83_FR_10986 83 FR 10937 - Self-Regulatory Organizations; The Nasdaq Stock Market LLC; Notice of Filing of Amendment No. 3 and Order Granting Accelerated Approval of a Proposed Rule Change, as Modified by Amendment Nos. 1, 2, and 3, To Adopt the Midpoint Extended Life Order

83 FR 10937 - Self-Regulatory Organizations; The Nasdaq Stock Market LLC; Notice of Filing of Amendment No. 3 and Order Granting Accelerated Approval of a Proposed Rule Change, as Modified by Amendment Nos. 1, 2, and 3, To Adopt the Midpoint Extended Life Order

SECURITIES AND EXCHANGE COMMISSION

Federal Register Volume 83, Issue 49 (March 13, 2018)

Page Range10937-10941
FR Document2018-04979

Federal Register, Volume 83 Issue 49 (Tuesday, March 13, 2018)
[Federal Register Volume 83, Number 49 (Tuesday, March 13, 2018)]
[Notices]
[Pages 10937-10941]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2018-04979]



[[Page 10937]]

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SECURITIES AND EXCHANGE COMMISSION

[Release No. 34-82825; File No. SR-NASDAQ-2017-074]


Self-Regulatory Organizations; The Nasdaq Stock Market LLC; 
Notice of Filing of Amendment No. 3 and Order Granting Accelerated 
Approval of a Proposed Rule Change, as Modified by Amendment Nos. 1, 2, 
and 3, To Adopt the Midpoint Extended Life Order

March 7, 2018.

I. Introduction

    On July 21, 2017, The Nasdaq Stock Market LLC (``Exchange'' or 
``Nasdaq'') 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 the Midpoint Extended Life Order 
(``MELO''). The proposed rule change was published for comment in the 
Federal Register on August 9, 2017.\3\ On August 9, 2017, the Exchange 
filed Amendment No. 1 to the proposed rule change.\4\ On September 21, 
2017, pursuant to Section 19(b)(2) of the Act,\5\ the Commission 
designated a longer period within which to approve the proposed rule 
change, disapprove the proposed rule change, or institute proceedings 
to determine whether to approve or disapprove the proposed rule 
change.\6\ The Commission initially received three comment letters on 
the proposed rule change.\7\ On October 30, 2017, the Exchange filed 
Amendment No. 2 to the proposed rule change.\8\ On November 3, 2017, 
the Commission published notice of Amendment No. 2 and instituted 
proceedings under Section 19(b)(2)(B) of the Act \9\ to determine 
whether to approve or disapprove the proposed rule change, as modified 
by Amendment Nos. 1 and 2.\10\ The Commission received one additional 
comment letter on the proposed rule change in response to the Order 
Instituting Proceedings.\11\ On February 5, 2018, pursuant to Section 
19(b)(2) of the Act,\12\ the Commission designated a longer period 
within which to issue an order approving or disapproving the proposed 
rule change.\13\ On February 22, 2018, the Exchange filed Amendment No. 
3 to the proposed rule change.\14\ The Commission is publishing this 
notice to solicit comments on Amendment No. 3 from interested persons, 
and is approving the proposed rule change, as modified by Amendment 
Nos. 1, 2, and 3, on an accelerated basis.
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    \1\ 15 U.S.C. 78s(b)(1).
    \2\ 17 CFR 240.19b-4.
    \3\ See Securities Exchange Act Release No. 81311 (August 3, 
2017), 82 FR 37248 (``Notice'').
    \4\ In Amendment No. 1, the Exchange updated the proposal to 
reflect the approval of the proposal by the Exchange's Board of 
Directors on July 21, 2017. Amendment No. 1 is available at https://www.sec.gov/comments/sr-nasdaq-2017-074/nasdaq2017074.htm. Because 
Amendment No. 1 is a technical amendment that does not alter the 
substance of the proposed rule change, it is not subject to notice 
and comment.
    \5\ 15 U.S.C. 78s(b)(2).
    \6\ See Securities Exchange Act Release No. 81668, 82 FR 45095 
(September 27, 2017). The Commission designated November 7, 2017 as 
the date by which the Commission shall approve or disapprove, or 
institute proceedings to determine whether to approve or disapprove, 
the proposed rule change.
    \7\ See Letters to Brent J. Fields, Secretary, Commission, from 
Stephen John Berger, Managing Director, Government & Regulatory 
Policy, Citadel Securities, dated August 30, 2017 (``Citadel 
Letter''); Ray Ross, Chief Technology Officer, The Clearpool Group, 
dated September 12, 2017 (``Clearpool Letter''); and Joanna Mallers, 
Secretary, FIA Principal Traders Group, dated September 19, 2017 
(``FIA PTG Letter'').
    \8\ In Amendment No. 2, the Exchange: (1) Modified the proposal 
to prevent MELOs from executing when there is a non-displayed order 
priced more aggressively than the NBBO midpoint resting on the 
Nasdaq book; (2) provided additional description, clarification, and 
rationale for certain aspects of the proposal; and (3) responded to 
several concerns raised by commenters on the proposal. Amendment No. 
2 is available at https://www.sec.gov/comments/sr-nasdaq-2017-074/nasdaq2017074.htm.
    \9\ 15 U.S.C. 78s(b)(2)(B).
    \10\ See Securities Exchange Act Release No. 82013, 82 FR 52075 
(November 9, 2017) (``Order Instituting Proceedings'').
    \11\ See Letter to Brent J. Fields, Secretary, Commission, from 
Edward K. Shin, dated December 8, 2017 (``Shin Letter'').
    \12\ 15 U.S.C. 78s(b)(2).
    \13\ See Securities Exchange Act Release No. 82629, 83 FR 5822 
(February 9, 2018). The Commission designated March 7, 2018 as the 
date by which the Commission shall either approve or disapprove the 
proposed rule change.
    \14\ In Amendment No. 3, the Exchange proposed to publish weekly 
aggregated statistics showing the number of shares and transactions 
of MELOs executed on the Exchange by security. This information 
would be published on Nasdaqtrader.com with a two-week delay for 
MELO executions in NMS stocks in Tier 1 of the NMS Plan to Address 
Extraordinary Market Volatility (``LULD Plan'') and a four-week 
delay for MELO executions in all other NMS stocks. The Exchange also 
proposed to publish monthly aggregated block-sized trading 
statistics of total shares and total transactions of MELOs executed 
on the Exchange. This information would be published on 
Nasdaqtrader.com no earlier than one month following the end of the 
month for which trading was aggregated. Amendment No. 3 is available 
at https://www.sec.gov/comments/sr-nasdaq-2017-074/nasdaq2017074.htm.
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II. Description of the Proposal

    The Exchange proposed to offer the MELO order type. A MELO would be 
a non-displayed order priced at the midpoint between the National Best 
Bid and Offer (``NBBO'') and would not be eligible to execute until a 
minimum period of one half of a second (``Holding Period'') has passed 
after acceptance of the order by the system.\15\ Once eligible to 
trade, MELOs would be ranked in time priority at the NBBO midpoint 
among other MELOs.\16\ If a limit price is assigned to a MELO, the 
order would be: (1) Eligible for execution in time priority after 
satisfying the Holding Period if upon acceptance of the order by the 
system, the midpoint price is within the limit set by the participant; 
or (2) held until the midpoint falls within the limit set by the 
participant, at which time the Holding Period would commence and 
thereafter the system would make the order eligible for execution in 
time priority.\17\
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    \15\ See proposed Nasdaq Rule 4702(b)(14)(A).
    \16\ See id.
    \17\ See id.
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    If a MELO is modified by a member (other than to decrease the size 
of the order or to modify the marking of a sell order as long, short, 
or short exempt) during the Holding Period, the system would restart 
the Holding Period.\18\ Similarly, if a MELO is modified by a member 
(other than to decrease the size of the order or to modify the marking 
of a sell order as long, short, or short exempt) after it has become 
eligible to execute, the order would have to satisfy a new Holding 
Period.\19\
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    \18\ See id. The Exchange noted that any change to a MELO that 
would result in a change in the order's timestamp would result in 
the MELO being considered altered, and thus the order would be 
subject to a new Holding Period before being eligible to trade and 
its priority would be based on the new timestamp. See Amendment No. 
2 at n.16.
    \19\ See proposed Nasdaq Rule 4702(b)(14)(A).
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    Movements in the NBBO while a MELO is in the Holding Period would 
not reset the Holding Period, even if, as a result of the NBBO move, 
the MELO's limit price is less aggressive than the NBBO midpoint.\20\ 
Also, if a MELO has met the Holding Period, but the NBBO midpoint is no 
longer within its limit, it would nonetheless be ranked in time 
priority among other MELOs if the NBBO later moves such that the 
midpoint is within the order's limit price (i.e., no new Holding 
Period).\21\
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    \20\ See Amendment No. 2 at n.11.
    \21\ See proposed Nasdaq Rule 4702(b)(14)(A); Amendment No. 2 at 
n.15.
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    MELOs may be entered via any of the Exchange's communications 
protocols and the type of communications protocol used would not affect 
how the system handles MELOs.\22\ If there is no NBB or NBO, the 
Exchange would accept MELOs but would not allow MELO executions until 
there is an NBBO.\23\ MELOs would be eligible to

