83_FR_34332 83 FR 34193 - Self-Regulatory Organizations; Fixed Income Clearing Corporation; Notice of Filing of Amendment No. 1 to a Proposed Rule Change To Amend the Loss Allocation Rules and Make Other Changes

83 FR 34193 - Self-Regulatory Organizations; Fixed Income Clearing Corporation; Notice of Filing of Amendment No. 1 to a Proposed Rule Change To Amend the Loss Allocation Rules and Make Other Changes

SECURITIES AND EXCHANGE COMMISSION

Federal Register Volume 83, Issue 139 (July 19, 2018)

Page Range34193-34213
FR Document2018-15366

Federal Register, Volume 83 Issue 139 (Thursday, July 19, 2018)
[Federal Register Volume 83, Number 139 (Thursday, July 19, 2018)]
[Notices]
[Pages 34193-34213]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2018-15366]



[[Page 34193]]

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SECURITIES AND EXCHANGE COMMISSION

[Release No. 34-83631; File No. SR-FICC-2017-022]


Self-Regulatory Organizations; Fixed Income Clearing Corporation; 
Notice of Filing of Amendment No. 1 to a Proposed Rule Change To Amend 
the Loss Allocation Rules and Make Other Changes

July 13, 2018.
    On December 18, 2017, Fixed Income Clearing Corporation (``FICC'') 
filed with the Securities and Exchange Commission (``Commission''), 
pursuant to Section 19(b)(1) of the Securities Exchange Act of 1934 
(``Act'') and Rule 19b-4 thereunder, proposed rule change SR-FICC-2017-
022 (``Proposed Rule Change'') to amend the loss allocation rules and 
make other changes; the Proposed Rule Change was published for comment 
in the Federal Register on January 8, 2018.\1\ On February 8, 2018, the 
Commission designated a longer period within which to approve, 
disapprove, or institute proceedings to determine whether to approve or 
disapprove the Proposed Rule Change.\2\ On March 20, 2018, the 
Commission instituted proceedings to determine whether to approve or 
disapprove the Proposed Rule Change; on June 25, 2018, the Commission 
designated a longer period for Commission action on the proceedings to 
determine whether to approve or disapprove the Proposed Rule Change.\3\ 
On June 28, 2018, FICC filed Amendment No. 1 to the Proposed Rule 
Change to amend and replace in its entirety the Proposed Rule Change as 
originally submitted on December 18, 2017.\4\ As of the date of this 
release, the Commission has not received any comments on the Proposed 
Rule Change.
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    \1\ 15 U.S.C. 78s(b)(1) and 17 CFR 240.19b-4, respectively. 
Securities Exchange Act Release No. 82427 (January 2, 2018), 83 FR 
854 (January 8, 2018) (SR-FICC-2017-022). On December 18, 2017, FICC 
filed the Proposed Rule Change as advance notice SR-FICC-2017-806 
(``Advance Notice'') with the Commission pursuant to Section 
806(e)(1) of Title VIII of the Dodd-Frank Wall Street Reform and 
Consumer Protection Act entitled the Payment, Clearing, and 
Settlement Supervision Act of 2010 (``Clearing Supervision Act'') 
and Rule 19b-4(n)(1)(i) of the Act. (12 U.S.C. 5465(e)(1) and 17 CFR 
240.19b-4(n)(1)(i), respectively.) On January 30, 2018, the 
Commission published in the Federal Register notice of filing of the 
Advance Notice. The notice also extended the review period for the 
Advance Notice pursuant to Section 806(e)(1)(H) of the Clearing 
Supervision Act. (12 U.S.C. 5465(e)(1)(H).) See Securities Exchange 
Act Release No. 82583 (January 24, 2018), 83 FR 4358 (January 30, 
2018) (SR-FICC-2017-806). On April 10, 2018, the Commission required 
additional information for consideration of the Advance Notice, 
pursuant to Section 806(e)(1)(D) of the Clearing Supervision Act, 
which provided the Commission with an additional 60-days in the 
review period beginning on the date that the information requested 
is received by the Commission. (12 U.S.C. 5465(e)(1)(D).) See 
Memorandum from the Office of Clearance and Settlement Supervision, 
Division of Trading and Markets, titled ``Commission's Request for 
Additional Information,'' available at http://www.sec.gov/rules/sro/ficc-an.shtml. On June 28, 2018, FICC filed Amendment No. 1 to the 
Advance Notice. To promote the public availability and transparency 
of its post-notice amendment, FICC submitted a copy of Amendment No. 
1 through the Commission's electronic public comment letter 
mechanism. Accordingly, Amendment No. 1 to the Advance Notice has 
been posted on the Commission's website at https://www.sec.gov/rules/sro/ficc-an.htm and thus been publicly available since June 
29, 2018. On July 6, 2018, the Commission received the information 
requested, which added an additional 60-days to the review period 
pursuant to Sections 806(e)(1)(E) and (G) of the Clearing 
Supervision Act. (12 U.S.C. 5465(e)(1)(E) and (G).) See Memorandum 
from the Office of Clearance and Settlement Supervision, Division of 
Trading and Markets, titled ``Response to the Commission's Request 
for Additional Information,'' available at http://www.sec.gov/rules/sro/ficc-an.shtml. The proposal, as set forth in both the Advance 
Notice and the Proposed Rule Change, shall not take effect until all 
required regulatory actions are completed.
    \2\ Securities Exchange Act Release No. 82670 (February 8, 
2018), 83 FR 6626 (February 14, 2018) (SR-DTC-2017-022; SR-FICC-
2017-022; SR-NSCC-2017-018).
    \3\ Securities Exchange Act Release No. 82909 (March 20, 2018), 
83 FR 12990 (March 26, 2018) (SR-FICC-2017-022); Securities Exchange 
Act Release No. 83510 (June 25, 2018), 83 FR 30791 (June 29, 2018) 
(SR-DTC-2017-022; SR-FICC-2017-022; SR-NSCC-2017-018).
    \4\ To promote the public availability and transparency of its 
post-notice amendment, FICC submitted a copy of Amendment No. 1 
through the Commission's electronic public comment letter mechanism. 
Accordingly, Amendment No. 1 to the Proposed Rule Change has been 
posted on the Commission's website at https://www.sec.gov/rules/sro/ficc.htm and thus been publicly available since June 29, 2018.
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    The Proposed Rule Change, as amended by Amendment No. 1, is 
described in Items I and II below, which Items have been prepared by 
FICC. The Commission is publishing this notice to solicit comments on 
the Proposed Rule Change, as amended by Amendment No. 1, from 
interested persons.

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

    The proposed rule change consists of modifications to FICC's 
Government Securities Division (``GSD'') Rulebook (``GSD Rules'') and 
Mortgage-Backed Securities Division (``MBSD'' and, together with GSD, 
the ``Divisions'' and, each, a ``Division'') Clearing Rules (``MBSD 
Rules,'' and collectively with the GSD Rules, the ``Rules'') in order 
to amend provisions in the Rules regarding loss allocation as well as 
make other changes, as described in greater detail below.\5\
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    \5\ Capitalized terms not defined herein are defined in the GSD 
Rules, available at http://www.dtcc.com/~/media/Files/Downloads/
legal/rules/ficc_gov_rules.pdf, and the MBSD Rules, available at 
www.dtcc.com/~/media/Files/Downloads/legal/rules/
ficc_mbsd_rules.pdf.
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II. Clearing Agency's Statement of the Purpose of, and Statutory Basis 
for, the Proposed Rule Change

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

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

1. Purpose
Description of Amendment No. 1
    This filing constitutes Amendment No. 1 (``Amendment'') to rule 
filing SR-FICC-2017-022 (``Rule Filing'') previously filed by FICC on 
December 18, 2017.\6\ This Amendment amends and replaces the Rule 
Filing in its entirety. FICC submits this Amendment in order to further 
clarify the operation of the proposed rule changes on loss allocation 
by providing additional information and examples. In particular, this 
Amendment would:
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    \6\ See Securities Exchange Act Release No. 82427 (January 2, 
2018), 83 FR 854 (January 8, 2018) (SR-FICC-2017-022).
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    (i) Clarify which Tier One Netting Members and Tier One Members 
would be subject to loss allocation with respect to Defaulting Member 
Events (as defined below and in the proposed rule change) and Declared 
Non-Default Loss Events (as defined below and in the proposed rule 
change) occurring during an Event Period (as defined below and in the 
proposed rule change). Specifically, pursuant to the Amendment, 
proposed Section 7 of GSD Rule 4 and MBSD Rule 4 would provide that 
each Tier One Netting Member or Tier One Member, as applicable, that is 
a Tier One Netting Member or Tier One Member on the first day of an 
Event Period would be obligated to pay its pro rata share of losses and 
liabilities arising out of or relating to each Defaulting Member Event 
(other than a Defaulting Member Event with respect to which it is the 
Defaulting Member (as defined below and in the proposed rule change)) 
and each Declared Non-Default Loss Event occurring during the Event 
Period. Proposed Section 7 of GSD Rule 4 and MBSD Rule 4 would also 
make it clear

[[Page 34194]]

that any Tier One Netting Member or Tier One Member, as applicable, for 
which FICC ceases to act on a non-Business Day, triggering an Event 
Period that commences on the next Business Day, would be deemed to be a 
Tier One Netting Member or Tier One Member, as applicable, on the first 
day of that Event Period.
    (ii) Clarify the obligations and Loss Allocation Cap (as defined 
below and in the proposed rule change) of a Tier One Netting Member or 
a Tier One Member, as applicable, that withdraws from membership in 
respect of a loss allocation round. Specifically, pursuant to the 
Amendment, proposed Section 7b of GSD Rule 4 and MBSD Rule 4 would 
provide that the Tier One Netting Member or Tier One Member, as 
applicable, would nevertheless remain obligated for its pro rata share 
of losses and liabilities with respect to any Event Period for which it 
is otherwise obligated under GSD Rule 4 or MBSD Rule 4, as applicable; 
however, its aggregate obligation would be limited to the amount of its 
Loss Allocation Cap as fixed in the round for which it withdrew.
    (iii) Clarify that a member would be obligated to FICC for all 
losses and liabilities incurred by FICC arising out of or relating to 
any Defaulting Member Event with respect to the member. Specifically, 
pursuant to the Amendment, proposed Section 7 of GSD Rule 4 and MBSD 
Rule 4 would provide that each member would be obligated to FICC for 
the entire amount of any loss or liability incurred by FICC arising out 
of or relating to any Defaulting Member Event with respect to such 
member.
    (iv) Clarify that, although a Defaulting Member would not be 
allocated a ratable share of losses and liabilities arising out of or 
relating to its own Defaulting Member Event, it would remain obligated 
to FICC for all such losses and liabilities. Specifically, pursuant to 
the Amendment, proposed Section 7 of GSD Rule 4 and MBSD Rule 4 would 
provide that no loss allocation under GSD Rule 4 or MBSD Rule 4, as 
applicable, would constitute a waiver of any claim FICC may have 
against a GSD Member or MBSD Member, as applicable, for any loss or 
liability to which the GSD Member or MBSD Member is subject under the 
GSD Rules or MBSD Rules, as applicable, including, without limitation, 
any loss or liability to which it may be subject under GSD Rule 4 or 
MBSD Rule 4, as applicable.
    In addition, pursuant to the Amendment, FICC is making other 
clarifying and technical changes to the proposed rule change, as 
proposed herein.
Nature of the Proposed Change
    The primary purpose of this proposed rule change is to amend GSD's 
and MBSD's loss allocation rules in order to enhance the resiliency of 
the Divisions' loss allocation processes so that each Division can take 
timely action to address multiple loss events that occur in succession 
during a short period of time (defined and explained in detail below). 
In connection therewith, the proposed rule change would (i) align the 
loss allocation rules of the three clearing agencies of The Depository 
Trust & Clearing Corporation (``DTCC''), namely The Depository Trust 
Company (``DTC''), National Securities Clearing Corporation (``NSCC''), 
and FICC (collectively, the ``DTCC Clearing Agencies''), so as to 
provide consistent treatment, to the extent practicable and 
appropriate, especially for firms that are participants of two or more 
DTCC Clearing Agencies, (ii) increase transparency and accessibility of 
the loss allocation rules by enhancing their readability and clarity, 
(iii) amend language regarding FICC's use of MBSD Clearing Fund, and 
(iv) make conforming and technical changes.
(i) Background
    Central counterparties (``CCPs'') play a key role in financial 
markets by mitigating counterparty credit risk on transactions between 
market participants. CCPs achieve this by providing guaranties to 
participants and, as a consequence, are typically exposed to credit 
risks that could lead to default losses. In addition, in performing its 
critical functions, a CCP could be exposed to non-default losses that 
are otherwise incident to the CCP's clearance and settlement business.
    A CCP's rulebook should provide a complete description of how 
losses would be allocated to participants if the size of the losses 
exceeded the CCP's pre-funded resources. Doing so provides for an 
orderly allocation of losses, and potentially allows the CCP to 
continue providing critical services to the market and thereby results 
in significant financial stability benefits. In addition, a clear 
description of the loss allocation process offers transparency and 
accessibility to the CCP's participants.
Current FICC Loss Allocation Process
    As CCPs, FICC's Divisions' loss allocation processes are key 
components of their respective risk management processes. Risk 
management is the foundation of FICC's ability to guarantee settlement 
in each Division, as well as the means by which FICC protects itself 
and its members from the risks inherent in the clearance and settlement 
process. FICC's risk management processes must account for the fact 
that, in certain extreme circumstances, the collateral and other 
financial resources that secure FICC's risk exposures may not be 
sufficient to fully cover losses resulting from the liquidation of the 
portfolio of a member for whom a Division has ceased to act.\7\
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    \7\ GSD is permitted to cease to act for (i) a GSD Member 
pursuant to GSD Rule 21 (Restrictions on Access to Services) and GSD 
Rule 22 (Insolvency of a Member), (ii) a Sponsoring Member pursuant 
to Section 14 and Section 16 of GSD Rule 3A (Sponsoring Members and 
Sponsored Members), and (iii) a Sponsored Member pursuant to Section 
13 and Section 15 of GSD Rule 3A (Sponsoring Members and Sponsored 
Members). MBSD is permitted to cease to act for an MBSD Member 
pursuant to MBSD Rule 14 (Restrictions on Access to Services) and 
MBSD Rule 16 (Insolvency of a Member). GSD Rule 22A (Procedures for 
When the Corporation Ceases to Act) and MBSD Rule 17 (Procedures for 
When the Corporation Ceases to Act) set out the types of actions 
FICC may take when it ceases to act for a member. Supra note 5.
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    The GSD Rules and the MBSD Rules each currently provide for a loss 
allocation process through which both FICC (by applying up to 25% of 
its retained earnings in accordance with Section 7(b) of GSD Rule 4 and 
Section 7(c) of MBSD Rule 4) and its members would share in the 
allocation of a loss resulting from the default of a member for whom a 
Division has ceased to act pursuant to the Rules. The GSD Rules and the 
MBSD Rules also recognize that FICC may incur losses outside the 
context of a defaulting member that are otherwise incident to each 
Division's clearance and settlement business.
    The current GSD and MBSD loss allocation rules provide that, in the 
event the Division ceases to act for a member, the amounts on deposit 
to the Clearing Fund from the defaulting member, along with any other 
resources of, or attributable to, the defaulting member that FICC may 
access under the GSD Rules or the MBSD Rules (e.g., payments from 
Cross-Guaranty Agreements), are the first source of funds the Division 
would use to cover any losses that may result from the closeout of the 
defaulting member's guaranteed positions. If these amounts are not 
sufficient to cover all losses incurred, then each Division will apply 
the following available resources, in the following loss allocation 
waterfall order:
    First, as provided in the current Section 7(b) of GSD Rule 4 and 
Section 7(c) of MBSD Rule 4, FICC's corporate contribution of up to 25 
percent of FICC's retained earnings existing at the time of the failure 
of a defaulting member to fulfill its obligations to FICC,

[[Page 34195]]

or such greater amount as the Board of Directors may determine; and
    Second, if a loss still remains, use of the Clearing Fund of the 
Division and assessing the Division's Members in the manner provided in 
GSD Rule 4 and MBSD Rule 4, as the case may be. Specifically, FICC will 
divide the loss ratably between Tier One Netting Members and Tier Two 
Members with respect to GSD, or between Tier One Members and Tier Two 
Members with respect to MBSD, based on original counterparty activity 
with the defaulting member. Then the loss allocation process applicable 
to Tier One Netting Members or Tier One Members, as applicable, and 
Tier Two Members will proceed in the manner provided in GSD Rule 4 and 
MBSD Rule 4, as the case may be.
    Specifically, the applicable Division will first assess each Tier 
One Netting Member or Tier One Member, as applicable, an amount up to 
$50,000, in an equal basis per such member. If a loss remains, the 
Division will allocate the remaining loss ratably among Tier One 
Netting Members or Tier One Members, as applicable, in accordance with 
the amount of each Tier One Netting Member's or Tier One Member's, as 
applicable, respective average daily Required Fund Deposit over the 
prior twelve (12) months. If a Tier One Netting Member or Tier One 
Member, as applicable, did not maintain a Required Fund Deposit for 
twelve (12) months, its loss allocation amount will be based on its 
average daily Required Fund Deposit over the time period during which 
such member did maintain a Required Fund Deposit.
    Pursuant to current Section 7(g) of GSD Rule 4 and MBSD Rule 4, if, 
as a result of the Division's application of the Required Fund Deposit 
of a member, a member's actual Clearing Fund deposit is less than its 
Required Fund Deposit, it will be required to eliminate such deficiency 
in order to satisfy its Required Fund Deposit amount. In addition to 
losses that may result from the closeout of the defaulting member's 
guaranteed positions, Tier One Netting Members or Tier One Members, as 
applicable, can also be assessed for non-default losses incident to 
each Division's clearance and settlement business, pursuant to current 
Section 7(f) of GSD Rule 4 and MBSD Rule 4.
    The Rules of both Divisions currently provide that Tier Two Members 
are only subject to loss allocation to the extent they traded with the 
defaulting member and their trades resulted in a liquidation loss. FICC 
will assess Tier Two Members ratably based on their loss as a 
percentage of the entire remaining loss attributable to Tier Two 
Members.\8\ Tier Two Members are required to pay their loss allocation 
obligations in full and replenish their Required Fund Deposits as 
needed and as applicable. The current Rule provisions which provide for 
loss allocation of non-default losses incident to each Division's 
clearance and settlement business (i.e., Section 7(f) of GSD Rule 4 and 
MBSD Rule 4) do not apply to Tier Two Members.
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    \8\ GSD Rule 3B, Section 7 (Loss Allocation Obligations of CCIT 
Members) provides that CCIT Members will be allocated losses as Tier 
Two Members and will be responsible for the total amount of loss 
allocated to them. With respect to CCIT Members with a Joint Account 
Submitter, loss allocation will be calculated at the Joint Account 
level and then applied pro rata to each CCIT Member within the Joint 
Account based on the trade settlement allocation instructions. Supra 
note 5.
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Overview of the Proposed Rule Changes
A. Changes To Enhance Resiliency of GSD's and MBSD's Loss Allocation 
Processes
    In order to enhance the resiliency of GSD's and MBSD's loss 
allocation processes, FICC proposes to change the manner in which each 
of the aspects of the loss allocation waterfall described above would 
be employed. GSD and MBSD would retain the current core loss allocation 
process following the application of the defaulting member's resources, 
i.e., first, by applying FICC's corporate contribution, and second, by 
pro rata allocations to Tier One Netting Members or Tier One Members, 
as applicable, and Tier Two Members. However, GSD and MBSD would 
clarify or adjust certain elements and introduce certain new loss 
allocation concepts, as further discussed below. The proposal would 
also retain the types of losses that can be allocated to Tier One 
Netting Members or Tier One Members, as applicable, and Tier Two 
Members as stated above. In addition, the proposed rule change would 
address the loss allocation process as it relates to losses arising 
from or relating to multiple default or non-default events in a short 
period of time, also as described below.
    Accordingly, FICC is proposing five (5) key changes to enhance each 
Division's loss allocation process:
(1) Changing the Calculation and Application of FICC's Corporate 
Contribution
    As stated above, Section 7(b) of GSD Rule 4 and Section 7(c) of 
MBSD Rule 4 currently provide that FICC will contribute up to 25% of 
its retained earnings (or such higher amount as the Board of Directors 
shall determine) to a loss or liability that is not satisfied by the 
defaulting member's Clearing Fund deposit. Under the proposal, FICC 
would amend the calculation of its corporate contribution from a 
percentage of its retained earnings to a mandatory amount equal to 50% 
of the FICC General Business Risk Capital Requirement.\9\ FICC's 
General Business Risk Capital Requirement, as defined in FICC's 
Clearing Agency Policy on Capital Requirements,\10\ is, at a minimum, 
equal to the regulatory capital that FICC is required to maintain in 
compliance with Rule 17Ad-22(e)(15) under the Act.\11\ The proposed 
Corporate Contribution (as defined below and in the proposed rule 
change) would be held in addition to FICC's General Business Risk 
Capital Requirement.
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    \9\ FICC calculates its General Business Risk Capital 
Requirement as the amount equal to the greatest of (i) an amount 
determined based on its general business profile, (ii) an amount 
determined based on the time estimated to execute a recovery or 
orderly wind-down of FICC's critical operations, and (iii) an amount 
determined based on an analysis of FICC's estimated operating 
expenses for a six (6) month period.
    \10\ See Securities Exchange Act Release No. 81105 (July 7, 
2017), 82 FR 32399 (July 13, 2017) (SR-FICC-2017-007).
    \11\ 17 CFR 240.17Ad-22(e)(15).
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    Currently, the Rules do not require FICC to contribute its retained 
earnings to losses and liabilities other than those from member 
defaults. Under the proposal, FICC would apply its corporate 
contribution to non-default losses as well. The proposed Corporate 
Contribution would apply to losses arising from Defaulting Member 
Events and Declared Non-Default Loss Events (as such terms are defined 
below and in the proposed rule change), and would be a mandatory 
contribution by FICC prior to any allocation of the loss among the 
applicable Division's members.\12\ As proposed, if the Corporate 
Contribution is fully or partially used against a loss or liability 
relating to an Event Period by one or both Divisions, the Corporate 
Contribution would be reduced to the remaining unused amount, if any, 
during the following two hundred fifty (250) Business Days in order to 
permit FICC to replenish the Corporate Contribution.\13\ To ensure 
transparency,

[[Page 34196]]

all GSD Members and MBSD Members would receive notice of any such 
reduction to the Corporate Contribution. There would be one FICC 
Corporate Contribution, the amount of which would be available to both 
Divisions and would be applied against a loss or liability in either 
Division in the order in which such loss or liability occurs, i.e., 
FICC would not have two separate Corporate Contributions, one for each 
Division. In the event of a loss or liability relating to an Event 
Period, whether arising out of or relating to a Defaulting Member Event 
or a Declared Non-Default Loss Event, attributable to only one 
Division, the Corporate Contribution would be applied to that Division 
up to the amount then available. If a loss or liability relating to an 
Event Period, whether arising out of or relating to a Defaulting Member 
Event or a Declared Non-Default Loss Event, occurs simultaneously at 
both Divisions, the Corporate Contribution would be applied to the 
respective Divisions in the same proportion that the aggregate Average 
RFDs (as defined below and in the proposed rule change) of all members 
in that Division bear to the aggregate Average RFDs of all members in 
both Divisions.\14\
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    \12\ The proposed rule change would not require a Corporate 
Contribution with respect to the use of each Division's Clearing 
Fund as a liquidity resource; however, if FICC uses a Division's 
Clearing Fund as a liquidity resource for more than 30 calendar 
days, as set forth in proposed Section 5 of GSD Rule 4 and MBSD Rule 
4, then FICC would have to consider the amount used as a loss to the 
respective Division's Clearing Fund incurred as a result of a 
Defaulting Member Event and allocate the loss pursuant to proposed 
Section 7 of Rule 4, which would then require the application of 
FICC's Corporate Contribution.
    \13\ FICC believes that two hundred and fifth (250) Business 
Days would be a reasonable estimate of the time frame that FICC 
would require to replenish the Corporate Contribution by equity in 
accordance with FICC's Clearing Agency Policy on Capital 
Requirements, including a conservative additional period to account 
for any potential delays and/or unknown exigencies in times of 
distress.
    \14\ FICC believes that if a loss or liability relating to an 
Event Period, whether arising out of or relating to a Defaulting 
Member Event or a Declared Non-Default Loss Event, occurs 
simultaneously at both Divisions, allocating the Corporate 
Contribution ratably between the two Divisions based on the 
aggregate Average RFDs of their respective members is appropriate 
because the aggregate Average RFDs of all members in a Division 
represent the amount of risks that those members bring to FICC over 
the look-back period of seventy (70) Business Days.
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    As compared to the current approach of applying ``up to'' a 
percentage of retained earnings to defaulting member losses, the 
proposed Corporate Contribution would be a fixed percentage of FICC's 
General Business Risk Capital Requirement, which would provide greater 
transparency and accessibility to members. The proposed Corporate 
Contribution would apply not only towards losses and liabilities 
arising out of or relating to Defaulting Member Events but also those 
arising out of or relating to Declared Non-Default Loss Events, which 
is consistent with the current industry guidance that ``a CCP should 
identify the amount of its own resources to be applied towards losses 
arising from custody and investment risk, to bolster confidence that 
participants' assets are prudently safeguarded.'' \15\
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    \15\ See Resilience of central counterparties (CCPs): Further 
guidance on the PFMI, issued by the Committee on Payments and Market 
Infrastructures and the International Organization of Securities 
Commissions, at 42 (July 2017), available at www.bis.org/cpmi/publ/d163.pdf.
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    Under current Section 7(b) of GSD Rule 4 and Section 7(c) of MBSD 
Rule 4, FICC has the discretion to contribute amounts higher than the 
specified percentage of retained earnings, as determined by the Board 
of Directors, to any loss or liability incurred by FICC as result of 
the failure of a Defaulting Member to fulfill its obligations to FICC. 
This option would be retained and expanded under the proposal so that 
it would be clear that FICC can voluntarily apply amounts greater than 
the Corporate Contribution against any loss or liability (including 
non-default losses) of the Divisions, if the Board of Directors, in its 
sole discretion, believes such to be appropriate under the factual 
situation existing at the time.
    The proposed rule changes relating to the calculation and 
application of Corporate Contribution are set forth in proposed 
Sections 7 and 7a of GSD Rule 4 and Sections 7 and 7a of MBSD Rule 4, 
as further described below.
(2) Introducing an Event Period
    In order to clearly define the obligations of each Division and its 
respective Members regarding loss allocation and to balance the need to 
manage the risk of sequential loss events against members' need for 
certainty concerning their maximum loss allocation exposures, FICC is 
proposing to introduce the concept of an ``Event Period'' to the GSD 
Rules and the MBSD Rules to address the losses and liabilities that may 
arise from or relate to multiple Defaulting Member Events and/or 
Declared Non-Default Loss Events that arise in quick succession in a 
Division. Specifically, the proposal would group Defaulting Member 
Events and Declared Non-Default Loss Events occurring in a period of 
ten (10) Business Days (``Event Period'') for purposes of allocating 
losses to Members of the respective Divisions in one or more rounds (as 
described below), subject to the limitations of loss allocation set 
forth in the proposed rule change and as explained below.\16\ In the 
case of a loss or liability arising from or relating to a Defaulting 
Member Event, an Event Period would begin on the day one or both 
Divisions notify their respective members that FICC has ceased to act 
\17\ for the GSD Defaulting Member and/or the MBSD Defaulting Member 
(or the next Business Day, if such day is not a Business Day). In the 
case of a loss or liability arising from or relating to a Declared Non-
Default Loss Event, an Event Period would begin on the day that FICC 
notifies members of the respective Divisions of the Declared Non-
Default Loss Event (or the next Business Day, if such day is not a 
Business Day). If a subsequent Defaulting Member Event or Declared Non-
Default Loss Event occurs during an Event Period, any losses or 
liabilities arising out of or relating to any such subsequent event 
would be resolved as losses or liabilities that are part of the same 
Event Period, without extending the duration of such Event Period. An 
Event Period may include both Defaulting Member Events and Declared 
Non-Default Loss Events, and there would not be separate Event Periods 
for Defaulting Member Events or Declared Non-Default Loss Events 
occurring during overlapping ten (10) Business Day periods.
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    \16\ FICC believes that having a ten (10) Business Day Event 
Period would provide a reasonable period of time to encompass 
potential sequential Defaulting Member Events or Declared Non-
Default Loss Events that are likely to be closely linked to an 
initial event and/or a severe market dislocation episode, while 
still providing appropriate certainty for members concerning their 
maximum exposure to mutualized losses with respect to such events.
    \17\ Supra note 7.
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    The amount of losses that may be allocated by each Division, 
subject to the required Corporate Contribution, and to which a Loss 
Allocation Cap would apply for any member that elects to withdraw from 
membership in respect of a loss allocation round, would include any and 
all losses from any Defaulting Member Events and any Declared Non-
Default Loss Events during the Event Period, regardless of the amount 
of time, during or after the Event Period, required for such losses to 
be crystallized and allocated.\18\
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    \18\ As discussed below, each Tier One Netting Member or Tier 
One Member, as applicable, that is a Tier One Netting Member or Tier 
One Member on the first day of an Event Period would be obligated to 
pay its pro rata share of losses and liabilities arising out of or 
relating to each Defaulting Member Event (other than a Defaulting 
Member Event with respect to which it is the Defaulting Member) and 
each Declared Non-Default Loss Event occurring during the Event 
Period.
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    The proposed rule changes relating to the implementation of an 
Event Period are set forth in proposed Section 7 of GSD Rule 4 and 
Section 7 of MBSD Rule 4, as further described below.
(3) Introducing the Concept of ``Rounds'' and Loss Allocation Notice
    Pursuant to the proposed rule change, a loss allocation ``round'' 
would mean a series of loss allocations relating to an Event Period, 
the aggregate amount of which is limited by the sum of the Loss

[[Page 34197]]

Allocation Caps of affected Tier One Netting Members or Tier One 
Members, as applicable (a ``round cap''). When the aggregate amount of 
losses allocated in a round equals the round cap, any additional losses 
relating to the applicable Event Period would be allocated in one or 
more subsequent rounds, in each case subject to a round cap for that 
round. FICC may continue the loss allocation process in successive 
rounds until all losses from the Event Period are allocated among Tier 
One Netting Members or Tier One Members, as applicable, that have not 
submitted a Loss Allocation Withdrawal Notice (as defined below and in 
the proposed rule change) in accordance with proposed Section 7b of GSD 
Rule 4 or MBSD Rule 4.
    Each loss allocation would be communicated to Tier One Netting 
Members or Tier One Members, as applicable, by the issuance of a notice 
that advises the Tier One Netting Members or Tier One Members, as 
applicable, of the amount being allocated to them (``Loss Allocation 
Notice''). Each Tier One Netting Member's or Tier One Member's, as 
applicable, pro rata share of losses and liabilities to be allocated in 
any round would be equal to (i) the average of its Required Fund 
Deposit for the seventy (70) business days preceding the first day of 
the applicable Event Period or such shorter period of time that the 
member has been a member (each member's ``Average RFD''), divided by 
(ii) the sum of Average RFD amounts of all members subject to loss 
allocation in such round.
    Each Loss Allocation Notice would specify the relevant Event Period 
and the round to which it relates. The first Loss Allocation Notice in 
any first, second, or subsequent round would expressly state that such 
Loss Allocation Notice reflects the beginning of the first, second, or 
subsequent round, as the case may be, and that each Tier One Netting 
Member or Tier One Member, as applicable, in that round has five (5) 
Business Days from the issuance of such first Loss Allocation Notice 
for the round to notify FICC of its election to withdraw from 
membership with GSD or MBSD, as applicable, pursuant to proposed 
Section 7b of GSD Rule 4 or MBSD Rule 4, as applicable, and thereby 
benefit from its Loss Allocation Cap.\19\ The ``Loss Allocation Cap'' 
of a Tier One Netting Member or Tier One Member, as applicable, would 
be equal to the greater of (x) its Required Fund Deposit on the first 
day of the applicable Event Period and (y) its Average RFD.
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    \19\ Pursuant to current Section 7(g) of GSD Rule 4 and MBSD 
Rule 4, the time period for a member to give notice, pursuant to 
Section 13 of GSD Rule 3 and MBSD Rule 3, of its election to 
terminate its membership in GSD or MBSD, as applicable, in respect 
of an allocation arising from any Remaining Loss allocated by FICC 
pursuant to Section 7(d) of GSD Rule 4 or Section 7(e) of MBSD Rule 
4, as applicable, and any Other Loss, is the Close of Business on 
the Business Day on which the loss allocation payment is due to 
FICC. Current Section 13 of GSD Rule 4 and MBSD Rule 4 requires a 
10-day notice period. Supra note 5.
    FICC believes that it is appropriate to shorten such time period 
from 10 days to five (5) Business Days because FICC needs timely 
notice of which Tier One Netting Members or Tier One Members, as 
applicable, would remain in its membership for purpose of 
calculating the loss allocation for any subsequent round. FICC 
believes that five (5) Business Days would provide Tier One Netting 
Members or Tier One Members, as applicable, with sufficient time to 
decide whether to cap their loss allocation obligations by 
withdrawing from their membership in GSD or MBSD, as applicable.
---------------------------------------------------------------------------

    After a first round of loss allocations with respect to an Event 
Period, only Tier One Netting Members or Tier One Members, as 
applicable, that have not submitted a Loss Allocation Withdrawal Notice 
in accordance with proposed Section 7b of GSD Rule 4 or MBSD Rule 4, as 
applicable, would be subject to further loss allocation with respect to 
that Event Period.
    The amount of any second or subsequent round cap may differ from 
the first or preceding round cap because there may be fewer Tier One 
Netting Members or Tier One Members, as applicable, in a second or 
subsequent round if Tier One Netting Members or Tier One Members, as 
applicable, elect to withdraw from membership with GSD or MBSD, as 
applicable, as provided in proposed Section 7b of GSD Rule 4 or MBSD 
Rule 4, as applicable, following the first Loss Allocation Notice in 
any round.
    For example, for illustrative purposes only, after the required 
Corporate Contribution, if FICC has a $5 billion loss determined with 
respect to an Event Period and the sum of Loss Allocation Caps for all 
Tier One Netting Members or Tier One Members, as applicable, subject to 
the loss allocation is $4 billion, the first round would begin when 
FICC issues the first Loss Allocation Notice for that Event Period. 
FICC could issue one or more Loss Allocation Notices for the first 
round until the sum of losses allocated equals $4 billion. Once the $4 
billion is allocated, the first round would end and FICC would need a 
second round in order to allocate the remaining $1 billion of loss. 
FICC would then issue a Loss Allocation Notice for the $1 billion and 
this notice would be the first Loss Allocation Notice for the second 
round. The issuance of the Loss Allocation Notice for the $1 billion 
would begin the second round.
    The proposed rule change would link the Loss Allocation Cap to a 
round in order to provide Tier One Netting Members or Tier One Members, 
as applicable, the option to limit their loss allocation exposure at 
the beginning of each round. As proposed and as described further 
below, a Tier One Netting Member or Tier One Member, as applicable, 
could limit its loss allocation exposure to its Loss Allocation Cap by 
providing notice of its election to withdraw from membership within 
five (5) Business Days after the issuance of the first Loss Allocation 
Notice in any round.
    The proposed rule changes relating to the implementation of 
``rounds'' and Loss Allocation Notices are set forth in proposed 
Section 7 of GSD Rule 4 and Section 7 of MBSD Rule 4, as further 
described below.
(4) Implementing a Revised ``Look-Back'' Period To Calculate a Member's 
Loss Allocation Pro Rata Share and Its Loss Allocation Cap
    Currently, the GSD Rules and the MBSD Rules calculate a Tier One 
Netting Member's or a Tier One Member's pro rata share for purposes of 
loss allocation based on the member's average daily Required Fund 
Deposit over the prior twelve (12) months (or such shorter period as 
may be available in the case of a member which has not maintained a 
deposit over such time period). The Rules currently do not anticipate 
the possibility of more than one Defaulting Member Event or Declared 
Non-Default Loss Event in quick succession.
    GSD and MBSD are proposing to calculate each Tier One Netting 
Member's or Tier One Member's, as applicable, pro rata share of losses 
and liabilities to be allocated in any round (as described above and in 
the proposed rule change) to be equal to (i) the member's Average RFD 
divided by (ii) the sum of Average RFD amounts for all members that are 
subject to loss allocation in such round.
    Additionally, as described above and in the proposed rule change, 
if a Tier One Netting Member or Tier One Member, as applicable, 
withdraws from membership pursuant to proposed Section 7b of GSD Rule 4 
or MBSD Rule 4, as applicable, GSD and MBSD are proposing that the 
member's Loss Allocation Cap be equal to the greater of (i) its 
Required Fund Deposit on the first day of the applicable Event Period 
or (ii) its Average RFD.
    FICC believes that employing a revised look-back period of seventy 
(70)

[[Page 34198]]

Business Days instead of twelve (12) months to calculate a Tier One 
Netting Member's or a Tier One Member's, as applicable, loss allocation 
pro rata share and Loss Allocation Cap is appropriate, because FICC 
recognizes that the current look-back period of twelve (12) months is a 
very long period during which a member's business strategy and outlook 
could have shifted significantly, resulting in material changes to the 
size of its portfolios. A look-back period of seventy (70) Business 
Days would minimize that issue yet still would be long enough to enable 
FICC to capture a full calendar quarter of such members' activities and 
smooth out the impact from any abnormalities and/or arbitrariness that 
may have occurred.
    The proposed rule changes relating to the implementation of the 
revised look-back period are set forth in proposed Section 7 of GSD 
Rule 4 and Section 7 of MBSD Rule 4, as further described below.
(5) Capping Withdrawing Members' Loss Allocation Exposure and Related 
Changes
    Currently, pursuant to Section 7(g) of GSD Rule 4 and MBSD Rule 4, 
a member can withdraw from membership in order to avail itself of a cap 
on loss allocation if the member notifies FICC via a written notice, in 
accordance with Section 13 of GSD Rule 3 or MBSD Rule 3, as applicable, 
of its election to terminate its membership. Such notice must be 
provided by the Close of Business on the Business Day on which the loss 
allocation payment is due to FICC and, if properly provided to FICC, 
would limit the member's liability for a loss allocation to its 
Required Fund Deposit for the Business Day on which the notification of 
allocation is provided to the member.\20\ As discussed above, the 
proposed rule change would continue providing members the opportunity 
to limit their loss allocation exposure by offering withdrawal options; 
however, the cap on loss allocation would be calculated differently and 
the associated withdrawal process would also be modified as it relates 
to withdrawals associated with the loss allocation process. In 
particular, the proposed rule change would shorten the withdrawal 
notification period from 10 days to five (5) Business Days, as further 
described below.
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    \20\ Current Section 13 of GSD Rule 3 and MBSD Rule 3 requires a 
member to provide FICC with 10 days written notice of the member's 
termination; however, FICC, in its discretion, may accept such 
termination within a shorter notice period. Supra note 5.
---------------------------------------------------------------------------

    As proposed, if a member timely provides notice of its withdrawal 
from membership in respect of a loss allocation round, the maximum 
amount of losses it would be responsible for would be its Loss 
Allocation Cap,\21\ provided that the member complies with the 
requirements of the withdrawal process in proposed Section 7b of GSD 
Rule 4 and Section 7b of MBSD Rule 4.
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    \21\ If a member's Loss Allocation Cap exceeds the member's 
then-current Required Fund Deposit, it must still cover the excess 
amount.
---------------------------------------------------------------------------

