Self-Regulatory Organizations; New York Stock Exchange LLC; Notice of Filing of Proposed Rule Change and Amendment Nos. 1 and 2 Thereto Relating to Exchange Rule 70 To Provide Floor Brokers With the Ability To Enter Discretionary Instructions and/or Pegging Instructions With Respect to Floor Broker Agency Interest Files (e-Quotes), 41496-41502 [E6-11581]
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41496
Federal Register / Vol. 71, No. 140 / Friday, July 21, 2006 / Notices
Securities and Exchange Commission,
100 F Street, NE., Washington, DC
20549–1090.
All submissions should refer to File
Number SR–NYSE–2006–46. This file
number should be included on the
subject line if e-mail is used. To help the
Commission process and review your
comments more efficiently, please use
only one method. The Commission will
post all comments on the Commissions
Internet Web site (https://www.sec.gov/
rules/sro.shtml). Copies of the
submission, all subsequent
amendments, all written statements
with respect to the proposed rule
change that are filed with the
Commission, and all written
communications relating to the
proposed rule change between the
Commission and any person, other than
those that may be withheld from the
public in accordance with the
provisions of 5 U.S.C. 552, will be
available for inspection and copying in
the Commission’s Public Reference
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submissions should refer to File
Number SR–NYSE–2006–46 and should
be submitted on or before August 11,
2006.
For the Commission, by the Division of
Market Regulation, pursuant to delegated
authority.24
Jill M. Peterson,
Assistant Secretary.
[FR Doc. E6–11575 Filed 7–20–06; 8:45 am]
BILLING CODE 8010–01–P
SECURITIES AND EXCHANGE
COMMISSION
[Release No. 34–54150; File No. SR–NYSE–
2006–36]
Self-Regulatory Organizations; New
York Stock Exchange LLC; Notice of
Filing of Proposed Rule Change and
Amendment Nos. 1 and 2 Thereto
Relating to Exchange Rule 70 To
Provide Floor Brokers With the Ability
To Enter Discretionary Instructions
and/or Pegging Instructions With
Respect to Floor Broker Agency
Interest Files (e-Quotes)
July 14, 2006.
Pursuant to Section 19(b)(1) of the
Securities Exchange Act of 1934
(‘‘Act’’) 1 and Rule 19b–4 thereunder,2
notice is hereby given that on May 16,
2006, the New York Stock Exchange
LLC (‘‘NYSE’’ or ‘‘Exchange’’) filed with
the Securities and Exchange
Commission (‘‘Commission’’) the
proposed rule change as described in
Items I, II, and III below, which Items
have been prepared by the Exchange.
On June 14, 2006, NYSE filed
Amendment No. 1 to the proposed rule
change.3 On July 11, 2006, NYSE filed
Amendment No. 2 to the proposed rule
change.4 The Commission is publishing
this notice to solicit comments on the
proposed rule change, as amended, from
interested persons.
I. Self-Regulatory Organization’s
Statement of the Terms of Substance of
the Proposed Rule Change
The Exchange proposes to amend
Exchange Rule 70 to reflect that Floor
brokers will have the ability to enter
discretionary instructions (‘‘d-Quotes’’)
with respect to their Floor broker agency
interest files (‘‘e-Quotes’’) and that their
e-Quotes and d-Quotes will be able to
peg to the Exchange best bid and offer.
The Exchange also proposes to amend
NYSE Rules 70.20, 123(e), 104, and
1000. Below is the text of the proposed
rule change, as amended. Proposed new
language is italicized; proposed
deletions are in brackets.
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Bids and Offers
Rule 70
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.20 (a)(i) With respect to orders he or
she is representing on the Floor, a Floor
1 15
U.S.C. 78s(b)(1).
CFR 240.19b–4.
3 In Amendment No. 1, NYSE proposed
additional changes and clarifications to the
proposal.
4 Amendment No. 2 supersedes and replaces the
original proposed rule change and Amendment No.
1 in its entirety.
2 17
24 17
CFR 200.30–3(a)(12).
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broker may place within the Display
Book system broker agency interest
files at multiple price points on both
sides of the market at or outside the
Exchange best bid and offer with respect
to each security trading in the
[location(s) comprising the] Crowd such
Floor broker is a part of, [with respect
to orders he or she is representing on
the Floor,] except that the agency
interest files shall not include any
customer interest that restricts the
specialist’s ability to be on parity
pursuant to Exchange Rules
104.10(6)(i)(C) and 108(a). Broker
agency interest files shall also be
referred to as ‘‘e-QuotesSM’’.
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(b) All Floor broker agency interest
placed within files in the Display Book
system at the same price and on the
same side shall be on parity with each
other, except agency interest that
establishes the Exchange best bid or
offer shall be entitled to priority in
accordance with Exchange Rule 72. No
Floor broker agency interest placed
within files in the Display Book system
shall be entitled to precedence based on
size.
*
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*
(j)(i) Floor broker agency interest
placed within files may participate in
the opening and closing trades in
accordance with Exchange policies and
procedures governing the open and
close.
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*
*
(k) The ability of a Floor broker to
have reserve interest will not be
available during the open and during
the close. During the close, a Floor
broker’s reserve interest, if any, will be
added to the size of his or her displayed
agency (‘‘e-Quoted’’) interest. The
ability of a Floor broker to exclude
volume from aggregated agency interest
information available to the specialist
will not be available during the open.
Floor broker agency interest excluded
from the aggregate agency interest
information available to the specialist
will not participate in the close.
.25 Discretionary Instructions for Bids
and Offers Represented via Floor Broker
Agency Interest Files (e-QuotesSM)
(a)(i) A Floor broker may enter
discretionary instructions as to size
and/or price with respect to his or her
e-Quotes (‘‘discretionary e-Quotes’’ or
‘‘d-Quotes’’). The discretionary
instructions relate to the price at which
the d-Quote may trade and the number
of shares to which the discretionary
price instructions apply.
(ii) Discretionary instructions are
active only when the e-Quote is at or
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Federal Register / Vol. 71, No. 140 / Friday, July 21, 2006 / Notices
joins the existing Exchange best bid or
best offer or would establish a new
Exchange best bid or offer.
(iii) Discretionary instructions are
active only with respect to automatic
executions. Discretionary instructions
are not active with respect to the
opening and closing transactions.
(iv) Discretionary instructions will be
applied only if all d-Quoting
prerequisites are met. Otherwise, the dQuote will be handled as a regular eQuote, notwithstanding the fact that the
Floor broker has designated the e-Quote
as a d-Quote. For example, to be
considered a discretionary e-Quote, an
e-Quote must have a discretionary price
range.
(v) The requirements for e-Quotes
apply to d-Quotes, including the
requirement that the Floor broker be in
the Crowd.
(vi) A Floor broker may have multiple
d-Quotes, with different discretionary
price and size limitations, on the same
side of the market. Such multiple dQuotes do not compete with each other
for executions. Trading volume is
allocated by Floor broker, not number of
d-Quotes participating in an execution.
(vii) Discretionary instructions apply
to both displayed and reserve interest,
including reserve interest that is
excluded from the aggregate reserve size
visible to the specialist on the Floor.
(viii) Neither the specialist on the
Floor nor the specialist system
employing algorithms will have access
to the discretionary instructions entered
by Floor brokers with respect to their eQuotes.
rwilkins on PROD1PC63 with NOTICES_1
(b) Price Discretion
(i) A Floor broker may set a
discretionary price range within the
Exchange best bid and offer that
specifies the prices at which they are
willing to trade. This discretion will be
used, as necessary, to initiate or
participate in a trade with an incoming
order capable of trading at a price
within the discretionary price range.
(ii) The minimum price range for a
discretionary e-Quote is the minimum
price variation set forth in Exchange
Rule 62.
(iii) Floor brokers may specify that
price discretion applies to all or only a
portion of their d-Quote. Price discretion
is necessary for d-Quotes. Therefore, if
price discretion is provided for only a
portion of the d-Quote, the residual will
be treated as an e-Quote.
(iv) When price discretion is used, dQuotes trade first from reserve volume,
if any, and then from displayed volume.
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(c) Discretionary Size
(i) A Floor broker may designate the
amount of his or her e-Quote volume to
which discretionary price instructions
shall apply.
(ii) A Floor broker may designate a
minimum and/or maximum size of
contra-side volume with which it is
willing to trade using discretionary price
instructions.
(iii) Only displayed interest will be
used by Exchange systems to determine
whether the size of contra-side volume
is within the d-Quote’s discretionary
size range. Contra-side reserve and
other interest at the possible execution
price will not be considered by
Exchange systems when making this
determination.
(iv) Interest displayed by other market
centers at the price at which a d-Quote
may trade will not be considered by
Exchange systems when determining if
the d-Quote’s minimum and/or
maximum size range is met, unless the
Floor broker designates that such away
volume should be included in this
determination.
(v) An increase or reduction in the
size associated with a particular price
that brings the contra-side volume
within a d-Quote’s minimum or
maximum discretionary size parameter,
will trigger an execution of that d-Quote.
(vi) Once the total amount of a Floor
broker’s discretionary volume has been
executed, the d-Quote’s discretionary
price instructions will become inactive
and the remainder of that d-Quote will
be treated as an e-Quote.
(d) Executions of Discretionary e-Quotes
(i) The goal of discretionary e-Quoting
is to secure the largest execution for the
d-Quote, using the least amount of price
discretion. In so doing, d-Quotes may
often improve the execution price of
incoming orders. Conversely, if no
discretion is necessary to accomplish a
trade, none will be used.
(A) Future executions that may occur,
such as those resulting from the
execution of elected contra-side CAP–DI
orders, will not be considered in
determining when, and to what extent,
price discretion is necessary to
accomplish a trade.
(ii) Discretionary e-Quotes will
automatically execute against a contraside order that enters the Display Book
system if the order’s price is within the
discretionary price range and the order’s
size meets any minimum or maximum
size requirements that have been set for
the d-Quote.
(iii) Discretionary e-Quotes from
different Floor brokers on the same side
of the market with the same price
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41497
instructions trade on parity after interest
entitled to priority is executed.
(iv) Same-side d-Quotes from different
Floor brokers compete for an execution,
with the most aggressive price range
(e.g. three cents vs. two cents)
establishing the execution price. If an
incoming order remains unfilled at that
price, executions within the less
aggressive price range may then occur.