[[Page 10938]]

trade if the NBBO is locked.\24\ If the NBBO is crossed, MELOs would be 
held by the system until such time that the NBBO is no longer crossed, 
at which time they would be eligible to trade.\25\ MELOs may be 
cancelled at any time, including during the Holding Period.\26\
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    \22\ See Amendment No. 2 at n.10.
    \23\ See id. at 12. If there is no NBB or NBO upon entry of a 
MELO, the system would hold the order in time priority, together 
with any other MELOs received while there is no NBB or NBO. See id. 
Once there is an NBBO, the Holding Period would begin for the held 
MELOs based on time priority. See id.
    \24\ See id. at 12-13.
    \25\ See id. at 13.
    \26\ See proposed Nasdaq Rule 4702(b)(14)(A).
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    MELOs would be active only during Market Hours.\27\ MELOs entered 
during Pre-Market Hours would be held by the system in time priority 
until Market Hours.\28\ MELOs entered during Post-Market Hours would 
not be accepted by the system, and MELOs remaining unexecuted after 
4:00 p.m. ET would be cancelled by the system.\29\ MELOs would not be 
eligible for the Nasdaq opening, halt, and closing crosses.\30\
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    \27\ See proposed Nasdaq Rule 4702(b)(14)(B). Market Hours begin 
after the completion of the Nasdaq Opening Cross (or at 9:30 a.m. ET 
in the case of a security for which no Nasdaq Opening Cross occurs). 
See Nasdaq Rule 4703(a).
    \28\ See proposed Nasdaq Rule 4702(b)(14)(B). ``Pre-Market 
Hours'' means the period of time beginning at 4:00 a.m. ET and 
ending immediately prior to the commencement of Market Hours. See 
Nasdaq Rule 4701(g). A MELO entered during Pre-Market Hours would be 
held by the system until the completion of the Opening Cross (or 
9:30 a.m. ET if no Opening Cross occurs), ranked in the time that it 
was received by the Nasdaq book upon satisfaction of the Holding 
Period. See Amendment No. 2 at 11-12.
    \29\ See proposed Nasdaq Rule 4702(b)(14)(B). ``Post-Market 
Hours'' means the period of time beginning immediately after the end 
of Market Hours and ending at 8:00 p.m. ET. See Nasdaq Rule 4701(g).
    \30\ See proposed Nasdaq Rule 4703(l); Amendment No. 2 at 12. 
MELOs in existence at the time a halt is initiated would be 
ineligible to execute and held by the system until trading has 
resumed and the NBBO has been received by Nasdaq. See proposed 
Nasdaq Rule 4702(b)(14)(A).
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    MELOs must be entered with a size of at least one round lot, and 
any shares of a MELO remaining after an execution that are less than 
one round lot would be cancelled.\31\ MELOs may have a minimum quantity 
order attribute.\32\ MELOs may not be designated with a time-in-force 
of immediate or cancel (``IOC'') and are ineligible for routing.\33\ 
They also may not have the discretion, reserve size, attribution, 
intermarket sweep order, display, or trade now order attributes.\34\
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    \31\ See proposed Nasdaq Rule 4702(b)(14)(B).
    \32\ See id.
    \33\ See id.; Amendment No. 2 at 11 and 13.
    \34\ See Amendment No. 2 at 13-14.
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    Once a MELO becomes eligible to execute by existing unchanged for 
the Holding Period, the MELO may only execute against other eligible 
MELOs.\35\ MELOs would not execute if there is a resting non-displayed 
order priced more aggressively than the NBBO midpoint, and they instead 
would be held until the resting non-displayed order is no longer on the 
Nasdaq book or the NBBO midpoint matches the price of the resting non-
displayed order.\36\ MELO executions would be reported to Securities 
Information Processors and provided in Nasdaq's proprietary data feed 
without any new or special indication.\37\ The Exchange would, however, 
publish delayed weekly aggregated statistics, as well as delayed 
monthly aggregated block-sized trading statistics, for MELO 
executions.\38\ Specifically, the Exchange would publish on 
Nasdaqtrader.com weekly aggregated statistics showing the number of 
shares and transactions of MELOs executed on Nasdaq by security.\39\ 
This information would be published with a two-week delay for NMS 
stocks in Tier 1 of the LULD Plan, and a four-week delay for all other 
NMS stocks.\40\ The Exchange also would publish on Nasdaqtrader.com 
monthly aggregated block-sized trading statistics of total shares and 
total transactions of MELOs executed on Nasdaq.\41\ This information 
would be published no earlier than one month following the end of the 
month for which trading was aggregated.\42\ Under the proposal, a 
transaction would be considered ``block-sized'' if it meets any of the 
following criteria: (1) 10,000 or more shares; (2) $200,000 or more in 
value; (3) 10,000 or more shares and $200,000 or more in value; (4) 
2,000 to 9,999 shares; (5) $100,000 to $199,999 in value; or (6) 2,000 
to 9,999 shares and $100,000 to $199,999 in value.\43\
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    \35\ See proposed Nasdaq Rule 4702(b)(14)(A).
    \36\ See id.; Amendment No. 2 at 9.
    \37\ See Amendment No. 2 at 15.
    \38\ See proposed Nasdaq Rule 4702(b)(14)(A); Amendment No. 3 at 
3-6.
    \39\ See proposed Nasdaq Rule 4702(b)(14)(A).
    \40\ See id.
    \41\ See id.
    \42\ See id.
    \43\ See id.
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    As proposed, MELOs would be subject to real-time surveillance to 
determine if the order type is being abused by market participants.\44\ 
In addition, the Exchange intends to implement a process, at the same 
time as the implementation of MELOs, to monitor the use of MELOs with 
the intent to apply additional measures, as necessary, to ensure their 
usage is appropriately tied to the intent of the order type.\45\ The 
Exchange stated that this process may include metrics tied to 
participant behavior, such as the percentage of MELOs that are 
cancelled prior to the completion of the Holding Period, the average 
duration of MELOs, and the percentage of MELOs where the NBBO midpoint 
is within the limit price when received.\46\ The Exchange stated that 
it is committed to determining whether there is opportunity or 
prevalence of behavior that is inconsistent with normal risk management 
behavior.\47\ According to the Exchange, manipulative abuse is subject 
to potential disciplinary action under the Exchange's rules, and other 
behavior that is not necessarily manipulative but nonetheless 
frustrates the purposes of the MELO order type may be subject to 
penalties or other participant requirements to discourage such 
behavior, should it occur.\48\
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    \44\ See Amendment No. 2 at 22.
    \45\ See id.
    \46\ See id.
    \47\ See id. at 22-23.
    \48\ See id. at 23.
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III. Discussion and Commission Findings

    After careful review, the Commission finds that the proposed rule 
change, as modified by Amendment Nos. 1, 2, and 3, is consistent with 
the requirements of the Act and the rules and regulations thereunder 
applicable to a national securities exchange.\49\ In particular, the 
Commission finds that the proposed rule change is consistent with 
Section 6(b)(5) of the Act,\50\ which requires, among other things, 
that the rules of a national securities exchange be designed to prevent 
fraudulent and manipulative acts and practices, to promote just and 
equitable principles of trade, to foster cooperation and coordination 
with persons engaged in facilitating transactions in securities, to 
remove impediments to and perfect the mechanism of a free and open 
market and a national market system and, in general, to protect 
investors and the public interest, and that the rules are not designed 
to permit unfair discrimination between customers, issuers, brokers, or 
dealers; and Section 6(b)(8) of the Act,\51\ which requires that the 
rules of a national securities exchange not impose any burden on 
competition that is not necessary or appropriate in furtherance of the 
purposes of the Act.
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    \49\ In approving this proposed rule change, the Commission has 
considered the proposed rule's impact on efficiency, competition, 
and capital formation. See 15 U.S.C. 78c(f).
    \50\ 15 U.S.C. 78f(b)(5).
    \51\ 15 U.S.C. 78f(b)(8).
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    The Commission has carefully considered the MELO order type and 
finds that it is consistent with the Act. The Commission believes that 
the MELO order type could create

[[Page 10939]]

