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A1258690737IExFX

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Chris Pickles. Manager, Industry Relations. 30 November 2004 ... MiFiD Markets in Financial Instruments Directive. Came into force 30 April 2004 ... – PowerPoint PPT presentation

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Title: A1258690737IExFX


1
MiFiD and its impact on Financial Information
Chris Pickles
Manager, Industry Relations
30 November 2004
2
MiFiD Markets in Financial Instruments Directive
  • Came into force 30 April 2004
  • Must be implemented by all 25 EU member states by
    30 April 2006
  • Impacts all asset classes except for FX
  • Applies to all investment firms in the EU
  • Impact for financial information - mainly in
    respect of shares which are admitted to trading
    on a regulated market that are traded off a
    regulated market

3
MiFiD new terminology
  • MTF
  • multilateral trading facility (eg ECN, ATS) that
    is not a Regulated Market (exchange)
  • Comitology
  • the involvement of CESR (Committee of European
    Securities Regulators)
  • Deadline for first responses to CESR 4 October
    2004
  • Deadline for second responses to CESR 21 January
    2005

4
Art.13 (4) (5) - Organisational Requirements
  • An investment firm shall take reasonable steps
    to ensure continuity and regularity in the
    performance of investment services and
    activities.
  • An investment firm shall haveeffective control
    and safeguard arrangements for information
    processing systems.
  • (G-30 recommendation 12 Ensure effective
    business continuity and disaster recovery
    planning)
  • CESR to provide technical advice to EC by 31
    January 2005 regarding the minimum basic criteria
    to ensure that control and safeguard measures for
    information processing systems are considered as
    effective.

5
Art.13 (4) (5) Draft CESR Advice
  • Arrangements, regularly tested and updated, to
    ensure that it can continue to function and meet
    its regulatory obligations in the event of an
    unplanned severe business interruption.
  • identify critical information systemssuch as IT
    infrastructure, telecommunications and power
    supply
  • Does the industry need a best-practice
    recommendation that regulators can use as a
    benchmark for compliance?

6
Art.21 Most favourable terms to client
  • The order execution policy shall includeat
    least those venues that enable the investment
    firm to obtain on a consistent basis the best
    possible result for the execution of client
    orders.
  • they shall assess, on a regular basis, whether
    the execution venues included in the order
    execution policy provide for the best possible
    result for the client
  • If internalising within an investment firm is a
    venue, how will internalisers make other
    investment firms aware of their quotes and prices?

7
Art.27 Obligation to make public firm quotes
  • require systematic internalisers in shares to
    publish a firm quote in those shares admitted to
    trading on a regulated market
  • Systematic internalisers shall make public their
    quotes on a regular and continuous basis during
    normal trading hours.
  • The quote shall be made public in a manner which
    is easily accessible to other market participants
    on a reasonable commercial basis.
  • Possibilities
  • via a regulated market
  • via a third party
  • via proprietary arrangements

8
Art.28 Post-trade disclosure by investment firms
  • require investment firms whichconclude
    transactions in shares admitted to trading on a
    regulated market outside a regulated market or
    MTF, to make public the volume and price of those
    transactions and the time at which they were
    concluded.
  • This information shall be made public as close
    to real-time as possible, on a reasonable
    commercial basis, and in a manner which is easily
    accessible to other market participants.
  • Possibilities
  • via a regulated market
  • via a third party
  • via proprietary arrangements
  • CESR advice investment firms to make all data
    available for two weeks after trade

9
Art.29 Pre-trade transparency requirements for
MTFs
  • make public current bid and offer prices and
    the depth of trading interests at these priceson
    reasonable commercial terms and on a continuous
    basis during normal trading hours.

10
Art.30 Post-trade transparency requirements for
MTFs
  • make public the price, volume and time of the
    transactions executed under its system
  • details of all such transactions be made public,
    on a reasonable commercial basis, as close to
    real-time as possible.

11
Articles 27/28/29/30 Some issues
  • How do I get a complete market overview?
  • How do I publish my quotes prices?
  • Data standard(s)
  • Source identification
  • Standardising of securities identifiers
  • on reasonable commercial terms

12
Articles 27/28/29/30 How do I get a complete
market overview?
  • Data vendors and exchanges (as public companies
    and service providers) are expected to compete
    against each other to gather and re-distribute
    this data
  • As these vendors compete against each other, they
    are unlikely to share this data with each other
  • Any single vendor is unlikely to be able to
    provide all of this information in a consolidated
    form to investment firms and asset managers
  • Investment firms and asset managers will have to
  • either buy data from multiple vendors in order to
    consolidate it themselves
  • implications for IT systems and budgets
  • or have an incomplete view of the market
  • implications for competitiveness, profitability
    and compliance

13
Articles 27/28/29/30 How do I publish my quotes
prices?
  • Data vendors dont collect off-exchange equity
    prices from investment firms today
  • Electronic exchanges dont have systems in place
    to collect quotes prices for all off-exchange
    trades of shares that they admit for trading
  • Electronic exchanges dont have systems in place
    to collect quotes prices for all off-exchange
    trades of shares that they dont admit for
    trading
  • CESR asks if publishing quotes solely on the
    firms own web site is sufficient
  • Investment firms dont have systems in place to
    publish their equity quotes prices
  • The deadline for compliance for all investment
    firms in the EU is 30 April 2006
  • CESR Question 13.9
  • Should CESR initiate work, in collaboration with
    the industry and data publishers, to determine
    how best to ensure that post-trade transparency
    data be disseminated on a pan-European basis?

14
Articles 27/28/29/30 Data standard(s)
  • CESR notes that in order to be consolidatable
    the information disclosed by RMs, MTFs and firms
    need to fulfil certain criteria. Ideally it
    should follow (one) generally agreed data
    standard(s). Establishing such standards is
    supported by CESR but it is not seen primarily as
    the regulators role
  • What data standard(s) should the industry adopt?

15
Articles 27/28/29/30 Source identification
  • The following information shall be made public
    trade by trade for every trade
  • Market or other source identification
  • Security identifier
  • Date time of trade
  • Volume
  • Price per share..

16
Articles 27/28/29/30 Standardising of security
identifiers
  • CESR Question 13.7
  • Should the identifier of a security be
    harmonised and if so to what extent? What should
    be the applicable standard (ISIN code, other)?

17
Articles 27/28/29/30 on reasonable commercial
terms
  • Investment firms will incur costs in order to
    comply with MiFiD
  • Some (but not all) of these costs will be IT
    costs
  • Investment firms are allowed to make their quotes
    prices available on a reasonable commercial
    basis
  • Is this a potential new revenue stream for
    investment firms?
  • Could it be used to offset related IT costs?
  • Taking that exchanges and data vendors can charge
    millions for their market data, what is the
    market value of an investment firms market data?
  • Is this a potential new cost of business for each
    data vendor?

18
MiFiD by 30 April 2006
  • 2nd Responses to CESR by 21 January 2005
  • New internal systems to implement for data
    publishing and data collection
  • External network considerations
  • Commercial decisions
  • Industry involvement
  • When do you start?

19
MiFiD further information
  • Original copy of MiFiD (Directive 2004/39/EC)
  • http//www.europa.int/eur-lex/en/archive/2004/l_14
    520040430en.html
  • CESR advice (CESR/04-261b and CESR/04-562)
  • www.cesr-eu.org/ - under Consultations
  • Chris Pickles
  • Manager, Industry Relations
  • Radianz
  • chris.pickles_at_radianz.com
  • tel 44 (0)7775 768172
  • www.radianz.com
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