    Currently, pursuant to Section 7(g) of GSD Rule 4 and MBSD Rule 4, 
if notification is provided to a member that an allocation has been 
made against the member pursuant to GSD Rule 4 or MBSD Rule 4, as 
applicable, and that application of the member's Required Fund Deposit 
is not sufficient to satisfy such obligation to make payment to FICC, 
the member is required to deliver to FICC by the Close of Business on 
the next Business Day, or by the Close of Business on the Business Day 
of issuance of the notification if so determined by FICC, that amount 
which is necessary to eliminate any such deficiency, unless the member 
elects to terminate its membership in FICC. To increase transparency of 
the timeframe under which FICC would require funds from members to 
satisfy their loss allocation obligations, FICC is proposing that 
members would receive two (2) Business Days' notice of a loss 
allocation, and members would be required to pay the requisite amount 
no later than the second Business Day following issuance of such 
notice.\22\ Members would have five (5) Business Days \23\ from the 
issuance of the first Loss Allocation Notice in any round of an Event 
Period to decide whether to withdraw from membership.
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    \22\ FICC believes that allowing members two (2) Business Days 
to satisfy their loss allocation obligations would provide Members 
sufficient notice to arrange funding, if necessary, while allowing 
FICC to address losses in a timely manner.
    \23\ Supra note 19.
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    Each round would allow a Tier One Netting Member or Tier One 
Member, as applicable, the opportunity to notify FICC of its election 
to withdraw from membership after satisfaction of the losses allocated 
in such round. Multiple Loss Allocation Notices may be issued with 
respect to each round to allocate losses up to the round cap.
    Specifically, the first round and each subsequent round of loss 
allocation would allocate losses up to a round cap of the aggregate of 
all Loss Allocation Caps of those Tier One Netting Members or Tier One 
Members, as applicable, included in the round. If a Tier One Netting 
Member or Tier One Member, as applicable, provides notice of its 
election to withdraw from membership, it would be subject to loss 
allocation in that round, up to its Loss Allocation Cap. If the first 
round of loss allocation does not fully cover FICC's losses, a second 
round will be noticed to those members that did not elect to withdraw 
from membership in the previous round; however, as noted above, the 
amount of any second or subsequent round cap may differ from the first 
or preceding round cap because there may be fewer Tier One Netting 
Members or Tier One Members, as applicable, in a second or subsequent 
round if Tier One Netting Members or Tier One Members, as applicable, 
elect to withdraw from membership with GSD or MBSD, as applicable, as 
provided in proposed Section 7b of GSD Rule 4 or MBSD Rule 4, as 
applicable, following the first Loss Allocation Notice in any round.
    Pursuant to the proposed rule change, in order to avail itself of 
its Loss Allocation Cap, a Tier One Netting Member or Tier One Member, 
as applicable, would need to follow the requirements in proposed 
Section 7b of GSD Rule 4 or MBSD Rule 4, as applicable, which would 
provide that the Tier One Netting Member or Tier One Member, as 
applicable, must: (i) Specify in its Loss Allocation Withdrawal Notice 
an effective date of withdrawal, which date shall not be prior to the 
scheduled final settlement date of any remaining obligations owed by 
the member to FICC, unless otherwise approved by FICC, and (ii) as of 
the time of such member's submission of the Loss Allocation Withdrawal 
Notice, cease submitting transactions to FICC for processing, clearance 
or settlement, unless otherwise approved by FICC.
    As proposed, a Tier One Netting Member or a Tier One Member, as 
applicable, that withdraws in compliance with proposed Section 7b of 
GSD Rule 4 or MBSD Rule 4, as applicable, would remain obligated for 
its pro rata share of losses and liabilities with respect to any Event 
Period for which it is otherwise obligated under GSD Rule 4 or MBSD 
Rule 4, as applicable; however, its aggregate obligation would be 
limited to the amount of its Loss Allocation Cap (as fixed in the round 
for which it withdrew).
    The proposed rule changes are designed to enable FICC to continue 
the loss allocation process in successive rounds until all of FICC's 
losses are allocated. To the extent that the Loss Allocation Cap of a 
Tier One Netting Member or Tier One Member, as applicable, exceeds such 
member's

[[Page 34199]]

Required Fund Deposit on the first day of an Event Period, FICC may in 
its discretion retain any excess amounts on deposit from the member, up 
to the Loss Allocation Cap of a Tier One Netting Member or Tier One 
Member, as applicable.
    The proposed rule changes relating to capping withdrawing members' 
loss allocation exposure and related changes to the withdrawal process 
are set forth in proposed Sections 7 and 7b of GSD Rule 4 and Sections 
7 and 7b of MBSD Rule 4, as further described below.
B. Changes To Align Loss Allocation Rules
    The proposed rule changes would align the loss allocation rules, to 
the extent practicable and appropriate, of the three DTCC Clearing 
Agencies so as to provide consistent treatment, especially for firms 
that are participants of two or more DTCC Clearing Agencies. As 
proposed, the loss allocation waterfall and certain related provisions, 
e.g., returning a former member's Clearing Fund, would be consistent 
across the DTCC Clearing Agencies to the extent practicable and 
appropriate. The proposed rule changes of FICC that would align loss 
allocation rules of the DTCC Clearing Agencies are set forth in 
proposed Sections 1, 5, 6, 10, and 11 of GSD Rule 4 and MBSD Rule 4, as 
further described below.
C. Clarifying Changes Relating to Loss Allocation
    The proposed rule changes are intended to make the provisions in 
the Rules governing loss allocation more transparent and accessible to 
members. In particular, FICC is proposing the following changes 
relating to loss allocation to clarify members' obligations for 
Declared Non-Default Loss Events.
    Aside from losses that FICC might face as a result of a Defaulting 
Member Event, FICC could incur non-default losses incident to each 
Division's clearance and settlement business.\24\ The GSD Rules and the 
MBSD Rules currently permit FICC to apply Clearing Fund to non-default 
losses.\25\ Section 5 of GSD Rule 4 and MBSD Rule 4 provides that the 
use of Clearing Fund deposits is limited to satisfaction of losses or 
liabilities of FICC, which includes losses or liabilities that are 
otherwise incident to the operation of the clearance and settlement 
business of FICC, although the application of Clearing Fund to such 
losses or liabilities is more limited under MBSD Rule 4 when compared 
to GSD Rule 4.\26\ Section 7(f) of GSD Rule 4 and MBSD Rule 4 provides 
that any loss or liability incurred by the Corporation incident to its 
clearance and settlement business arising other than from a Remaining 
Loss shall be allocated among Tier One Netting Members or Tier One 
Members, as applicable, ratably, in accordance with their Average 
Required Clearing Fund Deposits.\27\
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    \24\ Non-default losses may arise from events such as damage to 
physical assets, a cyber-attack, or custody and investment losses.
    \25\ Arguably there is an ambiguity created by the first 
paragraph of Section 7 in both GSD Rule 4 and MBSD Rule 4, which 
suggests that losses or liabilities may only be allocated in a 
member default scenario, while Section 5 in both GSD Rule 4 and MBSD 
Rule 4 makes it clear that the applicable Division's Clearing Fund 
may be used to satisfy non-default losses.
    \26\ Section 5 of GSD Rule 4 provides that ``The use of the 
Clearing Fund deposits shall be limited to satisfaction of losses or 
liabilities of the Corporation . . . otherwise incident to the 
clearance and settlement business of the Corporation . . .'' Supra 
note 5.
     Section 5 of MBSD Rule 4 provides that ``The use of the 
Clearing Fund deposits and assets and property on which the 
Corporation has a lien on shall be limited to satisfaction of losses 
or liabilities of the Corporation . . . otherwise incident to the 
clearance and settlement business of the Corporation with respect to 
losses and liabilities to meet unexpected or unusual requirements 
for funds that represent a small percentage of the Clearing Fund. . 
.'' Supra note 5.
    \27\ Section 7(f) of GSD Rule 4 provides that ``Any loss or 
liability incurred by the Corporation incident to its clearance and 
settlement business . . . arising other than from a Remaining Loss 
(hereinafter, an ``Other Loss'') shall be allocated among Tier One 
Netting Members, ratably, in accordance with the respective amounts 
of their Average Required FICC Clearing Fund Deposits. Supra note 5.
     Section 7(f) of MBSD Rule 4 provides that ``Any loss or 
liability incurred by the Corporation incident to its clearance and 
settlement business . . . arising other than from a Remaining Loss 
(hereinafter, an ``Other Loss''), shall be allocated among Tier One 
Members, ratably, in accordance with the respective amounts of their 
Average Required Clearing Fund Deposits. Supra note 5.
---------------------------------------------------------------------------

    If there is a failure of FICC following a non-default loss, such 
occurrence would affect members in much the same way as a failure of 
FICC following a Defaulting Member Event. Accordingly, FICC is 
proposing rule changes to enhance the provisions relating to non-
default losses by clarifying members' obligations for such losses and 
aligning the non-default loss provisions in the GSD Rules and the MBSD 
Rules.
    Specifically, for both the GSD Rules and the MBSD Rules, FICC is 
proposing enhancement of the governance around non-default losses that 
would trigger loss allocation to Tier One Netting Members or Tier One 
Members, as applicable, by specifying that the Board of Directors would 
have to determine that there is a non-default loss that may be a 
significant and substantial loss or liability that may materially 
impair the ability of FICC to provide clearance and settlement services 
in an orderly manner and will potentially generate losses to be 
mutualized among the Tier One Netting Members or Tier One Members, as 
applicable, in order to ensure that FICC may continue to offer 
clearance and settlement services in an orderly manner. The proposed 
rule change would provide that FICC would then be required to promptly 
notify members of this determination (a ``Declared Non-Default Loss 
Event''). In addition, FICC is proposing to better align the interest 
of FICC with those of its members by stipulating a mandatory Corporate 
Contribution apply to a Declared Non-Default Loss Event prior to any 
allocation of the loss among members, as described above. Additionally, 
FICC is proposing language to clarify members' obligations for Declared 
Non-Default Loss Events.
    Under the proposal, FICC would clarify the Rules of both Divisions 
to make clear that Tier One Netting Members or Tier One Members, as 
applicable, are subject to loss allocation for non-default losses 
(i.e., Declared Non-Default Loss Events under the proposal) and Tier 
Two Members are not subject to loss allocation for non-default losses.
    The proposed rule changes relating to Declared Non-Default Loss 
Events and members' obligations for such events are set forth in 
proposed Section 7 of GSD Rule 4 and Section 7 of MBSD Rule 4, as 
further described below.
D. Amending Language Regarding FICC's Use of MBSD Clearing Fund
    The proposed rule change would delete language currently in Section 
5 of MBSD Rule 4 that limits certain uses by FICC of the MBSD Clearing 
Fund to ``unexpected or unusual'' requirements for funds that represent 
a ``small percentage'' of the MBSD Clearing Fund. FICC believes that 
these limiting phrases (which appear in connection with FICC's use of 
MBSD Clearing Fund to cover losses and liabilities incident to its 
clearance and settlement business outside the context of an MBSD 
Defaulting Member Event as well as to cover certain liquidity needs) 
are vague and imprecise, and should be replaced in their entirety. 
Specifically, FICC is proposing to delete the limiting language with 
respect to FICC's use of MBSD Clearing Fund to cover losses and 
liabilities incident to its clearance and settlement business outside 
the context of an MBSD Defaulting Member Event so as to not have such 
language be interpreted as impairing FICC's ability to access the MBSD 
Clearing Fund in order to manage non-default losses. FICC is also 
proposing to delete

[[Page 34200]]

the limiting language with respect to FICC's use of MBSD Clearing Fund 
to cover certain liquidity needs because the effect of the limitation 
in this context is confusing and unclear.
    The proposed rule changes relating to FICC's use of MBSD Clearing 
Fund are set forth in proposed Section 5 of MBSD Rule 4, as further 
described below.
    The foregoing changes as well as other changes (including a number 
of conforming and technical changes) that FICC is proposing in order to 
improve the transparency and accessibility of the Rules are described 
in detail below.
E. Loss Allocation Waterfall Comparison
    The following example \28\ illustrates the differences between the 
current and proposed loss allocation provisions:
---------------------------------------------------------------------------

    \28\ For purposes of this example, FICC has assumed that no 
losses have arisen that apply to Tier Two Netting Members, Tier Two 
Members, or CCIT Members.
---------------------------------------------------------------------------

Assumptions
    (i) Firms A, B, and X are each a GSD Netting Member and an MBSD 
Clearing Member and are referred to as Member A, Member B, and Member 
X, respectively.
    (ii) Member A defaults on a Business Day (Day 1). On the same day, 
FICC ceases to act for Member A and notifies members of the cease to 
act. After liquidating Member A's portfolio and applying Member A's 
Clearing Fund deposit, FICC has a total loss of $350 million, with $200 
million in GSD and $150 million in MBSD.
    (iii) Member X voluntarily retires from membership five (5) 
Business Days after FICC ceases to act for Member A (Day 6).
    (iv) Member B defaults seven (7) Business Days after FICC ceases to 
act for Member A (Day 8). On the same day, FICC ceases to act for 
Member B and notifies members of the cease to act. After liquidating 
Member B's portfolio and applying Member B's Clearing Fund deposit, 
FICC has a total loss of $350 million, with $200 million in GSD and 
$150 million in MBSD.
    (v) The current FICC loss provisions require FICC to contribute up 
to 25% of its retained earnings as a corporate contribution. For the 
purposes of this example, it is assumed that FICC will contribute 25% 
of its retained earnings. The amount of FICC's retained earnings is 
$176 million.
    (vi) FICC's General Business Risk Capital Requirement is $98 
million.
Current Loss Allocation
    Under the current loss allocation provisions, with respect to the 
losses arising out of Member A's default, FICC will contribute a total 
of $44 million ($176 million * 25%) from retained earnings,\29\ with 
approximately $25 million ($44 million* ($200 million/$350 million)) 
for GSD and approximately $19 million ($44 million* ($150 million/$350 
million)) for MBSD. FICC will then allocate the remaining GSD loss of 
$175 million ($200 million - $25 million) to GSD Tier One Netting 
Members and the remaining MBSD loss of $131 million ($150 million - $19 
million) to MBSD Tier One Members.
---------------------------------------------------------------------------

    \29\ The retained earnings are applied to the respective 
Divisions in the same proportion that the losses of that Division 
bear to the total losses of both Divisions.
---------------------------------------------------------------------------

    With respect to losses arising out of Member B's default, FICC will 
contribute a total of approximately $33 million (($176 million - $44 
million) * 25%) from retained earnings, with approximately $19 million 
($33 million * ($200 million/$350 million)) for GSD and approximately 
$14 million ($33 million * ($150 million/$350 million)) for MBSD. FICC 
will then allocate the remaining GSD loss of $181 million ($200 million 
- $19 million) to GSD Tier One Netting Members and the remaining MBSD 
loss of $136 million ($150 million - $14 million) to MBSD Tier One 
Members.
    Altogether, with respect to losses arising out of defaults of 
Member A and Member B, FICC will contribute a total of approximately 
$77 million of retained earnings, with approximately $44 million for 
GSD and approximately $33 million for MBSD. FICC will allocate losses 
of $356 million to GSD Tier One Netting Members and $267 million to 
MBSD Tier One Members.
Proposed Loss Allocation
    Under the proposed loss allocation provisions, a Defaulting Member 
Event with respect to Member A's default would have occurred on Day 
One, and a Defaulting Member Event with respect to Member B's default 
would have occurred on Day 8. Because the Defaulting Member Events 
occurred during a 10-business day period, they would be grouped 
together into an Event Period for purposes of allocating losses to 
members. The Event Period would begin on the 1st business day and end 
on the 10th business day.
    With respect to losses arising out of Member A's default, FICC 
would apply a Corporate Contribution of $49 million ($98 million * 
50%),\30\ with approximately $32 million ($49 million * ($10 billion/
$15.2 billion)) for GSD and approximately $17 million ($49 million * 
($5.2 billion/$15.2 billion)) for MBSD. FICC would then allocate the 
remaining GSD loss of $168 million ($200 million - $32 million) to GSD 
Tier One Netting Members and the remaining MBSD loss of $133 million 
($150 million - $17 million) to MBSD Tier One Members. With respect to 
losses arising out of Member B's default, FICC would not apply a 
Corporate Contribution since it would have already contributed the 
maximum Corporate Contribution of 50% of its General Business Risk 
Capital Requirement. With respect to losses arising out of Member B's 
default, FICC would allocate the GSD loss of $200 million to GSD Tier 
One Netting Members and the MBSD loss of $150 million to MBSD Tier One 
Members. Because Member X was a member in both Divisions on the first 
day of the Event Period, Member X would be subject to loss allocation 
with respect to all events occurring during the Event Period, even if 
the event occurred after its retirement. Therefore, Member X would be 
subject to loss allocation with respect to Member B's default.
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    \30\ The Corporate Contribution would be applied to the 
respective Divisions in the same proportion that the aggregate 
Average RFDs of all members in that Division bear to the aggregate 
Average RFDs of all members in both Divisions. For the purposes of 
this example, FICC has assumed that the aggregate Average RFDs of 
all GSD members is $10 billion and the aggregate Average RFDs of all 
MBSD members is $5.2 billion.
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    Altogether, with respect to losses arising out of defaults of 
Member A and Member B, FICC would apply a Corporate Contribution of $49 
million, with approximately $32 million for GSD and approximately $17 
million for MBSD. FICC would allocate losses of $368 million to GSD 
Tier One Netting Members and $283 million to MBSD Tier One Members.
    The principal differences in the above example are due to (i) the 
proposed changes to the calculation and application of the Corporate 
Contribution and (ii) the proposed introduction of an Event Period.
(ii) Detailed Description of the Proposed Rule Changes Related to Loss 
Allocation
A. Proposed Changes to GSD Rule 4 (Clearing Fund and Loss Allocation) 
and MBSD Rule 4 (Clearing Fund and Loss Allocation)
Overview of GSD Rule 4 and MBSD Rule 4
    GSD Rule 4 and MBSD Rule 4 currently address Clearing Fund 
requirements and loss allocation obligations, as well as permissible 
uses of the Clearing Fund. These Rules address the various Clearing 
Fund calculations for each Division's Clearing

[[Page 34201]]

Fund and set forth rights, obligations and other aspects associated 
with each Division's Clearing Fund, as well as each Division's loss 
allocation process. GSD Rule 4 and MBSD Rule 4 are each currently 
organized into 12 sections. Sections of these Rules that FICC is 
proposing to change are described below.
Section 1 of GSD Rule 4 and MBSD Rule 4
    Currently, Section 1 of GSD Rule 4 and MBSD Rule 4 set forth the 
requirement that each GSD Netting Member and each MBSD Clearing Member 
make and maintain a deposit to the Clearing Fund at the minimum level 
set forth in the respective Rule 4 and note that the timing of such 
payment is set forth in another section of the respective Rule 4. 
Current Section 1 of the respective rule also provides that the 
deposits to the Clearing Fund will be held by FICC or its designated 
agents. Current Section 1 of MBSD Rule 4 also defines the term 
``Transaction'' for purposes of MBSD Rule 4 and references a Member's 
obligation to replenish the deficit in its Required Fund Deposit if it 
is charged by FICC under certain circumstances.
    FICC is proposing to rename the subheading of Section 1 of Rule 4 
in both the GSD Rules and MBSD Rules from ``General'' to ``Required 
Fund Deposits'' and to restructure the wording of the provisions for 
clarity and readability.
    Under the proposed rule change, Section 1 of GSD Rule 4 and Section 
1 of MBSD Rule 4 would continue to have the same provisions as they 
relate to Netting Members or Clearing Members, as applicable, except 
for the following: (i) The language throughout the sections would be 
reorganized, streamlined and clarified, and (ii) language would be 
added regarding additional deposits maintained by the Netting Members 
or Clearing Members, as applicable, at FICC, and highlight for members 
that such additional deposits would be deemed to be part of the 
Clearing Fund and the member's Actual Deposit (as discussed below and 
as defined in the proposed rule change) but would not be deemed to be 
part of the member's Required Fund Deposit.
    The proposed language regarding maintenance of a member's Actual 
Deposit would also make it clear that FICC will not be required to 
segregate such deposit, but shall maintain books and records concerning 
the assets that constitute each member's Actual Deposit.
    In addition, FICC proposes a technical change to update a cross 
reference in Section 1 of GSD Rule 4 and MBSD Rule 4.
    Furthermore, in Section 1 of MBSD Rule 4, FICC is proposing to move 
the definition of ``Transactions'' to proposed Section 2(a) of MBSD 
Rule 4, where the first usage of ``Transactions'' in MBSD Rule 4 
appears. FICC is also proposing to delete the last sentence in Section 
1 of MBSD Rule 4, which references a Member's obligation to replenish 
the deficit in its Required Fund Deposit if it is charged by FICC under 
certain circumstances, because it would no longer be relevant under the 
proposed rule change to Section 7 of MBSD Rule 4, as FICC would require 
members to pay their loss allocation amounts instead of charging their 
Required Fund Deposits for Clearing Fund losses.
Section 2 of GSD Rule 4 and MBSD Rule 4
    Current Section 2 of GSD Rule 4 and MBSD Rule 4 set forth more 
detailed requirements pertaining to members' Required Fund Deposits. 
FICC is proposing to rename the subheadings in these sections from 
``Required Fund Deposit'' to ``Required Fund Deposit Requirements'' in 
order to better reflect the purpose of this section.
    In addition, FICC is proposing to expand the definition of ``Legal 
Risk'' in both the GSD and MBSD provisions (current Section 2(e) of GSD 
Rule 4 and Section 2(f) of MBSD Rule 4) by revising the parameters of 
Legal Risk so that it would not be limited to laws applicable to a 
member's insolvency or bankruptcy, as FICC believes that Legal Risk may 
arise outside the context of an insolvency or bankruptcy event 
regarding a member, and FICC should be permitted to adequately protect 
itself in those non- insolvency/bankruptcy circumstances as well.
    For better organization of Rule 4, FICC is also proposing to 
relocate the provision on minimum Clearing Fund cash requirements 
(current Section 2(b) of GSD Rule 4 and Section 2(d) of MBSD Rule 4) to 
the section in each of GSD Rule 4 and MBSD Rule 4 dealing specifically 
with the form of Clearing Fund deposits (proposed Section 3 of GSD Rule 
4 and MBSD Rule 4). This would necessitate the re-lettering of the 
provisions in Section 2. In addition, as stated above, the provision 
regarding the definition of ``Transactions'' for purposes of MBSD Rule 
4 would be moved to proposed Section 2(a) from current Section 1.
    FICC is proposing technical changes to correct typographical errors 
in current Section 2 of GSD Rule 4.
Sections 3, 3a and 3b of GSD Rule 4 and MBSD Rule 4
    Currently, Sections 3, 3a and 3b of GSD Rule 4 and MBSD Rule 4 
address the permissible form of Clearing Fund deposits and contain 
detailed requirements regarding each form. FICC is proposing changes to 
improve the readability of these sections.
    In addition, for better organization of the subject matter, FICC is 
proposing to move certain paragraphs from one section to another, 
including (i) moving clauses (b) and (d) in current Section 2 of GSD 
Rule 4 and MBSD Rule 4, respectively, to proposed Section 3 of GSD Rule 
4 and MBSD Rule 4 and (ii) moving the last paragraph of current Section 
3 in GSD Rule 4 and MBSD Rule 4 to proposed Section 3b of GSD Rule 4 
and MBSD Rule 4.
    Under the proposed rule change, FICC is also proposing to update 
the cash investment provision in Section 3a of GSD Rule 4 and MBSD Rule 
4 to reflect the Clearing Agency Investment Policy adopted by FICC \31\ 
and to define Clearing Fund Cash as (i) cash deposited by a Netting 
Member or Clearing Member, as applicable, as part of its Actual 
Deposit, (ii) the proceeds of (x) any loans made to FICC secured by the 
pledge by FICC of Eligible Clearing Fund Securities pledged to FICC or 
(y) any sales of Eligible Clearing Fund Securities pledged to FICC, 
(iii) cash receipts from any investment of, repurchase or reverse 
repurchase agreements relating to, or liquidation of, Clearing Fund 
assets, and (iv) cash payments on Eligible Letters of Credit. Lastly, 
FICC is proposing technical changes to correct typographical errors in 
current Section 3 of MBSD Rule 4 and current Section 3b of GSD Rule 4.
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    \31\ See Securities Exchange Act Release No. 79528 (December 12, 
2016), 81 FR 91232 (December 16, 2016) (SR-FICC-2016-005). The 
Clearing Agency Investment Policy (the ``Policy'') governs the 
management, custody, and investment of cash deposited to the GSD and 
MBSD Clearing Funds, the proprietary liquid net assets (cash and 
cash equivalents) of FICC and other funds held by FICC. The Policy 
sets forth guiding principles for the investment of those funds, 
which include adherence to a conservative investment philosophy that 
places the highest priority on maximizing liquidity and avoiding 
risk, as well as mandating the segregation and separation of funds. 
The Policy also addresses the process for evaluating credit ratings 
of counterparties and identifies permitted investments within 
specified parameters. In general, assets are required to be held by 
regulated and creditworthy financial institution counterparties and 
invested in financial instruments that, with respect to the GSD and 
MBSD Clearing Funds, may include deposits with banks, including the 
Federal Reserve Bank of New York, collateralized reverse-repurchase 
agreements, direct obligations of the U.S. government and money-
market mutual funds.

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[[Page 34202]]

Section 4 of GSD Rule 4 and MBSD Rule 4
    Currently, Section 4 of GSD Rule 4 and MBSD Rule 4 address the 
granting of a first priority perfected security interest by each 
Netting Member or Clearing Member, as applicable, in all assets and 
property placed by the member in the possession of FICC (or its agents 
acting on its behalf). FICC is not proposing any substantive changes to 
these sections except for streamlining the provisions for readability 
and clarity, and adding ``Actual Deposit'' as a defined term to refer 
to Eligible Clearing Fund Securities, funds and assets pledged to FICC 
to secure any and all obligations and liabilities of a Netting Member 
or a Clearing Member, as applicable, to FICC.
Section 5 of GSD Rule 4 and MBSD Rule 4
    Currently, Section 5 of GSD Rule 4 and MBSD Rule 4 describe the use 
of each Division's Clearing Fund. FICC is proposing to rename the 
subheading of this section from ``Use of Deposits and Payments'' to 
``Use of Clearing Fund'' to better reflect the purpose of the section.
    Under the proposed rule change, FICC is also proposing changes to 
streamline this section for clarity and readability and to align the 
GSD Rules and MBSD Rules. Specifically, FICC is proposing to delete the 
first paragraph of current Section 5 of GSD Rule 4 and MBSD Rule 4 and 
replace it with clearer language that sets forth the permitted uses of 
each Division's Clearing Fund. Specifically, the proposed Section 5 of 
GSD Rule 4 and MBSD Rule 4 provides that each Division's Clearing Fund 
would only be used by FICC (i) to secure each member's performance of 
obligations to FICC, including, without limitation, each member's 
obligations with respect to any loss allocations as set forth in 
proposed Section 7 of GSD Rule 4 and MBSD Rule 4 and any obligations 
arising from a Cross-Guaranty Agreement pursuant to GSD Rule 41 or MBSD 
Rule 32, as applicable, or a Cross-Margining Agreement pursuant to GSD 
Rule 43, (ii) to provide liquidity to FICC to meet its settlement 
obligations, including, without limitation, through the direct use of 
cash in the GSD Clearing Fund or MBSD Clearing Fund, as applicable, or 
through the pledge or rehypothecation of pledged Eligible Clearing Fund 
Securities in order to secure liquidity, and (iii) for investment as 
set forth in proposed Section 3a of GSD Rule 4 and MBSD Rule 4.
    The current first paragraph of Section 5 of GSD Rule 4 and MBSD 
Rule 4 provides that if FICC pledges, hypothecates, encumbers, borrows, 
or applies any part of the respective Division's Clearing Fund deposits 
to satisfy any liability, obligation, or liquidity requirements for 
more than thirty (30) days, FICC, at the Close of Business on the 30th 
day (or on the first Business Day thereafter) will consider the amount 
used as an actual loss to the respective Division's Clearing Fund and 
immediately allocate such loss in accordance with Section 7 of GSD Rule 
4 or MBSD Rule 4, as applicable. As proposed, FICC would retain this 
provision conceptually but replace it with clearer and streamlined 
language that provides that each time FICC uses any part of the 
respective Division's Clearing Fund for more than 30 calendar days to 
provide liquidity to FICC to meet its settlement obligations, 
including, without limitation, through the direct use of cash in the 
Clearing Fund or through the pledge or rehypothecation of pledged 
Eligible Clearing Fund Securities in order to secure liquidity, FICC, 
at the Close of Business on the 30th calendar day (or on the first 
Business Day thereafter) from the day of such use, would consider the 
amount used but not yet repaid as a loss to the Clearing Fund incurred 
as a result of a Defaulting Member Event and immediately allocate such 
loss in accordance with proposed Section 7 of GSD Rule 4 or MBSD Rule 
4, as applicable.
    The proposed rule change also includes deleting language currently 
in Section 5 of MBSD Rule 4 that limits certain uses by FICC of the 
MBSD Clearing Fund to ``unexpected or unusual'' requirements for funds 
that represent a ``small percentage'' of the MBSD Clearing Fund. FICC 
believes that these limiting phrases (which appear in connection with 
FICC's use of MBSD Clearing Fund to cover losses and liabilities 
incident to its clearance and settlement business outside the context 
of an MBSD Defaulting Member Event as well as to cover certain 
liquidity needs) are vague and imprecise, and should be replaced in 
their entirety. Specifically, FICC is proposing to delete the limiting 
language with respect to FICC's use of MBSD Clearing Fund to cover 
losses and liabilities incident to its clearance and settlement 
business outside of an MBSD Defaulting Member Event so as to not have 
such language be interpreted as impairing FICC's ability to access the 
MBSD Clearing Fund in order to manage non-default losses. FICC is also 
proposing to delete the limiting language with respect to FICC's use of 
MBSD Clearing Fund to cover certain liquidity needs because the effect 
of the limitation in this context is confusing and unclear.
    In addition, FICC is proposing to delete the last paragraph in 
current Section 5 of GSD Rule 4 and MBSD Rule 4 because these 
paragraphs address the application of a member's deposits to the 
applicable Clearing Fund to cover the allocation of a loss or liability 
incurred by FICC. These paragraphs would no longer be relevant, 
because, under the proposed Section 7 of GSD Rule 4 and MBSD Rule 4 
(discussed below), FICC would not apply the member's deposit to the 
Clearing Fund unless the member does not satisfy payment of its 
allocated loss amount within the required timeframe. These paragraphs 
also currently include provisions regarding other agreements, such as a 
Cross-Guaranty Agreement, that pertain to a Defaulting Member, and such 
provisions would now be covered by proposed Section 6 of GSD Rule 4 and 
MBSD Rule 4.
Section 6 of GSD Rule 4 and MBSD Rule 4
    Currently, Section 6 of GSD Rule 4 and MBSD Rule 4 are reserved for 
future use. FICC is proposing to use this section for provisions 
relating to the application of deposits to the respective Division's 
Clearing Fund and other amounts held by FICC to a Defaulting Member's 
obligations.
    FICC is proposing to add a subheading of ``Application of Clearing 
Fund Deposits and Other Amounts to Defaulting Members' Obligations'' to 
Section 6 of GSD Rule 4 and MBSD Rule 4. Under the proposed rule 
change, for better organization by subject matter, FICC is also 
proposing to relocate certain provisions to these sections from the 
respective current Section 7 of GSD Rule 4 and MBSD Rule 4, which 
addresses FICC's application of Clearing Fund deposits and other assets 
held by FICC securing a Defaulting Member's obligations to FICC.
    For additional clarity and for consistency with the loss allocation 
rules of the other DTCC Clearing Agencies, FICC proposes to add a 
provision which makes it clear that, if FICC applies a Defaulting 
Member's Clearing Fund deposits, FICC may take any and all actions with 
respect to the Defaulting Member's Actual Deposits, including 
assignment, transfer, and sale of any Eligible Clearing Fund 
Securities, that FICC determines is appropriate.
Sections 7, 7a and 7b of GSD Rule 4 and MBSD Rule 4
    Current Section 7 of GSD Rule 4 and MBSD Rule 4 contains FICC's 
current loss allocation waterfall for losses or

[[Page 34203]]

liabilities incurred by FICC. With respect to any loss or liability 
incurred by FICC as the result of the failure of a Defaulting Member to 
fulfill its obligations to FICC, the loss allocation waterfall for each 
Division currently provides:
    (i) Application of any Clearing Fund deposits and other collateral 
held by FICC securing a Defaulting Member's obligations to FICC and 
additional resources as are applicable to the Defaulting Member.
    (ii) If a loss or liability remains after the application of the 
Defaulting Member's collateral and resources, FICC would apply up to 
25% of FICC's existing retained earnings, or such higher amount as the 
Board of Directors determines.
    (iii) If a loss or liability still remains after the application of 
the retained earnings, FICC would apply the loss or liability to 
members as follows:
    (a) If the remaining loss or liability is attributable to Tier One 
Netting Members or Tier One Members, as applicable, then FICC will 
allocate such loss or liability to Tier One Netting Members or Tier One 
Members, as applicable, by assessing the Required Fund Deposit 
maintained by each such member an amount up to $50,000, in an equal 
basis per Tier One Netting Member or Tier One Member, as applicable.
    (b) If the remaining loss or liability is attributable to Tier Two 
Members, then FICC will allocate such loss or liability to Tier Two 
Members based upon their trading activity with the Defaulting Member 
that resulted in a loss.
    (iv) If there is any loss or liability that still remains after the 
application of (ii) and (iii) above that is attributable to Tier One 
Netting Members or Tier One Members, as applicable, then FICC will 
allocate such loss or liability among Tier One Netting Members or Tier 
One Members, as applicable, ratably based on the amount of each Tier 
One Netting Member's or Tier One Member's Required Fund Deposit and 
based on the average daily level of such deposit over the prior twelve 
(12) months (or such shorter period as may be available if the member 
has not maintained a deposit over such time period).
    Current Section 7(f) of GSD Rule 4 and MBSD Rule 4 also provides 
that Other Losses shall be allocated among Tier One Netting Members or 
Tier One Members, as applicable, ratably in accordance with the 
respective amounts of each Tier One Netting Member's or Tier One 
Member's Required Fund Deposit and based on the average daily level of 
such deposit over the prior twelve (12) months (or such shorter period 
as may be available if the member has not maintained a deposit over 
such time period).
    Currently, pursuant to Section 7(e) of GSD Rule 4, an Inter-Dealer 
Broker Netting Member, or a Non-IDB Repo Broker with respect to 
activity in its Segregated Broker Account, will not be subject to an 
aggregate allocation loss for any single loss-allocation event that 
exceeds $5 million. FICC believes that it is appropriate for GSD to 
retain this cap under the proposed rule change because the Inter-Dealer 
Broker Netting Members are required to limit their business as provided 
in Section 8(e) of GSD Rule 3, which would in turn minimize the 
potential losses or liabilities that could be incurred by FICC from 
Inter-Dealer Broker Netting Members.\32\ FICC believes that it is also 
appropriate for GSD to retain this cap under the proposed rule change 
for Non-IDB Repo Brokers because their activity in their respective 
Segregated Broker Accounts would be subject to similar limitations as 
the Inter-Dealer Broker Netting Members. However, the proposal would 
apply the cap to an Event Period instead of a single loss event in 
order to conform with the concept of the Event Period under the 
proposal. FICC believes applying the cap to an Event Period would 
continue to reasonably represent the risk profiles of the Inter-Dealer 
Broker Netting Members, and Non-IDB Repo Brokers with respect to their 
Segregated Broker Accounts, because they submit affirmed trades from 
their systems to GSD, with each trade already matched to the 
counterparty that will ultimately deliver or receive the securities. 
Therefore, Inter-Dealer Broker Netting Members, and Non-IDB Repo 
Brokers with respect to their Segregated Broker Accounts, do not 
generally maintain positions with FICC and present minimal risk to 
FICC. FICC is also proposing technical changes to replace (i) the term 
``Segregated Broker Account'' with ``Segregated Repo Account'' and (ii) 
the term ``Non-IDB Broker'' with ``Non-IDB Repo Broker,'' both of which 
are the correct terms defined in GSD Rule 1.
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    \32\ Pursuant to Section 8(e) of GSD Rule 3, an Inter-Dealer 
Broker Netting Member is required to (A) limit its business to 
acting exclusively as a broker, (B) conduct all of its business in 
Repo Transactions with Netting Members, and (C) conduct at least 90 
percent of its business in transactions that are not Repo 
Transactions with Netting Members. If an Inter-Dealer Broker Netting 
Member fails to comply with these requirements, then the Inter-
Dealer Broker Netting Member shall be considered by FICC as a Dealer 
Netting Member. Supra note 5.
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    Current Section 7(g) of GSD Rule 4 and MBSD Rule 4 further provides 
that if the Required Fund Deposit of the member being allocated the 
loss is not sufficient to satisfy its loss allocation obligation, the 
member is required to deliver to FICC an amount that is necessary to 
eliminate the deficiency by the Close of Business on the next Business 
Day, or by the Close of Business on the Business Day of issuance of the 
notification if so determined by FICC. Under the current Rules, a 
member may elect to terminate its membership, which would limit its 
loss allocation to the amount of its Required Fund Deposit for the 
Business Day on which the notification of such loss allocation is 
provided to the member. If the member does not elect to terminate its 
membership and fails to satisfy its Required Fund Deposit within the 
timeframe specified in the Rules, FICC will cease to act generally with 
regard to such member pursuant to GSD Rules 21 and 22A or MBSD Rules 14 
and 17, as applicable, and may take disciplinary action against such 
member pursuant to GSD Rule 48 or MBSD Rule 38, as applicable.
    Current Section 7(h) of GSD Rule 4 and MBSD Rule 4 requires FICC to 
promptly notify members and the Commission of the amount involved and 
the causes if a Remaining Loss or Other Loss occurs. In addition, 
current Section 7(i) of GSD Rule 4 and MBSD Rule 4 also provides that 
any increase in Clearing Fund deposit as required by subsection (f) of 
current Section 2 of GSD Rule 4 or provisions of MBSD Rule 4 regarding 
special charges or other premiums will not be taken into account when 
calculating loss allocation based on a GSD Member's Average Required 
FICC Clearing Fund Deposit amount or an MBSD Member's Average Required 
Fund Deposit amount, as applicable, under current Section 7 of GSD Rule 
4 and MBSD Rule 4.
    Under the proposed rule change, FICC is proposing to rename the 
subheading of Section 7 of GSD Rule 4 and MBSD Rule 4 to ``Loss 
Allocation Waterfall, Off-the-Market Transactions.'' In addition, FICC 
is proposing to restructure its loss allocation waterfall as described 
below.
    For better organization of the subject matter, FICC is proposing to 
move certain paragraphs from one section to another, including (i) 
relocating the last sentence of current Section 7(h) of GSD Rule 4 and 
MBSD Rule 4 regarding recovery of allocated losses or liabilities by 
FICC to the fifth paragraph of proposed Section 7 of GSD Rule 4 and 
MBSD Rule 4, (ii) relocating from current Section 7(a) of GSD Rule 4 
and MBSD Rule 4 provisions which address FICC's application of Clearing 
Fund deposits and other assets held by FICC

