ISDA  strongly supports the existing flexibility and choice provided for customers by the current regime and welcomes IOSCO’s recognition that a flexible approach should be taken in defining what constitutes an exchange for derivatives trading, with an expectation that more illiquid products will be traded on less structured platforms. This has important implications for the European Commission’s Review of the Markets in Financial Instruments Directive (MiFID) and supports the idea that any OTF  regime must provide a suitable degree of flexibility to ensure that the value that derives from the existing diversity of execution models is not lost.
ISDA  believes there are significant risks associated with requiring particular contracts to be traded on a particular venue. However, if a liquidity threshold is to be used as part of the assessment of whether a product should be traded on an OTF, then that threshold should be set at a realistic level that differentiates between products, is capable of being calculated and predicted, is subject to periodic review and is able to accommodate temporary changes in the market.
ISDA  believes in the importance of international convergence and welcomes IOSCO’s recognition of the impact of jurisdictional regulatory disparities and the critical importance of regulators co-ordinating such actions with their regulatory counterparts as much as possible.
Press release
      
      
      
      
        © ISDA - International Swaps and Derivatives Association
     
      
      
      
      
      
      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