additional and more efficient trading opportunities on the Exchange for 
investors with longer investment time horizons, including institutional 
investors, and provide these investors with an ability to limit the 
information leakage and the market impact that could result from their 
orders.
    As noted above, the Commission received four comment letters on the 
proposed rule change.\52\ One commenter supported the proposed rule 
change, stating that MELOs could provide a valuable tool for investors 
(particularly institutional investors) seeking to execute in large size 
to effectively implement their investment strategies on an exchange and 
could attract longer-term market participants to Nasdaq.\53\ This 
commenter also stated the benefits to investors of trading MELOs on an 
exchange as compared to off-exchange trading venues.\54\ In particular, 
the commenter noted that trading on an exchange is open to all 
participants, and is a far fairer, more transparent way for markets to 
operate in contrast to off-exchange trading venues.\55\
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    \52\ See supra notes 7 and 11.
    \53\ See Clearpool Letter at 1-3.
    \54\ See id. at 2.
    \55\ See id.
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    Two commenters expressed the concern that MELOs would create a 
separate order book within the Nasdaq matching system where only MELOs 
could interact with each other.\56\ One of these commenters stated that 
the proposal represents an unprecedented level of exchange-based order 
flow segmentation.\57\ This commenter acknowledged the existence of 
limited exchange-based mechanisms that have the effect of restricting 
some order flow interaction, but contended that the proposal goes 
significantly beyond any such existing restrictions.\58\ The other 
commenter also asserted that artificially introducing latency 
negatively impacts the price discovery and formation functions of the 
Exchange.\59\
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    \56\ See Citadel Letter at 1-3; FIA PTG Letter at 2.
    \57\ See Citadel Letter at 1. This commenter noted that the 
proposal would result in two orders on the Exchange failing to 
interact when one order is a MELO and the other order is not. See 
id. at 3.
    \58\ See id.
    \59\ See FIA PTG Letter at 2.
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    In addition, one commenter remarked that market participants with 
marketable held orders or resting orders seeking to execute against 
marketable held order flow would be unlikely to utilize MELOs because 
marketable held orders are typically required to be executed fully and 
promptly.\60\ According to the commenter, as use of the MELO order book 
increases, liquidity in the non-MELO order book could be negatively 
impacted to the detriment of retail investors.\61\ In addition, the 
commenter stated that investors submitting resting MELOs would not be 
able to interact with marketable held order flow.\62\ The commenter 
suggested that the Exchange could partially mitigate the negative 
impacts of MELO order segmentation by revising its proposal to allow 
any order to immediately interact with a resting MELO as long as it is 
priced beyond the midpoint.\63\
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    \60\ See Citadel Letter at 1-2.
    \61\ See id. at 2.
    \62\ See id.
    \63\ See id.
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    In contrast, one commenter stated that allowing MELOs to interact 
with non-MELOs would defeat the purpose of the MELO order type.\64\ 
This commenter also stated that it does not believe that the proposal 
would negatively impact liquidity or price discovery on the Nasdaq 
market because the MELO order type should have little to no detrimental 
effect on participants using other order types.\65\ According to this 
commenter, to the extent that the MELO order type would provide 
incentives for order flow to be directed to a fair access exchange and 
away from private market centers, price discovery for the broader 
markets might improve.\66\
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    \64\ See Clearpool Letter at 3.
    \65\ See id.
    \66\ See id.
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    The Exchange responded to these comments in Amendment No. 2, and 
stated that although MELOs may forgo the opportunity to interact with 
other liquidity on the Exchange, MELO users will have accepted this 
possibility in return for the ability to interact with other market 
participants with the same time horizon.\67\ The Exchange also compared 
MELOs to the minimum quantity order attribute, as well as the retail 
price improving orders available on Nasdaq BX, Inc.\68\ The Exchange 
stated that both of these types of orders provide the opportunity to 
interact with orders meeting certain characteristics, and consequently 
may miss the opportunity to receive an execution if the contra-side 
order does not meet the specified characteristics.\69\ The Exchange 
also stated that it is not unfair or discriminatory that non-displayed 
orders resting on Nasdaq that are priced more aggressively than the 
NBBO midpoint would not participate in MELO executions.\70\ According 
to the Exchange, the use of resting non-displayed orders and MELOs 
would be available to all Exchange participants, who need to evaluate 
which order type best serves their investment needs.\71\ The Exchange 
also noted that it conducted a pro forma study of the effect of 
applying MELOs to the current market by reviewing all executions 
occurring on Nasdaq in August 2017, and found that only 0.37% of 
resting non-displayed orders traded at a price better than the 
prevailing midpoint at the time of execution.\72\ According to the 
Exchange, consequently, the number of situations in which a participant 
would have to consider the trade-offs between posting a non-displayed 
buy (sell) order at a higher (lower) price as compared to submitting a 
MELO is minimal.\73\ In addition, the Exchange reiterated that all 
members may use MELOs and thus have access to MELO liquidity.\74\ 
Finally, the Exchange amended the proposal to provide that MELOs would 
not execute if there is a resting non-displayed order priced more 
aggressively than the NBBO midpoint; rather, MELOs would be held until 
the resting non-displayed order is no longer on the Nasdaq book or the 
NBBO midpoint matches the price of the resting non-displayed order.\75\
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    \67\ See Amendment No. 2 at 19.
    \68\ See id.
    \69\ See id.
    \70\ See id. at 20.
    \71\ See id.
    \72\ See id. at 21.
    \73\ See id.
    \74\ See id.
    \75\ See id. at 9; proposed Nasdaq Rule 4702(b)(14)(A).
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    The Commission believes that the proposed MELO order type is 
reasonably designed to enhance midpoint execution quality on the 
Exchange. The Commission notes that the concept of exchange order types 
or attributes that permit market participants to elect not to execute 
against certain contra-side interest is not novel. Existing order 
functionalities, such as the minimum quantity and post-only conditions, 
enable market participants to direct their orders to execute only if 
certain conditions are met by contra-side order flow. The Commission 
also notes that the Holding Period introduced by the Exchange's 
proposal is specific to MELOs and thus does not introduce latency with 
respect to any other type of trading interest on the Exchange. 
Moreover, as noted above, the MELO order type (including its Holding 
Period) could create additional and more efficient trading 
opportunities on the Exchange for investors with longer investment time 
horizons. In addition, the Commission notes that, unlike a scenario in 
which orders are directed among multiple separate trading venues where 
price priority might not be available among the orders,

[[Page 10940]]

the Exchange's proposal would ensure that a MELO does not execute at a 
price that is inferior to the price of a resting non-displayed order 
(i.e., a resting order priced more aggressively than the NBBO 
midpoint). Finally, the Commission notes that all Nasdaq members may 
utilize MELOs if they so choose. Accordingly, the Commission believes 
that the Exchange's proposal represents a reasonable effort to enhance 
the ability of longer-term trading interest to participate effectively 
on an exchange, without discriminating unfairly against other market 
participants or inappropriately or unnecessarily burdening competition.
    One commenter raised the concern that, under the proposal, MELO 
executions would be reported to the Securities Information Processors 
and provided on Nasdaq's proprietary data feed in the same manner as 
all other transactions on Nasdaq.\76\ This commenter stated that this 
approach likely would raise concerns about market fairness and 
introduce significant complexity for investors, broker-dealers, and 
regulators when attempting to analyze market activity and assess 
execution quality.\77\ This commenter noted, by way of example, that 
investors may see their orders executed on Nasdaq at worse prices than 
other contemporaneous executions on Nasdaq and that, without Nasdaq 
labeling MELO executions as such, investors may not know why this has 
occurred.\78\ This commenter also asserted that, without labeling MELO 
executions differently than other executions on Nasdaq, broker-dealer 
routing logic may be influenced by liquidity that is not actually 
accessible, and regulators may experience difficulties in accurately 
filtering market data when evaluating compliance with regulatory 
requirements such as best execution.\79\ This commenter urged the 
Commission to require that executions resulting from MELOs be marked as 
such on the tape.\80\
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    \76\ See Citadel Letter at 3.
    \77\ See id.
    \78\ See id.
    \79\ See id.
    \80\ See id. Alternatively, the commenter suggested that Nasdaq 
offer the MELO order type on a separate exchange. See id.
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    By contrast, one commenter stated that it does not believe that the 
lack of specific identification of MELOs in trade reports would result 
in any difficulties for the markets, or complexity for investors or 
other market participants when assessing execution quality.\81\ 
According to this commenter, MELO users would be provided with 
anonymity and confidentiality, which the commenter asserted are 
critical tools in preventing potentially predatory counterparties from 
determining intention and using that information to generate short-term 
profits at the expense of longer-term investors.\82\ In addition, this 
commenter stated that exchanges currently offer many order types that 
when executed do not indicate exactly which order types were used.\83\
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    \81\ See Clearpool Letter at 2.
    \82\ See id.
    \83\ See id.
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    The Exchange responded to these comments in Amendment No. 2, and 
noted that transactions in MELOs would be reported to the Securities 
Information Processors and provided in Nasdaq's proprietary data feed 
in the same manner as all other transactions occurring on Nasdaq are 
done currently (i.e., without any new or special indication that a 
transaction is a MELO execution).\84\ According to the Exchange, not 
identifying MELO executions in real-time is important to ensuring that 
investors are protected from market participants that would otherwise 
take advantage of the knowledge of MELO executions and undermine the 
usefulness of the order type.\85\ In particular, according to the 
Exchange, MELO is designed to increase access to, and participation on, 
Nasdaq for investors that are less concerned with the time to 
execution, but rather are looking to source liquidity, often in greater 
size, at the NBBO midpoint against a counterparty order that has the 
same objectives.\86\ The Exchange noted that the proposal is designed 
to help ensure that members with MELOs are not disadvantaged by other 
order types entered by participants that have the benefit of knowing, 
and reacting to, rapid changes in the market.\87\ Moreover, in 
Amendment No. 3, the Exchange proposed to publish delayed execution 
volume statistics for MELOs. As discussed above, the Exchange proposed 
to publish weekly aggregated volume statistics regarding the number of 
shares and transactions of MELOs executed on the Exchange by security, 
as well as monthly aggregated block-sized trading statistics of total 
shares and total transactions of MELOs executed on the Exchange.\88\ 
The weekly aggregated information would be published on 
Nasdaqtrader.com with a two-week delay for NMS stocks in Tier 1 of the 
LULD Plan and a four-week delay for all other NMS stocks.\89\ The 
monthly aggregated information would be published on Nasdaqtrader.com 
no earlier than one month following the end of the month for which 
trading was aggregated.\90\
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    \84\ See Amendment No. 2 at 25.
    \85\ See id.
    \86\ See id. at 17.
    \87\ See id. at 9.
    \88\ See proposed Nasdaq Rule 4702(b)(14)(A).
    \89\ See id.
    \90\ See id.
---------------------------------------------------------------------------

