                Member Percentages as well) continues
                                                discounts for Options Market Makers                      allocation sought to maintain the                      to provide a fair allocation of fees
                                                and equity market makers, including                      greatest level of comparability across the             among Industry Members and
                                                discounts of 50%, 25%, 0.00002%, as                      funding model, where comparability                     appropriately distinguishes between
                                                well as the 5.43% for option market                      considered affiliations among or                       Industry Members with differing levels
                                                makers and 0.01% for equity market                       between CAT Reporters. The                             of message traffic. In reaching this
                                                makers. Each of these options were                       Commission and commenters expressed                    conclusion, the Operating Committee
                                                considered in the context of the full                    concerns regarding whether the                         considered historical message traffic
                                                model, as changes in each variable in                    proposed 75%/25% allocation of CAT                     generated by Industry Members across
                                                the model affect other variables in the                  costs is consistent with the Plan’s                    all exchanges and as submitted to
                                                model when allocating the total CAT                      funding principles and the Exchange                    FINRA’s OATS, and considered the
                                                costs among CAT Reporters. The                           Act, including whether the allocation                  distribution of firms with similar levels
                                                Operating Committee determined to                        places a burden on competition or                      of message traffic, grouping together
                                                adopt the proposed discount because it                   reduces market quality. The                            firms with similar levels of message
                                                directly relates to the concern regarding                Commission and commenters also                         traffic. Based on this, the Operating
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                                                the quoting requirement, is an objective                                                                        Committee determined that seven tiers
                                                                                                         questioned whether the approach of
                                                discounting method, and has the                                                                                 would group firms with similar levels of
                                                                                                         accounting for affiliations among CAT
                                                desired potential to shift market makers                                                                        message traffic, while also achieving
                                                                                                         Reporters in setting CAT Fees
                                                to lower fee tiers.                                                                                             greater comparability in the model for
                                                   By imposing a discount on Options                     disadvantages non-affiliated CAT
                                                Market Makers and equities market                        Reporters or otherwise burdens
                                                                                                                                                                   74 See Suspension Order at 31662–3; SIFMA

                                                                                                                                                                Letter at 3; Sidley Letter at 6–7; Group One Letter
                                                  72 Suspension   Order at 31664.                          73 Section   11.2(b) of the CAT NMS Plan.            at 2; and Belvedere Letter at 2.



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                                                59800                       Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Notices

