AFME and FINBOURNE Technology published a report which analyses EU sovereign and public bond trading data consolidated from numerous sources for the period of March to December 2021. This report follows an earlier April 2022 report which focused on the corporate bond trading landscape.
The new data from this report demonstrates the following principal findings:
- There is a high degree of trade transparency in EU sovereign bond markets, especially when compared to corporate bond markets, with
a significant majority of EU government bond trades (76%) currently
being made real-time transparent (compared to 8% of corporate bond
trades). However, the quality of the sovereign data set is materially worse
than the corporate bond data set due to a high level of distortion
caused by the inconsistent use of some flags, among other issues. This
needs to be addressed by ESMA.
- The majority (60%) of government bond-related trades on EU venues are non-EU bonds from
the US, UK and other countries. Notably, Table 1 shows the trading
volume of US Treasuries is nearly the same as for all EU issuers (circa
40% of total volumes). This means it is currently hard to have a clear
view of the trading of EU-based issuers with the large amount of trading
in the EU by non-EU issuers clouding the picture. AFME believes
improvements could be made, for example, by narrowing the scope of MiFIR
trade reporting to only cover EU-issuers, which would then be the basis
on which deferrals should be calibrated. This would be similar in some
respects to the US TRACE system, which focuses only on securities issued
in the US. This re-focus would further support an EU fixed income
consolidated tape focused on EU markets.
Adam Farkas, Chief Executive of AFME, said: “This
second data analysis from AFME and FINBOURNE Technology reiterates the
importance of an accurately calibrated deferral regime for EU sovereign
bonds. This would help grow the EU fixed income market by focusing on
opportunities to further increase transparency where appropriate, while
carefully calibrating deferrals to avoid causing undue risk for market
makers, which could negatively impact the amount of liquidity that they
are able to provide.
“In order to further improve
transparency, AFME believes MiFIR reporting of sovereign and public bond
trading activity should be analysed by ESMA to confirm precisely
through data analysis where increased transparency will not damage
market liquidity.”
Thomas McHugh, CEO and Co-Founder, at FINBOURNE Technology, said: “Once
again, we’re delighted to work with the AFME team and its working group
members to support their evidence-driven approach to policy
formulation. The analysis for this paper required an extremely granular
approach to transaction records, made possible by our Modern Financial
Data Stack. We hope, that by constructing this data, we can jointly
deliver the transparency needed, to clarify some of the key issues
impacting the creation of a consolidated tape. As always, our core
principle is to liberate, simplify and connect data and this paper goes
some way to showing the benefits of a single consolidated view of
transactions to inform market participants, regulators and EU
authorities.”
The report provides extensive data
on sovereign bond risk position trade-out times (i.e. the time it takes
to move the risk off the bank’s balance sheet). This data demonstrates a
wide range of times depending on issuers, trade sizes and issue sizes,
ranging from very short to very long. This shows that larger and
illiquid transactions require carefully calibrated and, in some
instances, relatively long, deferral periods to ensure optimal market
liquidity (as otherwise liquidity providers can be unduly placed at
risk). These larger and illiquid trades comprise a small percentage of
the number of trades, but a much larger percentage of volume. Likewise,
the data shows that trade-out times for other trades can be very short,
justifying no or short deferrals in those instances.
The AFME paper analyses
approximately 1.8 million post-trade records on 8,200 distinct sovereign
and public bonds. From the data set studied, AFME and FINBOURNE
Technology find that different deferral periods need to be applied based
on the trade size and issuance volume, among other key
characteristics. Applying an incorrectly calibrated deferral regime to
all trades, especially those larger in size or illiquid, risks exposing
liquidity providers to potential undue risks, which could negatively
impact the amount of liquidity/pricing that market makers are able to
provide.
Key findings:
- Tables 3 and 4 show that currently ‘real time’ reporting on EU sovereigns/public bonds is higher than that for corporates – respectively 76% versus 8% by number of trades, and 37% vs 16% by volume.
- As was the case in the April 2022 corporate bond study, this report confirms that trade out times for sovereigns/public bonds are significantly longer for small issuance sizes and larger trade sizes.
Trade out times vary significantly for various issue and trade size
categories, ranging from a few minutes to well over a year depending on
the issue and trade size category. As a result, the data supports
real-time and End of Day (EOD) reporting for some categories of trades,
but also shows certain deferrals for larger trades should be
significantly longer than four weeks.
- The vast majority of trades (92%)
in the combined sovereign/public bond category relate to direct
sovereign issuance from Debt Management Offices (DMOs) rather than
non-sovereign public entities. Sovereign trading volume is over twice
the size of corporate bond trading. the report also provides trading
volume from each EU issuer country.
This data analysis supports AFME’s
consistent position that deferral times should be calibrated by ESMA,
only after analysis of actual trade data collected from the fixed income
consolidated tape.
AFME
© AFME
Key
Hover over the blue highlighted
text to view the acronym meaning
Hover
over these icons for more information
Comments:
No Comments for this Article