    The Commission notes that the proposed MELO order type is intended 
to provide additional execution opportunities on the Exchange for 
market participants that may not be as sensitive to very short-term 
changes in the NBBO and are willing to wait a prescribed period of time 
following their order submission to receive a potential execution 
against other market participants that have similarly elected to forgo 
an immediate execution. In particular, the proposed MELO order type is 
intended to mitigate the risk that an opportunistic low-latency trader 
will be able to execute against a member's order at a time that is 
disadvantageous to the member, such as just prior to a change in the 
NBBO. The Commission also believes that the proposal to publish delayed 
aggregated statistics for MELO executions is reasonably designed to 
provide transparency regarding MELO executions on the Exchange without 
undermining the usefulness of the order type by limiting the potential 
information leakage and the resulting market impact that could be 
associated with non-delayed identification of individual MELO 
executions.
    One commenter asserted that allowing MELOs to be cancelled at any 
time during the Holding Period does not appear to be consistent with 
the intended use of the order type.\91\ Instead, according to this 
commenter, a MELO should only be permitted to be cancelled after the 
Holding Period has expired and the order has been placed in the order 
book.\92\ Another commenter expressed concern that high-frequency 
traders and algorithms could take advantage of MELOs.\93\ By contrast, 
one commenter did not have an issue with providing market participants 
the ability to cancel MELOs during the Holding Period.\94\ This 
commenter stated that it believes this would be an important feature of 
the MELO order type because many firms use algorithms to source 
liquidity simultaneously from multiple venues.\95\ According to the 
commenter, to the extent that liquidity is found elsewhere than Nasdaq 
within the

[[Page 10941]]

Holding Period, it would be critically important that the firm be able 
to cancel its orders from Nasdaq and re-allocate those shares to other 
venues.\96\ This commenter stated that it does not believe any market 
participants would be harmed in such a circumstance.\97\
---------------------------------------------------------------------------

    \91\ See Citadel Letter at 4.
    \92\ See id.
    \93\ See Shin Letter.
    \94\ See Clearpool Letter at 3.
    \95\ See id.
    \96\ See id.
    \97\ See id.
---------------------------------------------------------------------------

    In Amendment No. 2, the Exchange responded that MELOs may be 
cancelled at any time, including during the Holding Period, to allow 
members to effectively manage risk.\98\ The Exchange also acknowledged 
that the potential exists for some participants to use MELOs in a way 
that conflicts with the stated intention of the order type to allow 
longer term investors the opportunity to safely find like-minded 
counterparties at the midpoint on Nasdaq.\99\ For this reason, the 
Exchange represented that MELOs would be subject to real-time 
surveillance to determine if the order type is being abused by market 
participants.\100\ The Exchange also stated that it plans to implement 
a process, at the same time as the implementation of MELOs, to monitor 
the use of MELOs, with the intent to apply additional measures, as 
necessary, to ensure that their usage is appropriately tied to the 
intent of the order type.\101\ According to the Exchange, this process 
may include metrics tied to participant behavior, such as the 
percentage of MELOs cancelled prior to completion of the Holding 
Period, the average duration of MELOs, and the percentage of MELOs 
where the NBBO midpoint is within the limit price when received.\102\ 
The Exchange stated that manipulative abuse is subject to potential 
disciplinary action under the Exchange's rules, and other behavior that 
frustrates the purposes of the MELO order type may be subject to 
penalties or other requirements to discourage such behavior, should it 
occur.\103\
---------------------------------------------------------------------------

    \98\ See Amendment No. 2 at 8.
    \99\ See id. at 22.
    \100\ See id.
    \101\ See id.
    \102\ See id.
    \103\ See id. at 23.
---------------------------------------------------------------------------

    The Commission believes that the Exchange's proposed measures are 
reasonably designed to deter potential improper use of the proposed 
MELO order type. In particular, the Commission notes that the Exchange 
has represented that it will conduct real-time surveillance to monitor 
the use of MELOs and ensure that such usage is appropriately tied to 
the intent of the order type.\104\ Moreover, importantly, the Exchange 
will measure the metrics noted above that reflect participant behavior 
with respect to MELOs, such as the percentage of a participant's MELOs 
that are cancelled prior to the completion of the Holding Period.\105\ 
As the Exchange represented in its filing, the Commission expects the 
Exchange to continue to evaluate whether additional measures may be 
necessary to ensure that MELOs are used in a manner consistent with the 
intended purpose of the order type.\106\
---------------------------------------------------------------------------

    \104\ See id. at 22-23.
    \105\ See id. at 22.
    \106\ See id.
---------------------------------------------------------------------------

IV. Solicitation of Comments on Amendment No. 3 to the Proposed Rule 
Change

    Interested persons are invited to submit written data, views, and 
arguments concerning whether Amendment No. 3 is consistent with the 
Act. Comments may be submitted by any of the following methods:

Electronic Comments

     Use the Commission's internet comment form (http://www.sec.gov/rules/sro.shtml); or
     Send an email to [email protected]. Please include 
File Number SR-NASDAQ-2017-074 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-NASDAQ-2017-074. 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-NASDAQ-2017-074, and should be submitted 
on or before April 3, 2018.

V. Accelerated Approval of Proposed Rule Change, as Modified by 
Amendment Nos. 1, 2, and 3

    The Commission finds good cause to approve the proposed rule 
change, as modified by Amendment Nos. 1, 2, and 3, prior to the 
thirtieth day after the date of publication of notice of the filing of 
Amendment No. 3 in the Federal Register. As discussed above, in 
Amendment No. 3, the Exchange proposed to provide on Nasdaqtrader.com 
certain delayed aggregated volume statistics for MELOs executed on the 
Exchange. The Commission notes that Amendment No. 3 is designed to 
provide transparency regarding MELO executions on the Exchange. 
Accordingly, the Commission finds good cause, pursuant to Section 
19(b)(2) of the Act,\107\ to approve the proposed rule change, as 
modified by Amendment Nos. 1, 2, and 3, on an accelerated basis.
---------------------------------------------------------------------------

    \107\ 15 U.S.C. 78s(b)(2).
---------------------------------------------------------------------------

VI. Conclusion

    It is therefore ordered, pursuant to Section 19(b)(2) of the 
Act,\108\ that the proposed rule change (SR-NASDAQ-2017-074), as 
modified by Amendment Nos. 1, 2, and 3 be, and hereby is, approved on 
an accelerated basis.
---------------------------------------------------------------------------

    \108\ Id.

    For the Commission, by the Division of Trading and Markets, 
pursuant to delegated authority.\109\
---------------------------------------------------------------------------

    \109\ 17 CFR 200.30-3(a)(12).
---------------------------------------------------------------------------

Brent J. Fields,
Secretary.
[FR Doc. 2018-04979 Filed 3-12-18; 8:45 am]
 BILLING CODE 8011-01-P



                                                                             Federal Register / Vol. 83, No. 49 / Tuesday, March 13, 2018 / Notices                                                      10937