[[Page 34204]]

securing a Defaulting Member's obligations to FICC to proposed Section 
6 of GSD Rule 4 and MBSD Rule 4, (iii) relocating from current Section 
7 of GSD Rule 4 to proposed Section 6 of GSD Rule 4 the provision 
regarding FICC's right to treat certain payments to an FCO under a 
Cross-Margining Guaranty as a loss to be allocated, (iv) relocating the 
provisions in current Section 7(i) of GSD Rule 4 and MBSD Rule 4 
regarding certain increases in Clearing Fund deposits not being taken 
into account when calculating loss allocation so that such provisions 
would come right after the loss allocation calculation provision, with 
an updated reference to proposed renumbered Sections 2(d) and 2(e) in 
GSD Rule 4 and MBSD Rule 4, respectively, and (v) relocating the 
provision regarding withdrawing members reapplying to become members 
\33\ in the second paragraph of current Section 7(g) of GSD Rule 4 and 
MBSD Rule 4 to come right after the paragraph regarding the election of 
a Tier One Netting Member or Tier One Member, as applicable, to 
withdraw from membership in proposed Section 7 of GSD Rule 4 and MBSD 
Rule 4. Furthermore, in order to enhance readability and clarity, FICC 
is proposing a number of changes to streamline the language in these 
provisions.
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    \33\ Current Section 7(g) of GSD Rule 4 provides that a Member 
that elects to terminate its membership pursuant to alternative (ii) 
in Section 7(g) of GSD Rule 4 in lieu of being liable to pay an 
additional assessment amount above its Required Fund Deposit shall 
not be eligible to re-apply to become a Comparison-Only Member or a 
Netting Member unless, prior to submitting such application, it 
makes the payment to FICC provided for in alternative (i) in Section 
7(g) of GSD Rule 4, together with interest on that amount at the 
average of the Federal Funds Rate plus one percent, calculated from 
the date on which the Remaining Loss or Other Loss was incurred by 
FICC until the date of such payment. Supra note 5.
    Current Section 7(g) of MBSD Rule 4 provides that a Member that 
elects to terminate its membership pursuant to alternative (ii) in 
Section 7(g) of MBSD Rule 4 in lieu of being liable to pay an 
additional assessment amount above its Required Fund Deposit shall 
not be eligible to re-apply to become a Clearing Member unless, 
prior to submitting such application, it makes the payment to FICC 
provided for in alternative (i) in Section 7(g) of MBSD Rule 4, 
together with interest on that amount at the average of the Federal 
Funds Rate plus one percent, calculated from the date on which the 
Remaining Loss or Other Loss was incurred by FICC until the date of 
such payment. Supra note 5.
    The condition for re-application was historically in the rules 
of Government Securities Clearing Corporation (``GSCC'') (FICC's 
predecessor) to solidify GSCC's membership base and thereby 
discourage members from withdrawing from membership during a time of 
stress solely to avoid their loss allocation obligations. This 
condition was later incorporated into the GSD Rules and MBSD Rules. 
In the interest of continuing to encourage members to remain in FICC 
central clearing in order to preserve the robustness of the Treasury 
and mortgage-backed securities markets, FICC would like to retain 
this condition for re-application in the GSD and MBSD Rules as is. 
As the provision applies to a remote contingency and, without an 
immediate business need, NSCC and DTC would prefer not to add this 
provision at this time.
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    In Section 7 of GSD Rule 4 and MBSD Rule 4, as applicable, FICC is 
proposing to make it clear that no loss allocation under proposed GSD 
Rule 4 or proposed MBSD Rule 4, as applicable, would constitute a 
waiver of any claim FICC may have against a member for any losses or 
liabilities to which the member is subject under the Rules, including, 
without limitation, any loss or liability to which it may be subject 
under proposed GSD Rule 4 or proposed MBSD Rule 4, as applicable. FICC 
is proposing this change to preserve its legal rights and to make it 
clear to members that loss allocation under proposed GSD Rule 4 and 
proposed MBSD Rule 4 would not be deemed as FICC waiving any claims it 
may have against a member for any losses or liabilities to which the 
member is subject under the Rules.
    Under the proposal, Section 7 of GSD Rule 4 and MBSD Rule 4 would 
make clear that the loss allocation waterfall applies to losses and 
liabilities (i) arising out of or relating to a default of a member or 
(ii) otherwise incident to the clearance and settlement business of 
FICC (i.e., non-default losses). The loss allocation waterfall would be 
triggered if FICC incurs a loss or liability arising out of or relating 
to a Defaulting Member Event or a Declared Non-Default Loss Event.
    As proposed, Section 7 of GSD Rule 4 and MBSD Rule 4 would provide 
that, for the purposes of GSD Rule 4 or MBSD Rule 4, as applicable, the 
term ``Defaulting Member'' would mean a GSD Member or MBSD Member, as 
applicable, for which FICC has ceased to act pursuant to GSD Rule 21 or 
GSD Rule 22,\34\ or MBSD Rule 14 or MBSD Rule 16,\35\ as applicable, 
the term ``Defaulting Member Event'' would mean the determination by 
FICC to cease to act for a GSD Member or MBSD Member, as applicable, 
pursuant to GSD Rule 21 or GSD Rule 22, or MBSD Rule 14 or MBSD Rule 
16, as applicable, and the term ``Declared Non-Default Loss Event'' 
would mean the determination by the Board of Directors that a loss or 
liability incident to the clearance and settlement business of FICC may 
be a significant and substantial loss or liability that may materially 
impair the ability of FICC to provide clearance and settlement services 
in an orderly manner and will potentially generate losses to be 
mutualized among members in order to ensure that FICC may continue to 
offer clearance and settlement services in an orderly manner.
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    \34\ FICC may cease to act for a GSD Member pursuant to any of 
the circumstances set forth under GSD Rule 21 (Restrictions on 
Access to Services) or GSD Rule 22 (Insolvency of a Member). Supra 
note 5.
    \35\ FICC may cease to act for an MBSD Member pursuant to any of 
the circumstances set forth under MBSD Rule 14 (Restrictions on 
Access to Services) or MBSD Rule 16 (Insolvency of a Member). Supra 
note 5.
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    As proposed, each member would be obligated to FICC for the entire 
amount of any loss or liability incurred by FICC arising out of or 
relating to any Defaulting Member Event with respect to such member. 
Under the proposal, to the extent that such loss or liability is not 
satisfied pursuant to proposed Section 6 of GSD Rule 4 or MBSD Rule 4, 
as applicable, FICC would apply a Corporate Contribution thereto and 
charge the remaining amount of such loss or liability ratably to other 
members, as provided in proposed Section 7 of GSD Rule 4 and MBSD Rule 
4.
    Under proposed Section 7 of GSD Rule 4 and MBSD Rule 4, the loss 
allocation waterfall would begin with a corporate contribution from 
FICC (``Corporate Contribution''), as is the case under the current 
Rules, but in a different form than under the current Section 7 of GSD 
Rule 4 and MBSD Rule 4 described above. Today, Section 7(b) of GSD Rule 
4 and Section 7(c) of MBSD Rule 4 provide that, if FICC incurs any loss 
or liability as the result of the failure of a Defaulting Member to 
fulfill its obligations to FICC, FICC will contribute up to 25% of its 
existing retained earnings (or such higher amount as the Board of 
Directors shall determine), to such loss or liability; however, no 
corporate contribution from FICC is currently required for losses 
resulting other than those from Member impairments. Under the proposal, 
FICC would add a proposed new Section 7a to GSD Rule 4 and MBSD Rule 4 
with a subheading of ``Corporate Contribution'' and define FICC's 
Corporate Contribution with respect to any loss allocation pursuant to 
proposed Section 7 of GSD Rule 4 or MBSD Rule 4, whether arising out of 
or relating to a Defaulting Member Event or a Declared Non-Default Loss 
Event, as an amount that is equal to fifty (50) percent of the amount 
calculated by FICC in respect of its General Business Risk Capital 
Requirement as of the end of the calendar quarter immediately preceding 
the Event Period.\36\ The proposed rule change would specify

[[Page 34205]]

that FICC's General Business Risk Capital Requirement, as defined in 
FICC's Clearing Agency Policy on Capital Requirements,\37\ is, at a 
minimum, equal to the regulatory capital that FICC is required to 
maintain in compliance with Rule 17Ad-22(e)(15) under the Act.\38\
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    \36\ Supra note 9.
    \37\ Supra note 10.
    \38\ Supra note 11.
---------------------------------------------------------------------------

    As proposed, if FICC applies the Corporate Contribution to a loss 
or liability arising out of or relating to one or more Defaulting 
Member Events or Declared Non-Default Loss Events relating to an Event 
Period, then for any subsequent Event Periods that occur during the two 
hundred fifty (250) Business Days thereafter,\39\ the Corporate 
Contribution would be reduced to the remaining unused portion of the 
Corporate Contribution amount that was applied for the first Event 
Period. Proposed Section 7a of both GSD Rule 4 and MBSD Rule 4 would 
require FICC to notify members of any such reduction to the Corporate 
Contribution.
---------------------------------------------------------------------------

    \39\ Supra note 13.
---------------------------------------------------------------------------

    Proposed Section 7a to GSD Rule 4 and MBSD Rule 4 would also make 
clear that there would be one FICC Corporate Contribution, the amount 
of which would be available to both Divisions and would be applied 
against a loss or liability in either Division in the order in which 
such loss or liability occurs, i.e., FICC would not have two separate 
Corporate Contributions, one for each Division. As proposed, in the 
event of a loss or liability relating to an Event Period, whether 
arising out of or relating to a Defaulting Member Event or a Declared 
Non-Default Loss Event, attributable to only one Division, the 
Corporate Contribution would be applied to that Division up to the 
amount then available. Under the proposal, if a loss or liability 
relating to an Event Period, whether arising out of or relating to a 
Defaulting Member Event or a Declared Non-Default Loss Event, occurs 
simultaneously at both Divisions, the Corporate Contribution would be 
applied to the respective Divisions in the same proportion that the 
aggregate Average RFDs of all members in that Division bears to the 
aggregate Average RFDs of all members in both Divisions.\40\
---------------------------------------------------------------------------

    \40\ Supra note 14.
---------------------------------------------------------------------------

    Currently, the Rules do not require FICC to contribute its retained 
earnings to losses and liabilities other than those from member 
defaults. Under the proposal, FICC would expand the application of its 
corporate contribution beyond losses and liabilities as the result of 
the failure of a Defaulting Member to fulfill its obligations to FICC. 
The proposed Corporate Contribution would apply to losses or 
liabilities relating to or arising out of Defaulting Member Events and 
Declared Non-Default Loss Events, and would be a mandatory loss 
contribution by FICC prior to any allocation of the loss among the 
applicable Division's members.
    Current Section 7(b) of GSD Rule 4 and Section 7(c) of MBSD Rule 4 
provide FICC the option to contribute amounts higher than the specified 
percentage of retained earnings as determined by the Board of 
Directors, to any loss or liability incurred by FICC as the result of 
the failure of a Defaulting Member to fulfill its obligations to FICC. 
This option would be retained and expanded under the proposal to also 
cover non-default losses. Proposed Section 7a of GSD Rule 4 and MBSD 
Rule 4 would provide that nothing in the Rules would prevent FICC from 
voluntarily applying amounts greater than the Corporate Contribution 
against any FICC loss or liability, whether arising out of or relating 
to a Defaulting Member Event or a Declared Non-Default Loss Event, if 
the Board of Directors, in its sole discretion, believes such to be 
appropriate under the factual situation existing at the time.
    Proposed Section 7 of GSD Rule 4 and MBSD Rule 4 would provide that 
FICC shall apply the Corporate Contribution to losses and liabilities 
that arise out of or relate to one or more Defaulting Member Events 
and/or (ii) Declared Non-Default Loss Events that occur within an Event 
Period. The proposed rule change also provides that if losses and 
liabilities with respect to such Event Period remain unsatisfied 
following application of the Corporate Contribution, FICC would 
allocate such losses and liabilities to members, as described below.
    As proposed, Section 7 of GSD Rule 4 and MBSD Rule 4 would retain 
the differentiation in allocating losses to Tier One Netting Members or 
Tier One Members, as applicable, and Tier Two Members. Specifically, as 
is the case today, losses or liabilities that arise out of or relate to 
one or more Defaulting Member Events would be attributable to Tier One 
Netting Members or Tier One Members, as applicable, and Tier Two 
Members, while losses or liabilities that arise out of or relate to one 
or more Declared Non-Default Loss Events would only be attributable to 
Tier One Netting Members or Tier One Members, as applicable. Tier Two 
Members would not be subject to loss allocation with respect to 
Declared Non-Default Loss Events.
    Under the proposal, FICC would delete the provision in current 
Section 7(h) of GSD Rule 4 and MBSD Rule 4 that requires FICC to 
promptly notify members and the Commission of the amounts involved and 
the causes if a Remaining Loss or Other Loss occurs because such 
notification would no longer be necessary under the proposed rule 
change. Under the proposed rule change, FICC would notify members 
subject to loss allocation of the amounts being allocated to them in 
one or more Loss Allocation Notices for both Defaulting Member Events 
and Declared Non-Default Loss Events. As such, in order to conform to 
the proposed rule change, FICC is proposing to eliminate the 
notification to members regarding the amounts involved and the causes 
if a Remaining Loss or Other Loss occurs that is required under current 
Section 7(h) of GSD Rule 4 and MBSD Rule 4. FICC is also proposing to 
delete the notification to the Commission regarding the amounts 
involved and the causes if a Remaining Loss or Other Loss occurs as 
required in the same section. While as a practical matter, FICC would 
notify the Commission of a decision to loss allocate, FICC does not 
believe such notification needs to be specified in the Rules.
    In addition, FICC is proposing to clarify the provision related to 
Off-the-Market Transactions so that it is clear that loss or liability 
of FICC in connection with the close-out or liquidation of an Off-the-
Market Transaction in the portfolio of a Defaulting Member would be 
allocated to the Member that was the counterparty to such transaction.
Tier One Netting Members/Tier One Members
    For Tier One Netting Members or Tier One Members, as applicable, 
proposed Section 7 of GSD Rule 4 and MBSD Rule 4 would establish the 
concept of an ``Event Period'' to provide for a clear and transparent 
way of handling multiple loss events occurring in a period of ten (10) 
Business Days, which would be grouped into an Event Period.\41\ As 
stated above, both Defaulting Member Events or Declared Non-Default 
Loss Events could occur within the same Event Period.
---------------------------------------------------------------------------

    \41\ Supra note 16.
---------------------------------------------------------------------------

    Under the proposal, an Event Period with respect to a Defaulting 
Member Event would begin on the day FICC notifies members that it has 
ceased to act for the Defaulting Member (or the next Business Day, if 
such day is not a Business Day). In the case of a Declared Non-Default 
Loss Event, an Event Period

[[Page 34206]]

would begin on the day that FICC notifies members of the Declared Non-
Default Loss Event (or the next Business Day, if such day is not a 
Business Day). If a subsequent Defaulting Member Event or Declared Non-
Default Loss Event occurs during an Event Period, any losses or 
liabilities arising out of or relating to any such subsequent event 
would be resolved as losses or liabilities that are part of the same 
Event Period, without extending the duration of such Event Period.
    Proposed Section 7 of GSD Rule 4 and MBSD Rule 4 would also retain 
the requirement of loss allocation among Tier One Netting Members or 
Tier One Members, as applicable, if a loss or liability remains after 
the application of the Corporate Contribution, as described above. In 
contrast to the current Section 7 where FICC would assess the Required 
Fund Deposits of Tier One Netting Members or Tier One Members, as 
applicable, to allocate losses, under the proposal, FICC would require 
Tier One Netting Members or Tier One Members, as applicable, to pay 
their loss allocation amounts (leaving their Required Fund Deposits 
intact).\42\ Loss allocation obligations would continue to be 
calculated based upon a Tier One Netting Member's or Tier One Member's, 
as applicable, pro rata share of losses and liabilities (although the 
pro rata share would be calculated differently than it is today), and 
Tier One Netting Members or Tier One Members, as applicable, would 
still retain the ability to voluntarily withdraw from membership and 
cap their loss allocation obligation (although the loss allocation 
obligation would also be calculated differently than it is today).
---------------------------------------------------------------------------

    \42\ FICC believes that shifting from the two-step methodology 
of applying the respective Division's Clearing Fund and then 
requiring members to immediately replenish it to requiring direct 
payment would increase efficiency, while preserving the right to 
charge the member's Clearing Fund deposits in the event the member 
does not timely pay. Such a failure to pay would trigger recourse to 
the Clearing Fund deposits of the member under proposed Section 6 of 
GSD Rule 4 or MBSD Rule 4, as applicable. In addition, this change 
would provide greater stability for FICC in times of stress by 
allowing FICC to retain the respective Division's Clearing Fund, its 
critical prefunded resource, while charging loss allocations. FICC 
believes doing so would allow FICC to cover the respective 
Division's current credit exposures to its Members at all times. By 
retaining the GSD and MBSD Clearing Funds as proposed, FICC could 
use the Clearing Funds to secure the performance obligations of 
Members to their respective Division, including their payment 
obligation for any loss allocation, while maintaining access to 
prefunded resources. By being able to manage the respective 
Division's current credit exposures throughout the loss allocation 
process, FICC would be able to continue to provide its critical 
operations and services during what would be expected to be a 
stressful period.
---------------------------------------------------------------------------

    The proposed rule change to Section 7 of GSD Rule 4 and MBSD Rule 4 
would clarify that each Tier One Netting Member or Tier One Member, as 
applicable, that is a Tier One Netting Member or Tier One Member on the 
first day of an Event Period would be obligated to pay its pro rata 
share of losses and liabilities arising out of or relating to each 
Defaulting Member Event (other than a Defaulting Member Event with 
respect to which it is the Defaulting Member) and each Declared Non-
Default Loss Event occurring during the Event Period. The proposal 
would make it clear that any Tier One Netting Member or Tier One 
Member, as applicable, for which FICC ceases to act on a non-Business 
Day, triggering an Event Period that commences on the next Business 
Day, shall be deemed to be a Tier One Netting Member or Tier One 
Member, as applicable, on the first day of that Event Period.
    Under the proposed rule change, a loss allocation ``round'' would 
mean a series of loss allocations relating to an Event Period, the 
aggregate amount of which is limited by the round cap. When the 
aggregate amount of losses allocated in a round equals the round cap, 
any additional losses relating to the applicable Event Period would be 
allocated in one or more subsequent rounds, in each case subject to a 
round cap for that round. FICC may continue the loss allocation process 
in successive rounds until all losses from the Event Period are 
allocated among Tier One Netting Members or Tier One Members, as 
applicable, that have not submitted a Loss Allocation Withdrawal Notice 
in accordance with proposed Section 7b of GSD Rule 4 or MBSD Rule 4.
    As proposed, each loss allocation would be communicated to the Tier 
One Netting Members or Tier One Members, as applicable, by the issuance 
of a Loss Allocation Notice. Under the proposal, each Tier One Netting 
Member's or Tier One Member's, as applicable, pro rata share of losses 
and liabilities to be allocated in any round would be equal to (i) the 
member's Average RFD divided by (ii) the sum of Average RFD amounts of 
all members subject to loss allocation in such round.
    Each Loss Allocation Notice would specify the relevant Event Period 
and the round to which it relates. The first Loss Allocation Notice in 
any first, second, or subsequent round would expressly state that such 
Loss Allocation Notice reflects the beginning of the first, second, or 
subsequent round, as the case may be, and that each Tier One Netting 
Member or Tier One Member, as applicable, in that round has five (5) 
Business Days from the issuance of such first Loss Allocation Notice 
for the round to notify FICC of its election to withdraw from 
membership with GSD or MBSD, as applicable, pursuant to proposed 
Section 7b of GSD Rule 4 or MBSD Rule 4, as applicable, and thereby 
benefit from its Loss Allocation Cap.\43\ As proposed, the ``Loss 
Allocation Cap'' of a Tier One Netting Member or a Tier One Member, as 
applicable, would be equal to the greater of (x) its Required Fund 
Deposit on the first day of the applicable Event Period and (y) its 
Average RFD.
---------------------------------------------------------------------------

    \43\ Supra note 19.
---------------------------------------------------------------------------

    FICC is proposing to clarify that after a first round of loss 
allocation with respect to an Event Period, only Tier One Netting 
Members or Tier One Members, as applicable, that have not submitted a 
Loss Allocation Withdrawal Notice in accordance with proposed Section 
7b of GSD Rule 4 or MBSD Rule 4, as applicable, would be subject to 
further loss allocation with respect to that Event Period.
    As proposed, each such member's pro rata share of losses and 
liabilities to be allocated in any round would be equal to (i) the 
member's Average RFD, divided by (ii) the sum of the Average RFD 
amounts of all members subject to loss allocation in such round. Each 
such member would have a maximum payment obligation with respect to any 
loss allocation round that would be equal to the greater of (x) its 
Required Fund Deposit on the first day of the applicable Event Period 
or (y) its Average RFD (such amount would be each member's ``Loss 
Allocation Cap''). Therefore, the sum of the Loss Allocation Caps of 
the members subject to loss allocation would constitute the maximum 
amount that FICC would be permitted to allocate in each round. FICC 
would retain the loss allocation limit of $5 million for Inter-Dealer 
Broker Netting Members, or Non-IDB Repo Brokers with respect to 
activities in their Segregated Broker Accounts, as discussed above.
    As proposed, Section 7 of GSD Rule 4 and MBSD Rule 4, would also 
provide that, to the extent that a Tier One Netting Member's or Tier 
One Member's, as applicable, Loss Allocation Cap exceeds such member's 
Required Fund Deposit on the first day of the applicable Event Period, 
FICC may, in its discretion, retain any excess amounts on deposit from 
the member, up to the Loss Allocation Cap of the Tier One Netting 
Member or Tier One Member, as applicable.

[[Page 34207]]

    As proposed, Tier One Netting Members or Tier One Members, as 
applicable, would have two (2) Business Days after FICC issues a first 
round Loss Allocation Notice to pay the amount specified in any such 
notice.\44\ On a subsequent round (i.e., if the first round did not 
cover the entire loss of the Event Period because FICC was only able to 
allocate up to the round cap), these members would also have two (2) 
Business Days after notice by FICC to pay their loss allocation amounts 
(again subject to their Loss Allocation Caps), unless the members have 
notified (or will timely notify) FICC of their election to withdraw 
from membership with respect to a prior loss allocation round.
---------------------------------------------------------------------------

    \44\ Supra note 22.
---------------------------------------------------------------------------

    Under the proposal, if a Tier One Netting Member or Tier One 
Member, as applicable, fails to make its required payment in respect of 
a Loss Allocation Notice by the time such payment is due, FICC would 
have the right to proceed against such member as a Defaulting Member 
that has failed to satisfy an obligation in accordance with proposed 
Section 6 of GSD Rule 4 or MBSD Rule 4 described above. Members who 
wish to withdraw from membership would be required to comply with the 
requirements in proposed Section 7b of GSD Rule 4 and MBSD Rule 4, 
described further below. Specifically, proposed Section 7 of GSD Rule 4 
and MBSD Rule 4 would provide that if, after notifying FICC of its 
election to withdraw from membership pursuant to proposed Section 7b of 
GSD Rule 4 or MBSD Rule 4, as applicable, the Tier One Netting Member 
or Tier One Member, as applicable, fails to comply with the provisions 
of proposed Section 7b of GSD Rule 4 or MBSD Rule 4, as applicable, its 
notice of withdrawal would be deemed void and any further losses 
resulting from the applicable Event Period may be allocated against it 
as if it had not given such notice.
    FICC is proposing to delete the provisions in the current GSD Rule 
4 and MBSD Rule 4 that require FICC to assess the Required Fund Deposit 
maintained by each Tier One Netting Member or Tier One Member, as 
applicable, an amount up to $50,000, in an equal basis per such member, 
before allocating losses to Tier One Netting Members or Tier One 
Members, as applicable, ratably, in accordance with each such member's 
Required Fund Deposit and Average Required FICC Clearing Fund Deposit 
or Average Required Clearing Fund Deposit, as applicable. FICC believes 
that in the event of a loss or liability, this assessment is unlikely 
to alleviate the need for loss mutualization and creates an unnecessary 
administrative burden for each Division. FICC believes that moving 
straight to the loss mutualization described herein would be more 
practical. This proposed change would also streamline each Division's 
loss allocation waterfall processes and align such processes with those 
of the other DTCC Clearing Agencies.
Tier Two Members
    FICC is not proposing any substantive change to the provisions 
regarding Tier Two Members in current Section 7 of GSD Rule 4 and MBSD 
Rule 4, except to (i) add a subheading of ``Tier Two Members'' in the 
beginning of these provisions for ease of identification and (ii) add a 
paragraph that makes it clear that if a Tier Two Member fails to make 
its required payment in respect of a Loss Allocation Notice by the time 
such payment is due, FICC would have the right to proceed against such 
member as a Defaulting Member that has failed to satisfy an obligation 
in accordance with proposed Section 6 of GSD Rule 4 or MBSD Rule 4 
described above, consistent with the proposed change regarding Tier One 
Netting Members or Tier One Members, as applicable.
Withdrawal From Membership
    Proposed Section 7b of GSD Rule 4 and MBSD Rule 4 would include the 
provisions regarding withdrawal from membership currently covered by 
Section 7(g) of GSD Rule 4 and MBSD Rule 4. FICC believes that 
relocating the provisions on withdrawal from membership as it pertains 
to loss allocation, so that it comes right after the section on the 
loss allocation waterfall, would provide for the better organization of 
GSD Rule 4 and MBSD Rule 4. As proposed, the subheading for Section 7b 
of GSD Rule 4 and MBSD Rule 4 would read ``Withdrawal Following Loss 
Allocation.''
    Currently, Section 7(g) of GSD Rule 4 and MBSD Rule 4 provides that 
a member may, pursuant to current Section 13 of GSD Rule 3 or MBSD Rule 
3, notify FICC by the Close of Business on the Business Day on which a 
payment in an amount necessary to cover losses allocated to such member 
after the application of its Required Fund Deposit is due, of its 
election to terminate its membership and thereby avail itself of a cap 
on loss allocation, which is currently its Required Fund Deposit as 
fixed on the Business Day the pro rata charge loss allocation 
notification is provided to such member.
    As stated above, under the proposed rule change, Section 7 of GSD 
Rule 4 and MBSD Rule 4 would provide that a Tier One Netting Member or 
a Tier One Member, as applicable, who wishes to withdraw from 
membership in respect of a loss allocation round must provide notice of 
its election to withdraw (``Loss Allocation Withdrawal Notice'') within 
five (5) Business Days from the issuance of the first Loss Allocation 
Notice in any round.\45\ In order to avail itself of its Loss 
Allocation Cap, such member would need to follow the requirements in 
proposed Section 7b of GSD Rule 4 and MBSD Rule 4, as applicable, which 
would provide that such member must: (i) Specify in its Loss Allocation 
Withdrawal Notice an effective date for withdrawal from membership, 
which date shall not be prior to the scheduled final settlement date of 
any remaining obligations owed by the member to FICC, unless otherwise 
approved by FICC, and (ii) as of the time of such member's submission 
of the Loss Allocation Withdrawal Notice, cease submitting transactions 
to FICC for processing, clearance or settlement, unless otherwise 
approved by FICC.
---------------------------------------------------------------------------

    \45\ Supra note 19.
---------------------------------------------------------------------------

    Proposed Section 7b of GSD Rule 4 and MBSD Rule 4 would provide 
that a Tier One Netting Member or a Tier One Member, as applicable, 
that withdraws in compliance with the requirements of proposed Section 
7b of GSD Rule 4 or MBSD Rule 4, as applicable, would nevertheless 
remain obligated for its pro rata share of losses and liabilities with 
respect to any Event Period for which it is otherwise obligated under 
proposed GSD Rule 4 or MBSD Rule 4, as applicable; however, the Tier 
One Netting Member's or Tier One Member's, as applicable, aggregate 
obligation would be limited to the amount of its Loss Allocation Cap 
(as fixed in the round for which it withdrew).
    FICC is proposing to include a sentence in proposed Section 7b of 
GSD Rule 4 and MBSD Rule 4 to make it clear that if the Tier One 
Netting Member or Tier One Member, as applicable, fails to comply with 
the requirements set forth in that section, its Loss Allocation 
Withdrawal Notice will be deemed void, and such member will remain 
subject to further loss allocations pursuant to proposed Section 7 of 
GSD Rule 4 and MBSD Rule 4 as if it had not given such notice.
    For better organization of the subject matter, FICC is also 
proposing to move the provision that covers members' obligations to 
eliminate any deficiency in their Required Fund Deposits from the last 
sentence in the first paragraph of current Section 7(g) of GSD Rule 4

[[Page 34208]]

and MBSD Rule 4 to proposed Section 9 of GSD Rule 4 and MBSD Rule 4.
Section 8
    As proposed, Section 8 of GSD Rule 4 and MBSD Rule 4 would cover 
the provisions on the return of a member's Clearing Fund deposit that 
are currently covered by Section 10 of GSD Rule 4 and MBSD Rule 4. 
Proposed Section 8's subheading would be ``Return of Members' Clearing 
Fund Deposits.''
    FICC is proposing changes to streamline and enhance the clarity and 
readability of this section, including adding language to clarify that 
a member's obligations to FICC would include both matured as well as 
contingent obligations, but is otherwise retaining the substantive 
provisions of this section.
Section 9
    FICC is proposing to renumber Section 8 of GSD Rule 4 and MBSD Rule 
4, which addresses the timing of members' payment of the respective 
Division's Clearing Fund. Under the proposal, this section would be 
renumbered as Section 9 of GSD Rule 4 and MBSD Rule 4 and retitled to 
``Initial Required Fund Deposit and Changes in Members' Required Fund 
Deposits'' to better reflect the subject matter of this section.
    Currently, Section 8 of GSD Rule 4 and MBSD Rule 4 requires members 
to satisfy any increase in their Required Fund Deposit requirement 
within such time as FICC requires. FICC is proposing to clarify that at 
the time the increase becomes effective, the member's obligations to 
FICC will be determined in accordance with the increased Required Fund 
Deposit whether or not the member has satisfied such increased amount. 
FICC is also proposing to add language to clarify that (i) if FICC 
applies a GSD Netting Member's or an MBSD Clearing Member's Clearing 
Fund deposits as permitted pursuant to GSD Rule 4 or MBSD Rule 4, as 
applicable, FICC may take any and all actions with respect to the GSD 
Netting Member's or MBSD Clearing Member's Actual Deposit, including 
assignment, transfer, and sale of any Eligible Clearing Fund 
Securities, that FICC determines is appropriate, and (ii) if such 
application results in any deficiency in the GSD Netting Member's or 
MBSD Clearing Member's, as applicable, Required Fund Deposit, such 
member shall immediately replenish it. These clarifications are 
consistent with the Divisions' rights as set forth in current Sections 
4 and 11 of GSD Rule 4 and current Sections 4 and 11 of MBSD Rule 4. In 
addition, the provisions in clause (ii) of the previous sentence is 
consistent with the requirements in current Section 1 of GSD Rule 4 and 
MBSD Rule 4 that a member must maintain its Required Fund Deposit.
    As discussed above, for better organization of the subject matter, 
FICC is proposing to move the provision that covers members' 
obligations to eliminate any deficiency in their Required Fund Deposits 
from the last sentence in the first paragraph of current Section 7(g) 
of GSD Rule 4 and MBSD Rule 4 to proposed Section 9 of GSD Rule 4 and 
MBSD Rule 4.
Section 10
    Currently, Section 9 of GSD Rule 4 and MBSD Rule 4 addresses 
situations where a member has excess on deposit in the Clearing Fund 
(i.e., amounts above its Required Fund Deposit). The current provision 
provides that FICC will notify a member of any Excess Clearing Fund 
Deposit as FICC determines from time to time. Upon the request of a 
member, FICC will return an excess amount requested by a member that 
follows the formats and timeframe established by FICC for such request. 
The current provision makes clear that FICC may, in its discretion, 
withhold any or all of a member's Excess Clearing Fund Deposit (i) if 
the member has an outstanding payment obligation to FICC, (ii) if FICC 
determines that the member's anticipated activity over the next 90 
calendar days may reasonably be expected to be materially different 
than the prior 90 calendar days, or (iii) if the member has been placed 
on the Watch List. Section 9 also makes clear that the return of an 
Excess Clearing Fund Deposit to any member is subject to (i) such 
return of Excess Clearing Fund Deposit not being done in a manner that 
would cause the member to violate any other section of the Rules, (ii) 
such return not reducing the amount of the member's Cross-Guaranty 
Repayment Deposit to the Clearing Fund below the amount required to be 
maintained by the member pursuant to GSD Rule 41 or MBSD Rule 32, as 
applicable, and (iii) with respect to GSD Members only, such return not 
reducing the amount of a GSD Member's Cross-Margining Repayment Deposit 
to the Clearing Fund below the amount required to be maintained by the 
GSD Member pursuant to GSD Rule 43.
    FICC is proposing to renumber Section 9 as Section 10 for both GSD 
Rule 4 and MBSD Rule 4 and to retitle its subheading to ``Excess 
Clearing Fund Deposits'' to better reflect the subject matter of the 
provisions. FICC is not proposing any changes to this section except to 
streamline and clarify the provisions as well as to align GSD Rule 4 
and MBSD Rule 4, including adding a sentence to clarify that nothing in 
this section limits FICC's rights under Section 7 of GSD Rule 3 or 
Section 6 of MBSD Rule 3, as applicable.
Section 11
    Current Section 11 of GSD Rule 4 and MBSD Rule 4 provides that FICC 
has certain rights with respect to the Clearing Fund. FICC is proposing 
to add a sentence which would make it clear that GSD Rule 4 or MBSD 
Rule 4, as applicable, would govern in the event of any conflict or 
inconsistency between such rule and any agreement between FICC and any 
member. FICC believes that this proposed change would facilitate 
members' understanding of the Rules and their obligations thereunder. 
It would also align the Rules with the Rules and Procedures of NSCC so 
as to provide consistent treatment for firms that are members of both 
FICC and NSCC.\46\ Furthermore, in order to enhance the readability and 
clarity, FICC is proposing a number of changes to streamline the 
language in this section.
---------------------------------------------------------------------------

    \46\ See Section 12 of Rule 4 in NSCC's Rules and Procedures, 
available at http://www.dtcc.com/~/media/Files/Downloads/legal/
rules/nscc_rules.pdf.
---------------------------------------------------------------------------

(ii) Other Proposed Rule Changes
    FICC is proposing changes to GSD Rule 1 (Definitions), GSD Rule 3 
(Ongoing Membership Requirements), GSD Rule 3A (Sponsoring Members and 
Sponsored Members), GSD Rule 3B (Centrally Cleared Institutional 
Triparty Service), GSD Rule 13 (Funds-Only Settlement), GSD Rule 18 
(Special Provisions for Repo Transactions), GSD Rule 21A (Wind-Down of 
a Netting Member), GSD Rule 22B (Corporation Default), GSD Rule 41 
(Cross Guaranty Agreements), GSD Rule 43 (Cross-Margining 
Arrangements), GSD Board Interpretations and Statements of Policy, and 
GSD Interpretive Guidance with Respect to Watch List Consequences. FICC 
is also proposing changes to MBSD Rule 1 (Definitions), MBSD Rule 3 
(Ongoing Membership Requirements), MBSD Rule 5 (Trade Comparison), MBSD 
Rule 11 (Cash Settlement), MBSD Rule 17A (Corporation Default), MBSD 
Rule 32 (Cross Guaranty Agreements), and MBSD Interpretive Guidance 
with Respect to Watch List Consequences. FICC is proposing changes to 
these Rules in order to conform them with the proposed changes to GSD 
Rule 4 and MBSD Rule 4, as applicable, as well as

[[Page 34209]]

to make certain technical changes to these Rules, as further described 
below.
Adding Defined Terms
    Specifically, FICC is proposing to add the following defined terms 
to GSD Rule 1, in alphabetical order: Actual Deposit, Average RFD, CCIT 
Member Termination Date, CCIT Member Voluntary Termination Notice, 
Clearing Fund Cash, Corporate Contribution, Declared Non-Default Loss 
Event, Defaulting Member Event, Event Period, Excess Clearing Fund 
Deposit, Former Sponsored Members, Lender, Loss Allocation Cap, Loss 
Allocation Notice, Loss Allocation Withdrawal Notice, Sponsored Member 
Termination Date, Sponsored Member Voluntary Termination Notice, 
Sponsoring Member Termination Date, Sponsoring Member Voluntary 
Termination Notice, Termination Date, and Voluntary Termination Notice.
    FICC is also proposing to add the following defined terms to MBSD 
Rule 1, in alphabetical order: Actual Deposit, Average RFD, Clearing 
Fund Cash, Corporate Contribution, Declared Non-Default Loss Event, 
Defaulting Member Event, Event Period, Excess Clearing Fund Deposit, 
Lender, Loss Allocation Cap, Loss Allocation Notice, Loss Allocation 
Withdrawal Notice, Termination Date, and Voluntary Termination Notice.
Technical Changes
    In addition, FICC is proposing technical changes (i) to delete the 
defined term ``The Corporation'' in GSD Rule 1 and replace it with 
``Corporation'' in GSD Rule 1, (ii) to correct cross-references in 
Section 8 of MBSD Rule 5 and the definition of ``Legal Risk'' in GSD 
Rule 1, (iii) to update references to sections that would be changed 
under this proposal in Section 12 of GSD Rule 3, Sections 10 and 12(a) 
of GSD Rule 3A, Section 3(f) of GSD Rule 18, GSD Rule 21A, Sections 
3(a), 3(b) and 4 of GSD Rule 41, Section 6 of GSD Rule 43, GSD 
Interpretive Guidance with Respect to Watch List Consequences, Sections 
11, 14, and 15 of MBSD Rule 3, Section 3(b) of MBSD Rule 32, and MBSD 
Interpretive Guidance with Respect to Watch List Consequences, (iv) to 
update the reference to a subheading that would be changed under this 
proposal in Section 7 of GSD Rule 3B, and (v) to delete a reference to 
the Cross-Margining Agreement between FICC and NYPC that is no longer 
in effect. FICC believes that these proposed technical changes would 
ensure the Rules remain clear and accurate, which would in turn allow 
Members to readily understand their obligations under the Rules.
Voluntary Termination
    FICC is also proposing changes to the voluntary termination 
provisions in GSD Rule 3, GSD Rule 3A, GSD Rule 3B, and MBSD Rule 3 in 
order to ensure that termination provisions in the GSD Rules and MBSD 
Rules, whether voluntary or in response to a loss allocation, are 
consistent with one another to the extent appropriate.
    Currently, the voluntary termination provisions in GSD Rule 3, GSD 
Rule 3A, GSD Rule 3B, and MBSD Rule 3 generally provide that a member 
may elect to terminate its membership by providing FICC with 10 days 
written notice of such termination. Such termination will not be 
effective until accepted by FICC, which shall be no later than 10 
Business Days after the receipt of the notice. FICC's acceptance shall 
be evidenced by a notice to FICC's members announcing the member's 
termination and the effective date of the termination (``Termination 
Date''), and that the terminating member will no longer be eligible to 
submit transactions to FICC as of the Termination Date.\47\ This 
provision also provides that a member's voluntary termination of 
membership shall not affect its obligations to FICC.
---------------------------------------------------------------------------