                                                the individual CAT Reporters with the                   Operating Committee considered                        oversee today’s securities markets,’’ 75
                                                greatest market share or message traffic.               various different options for such                    thereby benefitting all market
                                                   In developing the proposed seven tier                allocation, including keeping the                     participants. After making this
                                                structure, the Operating Committee                      original 75%25% allocation, as well as                determination, the Operating Committee
                                                considered remaining at nine tiers, as                  shifting to a 70%/30%, 67%/33%, or                    analyzed several different cost
                                                well as reducing the number of tiers                    57.75%/42.25% allocation. For each of                 allocations, as discussed further below,
                                                down to seven when considering how to                   the alternatives, the Operating                       and determined that an allocation where
                                                address the concerns raised regarding                   Committee considered the effect each                  75% of the CAT costs should be borne
                                                comparability. For each of the                          allocation would have on the                          by the Industry Members (other than
                                                alternatives, the Operating Committee                   assignment of various percentages of                  Execution Venue ATSs) and 25%
                                                considered the assignment of various                    Equity Execution Venues to each tier as               should be paid by Execution Venues
                                                percentages of Industry Members to                      well as various percentages of Equity                 was most appropriate and led to the
                                                each tier as well as various percentages                Execution Venue recovery allocations                  greatest comparability of CAT Fees for
                                                of Industry Member recovery allocations                 for each alternative. Moreover, each of               the largest CAT Reporters.
                                                for each alternative. Each of these                     these options was considered in the                      In developing the proposed allocation
                                                options was considered in the context of                context of the full model, as changes in              of CAT costs between Execution Venues
                                                its effects on the full funding model, as               each variable in the model affect other               and Industry Members (other than
                                                changes in each variable in the model                   variables in the model when allocating                Execution Venue ATSs), the Operating
                                                affect other variables in the model when                the total CAT costs among CAT                         Committee considered various different
                                                allocating the total CAT costs among                    Reporters. The Operating Committee                    options for such allocation, including
                                                CAT Reporters. The Operating                                                                                  keeping the original 75%/25%
                                                                                                        determined that the 67%/33%
                                                Committee determined that the seven                                                                           allocation, as well as shifting to an 80%/
                                                                                                        allocation between Equity and Options
                                                tier alternative provided the most fee                                                                        20%, 70%/30%, or 65%/35%
                                                                                                        Execution Venues provided the greatest
                                                comparability at the individual entity                                                                        allocation. Each of these options was
                                                                                                        level of fee comparability at the
                                                level for the largest CAT Reporters,                                                                          considered in the context of the full
                                                while both providing logical breaks in                  individual entity level for the largest
                                                                                                        CAT Reporters, while still providing for              model, including the effect on each of
                                                tiering for Industry Members with                                                                             the changes discussed above, as changes
                                                different levels of message traffic and a               appropriate fee levels across all tiers for
                                                                                                        all CAT Reporters.                                    in each variable in the model affect
                                                sufficient number of tiers to provide for                                                                     other variables in the model when
                                                the full spectrum of different levels of                (iii) Allocation of Costs Between                     allocating the total CAT costs among
                                                message traffic for all Industry                        Execution Venues and Industry                         CAT Reporters. In particular, for each of
                                                Members.                                                Members                                               the alternatives, the Operating
                                                (ii) Allocation of CAT Costs Between                                                                          Committee considered the effect each
                                                                                                           The Operating Committee determined                 allocation had on the assignment of
                                                Equity and Options Execution Venues
                                                                                                        to allocate 25% of CAT costs to                       various percentages of Equity Execution
                                                   The Operating Committee also                         Execution Venues and 75% to Industry                  Venues, Options Execution Venues and
                                                determined to adjust the allocation of                  Members (other than Execution Venue                   Industry Members (other than Execution
                                                CAT costs between Equity Execution                      ATSs), as it had in the Original                      Venue ATSs) to each relevant tier as
                                                Venues and Options Execution Venues                     Proposal. The Operating Committee                     well as various percentages of recovery
                                                to enhance comparability at the                         determined that this 75%/25%                          allocations for each tier. The Operating
                                                individual entity level. In the Original                allocation, along with the other changes              Committee determined that the 75%/
                                                Proposal, 75% of Execution Venue CAT                    proposed above, led to the most                       25% allocation between Execution
                                                costs were allocated to Equity Execution                comparable fees for the largest Equity                Venues and Industry Members (other
                                                Venues, and 25% of Execution Venue                      Execution Venues, Options Execution                   than Execution Venue ATSs) provided
                                                CAT costs were allocated to Options                     Venues and Industry Members (other                    the greatest level of fee comparability at
                                                Execution Venues. To achieve the goal                   than Execution Venue ATSs). The                       the individual entity level for the largest
                                                of increased comparability at the                       largest Equity Execution Venues,
                                                individual entity level, the Operating                                                                        CAT Reporters, while still providing for
                                                                                                        Options Execution Venues and Industry                 appropriate fee levels across all tiers for
                                                Committee analyzed a range of                           Members (other than Execution Venue
                                                alternative splits for revenue recovery                                                                       all CAT Reporters.
                                                                                                        ATSs) would each pay a quarterly CAT
                                                between Equity and Options Execution                    Fee of approximately $81,000.                         (iv) Affiliations
                                                Venues, along with other changes in the                                                                          The funding principles set forth in
                                                proposed funding model. Based on this                      As a preliminary matter, the
                                                                                                        Operating Committee determined that it                Section 11.2 of the Plan require that the
                                                analysis, the Operating Committee                                                                             fees charged to CAT Reporters with the
                                                determined to allocate 67 percent of                    is appropriate to allocate most of the
                                                                                                        costs to create, implement and maintain               most CAT-related activity (measured by
                                                Execution Venue costs recovered to                                                                            market share and/or message traffic, as
                                                Equity Execution Venues and 33 percent                  the CAT to Industry Members for
                                                                                                        several reasons. First, there are many                applicable) are generally comparable
                                                to Options Execution Venues. The                                                                              (where, for these comparability
                                                Operating Committee determined that a                   more broker-dealers expected to report
                                                                                                        to the CAT than Participants (i.e., 1,541             purposes, the tiered fee structure takes
                                                67/33 allocation between Equity and                                                                           into consideration affiliations between
                                                Options Execution Venues enhances the                   broker-dealer CAT Reporters versus 22
                                                                                                        Participants). Second, since most of the              or among CAT Reporters, whether
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                                                level of fee comparability for the largest                                                                    Execution Venue and/or Industry
                                                CAT Reporters. Specifically, the largest                costs to process CAT reportable data is
                                                                                                        generated by Industry Members,                        Members). The proposed funding model
                                                Equity and Options Execution Venues                                                                           satisfies this requirement. As discussed
                                                would pay a quarterly CAT Fee of                        Industry Members could be expected to
                                                                                                        contribute toward such costs. Finally, as             above, under the proposed funding
                                                approximately $81,000.
                                                   In developing the proposed allocation                noted by the SEC, the CAT                               75 Securities Exchange Act Rel. No. 67457 (Jul 18,
                                                of CAT costs between Equity and                         ‘‘substantially enhance[s] the ability of             2012), 77 FR 45722, 45726 (Aug. 1, 2012) (‘‘Rule
                                                Options Execution Venues, the                           the SROs and the Commission to                        613 Adopting Release’’).



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                                                                             Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Notices                                                     59801