                                             SECURITIES AND EXCHANGE                                   November 3, 2017, the Commission                        Period’’) has passed after acceptance of
                                             COMMISSION                                                published notice of Amendment No. 2                     the order by the system.15 Once eligible
                                                                                                       and instituted proceedings under                        to trade, MELOs would be ranked in
                                             [Release No. 34–82825; File No. SR–
                                             NASDAQ–2017–074]
                                                                                                       Section 19(b)(2)(B) of the Act 9 to                     time priority at the NBBO midpoint
                                                                                                       determine whether to approve or                         among other MELOs.16 If a limit price is
                                             Self-Regulatory Organizations; The                        disapprove the proposed rule change, as                 assigned to a MELO, the order would be:
                                             Nasdaq Stock Market LLC; Notice of                        modified by Amendment Nos. 1 and 2.10                   (1) Eligible for execution in time priority
                                             Filing of Amendment No. 3 and Order                       The Commission received one                             after satisfying the Holding Period if
                                             Granting Accelerated Approval of a                        additional comment letter on the                        upon acceptance of the order by the
                                             Proposed Rule Change, as Modified by                      proposed rule change in response to the                 system, the midpoint price is within the
                                             Amendment Nos. 1, 2, and 3, To Adopt                      Order Instituting Proceedings.11 On                     limit set by the participant; or (2) held
                                             the Midpoint Extended Life Order                          February 5, 2018, pursuant to Section                   until the midpoint falls within the limit
                                                                                                       19(b)(2) of the Act,12 the Commission                   set by the participant, at which time the
                                             March 7, 2018.                                            designated a longer period within which                 Holding Period would commence and
                                             I. Introduction                                           to issue an order approving or                          thereafter the system would make the
                                                                                                       disapproving the proposed rule                          order eligible for execution in time
                                                On July 21, 2017, The Nasdaq Stock                     change.13 On February 22, 2018, the                     priority.17
                                             Market LLC (‘‘Exchange’’ or ‘‘Nasdaq’’)                   Exchange filed Amendment No. 3 to the                      If a MELO is modified by a member
                                             filed with the Securities and Exchange                    proposed rule change.14 The                             (other than to decrease the size of the
                                             Commission (‘‘Commission’’), pursuant                     Commission is publishing this notice to                 order or to modify the marking of a sell
                                             to Section 19(b)(1) of the Securities                     solicit comments on Amendment No. 3                     order as long, short, or short exempt)
                                             Exchange Act of 1934 (‘‘Act’’) 1 and Rule                 from interested persons, and is                         during the Holding Period, the system
                                             19b–4 thereunder,2 a proposed rule                        approving the proposed rule change, as                  would restart the Holding Period.18
                                             change to adopt the Midpoint Extended                     modified by Amendment Nos. 1, 2, and                    Similarly, if a MELO is modified by a
                                             Life Order (‘‘MELO’’). The proposed                       3, on an accelerated basis.                             member (other than to decrease the size
                                             rule change was published for comment
                                                                                                       II. Description of the Proposal                         of the order or to modify the marking of
                                             in the Federal Register on August 9,
                                             2017.3 On August 9, 2017, the Exchange                                                                            a sell order as long, short, or short
                                                                                                          The Exchange proposed to offer the                   exempt) after it has become eligible to
                                             filed Amendment No. 1 to the proposed                     MELO order type. A MELO would be a
                                             rule change.4 On September 21, 2017,                                                                              execute, the order would have to satisfy
                                                                                                       non-displayed order priced at the                       a new Holding Period.19
                                             pursuant to Section 19(b)(2) of the Act,5                 midpoint between the National Best Bid
                                             the Commission designated a longer                                                                                   Movements in the NBBO while a
                                                                                                       and Offer (‘‘NBBO’’) and would not be                   MELO is in the Holding Period would
                                             period within which to approve the                        eligible to execute until a minimum
                                             proposed rule change, disapprove the                                                                              not reset the Holding Period, even if, as
                                                                                                       period of one half of a second (‘‘Holding               a result of the NBBO move, the MELO’s
                                             proposed rule change, or institute
                                             proceedings to determine whether to                                                                               limit price is less aggressive than the
                                                                                                       executing when there is a non-displayed order           NBBO midpoint.20 Also, if a MELO has
                                             approve or disapprove the proposed                        priced more aggressively than the NBBO midpoint
                                             rule change.6 The Commission initially                    resting on the Nasdaq book; (2) provided additional     met the Holding Period, but the NBBO
                                             received three comment letters on the                     description, clarification, and rationale for certain   midpoint is no longer within its limit,
                                             proposed rule change.7 On October 30,
                                                                                                       aspects of the proposal; and (3) responded to           it would nonetheless be ranked in time
                                                                                                       several concerns raised by commenters on the            priority among other MELOs if the
                                             2017, the Exchange filed Amendment                        proposal. Amendment No. 2 is available at https://
                                             No. 2 to the proposed rule change.8 On                    www.sec.gov/comments/sr-nasdaq-2017-074/                NBBO later moves such that the
                                                                                                       nasdaq2017074.htm.                                      midpoint is within the order’s limit
                                               1 15  U.S.C. 78s(b)(1).
                                                                                                          9 15 U.S.C. 78s(b)(2)(B).                            price (i.e., no new Holding Period).21
                                               2 17  CFR 240.19b–4.
                                                                                                          10 See Securities Exchange Act Release No. 82013,
                                                                                                                                                                  MELOs may be entered via any of the
                                                3 See Securities Exchange Act Release No. 81311        82 FR 52075 (November 9, 2017) (‘‘Order Instituting     Exchange’s communications protocols
                                             (August 3, 2017), 82 FR 37248 (‘‘Notice’’).               Proceedings’’).
                                                                                                          11 See Letter to Brent J. Fields, Secretary,         and the type of communications
                                                4 In Amendment No. 1, the Exchange updated the
                                                                                                       Commission, from Edward K. Shin, dated December         protocol used would not affect how the
                                             proposal to reflect the approval of the proposal by
                                             the Exchange’s Board of Directors on July 21, 2017.       8, 2017 (‘‘Shin Letter’’).                              system handles MELOs.22 If there is no
                                             Amendment No. 1 is available at https://
                                                                                                          12 15 U.S.C. 78s(b)(2).
                                                                                                                                                               NBB or NBO, the Exchange would
                                                                                                          13 See Securities Exchange Act Release No. 82629,
                                             www.sec.gov/comments/sr-nasdaq-2017-074/                                                                          accept MELOs but would not allow
                                             nasdaq2017074.htm. Because Amendment No. 1 is             83 FR 5822 (February 9, 2018). The Commission
                                             a technical amendment that does not alter the             designated March 7, 2018 as the date by which the
                                                                                                                                                               MELO executions until there is an
                                             substance of the proposed rule change, it is not          Commission shall either approve or disapprove the       NBBO.23 MELOs would be eligible to
                                             subject to notice and comment.                            proposed rule change.
                                                5 15 U.S.C. 78s(b)(2).                                    14 In Amendment No. 3, the Exchange proposed           15 See  proposed Nasdaq Rule 4702(b)(14)(A).
                                                6 See Securities Exchange Act Release No. 81668,       to publish weekly aggregated statistics showing the       16 See  id.
                                             82 FR 45095 (September 27, 2017). The                     number of shares and transactions of MELOs                 17 See id.
                                             Commission designated November 7, 2017 as the             executed on the Exchange by security. This                 18 See id. The Exchange noted that any change to
                                             date by which the Commission shall approve or             information would be published on                       a MELO that would result in a change in the order’s
                                             disapprove, or institute proceedings to determine         Nasdaqtrader.com with a two-week delay for MELO         timestamp would result in the MELO being
                                             whether to approve or disapprove, the proposed            executions in NMS stocks in Tier 1 of the NMS Plan      considered altered, and thus the order would be
                                             rule change.                                              to Address Extraordinary Market Volatility (‘‘LULD
                                                7 See Letters to Brent J. Fields, Secretary,
                                                                                                                                                               subject to a new Holding Period before being
                                                                                                       Plan’’) and a four-week delay for MELO executions       eligible to trade and its priority would be based on
                                             Commission, from Stephen John Berger, Managing            in all other NMS stocks. The Exchange also              the new timestamp. See Amendment No. 2 at n.16.
                                             Director, Government & Regulatory Policy, Citadel         proposed to publish monthly aggregated block-sized
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                                                                                                                                                                  19 See proposed Nasdaq Rule 4702(b)(14)(A).
                                             Securities, dated August 30, 2017 (‘‘Citadel Letter’’);   trading statistics of total shares and total               20 See Amendment No. 2 at n.11.
                                             Ray Ross, Chief Technology Officer, The Clearpool         transactions of MELOs executed on the Exchange.
                                                                                                                                                                  21 See proposed Nasdaq Rule 4702(b)(14)(A);
                                             Group, dated September 12, 2017 (‘‘Clearpool              This information would be published on
                                             Letter’’); and Joanna Mallers, Secretary, FIA             Nasdaqtrader.com no earlier than one month              Amendment No. 2 at n.15.
                                             Principal Traders Group, dated September 19, 2017                                                                    22 See Amendment No. 2 at n.10.
                                                                                                       following the end of the month for which trading
                                             (‘‘FIA PTG Letter’’).                                     was aggregated. Amendment No. 3 is available at            23 See id. at 12. If there is no NBB or NBO upon
                                                8 In Amendment No. 2, the Exchange: (1)                https://www.sec.gov/comments/sr-nasdaq-2017-            entry of a MELO, the system would hold the order
                                             Modified the proposal to prevent MELOs from               074/nasdaq2017074.htm.                                                                             Continued




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                                             10938                         Federal Register / Vol. 83, No. 49 / Tuesday, March 13, 2018 / Notices