    \47\ Account(s) of a terminating member would generally be 
deactivated before the open of business on the Termination Date.
---------------------------------------------------------------------------

    Where appropriate, FICC is proposing changes to align the voluntary 
termination provisions in Section 13 of GSD Rule 3, Sections 2(i) and 
3(e) of GSD Rule 3A, Section 6 of GSD Rule 3B, and Section 14 of MBSD 
Rule 3 with the proposed new Section 7b of GSD Rule 4 and MBSD Rule 4, 
given that they all address termination of membership. Specifically, in 
Section 13 of GSD Rule 3, FICC is proposing that when a GSD Member 
elects to voluntarily terminate its membership by providing FICC a 
written notice of such termination (``Voluntary Termination Notice''), 
the GSD Member must specify in its Voluntary Termination Notice a 
desired date for its withdrawal from membership; provided, however, if 
the GSD Member is terminating its membership in GSD (i.e., not 
terminating its membership just in the Netting System), such date shall 
not be prior to the scheduled final settlement date of any remaining 
obligation owed by the GSD Member to FICC as of the time such Voluntary 
Termination Notice is submitted to FICC, unless otherwise approved by 
FICC. FICC is proposing to delete the provision that requires a member 
to provide FICC with 10 days written notice of the member's 
termination; however, FICC is retaining the provision that states 
termination will not be effective until accepted by FICC,\48\ which 
shall be no later than 10 Business Days after the receipt of the 
notice. FICC is also retaining the provision that states FICC's 
acceptance shall be evidenced by a notice to FICC's members announcing 
the member's termination and the Termination Date, and that the 
terminating member will no longer be eligible to submit transactions to 
FICC as of the Termination Date.
---------------------------------------------------------------------------

    \48\ Unlike the Voluntary Termination Notice, the Loss 
Allocation Withdrawal Notice as proposed in Section 7b of GSD Rule 4 
and MBSD Rule 4 does not require explicit acceptance by FICC to be 
effective. FICC believes that requiring explicit acceptance of the 
Loss Allocation Withdrawal Notice could complicate the loss 
allocation process and potentially result in membership withdrawal 
being delayed as well as detract from the objective to have FICC 
know on a timely basis which members would remain subject to the 
subsequent rounds of loss allocation.
---------------------------------------------------------------------------

    As an example, Member A submits a Voluntary Termination Notice to 
GSD on April 1st indicating its desired termination date is June 15th. 
GSD would accept such termination request by issuing a notice to GSD 
Members within 10 Business Days from April 1st; such notice would 
provide that the effective date of Member A's GSD membership 
termination is June 15th. In contrast, if Member A submits a Voluntary 
Termination Notice on April 1st and indicates its desired termination 
date is April 5th, GSD would either (i) accept such termination notice 
by issuing a notice to GSD Members on or before April 5th, and such 
notice would provide that the effective date of Member A's GSD 
membership termination is April 5th or (ii) if GSD requires additional 
time to process the termination, GSD would accept such termination 
notice by issuing notice to GSD Members after April 5th but still 
within 10 Business Days from April 1st; and such notice would provide 
that the effective date of Member A's GSD membership termination as a 
date after April 5th.
    The proposed change to Section 13 of GSD Rule 3 would also provide 
that if any trade is submitted to FICC either by the withdrawing GSD 
Member or its authorized submitter that is scheduled to settle on or 
after the Termination Date, the GSD Member's Voluntary Termination 
Notice would be deemed void and the GSD Member would remain subject to 
the GSD Rules as if it had not given such notice. Furthermore, FICC is 
proposing to add a sentence to Section 13 of GSD Rule 3 to refer GSD 
Members to Section 8 of GSD Rule 4

[[Page 34210]]

regarding provisions on the return of a GSD Member's Clearing Fund 
deposit and to specify that if an Event Period were to occur after a 
Tier One Netting Member has submitted its Voluntary Termination Notice 
but prior to the Termination Date, in order for such Tier One Netting 
Member to benefit from its Loss Allocation Cap pursuant to Section 7 of 
GSD Rule 4, the Tier One Netting Member would need to comply with the 
provisions of Section 7b of GSD Rule 4 and submit a Loss Allocation 
Withdrawal Notice, which notice, upon submission, would supersede and 
void any pending Voluntary Termination Notice previously submitted by 
the Tier One Netting Member.\49\ As an example, if an Event Period 
occurs after submission of the Voluntary Termination Notice by a Tier 
One Netting Member or Tier One Member, as applicable, but prior to the 
Termination Date, and the Tier One Netting Member or Tier One Member, 
as applicable, does not subsequently submit a Loss Allocation 
Withdrawal Notice as proposed in Section 7b of GSD Rule 4 or MBSD Rule 
4, as applicable, then the Tier One Netting Member or Tier One Member, 
as applicable, would not benefit from its Loss Allocation Cap, i.e., 
the Tier One Netting Member or Tier One Member, as applicable, would 
remain obligated for its pro rata share of losses and liabilities with 
respect to any Event Period that commenced prior to the Termination 
Date.
---------------------------------------------------------------------------

    \49\ Loss Allocation Caps would not apply to Tier Two Netting 
Members and Tier Two Members because the loss allocation obligations 
of Tier Two Netting Members and Tier Two Members are already capped 
to the liquidation losses that resulted from their trading activity 
with the Defaulting Member. Tier Two Netting Members and Tier Two 
Members are required to pay their loss allocation obligations in 
full.
---------------------------------------------------------------------------

    Parallel changes are also being proposed to Section 2(i) of GSD 
Rule 3A and Section 14 of MBSD Rule 3 with additional language in 
Section 2(i) of GSD Rule 3A and Section 14 of MBSD Rule 3 making it 
clear that the acceptance by FICC of a member's Voluntary Termination 
Notice shall be no later than ten (10) Business Days after the receipt 
of such notice from the member, in order to provide certainty to 
members as well as to align these sections with the current Section 13 
of GSD Rule 3.
    With respect to Section 3(e) of GSD Rule 3A and Section 6 of GSD 
Rule 3B, changes similar to the ones described above in the previous 
paragraph are also being proposed for Sponsored Members and CCIT 
Members, except there would be no references to the return of a 
member's Clearing Fund deposits and to Loss Allocation Caps because 
they would not apply to these member types. In addition, FICC is 
proposing a technical change in Section 6 of GSD Rule 3B to reflect a 
defined term that would be changed under this proposal.
Other MBSD Proposed Rule Changes
    FICC is proposing to delete Section 15 of MBSD Rule 3 because FICC 
believes that this section is akin to a loss allocation provision and 
therefore would no longer be necessary under the proposed rule change, 
as the scenarios envisioned by Section 15 of MBSD Rule 3 would be 
governed by the proposed loss allocation provisions in MBSD Rule 4.
Other GSD Proposed Rule Changes
    Under the proposal, Section 12(c) of GSD Rule 3A would also be 
revised to incorporate the concept of the Loss Allocation Cap and to 
reference the applicable proposed sections in GSD Rule 4 that would 
apply when a Sponsoring Member elects to terminate its status as a 
Sponsoring Member.
    FICC is also proposing to delete an Interpretation of the Board of 
Directors of the Government Securities Clearing Corporation (the 
predecessor to GSD), which currently clarifies certain provisions of 
GSD Rule 4 and the extent to which the GSD Clearing Fund and other 
required deposits of GSD Netting Members may be applied to a loss or 
liability incurred by FICC. FICC is proposing this deletion because 
this interpretation would no longer be necessary following the proposed 
rule change. This is because the proposed rule change to GSD Rule 4 
would cover the extent to which the GSD Clearing Fund and other 
collateral or assets of GSD Netting Members would be applied to a loss 
or liability incurred by FICC.
Other GSD Proposed Rule Changes and MBSD Proposed Rule Changes
    FICC is proposing changes to Section 11 of GSD Rule 4 and MBSD Rule 
4. Specifically, FICC is proposing to replace ``letters of credit'' 
with ``Eligible Letters of Credit,'' which is already a defined term in 
the Rules. In addition, FICC is proposing to specify that a reference 
to 30 days means 30 calendar days.
    FICC is proposing to delete ``Remaining Loss'' and ``Other Loss'' 
in Sections 12(a) and 12(b) of GSD Rule 3A, Section 5 of GSD Rule 13, 
Section 4 of GSD Rule 41, Section 6 of GSD Rule 43, Section 9(o) of 
MBSD Rule 11, and Section 4 of MBSD Rule 32 because these terms would 
no longer be used under the proposed GSD Rule 4 and MBSD Rule 4, and to 
add clarifying language that conforms to the proposed changes to GSD 
Rule 4 and MBSD Rule 4.
    In addition, FICC is proposing changes to GSD Rule 22B (Corporation 
Default) and MBSD Rule 17A (Corporation Default). FICC is proposing to 
relocate the interpretational parenthetical in each rule to come right 
after the reference to GSD Rule 22A and MBSD Rule 17. FICC is proposing 
this change because, in the event of a Corporation Default, the 
portfolio of each GSD Member or MBSD Member, as applicable, would be 
closed out in the same way as the portfolio of a GSD Defaulting Member 
or MBSD Defaulting Member, i.e., by applying the close out procedures 
of GSD Rule 22A (Procedures for When the Corporation Ceases to Act) or 
MBSD Rule 17 (Procedures for When the Corporation Ceases to Act), as 
applicable. In addition, in the proposed GSD Rule 22B and MBSD Rule 
17A, FICC is proposing to add a reference to the loss allocation 
provisions of GSD Rule 4 and MBSD Rule 4 and delete references to 
specific sections of GSD Rule 4 and MBSD Rule 4, because those sections 
are being modified under the proposed rule change.
Member Outreach
    Beginning in August 2017, FICC conducted outreach to Members in 
order to provide them with advance notice of the proposed changes. As 
of the date of this filing, no written comments relating to the 
proposed changes have been received in response to this outreach. The 
Commission will be notified of any written comments received.
Implementation Timeframe
    Pending Commission approval, FICC expects to implement this 
proposal within two (2) Business Days after approval. Members would be 
advised of the implementation date of this proposal through issuance of 
a FICC Important Notice.
2. Statutory Basis
    FICC believes that the proposed rule change is consistent with the 
requirements of the Act, and the rules and regulations thereunder 
applicable to a registered clearing agency. Specifically, FICC believes 
that the proposed rule change is consistent with Section 17A(b)(3)(F) 
of the Act \50\ and Rules 17Ad-22(e)(13) and 17Ad-22(e)(23)(i),\51\ 
each as promulgated

[[Page 34211]]

under the Act, for the reasons described below.
---------------------------------------------------------------------------

    \50\ 15 U.S.C. 78q-1(b)(3)(F).
    \51\ 17 CFR 240.17Ad-22(e)(13) and (e)(23)(i).
---------------------------------------------------------------------------

    Section 17A(b)(3)(F) of the Act requires that the Rules be designed 
to promote the prompt and accurate clearance and settlement of 
securities transactions and to assure the safeguarding of securities 
and funds which are in the custody or control of each Division or for 
which it is responsible.\52\ The proposed rule changes to (1) modify 
the calculation and application of FICC's corporate contribution, (2) 
introduce an Event Period, (3) introduce the concept of ``rounds'' (and 
accompanying Loss Allocation Notices) and apply this concept to the 
timing of loss allocation payments and the member withdrawal process in 
connection with the loss allocation process, and (4) implement a 
revised ``look-back'' period to calculate a member's loss allocation 
obligation and its Loss Allocation Cap, taken together, are intended to 
enhance the overall resiliency of each Division's loss allocation 
process.
---------------------------------------------------------------------------

    \52\ 15 U.S.C. 78q-1(b)(3)(F).
---------------------------------------------------------------------------

    By modifying the calculation of FICC's corporate contribution, FICC 
would apply a mandatory fixed percentage of its General Business Risk 
Capital Requirement (as compared to the current Rules which provide for 
``up to'' a percentage of retained earnings), which would provide 
greater transparency and accessibility to members as to how much FICC 
would contribute in the event of a loss or liability. By modifying the 
application of FICC's corporate contribution to apply to Declared Non-
Default Loss Events, in addition to Defaulting Member Events, on a 
mandatory basis, FICC would expand the application of its corporate 
contribution beyond losses and liabilities from member defaults, which 
would better align the interests of FICC with those of its respective 
Division's members by stipulating a mandatory application of the 
Corporate Contribution to a Declared Non-Default Loss Event prior to 
any allocation of the loss among Tier One Netting Members or Tier One 
Members, as applicable. Taken together, these proposed rule changes 
would enhance the overall resiliency of each Division's loss allocation 
process by enhancing the calculation and application of FICC's 
Corporate Contribution, which is one of the key elements of each 
Division's loss allocation process. Moreover, by providing greater 
transparency and accessibility to members, as stated above, the 
proposed rule changes regarding the Corporate Contribution, including 
the proposed replenishment period and proposed allocation of FICC 
Corporate Contribution between Divisions, would allow members to better 
assess the adequacy of each Division's loss allocation process.
    By introducing the concept of an Event Period, FICC would be able 
to group Defaulting Member Events and Declared Non-Default Loss Events 
occurring in a period of ten (10) Business Days for purposes of 
allocating losses to members. FICC believes that the Event Period would 
provide a defined structure for the loss allocation process to 
encompass potential sequential Defaulting Member Events or Declared 
Non-Default Loss Events that are likely to be closely linked to an 
initial event and/or market dislocation episode. Having this structure 
would enhance the overall resiliency of FICC's loss allocation process 
because FICC would be better equipped to address losses that may arise 
from multiple Defaulting Member Events and/or Declared Non-Default Loss 
Events that arise in quick succession. Moreover, the proposed Event 
Period structure would provide certainty for members concerning their 
maximum exposure to mutualized losses with respect to such events.
    By introducing the concept of ``rounds'' (and accompanying Loss 
Allocation Notices) and applying this concept to the timing of loss 
allocation payments and the member withdrawal process in connection 
with the loss allocation process, FICC would (i) set forth a defined 
amount that it would allocate to members during each round (i.e., the 
round cap), (ii) advise members of loss allocation obligation 
information as well as round information through the issuance of Loss 
Allocation Notices, and (iii) provide members with the option to limit 
their loss allocation exposure after the issuance of the first Loss 
Allocation Notice in each round. These proposed rule changes would 
enhance the overall resiliency of FICC's loss allocation process 
because they would enable FICC to continue the loss allocation process 
in successive rounds until all of FICC's losses are allocated and 
enable FICC to identify continuing members for purposes of calculating 
subsequent loss allocation obligations in successive rounds. Moreover, 
the proposed rule changes would define for members a clear manner and 
process in which they could cap their loss allocation exposure to FICC.
    By implementing a revised ``look-back'' period to calculate a 
member's loss allocation obligations and its Loss Allocation Cap, FICC 
would be able to capture a full calendar quarter of the member's 
activities and smooth out the impact from any abnormalities and/or 
arbitrariness that may have occurred. By determining a member's loss 
allocation obligations based on the average of its Required Fund 
Deposit over a look-back period and its Loss Allocation Cap based on 
the greater of its Required Fund Deposit or the average thereof over a 
look-back period, FICC would be able to calculate a member's pro rata 
share of losses and liabilities based on the amount of risk that the 
member brings to FICC. These proposed rule changes would enhance the 
overall resiliency of each Division's loss allocation process because 
they would align a member's loss allocation obligation and its Loss 
Allocation Cap with the amount of risk that the member brings to FICC.
    Taken together, the foregoing proposed rule changes would establish 
a stronger (for all the reasons discussed above) and clearer loss 
allocation process for each Division, which FICC believes would allow 
each Division to take timely action to address losses. The ability to 
timely address losses would allow each Division to continue to meet its 
clearance and settlement obligations, especially in circumstances that 
may involve a series of substantially contemporaneous loss events. 
Therefore, FICC believes that these proposed rule changes would promote 
the prompt and accurate clearance and settlement of securities 
transactions, consistent with Section 17A(b)(3)(F) of the Act.
    By deleting certain vague and imprecise limiting language that 
could be interpreted as impairing FICC's ability to access the MBSD 
Clearing Fund to cover losses and liabilities incident to its clearance 
and settlement business outside the context of an MBSD Defaulting 
Member Event, as well as to cover certain liquidity needs, the proposed 
rule change to amend FICC's permitted use of MBSD Clearing Fund would 
enhance FICC's ability to ensure that it can continue its operations 
and clearance and settlement services in an orderly manner in the event 
that it would be necessary or appropriate for FICC to access MBSD 
Clearing Fund deposits to address losses, liabilities or liquidity 
needs to meet its settlement obligations. Therefore, FICC believes that 
this proposed rule change would promote the prompt and accurate 
clearance and settlement of securities transactions, consistent with 
Section 17A(b)(3)(F) of the Act.
    Rule 17Ad-22(e)(13) under the Act requires, in part, that FICC 
establish, implement, maintain and enforce written policies and 
procedures reasonably designed to ensure each

[[Page 34212]]

Division has the authority and operational capacity to take timely 
action to contain losses and continue to meet its obligations.\53\ As 
described above, the proposed rule changes to (1) modify the 
calculation and application of FICC's corporate contribution, (2) 
introduce an Event Period, (3) introduce the concept of ``rounds'' (and 
accompanying Loss Allocation Notices) and apply this concept to the 
timing of loss allocation payments and the member withdrawal process in 
connection with the loss allocation process, and (4) implement a 
revised ``look-back'' period to calculate a member's loss allocation 
obligation and its Loss Allocation Cap, taken together, are designed to 
enhance the resiliency of each Division's loss allocation process. 
Having a resilient loss allocation process would help ensure that each 
Division can effectively and timely address losses relating to or 
arising out of either the default of one or more members or one or more 
non-default loss events, which in turn would help each Division contain 
losses and continue to meet its clearance and settlement obligations. 
Therefore, FICC believes that the proposed rule changes to enhance the 
resiliency of each Division's loss allocation process are consistent 
with Rule 17Ad-22(e)(13) under the Act.
---------------------------------------------------------------------------

    \53\ 17 CFR 240.17Ad-22(e)(13).
---------------------------------------------------------------------------

    Rule 17Ad-22(e)(23)(i) under the Act requires FICC to establish, 
implement, maintain and enforce written policies and procedures 
reasonably designed to publicly disclose all relevant rules and 
material procedures, including key aspects of each Division's default 
rules and procedures.\54\ The proposed rule changes to (i) align the 
loss allocation rules of the DTCC Clearing Agencies, (ii) improve the 
overall transparency and accessibility of the provisions in the Rules 
governing loss allocation and (iii) make conforming and technical 
changes, would not only ensure that each Division's loss allocation 
rules are, to the extent practicable and appropriate, consistent with 
the loss allocation rules of other DTCC Clearing Agencies, but also 
would help to ensure that each Division's loss allocation rules are 
transparent and clear to members. Aligning the loss allocation rules of 
the DTCC Clearing Agencies would provide consistent treatment, to the 
extent practicable and appropriate, especially for firms that are 
participants of two or more DTCC Clearing Agencies. Having transparent 
and clear loss allocation rules would enable members to better 
understand the key aspects of each Division's default rules and 
procedures and provide members with increased predictability and 
certainty regarding their exposures and obligations. As such, FICC 
believes that the proposed rule changes to align the loss allocation 
rules of the DTCC Clearing Agencies as well as to improve the overall 
transparency and accessibility of each Division's loss allocation rules 
are consistent with Rule 17Ad-22(e)(23)(i) under the Act.
---------------------------------------------------------------------------

    \54\ 17 CFR 240.17Ad-22(e)(23)(i).
---------------------------------------------------------------------------

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

    FICC does not believe that the proposed rule changes to enhance the 
resiliency of each Division's loss allocation process would impact 
competition.\55\ As described above, the proposed rule changes to (1) 
modify the calculation and application of FICC's corporate 
contribution, (2) introduce an Event Period, (3) introduce the concept 
of ``rounds'' (and accompanying Loss Allocation Notices) and apply this 
concept to the timing of loss allocation payments and the member 
withdrawal process in connection with the loss allocation process, and 
(4) implement a revised ``look-back'' period to calculate a member's 
loss allocation obligation and its Loss Allocation Cap, taken together, 
are intended to enhance the overall resiliency of each Division's loss 
allocation process, and would apply equally to all members. While the 
proposed rule changes would amend the manner in which FICC's corporate 
contribution and loss allocation are calculated and applied, such 
proposed rule changes would maintain FICC's current core loss 
allocation waterfall in the case of a loss relating to or arising out 
of the default of a member for whom FICC has ceased to act following 
application of the defaulting member's resources, i.e., FICC's 
corporate contribution and loss allocation among members. With respect 
to a loss or liability arising from a non-default loss event, the 
proposed rule changes clarify FICC's contribution to such loss and 
liability, but, as with losses and liabilities arising from a member 
default event, the proposed rule changes would maintain the loss 
mutualization requirement under the current GSD Rules and MBSD Rules. 
While the calculation of the loss obligations associated with non-
default losses would change under the proposal, the FICC Divisions 
would maintain this aspect of the loss allocation waterfall (i.e., loss 
mutualization among members for non-default losses). Based on the 
foregoing, FICC believes that these proposed rule changes to enhance 
the resiliency of each Division's loss allocation process would not 
have any impact on competition.
---------------------------------------------------------------------------

    \55\ 15 U.S.C. 78q-1(b)(3)(I).
---------------------------------------------------------------------------

    FICC does not believe the proposed rule change to delete certain 
vague and imprecise limiting language regarding FICC's use of MBSD 
Clearing Fund would impact competition.\56\ This proposed rule change 
would enhance FICC's ability to ensure that it can continue its 
operations and clearance and settlement services in an orderly manner 
in the event that it would be necessary or appropriate for FICC to 
access MBSD Clearing Fund deposits to address losses, liabilities or 
liquidity needs to meet its settlement obligations. In the event that 
it would be necessary or appropriate for FICC to access MBSD Clearing 
Fund deposits, FICC's use of MBSD Clearing Fund deposits would remain 
subject to the parameters in the proposed rule that limit FICC's use of 
MBSD Clearing Fund, i.e., (A) to secure each MBSD Member's performance 
of obligations to FICC, (B) to provide liquidity to FICC to meet its 
settlement obligations, and (C) for certain investments. FICC does not 
believe that FICC's utilization of MBSD Clearing Fund under these 
parameters would impact competition. Specifically, FICC does not 
believe that using MBSD Clearing Fund to secure each MBSD Member's 
performance of obligations to FICC and for certain investments would 
have an impact on the MBSD Members because the fund and/or investments 
are still being held by FICC. With respect to FICC's use of MBSD 
Clearing Fund pursuant to parameter (B), FICC believes that there may 
be an impact on MBSD Members if FICC uses the MBSD Clearing Fund for 
more than 30 calendar days. This is because FICC would then consider 
the amount of MBSD Clearing Fund used but not yet repaid as a loss to 
the MBSD Clearing Fund incurred as a result of a Defaulting Member 
Event and immediately allocate such loss in accordance with the 
proposal. However, because loss allocation among the MBSD Members would 
be based on the Average RFDs of those MBSD Members, any loss allocation 
among MBSD Members would affect MBSD Members in proportion to the 
amount of risks they bring to FICC, as represented by their Average 
RFDs. Based on the foregoing, FICC does not believe that the proposed 
deletion of the limiting language regarding FICC's use of MBSD Clearing 
Fund would have any impact on competition.
---------------------------------------------------------------------------

    \56\ Id.
---------------------------------------------------------------------------

    FICC also does not believe that the proposed rule changes to (i) 
align the

[[Page 34213]]

loss allocation rules of the DTCC Clearing Agencies, (ii) increase the 
transparency and accessibility of provisions in the Rules governing 
loss allocation, and (iii) make conforming and technical changes, would 
impact competition.\57\ These changes would apply equally to all 
members. Alignment of the loss allocation rules of the DTCC Clearing 
Agencies are intended to increase the consistency of the Rules with the 
rules of other DTCC Clearing Agencies in order to provide consistent 
treatment, to the extent practicable and appropriate, especially for 
firms that are participants of two or more DTCC Clearing Agencies. 
Having transparent and accessible provisions in the Rules governing 
loss allocation are intended to improve the readability and clarity of 
the Rules regarding the loss allocation process. Making conforming and 
technical changes to ensure the Rules remain clear and accurate would 
facilitate members' understanding of the Rules and their obligations 
thereunder. As such, FICC believes that these proposed rule changes 
would not have any impact on competition.
---------------------------------------------------------------------------

    \57\ Id.
---------------------------------------------------------------------------

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

    Written comments relating to this proposed rule change have not 
been solicited or received. FICC will notify the Commission of any 
written comments received by FICC.

III. Solicitation of Comments

    Interested persons are invited to submit written data, views and 
arguments concerning the foregoing. 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-FICC-2017-022 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-FICC-2017-022. 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 FICC and on DTCC's website 
(http://dtcc.com/legal/sec-rule-filings.aspx). All comments received 
will be posted without change. Persons submitting comments are 
cautioned that we do not redact or edit personal identifying 
information from comment submissions. You should submit only 
information that you wish to make available publicly. All submissions 
should refer to File Number SR-FICC-2017-022 and should be submitted on 
or before August 3, 2018.
---------------------------------------------------------------------------

    \58\ 17 CFR 200.30-3(a)(12).

    For the Commission, by the Division of Trading and Markets, 
pursuant to delegated authority.\58\
Eduardo A. Aleman,
Assistant Secretary.
[FR Doc. 2018-15366 Filed 7-18-18; 8:45 am]
 BILLING CODE 8011-01-P



                                                                               Federal Register / Vol. 83, No. 139 / Thursday, July 19, 2018 / Notices                                                      34193

                                                SECURITIES AND EXCHANGE                                  the Commission designated a longer                       II. Clearing Agency’s Statement of the
                                                COMMISSION                                               period within which to approve,                          Purpose of, and Statutory Basis for, the
                                                                                                         disapprove, or institute proceedings to                  Proposed Rule Change
                                                [Release No. 34–83631; File No. SR–FICC–
                                                2017–022]
                                                                                                         determine whether to approve or                             In its filing with the Commission, the
                                                                                                         disapprove the Proposed Rule Change.2                    clearing agency included statements
                                                Self-Regulatory Organizations; Fixed                     On March 20, 2018, the Commission                        concerning the purpose of and basis for
                                                Income Clearing Corporation; Notice of                   instituted proceedings to determine                      the proposed rule change and discussed
                                                Filing of Amendment No. 1 to a                           whether to approve or disapprove the                     any comments it received on the
                                                Proposed Rule Change To Amend the                        Proposed Rule Change; on June 25,                        proposed rule change. The text of these
                                                Loss Allocation Rules and Make Other                     2018, the Commission designated a                        statements may be examined at the
                                                Changes                                                  longer period for Commission action on                   places specified in Item III below. The
                                                                                                         the proceedings to determine whether to                  clearing agency has prepared
                                                July 13, 2018.                                           approve or disapprove the Proposed                       summaries, set forth in sections A, B,
                                                  On December 18, 2017, Fixed Income                     Rule Change.3 On June 28, 2018, FICC                     and C below, of the most significant
                                                Clearing Corporation (‘‘FICC’’) filed                    filed Amendment No. 1 to the Proposed                    aspects of such statements.
                                                with the Securities and Exchange                         Rule Change to amend and replace in its
                                                Commission (‘‘Commission’’), pursuant                    entirety the Proposed Rule Change as                     (A) Clearing Agency’s Statement of the
                                                to Section 19(b)(1) of the Securities                    originally submitted on December 18,                     Purpose of, and Statutory Basis for, the
                                                Exchange Act of 1934 (‘‘Act’’) and Rule                  2017.4 As of the date of this release, the               Proposed Rule Change
                                                19b–4 thereunder, proposed rule change                   Commission has not received any                          1. Purpose
                                                SR–FICC–2017–022 (‘‘Proposed Rule                        comments on the Proposed Rule
                                                Change’’) to amend the loss allocation                                                                            Description of Amendment No. 1
                                                                                                         Change.
                                                rules and make other changes; the                           The Proposed Rule Change, as                            This filing constitutes Amendment
                                                Proposed Rule Change was published                       amended by Amendment No. 1, is                           No. 1 (‘‘Amendment’’) to rule filing SR–
                                                for comment in the Federal Register on                   described in Items I and II below, which                 FICC–2017–022 (‘‘Rule Filing’’)
                                                January 8, 2018.1 On February 8, 2018,                   Items have been prepared by FICC. The                    previously filed by FICC on December
                                                                                                         Commission is publishing this notice to                  18, 2017.6 This Amendment amends
                                                   1 15 U.S.C. 78s(b)(1) and 17 CFR 240.19b–4,
                                                                                                         solicit comments on the Proposed Rule                    and replaces the Rule Filing in its
                                                respectively. Securities Exchange Act Release No.
                                                82427 (January 2, 2018), 83 FR 854 (January 8,           Change, as amended by Amendment No.                      entirety. FICC submits this Amendment
                                                2018) (SR–FICC–2017–022). On December 18, 2017,          1, from interested persons.                              in order to further clarify the operation
                                                FICC filed the Proposed Rule Change as advance                                                                    of the proposed rule changes on loss
                                                notice SR–FICC–2017–806 (‘‘Advance Notice’’) with        I. Clearing Agency’s Statement of the                    allocation by providing additional
                                                the Commission pursuant to Section 806(e)(1) of          Terms of Substance of the Proposed                       information and examples. In particular,
                                                Title VIII of the Dodd-Frank Wall Street Reform and      Rule Change
                                                Consumer Protection Act entitled the Payment,                                                                     this Amendment would:
                                                Clearing, and Settlement Supervision Act of 2010            The proposed rule change consists of                     (i) Clarify which Tier One Netting
                                                (‘‘Clearing Supervision Act’’) and Rule 19b–             modifications to FICC’s Government                       Members and Tier One Members would
                                                4(n)(1)(i) of the Act. (12 U.S.C. 5465(e)(1) and 17
                                                CFR 240.19b–4(n)(1)(i), respectively.) On January        Securities Division (‘‘GSD’’) Rulebook                   be subject to loss allocation with respect
                                                30, 2018, the Commission published in the Federal        (‘‘GSD Rules’’) and Mortgage-Backed                      to Defaulting Member Events (as defined
                                                Register notice of filing of the Advance Notice. The     Securities Division (‘‘MBSD’’ and,                       below and in the proposed rule change)
                                                notice also extended the review period for the           together with GSD, the ‘‘Divisions’’ and,                and Declared Non-Default Loss Events
                                                Advance Notice pursuant to Section 806(e)(1)(H) of
                                                the Clearing Supervision Act. (12 U.S.C.                 each, a ‘‘Division’’) Clearing Rules                     (as defined below and in the proposed
                                                5465(e)(1)(H).) See Securities Exchange Act Release      (‘‘MBSD Rules,’’ and collectively with                   rule change) occurring during an Event
                                                No. 82583 (January 24, 2018), 83 FR 4358 (January        the GSD Rules, the ‘‘Rules’’) in order to                Period (as defined below and in the
                                                30, 2018) (SR–FICC–2017–806). On April 10, 2018,         amend provisions in the Rules regarding                  proposed rule change). Specifically,
                                                the Commission required additional information for                                                                pursuant to the Amendment, proposed
                                                consideration of the Advance Notice, pursuant to         loss allocation as well as make other
                                                Section 806(e)(1)(D) of the Clearing Supervision         changes, as described in greater detail                  Section 7 of GSD Rule 4 and MBSD Rule
                                                Act, which provided the Commission with an               below.5                                                  4 would provide that each Tier One
                                                additional 60-days in the review period beginning                                                                 Netting Member or Tier One Member, as
                                                on the date that the information requested is                                                                     applicable, that is a Tier One Netting
                                                                                                         rules/sro/ficc-an.shtml. The proposal, as set forth in
                                                received by the Commission. (12 U.S.C.
                                                5465(e)(1)(D).) See Memorandum from the Office of
                                                                                                         both the Advance Notice and the Proposed Rule            Member or Tier One Member on the first
                                                                                                         Change, shall not take effect until all required         day of an Event Period would be
                                                Clearance and Settlement Supervision, Division of
                                                                                                         regulatory actions are completed.
                                                Trading and Markets, titled ‘‘Commission’s Request          2 Securities Exchange Act Release No. 82670
                                                                                                                                                                  obligated to pay its pro rata share of
                                                for Additional Information,’’ available at http://                                                                losses and liabilities arising out of or
                                                www.sec.gov/rules/sro/ficc-an.shtml. On June 28,         (February 8, 2018), 83 FR 6626 (February 14, 2018)
                                                2018, FICC filed Amendment No. 1 to the Advance          (SR–DTC–2017–022; SR–FICC–2017–022; SR–                  relating to each Defaulting Member
                                                Notice. To promote the public availability and           NSCC–2017–018).                                          Event (other than a Defaulting Member
                                                                                                            3 Securities Exchange Act Release No. 82909
                                                transparency of its post-notice amendment, FICC                                                                   Event with respect to which it is the
                                                submitted a copy of Amendment No. 1 through the          (March 20, 2018), 83 FR 12990 (March 26, 2018)
                                                                                                         (SR–FICC–2017–022); Securities Exchange Act
                                                                                                                                                                  Defaulting Member (as defined below
                                                Commission’s electronic public comment letter
                                                mechanism. Accordingly, Amendment No. 1 to the           Release No. 83510 (June 25, 2018), 83 FR 30791           and in the proposed rule change)) and
                                                Advance Notice has been posted on the                    (June 29, 2018) (SR–DTC–2017–022; SR–FICC–               each Declared Non-Default Loss Event
                                                Commission’s website at https://www.sec.gov/rules/       2017–022; SR–NSCC–2017–018).                             occurring during the Event Period.
                                                                                                            4 To promote the public availability and
                                                sro/ficc-an.htm and thus been publicly available                                                                  Proposed Section 7 of GSD Rule 4 and
                                                since June 29, 2018. On July 6, 2018, the                transparency of its post-notice amendment, FICC
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                                                Commission received the information requested,           submitted a copy of Amendment No. 1 through the          MBSD Rule 4 would also make it clear
                                                which added an additional 60-days to the review          Commission’s electronic public comment letter
                                                period pursuant to Sections 806(e)(1)(E) and (G) of      mechanism. Accordingly, Amendment No. 1 to the           www.dtcc.com/∼/media/Files/Downloads/legal/
                                                the Clearing Supervision Act. (12 U.S.C.                 Proposed Rule Change has been posted on the              rules/ficc_gov_rules.pdf, and the MBSD Rules,
                                                5465(e)(1)(E) and (G).) See Memorandum from the          Commission’s website at https://www.sec.gov/rules/       available at www.dtcc.com/∼/media/Files/
                                                Office of Clearance and Settlement Supervision,          sro/ficc.htm and thus been publicly available since      Downloads/legal/rules/ficc_mbsd_rules.pdf.
                                                Division of Trading and Markets, titled ‘‘Response       June 29, 2018.                                              6 See Securities Exchange Act Release No. 82427

                                                to the Commission’s Request for Additional                  5 Capitalized terms not defined herein are defined    (January 2, 2018), 83 FR 854 (January 8, 2018) (SR–
                                                Information,’’ available at http://www.sec.gov/          in the GSD Rules, available at http://                   FICC–2017–022).



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                                                34194                          Federal Register / Vol. 83, No. 139 / Thursday, July 19, 2018 / Notices

                                                that any Tier One Netting Member or                      proposed rule change, as proposed                     the means by which FICC protects itself
                                                Tier One Member, as applicable, for                      herein.                                               and its members from the risks inherent
                                                which FICC ceases to act on a non-                                                                             in the clearance and settlement process.
                                                                                                         Nature of the Proposed Change
                                                Business Day, triggering an Event Period                                                                       FICC’s risk management processes must
                                                that commences on the next Business                         The primary purpose of this proposed               account for the fact that, in certain
                                                Day, would be deemed to be a Tier One                    rule change is to amend GSD’s and                     extreme circumstances, the collateral
                                                Netting Member or Tier One Member, as                    MBSD’s loss allocation rules in order to              and other financial resources that secure
                                                applicable, on the first day of that Event               enhance the resiliency of the Divisions’              FICC’s risk exposures may not be
                                                Period.                                                  loss allocation processes so that each                sufficient to fully cover losses resulting
                                                   (ii) Clarify the obligations and Loss                 Division can take timely action to                    from the liquidation of the portfolio of
                                                Allocation Cap (as defined below and in                  address multiple loss events that occur               a member for whom a Division has
                                                the proposed rule change) of a Tier One                  in succession during a short period of                ceased to act.7
                                                Netting Member or a Tier One Member,                     time (defined and explained in detail                    The GSD Rules and the MBSD Rules
                                                as applicable, that withdraws from                       below). In connection therewith, the                  each currently provide for a loss
                                                membership in respect of a loss                          proposed rule change would (i) align the              allocation process through which both
                                                allocation round. Specifically, pursuant                 loss allocation rules of the three clearing           FICC (by applying up to 25% of its
                                                to the Amendment, proposed Section 7b                    agencies of The Depository Trust &                    retained earnings in accordance with
                                                of GSD Rule 4 and MBSD Rule 4 would                      Clearing Corporation (‘‘DTCC’’), namely               Section 7(b) of GSD Rule 4 and Section
                                                provide that the Tier One Netting                        The Depository Trust Company                          7(c) of MBSD Rule 4) and its members
                                                Member or Tier One Member, as                            (‘‘DTC’’), National Securities Clearing               would share in the allocation of a loss
                                                applicable, would nevertheless remain                    Corporation (‘‘NSCC’’), and FICC                      resulting from the default of a member
                                                obligated for its pro rata share of losses               (collectively, the ‘‘DTCC Clearing                    for whom a Division has ceased to act
                                                and liabilities with respect to any Event                Agencies’’), so as to provide consistent              pursuant to the Rules. The GSD Rules
                                                Period for which it is otherwise                         treatment, to the extent practicable and              and the MBSD Rules also recognize that
                                                obligated under GSD Rule 4 or MBSD                       appropriate, especially for firms that are            FICC may incur losses outside the
                                                Rule 4, as applicable; however, its                      participants of two or more DTCC                      context of a defaulting member that are
                                                aggregate obligation would be limited to                 Clearing Agencies, (ii) increase                      otherwise incident to each Division’s
                                                the amount of its Loss Allocation Cap as                 transparency and accessibility of the                 clearance and settlement business.
                                                                                                         loss allocation rules by enhancing their                 The current GSD and MBSD loss
                                                fixed in the round for which it
                                                                                                         readability and clarity, (iii) amend                  allocation rules provide that, in the
                                                withdrew.
                                                                                                         language regarding FICC’s use of MBSD                 event the Division ceases to act for a
                                                   (iii) Clarify that a member would be
                                                                                                         Clearing Fund, and (iv) make                          member, the amounts on deposit to the
                                                obligated to FICC for all losses and                                                                           Clearing Fund from the defaulting
                                                liabilities incurred by FICC arising out                 conforming and technical changes.
                                                                                                                                                               member, along with any other resources
                                                of or relating to any Defaulting Member                  (i) Background                                        of, or attributable to, the defaulting
                                                Event with respect to the member.                           Central counterparties (‘‘CCPs’’) play             member that FICC may access under the
                                                Specifically, pursuant to the                            a key role in financial markets by                    GSD Rules or the MBSD Rules (e.g.,
                                                Amendment, proposed Section 7 of GSD                     mitigating counterparty credit risk on                payments from Cross-Guaranty
                                                Rule 4 and MBSD Rule 4 would provide                     transactions between market                           Agreements), are the first source of
                                                that each member would be obligated to                   participants. CCPs achieve this by                    funds the Division would use to cover
                                                FICC for the entire amount of any loss                   providing guaranties to participants                  any losses that may result from the
                                                or liability incurred by FICC arising out                and, as a consequence, are typically                  closeout of the defaulting member’s
                                                of or relating to any Defaulting Member                  exposed to credit risks that could lead               guaranteed positions. If these amounts
                                                Event with respect to such member.                       to default losses. In addition, in                    are not sufficient to cover all losses
                                                   (iv) Clarify that, although a Defaulting              performing its critical functions, a CCP              incurred, then each Division will apply
                                                Member would not be allocated a                          could be exposed to non-default losses                the following available resources, in the
                                                ratable share of losses and liabilities                  that are otherwise incident to the CCP’s              following loss allocation waterfall order:
                                                arising out of or relating to its own                    clearance and settlement business.                       First, as provided in the current
                                                Defaulting Member Event, it would                           A CCP’s rulebook should provide a                  Section 7(b) of GSD Rule 4 and Section
                                                remain obligated to FICC for all such                    complete description of how losses                    7(c) of MBSD Rule 4, FICC’s corporate
                                                losses and liabilities. Specifically,                    would be allocated to participants if the             contribution of up to 25 percent of
                                                pursuant to the Amendment, proposed                      size of the losses exceeded the CCP’s                 FICC’s retained earnings existing at the
                                                Section 7 of GSD Rule 4 and MBSD Rule                    pre-funded resources. Doing so provides               time of the failure of a defaulting
                                                4 would provide that no loss allocation                  for an orderly allocation of losses, and              member to fulfill its obligations to FICC,
                                                under GSD Rule 4 or MBSD Rule 4, as                      potentially allows the CCP to continue
                                                applicable, would constitute a waiver of                 providing critical services to the market               7 GSD is permitted to cease to act for (i) a GSD

                                                any claim FICC may have against a GSD                    and thereby results in significant                    Member pursuant to GSD Rule 21 (Restrictions on
                                                Member or MBSD Member, as                                                                                      Access to Services) and GSD Rule 22 (Insolvency
                                                                                                         financial stability benefits. In addition,            of a Member), (ii) a Sponsoring Member pursuant
                                                applicable, for any loss or liability to                 a clear description of the loss allocation            to Section 14 and Section 16 of GSD Rule 3A
                                                which the GSD Member or MBSD                             process offers transparency and                       (Sponsoring Members and Sponsored Members),
                                                Member is subject under the GSD Rules                    accessibility to the CCP’s participants.              and (iii) a Sponsored Member pursuant to Section
                                                or MBSD Rules, as applicable,                                                                                  13 and Section 15 of GSD Rule 3A (Sponsoring
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                                                including, without limitation, any loss                  Current FICC Loss Allocation Process                  Members and Sponsored Members). MBSD is
                                                                                                                                                               permitted to cease to act for an MBSD Member
                                                or liability to which it may be subject                     As CCPs, FICC’s Divisions’ loss                    pursuant to MBSD Rule 14 (Restrictions on Access
                                                under GSD Rule 4 or MBSD Rule 4, as                      allocation processes are key components               to Services) and MBSD Rule 16 (Insolvency of a
                                                applicable.                                              of their respective risk management                   Member). GSD Rule 22A (Procedures for When the
                                                                                                                                                               Corporation Ceases to Act) and MBSD Rule 17
                                                   In addition, pursuant to the                          processes. Risk management is the                     (Procedures for When the Corporation Ceases to
                                                Amendment, FICC is making other                          foundation of FICC’s ability to guarantee             Act) set out the types of actions FICC may take
                                                clarifying and technical changes to the                  settlement in each Division, as well as               when it ceases to act for a member. Supra note 5.