(v) Discretionary e-Quotes compete
with same-side specialist algorithmic
trading messages targeting incoming
orders. If the price of d-Quotes and
specialist trading messages are the
same, the d-Quotes and the specialist
messages will trade on parity.
(vi) Discretionary e-Quotes from Floor
brokers on opposite sides of the market
will be able to trade with each other.
The d-Quote that arrived at the Display
Book system last will use the most
discretion necessary to effect a trade,
except as provided below.
(A) When a protected bid or offer, as
defined in Section 242.600(b)(57) of
Regulation NMS (‘‘Reg. NMS’’), is
published by another market center at a
price that is better than the price at
which contra-side d-Quotes would trade
in accordance with (vi) above, the
following applies:
(1) the amount of discretion necessary
to permit a trade on the Exchange
consistent with the Order Protection
Rule (Section 242.611 of Reg. NMS)
(‘‘OPR’’) will be used; or
(2) such portion of the appropriate dQuote as is necessary will be
automatically routed in accordance with
OPR in order to permit a trade to occur
on the Exchange.
(vii) As with all executions on the
Exchange, executions involving dQuotes will comply with OPR.
(viii) Discretionary e-Quotes may
provide price improvement to and trade
with an incoming contra-side specialist
algorithmic trading message to ‘‘hit bid/
take offer,’’ just as they can with any
other marketable incoming interest.
(ix) Discretionary e-Quotes may
initiate sweeps in accordance with and
to the extent provided by Exchange
Rules 1000–1004, but only to the extent
of their price and volume discretion.
Discretionary e-Quotes may participate
in sweeps initiated by other orders but,
in such cases, their discretionary
instructions are not active.
(A) d-Quotes will not trade at a price
that would trigger a liquidity
replenishment point (‘‘LRP’’) as defined
in Exchange Rule 1000. Accordingly, a
sweep involving a d-Quote will always
stop at least one cent before an LRP
price.
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Federal Register / Vol. 71, No. 140 / Friday, July 21, 2006 / Notices
Pegging for d-Quotes and e-Quotes
(i) An e-Quote, other than a ticksensitive e-Quote, may be set to provide
that it will be available for execution at
the Exchange best bid (for an e-Quote
that represents a buy order) or at the
Exchange best offer (for an e-Quote that
represents a sell order) as the Exchange
best bid or offer changes, so long as the
Exchange best bid or offer is at or within
the e-Quote’s limit price.
(ii) A d-Quote may also employ
pegging.
(iii) Pegging is only active when autoquoting is active.
(iv) Pegging e-Quotes and d-Quotes
trade on parity with other interest at the
Exchange best bid or offer after interest
entitled to priority is executed.
(v) Pegging is reactive. An e-Quote or
d-Quote will not establish the Exchange
best bid or best offer as a result of
pegging.
(vi) Price priority cannot be
established by pegging, although
existence of pegging instructions does
not preclude an e-Quote or d-Quote
from having priority.
(vii) Pegging e-Quotes and d-Quotes
peg only to other non-pegging interest
within the pegging range selected by the
Floor broker.
(viii) An e-Quote or d-Quote will not
sustain the Exchange best bid or best
offer as a result of pegging if there is no
other non-pegged interest at that price
and such price is not the e-Quote’s or
d-Quote’s limit price.
(A) If the lowest quotable price
established by the Floor broker for a
pegging e-Quote or d-Quote to buy is the
Exchange best bid and all other interest
at that price cancels or is executed, the
pegging e-Quote or d-Quote will remain
displayed at that best bid price.
(B) If the highest quotable price
established by the Floor broker for a
pegging e-Quote or d-Quote to sell is the
Exchange best offer and all other
interest at that price cancels or is
executed, the pegging e-Quote or dQuote will remain displayed at that best
offer price.
(ix) A Floor broker may establish a
price range for an e-Quote or d-Quote,
beyond which the pegging function will
not be available (‘‘quote,’’ ‘‘ceiling’’ and
‘‘floor’’ prices).
(A) The ‘‘quote price’’ is the lowest
price to which a buy e-Quote or d-Quote
may peg or the highest price to which
a sell e-Quote or d-Quote may peg.
(B) The ‘‘ceiling price’’ is the highest
price to which a buy-side e-Quote or dQuote may peg.
(C) The ‘‘floor price’’ is the lowest
price to which a sell-side e-Quote or dQuote may peg.
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(D) A quote, ceiling and floor price
may be at a price other than the limit
price of the order that is being e-Quoted
or d-Quoted, but may not be
inconsistent with the order’s limit.
(x) As long as the Exchange best bid
is at or within the pegging price range
selected by the Floor broker with respect
to a buy-side e-Quote or d-Quote, or the
Exchange best offer is within the price
range selected by the Floor broker with
respect to a sell-side e-Quote or dQuote, the pegging e-Quote or d-Quote
will join such best bid or best offer as
it is auto quoted.
(xi) If the Floor broker does not
designate a pegging range, but has
instructed that his or her e-Quote or dQuote shall peg, the e-Quote or d-Quote
will peg to the Exchange best bid (offer)
as long as such bid (offer) is within the
limit of the order that is being e-Quoted
or d-Quoted.
(xii) As an e-Quote or d-Quote pegs,
its discretionary price range, if any,
moves along with it, subject to any floor
or ceiling price set by the Floor broker.
(A) If the Exchange best bid is higher
than the ceiling price of a pegging buyside e-Quote or d-Quote, the e-Quote or
d-Quote will remain at its quote price or
the highest price at which there is other
interest within its pegging price range,
whichever is higher (consistent with the
limit price of the order underlying the eQuote or d-Quote).
(B) If the Exchange best offer is lower
than the floor price of a pegging sellside e-Quote or d-Quote, the e-Quote or
d-Quote will remain at its quote price or
the lowest price at which there is other
interest within its pegging price range,
whichever is lower (consistent with the
limit price of the order underlying the eQuote or d-Quote).
(C) If the Exchange best bid or best
offer returns to a price within the
pegging price range selected by the
Floor broker, the e-Quote or d-Quote
will once again peg to the Exchange best
bid or best offer.
(xiii) A Floor broker may establish a
minimum and/or maximum size of
same-side volume to which his or her eQuote or d-Quote will peg. Other
pegging e-Quote or d-Quote volume will
not be considered in determining
whether the volume parameters set by
the Floor broker have been met.
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Dealings by Specialists
Rule 104
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(c)
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*
(ix) Specialist algorithmicallygenerated messages will compete with
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or trade along with same-side
discretionary e-Quotes SM in the manner
described in Exchange Rule 70.25.
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Record of Orders
Rule 123
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(e) System Entry Required
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8. Any limit price, [and/or] stop price,
discretionary price range, discretionary
volume range, discretionary quote price,
pegging ceiling price, pegging floor price
and/or whether discretionary
instructions are active in connection
with interest displayed by other market
centers;
*
*
*
*
*
The Floor member must identify
which orders or portions thereof are
being made part of the Floor broker
agency interest file and, with respect to
such orders or portions thereof, what
discretionary and/or pegging
instructions, if any, have been assigned
pursuant to such procedures as required
by the Exchange.
*
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NYSE Direct+
Automatic Executions
Rule 1000
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(d)
*
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(D) After trading with the Exchange
published best bid (offer), the unfilled
balance of any incoming commitment to
trade received through ITS shall be
automatically cancelled, as described in
Rule 13 (definition of immediate or
cancel order).
(iii)(A) During a sweep, the residual
shall trade with the orders on the
Display Book and any broker agency
interest files and/or specialist interest
file capable of execution in accordance
with Exchange rules, at a single price,
such price being the best price at which
such orders and files can trade with the
residual to the extent possible, (‘‘cleanup price’’). A discretionary e-Quote
shall participate in a sweep in
accordance with and to the extent
allowed by Exchange Rule 70.25(d)(ix).
*
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*
II. Self-Regulatory Organization’s
Statement of the Purpose of, and
Statutory Basis for, the Proposed Rule
Change
In its filing with the Commission, the
Exchange included statements
concerning the purpose of and basis for
the proposed rule change, and discussed
any comments it received on the
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proposed rule change. The text of these
statements may be examined at the
places specified in Item IV below. The
Exchange has prepared summaries, set
forth in Sections A, B, and C below, of
the most significant aspects of such
statements.
A. Self-Regulatory Organization’s
Statement of the Purpose of, and
Statutory Basis for, the Proposed Rule
Change
rwilkins on PROD1PC63 with NOTICES_1
1. Purpose
Exchange Rule 70.20 was initially
approved by the Commission on
December 14, 2005,5 as part of a pilot
permitting the implementation of Phase
1 of the NYSE HYBRID MARKETSM
(‘‘Hybrid Market’’) and was permanently
approved by the Commission on March
22, 2006.6
In order to fully participate in the
Hybrid Market, Floor brokers have been
given the ability to electronically
represent their customers’ orders by
placing their trading interest at or
outside the Exchange best bid and offer
in Floor broker agency interest files
within the Display Book system 7
(‘‘NYSE e-QuotesSM’’ or ‘‘e-Quotes’’).8
The following proposed changes are
being made to clarify certain of Rule
70.20’s provisions in response to
questions that have arisen since the rule
has been in effect:
1. Rule 70.20(a)(i): Duplicative
language has been deleted.
2. Rule 70.20(b): The phrase ‘‘and on
the same side’’ has been added to clarify
which orders trade on parity pursuant to
this provision.
3. Rule 70.20(j)(i): Reference to ‘‘the
close’’ has been added to clarify that
Floor broker agency interest files
participate on the open and close in
accordance with the policies and
procedures of the Exchange.
4. Rule 70.20(k): A sentence has been
added to clarify how a Floor broker’s
reserve interest will be handled on the
close.
To further replicate in the Hybrid
Market the manner in which Floor
5 See Securities Exchange Act Release No. 52954
(December 14, 2005), 70 FR 75519 (December 20,
2005).
6 See Securities Exchange Act Release No. 53539
(March 22, 2006), 71 FR 16353 (March 31, 2006).
7 The Display Book system (‘‘Display Book’’ or
‘‘book’’) is an order management and execution
facility that receives and displays orders to the
specialist and provides a mechanism to execute and
report transactions and publish the results to the
Consolidated Tape. In addition, the Display Book is
connected to a variety of other Exchange systems
for the purposes of comparison, surveillance, and
reporting information to customers and other
market data and national market systems (i.e., the
Intermarket Trading System, Consolidated Tape
Association, Consolidated Quotation System, etc.).