                                             trade if the NBBO is locked.24 If the                   MELOs would not execute if there is a                 percentage of MELOs that are cancelled
                                             NBBO is crossed, MELOs would be held                    resting non-displayed order priced more               prior to the completion of the Holding
                                             by the system until such time that the                  aggressively than the NBBO midpoint,                  Period, the average duration of MELOs,
                                             NBBO is no longer crossed, at which                     and they instead would be held until                  and the percentage of MELOs where the
                                             time they would be eligible to trade.25                 the resting non-displayed order is no                 NBBO midpoint is within the limit price
                                             MELOs may be cancelled at any time,                     longer on the Nasdaq book or the NBBO                 when received.46 The Exchange stated
                                             including during the Holding Period.26                  midpoint matches the price of the                     that it is committed to determining
                                                MELOs would be active only during                    resting non-displayed order.36 MELO                   whether there is opportunity or
                                             Market Hours.27 MELOs entered during                    executions would be reported to                       prevalence of behavior that is
                                             Pre-Market Hours would be held by the                   Securities Information Processors and                 inconsistent with normal risk
                                             system in time priority until Market                    provided in Nasdaq’s proprietary data                 management behavior.47 According to
                                             Hours.28 MELOs entered during Post-                     feed without any new or special                       the Exchange, manipulative abuse is
                                             Market Hours would not be accepted by                   indication.37 The Exchange would,                     subject to potential disciplinary action
                                             the system, and MELOs remaining                         however, publish delayed weekly                       under the Exchange’s rules, and other
                                             unexecuted after 4:00 p.m. ET would be                  aggregated statistics, as well as delayed             behavior that is not necessarily
                                             cancelled by the system.29 MELOs                        monthly aggregated block-sized trading                manipulative but nonetheless frustrates
                                             would not be eligible for the Nasdaq                    statistics, for MELO executions.38                    the purposes of the MELO order type
                                             opening, halt, and closing crosses.30                   Specifically, the Exchange would                      may be subject to penalties or other
                                                MELOs must be entered with a size of                 publish on Nasdaqtrader.com weekly                    participant requirements to discourage
                                             at least one round lot, and any shares of               aggregated statistics showing the                     such behavior, should it occur.48
                                             a MELO remaining after an execution                     number of shares and transactions of
                                             that are less than one round lot would                                                                        III. Discussion and Commission
                                                                                                     MELOs executed on Nasdaq by
                                             be cancelled.31 MELOs may have a                                                                              Findings
                                                                                                     security.39 This information would be
                                             minimum quantity order attribute.32                     published with a two-week delay for                      After careful review, the Commission
                                             MELOs may not be designated with a                      NMS stocks in Tier 1 of the LULD Plan,                finds that the proposed rule change, as
                                             time-in-force of immediate or cancel                    and a four-week delay for all other NMS               modified by Amendment Nos. 1, 2, and
                                             (‘‘IOC’’) and are ineligible for routing.33             stocks.40 The Exchange also would                     3, is consistent with the requirements of
                                             They also may not have the discretion,                  publish on Nasdaqtrader.com monthly                   the Act and the rules and regulations
                                             reserve size, attribution, intermarket                  aggregated block-sized trading statistics             thereunder applicable to a national
                                             sweep order, display, or trade now order                of total shares and total transactions of             securities exchange.49 In particular, the
                                             attributes.34                                           MELOs executed on Nasdaq.41 This                      Commission finds that the proposed
                                                Once a MELO becomes eligible to                      information would be published no                     rule change is consistent with Section
                                             execute by existing unchanged for the                   earlier than one month following the                  6(b)(5) of the Act,50 which requires,
                                             Holding Period, the MELO may only                       end of the month for which trading was                among other things, that the rules of a
                                             execute against other eligible MELOs.35                 aggregated.42 Under the proposal, a                   national securities exchange be
                                                                                                     transaction would be considered ‘‘block-              designed to prevent fraudulent and
                                             in time priority, together with any other MELOs         sized’’ if it meets any of the following              manipulative acts and practices, to
                                             received while there is no NBB or NBO. See id.                                                                promote just and equitable principles of
                                             Once there is an NBBO, the Holding Period would         criteria: (1) 10,000 or more shares; (2)
                                             begin for the held MELOs based on time priority.        $200,000 or more in value; (3) 10,000 or              trade, to foster cooperation and
                                             See id.                                                 more shares and $200,000 or more in                   coordination with persons engaged in
                                                24 See id. at 12–13.
                                                                                                     value; (4) 2,000 to 9,999 shares; (5)                 facilitating transactions in securities, to
                                                25 See id. at 13.
                                                                                                     $100,000 to $199,999 in value; or (6)                 remove impediments to and perfect the
                                                26 See proposed Nasdaq Rule 4702(b)(14)(A).
                                                27 See proposed Nasdaq Rule 4702(b)(14)(B).
                                                                                                     2,000 to 9,999 shares and $100,000 to                 mechanism of a free and open market
                                             Market Hours begin after the completion of the          $199,999 in value.43                                  and a national market system and, in
                                             Nasdaq Opening Cross (or at 9:30 a.m. ET in the            As proposed, MELOs would be                        general, to protect investors and the
                                             case of a security for which no Nasdaq Opening          subject to real-time surveillance to                  public interest, and that the rules are
                                             Cross occurs). See Nasdaq Rule 4703(a).                 determine if the order type is being                  not designed to permit unfair
                                                28 See proposed Nasdaq Rule 4702(b)(14)(B).

                                             ‘‘Pre-Market Hours’’ means the period of time           abused by market participants.44 In                   discrimination between customers,
                                             beginning at 4:00 a.m. ET and ending immediately        addition, the Exchange intends to                     issuers, brokers, or dealers; and Section
                                             prior to the commencement of Market Hours. See          implement a process, at the same time                 6(b)(8) of the Act,51 which requires that
                                             Nasdaq Rule 4701(g). A MELO entered during Pre-         as the implementation of MELOs, to                    the rules of a national securities
                                             Market Hours would be held by the system until the
                                             completion of the Opening Cross (or 9:30 a.m. ET        monitor the use of MELOs with the                     exchange not impose any burden on
                                             if no Opening Cross occurs), ranked in the time that    intent to apply additional measures, as               competition that is not necessary or
                                             it was received by the Nasdaq book upon                 necessary, to ensure their usage is                   appropriate in furtherance of the
                                             satisfaction of the Holding Period. See Amendment       appropriately tied to the intent of the
                                             No. 2 at 11–12.
                                                                                                                                                           purposes of the Act.
                                                29 See proposed Nasdaq Rule 4702(b)(14)(B).          order type.45 The Exchange stated that                   The Commission has carefully
                                             ‘‘Post-Market Hours’’ means the period of time          this process may include metrics tied to              considered the MELO order type and
                                             beginning immediately after the end of Market           participant behavior, such as the                     finds that it is consistent with the Act.
                                             Hours and ending at 8:00 p.m. ET. See Nasdaq Rule                                                             The Commission believes that the
                                             4701(g).
                                                30 See proposed Nasdaq Rule 4703(l);
                                                                                                       36 Seeid.; Amendment No. 2 at 9.                    MELO order type could create
                                                                                                       37 SeeAmendment No. 2 at 15.
                                             Amendment No. 2 at 12. MELOs in existence at the         38 See proposed Nasdaq Rule 4702(b)(14)(A);            46 See id.
                                             time a halt is initiated would be ineligible to
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                                             execute and held by the system until trading has        Amendment No. 3 at 3–6.                                 47 See id. at 22–23.
                                                                                                      39 See proposed Nasdaq Rule 4702(b)(14)(A).
                                             resumed and the NBBO has been received by                                                                       48 See id. at 23.
                                                                                                      40 See id.
                                             Nasdaq. See proposed Nasdaq Rule 4702(b)(14)(A).                                                                49 In approving this proposed rule change, the
                                                31 See proposed Nasdaq Rule 4702(b)(14)(B).           41 See id.
                                                                                                                                                           Commission has considered the proposed rule’s
                                                32 See id.                                            42 See id.
                                                                                                                                                           impact on efficiency, competition, and capital
                                                33 See id.; Amendment No. 2 at 11 and 13.             43 See id.                                           formation. See 15 U.S.C. 78c(f).
                                                34 See Amendment No. 2 at 13–14.                      44 See Amendment No. 2 at 22.                          50 15 U.S.C. 78f(b)(5).
                                                35 See proposed Nasdaq Rule 4702(b)(14)(A).           45 See id.                                             51 15 U.S.C. 78f(b)(8).




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                                                                            Federal Register / Vol. 83, No. 49 / Tuesday, March 13, 2018 / Notices                                                   10939