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                                                                               Federal Register / Vol. 83, No. 139 / Thursday, July 19, 2018 / Notices                                                     34195

                                                or such greater amount as the Board of                   attributable to Tier Two Members.8 Tier                deposit. Under the proposal, FICC
                                                Directors may determine; and                             Two Members are required to pay their                  would amend the calculation of its
                                                  Second, if a loss still remains, use of                loss allocation obligations in full and                corporate contribution from a
                                                the Clearing Fund of the Division and                    replenish their Required Fund Deposits                 percentage of its retained earnings to a
                                                assessing the Division’s Members in the                  as needed and as applicable. The                       mandatory amount equal to 50% of the
                                                manner provided in GSD Rule 4 and                        current Rule provisions which provide                  FICC General Business Risk Capital
                                                MBSD Rule 4, as the case may be.                         for loss allocation of non-default losses              Requirement.9 FICC’s General Business
                                                Specifically, FICC will divide the loss                  incident to each Division’s clearance                  Risk Capital Requirement, as defined in
                                                ratably between Tier One Netting                         and settlement business (i.e., Section                 FICC’s Clearing Agency Policy on
                                                Members and Tier Two Members with                        7(f) of GSD Rule 4 and MBSD Rule 4)                    Capital Requirements,10 is, at a
                                                respect to GSD, or between Tier One                      do not apply to Tier Two Members.                      minimum, equal to the regulatory
                                                Members and Tier Two Members with                                                                               capital that FICC is required to maintain
                                                respect to MBSD, based on original                       Overview of the Proposed Rule Changes
                                                                                                                                                                in compliance with Rule 17Ad–
                                                counterparty activity with the defaulting                A. Changes To Enhance Resiliency of                    22(e)(15) under the Act.11 The proposed
                                                member. Then the loss allocation                         GSD’s and MBSD’s Loss Allocation                       Corporate Contribution (as defined
                                                process applicable to Tier One Netting                   Processes                                              below and in the proposed rule change)
                                                Members or Tier One Members, as                            In order to enhance the resiliency of                would be held in addition to FICC’s
                                                applicable, and Tier Two Members will                    GSD’s and MBSD’s loss allocation                       General Business Risk Capital
                                                proceed in the manner provided in GSD                    processes, FICC proposes to change the                 Requirement.
                                                Rule 4 and MBSD Rule 4, as the case                      manner in which each of the aspects of                    Currently, the Rules do not require
                                                may be.                                                  the loss allocation waterfall described                FICC to contribute its retained earnings
                                                  Specifically, the applicable Division                  above would be employed. GSD and                       to losses and liabilities other than those
                                                will first assess each Tier One Netting                  MBSD would retain the current core                     from member defaults. Under the
                                                Member or Tier One Member, as                            loss allocation process following the                  proposal, FICC would apply its
                                                applicable, an amount up to $50,000, in                  application of the defaulting member’s                 corporate contribution to non-default
                                                an equal basis per such member. If a                     resources, i.e., first, by applying FICC’s             losses as well. The proposed Corporate
                                                loss remains, the Division will allocate                 corporate contribution, and second, by                 Contribution would apply to losses
                                                the remaining loss ratably among Tier                    pro rata allocations to Tier One Netting               arising from Defaulting Member Events
                                                One Netting Members or Tier One                          Members or Tier One Members, as                        and Declared Non-Default Loss Events
                                                Members, as applicable, in accordance                    applicable, and Tier Two Members.                      (as such terms are defined below and in
                                                with the amount of each Tier One                         However, GSD and MBSD would clarify                    the proposed rule change), and would
                                                Netting Member’s or Tier One                             or adjust certain elements and introduce               be a mandatory contribution by FICC
                                                Member’s, as applicable, respective                      certain new loss allocation concepts, as               prior to any allocation of the loss among
                                                average daily Required Fund Deposit                      further discussed below. The proposal                  the applicable Division’s members.12 As
                                                over the prior twelve (12) months. If a                  would also retain the types of losses that             proposed, if the Corporate Contribution
                                                Tier One Netting Member or Tier One                      can be allocated to Tier One Netting                   is fully or partially used against a loss
                                                Member, as applicable, did not maintain                  Members or Tier One Members, as                        or liability relating to an Event Period
                                                a Required Fund Deposit for twelve (12)                  applicable, and Tier Two Members as                    by one or both Divisions, the Corporate
                                                months, its loss allocation amount will                  stated above. In addition, the proposed                Contribution would be reduced to the
                                                be based on its average daily Required                   rule change would address the loss                     remaining unused amount, if any,
                                                Fund Deposit over the time period                        allocation process as it relates to losses             during the following two hundred fifty
                                                during which such member did                             arising from or relating to multiple                   (250) Business Days in order to permit
                                                maintain a Required Fund Deposit.                        default or non-default events in a short               FICC to replenish the Corporate
                                                  Pursuant to current Section 7(g) of                    period of time, also as described below.               Contribution.13 To ensure transparency,
                                                GSD Rule 4 and MBSD Rule 4, if, as a                        Accordingly, FICC is proposing five
                                                result of the Division’s application of                  (5) key changes to enhance each                           9 FICC calculates its General Business Risk

                                                the Required Fund Deposit of a member,                   Division’s loss allocation process:
                                                                                                                                                                Capital Requirement as the amount equal to the
                                                a member’s actual Clearing Fund                                                                                 greatest of (i) an amount determined based on its
                                                                                                                                                                general business profile, (ii) an amount determined
                                                deposit is less than its Required Fund                   (1) Changing the Calculation and                       based on the time estimated to execute a recovery
                                                Deposit, it will be required to eliminate                Application of FICC’s Corporate                        or orderly wind-down of FICC’s critical operations,
                                                such deficiency in order to satisfy its                  Contribution                                           and (iii) an amount determined based on an
                                                Required Fund Deposit amount. In                                                                                analysis of FICC’s estimated operating expenses for
                                                                                                           As stated above, Section 7(b) of GSD                 a six (6) month period.
                                                addition to losses that may result from                  Rule 4 and Section 7(c) of MBSD Rule                      10 See Securities Exchange Act Release No. 81105
                                                the closeout of the defaulting member’s                  4 currently provide that FICC will                     (July 7, 2017), 82 FR 32399 (July 13, 2017) (SR–
                                                guaranteed positions, Tier One Netting                   contribute up to 25% of its retained                   FICC–2017–007).
                                                Members or Tier One Members, as                          earnings (or such higher amount as the                    11 17 CFR 240.17Ad–22(e)(15).
                                                                                                                                                                   12 The proposed rule change would not require a
                                                applicable, can also be assessed for non-                Board of Directors shall determine) to a
                                                                                                                                                                Corporate Contribution with respect to the use of
                                                default losses incident to each                          loss or liability that is not satisfied by             each Division’s Clearing Fund as a liquidity
                                                Division’s clearance and settlement                      the defaulting member’s Clearing Fund                  resource; however, if FICC uses a Division’s
                                                business, pursuant to current Section                                                                           Clearing Fund as a liquidity resource for more than
                                                7(f) of GSD Rule 4 and MBSD Rule 4.                         8 GSD Rule 3B, Section 7 (Loss Allocation           30 calendar days, as set forth in proposed Section
                                                  The Rules of both Divisions currently                                                                         5 of GSD Rule 4 and MBSD Rule 4, then FICC
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                                                                                                         Obligations of CCIT Members) provides that CCIT
                                                                                                         Members will be allocated losses as Tier Two           would have to consider the amount used as a loss
                                                provide that Tier Two Members are only                                                                          to the respective Division’s Clearing Fund incurred
                                                                                                         Members and will be responsible for the total
                                                subject to loss allocation to the extent                 amount of loss allocated to them. With respect to      as a result of a Defaulting Member Event and
                                                they traded with the defaulting member                   CCIT Members with a Joint Account Submitter, loss      allocate the loss pursuant to proposed Section 7 of
                                                and their trades resulted in a liquidation               allocation will be calculated at the Joint Account     Rule 4, which would then require the application
                                                                                                         level and then applied pro rata to each CCIT           of FICC’s Corporate Contribution.
                                                loss. FICC will assess Tier Two                          Member within the Joint Account based on the              13 FICC believes that two hundred and fifth (250)
                                                Members ratably based on their loss as                   trade settlement allocation instructions. Supra note   Business Days would be a reasonable estimate of
                                                a percentage of the entire remaining loss                5.                                                                                                Continued




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                                                34196                           Federal Register / Vol. 83, No. 139 / Thursday, July 19, 2018 / Notices

                                                all GSD Members and MBSD Members                          that participants’ assets are prudently                 relating to a Defaulting Member Event,
                                                would receive notice of any such                          safeguarded.’’ 15                                       an Event Period would begin on the day
                                                reduction to the Corporate Contribution.                     Under current Section 7(b) of GSD                    one or both Divisions notify their
                                                There would be one FICC Corporate                         Rule 4 and Section 7(c) of MBSD Rule                    respective members that FICC has
                                                Contribution, the amount of which                         4, FICC has the discretion to contribute                ceased to act 17 for the GSD Defaulting
                                                would be available to both Divisions                      amounts higher than the specified                       Member and/or the MBSD Defaulting
                                                and would be applied against a loss or                    percentage of retained earnings, as                     Member (or the next Business Day, if
                                                liability in either Division in the order                 determined by the Board of Directors, to                such day is not a Business Day). In the
                                                in which such loss or liability occurs,                   any loss or liability incurred by FICC as               case of a loss or liability arising from or
                                                i.e., FICC would not have two separate                    result of the failure of a Defaulting                   relating to a Declared Non-Default Loss
                                                Corporate Contributions, one for each                     Member to fulfill its obligations to FICC.              Event, an Event Period would begin on
                                                Division. In the event of a loss or                       This option would be retained and                       the day that FICC notifies members of
                                                liability relating to an Event Period,                    expanded under the proposal so that it                  the respective Divisions of the Declared
                                                whether arising out of or relating to a                   would be clear that FICC can voluntarily                Non-Default Loss Event (or the next
                                                Defaulting Member Event or a Declared                     apply amounts greater than the                          Business Day, if such day is not a
                                                Non-Default Loss Event, attributable to                   Corporate Contribution against any loss                 Business Day). If a subsequent
                                                only one Division, the Corporate                          or liability (including non-default                     Defaulting Member Event or Declared
                                                Contribution would be applied to that                     losses) of the Divisions, if the Board of               Non-Default Loss Event occurs during
                                                Division up to the amount then                            Directors, in its sole discretion, believes             an Event Period, any losses or liabilities
                                                available. If a loss or liability relating to             such to be appropriate under the factual                arising out of or relating to any such
                                                an Event Period, whether arising out of                   situation existing at the time.                         subsequent event would be resolved as
                                                or relating to a Defaulting Member Event                     The proposed rule changes relating to                losses or liabilities that are part of the
                                                or a Declared Non-Default Loss Event,                     the calculation and application of                      same Event Period, without extending
                                                occurs simultaneously at both Divisions,                  Corporate Contribution are set forth in                 the duration of such Event Period. An
                                                                                                          proposed Sections 7 and 7a of GSD Rule                  Event Period may include both
                                                the Corporate Contribution would be
                                                                                                          4 and Sections 7 and 7a of MBSD Rule                    Defaulting Member Events and Declared
                                                applied to the respective Divisions in
                                                                                                          4, as further described below.                          Non-Default Loss Events, and there
                                                the same proportion that the aggregate
                                                Average RFDs (as defined below and in                     (2) Introducing an Event Period                         would not be separate Event Periods for
                                                the proposed rule change) of all                                                                                  Defaulting Member Events or Declared
                                                                                                             In order to clearly define the                       Non-Default Loss Events occurring
                                                members in that Division bear to the                      obligations of each Division and its
                                                aggregate Average RFDs of all members                                                                             during overlapping ten (10) Business
                                                                                                          respective Members regarding loss                       Day periods.
                                                in both Divisions.14                                      allocation and to balance the need to                      The amount of losses that may be
                                                   As compared to the current approach                    manage the risk of sequential loss events               allocated by each Division, subject to
                                                of applying ‘‘up to’’ a percentage of                     against members’ need for certainty                     the required Corporate Contribution,
                                                retained earnings to defaulting member                    concerning their maximum loss                           and to which a Loss Allocation Cap
                                                losses, the proposed Corporate                            allocation exposures, FICC is proposing                 would apply for any member that elects
                                                Contribution would be a fixed                             to introduce the concept of an ‘‘Event                  to withdraw from membership in
                                                percentage of FICC’s General Business                     Period’’ to the GSD Rules and the MBSD                  respect of a loss allocation round, would
                                                Risk Capital Requirement, which would                     Rules to address the losses and                         include any and all losses from any
                                                provide greater transparency and                          liabilities that may arise from or relate               Defaulting Member Events and any
                                                accessibility to members. The proposed                    to multiple Defaulting Member Events                    Declared Non-Default Loss Events
                                                Corporate Contribution would apply not                    and/or Declared Non-Default Loss                        during the Event Period, regardless of
                                                only towards losses and liabilities                       Events that arise in quick succession in                the amount of time, during or after the
                                                arising out of or relating to Defaulting                  a Division. Specifically, the proposal                  Event Period, required for such losses to
                                                Member Events but also those arising                      would group Defaulting Member Events                    be crystallized and allocated.18
                                                out of or relating to Declared Non-                       and Declared Non-Default Loss Events                       The proposed rule changes relating to
                                                Default Loss Events, which is consistent                  occurring in a period of ten (10)                       the implementation of an Event Period
                                                with the current industry guidance that                   Business Days (‘‘Event Period’’) for                    are set forth in proposed Section 7 of
                                                ‘‘a CCP should identify the amount of its                 purposes of allocating losses to                        GSD Rule 4 and Section 7 of MBSD Rule
                                                own resources to be applied towards                       Members of the respective Divisions in                  4, as further described below.
                                                losses arising from custody and                           one or more rounds (as described
                                                                                                          below), subject to the limitations of loss              (3) Introducing the Concept of
                                                investment risk, to bolster confidence                                                                            ‘‘Rounds’’ and Loss Allocation Notice
                                                                                                          allocation set forth in the proposed rule
                                                the time frame that FICC would require to replenish       change and as explained below.16 In the                    Pursuant to the proposed rule change,
                                                the Corporate Contribution by equity in accordance        case of a loss or liability arising from or             a loss allocation ‘‘round’’ would mean a
                                                with FICC’s Clearing Agency Policy on Capital                                                                     series of loss allocations relating to an
                                                Requirements, including a conservative additional           15 See Resilience of central counterparties (CCPs):
                                                                                                                                                                  Event Period, the aggregate amount of
                                                period to account for any potential delays and/or         Further guidance on the PFMI, issued by the
                                                unknown exigencies in times of distress.                                                                          which is limited by the sum of the Loss
                                                                                                          Committee on Payments and Market Infrastructures
                                                  14 FICC believes that if a loss or liability relating   and the International Organization of Securities
                                                                                                                                                                    17 Supra  note 7.
                                                to an Event Period, whether arising out of or             Commissions, at 42 (July 2017), available at
                                                relating to a Defaulting Member Event or a Declared       www.bis.org/cpmi/publ/d163.pdf.                           18 As  discussed below, each Tier One Netting
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                                                Non-Default Loss Event, occurs simultaneously at            16 FICC believes that having a ten (10) Business      Member or Tier One Member, as applicable, that is
                                                both Divisions, allocating the Corporate                  Day Event Period would provide a reasonable             a Tier One Netting Member or Tier One Member on
                                                Contribution ratably between the two Divisions            period of time to encompass potential sequential        the first day of an Event Period would be obligated
                                                based on the aggregate Average RFDs of their              Defaulting Member Events or Declared Non-Default        to pay its pro rata share of losses and liabilities
                                                respective members is appropriate because the             Loss Events that are likely to be closely linked to     arising out of or relating to each Defaulting Member
                                                aggregate Average RFDs of all members in a                an initial event and/or a severe market dislocation     Event (other than a Defaulting Member Event with
                                                Division represent the amount of risks that those         episode, while still providing appropriate certainty    respect to which it is the Defaulting Member) and
                                                members bring to FICC over the look-back period           for members concerning their maximum exposure           each Declared Non-Default Loss Event occurring
                                                of seventy (70) Business Days.                            to mutualized losses with respect to such events.       during the Event Period.



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                                                                               Federal Register / Vol. 83, No. 139 / Thursday, July 19, 2018 / Notices                                           34197

                                                Allocation Caps of affected Tier One                     Tier One Netting Member or Tier One                   Notice for the $1 billion would begin
                                                Netting Members or Tier One Members,                     Member, as applicable, would be equal                 the second round.
                                                as applicable (a ‘‘round cap’’). When the                to the greater of (x) its Required Fund                  The proposed rule change would link
                                                aggregate amount of losses allocated in                  Deposit on the first day of the applicable            the Loss Allocation Cap to a round in
                                                a round equals the round cap, any                        Event Period and (y) its Average RFD.                 order to provide Tier One Netting
                                                additional losses relating to the                           After a first round of loss allocations            Members or Tier One Members, as
                                                applicable Event Period would be                         with respect to an Event Period, only                 applicable, the option to limit their loss
                                                allocated in one or more subsequent                      Tier One Netting Members or Tier One                  allocation exposure at the beginning of
                                                rounds, in each case subject to a round                  Members, as applicable, that have not                 each round. As proposed and as
                                                cap for that round. FICC may continue                    submitted a Loss Allocation Withdrawal                described further below, a Tier One
                                                the loss allocation process in successive                Notice in accordance with proposed                    Netting Member or Tier One Member, as
                                                rounds until all losses from the Event                   Section 7b of GSD Rule 4 or MBSD Rule                 applicable, could limit its loss
                                                Period are allocated among Tier One                      4, as applicable, would be subject to                 allocation exposure to its Loss
                                                Netting Members or Tier One Members,                     further loss allocation with respect to               Allocation Cap by providing notice of
                                                as applicable, that have not submitted a                 that Event Period.                                    its election to withdraw from
                                                Loss Allocation Withdrawal Notice (as                                                                          membership within five (5) Business
                                                                                                            The amount of any second or
                                                defined below and in the proposed rule                                                                         Days after the issuance of the first Loss
                                                                                                         subsequent round cap may differ from
                                                change) in accordance with proposed                                                                            Allocation Notice in any round.
                                                                                                         the first or preceding round cap because                 The proposed rule changes relating to
                                                Section 7b of GSD Rule 4 or MBSD Rule                    there may be fewer Tier One Netting
                                                4.                                                                                                             the implementation of ‘‘rounds’’ and
                                                                                                         Members or Tier One Members, as                       Loss Allocation Notices are set forth in
                                                   Each loss allocation would be
                                                                                                         applicable, in a second or subsequent                 proposed Section 7 of GSD Rule 4 and
                                                communicated to Tier One Netting
                                                Members or Tier One Members, as                          round if Tier One Netting Members or                  Section 7 of MBSD Rule 4, as further
                                                applicable, by the issuance of a notice                  Tier One Members, as applicable, elect                described below.
                                                that advises the Tier One Netting                        to withdraw from membership with
                                                                                                         GSD or MBSD, as applicable, as                        (4) Implementing a Revised ‘‘Look-
                                                Members or Tier One Members, as                                                                                Back’’ Period To Calculate a Member’s
                                                applicable, of the amount being                          provided in proposed Section 7b of GSD
                                                                                                         Rule 4 or MBSD Rule 4, as applicable,                 Loss Allocation Pro Rata Share and Its
                                                allocated to them (‘‘Loss Allocation
                                                                                                         following the first Loss Allocation                   Loss Allocation Cap
                                                Notice’’). Each Tier One Netting
                                                Member’s or Tier One Member’s, as                        Notice in any round.                                     Currently, the GSD Rules and the
                                                applicable, pro rata share of losses and                    For example, for illustrative purposes             MBSD Rules calculate a Tier One
                                                liabilities to be allocated in any round                 only, after the required Corporate                    Netting Member’s or a Tier One
                                                would be equal to (i) the average of its                 Contribution, if FICC has a $5 billion                Member’s pro rata share for purposes of
                                                Required Fund Deposit for the seventy                    loss determined with respect to an                    loss allocation based on the member’s
                                                (70) business days preceding the first                   Event Period and the sum of Loss                      average daily Required Fund Deposit
                                                day of the applicable Event Period or                    Allocation Caps for all Tier One Netting              over the prior twelve (12) months (or
                                                such shorter period of time that the                     Members or Tier One Members, as                       such shorter period as may be available
                                                member has been a member (each                           applicable, subject to the loss allocation            in the case of a member which has not
                                                member’s ‘‘Average RFD’’), divided by                    is $4 billion, the first round would begin            maintained a deposit over such time
                                                (ii) the sum of Average RFD amounts of                   when FICC issues the first Loss                       period). The Rules currently do not
                                                all members subject to loss allocation in                Allocation Notice for that Event Period.              anticipate the possibility of more than
                                                such round.                                              FICC could issue one or more Loss                     one Defaulting Member Event or
                                                   Each Loss Allocation Notice would                     Allocation Notices for the first round                Declared Non-Default Loss Event in
                                                specify the relevant Event Period and                    until the sum of losses allocated equals              quick succession.
                                                the round to which it relates. The first                 $4 billion. Once the $4 billion is                       GSD and MBSD are proposing to
                                                Loss Allocation Notice in any first,                     allocated, the first round would end and              calculate each Tier One Netting
                                                second, or subsequent round would                        FICC would need a second round in                     Member’s or Tier One Member’s, as
                                                expressly state that such Loss Allocation                order to allocate the remaining $1                    applicable, pro rata share of losses and
                                                Notice reflects the beginning of the first,              billion of loss. FICC would then issue a              liabilities to be allocated in any round
                                                second, or subsequent round, as the case                 Loss Allocation Notice for the $1 billion             (as described above and in the proposed
                                                may be, and that each Tier One Netting                   and this notice would be the first Loss               rule change) to be equal to (i) the
                                                Member or Tier One Member, as                            Allocation Notice for the second round.               member’s Average RFD divided by (ii)
                                                applicable, in that round has five (5)                   The issuance of the Loss Allocation                   the sum of Average RFD amounts for all
                                                Business Days from the issuance of such                                                                        members that are subject to loss
                                                first Loss Allocation Notice for the                     GSD Rule 4 or Section 7(e) of MBSD Rule 4, as         allocation in such round.
                                                round to notify FICC of its election to                  applicable, and any Other Loss, is the Close of          Additionally, as described above and
                                                                                                         Business on the Business Day on which the loss        in the proposed rule change, if a Tier
                                                withdraw from membership with GSD                        allocation payment is due to FICC. Current Section
                                                or MBSD, as applicable, pursuant to                      13 of GSD Rule 4 and MBSD Rule 4 requires a 10-
                                                                                                                                                               One Netting Member or Tier One
                                                proposed Section 7b of GSD Rule 4 or                     day notice period. Supra note 5.                      Member, as applicable, withdraws from
                                                MBSD Rule 4, as applicable, and                             FICC believes that it is appropriate to shorten    membership pursuant to proposed
                                                thereby benefit from its Loss Allocation                 such time period from 10 days to five (5) Business    Section 7b of GSD Rule 4 or MBSD Rule
                                                                                                         Days because FICC needs timely notice of which
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                                                Cap.19 The ‘‘Loss Allocation Cap’’ of a                                                                        4, as applicable, GSD and MBSD are
                                                                                                         Tier One Netting Members or Tier One Members,
                                                                                                         as applicable, would remain in its membership for     proposing that the member’s Loss
                                                  19 Pursuant to current Section 7(g) of GSD Rule        purpose of calculating the loss allocation for any    Allocation Cap be equal to the greater of
                                                4 and MBSD Rule 4, the time period for a member          subsequent round. FICC believes that five (5)         (i) its Required Fund Deposit on the first
                                                to give notice, pursuant to Section 13 of GSD Rule       Business Days would provide Tier One Netting          day of the applicable Event Period or (ii)
                                                3 and MBSD Rule 3, of its election to terminate its      Members or Tier One Members, as applicable, with
                                                membership in GSD or MBSD, as applicable, in             sufficient time to decide whether to cap their loss   its Average RFD.
                                                respect of an allocation arising from any Remaining      allocation obligations by withdrawing from their         FICC believes that employing a
                                                Loss allocated by FICC pursuant to Section 7(d) of       membership in GSD or MBSD, as applicable.             revised look-back period of seventy (70)


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                                                34198                          Federal Register / Vol. 83, No. 139 / Thursday, July 19, 2018 / Notices

                                                Business Days instead of twelve (12)                        As proposed, if a member timely                    applicable, provides notice of its
                                                months to calculate a Tier One Netting                   provides notice of its withdrawal from                election to withdraw from membership,
                                                Member’s or a Tier One Member’s, as                      membership in respect of a loss                       it would be subject to loss allocation in
                                                applicable, loss allocation pro rata share               allocation round, the maximum amount                  that round, up to its Loss Allocation
                                                and Loss Allocation Cap is appropriate,                  of losses it would be responsible for                 Cap. If the first round of loss allocation
                                                because FICC recognizes that the current                 would be its Loss Allocation Cap,21                   does not fully cover FICC’s losses, a
                                                look-back period of twelve (12) months                   provided that the member complies                     second round will be noticed to those
                                                is a very long period during which a                     with the requirements of the withdrawal               members that did not elect to withdraw
                                                member’s business strategy and outlook                   process in proposed Section 7b of GSD                 from membership in the previous
                                                could have shifted significantly,                        Rule 4 and Section 7b of MBSD Rule 4.                 round; however, as noted above, the
                                                resulting in material changes to the size                   Currently, pursuant to Section 7(g) of             amount of any second or subsequent
                                                of its portfolios. A look-back period of                 GSD Rule 4 and MBSD Rule 4, if                        round cap may differ from the first or
                                                seventy (70) Business Days would                         notification is provided to a member                  preceding round cap because there may
                                                minimize that issue yet still would be                   that an allocation has been made against              be fewer Tier One Netting Members or
                                                long enough to enable FICC to capture                    the member pursuant to GSD Rule 4 or                  Tier One Members, as applicable, in a
                                                a full calendar quarter of such members’                 MBSD Rule 4, as applicable, and that                  second or subsequent round if Tier One
                                                activities and smooth out the impact                     application of the member’s Required                  Netting Members or Tier One Members,
                                                from any abnormalities and/or                            Fund Deposit is not sufficient to satisfy             as applicable, elect to withdraw from
                                                arbitrariness that may have occurred.                    such obligation to make payment to                    membership with GSD or MBSD, as
                                                   The proposed rule changes relating to                 FICC, the member is required to deliver               applicable, as provided in proposed
                                                the implementation of the revised look-                  to FICC by the Close of Business on the               Section 7b of GSD Rule 4 or MBSD Rule
                                                back period are set forth in proposed                    next Business Day, or by the Close of                 4, as applicable, following the first Loss
                                                Section 7 of GSD Rule 4 and Section 7                    Business on the Business Day of                       Allocation Notice in any round.
                                                of MBSD Rule 4, as further described                     issuance of the notification if so                       Pursuant to the proposed rule change,
                                                below.                                                   determined by FICC, that amount which                 in order to avail itself of its Loss
                                                                                                         is necessary to eliminate any such                    Allocation Cap, a Tier One Netting
                                                (5) Capping Withdrawing Members’                         deficiency, unless the member elects to               Member or Tier One Member, as
                                                Loss Allocation Exposure and Related                     terminate its membership in FICC. To                  applicable, would need to follow the
                                                Changes                                                  increase transparency of the timeframe                requirements in proposed Section 7b of
                                                                                                         under which FICC would require funds                  GSD Rule 4 or MBSD Rule 4, as
                                                   Currently, pursuant to Section 7(g) of
                                                                                                         from members to satisfy their loss                    applicable, which would provide that
                                                GSD Rule 4 and MBSD Rule 4, a
                                                                                                         allocation obligations, FICC is proposing             the Tier One Netting Member or Tier
                                                member can withdraw from
                                                                                                         that members would receive two (2)                    One Member, as applicable, must: (i)
                                                membership in order to avail itself of a
                                                                                                         Business Days’ notice of a loss                       Specify in its Loss Allocation
                                                cap on loss allocation if the member
                                                                                                         allocation, and members would be                      Withdrawal Notice an effective date of
                                                notifies FICC via a written notice, in
                                                                                                         required to pay the requisite amount no               withdrawal, which date shall not be
                                                accordance with Section 13 of GSD Rule
                                                                                                         later than the second Business Day                    prior to the scheduled final settlement
                                                3 or MBSD Rule 3, as applicable, of its
                                                                                                         following issuance of such notice.22                  date of any remaining obligations owed
                                                election to terminate its membership.
                                                                                                         Members would have five (5) Business                  by the member to FICC, unless
                                                Such notice must be provided by the                                                                            otherwise approved by FICC, and (ii) as
                                                Close of Business on the Business Day                    Days 23 from the issuance of the first
                                                                                                         Loss Allocation Notice in any round of                of the time of such member’s
                                                on which the loss allocation payment is                                                                        submission of the Loss Allocation
                                                due to FICC and, if properly provided to                 an Event Period to decide whether to
                                                                                                         withdraw from membership.                             Withdrawal Notice, cease submitting
                                                FICC, would limit the member’s liability                                                                       transactions to FICC for processing,
                                                for a loss allocation to its Required Fund                  Each round would allow a Tier One
                                                                                                         Netting Member or Tier One Member, as                 clearance or settlement, unless
                                                Deposit for the Business Day on which                                                                          otherwise approved by FICC.
                                                the notification of allocation is provided               applicable, the opportunity to notify
                                                                                                         FICC of its election to withdraw from                    As proposed, a Tier One Netting
                                                to the member.20 As discussed above,                                                                           Member or a Tier One Member, as
                                                the proposed rule change would                           membership after satisfaction of the
                                                                                                         losses allocated in such round. Multiple              applicable, that withdraws in
                                                continue providing members the                                                                                 compliance with proposed Section 7b of
                                                opportunity to limit their loss allocation               Loss Allocation Notices may be issued
                                                                                                         with respect to each round to allocate                GSD Rule 4 or MBSD Rule 4, as
                                                exposure by offering withdrawal                                                                                applicable, would remain obligated for
                                                options; however, the cap on loss                        losses up to the round cap.
                                                                                                            Specifically, the first round and each             its pro rata share of losses and liabilities
                                                allocation would be calculated                                                                                 with respect to any Event Period for
                                                                                                         subsequent round of loss allocation
                                                differently and the associated                                                                                 which it is otherwise obligated under
                                                                                                         would allocate losses up to a round cap
                                                withdrawal process would also be                                                                               GSD Rule 4 or MBSD Rule 4, as
                                                                                                         of the aggregate of all Loss Allocation
                                                modified as it relates to withdrawals                                                                          applicable; however, its aggregate
                                                                                                         Caps of those Tier One Netting Members
                                                associated with the loss allocation                                                                            obligation would be limited to the
                                                                                                         or Tier One Members, as applicable,
                                                process. In particular, the proposed rule                                                                      amount of its Loss Allocation Cap (as
                                                                                                         included in the round. If a Tier One
                                                change would shorten the withdrawal                                                                            fixed in the round for which it
                                                                                                         Netting Member or Tier One Member, as
                                                notification period from 10 days to five                                                                       withdrew).
                                                (5) Business Days, as further described                                                                           The proposed rule changes are
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                                                                                                            21 If a member’s Loss Allocation Cap exceeds the
                                                below.                                                   member’s then-current Required Fund Deposit, it       designed to enable FICC to continue the
                                                                                                         must still cover the excess amount.                   loss allocation process in successive
                                                  20 Current Section 13 of GSD Rule 3 and MBSD              22 FICC believes that allowing members two (2)
                                                                                                                                                               rounds until all of FICC’s losses are
                                                Rule 3 requires a member to provide FICC with 10         Business Days to satisfy their loss allocation        allocated. To the extent that the Loss
                                                days written notice of the member’s termination;         obligations would provide Members sufficient
                                                however, FICC, in its discretion, may accept such        notice to arrange funding, if necessary, while        Allocation Cap of a Tier One Netting
                                                termination within a shorter notice period. Supra        allowing FICC to address losses in a timely manner.   Member or Tier One Member, as
                                                note 5.                                                     23 Supra note 19.                                  applicable, exceeds such member’s


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                                                                               Federal Register / Vol. 83, No. 139 / Thursday, July 19, 2018 / Notices                                                  34199