8 See Exchange Rule 70.20.
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brokers utilize their judgment in quoting
and trading on behalf of customers’
orders today, the Exchange is proposing
to provide Floor brokers with the ability
to enter discretionary trading and/or
pegging (discretionary quoting)
instructions for their e-Quotes (‘‘NYSE
d-QuotesSM’’ or ‘‘d-Quotes’’).
Discretionary instructions for eQuotes and pegging will give Floor
brokers additional tools to compete with
other interest, including the specialists’
algorithmic trading and quoting ability.
These proposed discretionary features
and pegging will facilitate the ability of
Floor brokers to participate in trades
that they would not be able to reach in
the Hybrid Market.
Discretionary Trading Instructions
In the mostly-manual pre-Hybrid
Market, Floor brokers had an
opportunity to make trading decisions
with respect to arriving orders. In a
more electronic trading environment,
the Floor broker may not have that
opportunity. While e-Quotes enable
Floor brokers’ customer interest to
participate in automatic executions at
the Exchange best bid and offer (‘‘BBO’’)
and in sweeps, they do not initiate
trades with incoming orders at prices
better than the BBO. In other words,
currently, e-Quotes do not provide Floor
brokers with the means to express a
price range within which they are
willing to actively trade. Thus, the
proposed changes will provide Floor
brokers with the ability not only to
quote in an attempt to draw interest,
but, at the same time, initiate trades
with contra-side interest able to trade at
prices at or within the BBO. By using dQuotes, a Floor broker may set a
discretionary price range and a
discretionary size range. Discretionary
size can apply to the amount of an eQuote to which discretionary
instructions apply and/or to the amount
of contra-side volume with which the dQuote is willing to trade, as described
below. Discretionary instructions are
only active when the e-Quote is at the
BBO. Neither the specialist on the Floor
nor the specialist system employing
algorithms will have access to the
discretionary instructions entered by the
Floor broker.
Price Discretion
Discretionary instructions for eQuotes will allow Floor brokers to set a
price range for their d-Quotes within
which they are willing to initiate or
participate in a trade. This discretion
will be used, as necessary, to initiate or
participate in a trade with an incoming
order capable of trading at a price
within the discretionary range.
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41499
Discretionary price instructions may
apply to all or part of a d-Quote.
For example, the BBO is .05 bid,
offered at .10. A Floor broker enters a dQuote at .10, with price discretion of
.04. A limit order to buy at .06 enters the
market. The d-Quote will use its four
cents of price discretion and initiate a
trade at .06.
When a d-Quote is competing with
same-side quoted or trading interest
(i.e., displayed interest at the BBO, other
d-Quotes, or a same-side specialist
algorithmic trading message, such as to
provide price improvement), if the dQuote can get a larger allocation by
providing an additional penny (or more)
of price improvement and the
discretionary instructions permit the dQuote to trade at that price, it will do
so.
Volume Discretion
Floor brokers may designate that
discretionary instructions apply only to
a portion of their e-Quote. For example,
a Floor broker may specify that only
20,000 shares of a 50,000-share e-Quote
may use price discretion. The remaining
30,000-shares would be handled as a
regular e-Quote, i.e., one without
discretionary instructions.
Floor brokers who use e-Quoting price
discretion may also set a minimum and/
or maximum size limit with respect to
the size of contra-side interest with
which it is willing to trade using price
discretion. This allows for more specific
order management by preventing the dQuote from trading with opposite side
interest that the Floor broker has judged
to be too little or too great in the context
of the order or orders he or she is
managing.
For example, the BBO is .05 bid,
offered at .10. A Floor broker e-Quotes
stock at .10, with price discretion of .04
and minimum/maximum volume
discretion of 1,000/10,000 shares. A
limit order to buy 500 shares at .06
enters the market. No trade will occur,
even though a trade at .06 is within the
d-Quote’s price discretion range,
because the incoming order size is
below the d-Quote’s minimum
discretionary volume size. A new best
bid of .06 will be auto-quoted. An order
to buy 1,500 shares at .06 enters the
market. The d-Quote will initiate a
transaction, selling 2,000 shares at .06,
as the size available to trade at .06 is
now within the d-Quote’s discretionary
volume parameters. Similarly, a
sufficient reduction in the size of a bid
or offer that was previously larger than
the maximum discretionary volume will
trigger an execution of a discretionary dQuote.
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Only published contra-side volume is
considered when determining whether
such volume is within the d-Quote’s
discretionary volume range. Reserve and
other interest at the possible execution
price is not considered, as it is not
displayed. Interest displayed by other
market centers at the price at which a
d-Quote may trade is not considered
when determining if the minimum
volume range is met, unless the Floor
broker electronically designates that
such away volume should be included
in this determination.
rwilkins on PROD1PC63 with NOTICES_1
Pegging
In the Hybrid Market, a Floor broker
needs to be represented in the BBO in
order to participate in automatic
executions. The e-Quotes provide Floor
brokers with the mechanism to be part
of the quote. However, in a more
automated environment, the BBO may
change rapidly and the e-Quoting
process, as it currently exists, may not
be sufficient to enable Floor brokers to
stay with a quickly changing quote. The
proposed pegging function will allow
Floor brokers to keep their interest in
the quote, even as the quote moves.
Floor brokers will be able to designate
a range to which their e-Quotes and dQuotes will peg and, as long as the BBO
is within that range, the e-Quote and dQuote will be included. Buy side eQuotes and d-Quotes will peg to the best
bid, and sell side e-Quotes and d-Quotes
will peg to the best offer.
In addition, pegging e-Quotes and dQuotes may set a minimum and/or
maximum size of same-side volume to
which his or her e-Quote or d-Quote
will peg. Pegging e-Quotes and d-Quotes
may set a ‘‘quote price’’ specifying the
lowest price to which a buy-side eQuote or d-Quote may peg and the
highest price to which a sell-side eQuote or d-Quote may peg. A ‘‘ceiling
price’’ may be set to establish the
highest price to which a buy-side eQuote or d-Quote may peg, and a ‘‘floor
price’’ may be set to establish the lowest
price to which a sell-side e-Quote or dQuote may peg. The quote, ceiling and
floor prices must be at or within the
limit price of the order being e-Quoted
or d-Quoted.
A pegging d-Quote’s price discretion
range will move along with the d-Quote
as it pegs.
Pegging is a separate type of
discretionary instruction and may occur
with e-Quotes and/or with d-Quotes
using discretionary price instructions.
Example
A Floor broker is representing an
order to buy 4,000 shares of XYZ with
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17:59 Jul 20, 2006
Jkt 208001
a limit of .97, not-held.9 He decides to
electronically represent this order as a
d-Quote, with a quote price of .92 and
with price discretion of .02, in the hope
of obtaining a better execution price for
his customer. This means that the Floor
broker is willing to participate in an
execution at the following prices: .92,
.93 and .94. Further, he has decided to
display 1,000 shares, with 3,000 in
reserve. In addition, the Floor broker
has decided to have this order peg, with
minimum and maximum volume sizes
of 500 and 8,000 shares respectively.
The Floor broker has set the ceiling
price at .97. This means that as long as
the Exchange best bid is a minimum of
500 shares and no more than 8,000
shares, the d-Quote would peg to any
Exchange best bid at or between .92 and
.97
The Exchange best bid becomes 2,000
shares bid for .94. As this is within the
minimum and maximum pegging size
range, the order will peg to the .94 bid,
increasing the displayed size at that
price to 3,000 shares (2,000 shares that
established that price and the d-Quote’s
displayed 1,000 shares). The Exchange
best bid then becomes 300 shares bid for
.95. The d-Quote will not peg to that
best bid, as its size is below the
minimum pegging size designated by
the Floor broker. If an additional 400
shares is added to the best bid as a result
of other interest at that price, the dQuote will peg to it, increasing the
displayed size to 1,700 shares.
Similarly, if the displayed volume at .95
increased from 300 shares to 10,000
shares (instead of 700 shares), the dQuote would not peg to that price, as
10,000 shares is more than the
maximum pegging size selected by the
Floor broker (which was 8,000 shares, as
noted above). Again, if the displayed
volume at .95 decreases to 6,000 shares,
for example, as a result of a trade at that
price, the d-Quote will peg to the .95
bid, as the displayed volume size is now
lower than the maximum selected by
the Floor broker. 7,000 shares will be
bid at .95, with the d-Quote’s 3,000
shares in reserve.
As the d-Quote pegs, it continues to
be able to use its price discretion of .02
to effect a trade. Accordingly, if 7,000
shares is bid at .95, comprised of 6,000
shares of other interest and 1,000 shares
of the d-Quote (with 3,000 shares of the
d-Quote in reserve at .95) and the
Exchange best offer is .97 for 1,700
shares, the d-Quote will initiate an
execution, trading 1,700 shares at .97.
9 A ‘‘not held’’ order is a market or limit order
that gives the Floor broker both time and price
discretion to attempt to get the best possible price
for the customer.
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The d-Quote’s reserve size will be
decremented by the amount of the trade,
leaving 1,300 shares to buy in reserve,
with 1,000 shares displayed. The best
bid continues to be .95, so the d-Quote
remains pegged at that price. The
displayed volume at .95 continues to be
7,000 shares, including the displayed
portion of the d-Quote (1,000 shares).
General Principles Covering
Discretionary e-Quotes and Pegging
The following describes in more
detail the general principles governing
d-Quotes (i.e., an e-Quote with
discretionary trading and/or pegging
instructions):
• Discretionary instructions relate to
the price at which the d-Quote may
trade and the number of shares to which
the discretionary price instructions
apply.
• The goal of discretionary trading is
to secure the largest execution for the dQuote, using the least amount of price
discretion. In so doing, d-Quotes may
often improve the execution price of
incoming orders. Conversely, if no
discretion is necessary to accomplish a
trade, none will be used.
• Discretionary instructions are only
active when the d-Quote is at the BBO.
• Neither the specialist on the Floor
nor the specialist system employing
algorithms will have access to the
discretionary instructions entered by the
Floor broker.
• Specialists will not have the ability
to enter discretionary trading or pegging
instructions on behalf of a Floor broker.
• The minimum price range for a dQuote is the minimum price variation
set forth in Rule 62.
