Tag Archives: tabbforum

best-execution

Best Execution Wack-A-Mole Aims at Wholesalers

When it comes to gauging best execution, that exercise is akin to a game of whack-a-mole when calculating in the role of wholesalers aka over-the-counter market-makers whose business model includes leveraging maker-taker rebate schemes. MarketsMuse credits below excerpted observations from TabbForum and courtesy of Stanislav Dolgopolov, Decimus Capital Markets, LLC

(TabbForum) Compliance with the duty of best execution is typically focused on customer-facing brokers, but the stringent standard of best execution may pop up several times in the transactional chain. One critical issue already getting—and deserving—more attention is the extent to which the duty of best execution applies to off-exchange market makers, commonly referred to as ‘wholesalers’ or ‘internalizers,’ and whether conflicts of interest are keeping them from meeting these obligations.

One illustration of potential conflicts of interest is monetization of maker-taker arrangements for certain types of orders – typically, nonmarketable limit orders – by off-exchange market makers through secondary routing, which may potentially come at the expense of execution quality, given that a substantial portion of orders directed to them consists of such orders. Furthermore, a typical major player in the wholesaling segment is in the spotlight to demonstrate the adequacy of execution within its affiliated dark pool(s), given a bevy of concerns, such as toxicity, slowness, or leakages of customer order information. Yet another consideration from the standpoint of the very definition of “best execution” is whether there are self-interested or otherwise avoidable delays counter to the requirement of prompt execution.

Finger-pointing in connection with achieving and maintaining execution quality is not necessarily an easy task. Compliance with the duty of best execution is typically focused on customer-facing brokers, as illustrated by the level of scrutiny of retail brokerages, including lawsuits, in connection with payment for order flow and maker-taker arrangements. At the same time, the stringent standard of best execution may pop up several times in the transactional chain. One critical issue already getting—and deserving—more attention is the extent to which the duty of best execution applies to off-exchange market makers, commonly referred to as “wholesalers” or “internalizers.”

This assumption of the duty of best execution may be rooted in contractual arrangements—sometimes called “order handling agreements”—between off-exchange market makers and customer-facing brokerage firms. Pursuant to the applicable agreement, an off-exchange market maker may in fact discharge agency-based functions in addition to trading in the principal capacity. By contrast, market making on securities exchanges has been “de-agentized” in the sense that designated market makers have been relieved of their traditional agent-like duties to investors. In fact, some order handling agreements specifically mention the best execution standard. Even when this standard is not spelled out, the scope of the applicable relationship is likely to bind that off-exchange market maker as a true “executing broker” subject to the duty of best execution.

To read the entire article, please click here

NYSE Snafu Causes Market Structure Experts to Flip-Flop

MarketsMuse senior editors have quickly canvassed a broad assortment of “market structure experts” and industry talking heads who have been at the forefront of debating the pros and cons of market electronification, multiple market centers and the underlying issue: “Is Market Fragmentation Good, Bad or Ugly?”

For those who might have just landed on Planet Earth, the debate (which is ongoing via industry outlets such as TabbForum, MarketsMedia, and most others) boils down to whether multiple, competing electronic exchange systems enhance overall market liquidity and make it ‘easier and better’ for institutions and retail investors to execute ‘anywhere/anytime’ via the now nearly two dozen “ECNs”, “Dark Pools” that offer a Chinese menu of rebates, kickbacks and assorted maker-taker fee schemes (e.g. ARCA, BATS etc), or whether someone should try to shove the Genie back into the bottle and revert to the days of yore when the NYSE was the dominant listing and trading center for top company shares, and complemented by a select, handful of regional stock exchanges, most notably, The MidWest Stock Exchange, The American Stock Exchange, The Philadelphia Stock and the Cincinnati Stock Exchange.

Despite the fact that CNBC talking heads dedicated the entire day’s coverage to the NYSE snafu with rampant speculation as to whether the day’s outage was due to a cyber attack by the Chinese in their effort to distract the world from the dramatic drop in China-listed shares, whether it was a Russia-based malware attack, or perhaps even an ISIS-born cyber-terrorist attack that also impacted United Airlines)–the fact of the matter (one that CNBC seemed oblivious to) is that those who wanted to execute stock trades through their brokers were able to do so without disruption, simply because those brokers routed orders to a drop down menu of exchanges that compete with the NYSE..

Yes, the NYSE lost a day’s worth of fees attached to every order they typically execute on a normal day (not a good day for exchange President Tom Farley)–but more than half of the market structure experts who have continued to campaign against market fragmentation have [temporarily] flip-flopped today and have acknowledged that were it not for multiple competing exchanges, today would have been a real headache for US stock market investors and brokers. No doubt CNBC and others who were fixated on this outage will be able to turn their attention back to what is taking place in Greece, China and other topics that actually do impact the price of global equities.

Technology, Transparency and Choice Drive Buy Side’s Investment in U.S. Options

 

tabb forum logo                    

The U.S. market for exchange-traded options took off during the past decade. The buy side is increasingly looking at options as instruments to hedge risk exposure and generate alpha, according to TABB Group’s recent report on the state of the U.S. options markets. In fact, TABB estimates that volumes will increase by more than 5 percent by year-end, even as market volatility wanes. So what is continuing to fuel growth in the options markets?

Market transparency and growing adoption of electronic trading technologies are key contributing factors. The changes in regulation and increasing use of electronic trading helped raise volume an average of 21 percent a year from 2000 to 2010 on seven U.S. options exchanges. Today, the options markets are supported by 12 exchanges and electronic venues where traders can access legitimate, reliable prices and order information so they can confidently and quickly execute a trade.

While the increase in trading venues has increased competition and lowered transaction costs for investors, fragmentation has also forced continued investment in technology on both the sell side and buy side. One area of investment on the buy side is platforms that help aggregate liquidity across multiple counterparties and exchanges. To access liquidity and capitalize on momentary market opportunities, institutional investors are adopting electronic platforms that offer integrated pricing monitors, trade analytics, risk monitors, and other tools. For the second year in a row, TABB’s study found Bloomberg Execution Management System (EMSX) is the most popular electronic trading platform for U.S. options. Now, I may be biased, but what I believe this reveals is that options market participants value unparalleled technology and transparency – but they also value choice.   For the full article courtesy of TabbForum, please click here