                                                Required Fund Deposit on the first day                   losses or liabilities of FICC, which                        settlement services in an orderly
                                                of an Event Period, FICC may in its                      includes losses or liabilities that are                     manner and will potentially generate
                                                discretion retain any excess amounts on                  otherwise incident to the operation of                      losses to be mutualized among the Tier
                                                deposit from the member, up to the Loss                  the clearance and settlement business of                    One Netting Members or Tier One
                                                Allocation Cap of a Tier One Netting                     FICC, although the application of                           Members, as applicable, in order to
                                                Member or Tier One Member, as                            Clearing Fund to such losses or                             ensure that FICC may continue to offer
                                                applicable.                                              liabilities is more limited under MBSD                      clearance and settlement services in an
                                                   The proposed rule changes relating to                 Rule 4 when compared to GSD Rule 4.26                       orderly manner. The proposed rule
                                                capping withdrawing members’ loss                        Section 7(f) of GSD Rule 4 and MBSD                         change would provide that FICC would
                                                allocation exposure and related changes                  Rule 4 provides that any loss or liability                  then be required to promptly notify
                                                to the withdrawal process are set forth                  incurred by the Corporation incident to                     members of this determination (a
                                                in proposed Sections 7 and 7b of GSD                     its clearance and settlement business                       ‘‘Declared Non-Default Loss Event’’). In
                                                Rule 4 and Sections 7 and 7b of MBSD                     arising other than from a Remaining                         addition, FICC is proposing to better
                                                Rule 4, as further described below.                      Loss shall be allocated among Tier One                      align the interest of FICC with those of
                                                B. Changes To Align Loss Allocation                      Netting Members or Tier One Members,                        its members by stipulating a mandatory
                                                Rules                                                    as applicable, ratably, in accordance                       Corporate Contribution apply to a
                                                                                                         with their Average Required Clearing                        Declared Non-Default Loss Event prior
                                                   The proposed rule changes would                       Fund Deposits.27                                            to any allocation of the loss among
                                                align the loss allocation rules, to the                     If there is a failure of FICC following                  members, as described above.
                                                extent practicable and appropriate, of                   a non-default loss, such occurrence                         Additionally, FICC is proposing
                                                the three DTCC Clearing Agencies so as                   would affect members in much the same                       language to clarify members’ obligations
                                                to provide consistent treatment,                         way as a failure of FICC following a                        for Declared Non-Default Loss Events.
                                                especially for firms that are participants               Defaulting Member Event. Accordingly,                          Under the proposal, FICC would
                                                of two or more DTCC Clearing Agencies.                   FICC is proposing rule changes to                           clarify the Rules of both Divisions to
                                                As proposed, the loss allocation                         enhance the provisions relating to non-                     make clear that Tier One Netting
                                                waterfall and certain related provisions,                default losses by clarifying members’                       Members or Tier One Members, as
                                                e.g., returning a former member’s                        obligations for such losses and aligning                    applicable, are subject to loss allocation
                                                Clearing Fund, would be consistent                       the non-default loss provisions in the                      for non-default losses (i.e., Declared
                                                across the DTCC Clearing Agencies to                     GSD Rules and the MBSD Rules.                               Non-Default Loss Events under the
                                                the extent practicable and appropriate.                     Specifically, for both the GSD Rules                     proposal) and Tier Two Members are
                                                The proposed rule changes of FICC that                   and the MBSD Rules, FICC is proposing                       not subject to loss allocation for non-
                                                would align loss allocation rules of the                 enhancement of the governance around                        default losses.
                                                DTCC Clearing Agencies are set forth in                  non-default losses that would trigger                          The proposed rule changes relating to
                                                proposed Sections 1, 5, 6, 10, and 11 of                 loss allocation to Tier One Netting                         Declared Non-Default Loss Events and
                                                GSD Rule 4 and MBSD Rule 4, as further                   Members or Tier One Members, as                             members’ obligations for such events are
                                                described below.                                         applicable, by specifying that the Board                    set forth in proposed Section 7 of GSD
                                                C. Clarifying Changes Relating to Loss                   of Directors would have to determine                        Rule 4 and Section 7 of MBSD Rule 4,
                                                Allocation                                               that there is a non-default loss that may                   as further described below.
                                                                                                         be a significant and substantial loss or
                                                   The proposed rule changes are                                                                                     D. Amending Language Regarding
                                                                                                         liability that may materially impair the
                                                intended to make the provisions in the                                                                               FICC’s Use of MBSD Clearing Fund
                                                                                                         ability of FICC to provide clearance and
                                                Rules governing loss allocation more                                                                                    The proposed rule change would
                                                transparent and accessible to members.                      26 Section 5 of GSD Rule 4 provides that ‘‘The use       delete language currently in Section 5 of
                                                In particular, FICC is proposing the                     of the Clearing Fund deposits shall be limited to           MBSD Rule 4 that limits certain uses by
                                                following changes relating to loss                       satisfaction of losses or liabilities of the Corporation    FICC of the MBSD Clearing Fund to
                                                                                                         . . . otherwise incident to the clearance and
                                                allocation to clarify members’                           settlement business of the Corporation . . .’’ Supra        ‘‘unexpected or unusual’’ requirements
                                                obligations for Declared Non-Default                     note 5.                                                     for funds that represent a ‘‘small
                                                Loss Events.                                                Section 5 of MBSD Rule 4 provides that ‘‘The use         percentage’’ of the MBSD Clearing
                                                   Aside from losses that FICC might                     of the Clearing Fund deposits and assets and                Fund. FICC believes that these limiting
                                                face as a result of a Defaulting Member                  property on which the Corporation has a lien on
                                                                                                         shall be limited to satisfaction of losses or liabilities
                                                                                                                                                                     phrases (which appear in connection
                                                Event, FICC could incur non-default                      of the Corporation . . . otherwise incident to the          with FICC’s use of MBSD Clearing Fund
                                                losses incident to each Division’s                       clearance and settlement business of the                    to cover losses and liabilities incident to
                                                clearance and settlement business.24                     Corporation with respect to losses and liabilities to       its clearance and settlement business
                                                                                                         meet unexpected or unusual requirements for funds
                                                The GSD Rules and the MBSD Rules                         that represent a small percentage of the Clearing
                                                                                                                                                                     outside the context of an MBSD
                                                currently permit FICC to apply Clearing                  Fund. . .’’ Supra note 5.                                   Defaulting Member Event as well as to
                                                Fund to non-default losses.25 Section 5                     27 Section 7(f) of GSD Rule 4 provides that ‘‘Any        cover certain liquidity needs) are vague
                                                of GSD Rule 4 and MBSD Rule 4                            loss or liability incurred by the Corporation               and imprecise, and should be replaced
                                                provides that the use of Clearing Fund                   incident to its clearance and settlement business           in their entirety. Specifically, FICC is
                                                                                                         . . . arising other than from a Remaining Loss
                                                deposits is limited to satisfaction of                   (hereinafter, an ‘‘Other Loss’’) shall be allocated         proposing to delete the limiting
                                                                                                         among Tier One Netting Members, ratably, in                 language with respect to FICC’s use of
                                                   24 Non-default losses may arise from events such      accordance with the respective amounts of their             MBSD Clearing Fund to cover losses
                                                as damage to physical assets, a cyber-attack, or         Average Required FICC Clearing Fund Deposits.               and liabilities incident to its clearance
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                                                custody and investment losses.                           Supra note 5.
                                                   25 Arguably there is an ambiguity created by the         Section 7(f) of MBSD Rule 4 provides that ‘‘Any
                                                                                                                                                                     and settlement business outside the
                                                first paragraph of Section 7 in both GSD Rule 4 and      loss or liability incurred by the Corporation               context of an MBSD Defaulting Member
                                                MBSD Rule 4, which suggests that losses or               incident to its clearance and settlement business           Event so as to not have such language
                                                liabilities may only be allocated in a member            . . . arising other than from a Remaining Loss              be interpreted as impairing FICC’s
                                                default scenario, while Section 5 in both GSD Rule       (hereinafter, an ‘‘Other Loss’’), shall be allocated
                                                4 and MBSD Rule 4 makes it clear that the                among Tier One Members, ratably, in accordance
                                                                                                                                                                     ability to access the MBSD Clearing
                                                applicable Division’s Clearing Fund may be used to       with the respective amounts of their Average                Fund in order to manage non-default
                                                satisfy non-default losses.                              Required Clearing Fund Deposits. Supra note 5.              losses. FICC is also proposing to delete


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                                                34200                          Federal Register / Vol. 83, No. 139 / Thursday, July 19, 2018 / Notices

                                                the limiting language with respect to                    will contribute a total of $44 million                 approximately $32 million ($49 million
                                                FICC’s use of MBSD Clearing Fund to                      ($176 million * 25%) from retained                     * ($10 billion/$15.2 billion)) for GSD
                                                cover certain liquidity needs because                    earnings,29 with approximately $25                     and approximately $17 million ($49
                                                the effect of the limitation in this                     million ($44 million* ($200 million/                   million * ($5.2 billion/$15.2 billion)) for
                                                context is confusing and unclear.                        $350 million)) for GSD and                             MBSD. FICC would then allocate the
                                                  The proposed rule changes relating to                  approximately $19 million ($44                         remaining GSD loss of $168 million
                                                FICC’s use of MBSD Clearing Fund are                     million* ($150 million/$350 million))                  ($200 million ¥ $32 million) to GSD
                                                set forth in proposed Section 5 of MBSD                  for MBSD. FICC will then allocate the                  Tier One Netting Members and the
                                                Rule 4, as further described below.                      remaining GSD loss of $175 million                     remaining MBSD loss of $133 million
                                                  The foregoing changes as well as other                 ($200 million ¥ $25 million) to GSD                    ($150 million ¥ $17 million) to MBSD
                                                changes (including a number of                           Tier One Netting Members and the                       Tier One Members. With respect to
                                                conforming and technical changes) that                   remaining MBSD loss of $131 million                    losses arising out of Member B’s default,
                                                FICC is proposing in order to improve                    ($150 million ¥ $19 million) to MBSD                   FICC would not apply a Corporate
                                                the transparency and accessibility of the                Tier One Members.                                      Contribution since it would have
                                                Rules are described in detail below.                        With respect to losses arising out of               already contributed the maximum
                                                                                                         Member B’s default, FICC will                          Corporate Contribution of 50% of its
                                                E. Loss Allocation Waterfall Comparison
                                                                                                         contribute a total of approximately $33                General Business Risk Capital
                                                  The following example 28 illustrates                   million (($176 million ¥ $44 million) *                Requirement. With respect to losses
                                                the differences between the current and                  25%) from retained earnings, with                      arising out of Member B’s default, FICC
                                                proposed loss allocation provisions:                     approximately $19 million ($33 million                 would allocate the GSD loss of $200
                                                Assumptions                                              * ($200 million/$350 million)) for GSD                 million to GSD Tier One Netting
                                                                                                         and approximately $14 million ($33                     Members and the MBSD loss of $150
                                                   (i) Firms A, B, and X are each a GSD                                                                         million to MBSD Tier One Members.
                                                                                                         million * ($150 million/$350 million))
                                                Netting Member and an MBSD Clearing                                                                             Because Member X was a member in
                                                                                                         for MBSD. FICC will then allocate the
                                                Member and are referred to as Member                                                                            both Divisions on the first day of the
                                                                                                         remaining GSD loss of $181 million
                                                A, Member B, and Member X,                                                                                      Event Period, Member X would be
                                                                                                         ($200 million ¥ $19 million) to GSD
                                                respectively.                                                                                                   subject to loss allocation with respect to
                                                   (ii) Member A defaults on a Business                  Tier One Netting Members and the
                                                                                                         remaining MBSD loss of $136 million                    all events occurring during the Event
                                                Day (Day 1). On the same day, FICC                                                                              Period, even if the event occurred after
                                                ceases to act for Member A and notifies                  ($150 million ¥ $14 million) to MBSD
                                                                                                         Tier One Members.                                      its retirement. Therefore, Member X
                                                members of the cease to act. After                                                                              would be subject to loss allocation with
                                                liquidating Member A’s portfolio and                        Altogether, with respect to losses
                                                                                                         arising out of defaults of Member A and                respect to Member B’s default.
                                                applying Member A’s Clearing Fund                                                                                  Altogether, with respect to losses
                                                deposit, FICC has a total loss of $350                   Member B, FICC will contribute a total
                                                                                                         of approximately $77 million of retained               arising out of defaults of Member A and
                                                million, with $200 million in GSD and                                                                           Member B, FICC would apply a
                                                $150 million in MBSD.                                    earnings, with approximately $44
                                                                                                         million for GSD and approximately $33                  Corporate Contribution of $49 million,
                                                   (iii) Member X voluntarily retires                                                                           with approximately $32 million for GSD
                                                from membership five (5) Business Days                   million for MBSD. FICC will allocate
                                                                                                         losses of $356 million to GSD Tier One                 and approximately $17 million for
                                                after FICC ceases to act for Member A                                                                           MBSD. FICC would allocate losses of
                                                (Day 6).                                                 Netting Members and $267 million to
                                                                                                         MBSD Tier One Members.                                 $368 million to GSD Tier One Netting
                                                   (iv) Member B defaults seven (7)                                                                             Members and $283 million to MBSD
                                                Business Days after FICC ceases to act                   Proposed Loss Allocation                               Tier One Members.
                                                for Member A (Day 8). On the same day,                                                                             The principal differences in the above
                                                FICC ceases to act for Member B and                        Under the proposed loss allocation
                                                                                                         provisions, a Defaulting Member Event                  example are due to (i) the proposed
                                                notifies members of the cease to act.                                                                           changes to the calculation and
                                                After liquidating Member B’s portfolio                   with respect to Member A’s default
                                                                                                         would have occurred on Day One, and                    application of the Corporate
                                                and applying Member B’s Clearing Fund                                                                           Contribution and (ii) the proposed
                                                deposit, FICC has a total loss of $350                   a Defaulting Member Event with respect
                                                                                                         to Member B’s default would have                       introduction of an Event Period.
                                                million, with $200 million in GSD and
                                                $150 million in MBSD.                                    occurred on Day 8. Because the                         (ii) Detailed Description of the Proposed
                                                   (v) The current FICC loss provisions                  Defaulting Member Events occurred                      Rule Changes Related to Loss Allocation
                                                require FICC to contribute up to 25% of                  during a 10-business day period, they                  A. Proposed Changes to GSD Rule 4
                                                its retained earnings as a corporate                     would be grouped together into an                      (Clearing Fund and Loss Allocation) and
                                                contribution. For the purposes of this                   Event Period for purposes of allocating                MBSD Rule 4 (Clearing Fund and Loss
                                                example, it is assumed that FICC will                    losses to members. The Event Period                    Allocation)
                                                contribute 25% of its retained earnings.                 would begin on the 1st business day and
                                                                                                         end on the 10th business day.                          Overview of GSD Rule 4 and MBSD
                                                The amount of FICC’s retained earnings
                                                                                                           With respect to losses arising out of                Rule 4
                                                is $176 million.
                                                   (vi) FICC’s General Business Risk                     Member A’s default, FICC would apply                     GSD Rule 4 and MBSD Rule 4
                                                Capital Requirement is $98 million.                      a Corporate Contribution of $49 million                currently address Clearing Fund
                                                                                                         ($98 million * 50%),30 with                            requirements and loss allocation
                                                Current Loss Allocation                                                                                         obligations, as well as permissible uses
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                                                                                                            29 The retained earnings are applied to the
                                                  Under the current loss allocation                                                                             of the Clearing Fund. These Rules
                                                                                                         respective Divisions in the same proportion that the
                                                provisions, with respect to the losses                   losses of that Division bear to the total losses of
                                                                                                                                                                address the various Clearing Fund
                                                arising out of Member A’s default, FICC                  both Divisions.                                        calculations for each Division’s Clearing
                                                                                                            30 The Corporate Contribution would be applied
                                                  28 For purposes of this example, FICC has              to the respective Divisions in the same proportion     this example, FICC has assumed that the aggregate
                                                assumed that no losses have arisen that apply to         that the aggregate Average RFDs of all members in      Average RFDs of all GSD members is $10 billion
                                                Tier Two Netting Members, Tier Two Members, or           that Division bear to the aggregate Average RFDs of    and the aggregate Average RFDs of all MBSD
                                                CCIT Members.                                            all members in both Divisions. For the purposes of     members is $5.2 billion.



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                                                                               Federal Register / Vol. 83, No. 139 / Thursday, July 19, 2018 / Notices                                                    34201

                                                Fund and set forth rights, obligations                   Section 1 of GSD Rule 4 and MBSD                      Sections 3, 3a and 3b of GSD Rule 4 and
                                                and other aspects associated with each                   Rule 4.                                               MBSD Rule 4
                                                Division’s Clearing Fund, as well as                       Furthermore, in Section 1 of MBSD
                                                each Division’s loss allocation process.                 Rule 4, FICC is proposing to move the                    Currently, Sections 3, 3a and 3b of
                                                GSD Rule 4 and MBSD Rule 4 are each                      definition of ‘‘Transactions’’ to                     GSD Rule 4 and MBSD Rule 4 address
                                                currently organized into 12 sections.                    proposed Section 2(a) of MBSD Rule 4,                 the permissible form of Clearing Fund
                                                Sections of these Rules that FICC is                     where the first usage of ‘‘Transactions’’             deposits and contain detailed
                                                proposing to change are described                        in MBSD Rule 4 appears. FICC is also                  requirements regarding each form. FICC
                                                below.                                                   proposing to delete the last sentence in              is proposing changes to improve the
                                                                                                         Section 1 of MBSD Rule 4, which                       readability of these sections.
                                                Section 1 of GSD Rule 4 and MBSD
                                                                                                         references a Member’s obligation to                      In addition, for better organization of
                                                Rule 4
                                                                                                         replenish the deficit in its Required                 the subject matter, FICC is proposing to
                                                   Currently, Section 1 of GSD Rule 4                    Fund Deposit if it is charged by FICC                 move certain paragraphs from one
                                                and MBSD Rule 4 set forth the                            under certain circumstances, because it               section to another, including (i) moving
                                                requirement that each GSD Netting                        would no longer be relevant under the                 clauses (b) and (d) in current Section 2
                                                Member and each MBSD Clearing                            proposed rule change to Section 7 of                  of GSD Rule 4 and MBSD Rule 4,
                                                Member make and maintain a deposit to                    MBSD Rule 4, as FICC would require                    respectively, to proposed Section 3 of
                                                the Clearing Fund at the minimum level                   members to pay their loss allocation                  GSD Rule 4 and MBSD Rule 4 and (ii)
                                                set forth in the respective Rule 4 and                   amounts instead of charging their                     moving the last paragraph of current
                                                note that the timing of such payment is                  Required Fund Deposits for Clearing                   Section 3 in GSD Rule 4 and MBSD Rule
                                                set forth in another section of the                      Fund losses.                                          4 to proposed Section 3b of GSD Rule
                                                respective Rule 4. Current Section 1 of                                                                        4 and MBSD Rule 4.
                                                the respective rule also provides that the               Section 2 of GSD Rule 4 and MBSD
                                                                                                                                                                  Under the proposed rule change, FICC
                                                deposits to the Clearing Fund will be                    Rule 4
                                                                                                                                                               is also proposing to update the cash
                                                held by FICC or its designated agents.                      Current Section 2 of GSD Rule 4 and                investment provision in Section 3a of
                                                Current Section 1 of MBSD Rule 4 also                    MBSD Rule 4 set forth more detailed                   GSD Rule 4 and MBSD Rule 4 to reflect
                                                defines the term ‘‘Transaction’’ for                     requirements pertaining to members’                   the Clearing Agency Investment Policy
                                                purposes of MBSD Rule 4 and
                                                                                                         Required Fund Deposits. FICC is                       adopted by FICC 31 and to define
                                                references a Member’s obligation to
                                                                                                         proposing to rename the subheadings in                Clearing Fund Cash as (i) cash deposited
                                                replenish the deficit in its Required
                                                                                                         these sections from ‘‘Required Fund                   by a Netting Member or Clearing
                                                Fund Deposit if it is charged by FICC
                                                                                                         Deposit’’ to ‘‘Required Fund Deposit                  Member, as applicable, as part of its
                                                under certain circumstances.
                                                   FICC is proposing to rename the                       Requirements’’ in order to better reflect             Actual Deposit, (ii) the proceeds of (x)
                                                subheading of Section 1 of Rule 4 in                     the purpose of this section.                          any loans made to FICC secured by the
                                                both the GSD Rules and MBSD Rules                           In addition, FICC is proposing to                  pledge by FICC of Eligible Clearing
                                                from ‘‘General’’ to ‘‘Required Fund                      expand the definition of ‘‘Legal Risk’’ in            Fund Securities pledged to FICC or (y)
                                                Deposits’’ and to restructure the                        both the GSD and MBSD provisions                      any sales of Eligible Clearing Fund
                                                wording of the provisions for clarity and                (current Section 2(e) of GSD Rule 4 and               Securities pledged to FICC, (iii) cash
                                                readability.                                             Section 2(f) of MBSD Rule 4) by revising              receipts from any investment of,
                                                   Under the proposed rule change,                       the parameters of Legal Risk so that it               repurchase or reverse repurchase
                                                Section 1 of GSD Rule 4 and Section 1                    would not be limited to laws applicable               agreements relating to, or liquidation of,
                                                of MBSD Rule 4 would continue to have                    to a member’s insolvency or bankruptcy,               Clearing Fund assets, and (iv) cash
                                                the same provisions as they relate to                    as FICC believes that Legal Risk may                  payments on Eligible Letters of Credit.
                                                Netting Members or Clearing Members,                     arise outside the context of an                       Lastly, FICC is proposing technical
                                                as applicable, except for the following:                 insolvency or bankruptcy event                        changes to correct typographical errors
                                                (i) The language throughout the sections                 regarding a member, and FICC should                   in current Section 3 of MBSD Rule 4
                                                would be reorganized, streamlined and                    be permitted to adequately protect itself             and current Section 3b of GSD Rule 4.
                                                clarified, and (ii) language would be                    in those non- insolvency/bankruptcy
                                                added regarding additional deposits                      circumstances as well.                                   31 See Securities Exchange Act Release No. 79528

                                                maintained by the Netting Members or                        For better organization of Rule 4, FICC            (December 12, 2016), 81 FR 91232 (December 16,
                                                                                                         is also proposing to relocate the                     2016) (SR–FICC–2016–005). The Clearing Agency
                                                Clearing Members, as applicable, at                                                                            Investment Policy (the ‘‘Policy’’) governs the
                                                FICC, and highlight for members that                     provision on minimum Clearing Fund                    management, custody, and investment of cash
                                                such additional deposits would be                        cash requirements (current Section 2(b)               deposited to the GSD and MBSD Clearing Funds,
                                                deemed to be part of the Clearing Fund                   of GSD Rule 4 and Section 2(d) of MBSD                the proprietary liquid net assets (cash and cash
                                                                                                         Rule 4) to the section in each of GSD                 equivalents) of FICC and other funds held by FICC.
                                                and the member’s Actual Deposit (as                                                                            The Policy sets forth guiding principles for the
                                                discussed below and as defined in the                    Rule 4 and MBSD Rule 4 dealing                        investment of those funds, which include
                                                proposed rule change) but would not be                   specifically with the form of Clearing                adherence to a conservative investment philosophy
                                                deemed to be part of the member’s                        Fund deposits (proposed Section 3 of                  that places the highest priority on maximizing
                                                                                                         GSD Rule 4 and MBSD Rule 4). This                     liquidity and avoiding risk, as well as mandating
                                                Required Fund Deposit.                                                                                         the segregation and separation of funds. The Policy
                                                   The proposed language regarding                       would necessitate the re-lettering of the             also addresses the process for evaluating credit
                                                maintenance of a member’s Actual                         provisions in Section 2. In addition, as              ratings of counterparties and identifies permitted
                                                                                                         stated above, the provision regarding the             investments within specified parameters. In
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                                                Deposit would also make it clear that
                                                                                                         definition of ‘‘Transactions’’ for                    general, assets are required to be held by regulated
                                                FICC will not be required to segregate                                                                         and creditworthy financial institution
                                                such deposit, but shall maintain books                   purposes of MBSD Rule 4 would be                      counterparties and invested in financial
                                                and records concerning the assets that                   moved to proposed Section 2(a) from                   instruments that, with respect to the GSD and
                                                constitute each member’s Actual                          current Section 1.                                    MBSD Clearing Funds, may include deposits with
                                                                                                                                                               banks, including the Federal Reserve Bank of New
                                                Deposit.                                                    FICC is proposing technical changes                York, collateralized reverse-repurchase agreements,
                                                   In addition, FICC proposes a technical                to correct typographical errors in                    direct obligations of the U.S. government and
                                                change to update a cross reference in                    current Section 2 of GSD Rule 4.                      money-market mutual funds.



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                                                34202                          Federal Register / Vol. 83, No. 139 / Thursday, July 19, 2018 / Notices

                                                Section 4 of GSD Rule 4 and MBSD                         hypothecates, encumbers, borrows, or                  the effect of the limitation in this
                                                Rule 4                                                   applies any part of the respective                    context is confusing and unclear.
                                                                                                         Division’s Clearing Fund deposits to                    In addition, FICC is proposing to
                                                   Currently, Section 4 of GSD Rule 4
                                                                                                         satisfy any liability, obligation, or                 delete the last paragraph in current
                                                and MBSD Rule 4 address the granting
                                                                                                         liquidity requirements for more than                  Section 5 of GSD Rule 4 and MBSD Rule
                                                of a first priority perfected security
                                                                                                         thirty (30) days, FICC, at the Close of               4 because these paragraphs address the
                                                interest by each Netting Member or
                                                                                                         Business on the 30th day (or on the first             application of a member’s deposits to
                                                Clearing Member, as applicable, in all
                                                                                                         Business Day thereafter) will consider                the applicable Clearing Fund to cover
                                                assets and property placed by the
                                                                                                         the amount used as an actual loss to the              the allocation of a loss or liability
                                                member in the possession of FICC (or its
                                                                                                         respective Division’s Clearing Fund and               incurred by FICC. These paragraphs
                                                agents acting on its behalf). FICC is not                                                                      would no longer be relevant, because,
                                                proposing any substantive changes to                     immediately allocate such loss in
                                                                                                         accordance with Section 7 of GSD Rule                 under the proposed Section 7 of GSD
                                                these sections except for streamlining                                                                         Rule 4 and MBSD Rule 4 (discussed
                                                the provisions for readability and                       4 or MBSD Rule 4, as applicable. As
                                                                                                         proposed, FICC would retain this                      below), FICC would not apply the
                                                clarity, and adding ‘‘Actual Deposit’’ as                                                                      member’s deposit to the Clearing Fund
                                                a defined term to refer to Eligible                      provision conceptually but replace it
                                                                                                         with clearer and streamlined language                 unless the member does not satisfy
                                                Clearing Fund Securities, funds and                                                                            payment of its allocated loss amount
                                                assets pledged to FICC to secure any and                 that provides that each time FICC uses
                                                                                                         any part of the respective Division’s                 within the required timeframe. These
                                                all obligations and liabilities of a                                                                           paragraphs also currently include
                                                Netting Member or a Clearing Member,                     Clearing Fund for more than 30 calendar
                                                                                                         days to provide liquidity to FICC to                  provisions regarding other agreements,
                                                as applicable, to FICC.                                                                                        such as a Cross-Guaranty Agreement,
                                                                                                         meet its settlement obligations,
                                                Section 5 of GSD Rule 4 and MBSD                         including, without limitation, through                that pertain to a Defaulting Member, and
                                                Rule 4                                                   the direct use of cash in the Clearing                such provisions would now be covered
                                                                                                         Fund or through the pledge or                         by proposed Section 6 of GSD Rule 4
                                                   Currently, Section 5 of GSD Rule 4
                                                                                                         rehypothecation of pledged Eligible                   and MBSD Rule 4.
                                                and MBSD Rule 4 describe the use of
                                                each Division’s Clearing Fund. FICC is                   Clearing Fund Securities in order to                  Section 6 of GSD Rule 4 and MBSD
                                                proposing to rename the subheading of                    secure liquidity, FICC, at the Close of               Rule 4
                                                this section from ‘‘Use of Deposits and                  Business on the 30th calendar day (or
                                                                                                         on the first Business Day thereafter)                    Currently, Section 6 of GSD Rule 4
                                                Payments’’ to ‘‘Use of Clearing Fund’’ to                                                                      and MBSD Rule 4 are reserved for future
                                                better reflect the purpose of the section.               from the day of such use, would
                                                                                                         consider the amount used but not yet                  use. FICC is proposing to use this
                                                   Under the proposed rule change, FICC                                                                        section for provisions relating to the
                                                is also proposing changes to streamline                  repaid as a loss to the Clearing Fund
                                                                                                         incurred as a result of a Defaulting                  application of deposits to the respective
                                                this section for clarity and readability                                                                       Division’s Clearing Fund and other
                                                and to align the GSD Rules and MBSD                      Member Event and immediately allocate
                                                                                                         such loss in accordance with proposed                 amounts held by FICC to a Defaulting
                                                Rules. Specifically, FICC is proposing to                                                                      Member’s obligations.
                                                delete the first paragraph of current                    Section 7 of GSD Rule 4 or MBSD Rule
                                                                                                                                                                  FICC is proposing to add a
                                                Section 5 of GSD Rule 4 and MBSD Rule                    4, as applicable.
                                                                                                                                                               subheading of ‘‘Application of Clearing
                                                4 and replace it with clearer language                      The proposed rule change also                      Fund Deposits and Other Amounts to
                                                that sets forth the permitted uses of each               includes deleting language currently in               Defaulting Members’ Obligations’’ to
                                                Division’s Clearing Fund. Specifically,                  Section 5 of MBSD Rule 4 that limits                  Section 6 of GSD Rule 4 and MBSD Rule
                                                the proposed Section 5 of GSD Rule 4                     certain uses by FICC of the MBSD                      4. Under the proposed rule change, for
                                                and MBSD Rule 4 provides that each                       Clearing Fund to ‘‘unexpected or                      better organization by subject matter,
                                                Division’s Clearing Fund would only be                   unusual’’ requirements for funds that                 FICC is also proposing to relocate
                                                used by FICC (i) to secure each                          represent a ‘‘small percentage’’ of the               certain provisions to these sections from
                                                member’s performance of obligations to                   MBSD Clearing Fund. FICC believes that                the respective current Section 7 of GSD
                                                FICC, including, without limitation,                     these limiting phrases (which appear in               Rule 4 and MBSD Rule 4, which
                                                each member’s obligations with respect                   connection with FICC’s use of MBSD                    addresses FICC’s application of Clearing
                                                to any loss allocations as set forth in                  Clearing Fund to cover losses and                     Fund deposits and other assets held by
                                                proposed Section 7 of GSD Rule 4 and                     liabilities incident to its clearance and             FICC securing a Defaulting Member’s
                                                MBSD Rule 4 and any obligations                          settlement business outside the context               obligations to FICC.
                                                arising from a Cross-Guaranty                            of an MBSD Defaulting Member Event                       For additional clarity and for
                                                Agreement pursuant to GSD Rule 41 or                     as well as to cover certain liquidity                 consistency with the loss allocation
                                                MBSD Rule 32, as applicable, or a Cross-                 needs) are vague and imprecise, and                   rules of the other DTCC Clearing
                                                Margining Agreement pursuant to GSD                      should be replaced in their entirety.                 Agencies, FICC proposes to add a
                                                Rule 43, (ii) to provide liquidity to FICC               Specifically, FICC is proposing to delete             provision which makes it clear that, if
                                                to meet its settlement obligations,                      the limiting language with respect to                 FICC applies a Defaulting Member’s
                                                including, without limitation, through                   FICC’s use of MBSD Clearing Fund to                   Clearing Fund deposits, FICC may take
                                                the direct use of cash in the GSD                        cover losses and liabilities incident to              any and all actions with respect to the
                                                Clearing Fund or MBSD Clearing Fund,                     its clearance and settlement business                 Defaulting Member’s Actual Deposits,
                                                as applicable, or through the pledge or                  outside of an MBSD Defaulting Member                  including assignment, transfer, and sale
                                                rehypothecation of pledged Eligible                      Event so as to not have such language
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                                                                                                                                                               of any Eligible Clearing Fund Securities,
                                                Clearing Fund Securities in order to                     be interpreted as impairing FICC’s                    that FICC determines is appropriate.
                                                secure liquidity, and (iii) for investment               ability to access the MBSD Clearing
                                                as set forth in proposed Section 3a of                   Fund in order to manage non-default                   Sections 7, 7a and 7b of GSD Rule 4 and
                                                GSD Rule 4 and MBSD Rule 4.                              losses. FICC is also proposing to delete              MBSD Rule 4
                                                   The current first paragraph of Section                the limiting language with respect to                   Current Section 7 of GSD Rule 4 and
                                                5 of GSD Rule 4 and MBSD Rule 4                          FICC’s use of MBSD Clearing Fund to                   MBSD Rule 4 contains FICC’s current
                                                provides that if FICC pledges,                           cover certain liquidity needs because                 loss allocation waterfall for losses or


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                                                                               Federal Register / Vol. 83, No. 139 / Thursday, July 19, 2018 / Notices                                            34203

                                                liabilities incurred by FICC. With                       period as may be available if the                     member being allocated the loss is not
                                                respect to any loss or liability incurred                member has not maintained a deposit                   sufficient to satisfy its loss allocation
                                                by FICC as the result of the failure of a                over such time period).                               obligation, the member is required to
                                                Defaulting Member to fulfill its                            Currently, pursuant to Section 7(e) of             deliver to FICC an amount that is
                                                obligations to FICC, the loss allocation                 GSD Rule 4, an Inter-Dealer Broker                    necessary to eliminate the deficiency by
                                                waterfall for each Division currently                    Netting Member, or a Non-IDB Repo                     the Close of Business on the next
                                                provides:                                                Broker with respect to activity in its                Business Day, or by the Close of
                                                   (i) Application of any Clearing Fund                  Segregated Broker Account, will not be                Business on the Business Day of
                                                deposits and other collateral held by                    subject to an aggregate allocation loss               issuance of the notification if so
                                                FICC securing a Defaulting Member’s                      for any single loss-allocation event that             determined by FICC. Under the current
                                                obligations to FICC and additional                       exceeds $5 million. FICC believes that it             Rules, a member may elect to terminate
                                                resources as are applicable to the                       is appropriate for GSD to retain this cap             its membership, which would limit its
                                                Defaulting Member.                                       under the proposed rule change because                loss allocation to the amount of its
                                                   (ii) If a loss or liability remains after             the Inter-Dealer Broker Netting Members               Required Fund Deposit for the Business
                                                the application of the Defaulting                        are required to limit their business as               Day on which the notification of such
                                                Member’s collateral and resources, FICC                  provided in Section 8(e) of GSD Rule 3,               loss allocation is provided to the
                                                would apply up to 25% of FICC’s                          which would in turn minimize the                      member. If the member does not elect to
                                                existing retained earnings, or such                      potential losses or liabilities that could            terminate its membership and fails to
                                                higher amount as the Board of Directors                  be incurred by FICC from Inter-Dealer                 satisfy its Required Fund Deposit within
                                                determines.                                              Broker Netting Members.32 FICC                        the timeframe specified in the Rules,
                                                   (iii) If a loss or liability still remains            believes that it is also appropriate for              FICC will cease to act generally with
                                                after the application of the retained                    GSD to retain this cap under the                      regard to such member pursuant to GSD
                                                earnings, FICC would apply the loss or                   proposed rule change for Non-IDB Repo                 Rules 21 and 22A or MBSD Rules 14
                                                liability to members as follows:                         Brokers because their activity in their               and 17, as applicable, and may take
                                                   (a) If the remaining loss or liability is             respective Segregated Broker Accounts                 disciplinary action against such member
                                                attributable to Tier One Netting                         would be subject to similar limitations               pursuant to GSD Rule 48 or MBSD Rule
                                                Members or Tier One Members, as                          as the Inter-Dealer Broker Netting                    38, as applicable.
                                                applicable, then FICC will allocate such                 Members. However, the proposal would                     Current Section 7(h) of GSD Rule 4
                                                loss or liability to Tier One Netting                    apply the cap to an Event Period instead              and MBSD Rule 4 requires FICC to
                                                Members or Tier One Members, as                          of a single loss event in order to                    promptly notify members and the
                                                applicable, by assessing the Required                    conform with the concept of the Event                 Commission of the amount involved
                                                Fund Deposit maintained by each such                     Period under the proposal. FICC                       and the causes if a Remaining Loss or
                                                member an amount up to $50,000, in an                    believes applying the cap to an Event                 Other Loss occurs. In addition, current
                                                equal basis per Tier One Netting                         Period would continue to reasonably                   Section 7(i) of GSD Rule 4 and MBSD
                                                Member or Tier One Member, as                            represent the risk profiles of the Inter-             Rule 4 also provides that any increase
                                                applicable.                                              Dealer Broker Netting Members, and                    in Clearing Fund deposit as required by
                                                   (b) If the remaining loss or liability is             Non-IDB Repo Brokers with respect to                  subsection (f) of current Section 2 of
                                                attributable to Tier Two Members, then                   their Segregated Broker Accounts,                     GSD Rule 4 or provisions of MBSD Rule
                                                FICC will allocate such loss or liability                because they submit affirmed trades                   4 regarding special charges or other
                                                to Tier Two Members based upon their                     from their systems to GSD, with each                  premiums will not be taken into account
                                                trading activity with the Defaulting                     trade already matched to the                          when calculating loss allocation based
                                                Member that resulted in a loss.                          counterparty that will ultimately deliver             on a GSD Member’s Average Required
                                                   (iv) If there is any loss or liability that           or receive the securities. Therefore,                 FICC Clearing Fund Deposit amount or
                                                still remains after the application of (ii)              Inter-Dealer Broker Netting Members,                  an MBSD Member’s Average Required
                                                and (iii) above that is attributable to Tier             and Non-IDB Repo Brokers with respect                 Fund Deposit amount, as applicable,
                                                One Netting Members or Tier One                          to their Segregated Broker Accounts, do               under current Section 7 of GSD Rule 4
                                                Members, as applicable, then FICC will                   not generally maintain positions with                 and MBSD Rule 4.
                                                allocate such loss or liability among Tier               FICC and present minimal risk to FICC.                   Under the proposed rule change, FICC
                                                One Netting Members or Tier One                          FICC is also proposing technical                      is proposing to rename the subheading
                                                Members, as applicable, ratably based                    changes to replace (i) the term                       of Section 7 of GSD Rule 4 and MBSD
                                                on the amount of each Tier One Netting                   ‘‘Segregated Broker Account’’ with                    Rule 4 to ‘‘Loss Allocation Waterfall,
                                                Member’s or Tier One Member’s                            ‘‘Segregated Repo Account’’ and (ii) the              Off-the-Market Transactions.’’ In
                                                Required Fund Deposit and based on                       term ‘‘Non-IDB Broker’’ with ‘‘Non-IDB                addition, FICC is proposing to
                                                the average daily level of such deposit                  Repo Broker,’’ both of which are the                  restructure its loss allocation waterfall
                                                over the prior twelve (12) months (or                    correct terms defined in GSD Rule 1.                  as described below.
                                                such shorter period as may be available                     Current Section 7(g) of GSD Rule 4                    For better organization of the subject
                                                if the member has not maintained a                       and MBSD Rule 4 further provides that                 matter, FICC is proposing to move
                                                deposit over such time period).                          if the Required Fund Deposit of the                   certain paragraphs from one section to
                                                   Current Section 7(f) of GSD Rule 4                                                                          another, including (i) relocating the last
                                                and MBSD Rule 4 also provides that                          32 Pursuant to Section 8(e) of GSD Rule 3, an      sentence of current Section 7(h) of GSD
                                                Other Losses shall be allocated among                    Inter-Dealer Broker Netting Member is required to     Rule 4 and MBSD Rule 4 regarding
                                                Tier One Netting Members or Tier One                     (A) limit its business to acting exclusively as a     recovery of allocated losses or liabilities
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                                                                                                         broker, (B) conduct all of its business in Repo
                                                Members, as applicable, ratably in                       Transactions with Netting Members, and (C)
                                                                                                                                                               by FICC to the fifth paragraph of
                                                accordance with the respective amounts                   conduct at least 90 percent of its business in        proposed Section 7 of GSD Rule 4 and
                                                of each Tier One Netting Member’s or                     transactions that are not Repo Transactions with      MBSD Rule 4, (ii) relocating from
                                                Tier One Member’s Required Fund                          Netting Members. If an Inter-Dealer Broker Netting    current Section 7(a) of GSD Rule 4 and
                                                                                                         Member fails to comply with these requirements,
                                                Deposit and based on the average daily                   then the Inter-Dealer Broker Netting Member shall
                                                                                                                                                               MBSD Rule 4 provisions which address
                                                level of such deposit over the prior                     be considered by FICC as a Dealer Netting Member.     FICC’s application of Clearing Fund
                                                twelve (12) months (or such shorter                      Supra note 5.                                         deposits and other assets held by FICC


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                                                34204                           Federal Register / Vol. 83, No. 139 / Thursday, July 19, 2018 / Notices