• The requirements for e-Quoting
apply to the d-Quote, including the
requirement that the Floor broker be in
the Crowd.
• Discretionary instructions apply to
displayed and reserve size, including
reserve interest that is excluded from
the aggregate volume visible to the
specialist on the Floor.
• When price discretion is used, dQuotes trade first from reserve volume,
if any, and then from displayed volume.
• Once the total amount of a Floor
broker’s discretionary volume has been
executed, the d-Quote’s price
instructions will become inactive and
the remainder of that d-Quote will be
treated as an e-Quote.
• Discretionary instructions are only
applicable to automatic executions; they
are not utilized in manual transactions.
• Discretionary instructions may be
entered for all e-Quotes, however, these
instructions are only active when the eQuote is at or joins the existing
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rwilkins on PROD1PC63 with NOTICES_1
Federal Register / Vol. 71, No. 140 / Friday, July 21, 2006 / Notices
Exchange BBO or would establish a new
Exchange BBO.
• Multiple same-side d-Quotes from
different Floor brokers will compete for
an execution with the most aggressive
price range (e.g., three cents vs. two
cents) establishing the execution price.
If the incoming order remains unfilled
at that price, executions within the less
aggressive price range may occur.
• d-Quotes with the same
discretionary price instructions on the
same side will trade on parity, after any
interest entitled to priority.
• d-Quotes on opposite sides of the
market will be able to trade with each
other. The d-Quote that arrived last will
use the most discretion, if necessary, to
effect a trade.
• d-Quotes will compete with sameside specialist algorithmic trading
messages targeting incoming orders. If
the price of d-Quotes and the trading
messages are the same, the d-Quotes and
the specialist messages will trade on
parity.
• If a d-Quote is competing with
same-side quoted or trading interest,
including a same-side specialist
algorithmic trading message (i.e., to
provide price improvement) and the dQuote can get a larger allocation by
providing an additional penny of price
improvement (or other applicable
minimum price variation), generally, it
will do so.
• d-Quotes may price improve and
trade with an incoming contra-side
specialist algorithmically-generated
message to ‘‘hit bid/take offer,’’ just as
they can with any other marketable
incoming interest.
• d-Quotes may initiate sweeps, but
only to the extent of their price and
volume discretion. d-Quotes may
participate in sweeps initiated by other
orders, but their discretionary
instructions will not be active.
• A sweep involving a d-Quote will
always stop at least one cent (or other
applicable minimum price variation)
before a liquidity replenishment point is
reached.
• Executions involving d-Quotes will
comply with the Regulation NMS Order
Protection Rule (‘‘OPR’’).10
• When a better price is displayed by
an away market and such price is in the
middle of contra-side d-Quotes, the
amount of price discretion extended to
a participating d-Quote will be adjusted
to permit a trade consistent with Reg.
NMS OPR requirements.
• Discretionary instructions will be
applied only if all d-Quoting
prerequisites are met. Otherwise, the dQuote will be handled as a regular e10 See
17 CFR 242.611.
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17:59 Jul 20, 2006
Jkt 208001
Quote, notwithstanding the fact that the
Floor broker has designated the e-Quote
as a d-Quote.
• When price discretion is used, dQuotes trade first from reserve volume,
then from published volume. When no
price discretion is used, the e-Quote’s
published volume trades first.
• Floor brokers may specify that price
discretion applies to all or only a
portion of their d-Quote. Price
discretion is necessary for d-Quotes.
Therefore, if price discretion is provided
for only a portion of the d-Quote, the
residual will be treated as an e-Quote.
• Floor brokers may have more than
one e-Quote/d-Quote per side and price.
Trading volume is allocated by broker,
not e-Quote/d-Quote, in accordance
with Exchange rules.
• Pegging e-Quotes and d-Quotes may
set a ‘‘quote price’’ specifying the lowest
price to which a buy-side e-Quote or dQuote may peg and the highest price to
which a sell-side e-Quote or d-Quote
may peg. A ‘‘ceiling price’’ may be set
to establish the highest price to which
a buy-side e-Quote or d-Quote may peg,
and a ‘‘floor price’’ may be set to
establish the lowest price to which a
sell-side e-Quote or d-Quote may peg.
The quote, ceiling, and floor prices must
be at or within the limit price of the
order being e-Quoted or d-Quoted.
• Pegging will not establish a new
BBO and it will not generally sustain a
BBO when there is no other interest at
that price. If the BBO is the lowest
quotable price established by the Floor
broker for a pegging buy-side e-Quote or
d-Quote or the highest quotable price
established by the Floor broker for a
sell-side pegging e-Quote or d-Quote
and all other interest at that price
cancels or is executed, the pegging eQuote or d-Quote will remain displayed
at such BBO.
• Pegging will only occur at prices
within the pegging price range
designated by the Floor broker.
• Pegging applies to the entire eQuote/d-Quote volume.
• Pegging is reactive and moves in
both directions.
• Pegging e-Quotes and d-Quotes peg
only to other non-pegging interest
within the pegging range selected by the
Floor broker.
• Pegging is available only when
auto-quoting is on.
• Price priority cannot be established
by pegging, although the existence of
pegging instructions does not preclude
an e-Quote or a d-Quote from having
priority.
• Pegging e-Quotes and d-Quotes
trade on parity with other interest on
the same side at the Exchange best bid
or offer after interest entitled to priority.
PO 00000
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Fmt 4703
Sfmt 4703
41501
• Discretionary trading and pegging is
not available for tick-sensitive e-Quotes.
• An e-Quote may have either or both
discretionary trading and pegging
instructions.
• As an e-Quote or d-Quote pegs, its
discretionary price range, if any, moves
along with it, subject to any floor or
ceiling price set by the Floor broker.
• Pegging e-Quotes and d-Quotes may
establish a minimum and/or maximum
size of same-side volume to which it
will peg. Other pegging e-Quote or dQuote volume will not be considered in
determining whether the volume
parameters set by the Floor broker have
been met.
Other Rule Changes
Rule 104
Rule 104(c)(ix) has been amended to
reflect that a specialist’s algorithmicallygenerated messages will compete with
or trade along with same side d-Quote
as described in NYSE Rule 70.25.
Rule 123
Exchange Rule 123(e)(8) which
requires the entry of certain order
information into the Exchange’s Front
End Systemic Capture (FESC’’) system
before such order can be represented,
has been amended to add certain
required terms regarding e-Quotes and
d-Quotes.
Rule 1000
Rule 1000(d)(iii) which governs
sweeps has been amended to reflect that
d-Quotes will participate in sweeps in
the manner described in NYSE Rule
70.25(d)(ix).
Implementation Plans
At present, the Exchange plans to
implement proposed Rules 70.25 and
70.26 as part of Phase 3 of the Hybrid
Market. The Exchange will consult with
the Commission with respect to any
change to this implementation plan.
2. Statutory Basis
The Exchange believes that the
proposed rule change is consistent with
Section 6(b)(5) of the Act 11 because it is
designed to promote just and equitable
principles of trade, to foster cooperation
and coordination with persons engaged
in regulating, clearing, settling,
processing information with respect to,
and facilitating transactions in
securities, to remove impediments to
and perfect the mechanism of a free and
open market and a national market
system, and, in general, to protect
investors and the public interest.
11 15
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U.S.C. 78f(b)(5).
21JYN1
41502
Federal Register / Vol. 71, No. 140 / Friday, July 21, 2006 / Notices
B. Self-Regulatory Organization’s
Statement on Burden on Competition
The Exchange does not believe that
the proposed rule change will impose
any burden on competition that is not
necessary or appropriate in furtherance
of the purposes of the Act.
C. Self-Regulatory Organization’s
Statement on Comments on the
Proposed Rule Change Received From
Members, Participants or Others
The Exchange has neither solicited
nor received written comments on the
proposed rule change. The Exchange
has received one comment letter on the
proposed rule change and will respond
to it after the comment period has
concluded.
III. Date of Effectiveness of the
Proposed Rule Change and Timing for
Commission Action
Within 35 days of the date of
publication of this notice in the Federal
Register or within such longer period (i)
as the Commission may designate up to
90 days of such date if it finds such
longer period to be appropriate and
publishes its reasons for so finding or
(ii) as to which the self-regulatory
organization consents, the Commission
will:
(A) By order approve such proposed
rule change, or
(B) Institute proceedings to determine
whether the proposed rule change
should be disapproved.
IV. Solicitation of Comments
Interested persons are invited to
submit written data, views and
arguments concerning the foregoing,
including whether the proposed rule
change is consistent with the Act.
Comments may be submitted by any of
the following methods:
rwilkins on PROD1PC63 with NOTICES_1
Electronic Comments
• Use the Commission’s Internet
comment form (https://www.sec.gov/
rules/sro.shtml); or
• Send an e-mail to rulecomments@sec.gov. Please include File
Number SR–NYSE–2006–36 on the
subject line.
only one method. The Commission will
post all comments on the Commission’s
Internet Web site (https://www.sec.gov/
rules/sro.shtml). Copies of the
submission, all subsequent
amendments, all written statements
with respect to the proposed rule
change that are filed with the
Commission, and all written
communications relating to the
proposed rule change between the
Commission and any person, other than
those that may be withheld from the
public in accordance with the
provisions of 5 U.S.C. 552, will be
available for inspection and copying in
the Commission’s Public Reference
Room. Copies of such filing also will be
available for inspection and copying at
the principal office of the Exchange. All
comments received will be posted
without change; the Commission does
not edit personal identifying
information from submissions. You
should submit only information that
you wish to make available publicly. All
submissions should refer to File
Number SR–NYSE–2006–36 and should
be submitted on or before August 11,
2006.
For the Commission, by the Division of
Market Regulation, pursuant to delegated
authority.12
Jill M. Peterson,
Assistant Secretary.
[FR Doc. E6–11581 Filed 7–20–06; 8:45 am]
17:59 Jul 20, 2006
Jkt 208001
All other information in the original
declaration remains unchanged.
(Catalog of Federal Domestic Assistance
Numbers 59002)
Herbert L. Mitchell,
Associate Administrator for Disaster
Assistance.
[FR Doc. E6–11586 Filed 7–20–06; 8:45 am]
BILLING CODE 8025–01–P
SMALL BUSINESS ADMINISTRATION
[Disaster Declaration #10513 and #10514]
Connecticut Disaster #CT–00005
SMALL BUSINESS ADMINISTRATION
[Disaster Declaration #10528]
California Disaster #CA–00034
Declaration of Economic Injury
Small Business Administration.