                                             additional and more efficient trading                   liquidity in the non-MELO order book                  available to all Exchange participants,
                                             opportunities on the Exchange for                       could be negatively impacted to the                   who need to evaluate which order type
                                             investors with longer investment time                   detriment of retail investors.61 In                   best serves their investment needs.71
                                             horizons, including institutional                       addition, the commenter stated that                   The Exchange also noted that it
                                             investors, and provide these investors                  investors submitting resting MELOs                    conducted a pro forma study of the
                                             with an ability to limit the information                would not be able to interact with                    effect of applying MELOs to the current
                                             leakage and the market impact that                      marketable held order flow.62 The                     market by reviewing all executions
                                             could result from their orders.                         commenter suggested that the Exchange                 occurring on Nasdaq in August 2017,
                                                As noted above, the Commission                       could partially mitigate the negative                 and found that only 0.37% of resting
                                             received four comment letters on the                    impacts of MELO order segmentation by                 non-displayed orders traded at a price
                                             proposed rule change.52 One commenter                   revising its proposal to allow any order              better than the prevailing midpoint at
                                             supported the proposed rule change,                     to immediately interact with a resting                the time of execution.72 According to
                                             stating that MELOs could provide a                      MELO as long as it is priced beyond the               the Exchange, consequently, the number
                                             valuable tool for investors (particularly               midpoint.63                                           of situations in which a participant
                                             institutional investors) seeking to                        In contrast, one commenter stated that             would have to consider the trade-offs
                                             execute in large size to effectively                    allowing MELOs to interact with non-                  between posting a non-displayed buy
                                             implement their investment strategies                   MELOs would defeat the purpose of the                 (sell) order at a higher (lower) price as
                                             on an exchange and could attract longer-                MELO order type.64 This commenter                     compared to submitting a MELO is
                                             term market participants to Nasdaq.53                   also stated that it does not believe that             minimal.73 In addition, the Exchange
                                             This commenter also stated the benefits                 the proposal would negatively impact                  reiterated that all members may use
                                             to investors of trading MELOs on an                     liquidity or price discovery on the                   MELOs and thus have access to MELO
                                             exchange as compared to off-exchange                    Nasdaq market because the MELO order                  liquidity.74 Finally, the Exchange
                                             trading venues.54 In particular, the                    type should have little to no detrimental             amended the proposal to provide that
                                             commenter noted that trading on an                      effect on participants using other order              MELOs would not execute if there is a
                                             exchange is open to all participants, and               types.65 According to this commenter,                 resting non-displayed order priced more
                                             is a far fairer, more transparent way for               to the extent that the MELO order type                aggressively than the NBBO midpoint;
                                             markets to operate in contrast to off-                  would provide incentives for order flow               rather, MELOs would be held until the
                                             exchange trading venues.55                              to be directed to a fair access exchange              resting non-displayed order is no longer
                                                Two commenters expressed the                         and away from private market centers,                 on the Nasdaq book or the NBBO
                                             concern that MELOs would create a                       price discovery for the broader markets               midpoint matches the price of the
                                             separate order book within the Nasdaq                   might improve.66                                      resting non-displayed order.75
                                             matching system where only MELOs                           The Exchange responded to these                       The Commission believes that the
                                             could interact with each other.56 One of                comments in Amendment No. 2, and                      proposed MELO order type is
                                             these commenters stated that the                        stated that although MELOs may forgo                  reasonably designed to enhance
                                             proposal represents an unprecedented                    the opportunity to interact with other                midpoint execution quality on the
                                             level of exchange-based order flow                      liquidity on the Exchange, MELO users                 Exchange. The Commission notes that
                                             segmentation.57 This commenter                          will have accepted this possibility in                the concept of exchange order types or
                                             acknowledged the existence of limited                   return for the ability to interact with               attributes that permit market
                                             exchange-based mechanisms that have                     other market participants with the same               participants to elect not to execute
                                             the effect of restricting some order flow               time horizon.67 The Exchange also                     against certain contra-side interest is not
                                             interaction, but contended that the                     compared MELOs to the minimum                         novel. Existing order functionalities,
                                             proposal goes significantly beyond any                  quantity order attribute, as well as the              such as the minimum quantity and post-
                                             such existing restrictions.58 The other                 retail price improving orders available               only conditions, enable market
                                             commenter also asserted that artificially               on Nasdaq BX, Inc.68 The Exchange                     participants to direct their orders to
                                             introducing latency negatively impacts                  stated that both of these types of orders             execute only if certain conditions are
                                             the price discovery and formation                       provide the opportunity to interact with              met by contra-side order flow. The
                                             functions of the Exchange.59                            orders meeting certain characteristics,               Commission also notes that the Holding
                                                In addition, one commenter remarked                  and consequently may miss the
                                                                                                                                                           Period introduced by the Exchange’s
                                             that market participants with                           opportunity to receive an execution if
                                                                                                                                                           proposal is specific to MELOs and thus
                                             marketable held orders or resting orders                the contra-side order does not meet the
                                                                                                                                                           does not introduce latency with respect
                                             seeking to execute against marketable                   specified characteristics.69 The
                                                                                                                                                           to any other type of trading interest on
                                             held order flow would be unlikely to                    Exchange also stated that it is not unfair
                                                                                                                                                           the Exchange. Moreover, as noted above,
                                             utilize MELOs because marketable held                   or discriminatory that non-displayed
                                                                                                                                                           the MELO order type (including its
                                             orders are typically required to be                     orders resting on Nasdaq that are priced
                                                                                                                                                           Holding Period) could create additional
                                             executed fully and promptly.60                          more aggressively than the NBBO
                                                                                                                                                           and more efficient trading opportunities
                                             According to the commenter, as use of                   midpoint would not participate in
                                                                                                                                                           on the Exchange for investors with
                                             the MELO order book increases,                          MELO executions.70 According to the
                                                                                                     Exchange, the use of resting non-                     longer investment time horizons. In
                                                                                                     displayed orders and MELOs would be                   addition, the Commission notes that,
                                               52 See supra notes 7 and 11.                                                                                unlike a scenario in which orders are
                                               53 See Clearpool Letter at 1–3.
                                               54 See id. at 2.                                        61 See id. at 2.
                                                                                                                                                           directed among multiple separate
                                               55 See id.                                              62 See id.                                          trading venues where price priority
                                                                                                                                                           might not be available among the orders,
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                                               56 See Citadel Letter at 1–3; FIA PTG Letter at 2.      63 See id.
                                                                                                       64 See Clearpool Letter at 3.
                                               57 See Citadel Letter at 1. This commenter noted
                                                                                                       65 See id.                                            71 See
                                             that the proposal would result in two orders on the                                                                    id.
                                                                                                       66 See id.
                                             Exchange failing to interact when one order is a                                                                72 See id. at 21.
                                             MELO and the other order is not. See id. at 3.            67 See Amendment No. 2 at 19.                         73 See id.
                                               58 See id.                                              68 See id.                                            74 See id.
                                               59 See FIA PTG Letter at 2.                             69 See id.                                            75 See id. at 9; proposed Nasdaq Rule
                                               60 See Citadel Letter at 1–2.                           70 See id. at 20.                                   4702(b)(14)(A).



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                                             10940                         Federal Register / Vol. 83, No. 49 / Tuesday, March 13, 2018 / Notices

                                             the Exchange’s proposal would ensure                    anonymity and confidentiality, which                  delay for all other NMS stocks.89 The
                                             that a MELO does not execute at a price                 the commenter asserted are critical tools             monthly aggregated information would
                                             that is inferior to the price of a resting              in preventing potentially predatory                   be published on Nasdaqtrader.com no
                                             non-displayed order (i.e., a resting order              counterparties from determining                       earlier than one month following the
                                             priced more aggressively than the NBBO                  intention and using that information to               end of the month for which trading was
                                             midpoint). Finally, the Commission                      generate short-term profits at the                    aggregated.90
                                             notes that all Nasdaq members may                       expense of longer-term investors.82 In                   The Commission notes that the
                                             utilize MELOs if they so choose.                        addition, this commenter stated that                  proposed MELO order type is intended
                                             Accordingly, the Commission believes                    exchanges currently offer many order                  to provide additional execution
                                             that the Exchange’s proposal represents                 types that when executed do not                       opportunities on the Exchange for
                                             a reasonable effort to enhance the ability              indicate exactly which order types were               market participants that may not be as
                                             of longer-term trading interest to                      used.83                                               sensitive to very short-term changes in
                                             participate effectively on an exchange,                    The Exchange responded to these                    the NBBO and are willing to wait a
                                             without discriminating unfairly against                 comments in Amendment No. 2, and                      prescribed period of time following
                                             other market participants or                            noted that transactions in MELOs would                their order submission to receive a
                                             inappropriately or unnecessarily                        be reported to the Securities Information             potential execution against other market
                                             burdening competition.                                  Processors and provided in Nasdaq’s                   participants that have similarly elected
                                                One commenter raised the concern                     proprietary data feed in the same                     to forgo an immediate execution. In
                                             that, under the proposal, MELO                          manner as all other transactions                      particular, the proposed MELO order
                                             executions would be reported to the                     occurring on Nasdaq are done currently                type is intended to mitigate the risk that
                                             Securities Information Processors and                   (i.e., without any new or special                     an opportunistic low-latency trader will
                                             provided on Nasdaq’s proprietary data                   indication that a transaction is a MELO               be able to execute against a member’s
                                             feed in the same manner as all other                    execution).84 According to the                        order at a time that is disadvantageous
                                             transactions on Nasdaq.76 This                          Exchange, not identifying MELO                        to the member, such as just prior to a
                                             commenter stated that this approach                     executions in real-time is important to               change in the NBBO. The Commission
                                             likely would raise concerns about                       ensuring that investors are protected                 also believes that the proposal to
                                             market fairness and introduce                           from market participants that would                   publish delayed aggregated statistics for
                                             significant complexity for investors,                   otherwise take advantage of the                       MELO executions is reasonably
                                             broker-dealers, and regulators when                     knowledge of MELO executions and                      designed to provide transparency
                                             attempting to analyze market activity                   undermine the usefulness of the order                 regarding MELO executions on the
                                             and assess execution quality.77 This                    type.85 In particular, according to the               Exchange without undermining the
                                             commenter noted, by way of example,                     Exchange, MELO is designed to increase                usefulness of the order type by limiting
                                             that investors may see their orders                     access to, and participation on, Nasdaq               the potential information leakage and
                                             executed on Nasdaq at worse prices                      for investors that are less concerned                 the resulting market impact that could
                                             than other contemporaneous executions                   with the time to execution, but rather                be associated with non-delayed
                                             on Nasdaq and that, without Nasdaq                      are looking to source liquidity, often in             identification of individual MELO
                                             labeling MELO executions as such,                       greater size, at the NBBO midpoint                    executions.
                                             investors may not know why this has                     against a counterparty order that has the                One commenter asserted that allowing
                                             occurred.78 This commenter also                         same objectives.86 The Exchange noted                 MELOs to be cancelled at any time
                                             asserted that, without labeling MELO                    that the proposal is designed to help                 during the Holding Period does not
                                             executions differently than other                       ensure that members with MELOs are                    appear to be consistent with the
                                             executions on Nasdaq, broker-dealer                     not disadvantaged by other order types                intended use of the order type.91
                                             routing logic may be influenced by                      entered by participants that have the                 Instead, according to this commenter, a
                                             liquidity that is not actually accessible,              benefit of knowing, and reacting to,                  MELO should only be permitted to be
                                             and regulators may experience                           rapid changes in the market.87                        cancelled after the Holding Period has
                                             difficulties in accurately filtering market             Moreover, in Amendment No. 3, the                     expired and the order has been placed
                                             data when evaluating compliance with                    Exchange proposed to publish delayed                  in the order book.92 Another commenter
                                             regulatory requirements such as best                    execution volume statistics for MELOs.                expressed concern that high-frequency
                                             execution.79 This commenter urged the                   As discussed above, the Exchange                      traders and algorithms could take
                                             Commission to require that executions                   proposed to publish weekly aggregated                 advantage of MELOs.93 By contrast, one
                                             resulting from MELOs be marked as                       volume statistics regarding the number                commenter did not have an issue with
                                             such on the tape.80                                     of shares and transactions of MELOs                   providing market participants the ability
                                                By contrast, one commenter stated
                                                                                                     executed on the Exchange by security,                 to cancel MELOs during the Holding
                                             that it does not believe that the lack of
                                                                                                     as well as monthly aggregated block-                  Period.94 This commenter stated that it
                                             specific identification of MELOs in
                                                                                                     sized trading statistics of total shares              believes this would be an important
                                             trade reports would result in any
                                                                                                     and total transactions of MELOs                       feature of the MELO order type because
                                             difficulties for the markets, or
                                             complexity for investors or other market                executed on the Exchange.88 The                       many firms use algorithms to source
                                             participants when assessing execution                   weekly aggregated information would be                liquidity simultaneously from multiple
                                             quality.81 According to this commenter,                 published on Nasdaqtrader.com with a                  venues.95 According to the commenter,
                                             MELO users would be provided with                       two-week delay for NMS stocks in Tier                 to the extent that liquidity is found
                                                                                                     1 of the LULD Plan and a four-week                    elsewhere than Nasdaq within the
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                                               76 See Citadel Letter at 3.
                                                                                                       82 See id.                                            89 See id.
                                               77 See id.
                                                                                                       83 See id.                                            90 See id.
                                               78 See id.
                                                                                                       84 See Amendment No. 2 at 25.                         91 See Citadel Letter at 4.
                                               79 See id.
                                                                                                       85 See id.                                            92 See id.
                                               80 See id. Alternatively, the commenter suggested
                                                                                                       86 See id. at 17.                                     93 See Shin Letter.
                                             that Nasdaq offer the MELO order type on a
                                             separate exchange. See id.                                87 See id. at 9.                                      94 See Clearpool Letter at 3.
                                               81 See Clearpool Letter at 2.                           88 See proposed Nasdaq Rule 4702(b)(14)(A).           95 See id.