                                                securing a Defaulting Member’s                            Furthermore, in order to enhance                       liability incident to the clearance and
                                                obligations to FICC to proposed Section                   readability and clarity, FICC is                       settlement business of FICC may be a
                                                6 of GSD Rule 4 and MBSD Rule 4, (iii)                    proposing a number of changes to                       significant and substantial loss or
                                                relocating from current Section 7 of GSD                  streamline the language in these                       liability that may materially impair the
                                                Rule 4 to proposed Section 6 of GSD                       provisions.                                            ability of FICC to provide clearance and
                                                Rule 4 the provision regarding FICC’s                        In Section 7 of GSD Rule 4 and MBSD                 settlement services in an orderly
                                                right to treat certain payments to an                     Rule 4, as applicable, FICC is proposing               manner and will potentially generate
                                                FCO under a Cross-Margining Guaranty                      to make it clear that no loss allocation               losses to be mutualized among members
                                                as a loss to be allocated, (iv) relocating                under proposed GSD Rule 4 or proposed                  in order to ensure that FICC may
                                                the provisions in current Section 7(i) of                 MBSD Rule 4, as applicable, would                      continue to offer clearance and
                                                GSD Rule 4 and MBSD Rule 4 regarding                      constitute a waiver of any claim FICC                  settlement services in an orderly
                                                certain increases in Clearing Fund                        may have against a member for any                      manner.
                                                deposits not being taken into account                     losses or liabilities to which the member                 As proposed, each member would be
                                                when calculating loss allocation so that                  is subject under the Rules, including,                 obligated to FICC for the entire amount
                                                such provisions would come right after                    without limitation, any loss or liability              of any loss or liability incurred by FICC
                                                the loss allocation calculation provision,                to which it may be subject under                       arising out of or relating to any
                                                with an updated reference to proposed                     proposed GSD Rule 4 or proposed                        Defaulting Member Event with respect
                                                renumbered Sections 2(d) and 2(e) in                      MBSD Rule 4, as applicable. FICC is                    to such member. Under the proposal, to
                                                GSD Rule 4 and MBSD Rule 4,                               proposing this change to preserve its                  the extent that such loss or liability is
                                                respectively, and (v) relocating the                      legal rights and to make it clear to                   not satisfied pursuant to proposed
                                                provision regarding withdrawing                           members that loss allocation under                     Section 6 of GSD Rule 4 or MBSD Rule
                                                members reapplying to become                              proposed GSD Rule 4 and proposed                       4, as applicable, FICC would apply a
                                                members 33 in the second paragraph of                     MBSD Rule 4 would not be deemed as                     Corporate Contribution thereto and
                                                current Section 7(g) of GSD Rule 4 and                    FICC waiving any claims it may have                    charge the remaining amount of such
                                                MBSD Rule 4 to come right after the                       against a member for any losses or                     loss or liability ratably to other
                                                paragraph regarding the election of a                     liabilities to which the member is                     members, as provided in proposed
                                                Tier One Netting Member or Tier One                       subject under the Rules.                               Section 7 of GSD Rule 4 and MBSD
                                                Member, as applicable, to withdraw                           Under the proposal, Section 7 of GSD                Rule 4.
                                                from membership in proposed Section 7                     Rule 4 and MBSD Rule 4 would make                         Under proposed Section 7 of GSD
                                                of GSD Rule 4 and MBSD Rule 4.                            clear that the loss allocation waterfall               Rule 4 and MBSD Rule 4, the loss
                                                                                                          applies to losses and liabilities (i)                  allocation waterfall would begin with a
                                                   33 Current Section 7(g) of GSD Rule 4 provides
                                                                                                          arising out of or relating to a default of             corporate contribution from FICC
                                                that a Member that elects to terminate its                                                                       (‘‘Corporate Contribution’’), as is the
                                                membership pursuant to alternative (ii) in Section        a member or (ii) otherwise incident to
                                                                                                                                                                 case under the current Rules, but in a
                                                7(g) of GSD Rule 4 in lieu of being liable to pay an      the clearance and settlement business of
                                                additional assessment amount above its Required                                                                  different form than under the current
                                                                                                          FICC (i.e., non-default losses). The loss
                                                Fund Deposit shall not be eligible to re-apply to                                                                Section 7 of GSD Rule 4 and MBSD Rule
                                                                                                          allocation waterfall would be triggered
                                                become a Comparison-Only Member or a Netting                                                                     4 described above. Today, Section 7(b)
                                                Member unless, prior to submitting such                   if FICC incurs a loss or liability arising
                                                                                                                                                                 of GSD Rule 4 and Section 7(c) of MBSD
                                                application, it makes the payment to FICC provided        out of or relating to a Defaulting
                                                for in alternative (i) in Section 7(g) of GSD Rule 4,                                                            Rule 4 provide that, if FICC incurs any
                                                                                                          Member Event or a Declared Non-
                                                together with interest on that amount at the average                                                             loss or liability as the result of the
                                                                                                          Default Loss Event.
                                                of the Federal Funds Rate plus one percent,                                                                      failure of a Defaulting Member to fulfill
                                                calculated from the date on which the Remaining              As proposed, Section 7 of GSD Rule
                                                                                                                                                                 its obligations to FICC, FICC will
                                                Loss or Other Loss was incurred by FICC until the         4 and MBSD Rule 4 would provide that,                  contribute up to 25% of its existing
                                                date of such payment. Supra note 5.                       for the purposes of GSD Rule 4 or MBSD
                                                   Current Section 7(g) of MBSD Rule 4 provides                                                                  retained earnings (or such higher
                                                that a Member that elects to terminate its
                                                                                                          Rule 4, as applicable, the term                        amount as the Board of Directors shall
                                                membership pursuant to alternative (ii) in Section        ‘‘Defaulting Member’’ would mean a                     determine), to such loss or liability;
                                                7(g) of MBSD Rule 4 in lieu of being liable to pay        GSD Member or MBSD Member, as                          however, no corporate contribution
                                                an additional assessment amount above its                 applicable, for which FICC has ceased to
                                                Required Fund Deposit shall not be eligible to re-                                                               from FICC is currently required for
                                                apply to become a Clearing Member unless, prior
                                                                                                          act pursuant to GSD Rule 21 or GSD                     losses resulting other than those from
                                                to submitting such application, it makes the              Rule 22,34 or MBSD Rule 14 or MBSD                     Member impairments. Under the
                                                payment to FICC provided for in alternative (i) in        Rule 16,35 as applicable, the term                     proposal, FICC would add a proposed
                                                Section 7(g) of MBSD Rule 4, together with interest       ‘‘Defaulting Member Event’’ would
                                                on that amount at the average of the Federal Funds                                                               new Section 7a to GSD Rule 4 and
                                                Rate plus one percent, calculated from the date on        mean the determination by FICC to                      MBSD Rule 4 with a subheading of
                                                which the Remaining Loss or Other Loss was                cease to act for a GSD Member or MBSD                  ‘‘Corporate Contribution’’ and define
                                                incurred by FICC until the date of such payment.          Member, as applicable, pursuant to GSD                 FICC’s Corporate Contribution with
                                                Supra note 5.                                             Rule 21 or GSD Rule 22, or MBSD Rule
                                                   The condition for re-application was historically                                                             respect to any loss allocation pursuant
                                                in the rules of Government Securities Clearing            14 or MBSD Rule 16, as applicable, and                 to proposed Section 7 of GSD Rule 4 or
                                                Corporation (‘‘GSCC’’) (FICC’s predecessor) to            the term ‘‘Declared Non-Default Loss                   MBSD Rule 4, whether arising out of or
                                                solidify GSCC’s membership base and thereby               Event’’ would mean the determination                   relating to a Defaulting Member Event or
                                                discourage members from withdrawing from                  by the Board of Directors that a loss or
                                                membership during a time of stress solely to avoid                                                               a Declared Non-Default Loss Event, as
                                                their loss allocation obligations. This condition was
                                                                                                             34 FICC may cease to act for a GSD Member
                                                                                                                                                                 an amount that is equal to fifty (50)
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                                                later incorporated into the GSD Rules and MBSD                                                                   percent of the amount calculated by
                                                Rules. In the interest of continuing to encourage         pursuant to any of the circumstances set forth under
                                                members to remain in FICC central clearing in order       GSD Rule 21 (Restrictions on Access to Services) or    FICC in respect of its General Business
                                                to preserve the robustness of the Treasury and            GSD Rule 22 (Insolvency of a Member). Supra note       Risk Capital Requirement as of the end
                                                mortgage-backed securities markets, FICC would            5.                                                     of the calendar quarter immediately
                                                                                                             35 FICC may cease to act for an MBSD Member
                                                like to retain this condition for re-application in the                                                          preceding the Event Period.36 The
                                                GSD and MBSD Rules as is. As the provision                pursuant to any of the circumstances set forth under
                                                applies to a remote contingency and, without an           MBSD Rule 14 (Restrictions on Access to Services)      proposed rule change would specify
                                                immediate business need, NSCC and DTC would               or MBSD Rule 16 (Insolvency of a Member). Supra
                                                prefer not to add this provision at this time.            note 5.                                                 36 Supra   note 9.



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                                                                               Federal Register / Vol. 83, No. 139 / Thursday, July 19, 2018 / Notices                                          34205

                                                that FICC’s General Business Risk                        result of the failure of a Defaulting                    Under the proposal, FICC would
                                                Capital Requirement, as defined in                       Member to fulfill its obligations to FICC.            delete the provision in current Section
                                                FICC’s Clearing Agency Policy on                         The proposed Corporate Contribution                   7(h) of GSD Rule 4 and MBSD Rule 4
                                                Capital Requirements,37 is, at a                         would apply to losses or liabilities                  that requires FICC to promptly notify
                                                minimum, equal to the regulatory                         relating to or arising out of Defaulting              members and the Commission of the
                                                capital that FICC is required to maintain                Member Events and Declared Non-                       amounts involved and the causes if a
                                                in compliance with Rule 17Ad–                            Default Loss Events, and would be a                   Remaining Loss or Other Loss occurs
                                                22(e)(15) under the Act.38                               mandatory loss contribution by FICC                   because such notification would no
                                                   As proposed, if FICC applies the                      prior to any allocation of the loss among             longer be necessary under the proposed
                                                Corporate Contribution to a loss or                      the applicable Division’s members.                    rule change. Under the proposed rule
                                                liability arising out of or relating to one                 Current Section 7(b) of GSD Rule 4                 change, FICC would notify members
                                                or more Defaulting Member Events or                      and Section 7(c) of MBSD Rule 4                       subject to loss allocation of the amounts
                                                Declared Non-Default Loss Events                         provide FICC the option to contribute                 being allocated to them in one or more
                                                relating to an Event Period, then for any                amounts higher than the specified                     Loss Allocation Notices for both
                                                subsequent Event Periods that occur                      percentage of retained earnings as                    Defaulting Member Events and Declared
                                                during the two hundred fifty (250)                       determined by the Board of Directors, to              Non-Default Loss Events. As such, in
                                                Business Days thereafter,39 the                          any loss or liability incurred by FICC as             order to conform to the proposed rule
                                                Corporate Contribution would be                          the result of the failure of a Defaulting             change, FICC is proposing to eliminate
                                                reduced to the remaining unused                          Member to fulfill its obligations to FICC.            the notification to members regarding
                                                portion of the Corporate Contribution                    This option would be retained and                     the amounts involved and the causes if
                                                amount that was applied for the first                    expanded under the proposal to also                   a Remaining Loss or Other Loss occurs
                                                Event Period. Proposed Section 7a of                     cover non-default losses. Proposed                    that is required under current Section
                                                both GSD Rule 4 and MBSD Rule 4                          Section 7a of GSD Rule 4 and MBSD                     7(h) of GSD Rule 4 and MBSD Rule 4.
                                                would require FICC to notify members                     Rule 4 would provide that nothing in                  FICC is also proposing to delete the
                                                of any such reduction to the Corporate                   the Rules would prevent FICC from                     notification to the Commission
                                                Contribution.                                            voluntarily applying amounts greater                  regarding the amounts involved and the
                                                   Proposed Section 7a to GSD Rule 4                     than the Corporate Contribution against               causes if a Remaining Loss or Other
                                                and MBSD Rule 4 would also make                          any FICC loss or liability, whether                   Loss occurs as required in the same
                                                clear that there would be one FICC                       arising out of or relating to a Defaulting            section. While as a practical matter,
                                                Corporate Contribution, the amount of                    Member Event or a Declared Non-                       FICC would notify the Commission of a
                                                which would be available to both                         Default Loss Event, if the Board of                   decision to loss allocate, FICC does not
                                                Divisions and would be applied against                   Directors, in its sole discretion, believes           believe such notification needs to be
                                                a loss or liability in either Division in                such to be appropriate under the factual              specified in the Rules.
                                                the order in which such loss or liability                situation existing at the time.                          In addition, FICC is proposing to
                                                occurs, i.e., FICC would not have two                       Proposed Section 7 of GSD Rule 4 and               clarify the provision related to Off-the-
                                                separate Corporate Contributions, one                    MBSD Rule 4 would provide that FICC                   Market Transactions so that it is clear
                                                for each Division. As proposed, in the                   shall apply the Corporate Contribution                that loss or liability of FICC in
                                                event of a loss or liability relating to an              to losses and liabilities that arise out of           connection with the close-out or
                                                Event Period, whether arising out of or                  or relate to one or more Defaulting                   liquidation of an Off-the-Market
                                                relating to a Defaulting Member Event or                 Member Events and/or (ii) Declared                    Transaction in the portfolio of a
                                                a Declared Non-Default Loss Event,                       Non-Default Loss Events that occur                    Defaulting Member would be allocated
                                                attributable to only one Division, the                   within an Event Period. The proposed                  to the Member that was the counterparty
                                                Corporate Contribution would be                          rule change also provides that if losses              to such transaction.
                                                applied to that Division up to the                       and liabilities with respect to such
                                                                                                         Event Period remain unsatisfied                       Tier One Netting Members/Tier One
                                                amount then available. Under the                                                                               Members
                                                proposal, if a loss or liability relating to             following application of the Corporate
                                                an Event Period, whether arising out of                  Contribution, FICC would allocate such                   For Tier One Netting Members or Tier
                                                or relating to a Defaulting Member Event                 losses and liabilities to members, as                 One Members, as applicable, proposed
                                                or a Declared Non-Default Loss Event,                    described below.                                      Section 7 of GSD Rule 4 and MBSD Rule
                                                occurs simultaneously at both Divisions,                    As proposed, Section 7 of GSD Rule                 4 would establish the concept of an
                                                the Corporate Contribution would be                      4 and MBSD Rule 4 would retain the                    ‘‘Event Period’’ to provide for a clear
                                                applied to the respective Divisions in                   differentiation in allocating losses to               and transparent way of handling
                                                the same proportion that the aggregate                   Tier One Netting Members or Tier One                  multiple loss events occurring in a
                                                Average RFDs of all members in that                      Members, as applicable, and Tier Two                  period of ten (10) Business Days, which
                                                Division bears to the aggregate Average                  Members. Specifically, as is the case                 would be grouped into an Event
                                                RFDs of all members in both                              today, losses or liabilities that arise out           Period.41 As stated above, both
                                                Divisions.40                                             of or relate to one or more Defaulting                Defaulting Member Events or Declared
                                                   Currently, the Rules do not require                   Member Events would be attributable to                Non-Default Loss Events could occur
                                                FICC to contribute its retained earnings                 Tier One Netting Members or Tier One                  within the same Event Period.
                                                to losses and liabilities other than those               Members, as applicable, and Tier Two                     Under the proposal, an Event Period
                                                from member defaults. Under the                          Members, while losses or liabilities that             with respect to a Defaulting Member
                                                                                                         arise out of or relate to one or more
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                                                proposal, FICC would expand the                                                                                Event would begin on the day FICC
                                                application of its corporate contribution                Declared Non-Default Loss Events                      notifies members that it has ceased to
                                                beyond losses and liabilities as the                     would only be attributable to Tier One                act for the Defaulting Member (or the
                                                                                                         Netting Members or Tier One Members,                  next Business Day, if such day is not a
                                                  37 Supra note 10.                                      as applicable. Tier Two Members would                 Business Day). In the case of a Declared
                                                  38 Supra note 11.                                      not be subject to loss allocation with                Non-Default Loss Event, an Event Period
                                                  39 Supra note 13.                                      respect to Declared Non-Default Loss
                                                  40 Supra note 14.                                      Events.                                                 41 Supra   note 16.



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                                                34206                          Federal Register / Vol. 83, No. 139 / Thursday, July 19, 2018 / Notices

                                                would begin on the day that FICC                         be calculated differently than it is                  applicable, in that round has five (5)
                                                notifies members of the Declared Non-                    today).                                               Business Days from the issuance of such
                                                Default Loss Event (or the next Business                    The proposed rule change to Section                first Loss Allocation Notice for the
                                                Day, if such day is not a Business Day).                 7 of GSD Rule 4 and MBSD Rule 4                       round to notify FICC of its election to
                                                If a subsequent Defaulting Member                        would clarify that each Tier One Netting              withdraw from membership with GSD
                                                Event or Declared Non-Default Loss                       Member or Tier One Member, as                         or MBSD, as applicable, pursuant to
                                                Event occurs during an Event Period,                     applicable, that is a Tier One Netting                proposed Section 7b of GSD Rule 4 or
                                                any losses or liabilities arising out of or              Member or Tier One Member on the first                MBSD Rule 4, as applicable, and
                                                relating to any such subsequent event                    day of an Event Period would be                       thereby benefit from its Loss Allocation
                                                would be resolved as losses or liabilities               obligated to pay its pro rata share of                Cap.43 As proposed, the ‘‘Loss
                                                that are part of the same Event Period,                  losses and liabilities arising out of or              Allocation Cap’’ of a Tier One Netting
                                                without extending the duration of such                   relating to each Defaulting Member                    Member or a Tier One Member, as
                                                Event Period.                                            Event (other than a Defaulting Member                 applicable, would be equal to the greater
                                                                                                         Event with respect to which it is the                 of (x) its Required Fund Deposit on the
                                                   Proposed Section 7 of GSD Rule 4 and                  Defaulting Member) and each Declared
                                                MBSD Rule 4 would also retain the                                                                              first day of the applicable Event Period
                                                                                                         Non-Default Loss Event occurring                      and (y) its Average RFD.
                                                requirement of loss allocation among                     during the Event Period. The proposal
                                                Tier One Netting Members or Tier One                                                                              FICC is proposing to clarify that after
                                                                                                         would make it clear that any Tier One                 a first round of loss allocation with
                                                Members, as applicable, if a loss or                     Netting Member or Tier One Member, as
                                                liability remains after the application of                                                                     respect to an Event Period, only Tier
                                                                                                         applicable, for which FICC ceases to act              One Netting Members or Tier One
                                                the Corporate Contribution, as described                 on a non-Business Day, triggering an                  Members, as applicable, that have not
                                                above. In contrast to the current Section                Event Period that commences on the                    submitted a Loss Allocation Withdrawal
                                                7 where FICC would assess the Required                   next Business Day, shall be deemed to                 Notice in accordance with proposed
                                                Fund Deposits of Tier One Netting                        be a Tier One Netting Member or Tier                  Section 7b of GSD Rule 4 or MBSD Rule
                                                Members or Tier One Members, as                          One Member, as applicable, on the first               4, as applicable, would be subject to
                                                applicable, to allocate losses, under the                day of that Event Period.                             further loss allocation with respect to
                                                proposal, FICC would require Tier One                       Under the proposed rule change, a                  that Event Period.
                                                Netting Members or Tier One Members,                     loss allocation ‘‘round’’ would mean a
                                                                                                                                                                  As proposed, each such member’s pro
                                                as applicable, to pay their loss                         series of loss allocations relating to an
                                                                                                                                                               rata share of losses and liabilities to be
                                                allocation amounts (leaving their                        Event Period, the aggregate amount of
                                                                                                                                                               allocated in any round would be equal
                                                Required Fund Deposits intact).42 Loss                   which is limited by the round cap.
                                                                                                                                                               to (i) the member’s Average RFD,
                                                allocation obligations would continue to                 When the aggregate amount of losses
                                                                                                                                                               divided by (ii) the sum of the Average
                                                be calculated based upon a Tier One                      allocated in a round equals the round
                                                                                                                                                               RFD amounts of all members subject to
                                                Netting Member’s or Tier One                             cap, any additional losses relating to the
                                                                                                         applicable Event Period would be                      loss allocation in such round. Each such
                                                Member’s, as applicable, pro rata share                                                                        member would have a maximum
                                                of losses and liabilities (although the                  allocated in one or more subsequent
                                                                                                         rounds, in each case subject to a round               payment obligation with respect to any
                                                pro rata share would be calculated                                                                             loss allocation round that would be
                                                differently than it is today), and Tier                  cap for that round. FICC may continue
                                                                                                         the loss allocation process in successive             equal to the greater of (x) its Required
                                                One Netting Members or Tier One                                                                                Fund Deposit on the first day of the
                                                Members, as applicable, would still                      rounds until all losses from the Event
                                                                                                         Period are allocated among Tier One                   applicable Event Period or (y) its
                                                retain the ability to voluntarily                                                                              Average RFD (such amount would be
                                                withdraw from membership and cap                         Netting Members or Tier One Members,
                                                                                                         as applicable, that have not submitted a              each member’s ‘‘Loss Allocation Cap’’).
                                                their loss allocation obligation (although                                                                     Therefore, the sum of the Loss
                                                the loss allocation obligation would also                Loss Allocation Withdrawal Notice in
                                                                                                         accordance with proposed Section 7b of                Allocation Caps of the members subject
                                                                                                         GSD Rule 4 or MBSD Rule 4.                            to loss allocation would constitute the
                                                   42 FICC believes that shifting from the two-step
                                                                                                            As proposed, each loss allocation                  maximum amount that FICC would be
                                                methodology of applying the respective Division’s
                                                Clearing Fund and then requiring members to              would be communicated to the Tier One                 permitted to allocate in each round.
                                                immediately replenish it to requiring direct             Netting Members or Tier One Members,                  FICC would retain the loss allocation
                                                payment would increase efficiency, while                 as applicable, by the issuance of a Loss              limit of $5 million for Inter-Dealer
                                                preserving the right to charge the member’s Clearing                                                           Broker Netting Members, or Non-IDB
                                                Fund deposits in the event the member does not           Allocation Notice. Under the proposal,
                                                timely pay. Such a failure to pay would trigger          each Tier One Netting Member’s or Tier                Repo Brokers with respect to activities
                                                recourse to the Clearing Fund deposits of the            One Member’s, as applicable, pro rata                 in their Segregated Broker Accounts, as
                                                member under proposed Section 6 of GSD Rule 4            share of losses and liabilities to be                 discussed above.
                                                or MBSD Rule 4, as applicable. In addition, this                                                                  As proposed, Section 7 of GSD Rule
                                                change would provide greater stability for FICC in       allocated in any round would be equal
                                                times of stress by allowing FICC to retain the           to (i) the member’s Average RFD                       4 and MBSD Rule 4, would also provide
                                                respective Division’s Clearing Fund, its critical        divided by (ii) the sum of Average RFD                that, to the extent that a Tier One
                                                prefunded resource, while charging loss allocations.     amounts of all members subject to loss                Netting Member’s or Tier One
                                                FICC believes doing so would allow FICC to cover                                                               Member’s, as applicable, Loss
                                                the respective Division’s current credit exposures to    allocation in such round.
                                                its Members at all times. By retaining the GSD and          Each Loss Allocation Notice would                  Allocation Cap exceeds such member’s
                                                MBSD Clearing Funds as proposed, FICC could use          specify the relevant Event Period and                 Required Fund Deposit on the first day
                                                the Clearing Funds to secure the performance             the round to which it relates. The first              of the applicable Event Period, FICC
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                                                obligations of Members to their respective Division,                                                           may, in its discretion, retain any excess
                                                including their payment obligation for any loss
                                                                                                         Loss Allocation Notice in any first,
                                                allocation, while maintaining access to prefunded        second, or subsequent round would                     amounts on deposit from the member,
                                                resources. By being able to manage the respective        expressly state that such Loss Allocation             up to the Loss Allocation Cap of the Tier
                                                Division’s current credit exposures throughout the       Notice reflects the beginning of the first,           One Netting Member or Tier One
                                                loss allocation process, FICC would be able to                                                                 Member, as applicable.
                                                continue to provide its critical operations and
                                                                                                         second, or subsequent round, as the case
                                                services during what would be expected to be a           may be, and that each Tier One Netting
                                                stressful period.                                        Member or Tier One Member, as                           43 Supra   note 19.



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                                                                                 Federal Register / Vol. 83, No. 139 / Thursday, July 19, 2018 / Notices                                            34207

                                                   As proposed, Tier One Netting                           need for loss mutualization and creates               and MBSD Rule 4 would provide that a
                                                Members or Tier One Members, as                            an unnecessary administrative burden                  Tier One Netting Member or a Tier One
                                                applicable, would have two (2) Business                    for each Division. FICC believes that                 Member, as applicable, who wishes to
                                                Days after FICC issues a first round Loss                  moving straight to the loss                           withdraw from membership in respect
                                                Allocation Notice to pay the amount                        mutualization described herein would                  of a loss allocation round must provide
                                                specified in any such notice.44 On a                       be more practical. This proposed change               notice of its election to withdraw (‘‘Loss
                                                subsequent round (i.e., if the first round                 would also streamline each Division’s                 Allocation Withdrawal Notice’’) within
                                                did not cover the entire loss of the Event                 loss allocation waterfall processes and               five (5) Business Days from the issuance
                                                Period because FICC was only able to                       align such processes with those of the                of the first Loss Allocation Notice in any
                                                allocate up to the round cap), these                       other DTCC Clearing Agencies.                         round.45 In order to avail itself of its
                                                members would also have two (2)                                                                                  Loss Allocation Cap, such member
                                                                                                           Tier Two Members
                                                Business Days after notice by FICC to                                                                            would need to follow the requirements
                                                pay their loss allocation amounts (again                      FICC is not proposing any substantive              in proposed Section 7b of GSD Rule 4
                                                subject to their Loss Allocation Caps),                    change to the provisions regarding Tier               and MBSD Rule 4, as applicable, which
                                                unless the members have notified (or                       Two Members in current Section 7 of                   would provide that such member must:
                                                will timely notify) FICC of their election                 GSD Rule 4 and MBSD Rule 4, except                    (i) Specify in its Loss Allocation
                                                to withdraw from membership with                           to (i) add a subheading of ‘‘Tier Two                 Withdrawal Notice an effective date for
                                                respect to a prior loss allocation round.                  Members’’ in the beginning of these                   withdrawal from membership, which
                                                   Under the proposal, if a Tier One                       provisions for ease of identification and             date shall not be prior to the scheduled
                                                Netting Member or Tier One Member, as                      (ii) add a paragraph that makes it clear              final settlement date of any remaining
                                                applicable, fails to make its required                     that if a Tier Two Member fails to make               obligations owed by the member to
                                                payment in respect of a Loss Allocation                    its required payment in respect of a Loss             FICC, unless otherwise approved by
                                                Notice by the time such payment is due,                    Allocation Notice by the time such                    FICC, and (ii) as of the time of such
                                                FICC would have the right to proceed                       payment is due, FICC would have the                   member’s submission of the Loss
                                                against such member as a Defaulting                        right to proceed against such member as               Allocation Withdrawal Notice, cease
                                                Member that has failed to satisfy an                       a Defaulting Member that has failed to                submitting transactions to FICC for
                                                obligation in accordance with proposed                     satisfy an obligation in accordance with              processing, clearance or settlement,
                                                Section 6 of GSD Rule 4 or MBSD Rule                       proposed Section 6 of GSD Rule 4 or                   unless otherwise approved by FICC.
                                                4 described above. Members who wish                        MBSD Rule 4 described above,                             Proposed Section 7b of GSD Rule 4
                                                to withdraw from membership would be                       consistent with the proposed change                   and MBSD Rule 4 would provide that a
                                                required to comply with the                                regarding Tier One Netting Members or                 Tier One Netting Member or a Tier One
                                                requirements in proposed Section 7b of                     Tier One Members, as applicable.                      Member, as applicable, that withdraws
                                                GSD Rule 4 and MBSD Rule 4,                                Withdrawal From Membership                            in compliance with the requirements of
                                                described further below. Specifically,                                                                           proposed Section 7b of GSD Rule 4 or
                                                proposed Section 7 of GSD Rule 4 and                          Proposed Section 7b of GSD Rule 4                  MBSD Rule 4, as applicable, would
                                                MBSD Rule 4 would provide that if,                         and MBSD Rule 4 would include the                     nevertheless remain obligated for its pro
                                                after notifying FICC of its election to                    provisions regarding withdrawal from                  rata share of losses and liabilities with
                                                withdraw from membership pursuant to                       membership currently covered by                       respect to any Event Period for which it
                                                proposed Section 7b of GSD Rule 4 or                       Section 7(g) of GSD Rule 4 and MBSD                   is otherwise obligated under proposed
                                                MBSD Rule 4, as applicable, the Tier                       Rule 4. FICC believes that relocating the             GSD Rule 4 or MBSD Rule 4, as
                                                One Netting Member or Tier One                             provisions on withdrawal from                         applicable; however, the Tier One
                                                Member, as applicable, fails to comply                     membership as it pertains to loss                     Netting Member’s or Tier One
                                                with the provisions of proposed Section                    allocation, so that it comes right after              Member’s, as applicable, aggregate
                                                7b of GSD Rule 4 or MBSD Rule 4, as                        the section on the loss allocation                    obligation would be limited to the
                                                applicable, its notice of withdrawal                       waterfall, would provide for the better               amount of its Loss Allocation Cap (as
                                                would be deemed void and any further                       organization of GSD Rule 4 and MBSD                   fixed in the round for which it
                                                losses resulting from the applicable                       Rule 4. As proposed, the subheading for               withdrew).
                                                Event Period may be allocated against it                   Section 7b of GSD Rule 4 and MBSD                        FICC is proposing to include a
                                                as if it had not given such notice.                        Rule 4 would read ‘‘Withdrawal                        sentence in proposed Section 7b of GSD
                                                   FICC is proposing to delete the                         Following Loss Allocation.’’                          Rule 4 and MBSD Rule 4 to make it
                                                provisions in the current GSD Rule 4                          Currently, Section 7(g) of GSD Rule 4              clear that if the Tier One Netting
                                                and MBSD Rule 4 that require FICC to                       and MBSD Rule 4 provides that a                       Member or Tier One Member, as
                                                assess the Required Fund Deposit                           member may, pursuant to current                       applicable, fails to comply with the
                                                maintained by each Tier One Netting                        Section 13 of GSD Rule 3 or MBSD Rule                 requirements set forth in that section, its
                                                Member or Tier One Member, as                              3, notify FICC by the Close of Business               Loss Allocation Withdrawal Notice will
                                                applicable, an amount up to $50,000, in                    on the Business Day on which a                        be deemed void, and such member will
                                                an equal basis per such member, before                     payment in an amount necessary to                     remain subject to further loss allocations
                                                allocating losses to Tier One Netting                      cover losses allocated to such member                 pursuant to proposed Section 7 of GSD
                                                Members or Tier One Members, as                            after the application of its Required                 Rule 4 and MBSD Rule 4 as if it had not
                                                applicable, ratably, in accordance with                    Fund Deposit is due, of its election to               given such notice.
                                                each such member’s Required Fund                           terminate its membership and thereby                     For better organization of the subject
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                                                Deposit and Average Required FICC                          avail itself of a cap on loss allocation,             matter, FICC is also proposing to move
                                                Clearing Fund Deposit or Average                           which is currently its Required Fund                  the provision that covers members’
                                                Required Clearing Fund Deposit, as                         Deposit as fixed on the Business Day the              obligations to eliminate any deficiency
                                                applicable. FICC believes that in the                      pro rata charge loss allocation                       in their Required Fund Deposits from
                                                event of a loss or liability, this                         notification is provided to such                      the last sentence in the first paragraph
                                                assessment is unlikely to alleviate the                    member.                                               of current Section 7(g) of GSD Rule 4
                                                                                                              As stated above, under the proposed
                                                  44 Supra   note 22.                                      rule change, Section 7 of GSD Rule 4                    45 Supra   note 19.



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                                                34208                          Federal Register / Vol. 83, No. 139 / Thursday, July 19, 2018 / Notices

                                                and MBSD Rule 4 to proposed Section                      (ii) of the previous sentence is                      except to streamline and clarify the
                                                9 of GSD Rule 4 and MBSD Rule 4.                         consistent with the requirements in                   provisions as well as to align GSD Rule
                                                                                                         current Section 1 of GSD Rule 4 and                   4 and MBSD Rule 4, including adding
                                                Section 8
                                                                                                         MBSD Rule 4 that a member must                        a sentence to clarify that nothing in this
                                                   As proposed, Section 8 of GSD Rule                    maintain its Required Fund Deposit.                   section limits FICC’s rights under
                                                4 and MBSD Rule 4 would cover the                           As discussed above, for better                     Section 7 of GSD Rule 3 or Section 6 of
                                                provisions on the return of a member’s                   organization of the subject matter, FICC              MBSD Rule 3, as applicable.
                                                Clearing Fund deposit that are currently                 is proposing to move the provision that
                                                covered by Section 10 of GSD Rule 4                      covers members’ obligations to                        Section 11
                                                and MBSD Rule 4. Proposed Section 8’s                    eliminate any deficiency in their                        Current Section 11 of GSD Rule 4 and
                                                subheading would be ‘‘Return of                          Required Fund Deposits from the last                  MBSD Rule 4 provides that FICC has
                                                Members’ Clearing Fund Deposits.’’                       sentence in the first paragraph of
                                                   FICC is proposing changes to                                                                                certain rights with respect to the
                                                                                                         current Section 7(g) of GSD Rule 4 and                Clearing Fund. FICC is proposing to add
                                                streamline and enhance the clarity and                   MBSD Rule 4 to proposed Section 9 of
                                                readability of this section, including                                                                         a sentence which would make it clear
                                                                                                         GSD Rule 4 and MBSD Rule 4.
                                                adding language to clarify that a                                                                              that GSD Rule 4 or MBSD Rule 4, as
                                                member’s obligations to FICC would                       Section 10                                            applicable, would govern in the event of
                                                include both matured as well as                             Currently, Section 9 of GSD Rule 4                 any conflict or inconsistency between
                                                contingent obligations, but is otherwise                 and MBSD Rule 4 addresses situations                  such rule and any agreement between
                                                retaining the substantive provisions of                  where a member has excess on deposit                  FICC and any member. FICC believes
                                                this section.                                            in the Clearing Fund (i.e., amounts                   that this proposed change would
                                                                                                         above its Required Fund Deposit). The                 facilitate members’ understanding of the
                                                Section 9                                                                                                      Rules and their obligations thereunder.
                                                                                                         current provision provides that FICC
                                                   FICC is proposing to renumber                         will notify a member of any Excess                    It would also align the Rules with the
                                                Section 8 of GSD Rule 4 and MBSD Rule                    Clearing Fund Deposit as FICC                         Rules and Procedures of NSCC so as to
                                                4, which addresses the timing of                         determines from time to time. Upon the                provide consistent treatment for firms
                                                members’ payment of the respective                       request of a member, FICC will return                 that are members of both FICC and
                                                Division’s Clearing Fund. Under the                      an excess amount requested by a                       NSCC.46 Furthermore, in order to
                                                proposal, this section would be                          member that follows the formats and                   enhance the readability and clarity,
                                                renumbered as Section 9 of GSD Rule 4                    timeframe established by FICC for such                FICC is proposing a number of changes
                                                and MBSD Rule 4 and retitled to ‘‘Initial                request. The current provision makes                  to streamline the language in this
                                                Required Fund Deposit and Changes in                     clear that FICC may, in its discretion,               section.
                                                Members’ Required Fund Deposits’’ to                     withhold any or all of a member’s                     (ii) Other Proposed Rule Changes
                                                better reflect the subject matter of this                Excess Clearing Fund Deposit (i) if the
                                                section.                                                 member has an outstanding payment                       FICC is proposing changes to GSD
                                                   Currently, Section 8 of GSD Rule 4                    obligation to FICC, (ii) if FICC                      Rule 1 (Definitions), GSD Rule 3
                                                and MBSD Rule 4 requires members to                      determines that the member’s                          (Ongoing Membership Requirements),
                                                satisfy any increase in their Required                   anticipated activity over the next 90                 GSD Rule 3A (Sponsoring Members and
                                                Fund Deposit requirement within such                     calendar days may reasonably be                       Sponsored Members), GSD Rule 3B
                                                time as FICC requires. FICC is proposing                 expected to be materially different than              (Centrally Cleared Institutional Triparty
                                                to clarify that at the time the increase                 the prior 90 calendar days, or (iii) if the           Service), GSD Rule 13 (Funds-Only
                                                becomes effective, the member’s                          member has been placed on the Watch                   Settlement), GSD Rule 18 (Special
                                                obligations to FICC will be determined                   List. Section 9 also makes clear that the             Provisions for Repo Transactions), GSD
                                                in accordance with the increased                         return of an Excess Clearing Fund                     Rule 21A (Wind-Down of a Netting
                                                Required Fund Deposit whether or not                     Deposit to any member is subject to (i)               Member), GSD Rule 22B (Corporation
                                                the member has satisfied such increased                  such return of Excess Clearing Fund                   Default), GSD Rule 41 (Cross Guaranty
                                                amount. FICC is also proposing to add                    Deposit not being done in a manner that               Agreements), GSD Rule 43 (Cross-
                                                language to clarify that (i) if FICC                     would cause the member to violate any                 Margining Arrangements), GSD Board
                                                applies a GSD Netting Member’s or an                     other section of the Rules, (ii) such                 Interpretations and Statements of
                                                MBSD Clearing Member’s Clearing Fund                     return not reducing the amount of the                 Policy, and GSD Interpretive Guidance
                                                deposits as permitted pursuant to GSD                    member’s Cross-Guaranty Repayment                     with Respect to Watch List
                                                Rule 4 or MBSD Rule 4, as applicable,                    Deposit to the Clearing Fund below the                Consequences. FICC is also proposing
                                                FICC may take any and all actions with                   amount required to be maintained by                   changes to MBSD Rule 1 (Definitions),
                                                respect to the GSD Netting Member’s or                   the member pursuant to GSD Rule 41 or                 MBSD Rule 3 (Ongoing Membership
                                                MBSD Clearing Member’s Actual                            MBSD Rule 32, as applicable, and (iii)                Requirements), MBSD Rule 5 (Trade
                                                Deposit, including assignment, transfer,                 with respect to GSD Members only,                     Comparison), MBSD Rule 11 (Cash
                                                and sale of any Eligible Clearing Fund                   such return not reducing the amount of                Settlement), MBSD Rule 17A
                                                Securities, that FICC determines is                      a GSD Member’s Cross-Margining                        (Corporation Default), MBSD Rule 32
                                                appropriate, and (ii) if such application                Repayment Deposit to the Clearing Fund                (Cross Guaranty Agreements), and
                                                results in any deficiency in the GSD                     below the amount required to be                       MBSD Interpretive Guidance with
                                                Netting Member’s or MBSD Clearing                        maintained by the GSD Member                          Respect to Watch List Consequences.
                                                Member’s, as applicable, Required Fund
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                                                                                                         pursuant to GSD Rule 43.                              FICC is proposing changes to these
                                                Deposit, such member shall                                  FICC is proposing to renumber                      Rules in order to conform them with the
                                                immediately replenish it. These                          Section 9 as Section 10 for both GSD                  proposed changes to GSD Rule 4 and
                                                clarifications are consistent with the                   Rule 4 and MBSD Rule 4 and to retitle                 MBSD Rule 4, as applicable, as well as
                                                Divisions’ rights as set forth in current                its subheading to ‘‘Excess Clearing Fund
                                                Sections 4 and 11 of GSD Rule 4 and                      Deposits’’ to better reflect the subject                46 See Section 12 of Rule 4 in NSCC’s Rules and
                                                current Sections 4 and 11 of MBSD Rule                   matter of the provisions. FICC is not                 Procedures, available at http://www.dtcc.com/∼/
                                                4. In addition, the provisions in clause                 proposing any changes to this section                 media/Files/Downloads/legal/rules/nscc_rules.pdf.