Amendment 1.
AGENCY:
ACTION:
PO 00000
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Fmt 4703
Sfmt 4703
Small Business Administration.
Notice.
AGENCY:
ACTION:
BILLING CODE 8010–01–P
SUMMARY: This is an amendment of the
Economic Injury Disaster Loan (EIDL)
declaration for the State of California;
Disaster # CA–00034 dated 7/6/2006.
Incident: Fishery Resource Disaster.
Incident Period: 1/1/2001 through 12/
31/2005.
Effective Date: 7/6/2006.
Paper Comments
EIDL Loan Application Deadline Date:
4/6/2007.
• Send paper comments in triplicate
to Nancy M. Morris, Secretary,
ADDRESSES: Submit completed loan
Securities and Exchange Commission,
applications to: Small Business
100 F Street, NE., Washington, DC
Administration National Processing and
20549–1090.
Disbursement Center, 14925 Kingsport
Road Fort Worth, TX 76155.
All submissions should refer to File
Number SR–NYSE–2006–36. This file
FOR FURTHER INFORMATION CONTACT: A.
number should be included on the
Escobar, Office of Disaster Assistance,
subject line if e-mail is used. To help the U.S. Small Business Administration,
Commission process and review your
12 17 CFR 200.30–3(a)(12).
comments more efficiently, please use
VerDate Aug<31>2005
409 3rd Street, SW., Suite 6050,
Washington, DC 20416.
SUPPLEMENTARY INFORMATION: The notice
of the Economic Injury Disaster Loan
declaration for the fishery resource
disaster under 308(b) of
Interjurisdictional Fisheries Act of 1986,
as amended, to help West Coast fishing
communities in Oregon and California
as determined by the Secretary of
Commerce, is hereby amended to
include the following areas as adversely
affected by the disaster.
Primary Counties: San Luis Obispo,
Santa Barbara.
Contiguous Counties: California: Kern,
Ventura.
SUMMARY: This is a notice of an
Administrative declaration of a disaster
for the State of Connecticut dated 7/13/
2006.
Incident: Severe Storms and Flooding.
Incident Period: 6/2/2006.
Effective Date: 7/13/2006.
Physical Loan Application Deadline
Date: 9/11/2006.
Economic Injury (EIDL) Loan
Application Deadline Date: 4/13/2007.
ADDRESSES: Submit completed loan
applications to: Small Business
Administration National Processing and
Disbursement Center, 14925 Kingsport
Road, Fort Worth, TX 76155.
FOR FURTHER INFORMATION CONTACT: A.
Escobar, Office of Disaster Assistance,
Small Business Administration, 409 3rd
Street, SW., Suite 6050, Washington, DC
20416.
SUPPLEMENTARY INFORMATION: Notice is
hereby given that as a result of the
Administrator’s disaster declaration
applications for disaster loans may be
filed at the address listed above or other
locally announced locations.
The following areas have been
determined to be adversely affected by
the disaster:
E:\FR\FM\21JYN1.SGM
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Agencies
[Federal Register Volume 71, Number 140 (Friday, July 21, 2006)]
[Notices]
[Pages 41496-41502]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: E6-11581]
-----------------------------------------------------------------------
SECURITIES AND EXCHANGE COMMISSION
[Release No. 34-54150; File No. SR-NYSE-2006-36]
Self-Regulatory Organizations; New York Stock Exchange LLC;
Notice of Filing of Proposed Rule Change and Amendment Nos. 1 and 2
Thereto Relating to Exchange Rule 70 To Provide Floor Brokers With the
Ability To Enter Discretionary Instructions and/or Pegging Instructions
With Respect to Floor Broker Agency Interest Files (e-Quotes)
July 14, 2006.
Pursuant to Section 19(b)(1) of the Securities Exchange Act of 1934
(``Act'') \1\ and Rule 19b-4 thereunder,\2\ notice is hereby given that
on May 16, 2006, the New York Stock Exchange LLC (``NYSE'' or
``Exchange'') filed with the Securities and Exchange Commission
(``Commission'') the proposed rule change as described in Items I, II,
and III below, which Items have been prepared by the Exchange. On June
14, 2006, NYSE filed Amendment No. 1 to the proposed rule change.\3\ On
July 11, 2006, NYSE filed Amendment No. 2 to the proposed rule
change.\4\ The Commission is publishing this notice to solicit comments
on the proposed rule change, as amended, from interested persons.
---------------------------------------------------------------------------
\1\ 15 U.S.C. 78s(b)(1).
\2\ 17 CFR 240.19b-4.
\3\ In Amendment No. 1, NYSE proposed additional changes and
clarifications to the proposal.
\4\ Amendment No. 2 supersedes and replaces the original
proposed rule change and Amendment No. 1 in its entirety.
---------------------------------------------------------------------------
I. Self-Regulatory Organization's Statement of the Terms of Substance
of the Proposed Rule Change
The Exchange proposes to amend Exchange Rule 70 to reflect that
Floor brokers will have the ability to enter discretionary instructions
(``d-Quotes'') with respect to their Floor broker agency interest files
(``e-Quotes'') and that their e-Quotes and d-Quotes will be able to peg
to the Exchange best bid and offer. The Exchange also proposes to amend
NYSE Rules 70.20, 123(e), 104, and 1000. Below is the text of the
proposed rule change, as amended. Proposed new language is italicized;
proposed deletions are in brackets.
* * * * *
Bids and Offers
Rule 70
.20 (a)(i) With respect to orders he or she is representing on the
Floor, a Floor broker may place within the Display Book[supreg] system
broker agency interest files at multiple price points on both sides of
the market at or outside the Exchange best bid and offer with respect
to each security trading in the [location(s) comprising the] Crowd such
Floor broker is a part of, [with respect to orders he or she is
representing on the Floor,] except that the agency interest files shall
not include any customer interest that restricts the specialist's
ability to be on parity pursuant to Exchange Rules 104.10(6)(i)(C) and
108(a). Broker agency interest files shall also be referred to as ``e-
Quotes\SM\''.
* * * * *
(b) All Floor broker agency interest placed within files in the
Display Book[supreg] system at the same price and on the same side
shall be on parity with each other, except agency interest that
establishes the Exchange best bid or offer shall be entitled to
priority in accordance with Exchange Rule 72. No Floor broker agency
interest placed within files in the Display Book[supreg] system shall
be entitled to precedence based on size.
* * * * *
(j)(i) Floor broker agency interest placed within files may
participate in the opening and closing trades in accordance with
Exchange policies and procedures governing the open and close.
* * * * *
(k) The ability of a Floor broker to have reserve interest will not
be available during the open and during the close. During the close, a
Floor broker's reserve interest, if any, will be added to the size of
his or her displayed agency (``e-Quoted'') interest. The ability of a
Floor broker to exclude volume from aggregated agency interest
information available to the specialist will not be available during
the open. Floor broker agency interest excluded from the aggregate
agency interest information available to the specialist will not
participate in the close.
.25 Discretionary Instructions for Bids and Offers Represented via
Floor Broker Agency Interest Files (e-Quotes\SM\)
(a)(i) A Floor broker may enter discretionary instructions as to
size and/or price with respect to his or her e-Quotes (``discretionary
e-Quotes'' or ``d-Quotes''). The discretionary instructions relate to
the price at which the d-Quote may trade and the number of shares to
which the discretionary price instructions apply.
(ii) Discretionary instructions are active only when the e-Quote is
at or
[[Page 41497]]
joins the existing Exchange best bid or best offer or would establish a
new Exchange best bid or offer.
(iii) Discretionary instructions are active only with respect to
automatic executions. Discretionary instructions are not active with
respect to the opening and closing transactions.
(iv) Discretionary instructions will be applied only if all d-
Quoting prerequisites are met. Otherwise, the d-Quote will be handled
as a regular e-Quote, notwithstanding the fact that the Floor broker
has designated the e-Quote as a d-Quote. For example, to be considered
a discretionary e-Quote, an e-Quote must have a discretionary price
range.
(v) The requirements for e-Quotes apply to d-Quotes, including the
requirement that the Floor broker be in the Crowd.
(vi) A Floor broker may have multiple d-Quotes, with different
discretionary price and size limitations, on the same side of the
market. Such multiple d-Quotes do not compete with each other for
executions. Trading volume is allocated by Floor broker, not number of
d-Quotes participating in an execution.
(vii) Discretionary instructions apply to both displayed and
reserve interest, including reserve interest that is excluded from the
aggregate reserve size visible to the specialist on the Floor.
(viii) Neither the specialist on the Floor nor the specialist
system employing algorithms will have access to the discretionary
instructions entered by Floor brokers with respect to their e-Quotes.
(b) Price Discretion
(i) A Floor broker may set a discretionary price range within the
Exchange best bid and offer that specifies the prices at which they are
willing to trade. This discretion will be used, as necessary, to
initiate or participate in a trade with an incoming order capable of
trading at a price within the discretionary price range.
(ii) The minimum price range for a discretionary e-Quote is the
minimum price variation set forth in Exchange Rule 62.
(iii) Floor brokers may specify that price discretion applies to
all or only a portion of their d-Quote. Price discretion is necessary
for d-Quotes. Therefore, if price discretion is provided for only a
portion of the d-Quote, the residual will be treated as an e-Quote.
(iv) When price discretion is used, d-Quotes trade first from
reserve volume, if any, and then from displayed volume.
(c) Discretionary Size
(i) A Floor broker may designate the amount of his or her e-Quote
volume to which discretionary price instructions shall apply.
(ii) A Floor broker may designate a minimum and/or maximum size of
contra-side volume with which it is willing to trade using
discretionary price instructions.
(iii) Only displayed interest will be used by Exchange systems to
determine whether the size of contra-side volume is within the d-
Quote's discretionary size range. Contra-side reserve and other
interest at the possible execution price will not be considered by
Exchange systems when making this determination.
(iv) Interest displayed by other market centers at the price at
which a d-Quote may trade will not be considered by Exchange systems
when determining if the d-Quote's minimum and/or maximum size range is
met, unless the Floor broker designates that such away volume should be
included in this determination.
(v) An increase or reduction in the size associated with a
particular price that brings the contra-side volume within a d-Quote's
minimum or maximum discretionary size parameter, will trigger an
execution of that d-Quote.
