Representing the asset management industry, EFAMA has long called for the establishment of an affordable real-time consolidated tape to support best execution and liquidity risk management in highly fragmented capital markets.
EFAMA is pleased to read today the details of a robust MiFIR proposal
from the European Commission addressing key areas of reform around the
creation of a consolidated tape (CT), along with adjustments to
transparency requirements on trading.
Representing the asset management industry, EFAMA has long called for
the establishment of an affordable real-time consolidated tape to
support best execution and liquidity risk management in highly
fragmented capital markets. The benefits are, of course, far broader
than the asset management industry’s specific interests. There
are wider use-cases that a real-time consolidated tape would deliver in
terms of the competitiveness of the EU’s capital markets and the access
to capital for Europe’s smaller firms, notes EFAMA.
Tanguy van de Werve, EFAMA Director General, commented: “The proposal
is broad, comprehensive and well thought-out. We believe that it
provides a solid basis for the launch of a meaningful consolidated tape
in the not-too-distant-future, if the ‘minimum revenue targets’ foreseen
for the exchanges remain reasonable and deliver an affordable
tape.”
EFAMA is especially pleased that
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the proposal supports multiple asset classes,
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a single consolidator will emerge per asset class as a result of a competitive bid,
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all trading venues and systemic internalisers (SIs) will contribute data,
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there will be voluntary consumption based on quality of service,
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the viability of including pre-trade data on the tape will be examined soon after the post-trade tape is operational.
The proposal foresees that the Consolidated Tape Provider will be
mandated to deliver data in ‘as close to real-time as technically
possible’ after receipt of the data from the different trading venues.
For equities and ETFs, this will mean delivery in the second range (1000
milliseconds). For fixed income the speed can be slower (in minutes)
given the specific dynamics of price-driven markets which also need to
take into account the applicable waivers and deferrals. EFAMA stresses
that only a tape delivering real-time data is of value to market
participants, be they retail investors, EU-based asset managers or
international investors. The association recently published a use-cases document, demonstrating the futility of using 15 minute data and the major potential costs of basing decisions on stale data.
The Commission also recognised the significant market failure in the
proprietary market data space with the presence of onerous and complex
license agreements. EFAMA fully supports the proposal to improve
enforcement of Article 13 of MiFIR by converting ESMA’s market data
guidelines into legal obligations.
But the association also stresses that a CT and Article 13 alone cannot
address the problem of ever-increasing prices charged by
exchanges. Here EFAMA refers back to ESMA’s MiFIDII/MiFIR Report No.
1, which includes recommendations to standardise pricelists, policies
and audit procedures.
Susan Yavari, EFMA Regulatory Policy Advisor, noted: “Even with a
consolidated tape the issue of excessive data costs for asset managers
remains. A not improbable scenario would have asset managers facing even
greater costs with the current proposal by paying for a CT alongside
costly proprietary data feeds for which the CT is not a substitute.”
On the proposed market structure reforms, EFAMA sees the need to
simplify the Double Volume Cap, into the proposed single volume cap at
7% of the whole market and a recalibration of the deferrals period to 2
weeks. The association does not however support broader changes to
re-engineer a well-functioning market where SIs play an important role
as liquidity providers to fund managers looking to execute large trades
with little market impact.
The proposal imposes a ban on Payments for Order Flow, which is a
position that EFAMA can support, given the significant liquidity impact
of PFOF directing retails flows off-exchange.
EFAMA
© EFAMA - European Fund and Asset Management Association
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