                                                model, the largest Equity Execution                      Venues differently from Industry                      virtually all of the options exchanges
                                                Venues, Options Execution Venues, and                    Members in the funding model. Upon a                  were in Tiers 1 and 2.77 Given the
                                                Industry Members (other than Execution                   more detailed analysis of available data,             concentration of options exchanges in
                                                Venue ATSs) pay approximately the                        however, the Operating Committee                      Tiers 1 and 2, the Operating Committee
                                                same fee. Moreover, the Operating                        noted that Execution Venues have                      believes that using a funding model
                                                Committee believes that the proposed                     varying levels of message traffic.                    based purely on message traffic would
                                                funding model takes into consideration                   Nevertheless, the Operating Committee                 make it more difficult to distinguish
                                                affiliations between or among CAT                        continues to believe that a bifurcated                between large and small options
                                                Reporters as complexes with multiple                     funding model—where Industry                          exchanges, as compared to the proposed
                                                CAT Reporters will pay the appropriate                   Members (other than Execution Venue                   bifurcated fee approach.
                                                fee based on the proposed fee schedule                   ATSs) are charged fees based on                          In addition, the Operating Committee
                                                for each of the CAT Reporters in the                     message traffic and Execution Venues                  also believes that it is appropriate to
                                                complex. For example, a complex with                     are charged based on market share—                    treat ATSs as Execution Venues under
                                                a Tier 1 Equity Execution Venue and                      complies with the Plan and meets the                  the proposed funding model since ATSs
                                                Tier 2 Industry Member will a pay the                    standards of the Exchange Act for the                 have business models that are similar to
                                                same as another complex with a Tier 1                    reasons set forth below.                              those of exchanges, and ATSs also
                                                Equity Execution Venue and Tier 2                           Charging Industry Members based on                 compete with exchanges. For these
                                                Industry Member.                                         message traffic is the most equitable                 reasons, the Operating Committee
                                                                                                         means for establishing fees for Industry              believes that charging Execution Venues
                                                (v) Fee Schedule Changes                                 Members (other than Execution Venue                   based on market share is more
                                                  Accordingly, with this Amendment,                      ATSs). This approach will assess fees to              appropriate and equitable than charging
                                                SRO proposes to amend paragraphs                         Industry Members that create larger                   Execution Venues based on message
                                                (b)(1) and (2) of the proposed fee                       volumes of message traffic that are                   traffic.
                                                schedule to reflect the changes                          relatively higher than those fees charged
                                                discussed in this section. Specifically,                 to Industry Members that create smaller               (E) Time Limit
                                                SRO proposes to amend paragraph (b)(1)                   volumes of message traffic. Since                       In the Original Proposal, the
                                                and (2) of the proposed fee schedule to                  message traffic, along with fixed costs of            Operating Committee did not impose
                                                update the number of tiers, and the fees                 the Plan Processor, is a key component                any time limit on the application of the
                                                and percentages assigned to each tier to                 of the costs of operating the CAT,                    proposed CAT Fees. As discussed
                                                reflect the described changes.                           message traffic is an appropriate                     above, the Operating Committee
                                                                                                         criterion for placing Industry Members                developed the proposed funding model
                                                (D) Market Share/Message Traffic                         in a particular fee tier.                             by analyzing currently available
                                                  In the Original Proposal, the                             The Operating Committee also                       historical data. Such historical data,
                                                Operating Committee proposed to                          believes that it is appropriate to charge             however, is not as comprehensive as
                                                charge Execution Venues based on                         Execution Venues CAT Fees based on                    data that will be submitted to the CAT.
                                                market share and Industry Members                        their market share. In contrast to                    Accordingly, the Operating Committee
                                                (other than Execution Venue ATSs)                        Industry Members (other than Execution                believes that it will be appropriate to
                                                based on message traffic. Commenters                     Venue ATSs), which determine the                      revisit the funding model once CAT
                                                questioned the use of the two different                  degree to which they produce the                      Reporters have actual experience with
                                                metrics for calculating CAT Fees.76 The                  message traffic that constitutes CAT                  the funding model. Accordingly, the
                                                Operating Committee continues to                         Reportable Events, the CAT Reportable                 Operating Committee proposes to
                                                believe that the proposed use of market                  Events of Execution Venues are largely                include a sunsetting provision in the
                                                share and message traffic satisfies the                  derivative of quotations and orders                   proposed fee model. The proposed CAT
                                                requirements of the Exchange Act and                     received from Industry Members that                   Fees will sunset two years after the
                                                the funding principles set forth in the                  the Execution Venues are required to                  operative date of the CAT NMS Plan
                                                CAT NMS Plan. Accordingly, the                           display. The business model for                       amendment adopting CAT Fees for
                                                proposed funding model continues to                      Execution Venues, however, is focused                 Participants. Specifically, SRO proposes
                                                charge Execution Venues based on                         on executions in their markets. As a                  to add paragraph (d) of the proposed fee
                                                market share and Industry Members                        result, the Operating Committee                       schedule to include this sunsetting
                                                (other than Execution Venue ATSs)                        believes that it is more equitable to                 provision. Such a provision will provide
                                                based on message traffic.                                charge Execution Venues based on their                the Operating Committee and other
                                                  In drafting the Plan and the Original                  market share rather than their message                market participants with the
                                                Proposal, the Operating Committee                        traffic.
                                                                                                                                                               opportunity to reevaluate the
                                                expressed the view that the correlation                     Similarly, focusing on message traffic
                                                                                                                                                               performance of the proposed funding
                                                between message traffic and size does                    would make it more difficult to draw
                                                                                                         distinctions between large and small                  model.
                                                not apply to Execution Venues, which
                                                they described as producing similar                      exchanges, including options exchanges                (F) Tier Structure/Decreasing Cost per
                                                amounts of message traffic regardless of                 in particular. For instance, the                      Unit
                                                size. The Operating Committee believed                   Operating Committee analyzed the                         In the Original Proposal, the
                                                that charging Execution Venues based                     message traffic of Execution Venues and               Operating Committee determined to use
                                                on message traffic would result in both                  Industry Members for the period of                    a tiered fee structure. The Commission
                                                                                                         April 2017 to June 2017 and placed all
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                                                large and small Execution Venues                                                                               and commenters questioned whether
                                                paying comparable fees, which would                      CAT Reporters into a nine-tier                        the decreasing cost per additional unit
                                                be inequitable, so the Operating                         framework (i.e., a single tier may                    (of message traffic in the case of
                                                Committee determined that it would be                    include both Execution Venues and                     Industry Members, or of share volume
                                                more appropriate to treat Execution                      Industry Members). The Operating
                                                                                                         Committee’s analysis found that the                     77 The Participants note that this analysis did not
                                                  76 SuspensionOrder at 31663; FIA Principal             majority of exchanges (15 total) were                 place MIAX PEARL in Tier 1 or Tier 2 since the
                                                Traders Group Letter at 2.                               grouped in Tiers 1 and 2. Moreover,                   exchange commenced trading on February 6, 2017.



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                                                59802                        Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Notices