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                                                                           Federal Register / Vol. 83, No. 49 / Tuesday, March 13, 2018 / Notices                                                  10941

                                             Holding Period, it would be critically                  noted above that reflect participant                  received will be posted without change.
                                             important that the firm be able to cancel               behavior with respect to MELOs, such                  Persons submitting comments are
                                             its orders from Nasdaq and re-allocate                  as the percentage of a participant’s                  cautioned that we do not redact or edit
                                             those shares to other venues.96 This                    MELOs that are cancelled prior to the                 personal identifying information from
                                             commenter stated that it does not                       completion of the Holding Period.105 As               comment submissions. You should
                                             believe any market participants would                   the Exchange represented in its filing,               submit only information that you wish
                                             be harmed in such a circumstance.97                     the Commission expects the Exchange                   to make available publicly. All
                                                In Amendment No. 2, the Exchange                     to continue to evaluate whether                       submissions should refer to File
                                             responded that MELOs may be                             additional measures may be necessary                  Number SR–NASDAQ–2017–074, and
                                             cancelled at any time, including during                 to ensure that MELOs are used in a                    should be submitted on or before April
                                             the Holding Period, to allow members to                 manner consistent with the intended                   3, 2018.
                                             effectively manage risk.98 The Exchange                 purpose of the order type.106
                                             also acknowledged that the potential                                                                          V. Accelerated Approval of Proposed
                                             exists for some participants to use                     IV. Solicitation of Comments on                       Rule Change, as Modified by
                                             MELOs in a way that conflicts with the                  Amendment No. 3 to the Proposed Rule                  Amendment Nos. 1, 2, and 3
                                             stated intention of the order type to                   Change                                                   The Commission finds good cause to
                                             allow longer term investors the                           Interested persons are invited to                   approve the proposed rule change, as
                                             opportunity to safely find like-minded                  submit written data, views, and                       modified by Amendment Nos. 1, 2, and
                                             counterparties at the midpoint on                       arguments concerning whether                          3, prior to the thirtieth day after the date
                                             Nasdaq.99 For this reason, the Exchange                 Amendment No. 3 is consistent with the                of publication of notice of the filing of
                                             represented that MELOs would be                         Act. Comments may be submitted by                     Amendment No. 3 in the Federal
                                             subject to real-time surveillance to                    any of the following methods:                         Register. As discussed above, in
                                             determine if the order type is being                                                                          Amendment No. 3, the Exchange
                                                                                                     Electronic Comments
                                             abused by market participants.100 The                                                                         proposed to provide on
                                             Exchange also stated that it plans to                     • Use the Commission’s internet                     Nasdaqtrader.com certain delayed
                                             implement a process, at the same time                   comment form (http://www.sec.gov/                     aggregated volume statistics for MELOs
                                             as the implementation of MELOs, to                      rules/sro.shtml); or                                  executed on the Exchange. The
                                             monitor the use of MELOs, with the                        • Send an email to rule-comments@                   Commission notes that Amendment No.
                                             intent to apply additional measures, as                 sec.gov. Please include File Number SR–               3 is designed to provide transparency
                                             necessary, to ensure that their usage is                NASDAQ–2017–074 on the subject line.                  regarding MELO executions on the
                                             appropriately tied to the intent of the                 Paper Comments                                        Exchange. Accordingly, the Commission
                                             order type.101 According to the                                                                               finds good cause, pursuant to Section
                                             Exchange, this process may include                         • Send paper comments in triplicate
                                                                                                     to Secretary, Securities and Exchange                 19(b)(2) of the Act,107 to approve the
                                             metrics tied to participant behavior,                                                                         proposed rule change, as modified by
                                             such as the percentage of MELOs                         Commission, 100 F Street NE,
                                                                                                     Washington, DC 20549–1090.                            Amendment Nos. 1, 2, and 3, on an
                                             cancelled prior to completion of the                                                                          accelerated basis.
                                             Holding Period, the average duration of                 All submissions should refer to File
                                             MELOs, and the percentage of MELOs                      Number SR–NASDAQ–2017–074. This                       VI. Conclusion
                                             where the NBBO midpoint is within the                   file number should be included on the                   It is therefore ordered, pursuant to
                                             limit price when received.102 The                       subject line if email is used. To help the            Section 19(b)(2) of the Act,108 that the
                                             Exchange stated that manipulative                       Commission process and review your                    proposed rule change (SR–NASDAQ–
                                             abuse is subject to potential disciplinary              comments more efficiently, please use                 2017–074), as modified by Amendment
                                             action under the Exchange’s rules, and                  only one method. The Commission will                  Nos. 1, 2, and 3 be, and hereby is,
                                             other behavior that frustrates the                      post all comments on the Commission’s                 approved on an accelerated basis.
                                             purposes of the MELO order type may                     internet website (http://www.sec.gov/
                                                                                                     rules/sro.shtml). Copies of the                         For the Commission, by the Division of
                                             be subject to penalties or other                                                                              Trading and Markets, pursuant to delegated
                                             requirements to discourage such                         submission, all subsequent                            authority.109
                                             behavior, should it occur.103                           amendments, all written statements
                                                                                                                                                           Brent J. Fields,
                                                The Commission believes that the                     with respect to the proposed rule
                                             Exchange’s proposed measures are                        change that are filed with the                        Secretary.
                                             reasonably designed to deter potential                  Commission, and all written                           [FR Doc. 2018–04979 Filed 3–12–18; 8:45 am]
                                             improper use of the proposed MELO                       communications relating to the                        BILLING CODE 8011–01–P
                                             order type. In particular, the                          proposed rule change between the
                                             Commission notes that the Exchange                      Commission and any person, other than
                                             has represented that it will conduct real-              those that may be withheld from the                   SECURITIES AND EXCHANGE
                                             time surveillance to monitor the use of                 public in accordance with the                         COMMISSION
                                             MELOs and ensure that such usage is                     provisions of 5 U.S.C. 552, will be                   [Investment Company Act Release No.
                                             appropriately tied to the intent of the                 available for website viewing and                     33043; 812–14882]
                                             order type.104 Moreover, importantly,                   printing in the Commission’s Public
                                             the Exchange will measure the metrics                   Reference Room, 100 F Street NE,                      Corporate Capital Trust, Inc., et al.
                                                                                                     Washington, DC 20549, on official                     March 8, 2018.
                                               96 See id.                                            business days between the hours of                    AGENCY: Securities and Exchange
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                                               97 See id.
                                               98 See Amendment No. 2 at 8.
                                                                                                     10:00 a.m. and 3:00 p.m. Copies of the                Commission (‘‘Commission’’).
                                                                                                     filing also will be available for
                                               99 See id. at 22.
                                                                                                                                                           ACTION: Notice.
                                               100 See id.                                           inspection and copying at the principal
                                               101 See id.                                           office of the Exchange. All comments
                                               102 See id.                                                                                                   107 15    U.S.C. 78s(b)(2).
                                               103 See id. at 23.                                      105 See id. at 22.                                    108 Id.
                                               104 See id. at 22–23.                                   106 See id.                                           109 17    CFR 200.30–3(a)(12).



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Document Created: 2018-03-13 01:57:06
Document Modified: 2018-03-13 01:57:06
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 Citation83 FR 10937 

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