(vi) Once the total amount of a Floor broker's discretionary volume
has been executed, the d-Quote's discretionary price instructions will
become inactive and the remainder of that d-Quote will be treated as an
e-Quote.
(d) Executions of Discretionary e-Quotes
(i) The goal of discretionary e-Quoting is to secure the largest
execution for the d-Quote, using the least amount of price discretion.
In so doing, d-Quotes may often improve the execution price of incoming
orders. Conversely, if no discretion is necessary to accomplish a
trade, none will be used.
(A) Future executions that may occur, such as those resulting from
the execution of elected contra-side CAP-DI orders, will not be
considered in determining when, and to what extent, price discretion is
necessary to accomplish a trade.
(ii) Discretionary e-Quotes will automatically execute against a
contra-side order that enters the Display Book [supreg] system if the
order's price is within the discretionary price range and the order's
size meets any minimum or maximum size requirements that have been set
for the d-Quote.
(iii) Discretionary e-Quotes from different Floor brokers on the
same side of the market with the same price instructions trade on
parity after interest entitled to priority is executed.
(iv) Same-side d-Quotes from different Floor brokers compete for an
execution, with the most aggressive price range (e.g. three cents vs.
two cents) establishing the execution price. If an incoming order
remains unfilled at that price, executions within the less aggressive
price range may then occur.
(v) Discretionary e-Quotes compete with same-side specialist
algorithmic trading messages targeting incoming orders. If the price of
d-Quotes and specialist trading messages are the same, the d-Quotes and
the specialist messages will trade on parity.
(vi) Discretionary e-Quotes from Floor brokers on opposite sides of
the market will be able to trade with each other. The d-Quote that
arrived at the Display Book[supreg] system last will use the most
discretion necessary to effect a trade, except as provided below.
(A) When a protected bid or offer, as defined in Section
242.600(b)(57) of Regulation NMS (``Reg. NMS''), is published by
another market center at a price that is better than the price at which
contra-side d-Quotes would trade in accordance with (vi) above, the
following applies:
(1) the amount of discretion necessary to permit a trade on the
Exchange consistent with the Order Protection Rule (Section 242.611 of
Reg. NMS) (``OPR'') will be used; or
(2) such portion of the appropriate d-Quote as is necessary will be
automatically routed in accordance with OPR in order to permit a trade
to occur on the Exchange.
(vii) As with all executions on the Exchange, executions involving
d-Quotes will comply with OPR.
(viii) Discretionary e-Quotes may provide price improvement to and
trade with an incoming contra-side specialist algorithmic trading
message to ``hit bid/take offer,'' just as they can with any other
marketable incoming interest.
(ix) Discretionary e-Quotes may initiate sweeps in accordance with
and to the extent provided by Exchange Rules 1000-1004, but only to the
extent of their price and volume discretion. Discretionary e-Quotes may
participate in sweeps initiated by other orders but, in such cases,
their discretionary instructions are not active.
(A) d-Quotes will not trade at a price that would trigger a
liquidity replenishment point (``LRP'') as defined in Exchange Rule
1000. Accordingly, a sweep involving a d-Quote will always stop at
least one cent before an LRP price.
[[Page 41498]]
.26 Pegging for d-Quotes and e-Quotes
(i) An e-Quote, other than a tick-sensitive e-Quote, may be set to
provide that it will be available for execution at the Exchange best
bid (for an e-Quote that represents a buy order) or at the Exchange
best offer (for an e-Quote that represents a sell order) as the
Exchange best bid or offer changes, so long as the Exchange best bid or
offer is at or within the e-Quote's limit price.
(ii) A d-Quote may also employ pegging.
(iii) Pegging is only active when auto-quoting is active.
(iv) Pegging e-Quotes and d-Quotes trade on parity with other
interest at the Exchange best bid or offer after interest entitled to
priority is executed.
(v) Pegging is reactive. An e-Quote or d-Quote will not establish
the Exchange best bid or best offer as a result of pegging.
(vi) Price priority cannot be established by pegging, although
existence of pegging instructions does not preclude an e-Quote or d-
Quote from having priority.
(vii) Pegging e-Quotes and d-Quotes peg only to other non-pegging
interest within the pegging range selected by the Floor broker.
(viii) An e-Quote or d-Quote will not sustain the Exchange best bid
or best offer as a result of pegging if there is no other non-pegged
interest at that price and such price is not the e-Quote's or d-Quote's
limit price.
(A) If the lowest quotable price established by the Floor broker
for a pegging e-Quote or d-Quote to buy is the Exchange best bid and
all other interest at that price cancels or is executed, the pegging e-
Quote or d-Quote will remain displayed at that best bid price.
(B) If the highest quotable price established by the Floor broker
for a pegging e-Quote or d-Quote to sell is the Exchange best offer and
all other interest at that price cancels or is executed, the pegging e-
Quote or d-Quote will remain displayed at that best offer price.
(ix) A Floor broker may establish a price range for an e-Quote or
d-Quote, beyond which the pegging function will not be available
(``quote,'' ``ceiling'' and ``floor'' prices).
(A) The ``quote price'' is the lowest price to which a buy e-Quote
or d-Quote may peg or the highest price to which a sell e-Quote or d-
Quote may peg.
(B) The ``ceiling price'' is the highest price to which a buy-side
e-Quote or d-Quote may peg.
(C) The ``floor price'' is the lowest price to which a sell-side e-
Quote or d-Quote may peg.
(D) A quote, ceiling and floor price may be at a price other than
the limit price of the order that is being e-Quoted or d-Quoted, but
may not be inconsistent with the order's limit.
(x) As long as the Exchange best bid is at or within the pegging
price range selected by the Floor broker with respect to a buy-side e-
Quote or d-Quote, or the Exchange best offer is within the price range
selected by the Floor broker with respect to a sell-side e-Quote or d-
Quote, the pegging e-Quote or d-Quote will join such best bid or best
offer as it is auto quoted.
(xi) If the Floor broker does not designate a pegging range, but
has instructed that his or her e-Quote or d-Quote shall peg, the e-
Quote or d-Quote will peg to the Exchange best bid (offer) as long as
such bid (offer) is within the limit of the order that is being e-
Quoted or d-Quoted.
(xii) As an e-Quote or d-Quote pegs, its discretionary price range,
if any, moves along with it, subject to any floor or ceiling price set
by the Floor broker.
(A) If the Exchange best bid is higher than the ceiling price of a
pegging buy-side e-Quote or d-Quote, the e-Quote or d-Quote will remain
at its quote price or the highest price at which there is other
interest within its pegging price range, whichever is higher
(consistent with the limit price of the order underlying the e-Quote or
d-Quote).
(B) If the Exchange best offer is lower than the floor price of a
pegging sell-side e-Quote or d-Quote, the e-Quote or d-Quote will
remain at its quote price or the lowest price at which there is other
interest within its pegging price range, whichever is lower (consistent
with the limit price of the order underlying the e-Quote or d-Quote).
(C) If the Exchange best bid or best offer returns to a price
within the pegging price range selected by the Floor broker, the e-
Quote or d-Quote will once again peg to the Exchange best bid or best
offer.
(xiii) A Floor broker may establish a minimum and/or maximum size
of same-side volume to which his or her e-Quote or d-Quote will peg.
Other pegging e-Quote or d-Quote volume will not be considered in
determining whether the volume parameters set by the Floor broker have
been met.
* * * * *
Dealings by Specialists
Rule 104
* * * * *
(c)
* * * * *
(ix) Specialist algorithmically-generated messages will compete
with or trade along with same-side discretionary e-Quotes SM
in the manner described in Exchange Rule 70.25.
* * * * *
Record of Orders
Rule 123
* * * * *
(e) System Entry Required
* * * * *
8. Any limit price, [and/or] stop price, discretionary price range,
discretionary volume range, discretionary quote price, pegging ceiling
price, pegging floor price and/or whether discretionary instructions
are active in connection with interest displayed by other market
centers;
* * * * *
The Floor member must identify which orders or portions thereof are
being made part of the Floor broker agency interest file and, with
respect to such orders or portions thereof, what discretionary and/or
pegging instructions, if any, have been assigned pursuant to such
procedures as required by the Exchange.
* * * * *
NYSE Direct+[supreg]
Automatic Executions
Rule 1000
* * * * *
(d)
* * * * *
(D) After trading with the Exchange published best bid (offer), the
unfilled balance of any incoming commitment to trade received through
ITS shall be automatically cancelled, as described in Rule 13
(definition of immediate or cancel order).
(iii)(A) During a sweep, the residual shall trade with the orders
on the Display Book[supreg] and any broker agency interest files and/or
specialist interest file capable of execution in accordance with
Exchange rules, at a single price, such price being the best price at
which such orders and files can trade with the residual to the extent
possible, (``clean-up price''). A discretionary e-Quote shall
participate in a sweep in accordance with and to the extent allowed by
Exchange Rule 70.25(d)(ix).
* * * * *
II. Self-Regulatory Organization's Statement of the Purpose of, and
Statutory Basis for, the Proposed Rule Change
In its filing with the Commission, the Exchange included statements
concerning the purpose of and basis for the proposed rule change, and
discussed any comments it received on the
[[Page 41499]]
proposed rule change. The text of these statements may be examined at
the places specified in Item IV below. The Exchange has prepared
summaries, set forth in Sections A, B, and C below, of the most
significant aspects of such statements.
A. Self-Regulatory Organization's Statement of the Purpose of, and
Statutory Basis for, the Proposed Rule Change
1. Purpose
Exchange Rule 70.20 was initially approved by the Commission on
December 14, 2005,\5\ as part of a pilot permitting the implementation
of Phase 1 of the NYSE HYBRID MARKETSM (``Hybrid Market'')
and was permanently approved by the Commission on March 22, 2006.\6\
---------------------------------------------------------------------------
\5\ See Securities Exchange Act Release No. 52954 (December 14,
2005), 70 FR 75519 (December 20, 2005).
\6\ See Securities Exchange Act Release No. 53539 (March 22,
2006), 71 FR 16353 (March 31, 2006).