                                                in the case of Execution Venues) in the                  charges, potential for lack of                           profit business league and on a break-
                                                proposed fee schedules burdens                           transparency, and the impracticality of                  even basis, and the requirement that the
                                                competition by disadvantaging small                      multiple SROs submitting invoices for                    Participants file all CAT Fees under
                                                Industry Members and Execution                           CAT charges. The Operating Committee                     Section 19(b) of the Exchange Act. The
                                                Venues and/or by creating barriers to                    therefore determined that the proposed                   Operating Committee continues to
                                                entry in the market for trading services                 funding model was preferable to this                     believe that these measures adequately
                                                and/or the market for broker-dealer                      alternative.                                             protect against concerns regarding
                                                services.78                                                                                                       conflicts of interest in setting fees, and
                                                   The Operating Committee does not                      (H) Industry Member Input
                                                                                                                                                                  that additional measures, such as an
                                                believe that decreasing cost per                           Commenters expressed concern                           independent third party to evaluate an
                                                additional unit in the proposed fee                      regarding the level of Industry Member                   appropriate CAT Fee, are unnecessary.
                                                schedules places an unfair competitive                   input into the development of the
                                                burden on Small Industry Members and                     proposed funding model, and certain                      (J) Fee Transparency
                                                Execution Venues. While the cost per                     commenters have recommended a                               Commenters also argued that they
                                                unit of message traffic or share volume                  greater role in the governance of the                    could not adequately assess whether the
                                                necessarily will decrease as volume                      CAT.80 The Participants previously                       CAT Fees were fair and equitable
                                                increases in any tiered fee model using                  addressed this concern in its letters                    because the Operating Committee has
                                                fixed fee percentages and, as a result,                  responding to comments on the Plan                       not provided details as to what the
                                                Small Industry Members and small                         and the CAT Fees.81 As discussed in                      Participants are receiving in return for
                                                Execution Venues may pay a larger fee                    those letters, the Participants discussed                the CAT Fees.85 The Operating
                                                per message or share, this comment fails                 the funding model with the                               Committee provided a detailed
                                                to take account of the substantial                       Development Advisory Group (‘‘DAG’’),                    discussion of the proposed funding
                                                differences in the absolute fees paid by                 the advisory group formed to assist in                   model in the Plan, including the
                                                Small Industry Members and small                         the development of the Plan, during its                  expenses to be covered by the CAT Fees.
                                                Execution Venues as opposed to large                     original development.82 Moreover,                        In addition, the agreement between the
                                                Industry Members and large Execution                     Industry Members currently have a                        Company and the Plan Processor sets
                                                Venues. For example, under the fee                       voice in the affairs of the Operating                    forth a comprehensive set of services to
                                                proposals, Tier 7 Industry Members                       Committee and operation of the CAT                       be provided to the Company with regard
                                                would pay a quarterly fee of $105, while                 generally through the Advisory                           to the CAT. Such services include,
                                                Tier 1 Industry Members would pay a                      Committee established pursuant to Rule                   without limitation: user support
                                                quarterly fee of $81,483. Similarly, a                   613(b)(7) and Section 4.13 of the Plan.                  services (e.g., a help desk); tools to
                                                Tier 4 Equity Execution Venue would                      The Advisory Committee attends all                       allow each CAT Reporter to monitor and
                                                pay a quarterly fee of $129, while a Tier                meetings of the Operating Committee, as                  correct their submissions; a
                                                1 Equity Execution Venue would pay a                     well as meetings of various                              comprehensive compliance program to
                                                quarterly fee of $81,048. Thus, Small                    subcommittees and working groups, and                    monitor CAT Reporters’ adherence to
                                                Industry Members and small Execution                     provides valuable and critical input for                 Rule 613; publication of detailed
                                                Venues are not disadvantaged in terms                    the Participants’ and Operating                          Technical Specifications for Industry
                                                of the total fees that they actually pay.                Committee’s consideration. The                           Members and Participants; performing
                                                In contrast to a tiered model using fixed                Operating Committee continues to                         data linkage functions; creating
                                                fee percentages, the Operating                           believe that that Industry Members have                  comprehensive data security and
                                                Committee believes that strictly variable                an appropriate voice regarding the                       confidentiality safeguards; creating
                                                or metered funding models based on                       funding of the Company.                                  query functionality for regulatory users
                                                message traffic or share volume would                                                                             (i.e., the Participants, and the SEC and
                                                                                                         (I) Conflicts of Interest
                                                be more likely to affect market behavior                                                                          SEC staff); and performing billing and
                                                                                                            Commenters also raised concerns                       collection functions. The Operating
                                                and may present administrative
                                                                                                         regarding Participant conflicts of                       Committee further notes that the
                                                challenges (e.g., the costs to calculate
                                                                                                         interest in setting the CAT Fees.83 The                  services provided by the Plan Processor
                                                and monitor fees may exceed the fees
                                                                                                         Participants previously responded to                     and the costs related thereto were
                                                charged to the smallest CAT Reporters).
                                                                                                         this concern in both the Plan Response                   subject to a bidding process.
                                                (G) Other Alternatives Considered                        Letter and the Fee Rule Response
                                                                                                         Letter.84 As discussed in those letters,                 (K) Funding Authority
                                                   In addition to the various funding
                                                model alternatives discussed above                       the Plan, as approved by the SEC,                          Commenters also questioned the
                                                regarding discounts, number of tiers and                 adopts various measures to protect                       authority of the Operating Committee to
                                                allocation percentages, the Operating                    against the potential conflicts issues                   impose CAT Fees on Industry
                                                Committee also discussed other possible                  raised by the Participants’ fee-setting                  Members.86 The Participants previously
                                                funding models. For example, the                         authority. Such measures include the                     responded to this same comment in the
                                                Operating Committee considered                           operation of the Company as a not for                    Plan Response Letter and the Fee Rule
                                                                                                                                                                  Response Letter.87 As the Participants
                                                allocating the total CAT costs equally
                                                                                                           80 See   Suspension Order at 31662; MFA Letter at      previously noted, SEC Rule 613
                                                among each of the Participants, and                      1–2.                                                     specifically contemplates broker-dealers
                                                then permitting each Participant to                        81 Letter from Participants to Brent J. Fields,
                                                                                                                                                                  contributing to the funding of the CAT.
                                                charge its own members as it deems                       Secretary, SEC (Sept. 23, 2016) (‘‘Plan Response
                                                                                                                                                                  In addition, as noted by the SEC, the
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                                                appropriate.79 The Operating Committee                   Letter’’); Letter from CAT NMS Plan Participants to
                                                                                                         Brent J. Fields, Secretary, SEC (June 29, 2017) (‘‘Fee   CAT ‘‘substantially enhance[s] the
                                                determined that such an approach
                                                                                                         Rule Response Letter’’).
                                                raised a variety of issues, including the                  82 Fee Rule Response Letter at 2; Plan Response          85 See FIA Principal Traders Group at 3; SIFMA
                                                likely inconsistency of the ensuing                      Letter at 18.                                            Letter at 3.
                                                                                                           83 See Suspension Order at 31662; FIA Principal          86 See Suspension Order at 31661–2; SIFMA
                                                  78 Suspension  Order at 31667.                         Traders Group at 3.                                      Letter at 2.
                                                  79 SeeFIA Principal Traders Group Letter at 2;           84 See Plan Response Letter at 16, 17; Fee Rule          87 See Plan Response Letter at 9–10; Fee Rule

                                                Belvedere Letter at 4.                                   Response Letter at 10–12.                                Response Letter at 3–4.