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                                                                               Federal Register / Vol. 83, No. 139 / Thursday, July 19, 2018 / Notices                                                    34209

                                                to make certain technical changes to                     allow Members to readily understand                    member to provide FICC with 10 days
                                                these Rules, as further described below.                 their obligations under the Rules.                     written notice of the member’s
                                                                                                                                                                termination; however, FICC is retaining
                                                Adding Defined Terms                                     Voluntary Termination
                                                                                                                                                                the provision that states termination
                                                   Specifically, FICC is proposing to add                   FICC is also proposing changes to the               will not be effective until accepted by
                                                the following defined terms to GSD Rule                  voluntary termination provisions in                    FICC,48 which shall be no later than 10
                                                1, in alphabetical order: Actual Deposit,                GSD Rule 3, GSD Rule 3A, GSD Rule 3B,                  Business Days after the receipt of the
                                                Average RFD, CCIT Member                                 and MBSD Rule 3 in order to ensure that                notice. FICC is also retaining the
                                                Termination Date, CCIT Member                            termination provisions in the GSD Rules                provision that states FICC’s acceptance
                                                Voluntary Termination Notice, Clearing                   and MBSD Rules, whether voluntary or                   shall be evidenced by a notice to FICC’s
                                                Fund Cash, Corporate Contribution,                       in response to a loss allocation, are                  members announcing the member’s
                                                Declared Non-Default Loss Event,                         consistent with one another to the                     termination and the Termination Date,
                                                Defaulting Member Event, Event Period,                   extent appropriate.                                    and that the terminating member will no
                                                Excess Clearing Fund Deposit, Former                        Currently, the voluntary termination                longer be eligible to submit transactions
                                                Sponsored Members, Lender, Loss                          provisions in GSD Rule 3, GSD Rule 3A,                 to FICC as of the Termination Date.
                                                Allocation Cap, Loss Allocation Notice,                  GSD Rule 3B, and MBSD Rule 3                              As an example, Member A submits a
                                                Loss Allocation Withdrawal Notice,                       generally provide that a member may                    Voluntary Termination Notice to GSD
                                                Sponsored Member Termination Date,                       elect to terminate its membership by                   on April 1st indicating its desired
                                                Sponsored Member Voluntary                               providing FICC with 10 days written                    termination date is June 15th. GSD
                                                Termination Notice, Sponsoring                           notice of such termination. Such                       would accept such termination request
                                                Member Termination Date, Sponsoring                      termination will not be effective until                by issuing a notice to GSD Members
                                                Member Voluntary Termination Notice,                     accepted by FICC, which shall be no                    within 10 Business Days from April 1st;
                                                Termination Date, and Voluntary                          later than 10 Business Days after the                  such notice would provide that the
                                                Termination Notice.                                      receipt of the notice. FICC’s acceptance               effective date of Member A’s GSD
                                                                                                         shall be evidenced by a notice to FICC’s               membership termination is June 15th. In
                                                   FICC is also proposing to add the
                                                                                                         members announcing the member’s                        contrast, if Member A submits a
                                                following defined terms to MBSD Rule
                                                                                                         termination and the effective date of the              Voluntary Termination Notice on April
                                                1, in alphabetical order: Actual Deposit,
                                                                                                         termination (‘‘Termination Date’’), and                1st and indicates its desired termination
                                                Average RFD, Clearing Fund Cash,
                                                                                                         that the terminating member will no                    date is April 5th, GSD would either (i)
                                                Corporate Contribution, Declared Non-
                                                                                                         longer be eligible to submit transactions              accept such termination notice by
                                                Default Loss Event, Defaulting Member
                                                                                                         to FICC as of the Termination Date.47                  issuing a notice to GSD Members on or
                                                Event, Event Period, Excess Clearing
                                                                                                         This provision also provides that a                    before April 5th, and such notice would
                                                Fund Deposit, Lender, Loss Allocation                                                                           provide that the effective date of
                                                Cap, Loss Allocation Notice, Loss                        member’s voluntary termination of
                                                                                                         membership shall not affect its                        Member A’s GSD membership
                                                Allocation Withdrawal Notice,                                                                                   termination is April 5th or (ii) if GSD
                                                Termination Date, and Voluntary                          obligations to FICC.
                                                                                                            Where appropriate, FICC is proposing                requires additional time to process the
                                                Termination Notice.                                                                                             termination, GSD would accept such
                                                                                                         changes to align the voluntary
                                                Technical Changes                                        termination provisions in Section 13 of                termination notice by issuing notice to
                                                                                                         GSD Rule 3, Sections 2(i) and 3(e) of                  GSD Members after April 5th but still
                                                   In addition, FICC is proposing                                                                               within 10 Business Days from April 1st;
                                                                                                         GSD Rule 3A, Section 6 of GSD Rule 3B,
                                                technical changes (i) to delete the                                                                             and such notice would provide that the
                                                                                                         and Section 14 of MBSD Rule 3 with the
                                                defined term ‘‘The Corporation’’ in GSD                                                                         effective date of Member A’s GSD
                                                                                                         proposed new Section 7b of GSD Rule
                                                Rule 1 and replace it with                                                                                      membership termination as a date after
                                                                                                         4 and MBSD Rule 4, given that they all
                                                ‘‘Corporation’’ in GSD Rule 1, (ii) to                                                                          April 5th.
                                                                                                         address termination of membership.
                                                correct cross-references in Section 8 of                                                                           The proposed change to Section 13 of
                                                                                                         Specifically, in Section 13 of GSD Rule
                                                MBSD Rule 5 and the definition of                                                                               GSD Rule 3 would also provide that if
                                                                                                         3, FICC is proposing that when a GSD
                                                ‘‘Legal Risk’’ in GSD Rule 1, (iii) to                                                                          any trade is submitted to FICC either by
                                                                                                         Member elects to voluntarily terminate
                                                update references to sections that would                                                                        the withdrawing GSD Member or its
                                                                                                         its membership by providing FICC a
                                                be changed under this proposal in                                                                               authorized submitter that is scheduled
                                                                                                         written notice of such termination
                                                Section 12 of GSD Rule 3, Sections 10                                                                           to settle on or after the Termination
                                                                                                         (‘‘Voluntary Termination Notice’’), the
                                                and 12(a) of GSD Rule 3A, Section 3(f)                                                                          Date, the GSD Member’s Voluntary
                                                                                                         GSD Member must specify in its
                                                of GSD Rule 18, GSD Rule 21A, Sections                                                                          Termination Notice would be deemed
                                                                                                         Voluntary Termination Notice a desired
                                                3(a), 3(b) and 4 of GSD Rule 41, Section                                                                        void and the GSD Member would
                                                                                                         date for its withdrawal from
                                                6 of GSD Rule 43, GSD Interpretive                                                                              remain subject to the GSD Rules as if it
                                                                                                         membership; provided, however, if the
                                                Guidance with Respect to Watch List                                                                             had not given such notice. Furthermore,
                                                                                                         GSD Member is terminating its
                                                Consequences, Sections 11, 14, and 15                                                                           FICC is proposing to add a sentence to
                                                                                                         membership in GSD (i.e., not
                                                of MBSD Rule 3, Section 3(b) of MBSD                                                                            Section 13 of GSD Rule 3 to refer GSD
                                                                                                         terminating its membership just in the
                                                Rule 32, and MBSD Interpretive                                                                                  Members to Section 8 of GSD Rule 4
                                                                                                         Netting System), such date shall not be
                                                Guidance with Respect to Watch List
                                                                                                         prior to the scheduled final settlement
                                                Consequences, (iv) to update the                                                                                   48 Unlike the Voluntary Termination Notice, the
                                                                                                         date of any remaining obligation owed
                                                reference to a subheading that would be                                                                         Loss Allocation Withdrawal Notice as proposed in
                                                                                                         by the GSD Member to FICC as of the                    Section 7b of GSD Rule 4 and MBSD Rule 4 does
                                                changed under this proposal in Section
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                                                                                                         time such Voluntary Termination Notice                 not require explicit acceptance by FICC to be
                                                7 of GSD Rule 3B, and (v) to delete a
                                                                                                         is submitted to FICC, unless otherwise                 effective. FICC believes that requiring explicit
                                                reference to the Cross-Margining                                                                                acceptance of the Loss Allocation Withdrawal
                                                                                                         approved by FICC. FICC is proposing to
                                                Agreement between FICC and NYPC                                                                                 Notice could complicate the loss allocation process
                                                                                                         delete the provision that requires a                   and potentially result in membership withdrawal
                                                that is no longer in effect. FICC believes
                                                                                                                                                                being delayed as well as detract from the objective
                                                that these proposed technical changes                      47 Account(s) of a terminating member would          to have FICC know on a timely basis which
                                                would ensure the Rules remain clear                      generally be deactivated before the open of business   members would remain subject to the subsequent
                                                and accurate, which would in turn                        on the Termination Date.                               rounds of loss allocation.



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                                                34210                          Federal Register / Vol. 83, No. 139 / Thursday, July 19, 2018 / Notices

                                                regarding provisions on the return of a                  Loss Allocation Caps because they                     language that conforms to the proposed
                                                GSD Member’s Clearing Fund deposit                       would not apply to these member types.                changes to GSD Rule 4 and MBSD
                                                and to specify that if an Event Period                   In addition, FICC is proposing a                      Rule 4.
                                                were to occur after a Tier One Netting                   technical change in Section 6 of GSD                     In addition, FICC is proposing
                                                Member has submitted its Voluntary                       Rule 3B to reflect a defined term that                changes to GSD Rule 22B (Corporation
                                                Termination Notice but prior to the                      would be changed under this proposal.                 Default) and MBSD Rule 17A
                                                Termination Date, in order for such Tier                 Other MBSD Proposed Rule Changes                      (Corporation Default). FICC is proposing
                                                One Netting Member to benefit from its                                                                         to relocate the interpretational
                                                Loss Allocation Cap pursuant to Section                     FICC is proposing to delete Section 15             parenthetical in each rule to come right
                                                7 of GSD Rule 4, the Tier One Netting                    of MBSD Rule 3 because FICC believes                  after the reference to GSD Rule 22A and
                                                Member would need to comply with the                     that this section is akin to a loss                   MBSD Rule 17. FICC is proposing this
                                                provisions of Section 7b of GSD Rule 4                   allocation provision and therefore                    change because, in the event of a
                                                and submit a Loss Allocation                             would no longer be necessary under the                Corporation Default, the portfolio of
                                                Withdrawal Notice, which notice, upon                    proposed rule change, as the scenarios                each GSD Member or MBSD Member, as
                                                submission, would supersede and void                     envisioned by Section 15 of MBSD Rule                 applicable, would be closed out in the
                                                any pending Voluntary Termination                        3 would be governed by the proposed                   same way as the portfolio of a GSD
                                                Notice previously submitted by the Tier                  loss allocation provisions in MBSD                    Defaulting Member or MBSD Defaulting
                                                One Netting Member.49 As an example,                     Rule 4.                                               Member, i.e., by applying the close out
                                                if an Event Period occurs after                          Other GSD Proposed Rule Changes                       procedures of GSD Rule 22A
                                                submission of the Voluntary                                                                                    (Procedures for When the Corporation
                                                Termination Notice by a Tier One                            Under the proposal, Section 12(c) of
                                                                                                         GSD Rule 3A would also be revised to                  Ceases to Act) or MBSD Rule 17
                                                Netting Member or Tier One Member, as                                                                          (Procedures for When the Corporation
                                                applicable, but prior to the Termination                 incorporate the concept of the Loss
                                                                                                         Allocation Cap and to reference the                   Ceases to Act), as applicable. In
                                                Date, and the Tier One Netting Member                                                                          addition, in the proposed GSD Rule 22B
                                                or Tier One Member, as applicable, does                  applicable proposed sections in GSD
                                                                                                         Rule 4 that would apply when a                        and MBSD Rule 17A, FICC is proposing
                                                not subsequently submit a Loss                                                                                 to add a reference to the loss allocation
                                                Allocation Withdrawal Notice as                          Sponsoring Member elects to terminate
                                                                                                         its status as a Sponsoring Member.                    provisions of GSD Rule 4 and MBSD
                                                proposed in Section 7b of GSD Rule 4                                                                           Rule 4 and delete references to specific
                                                                                                            FICC is also proposing to delete an
                                                or MBSD Rule 4, as applicable, then the                                                                        sections of GSD Rule 4 and MBSD Rule
                                                                                                         Interpretation of the Board of Directors
                                                Tier One Netting Member or Tier One                                                                            4, because those sections are being
                                                                                                         of the Government Securities Clearing
                                                Member, as applicable, would not                                                                               modified under the proposed rule
                                                                                                         Corporation (the predecessor to GSD),
                                                benefit from its Loss Allocation Cap,                                                                          change.
                                                                                                         which currently clarifies certain
                                                i.e., the Tier One Netting Member or
                                                                                                         provisions of GSD Rule 4 and the extent               Member Outreach
                                                Tier One Member, as applicable, would
                                                                                                         to which the GSD Clearing Fund and
                                                remain obligated for its pro rata share of                                                                       Beginning in August 2017, FICC
                                                                                                         other required deposits of GSD Netting
                                                losses and liabilities with respect to any                                                                     conducted outreach to Members in
                                                                                                         Members may be applied to a loss or
                                                Event Period that commenced prior to                                                                           order to provide them with advance
                                                                                                         liability incurred by FICC. FICC is
                                                the Termination Date.                                                                                          notice of the proposed changes. As of
                                                   Parallel changes are also being                       proposing this deletion because this
                                                                                                         interpretation would no longer be                     the date of this filing, no written
                                                proposed to Section 2(i) of GSD Rule 3A                                                                        comments relating to the proposed
                                                and Section 14 of MBSD Rule 3 with                       necessary following the proposed rule
                                                                                                         change. This is because the proposed                  changes have been received in response
                                                additional language in Section 2(i) of                                                                         to this outreach. The Commission will
                                                GSD Rule 3A and Section 14 of MBSD                       rule change to GSD Rule 4 would cover
                                                                                                         the extent to which the GSD Clearing                  be notified of any written comments
                                                Rule 3 making it clear that the                                                                                received.
                                                acceptance by FICC of a member’s                         Fund and other collateral or assets of
                                                Voluntary Termination Notice shall be                    GSD Netting Members would be applied                  Implementation Timeframe
                                                no later than ten (10) Business Days                     to a loss or liability incurred by FICC.
                                                                                                                                                                 Pending Commission approval, FICC
                                                after the receipt of such notice from the                Other GSD Proposed Rule Changes and                   expects to implement this proposal
                                                member, in order to provide certainty to                 MBSD Proposed Rule Changes                            within two (2) Business Days after
                                                members as well as to align these                           FICC is proposing changes to Section               approval. Members would be advised of
                                                sections with the current Section 13 of                  11 of GSD Rule 4 and MBSD Rule 4.                     the implementation date of this
                                                GSD Rule 3.                                              Specifically, FICC is proposing to                    proposal through issuance of a FICC
                                                   With respect to Section 3(e) of GSD                   replace ‘‘letters of credit’’ with ‘‘Eligible         Important Notice.
                                                Rule 3A and Section 6 of GSD Rule 3B,                    Letters of Credit,’’ which is already a
                                                changes similar to the ones described                                                                          2. Statutory Basis
                                                                                                         defined term in the Rules. In addition,
                                                above in the previous paragraph are also                 FICC is proposing to specify that a                      FICC believes that the proposed rule
                                                being proposed for Sponsored Members                     reference to 30 days means 30 calendar                change is consistent with the
                                                and CCIT Members, except there would                     days.                                                 requirements of the Act, and the rules
                                                be no references to the return of a                         FICC is proposing to delete                        and regulations thereunder applicable to
                                                member’s Clearing Fund deposits and to                   ‘‘Remaining Loss’’ and ‘‘Other Loss’’ in              a registered clearing agency.
                                                                                                         Sections 12(a) and 12(b) of GSD Rule                  Specifically, FICC believes that the
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                                                   49 Loss Allocation Caps would not apply to Tier

                                                Two Netting Members and Tier Two Members
                                                                                                         3A, Section 5 of GSD Rule 13, Section                 proposed rule change is consistent with
                                                because the loss allocation obligations of Tier Two      4 of GSD Rule 41, Section 6 of GSD Rule               Section 17A(b)(3)(F) of the Act 50 and
                                                Netting Members and Tier Two Members are                 43, Section 9(o) of MBSD Rule 11, and                 Rules 17Ad–22(e)(13) and 17Ad–
                                                already capped to the liquidation losses that            Section 4 of MBSD Rule 32 because                     22(e)(23)(i),51 each as promulgated
                                                resulted from their trading activity with the
                                                Defaulting Member. Tier Two Netting Members and
                                                                                                         these terms would no longer be used
                                                Tier Two Members are required to pay their loss          under the proposed GSD Rule 4 and                       50 15   U.S.C. 78q–1(b)(3)(F).
                                                allocation obligations in full.                          MBSD Rule 4, and to add clarifying                      51 17   CFR 240.17Ad–22(e)(13) and (e)(23)(i).



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                                                                                   Federal Register / Vol. 83, No. 139 / Thursday, July 19, 2018 / Notices                                        34211

                                                under the Act, for the reasons described                   period and proposed allocation of FICC                impact from any abnormalities and/or
                                                below.                                                     Corporate Contribution between                        arbitrariness that may have occurred. By
                                                   Section 17A(b)(3)(F) of the Act                         Divisions, would allow members to                     determining a member’s loss allocation
                                                requires that the Rules be designed to                     better assess the adequacy of each                    obligations based on the average of its
                                                promote the prompt and accurate                            Division’s loss allocation process.                   Required Fund Deposit over a look-back
                                                clearance and settlement of securities                        By introducing the concept of an                   period and its Loss Allocation Cap
                                                transactions and to assure the                             Event Period, FICC would be able to                   based on the greater of its Required
                                                safeguarding of securities and funds                       group Defaulting Member Events and                    Fund Deposit or the average thereof over
                                                which are in the custody or control of                     Declared Non-Default Loss Events                      a look-back period, FICC would be able
                                                each Division or for which it is                           occurring in a period of ten (10)                     to calculate a member’s pro rata share of
                                                responsible.52 The proposed rule                           Business Days for purposes of allocating              losses and liabilities based on the
                                                changes to (1) modify the calculation                      losses to members. FICC believes that                 amount of risk that the member brings
                                                and application of FICC’s corporate                        the Event Period would provide a                      to FICC. These proposed rule changes
                                                contribution, (2) introduce an Event                       defined structure for the loss allocation             would enhance the overall resiliency of
                                                Period, (3) introduce the concept of                       process to encompass potential                        each Division’s loss allocation process
                                                ‘‘rounds’’ (and accompanying Loss                          sequential Defaulting Member Events or                because they would align a member’s
                                                Allocation Notices) and apply this                         Declared Non-Default Loss Events that                 loss allocation obligation and its Loss
                                                concept to the timing of loss allocation                   are likely to be closely linked to an                 Allocation Cap with the amount of risk
                                                payments and the member withdrawal                         initial event and/or market dislocation               that the member brings to FICC.
                                                process in connection with the loss                        episode. Having this structure would                     Taken together, the foregoing
                                                allocation process, and (4) implement a                    enhance the overall resiliency of FICC’s              proposed rule changes would establish
                                                revised ‘‘look-back’’ period to calculate                  loss allocation process because FICC                  a stronger (for all the reasons discussed
                                                a member’s loss allocation obligation                      would be better equipped to address                   above) and clearer loss allocation
                                                and its Loss Allocation Cap, taken                         losses that may arise from multiple                   process for each Division, which FICC
                                                together, are intended to enhance the                      Defaulting Member Events and/or                       believes would allow each Division to
                                                overall resiliency of each Division’s loss                 Declared Non-Default Loss Events that                 take timely action to address losses. The
                                                allocation process.                                        arise in quick succession. Moreover, the              ability to timely address losses would
                                                   By modifying the calculation of                         proposed Event Period structure would                 allow each Division to continue to meet
                                                FICC’s corporate contribution, FICC                        provide certainty for members                         its clearance and settlement obligations,
                                                would apply a mandatory fixed                              concerning their maximum exposure to                  especially in circumstances that may
                                                percentage of its General Business Risk                    mutualized losses with respect to such                involve a series of substantially
                                                Capital Requirement (as compared to                        events.                                               contemporaneous loss events.
                                                the current Rules which provide for ‘‘up                      By introducing the concept of                      Therefore, FICC believes that these
                                                to’’ a percentage of retained earnings),                   ‘‘rounds’’ (and accompanying Loss                     proposed rule changes would promote
                                                which would provide greater                                Allocation Notices) and applying this                 the prompt and accurate clearance and
                                                transparency and accessibility to                          concept to the timing of loss allocation              settlement of securities transactions,
                                                members as to how much FICC would                          payments and the member withdrawal                    consistent with Section 17A(b)(3)(F) of
                                                contribute in the event of a loss or                       process in connection with the loss                   the Act.
                                                liability. By modifying the application                    allocation process, FICC would (i) set                   By deleting certain vague and
                                                of FICC’s corporate contribution to                        forth a defined amount that it would                  imprecise limiting language that could
                                                apply to Declared Non-Default Loss                         allocate to members during each round                 be interpreted as impairing FICC’s
                                                Events, in addition to Defaulting                          (i.e., the round cap), (ii) advise members            ability to access the MBSD Clearing
                                                Member Events, on a mandatory basis,                       of loss allocation obligation information             Fund to cover losses and liabilities
                                                FICC would expand the application of                       as well as round information through                  incident to its clearance and settlement
                                                its corporate contribution beyond losses                   the issuance of Loss Allocation Notices,              business outside the context of an
                                                and liabilities from member defaults,                      and (iii) provide members with the                    MBSD Defaulting Member Event, as
                                                which would better align the interests of                  option to limit their loss allocation                 well as to cover certain liquidity needs,
                                                FICC with those of its respective                          exposure after the issuance of the first              the proposed rule change to amend
                                                Division’s members by stipulating a                        Loss Allocation Notice in each round.                 FICC’s permitted use of MBSD Clearing
                                                mandatory application of the Corporate                     These proposed rule changes would                     Fund would enhance FICC’s ability to
                                                Contribution to a Declared Non-Default                     enhance the overall resiliency of FICC’s              ensure that it can continue its
                                                Loss Event prior to any allocation of the                  loss allocation process because they                  operations and clearance and settlement
                                                loss among Tier One Netting Members                        would enable FICC to continue the loss                services in an orderly manner in the
                                                or Tier One Members, as applicable.                        allocation process in successive rounds               event that it would be necessary or
                                                Taken together, these proposed rule                        until all of FICC’s losses are allocated              appropriate for FICC to access MBSD
                                                changes would enhance the overall                          and enable FICC to identify continuing                Clearing Fund deposits to address
                                                resiliency of each Division’s loss                         members for purposes of calculating                   losses, liabilities or liquidity needs to
                                                allocation process by enhancing the                        subsequent loss allocation obligations in             meet its settlement obligations.
                                                calculation and application of FICC’s                      successive rounds. Moreover, the                      Therefore, FICC believes that this
                                                Corporate Contribution, which is one of                    proposed rule changes would define for                proposed rule change would promote
                                                the key elements of each Division’s loss                   members a clear manner and process in                 the prompt and accurate clearance and
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                                                allocation process. Moreover, by                           which they could cap their loss                       settlement of securities transactions,
                                                providing greater transparency and                         allocation exposure to FICC.                          consistent with Section 17A(b)(3)(F) of
                                                accessibility to members, as stated                           By implementing a revised ‘‘look-                  the Act.
                                                above, the proposed rule changes                           back’’ period to calculate a member’s                    Rule 17Ad–22(e)(13) under the Act
                                                regarding the Corporate Contribution,                      loss allocation obligations and its Loss              requires, in part, that FICC establish,
                                                including the proposed replenishment                       Allocation Cap, FICC would be able to                 implement, maintain and enforce
                                                                                                           capture a full calendar quarter of the                written policies and procedures
                                                  52 15   U.S.C. 78q–1(b)(3)(F).                           member’s activities and smooth out the                reasonably designed to ensure each


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                                                34212                            Federal Register / Vol. 83, No. 139 / Thursday, July 19, 2018 / Notices

                                                Division has the authority and                             Division’s default rules and procedures                    proposed rule changes to enhance the
                                                operational capacity to take timely                        and provide members with increased                         resiliency of each Division’s loss
                                                action to contain losses and continue to                   predictability and certainty regarding                     allocation process would not have any
                                                meet its obligations.53 As described                       their exposures and obligations. As                        impact on competition.
                                                above, the proposed rule changes to (1)                    such, FICC believes that the proposed                         FICC does not believe the proposed
                                                modify the calculation and application                     rule changes to align the loss allocation                  rule change to delete certain vague and
                                                of FICC’s corporate contribution, (2)                      rules of the DTCC Clearing Agencies as                     imprecise limiting language regarding
                                                introduce an Event Period, (3) introduce                   well as to improve the overall                             FICC’s use of MBSD Clearing Fund
                                                the concept of ‘‘rounds’’ (and                             transparency and accessibility of each                     would impact competition.56 This
                                                accompanying Loss Allocation Notices)                      Division’s loss allocation rules are                       proposed rule change would enhance
                                                and apply this concept to the timing of                    consistent with Rule 17Ad–22(e)(23)(i)                     FICC’s ability to ensure that it can
                                                loss allocation payments and the                           under the Act.                                             continue its operations and clearance
                                                member withdrawal process in                                                                                          and settlement services in an orderly
                                                                                                           (B) Clearing Agency’s Statement on                         manner in the event that it would be
                                                connection with the loss allocation
                                                                                                           Burden on Competition                                      necessary or appropriate for FICC to
                                                process, and (4) implement a revised
                                                ‘‘look-back’’ period to calculate a                           FICC does not believe that the                          access MBSD Clearing Fund deposits to
                                                member’s loss allocation obligation and                    proposed rule changes to enhance the                       address losses, liabilities or liquidity
                                                its Loss Allocation Cap, taken together,                   resiliency of each Division’s loss                         needs to meet its settlement obligations.
                                                are designed to enhance the resiliency                     allocation process would impact                            In the event that it would be necessary
                                                of each Division’s loss allocation                         competition.55 As described above, the                     or appropriate for FICC to access MBSD
                                                process. Having a resilient loss                           proposed rule changes to (1) modify the                    Clearing Fund deposits, FICC’s use of
                                                allocation process would help ensure                       calculation and application of FICC’s                      MBSD Clearing Fund deposits would
                                                that each Division can effectively and                     corporate contribution, (2) introduce an                   remain subject to the parameters in the
                                                timely address losses relating to or                       Event Period, (3) introduce the concept                    proposed rule that limit FICC’s use of
                                                arising out of either the default of one                   of ‘‘rounds’’ (and accompanying Loss                       MBSD Clearing Fund, i.e., (A) to secure
                                                or more members or one or more non-                        Allocation Notices) and apply this                         each MBSD Member’s performance of
                                                default loss events, which in turn would                   concept to the timing of loss allocation                   obligations to FICC, (B) to provide
                                                help each Division contain losses and                      payments and the member withdrawal                         liquidity to FICC to meet its settlement
                                                continue to meet its clearance and                         process in connection with the loss                        obligations, and (C) for certain
                                                settlement obligations. Therefore, FICC                    allocation process, and (4) implement a                    investments. FICC does not believe that
                                                believes that the proposed rule changes                    revised ‘‘look-back’’ period to calculate                  FICC’s utilization of MBSD Clearing
                                                to enhance the resiliency of each                          a member’s loss allocation obligation                      Fund under these parameters would
                                                Division’s loss allocation process are                     and its Loss Allocation Cap, taken                         impact competition. Specifically, FICC
                                                consistent with Rule 17Ad–22(e)(13)                        together, are intended to enhance the                      does not believe that using MBSD
                                                under the Act.                                             overall resiliency of each Division’s loss                 Clearing Fund to secure each MBSD
                                                   Rule 17Ad–22(e)(23)(i) under the Act                    allocation process, and would apply                        Member’s performance of obligations to
                                                requires FICC to establish, implement,                     equally to all members. While the                          FICC and for certain investments would
                                                maintain and enforce written policies                      proposed rule changes would amend the                      have an impact on the MBSD Members
                                                and procedures reasonably designed to                      manner in which FICC’s corporate                           because the fund and/or investments are
                                                publicly disclose all relevant rules and                   contribution and loss allocation are                       still being held by FICC. With respect to
                                                material procedures, including key                         calculated and applied, such proposed                      FICC’s use of MBSD Clearing Fund
                                                aspects of each Division’s default rules                   rule changes would maintain FICC’s                         pursuant to parameter (B), FICC believes
                                                and procedures.54 The proposed rule                        current core loss allocation waterfall in                  that there may be an impact on MBSD
                                                changes to (i) align the loss allocation                   the case of a loss relating to or arising                  Members if FICC uses the MBSD
                                                rules of the DTCC Clearing Agencies, (ii)                  out of the default of a member for whom                    Clearing Fund for more than 30 calendar
                                                improve the overall transparency and                       FICC has ceased to act following                           days. This is because FICC would then
                                                accessibility of the provisions in the                     application of the defaulting member’s                     consider the amount of MBSD Clearing
                                                Rules governing loss allocation and (iii)                  resources, i.e., FICC’s corporate                          Fund used but not yet repaid as a loss
                                                make conforming and technical                              contribution and loss allocation among                     to the MBSD Clearing Fund incurred as
                                                changes, would not only ensure that                        members. With respect to a loss or                         a result of a Defaulting Member Event
                                                each Division’s loss allocation rules are,                 liability arising from a non-default loss                  and immediately allocate such loss in
                                                to the extent practicable and                              event, the proposed rule changes clarify                   accordance with the proposal. However,
                                                appropriate, consistent with the loss                      FICC’s contribution to such loss and                       because loss allocation among the
                                                allocation rules of other DTCC Clearing                    liability, but, as with losses and                         MBSD Members would be based on the
                                                Agencies, but also would help to ensure                    liabilities arising from a member default                  Average RFDs of those MBSD Members,
                                                that each Division’s loss allocation rules                 event, the proposed rule changes would                     any loss allocation among MBSD
                                                are transparent and clear to members.                      maintain the loss mutualization                            Members would affect MBSD Members
                                                Aligning the loss allocation rules of the                  requirement under the current GSD                          in proportion to the amount of risks
                                                DTCC Clearing Agencies would provide                       Rules and MBSD Rules. While the                            they bring to FICC, as represented by
                                                consistent treatment, to the extent                        calculation of the loss obligations                        their Average RFDs. Based on the
                                                practicable and appropriate, especially                    associated with non-default losses                         foregoing, FICC does not believe that the
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                                                for firms that are participants of two or                  would change under the proposal, the                       proposed deletion of the limiting
                                                more DTCC Clearing Agencies. Having                        FICC Divisions would maintain this                         language regarding FICC’s use of MBSD
                                                transparent and clear loss allocation                      aspect of the loss allocation waterfall                    Clearing Fund would have any impact
                                                rules would enable members to better                       (i.e., loss mutualization among members                    on competition.
                                                understand the key aspects of each                         for non-default losses). Based on the                         FICC also does not believe that the
                                                                                                           foregoing, FICC believes that these                        proposed rule changes to (i) align the
                                                  53 17   CFR 240.17Ad–22(e)(13).
                                                  54 17   CFR 240.17Ad–22(e)(23)(i).                            55 15   U.S.C. 78q–1(b)(3)(I).                          56 Id.




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                                                                               Federal Register / Vol. 83, No. 139 / Thursday, July 19, 2018 / Notices                                                       34213

                                                loss allocation rules of the DTCC                        post all comments on the Commission’s                     down plan and related rules.1 The
                                                Clearing Agencies, (ii) increase the                     internet website (http://www.sec.gov/                     Proposed Rule Change was published
                                                transparency and accessibility of                        rules/sro.shtml). Copies of the                           for comment in the Federal Register on
                                                provisions in the Rules governing loss                   submission, all subsequent                                January 8, 2018.2 On February 8, 2018,
                                                allocation, and (iii) make conforming                    amendments, all written statements                        the Commission designated a longer
                                                and technical changes, would impact                      with respect to the Proposed Rule                         period within which to approve,
                                                competition.57 These changes would                       Change that are filed with the                            disapprove, or institute proceedings to
                                                apply equally to all members.                            Commission, and all written                               determine whether to approve or
                                                Alignment of the loss allocation rules of                communications relating to the                            disapprove the Proposed Rule Change.3
                                                the DTCC Clearing Agencies are                           Proposed Rule Change between the                          On March 20, 2018, the Commission
                                                intended to increase the consistency of                  Commission and any person, other than                     instituted proceedings to determine
                                                the Rules with the rules of other DTCC                   those that may be withheld from the                       whether to approve or disapprove the
                                                Clearing Agencies in order to provide                    public in accordance with the                             Proposed Rule Change.4 On June 25,
                                                consistent treatment, to the extent                      provisions of 5 U.S.C. 552, will be                       2018, the Commission designated a
                                                practicable and appropriate, especially                  available for website viewing and                         longer period for Commission action on
                                                for firms that are participants of two or                printing in the Commission’s Public                       the proceedings to determine whether to
                                                more DTCC Clearing Agencies. Having                      Reference Room, 100 F Street NE,
                                                                                                                                                                      1 15 U.S.C. 78s(b)(1) and 17 CFR 240.19b–4,
                                                transparent and accessible provisions in                 Washington, DC 20549 on official
                                                                                                                                                                   respectively. On December 18, 2017, FICC filed the
                                                the Rules governing loss allocation are                  business days between the hours of                        Proposed Rule Change as advance notice SR–FICC–
                                                intended to improve the readability and                  10:00 a.m. and 3:00 p.m. Copies of the                    2017–805 (‘‘Advance Notice’’) with the Commission
                                                clarity of the Rules regarding the loss                  filing also will be available for                         pursuant to Section 806(e)(1) of Title VIII of the
                                                allocation process. Making conforming                    inspection and copying at the principal                   Dodd-Frank Wall Street Reform and Consumer
                                                                                                                                                                   Protection Act entitled the Payment, Clearing, and
                                                and technical changes to ensure the                      office of FICC and on DTCC’s website                      Settlement Supervision Act of 2010 (‘‘Clearing
                                                Rules remain clear and accurate would                    (http://dtcc.com/legal/sec-rule-                          Supervision Act’’) and Rule 19b–4(n)(1)(i) of the
                                                facilitate members’ understanding of the                 filings.aspx). All comments received                      Act. (12 U.S.C. 5465(e)(1) and 17 CFR 240.19b–
                                                Rules and their obligations thereunder.                  will be posted without change. Persons                    4(n)(1)(i), respectively.) On January 30, 2018, the
                                                                                                                                                                   Commission published in the Federal Register
                                                As such, FICC believes that these                        submitting comments are cautioned that                    notice of filing of the Advance Notice. The notice
                                                proposed rule changes would not have                     we do not redact or edit personal                         also extended the review period for the Advance
                                                any impact on competition.                               identifying information from comment                      Notice pursuant to Section 806(e)(1)(H) of the
                                                                                                         submissions. You should submit only                       Clearing Supervision Act. (12 U.S.C. 5465(e)(1)(H).)
                                                (C) Clearing Agency’s Statement on                                                                                 See Securities Exchange Act Release No. 82580
                                                                                                         information that you wish to make                         (January 24, 2018), 83 FR 4341 (January 30, 2018)
                                                Comments on the Proposed Rule
                                                                                                         available publicly. All submissions                       (SR–FICC–2017–805). On April 10, 2018, the
                                                Change Received From Members,                                                                                      Commission required additional information for
                                                                                                         should refer to File Number SR–FICC–
                                                Participants, or Others                                                                                            consideration of the Advance Notice, pursuant to
                                                                                                         2017–022 and should be submitted on                       Section 806(e)(1)(D) of the Clearing Supervision
                                                  Written comments relating to this                      or before August 3, 2018.                                 Act, which provided the Commission with an
                                                proposed rule change have not been                                                                                 additional 60-days in the review period beginning
                                                                                                           For the Commission, by the Division of
                                                solicited or received. FICC will notify                  Trading and Markets, pursuant to delegated
                                                                                                                                                                   on the date that the information requested is
                                                the Commission of any written                                                                                      received by the Commission. (12 U.S.C.
                                                                                                         authority.58                                              5465(e)(1)(D).) See Memorandum from the Office of
                                                comments received by FICC.                               Eduardo A. Aleman,                                        Clearance and Settlement Supervision, Division of
                                                                                                                                                                   Trading and Markets, titled ‘‘Commission’s Request
                                                III. Solicitation of Comments                            Assistant Secretary.
                                                                                                                                                                   for Additional Information,’’ available at https://
                                                   Interested persons are invited to                     [FR Doc. 2018–15366 Filed 7–18–18; 8:45 am]               www.sec.gov/rules/sro/ficc-an.htm. On June 28,
                                                submit written data, views and                           BILLING CODE 8011–01–P                                    2018, FICC filed Amendment No. 1 to the Advance
                                                                                                                                                                   Notice. To promote the public availability and
                                                arguments concerning the foregoing.                                                                                transparency of its post-notice amendment, FICC
                                                Comments may be submitted by any of                                                                                submitted a copy of Amendment No. 1 through the
                                                the following methods:                                   SECURITIES AND EXCHANGE                                   Commission’s electronic public comment letter
                                                                                                         COMMISSION                                                mechanism. Accordingly, Amendment No. 1 to the
                                                Electronic Comments                                                                                                Advance Notice has been posted on the
                                                                                                         [Release No. 34–83630; File No. SR–FICC–                  Commission’s website at https://www.sec.gov/rules/
                                                  • Use the Commission’s internet                        2017–021]                                                 sro/ficc-an.htm and thus been publicly available
                                                comment form (http://www.sec.gov/                                                                                  since June 29, 2018. On July 6, 2018, the
                                                rules/sro.shtml); or                                     Self-Regulatory Organizations; Fixed                      Commission received the information requested,
                                                  • Send an email to rule-comments@                      Income Clearing Corporation; Notice of                    which added an additional 60-days to the review
                                                                                                                                                                   period pursuant to Sections 806(e)(1)(E) and (G) of
                                                sec.gov. Please include File Number SR–                  Filing of Amendment No. 1 to a                            the Clearing Supervision Act. (12 U.S.C.
                                                FICC–2017–022 on the subject line.                       Proposed Rule Change To Adopt a                           5465(e)(1)(E) and (G).) See Memorandum from the
                                                                                                         Recovery & Wind-down Plan and                             Office of Clearance and Settlement Supervision,
                                                Paper Comments                                                                                                     Division of Trading and Markets, titled ‘‘Response
                                                                                                         Related Rules
                                                  • Send paper comments in triplicate                                                                              to the Commission’s Request for Additional
                                                                                                                                                                   Information,’’ available at https://www.sec.gov/
                                                to Secretary, Securities and Exchange                    July 13, 2018.                                            rules/sro/ficc-an.htm. The proposal, as set forth in
                                                Commission, 100 F Street NE,                               On December 18, 2017, Fixed Income                      both the Advance Notice and the Proposed Rule
                                                Washington, DC 20549–1090.                               Clearing Corporation (‘‘FICC’’) filed                     Change, shall not take effect until all required
                                                All submissions should refer to File                     with the Securities and Exchange                          regulatory actions are completed.
                                                                                                                                                                      2 Securities Exchange Act Release No. 82431
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                                                Number SR–FICC–2017–022. This file                       Commission (‘‘Commission’’), pursuant                     (January 2, 2018), 83 FR 871 (January 8, 2018) (SR–
                                                number should be included on the                         to Section 19(b)(1) of the Securities                     FICC–2017–021).
                                                subject line if email is used. To help the               Exchange Act of 1934 (‘‘Act’’) and Rule                      3 Securities Exchange Act Release No. 82669

                                                Commission process and review your                       19b–4 thereunder, proposed rule change                    (February 8, 2018), 83 FR 6653 (February 14, 2018)
                                                                                                                                                                   (SR–DTC–2017–021; SR–FICC–2017–021; SR–
                                                comments more efficiently, please use                    SR–FICC–2017–021 (‘‘Proposed Rule                         NSCC–2017–017).
                                                only one method. The Commission will                     Change’’) to adopt a recovery and wind-                      4 Securities Exchange Act Release No. 82913

                                                                                                                                                                   (March 20, 2018), 83 FR 12997 (March 26, 2018)
                                                  57 Id.                                                      58 17   CFR 200.30–3(a)(12).                         (SR–FICC–2017–021).



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Document Created: 2018-07-19 01:34:31
Document Modified: 2018-07-19 01:34:31
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 34193 

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