---------------------------------------------------------------------------
In order to fully participate in the Hybrid Market, Floor brokers
have been given the ability to electronically represent their
customers' orders by placing their trading interest at or outside the
Exchange best bid and offer in Floor broker agency interest files
within the Display Book[reg] system \7\ (``NYSE e-
QuotesSM'' or ``e-Quotes'').\8\
---------------------------------------------------------------------------
\7\ The Display Book [reg] system (``Display Book''
or ``book'') is an order management and execution facility that
receives and displays orders to the specialist and provides a
mechanism to execute and report transactions and publish the results
to the Consolidated Tape. In addition, the Display Book is connected
to a variety of other Exchange systems for the purposes of
comparison, surveillance, and reporting information to customers and
other market data and national market systems (i.e., the Intermarket
Trading System, Consolidated Tape Association, Consolidated
Quotation System, etc.).
\8\ See Exchange Rule 70.20.
---------------------------------------------------------------------------
The following proposed changes are being made to clarify certain of
Rule 70.20's provisions in response to questions that have arisen since
the rule has been in effect:
1. Rule 70.20(a)(i): Duplicative language has been deleted.
2. Rule 70.20(b): The phrase ``and on the same side'' has been
added to clarify which orders trade on parity pursuant to this
provision.
3. Rule 70.20(j)(i): Reference to ``the close'' has been added to
clarify that Floor broker agency interest files participate on the open
and close in accordance with the policies and procedures of the
Exchange.
4. Rule 70.20(k): A sentence has been added to clarify how a Floor
broker's reserve interest will be handled on the close.
To further replicate in the Hybrid Market the manner in which Floor
brokers utilize their judgment in quoting and trading on behalf of
customers' orders today, the Exchange is proposing to provide Floor
brokers with the ability to enter discretionary trading and/or pegging
(discretionary quoting) instructions for their e-Quotes (``NYSE d-
QuotesSM'' or ``d-Quotes'').
Discretionary instructions for e-Quotes and pegging will give Floor
brokers additional tools to compete with other interest, including the
specialists' algorithmic trading and quoting ability. These proposed
discretionary features and pegging will facilitate the ability of Floor
brokers to participate in trades that they would not be able to reach
in the Hybrid Market.
Discretionary Trading Instructions
In the mostly-manual pre-Hybrid Market, Floor brokers had an
opportunity to make trading decisions with respect to arriving orders.
In a more electronic trading environment, the Floor broker may not have
that opportunity. While e-Quotes enable Floor brokers' customer
interest to participate in automatic executions at the Exchange best
bid and offer (``BBO'') and in sweeps, they do not initiate trades with
incoming orders at prices better than the BBO. In other words,
currently, e-Quotes do not provide Floor brokers with the means to
express a price range within which they are willing to actively trade.
Thus, the proposed changes will provide Floor brokers with the ability
not only to quote in an attempt to draw interest, but, at the same
time, initiate trades with contra-side interest able to trade at prices
at or within the BBO. By using d-Quotes, a Floor broker may set a
discretionary price range and a discretionary size range. Discretionary
size can apply to the amount of an e-Quote to which discretionary
instructions apply and/or to the amount of contra-side volume with
which the d-Quote is willing to trade, as described below.
Discretionary instructions are only active when the e-Quote is at the
BBO. Neither the specialist on the Floor nor the specialist system
employing algorithms will have access to the discretionary instructions
entered by the Floor broker.
Price Discretion
Discretionary instructions for e-Quotes will allow Floor brokers to
set a price range for their d-Quotes within which they are willing to
initiate or participate in a trade. This discretion will be used, as
necessary, to initiate or participate in a trade with an incoming order
capable of trading at a price within the discretionary range.
Discretionary price instructions may apply to all or part of a d-Quote.
For example, the BBO is .05 bid, offered at .10. A Floor broker
enters a d-Quote at .10, with price discretion of .04. A limit order to
buy at .06 enters the market. The d-Quote will use its four cents of
price discretion and initiate a trade at .06.
When a d-Quote is competing with same-side quoted or trading
interest (i.e., displayed interest at the BBO, other d-Quotes, or a
same-side specialist algorithmic trading message, such as to provide
price improvement), if the d-Quote can get a larger allocation by
providing an additional penny (or more) of price improvement and the
discretionary instructions permit the d-Quote to trade at that price,
it will do so.
Volume Discretion
Floor brokers may designate that discretionary instructions apply
only to a portion of their e-Quote. For example, a Floor broker may
specify that only 20,000 shares of a 50,000-share e-Quote may use price
discretion. The remaining 30,000-shares would be handled as a regular
e-Quote, i.e., one without discretionary instructions.
Floor brokers who use e-Quoting price discretion may also set a
minimum and/or maximum size limit with respect to the size of contra-
side interest with which it is willing to trade using price discretion.
This allows for more specific order management by preventing the d-
Quote from trading with opposite side interest that the Floor broker
has judged to be too little or too great in the context of the order or
orders he or she is managing.
For example, the BBO is .05 bid, offered at .10. A Floor broker e-
Quotes stock at .10, with price discretion of .04 and minimum/maximum
volume discretion of 1,000/10,000 shares. A limit order to buy 500
shares at .06 enters the market. No trade will occur, even though a
trade at .06 is within the d-Quote's price discretion range, because
the incoming order size is below the d-Quote's minimum discretionary
volume size. A new best bid of .06 will be auto-quoted. An order to buy
1,500 shares at .06 enters the market. The d-Quote will initiate a
transaction, selling 2,000 shares at .06, as the size available to
trade at .06 is now within the d-Quote's discretionary volume
parameters. Similarly, a sufficient reduction in the size of a bid or
offer that was previously larger than the maximum discretionary volume
will trigger an execution of a discretionary d-Quote.
[[Page 41500]]
Only published contra-side volume is considered when determining
whether such volume is within the d-Quote's discretionary volume range.
Reserve and other interest at the possible execution price is not
considered, as it is not displayed. Interest displayed by other market
centers at the price at which a d-Quote may trade is not considered
when determining if the minimum volume range is met, unless the Floor
broker electronically designates that such away volume should be
included in this determination.
Pegging
In the Hybrid Market, a Floor broker needs to be represented in the
BBO in order to participate in automatic executions. The e-Quotes
provide Floor brokers with the mechanism to be part of the quote.
However, in a more automated environment, the BBO may change rapidly
and the e-Quoting process, as it currently exists, may not be
sufficient to enable Floor brokers to stay with a quickly changing
quote. The proposed pegging function will allow Floor brokers to keep
their interest in the quote, even as the quote moves. Floor brokers
will be able to designate a range to which their e-Quotes and d-Quotes
will peg and, as long as the BBO is within that range, the e-Quote and
d-Quote will be included. Buy side e-Quotes and d-Quotes will peg to
the best bid, and sell side e-Quotes and d-Quotes will peg to the best
offer.
In addition, pegging e-Quotes and d-Quotes may set a minimum and/or
maximum size of same-side volume to which his or her e-Quote or d-Quote
will peg. Pegging e-Quotes and d-Quotes may set a ``quote price''
specifying the lowest price to which a buy-side e-Quote or d-Quote may
peg and the highest price to which a sell-side e-Quote or d-Quote may
peg. A ``ceiling price'' may be set to establish the highest price to
which a buy-side e-Quote or d-Quote may peg, and a ``floor price'' may
be set to establish the lowest price to which a sell-side e-Quote or d-
Quote may peg. The quote, ceiling and floor prices must be at or within
the limit price of the order being e-Quoted or d-Quoted.
A pegging d-Quote's price discretion range will move along with the
d-Quote as it pegs.
Pegging is a separate type of discretionary instruction and may
occur with e-Quotes and/or with d-Quotes using discretionary price
instructions.
Example
A Floor broker is representing an order to buy 4,000 shares of XYZ
with a limit of .97, not-held.\9\ He decides to electronically
represent this order as a d-Quote, with a quote price of .92 and with
price discretion of .02, in the hope of obtaining a better execution
price for his customer. This means that the Floor broker is willing to
participate in an execution at the following prices: .92, .93 and .94.
Further, he has decided to display 1,000 shares, with 3,000 in reserve.
In addition, the Floor broker has decided to have this order peg, with
minimum and maximum volume sizes of 500 and 8,000 shares respectively.
The Floor broker has set the ceiling price at .97. This means that as
long as the Exchange best bid is a minimum of 500 shares and no more
than 8,000 shares, the d-Quote would peg to any Exchange best bid at or
between .92 and .97
---------------------------------------------------------------------------
\9\ A ``not held'' order is a market or limit order that gives
the Floor broker both time and price discretion to attempt to get
the best possible price for the customer.
---------------------------------------------------------------------------
The Exchange best bid becomes 2,000 shares bid for .94. As this is
within the minimum and maximum pegging size range, the order will peg
to the .94 bid, increasing the displayed size at that price to 3,000
shares (2,000 shares that established that price and the d-Quote's
displayed 1,000 shares). The Exchange best bid then becomes 300 shares
bid for .95. The d-Quote will not peg to that best bid, as its size is
below the minimum pegging size designated by the Floor broker. If an
additional 400 shares is added to the best bid as a result of other
interest at that price, the d-Quote will peg to it, increasing the
displayed size to 1,700 shares. Similarly, if the displayed volume at
.95 increased from 300 shares to 10,000 shares (instead of 700 shares),
the d-Quote would not peg to that price, as 10,000 shares is more than
the maximum pegging size selected by the Floor broker (which was 8,000
shares, as noted above). Again, if the displayed volume at .95
decreases to 6,000 shares, for example, as a result of a trade at that
price, the d-Quote will peg to the .95 bid, as the displayed volume
size is now lower than the maximum selected by the Floor broker. 7,000
shares will be bid at .95, with the d-Quote's 3,000 shares in reserve.
As the d-Quote pegs, it continues to be able to use its price
discretion of .02 to effect a trade. Accordingly, if 7,000 shares is
bid at .95, comprised of 6,000 shares of other interest and 1,000
shares of the d-Quote (with 3,000 shares of the d-Quote in reserve at
.95) and the Exchange best offer is .97 for 1,700 shares, the d-Quote
will initiate an execution, trading 1,700 shares at .97. The d-Quote's
reserve size will be decremented by the amount of the trade, leaving
1,300 shares to buy in reserve, with 1,000 shares displayed. The best
bid continues to be .95, so the d-Quote remains pegged at that price.
The displayed volume at .95 continues to be 7,000 shares, including the
displayed portion of the d-Quote (1,000 shares).