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                                                                            Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Notices                                          59803

                                                ability of the SROs and the Commission                  associated with the costs of establishing               Finally, SRO believes that the
                                                to oversee today’s securities markets,’’ 88             and maintaining the CAT, where such                   proposed fees are reasonable because
                                                thereby benefitting all market                          costs include Plan Processor costs and                they would provide ease of calculation,
                                                participants. Therefore, the Operating                  costs related to insurance, third party               ease of billing and other administrative
                                                Committing continues to believe that it                 services and the operational reserve.                 functions, and predictability of a fixed
                                                is equitable for both Participants and                  The CAT Fees would not cover                          fee. Such factors are crucial to
                                                Industry Members to contribute to                       Participant services unrelated to the                 estimating a reliable revenue stream for
                                                funding the cost of the CAT.                            CAT. In addition, any surplus CAT Fees                the Company and for permitting CAT
                                                                                                        cannot be distributed to the individual               Reporters to reasonably predict their
                                                2. Statutory Basis
                                                                                                        Participants; such surpluses must be                  payment obligations for budgeting
                                                   SRO believes that the proposed rule                  used as a reserve to offset future fees.              purposes.
                                                change is consistent with the provisions                Given the direct relationship between
                                                of Section 6(b)(5) of the Act 89, which                                                                       B. Self-Regulatory Organization’s
                                                                                                        the fees and the CAT costs, SRO
                                                require, among other things, that the                                                                         Statement on Burden on Competition
                                                                                                        believes that the total level of the CAT
                                                SRO rules must be designed to prevent                   Fees is reasonable.                                      Section 6(b)(8) of the Act 92 require
                                                fraudulent and manipulative acts and                       In addition, SRO believes that the                 that SRO rules not impose any burden
                                                practices, to promote just and equitable                proposed CAT Fees are reasonably                      on competition that is not necessary or
                                                principles of trade, and, in general, to                designed to allocate the total costs of the           appropriate. SRO does not believe that
                                                protect investors and the public interest,              CAT equitably between and among the                   the proposed rule change will result in
                                                and not designed to permit unfair                       Participants and Industry Members, and                any burden on competition that is not
                                                discrimination between customers,                       are therefore not unfairly                            necessary or appropriate in furtherance
                                                issuers, brokers and dealer, and Section                discriminatory. As discussed in detail                of the purposes of the Act. SRO notes
                                                6(b)(4) of the Act 90, which requires that              above, the proposed tiered fees impose                that the proposed rule change
                                                SRO rules provide for the equitable                     comparable fees on similarly situated                 implements provisions of the CAT NMS
                                                allocation of reasonable dues, fees, and                CAT Reporters. For example, those with                Plan approved by the Commission, and
                                                other charges among members and                         a larger impact on the CAT (measured                  is designed to assist SRO in meeting its
                                                issuers and other persons using its                     via message traffic or market share) pay              regulatory obligations pursuant to the
                                                facilities. As discussed above, the SEC                 higher fees, whereas CAT Reporters                    Plan. Similarly, all national securities
                                                approved the bifurcated, tiered, fixed                  with a smaller impact pay lower fees.                 exchanges and FINRA are proposing
                                                fee funding model in the CAT NMS                        Correspondingly, the tiered structure                 this proposed fee schedule to
                                                Plan, finding it was reasonable and that                lessens the impact on smaller CAT                     implement the requirements of the CAT
                                                it equitably allocated fees among                       Reporters by imposing smaller fees on                 NMS Plan. Therefore, this is not a
                                                Participants and Industry Members.                      those CAT Reporters with less market                  competitive fee filing and, therefore, it
                                                SRO believes that the proposed tiered                   share or message traffic. In addition, the            does not raise competition issues
                                                fees adopted pursuant to the funding                    fee structure takes into consideration                between and among the exchanges and
                                                model approved by the SEC in the CAT                    distinctions in securities trading                    FINRA.
                                                NMS Plan are reasonable, equitably                      operations of CAT Reporters, including                   Moreover, as previously described,
                                                allocated and not unfairly                              ATSs trading OTC Equity Securities,                   SRO believes that the proposed rule
                                                discriminatory.                                         and equity and options market makers.                 change fairly and equitably allocates
                                                   SRO believes that this proposal is                      Moreover, SRO believes that the                    costs among CAT Reporters. In
                                                consistent with the Act because it                      division of the total CAT costs between               particular, the proposed fee schedule is
                                                implements, interprets or clarifies the                 Industry Members and Execution                        structured to impose comparable fees on
                                                provisions of the Plan, and is designed                 Venues, and the division of the                       similarly situated CAT Reporters, and
                                                to assist SRO and its Industry Members                  Execution Venue portion of total costs                lessen the impact on smaller CAT
                                                in meeting regulatory obligations                       between Equity and Options Execution                  Reporters. CAT Reporters with similar
                                                pursuant to the Plan. In approving the                  Venues, is reasonably designed to                     levels of CAT activity will pay similar
                                                Plan, the SEC noted that the Plan ‘‘is                  allocate CAT costs among CAT                          fees. For example, Industry Members
                                                necessary and appropriate in the public                 Reporters. The 75%/25% division                       (other than Execution Venue ATSs) with
                                                interest, for the protection of investors               between Industry Members (other than                  higher levels of message traffic will pay
                                                and the maintenance of fair and orderly                 Execution Venue ATSs) and Execution                   higher fees, and those with lower levels
                                                markets, to remove impediments to, and                  Venues maintains the greatest level of                of message traffic will pay lower fees.
                                                perfect the mechanism of a national                     comparability across the funding model.               Similarly, Execution Venue ATSs and
                                                market system, or is otherwise in                       For example, the cost allocation                      other Execution Venues with larger
                                                furtherance of the purposes of the                      establishes fees for the largest Industry             market share will pay higher fees, and
                                                Act.’’ 91 To the extent that this proposal              Members (i.e., those Industry Members                 those with lower levels of market share
                                                implements, interprets or clarifies the                 in Tiers 1) that are comparable to the                will pay lower fees. Therefore, given
                                                Plan and applies specific requirements                  largest Equity Execution Venues and                   that there is generally a relationship
                                                to Industry Members, SRO believes that                  Options Execution Venues (i.e., those                 between message traffic and/or market
                                                this proposal furthers the objectives of                Execution Venues in Tier 1).                          share to the CAT Reporter’s size, smaller
                                                the Plan, as identified by the SEC, and                 Furthermore, the allocation of total CAT              CAT Reporters generally pay less than
                                                is therefore consistent with the Act.                   cost recovery recognizes the difference               larger CAT Reporters. Accordingly, SRO
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                                                   SRO believes that the proposed tiered                in the number of CAT Reporters that are               does not believe that the CAT Fees
                                                fees are reasonable. First, the total CAT               Industry Members (other than Execution                would have a disproportionate effect on
                                                Fees to be collected would be directly                  Venue ATSs) versus CAT Reporters that                 smaller or larger CAT Reporters. In
                                                                                                        are Execution Venues. Similarly, the                  addition, ATSs and exchanges will pay
                                                  88 Rule 613 Adopting Release at 45726.                67%/33% allocation between Equity                     the same fees based on market share.
                                                  89 15 U.S.C. 78f(b)(5).                               and Options Execution Venues also                     Therefore, SRO does not believe that the
                                                  90 15 U.S.C. 78f(b)(4).                               helps to provide fee comparability for
                                                  91 Approval Order at 84697.                           the largest CAT Reporters.                              92 15   U.S.C. 78f(b)(8)



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                                                59804                         Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Notices

                                                fees will impose any burden on the                          (3) Commenters’ views on the                        resulted in a change to the allocation of
                                                competition between ATSs and                              determination to allocate 75% of all                  75% of total CAT costs to Industry
                                                exchanges. Accordingly, SRO believes                      costs incurred by the Participants from               Members (other than Execution Venue
                                                that the proposed fees will minimize the                  November 21, 2016 to November 21,                     ATSs) and 25% of such costs to
                                                potential for adverse effects on                          2017 to Industry Members (other than                  Execution Venues.
                                                competition between CAT Reporters in                      Execution Venue ATSs), when such
                                                                                                                                                                Discounts
                                                the market.                                               costs are development and build costs
                                                   Furthermore, the tiered, fixed fee                     and when Industry Member reporting is                    (8) Commenters’ views as to whether
                                                funding model limits the disincentives                    scheduled to commence a year later,                   the discounts for options market-
                                                to providing liquidity to the market.                     including views on whether such ‘‘fees,               makers, equities market-makers, and
                                                Therefore, the proposed fees are                          costs and expenses . . . [are] fairly and             Equity ATSs trading OTC Equity
                                                structured to limit burdens on                            reasonably shared among the                           Securities are clear, reasonable, and
                                                competitive quoting and other liquidity                   Participants and Industry Members’’ in                consistent with the funding principle
                                                provision in the market.                                  accordance with the CAT NMS Plan.94                   expressed in the CAT NMS Plan that
                                                   In addition, the Operating Committee                     (4) Commenters’ views on whether an                 requires the Operating Committee to
                                                believes that the proposed changes to                     analysis of the ratio of the expected                 ‘‘avoid any disincentives such as
                                                the Original Proposal, as discussed                       Industry Member-reported CAT                          placing an inappropriate burden on
                                                above in detail, address certain                          messages to the expected SRO-reported                 competition and a reduction in market
                                                competitive concerns raised by                            CAT messages should be the basis for                  quality,’’ 97 including views as to
                                                commenters, including concerns related                    determining the allocation of costs                   whether the discounts for market-
                                                to, among other things, smaller ATSs,                     between Industry Members and                          makers limit any potential disincentives
                                                ATSs trading OTC Equity Securities,                       Execution Venues.95                                   to act as a market-maker and/or to
                                                market making quoting and fee                               (5) Any additional data analysis on                 provide liquidity due to CAT fees.
                                                comparability. As discussed above, the                    the allocation of CAT costs, including                Calculation of Costs and Imposition of
                                                Operating Committee believes that the                     any existing supporting evidence.                     CAT Fees
                                                proposals address the competitive                         Comparability                                            (9) Commenters’ views as to whether
                                                concerns raised by commenters.
                                                                                                             (6) Commenters’ views on the shift in              the amendment provides sufficient
                                                C. Self-Regulatory Organization’s                         the standard used to assess the                       information regarding the amount of
                                                Statement on Comments on the                              comparability of CAT Fees, with the                   costs incurred from November 21, 2016
                                                Proposed Rule Change Received From                        emphasis now on comparability of                      to November 21, 2017, particularly, how
                                                Members, Participants, or Others                          individual entities instead of affiliated             those costs were calculated, how those
                                                  SRO has set forth responses to                          entities, including views as to whether               costs relate to the proposed CAT Fees,
                                                comments received regarding the                           this shift is consistent with the funding             and how costs incurred after November
                                                Original Proposal in Section 3(a)(4)                      principle expressed in the CAT NMS                    21, 2017 will be assessed upon Industry
                                                above.                                                    Plan that requires the Operating                      Members and Execution Venues;
                                                                                                          Committee to establish a fee structure in                (10) Commenters’ views as to whether
                                                III. Solicitation of Comments on                          which the fees charged to ‘‘CAT                       the timing of the imposition and
                                                Amendment No. 1                                           Reporters with the most CAT-related                   collection of CAT Fees on Execution
                                                                                                          activity (measured by market share and/               Venues and Industry Members is
                                                  Interested persons are invited to
                                                                                                          or message traffic, as applicable) are                reasonably related to the timing of when
                                                submit written data, views, and
                                                                                                          generally comparable (where, for these                the Company expects to incur such
                                                arguments concerning the foregoing,
                                                                                                          comparability purposes, the tiered fee                development and implementation
                                                including whether Amendment No. 1 is
                                                                                                          structure takes into consideration                    costs.98
                                                consistent with the Act. In particular,                                                                            (11) Commenters’ views on dividing
                                                the Commission seeks comment on the                       affiliations between or among CAT
                                                                                                          Reporters, whether Execution Venues                   CAT costs equally among each of the
                                                following:                                                                                                      Participants, and then each Participant
                                                                                                          and/or Industry Members).’’ 96
                                                Allocation of Costs                                          (7) Commenters’ views as to whether                charging its own members as it deems
                                                                                                          the reduction in the number of tiers for              appropriate, taking into consideration
                                                   (1) Commenters’ views as to whether
                                                                                                          Industry Members (other than Execution                the possibility of inconsistency in
                                                the allocation of CAT costs is consistent
                                                                                                          Venue ATSs) from nine to seven, the                   charges, the potential for lack of
                                                with the funding principle expressed in
                                                                                                          revised allocation of CAT costs between               transparency, and the impracticality of
                                                the CAT NMS Plan that requires the
                                                                                                          Equity Execution Venues and Options                   multiple SROs submitting invoices for
                                                Operating Committee to ‘‘avoid any
                                                                                                          Execution Venues from a 75%/25%                       CAT charges.
                                                disincentives such as placing an
                                                inappropriate burden on competition                       split to a 67%/33% split, and the                     Burden on Competition and Barriers to
                                                and a reduction in market quality.’’ 93                   adjustment of all tier percentages and                Entry
                                                   (2) Commenters’ views as to whether                    recovery allocations achieves
                                                                                                                                                                  (12) Commenters’ views as to whether
                                                the allocation of 25% of CAT costs to                     comparability across individual entities,
                                                                                                                                                                the allocation of 75% of CAT costs to
                                                the Execution Venues (including all the                   and whether these changes should have
                                                                                                                                                                Industry Members (other than Execution
                                                Participants) and 75% to Industry                                                                               Venue ATSs) imposes any burdens on
                                                                                                            94 Section 11.1(c) of the CAT NMS Plan.
                                                Members, will incentivize or
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                                                                                                            95 The Notice for the CAT NMS Plan did not          competition to Industry Members,
                                                disincentivize the Participants to                        provide a comprehensive count of audit trail          including views on what baseline
                                                effectively and efficiently manage the                    message traffic from different regulatory data        competitive landscape the Commission
                                                CAT costs incurred by the Participants                    sources, but the Commission did estimate the ratio    should consider when analyzing the
                                                since they will only bear 25% of such                     of all SRO audit trail messages to OATS audit trail
                                                                                                          messages to be 1.9431. See Securities Exchange Act    proposed allocation of CAT costs.
                                                costs.                                                    Release No. 77724 (April 27, 2016), 81 FR 30613,
                                                                                                          30721 n.919 and accompanying text (May 17, 2016).       97 Section   11.2(e) of the CAT NMS Plan.
                                                  93 Section   11.2(e) of the CAT NMS Plan.                 96 Section 11.2(c) of the CAT NMS Plan.               98 Section   11.1(c) of the CAT NMS Plan.



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                                                                            Federal Register / Vol. 82, No. 240 / Friday, December 15, 2017 / Notices                                                   59805