General Principles Covering Discretionary e-Quotes and Pegging
The following describes in more detail the general principles
governing d-Quotes (i.e., an e-Quote with discretionary trading and/or
pegging instructions):
Discretionary instructions relate to the price at which
the d-Quote may trade and the number of shares to which the
discretionary price instructions apply.
The goal of discretionary trading is to secure the largest
execution for the d-Quote, using the least amount of price discretion.
In so doing, d-Quotes may often improve the execution price of incoming
orders. Conversely, if no discretion is necessary to accomplish a
trade, none will be used.
Discretionary instructions are only active when the d-
Quote is at the BBO.
Neither the specialist on the Floor nor the specialist
system employing algorithms will have access to the discretionary
instructions entered by the Floor broker.
Specialists will not have the ability to enter
discretionary trading or pegging instructions on behalf of a Floor
broker.
The minimum price range for a d-Quote is the minimum price
variation set forth in Rule 62.
The requirements for e-Quoting apply to the d-Quote,
including the requirement that the Floor broker be in the Crowd.
Discretionary instructions apply to displayed and reserve
size, including reserve interest that is excluded from the aggregate
volume visible to the specialist on the Floor.
When price discretion is used, d-Quotes trade first from
reserve volume, if any, and then from displayed volume.
Once the total amount of a Floor broker's discretionary
volume has been executed, the d-Quote's price instructions will become
inactive and the remainder of that d-Quote will be treated as an e-
Quote.
Discretionary instructions are only applicable to
automatic executions; they are not utilized in manual transactions.
Discretionary instructions may be entered for all e-
Quotes, however, these instructions are only active when the e-Quote is
at or joins the existing
[[Page 41501]]
Exchange BBO or would establish a new Exchange BBO.
Multiple same-side d-Quotes from different Floor brokers
will compete for an execution with the most aggressive price range
(e.g., three cents vs. two cents) establishing the execution price. If
the incoming order remains unfilled at that price, executions within
the less aggressive price range may occur.
d-Quotes with the same discretionary price instructions on
the same side will trade on parity, after any interest entitled to
priority.
d-Quotes on opposite sides of the market will be able to
trade with each other. The d-Quote that arrived last will use the most
discretion, if necessary, to effect a trade.
d-Quotes will compete with same-side specialist
algorithmic trading messages targeting incoming orders. If the price of
d-Quotes and the trading messages are the same, the d-Quotes and the
specialist messages will trade on parity.
If a d-Quote is competing with same-side quoted or trading
interest, including a same-side specialist algorithmic trading message
(i.e., to provide price improvement) and the d-Quote can get a larger
allocation by providing an additional penny of price improvement (or
other applicable minimum price variation), generally, it will do so.
d-Quotes may price improve and trade with an incoming
contra-side specialist algorithmically-generated message to ``hit bid/
take offer,'' just as they can with any other marketable incoming
interest.
d-Quotes may initiate sweeps, but only to the extent of
their price and volume discretion. d-Quotes may participate in sweeps
initiated by other orders, but their discretionary instructions will
not be active.
A sweep involving a d-Quote will always stop at least one
cent (or other applicable minimum price variation) before a liquidity
replenishment point is reached.
Executions involving d-Quotes will comply with the
Regulation NMS Order Protection Rule (``OPR'').\10\
---------------------------------------------------------------------------
\10\ See 17 CFR 242.611.
---------------------------------------------------------------------------
When a better price is displayed by an away market and
such price is in the middle of contra-side d-Quotes, the amount of
price discretion extended to a participating d-Quote will be adjusted
to permit a trade consistent with Reg. NMS OPR requirements.
Discretionary instructions will be applied only if all d-
Quoting prerequisites are met. Otherwise, the d-Quote will be handled
as a regular e-Quote, notwithstanding the fact that the Floor broker
has designated the e-Quote as a d-Quote.
When price discretion is used, d-Quotes trade first from
reserve volume, then from published volume. When no price discretion is
used, the e-Quote's published volume trades first.
Floor brokers may specify that price discretion applies to
all or only a portion of their d-Quote. Price discretion is necessary
for d-Quotes. Therefore, if price discretion is provided for only a
portion of the d-Quote, the residual will be treated as an e-Quote.
Floor brokers may have more than one e-Quote/d-Quote per
side and price. Trading volume is allocated by broker, not e-Quote/d-
Quote, in accordance with Exchange rules.
Pegging e-Quotes and d-Quotes may set a ``quote price''
specifying the lowest price to which a buy-side e-Quote or d-Quote may
peg and the highest price to which a sell-side e-Quote or d-Quote may
peg. A ``ceiling price'' may be set to establish the highest price to
which a buy-side e-Quote or d-Quote may peg, and a ``floor price'' may
be set to establish the lowest price to which a sell-side e-Quote or d-
Quote may peg. The quote, ceiling, and floor prices must be at or
within the limit price of the order being e-Quoted or d-Quoted.
Pegging will not establish a new BBO and it will not
generally sustain a BBO when there is no other interest at that price.
If the BBO is the lowest quotable price established by the Floor broker
for a pegging buy-side e-Quote or d-Quote or the highest quotable price
established by the Floor broker for a sell-side pegging e-Quote or d-
Quote and all other interest at that price cancels or is executed, the
pegging e-Quote or d-Quote will remain displayed at such BBO.
Pegging will only occur at prices within the pegging price
range designated by the Floor broker.
Pegging applies to the entire e-Quote/d-Quote volume.
Pegging is reactive and moves in both directions.
Pegging e-Quotes and d-Quotes peg only to other non-
pegging interest within the pegging range selected by the Floor broker.
Pegging is available only when auto-quoting is on.
Price priority cannot be established by pegging, although
the existence of pegging instructions does not preclude an e-Quote or a
d-Quote from having priority.
Pegging e-Quotes and d-Quotes trade on parity with other
interest on the same side at the Exchange best bid or offer after
interest entitled to priority.
Discretionary trading and pegging is not available for
tick-sensitive e-Quotes.
An e-Quote may have either or both discretionary trading
and pegging instructions.
As an e-Quote or d-Quote pegs, its discretionary price
range, if any, moves along with it, subject to any floor or ceiling
price set by the Floor broker.
Pegging e-Quotes and d-Quotes may establish a minimum and/
or maximum size of same-side volume to which it will peg. Other pegging
e-Quote or d-Quote volume will not be considered in determining whether
the volume parameters set by the Floor broker have been met.
Other Rule Changes
Rule 104
Rule 104(c)(ix) has been amended to reflect that a specialist's
algorithmically-generated messages will compete with or trade along
with same side d-Quote as described in NYSE Rule 70.25.
Rule 123
Exchange Rule 123(e)(8) which requires the entry of certain order
information into the Exchange's Front End Systemic Capture (FESC'')
system before such order can be represented, has been amended to add
certain required terms regarding e-Quotes and d-Quotes.
Rule 1000
Rule 1000(d)(iii) which governs sweeps has been amended to reflect
that d-Quotes will participate in sweeps in the manner described in
NYSE Rule 70.25(d)(ix).
Implementation Plans
At present, the Exchange plans to implement proposed Rules 70.25
and 70.26 as part of Phase 3 of the Hybrid Market. The Exchange will
consult with the Commission with respect to any change to this
implementation plan.
2. Statutory Basis
The Exchange believes that the proposed rule change is consistent
with Section 6(b)(5) of the Act \11\ because it is designed to promote
just and equitable principles of trade, to foster cooperation and
coordination with persons engaged in regulating, clearing, settling,
processing information with respect to, and facilitating transactions
in securities, to remove impediments to and perfect the mechanism of a
free and open market and a national market system, and, in general, to
protect investors and the public interest.
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\11\ 15 U.S.C. 78f(b)(5).
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[[Page 41502]]
B. Self-Regulatory Organization's Statement on Burden on Competition
The Exchange does not believe that the proposed rule change will
impose any burden on competition that is not necessary or appropriate
in furtherance of the purposes of the Act.
C. Self-Regulatory Organization's Statement on Comments on the Proposed
Rule Change Received From Members, Participants or Others
The Exchange has neither solicited nor received written comments on
the proposed rule change. The Exchange has received one comment letter
on the proposed rule change and will respond to it after the comment
period has concluded.
III. Date of Effectiveness of the Proposed Rule Change and Timing for
Commission Action
Within 35 days of the date of publication of this notice in the
Federal Register or within such longer period (i) as the Commission may
designate up to 90 days of such date if it finds such longer period to
be appropriate and publishes its reasons for so finding or (ii) as to
which the self-regulatory organization consents, the Commission will:
(A) By order approve such proposed rule change, or
(B) Institute proceedings to determine whether the proposed rule
change should be disapproved.
IV. Solicitation of Comments
Interested persons are invited to submit written data, views and
arguments concerning the foregoing, including whether the proposed rule
change is consistent with the Act. Comments may be submitted by any of
the following methods:
Electronic Comments
Use the Commission's Internet comment form (https://
www.sec.gov/rules/sro.shtml); or
Send an e-mail to rule-comments@sec.gov. Please include
File Number SR-NYSE-2006-36 on the subject line.
Paper Comments
Send paper comments in triplicate to Nancy M. Morris,
Secretary, Securities and Exchange Commission, 100 F Street, NE.,
Washington, DC 20549-1090.
All submissions should refer to File Number SR-NYSE-2006-36. This file
number should be included on the subject line if e-mail is used. To
help the Commission process and review your comments more efficiently,
please use only one method. The Commission will post all comments on
the Commission's Internet Web site (https://www.sec.gov/rules/
sro.shtml). Copies of the submission, all subsequent amendments, all
written statements with respect to the proposed rule change that are
filed with the Commission, and all written communications relating to
the proposed rule change between the Commission and any person, other
than those that may be withheld from the public in accordance with the
provisions of 5 U.S.C. 552, will be available for inspection and
copying in the Commission's Public Reference Room. Copies of such
filing also will be available for inspection and copying at the
principal office of the Exchange. All comments received will be posted
without change; the Commission does not edit personal identifying
information from submissions. You should submit only information that
you wish to make available publicly. All submissions should refer to
File Number SR-NYSE-2006-36 and should be submitted on or before August
11, 2006.
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\12\ 17 CFR 200.30-3(a)(12).
For the Commission, by the Division of Market Regulation,
pursuant to delegated authority.\12\
Jill M. Peterson,
Assistant Secretary.
[FR Doc. E6-11581 Filed 7-20-06; 8:45 am]
BILLING CODE 8010-01-P