                                                   (13) Commenters’ views on the                          (a) Commenters’ views on the kinds of               Number SR–BOX–2017–16, and should
                                                burdens on competition, including the                   disincentives that discourage liquidity               be submitted on or before January 5,
                                                relevant markets and services and the                   provision and/or disincentives that the               2018.
                                                impact of such burdens on the baseline                  Commission should consider in its                       For the Commission, by the Division of
                                                competitive landscape in those relevant                 analysis;                                             Trading and Markets, pursuant to delegated
                                                markets and services.                                     (b) Commenters’ views as to whether                 authority.99
                                                   (14) Commenters’ views on any                        the fees could disincentivize the                     Robert W. Errett,
                                                potential burdens imposed by the fees                   provision of liquidity; and                           Deputy Secretary.
                                                on competition between and among                          (c) Commenters’ views as to whether                 [FR Doc. 2017–26989 Filed 12–14–17; 8:45 am]
                                                CAT Reporters, including views on                       the fees limit any disincentives to                   BILLING CODE 8011–01–P
                                                which baseline markets and services the                 provide liquidity.
                                                fees could have competitive effects on                    (22) Commenters’ views as to whether
                                                and whether the fees are designed to                    the amendment adequately responds to                  SECURITIES AND EXCHANGE
                                                minimize such effects.                                  and/or addresses comments received on                 COMMISSION
                                                   (15) Commenters’ general views on                    related filings.
                                                the impact of the proposed fees on                                                                            [Release No. 34–82270; File No. SR–C2–
                                                economies of scale and barriers to entry.               Electronic Comments                                   2017–017]
                                                   (16) Commenters’ views on the                          • Use the Commission’s internet                     Self-Regulatory Organizations; Cboe
                                                baseline economies of scale and barriers                comment form (http://www.sec.gov/                     C2 Exchange, Inc.; Notice of Filing of
                                                to entry for Industry Members and                       rules/sro.shtml); or                                  Amendment No. 1 to a Proposed Rule
                                                Execution Venues and the relevant
                                                markets and services over which these                     • Send an email to rule-comments@                   Change To Establish the Fees for
                                                                                                        sec.gov. Please include File Number SR–               Industry Members Related to the
                                                economies of scale and barriers to entry                                                                      National Market System Plan
                                                exist.                                                  BOX–2017–16 on the subject line.
                                                                                                                                                              Governing the Consolidated Audit Trail
                                                   (17) Commenters’ views as to whether                 Paper Comments
                                                a tiered fee structure necessarily results                                                                    December 11, 2017.
                                                in less active tiers paying more per unit                  • Send paper comments in triplicate
                                                                                                        to Secretary, Securities and Exchange                    On May 16, 2017, C2 Options
                                                than those in more active tiers, thus                                                                         Exchange, Incorporated, n/k/a Cboe C2
                                                creating economies of scale, with                       Commission, 100 F Street NE,
                                                                                                        Washington, DC 20549–1090.                            Exchange, Inc., (‘‘Exchange’’ or ‘‘SRO’’)
                                                supporting information if possible.                                                                           filed with the Securities and Exchange
                                                   (18) Commenters’ views as to how the                 All submissions should refer to File                  Commission (‘‘Commission’’), pursuant
                                                level of the fees for the least active tiers            Number SR–BOX–2017–16. This file                      to Section 19(b)(1) of the Securities
                                                would or would not affect barriers to                   number should be included on the                      Exchange Act of 1934 (‘‘Act’’) 1 and Rule
                                                entry.                                                  subject line if email is used. To help the            19b–4 thereunder,2 a proposed rule
                                                   (19) Commenters’ views on whether                    Commission process and review your                    change to adopt a fee schedule to
                                                the difference between the cost per unit                comments more efficiently, please use                 establish the fees for Industry Members
                                                (messages or market share) in less active               only one method. The Commission will                  related to the National Market System
                                                tiers compared to the cost per unit in                  post all comments on the Commission’s                 Plan Governing the Consolidated Audit
                                                more active tiers creates regulatory                    internet website (http://www.sec.gov/                 Trail (‘‘CAT NMS Plan’’). The proposed
                                                economies of scale that favor larger                    rules/sro.shtml). Copies of the                       rule change was published in the
                                                competitors and, if so:                                 submission, all subsequent                            Federal Register for comment on June 1,
                                                   (a) How those economies of scale                     amendments, all written statements                    2017.3 The Commission received seven
                                                compare to operational economies of                     with respect to the proposed rule                     comment letters on the proposed rule
                                                scale; and                                              change that are filed with the                        change,4 and a response to comments
                                                   (b) Whether those economies of scale                 Commission, and all written
                                                reduce or increase the current                          communications relating to the                          99 17  CFR 200.30–3(a)(12).
                                                advantages enjoyed by larger                            proposed rule change between the                        1 15  U.S.C. 78s(b)(1).
                                                competitors or otherwise alter the                      Commission and any person, other than                    2 17 CFR 240.19b–4.

                                                competitive landscape.                                  those that may be withheld from the                      3 See Securities Exchange Act Release No. 80786

                                                                                                        public in accordance with the                         (May 26, 2017), 82 FR 25474 (June 1, 2017)
                                                   (20) Commenters’ views on whether                                                                          (‘‘Original Proposal’’).
                                                the fees could affect competition                       provisions of 5 U.S.C. 552, will be                      4 Since the CAT NMS Plan Participants’ proposed

                                                between and among national securities                   available for website viewing and                     rule changes to adopt fees to be charged to Industry
                                                exchanges and FINRA, in light of the                    printing in the Commission’s Public                   Members to fund the consolidated audit trail are
                                                                                                        Reference Room, 100 F Street NE,                      substantively identical, the Commission is
                                                fact that implementation of the fees does                                                                     considering all comments received on the proposed
                                                not require the unanimous consent of all                Washington, DC 20549, on official                     rule changes regardless of the comment file to
                                                such entities, and, specifically:                       business days between the hours of                    which they were submitted. See text accompanying
                                                   (a) Whether any of the national                      10:00 a.m. and 3:00 p.m. Copies of the                notes 13–16 infra, for a list of the CAT NMS Plan
                                                                                                        filing also will be available for                     Participants. See Letter from Theodore R. Lazo,
                                                securities exchanges or FINRA are                                                                             Managing Director and Associate General Counsel,
                                                disadvantaged by the fees; and                          inspection and copying at the principal               Securities Industry and Financial Markets
                                                   (b) If so, whether any such                          office of the Exchange. All comments                  Association, to Brent J. Fields, Secretary,
                                                disadvantages would be of a magnitude                   received will be posted without change.               Commission (dated June 6, 2017), available at:
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                                                                                                        Persons submitting comments are                       https://www.sec.gov/comments/sr-batsbzx-2017-38/
                                                that would alter the competitive                                                                              batsbzx201738-1788188-153228.pdf; Letter from
                                                landscape.                                              cautioned that we do not redact or edit               Patricia L. Cerny and Steven O’Malley, Compliance
                                                   (21) Commenters’ views on any                        personal identifying information from                 Consultants, to Brent J. Fields, Secretary,
                                                potential burden imposed by the fees on                 comment submissions. You should                       Commission (dated June 12, 2017), available at:
                                                                                                        submit only information that you wish                 https://www.sec.gov/comments/sr-cboe-2017-040/
                                                competitive quoting and other liquidity                                                                       cboe2017040-1799253-153675.pdf; Letter from
                                                provision in the market, including,                     to make available publicly. All                       Daniel Zinn, General Counsel, OTC Markets Group
                                                specifically:                                           submissions should refer to File                                                                 Continued




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Document Created: 2017-12-15 03:37:36
Document Modified: 2017-12-15 03:37:36
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 59779 

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