Self-Regulatory Organizations; Philadelphia Stock Exchange, Inc.; Order Approving a Proposed Rule Change Relating to the Electronic Handling of Complex Orders, 49529-49532 [E8-19352]
Download as PDF
mstockstill on PROD1PC66 with NOTICES
Federal Register / Vol. 73, No. 163 / Thursday, August 21, 2008 / Notices
required. In addition, NYSE Arca
Equities Rule 7.34(a)(5) provides that, if
the Exchange becomes aware that the
NAV is not being disseminated to all
market participants at the same time, it
will halt trading in the Shares until such
time as the NAV is available to all
market participants.38
The Commission further believes that
the trading rules and procedures to
which the Shares will be subject
pursuant to this proposal are consistent
with the Act. The Exchange has
represented that any securities listed
pursuant to this proposal will be
deemed equity securities and be subject
to existing Exchange rules governing the
trading of equity securities.
In support of this proposal, the
Exchange has made the following
representations:
(1) The Exchange represents that it
intends to utilize its existing
surveillance procedures applicable to
derivative products, including Currency
Trust Shares, to monitor trading in the
Shares and that such procedures are
adequate to properly monitor Exchange
trading of the Shares in all trading
sessions and to deter and detect
violations of Exchange rules and
applicable federal securities laws. The
Exchange may obtain information via
ISG from other exchanges that are
members of ISG. Specifically, the
Exchange can obtain such information
from CME in connection with foreign
currency futures and options on futures
trading on CME pertaining to futures
and options on futures on the Russian
ruble and South African rand.
(2) The Exchange represents that if the
interruption to the calculation or wide
dissemination of the value of the
underlying foreign currency or IIV
persists past the trading day in which it
occurred, the Exchange would halt
trading no later than the beginning of
the trading day following the
interruption.
(3) Prior to listing and trading the
Shares, the Exchange represents that it
will inform its ETP Holders in the
Bulletin of the special characteristics
and risks associated with trading the
Shares.
This approval order is based on the
Exchange’s representations.
The Commission finds good cause for
approving this proposal before the 30th
day after the publication of notice
thereof in the Federal Register. As
noted above, the Commission
previously approved the original listing
and trading, and trading pursuant to
UTP, of shares of other CurrencyShares
38 See
supra note 26 and accompanying text.
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17:48 Aug 20, 2008
Jkt 214001
Trusts.39 The Commission presently is
not aware of any regulatory issue that
should cause it to revisit those findings
or would preclude the listing and
trading of the Shares on the Exchange.
Accelerating approval of this proposed
rule change would allow the Shares to
be listed on the Exchange without
undue delay.
V. Conclusion
It is therefore ordered, pursuant to
Section 19(b)(2) of the Act,40 that the
proposed rule change (SR–NYSEArca–
2008–81), as modified by Amendment
No. 1 thereto, be, and it hereby is,
approved on an accelerated basis.
For the Commission, by the Division of
Trading and Markets, pursuant to delegated
authority.41
Florence E. Harmon,
Acting Secretary.
[FR Doc. E8–19356 Filed 8–20–08; 8:45 am]
BILLING CODE 8010–01–P
SECURITIES AND EXCHANGE
COMMISSION
[Release No. 34–58361; File No. SR–Phlx–
2008–50]
Self-Regulatory Organizations;
Philadelphia Stock Exchange, Inc.;
Order Approving a Proposed Rule
Change Relating to the Electronic
Handling of Complex Orders
August 14, 2008.
I. Introduction
On July 1, 2008, the Philadelphia
Stock Exchange, Inc. (‘‘Phlx’’ or
‘‘Exchange’’) filed with the Securities
and Exchange Commission
(‘‘Commission’’), pursuant to Section
19(b)(1) of the Securities Exchange Act
of 1934 (‘‘Act’’),1 and Rule 19b–4
thereunder,2 a proposal to adopt Phlx
Rule 1080, Commentary .08, ‘‘Complex
Orders on Phlx XL,’’ to provide for the
electronic handling of certain Complex
Orders on Phlx XL, the Phlx’s electronic
trading platform for options. The
proposed rule change was published for
comment in the Federal Register on July
10, 2008.3 The Commission received no
comments regarding the proposed rule
change. This order approves the
proposed rule change.
39 See
supra notes 3 and 4.
U.S.C. 78s(b)(2).
41 17 CFR 200.30–3(a)(12).
1 15 U.S.C. 78s(b)(1).
2 17 CFR 240.19b–4.
3 See Securities Exchange Act Release No. 58099
(July 3, 2008), 73 FR 39769 (‘‘Notice’’).
40 15
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49529
II. Description of the Proposal
The Phlx proposes to adopt Phlx Rule
1080, Commentary .08 to provide for the
electronic handling of certain Complex
Orders on Phlx XL.4 Phlx members and
Phlx XL participants quoting and
trading in open outcry will be required
to submit quotes and/or orders
electronically to participate in the
electronic Complex Order system.5
As described briefly below and in
greater detail in the Notice,6 the
proposal establishes a Complex Order
Opening Process (‘‘COOP’’), a Complex
Order Book (‘‘CBOOK’’), and a Complex
Order Live Auction (‘‘COLA’’). In
addition, the proposal includes a
Strategy Price Protection (‘‘SPP’’) feature
that will prevent certain Complex
Orders from trading at prices outside of
specified pre-set limits.
COOP
After trading has opened in each
component of a pending Complex Order
or re-opened following a trading halt,
the Phlx XL system will initiate the
COOP.7 There will be one COOP per
Complex Order Strategy.8 The COOP is
composed of two components: (1) The
COOP Timer, a period ranging from 0 to
600 seconds, as determined by the Phlx,
during which the Complex Order will
not trade; and (2) the COOP Evaluation,
the period following the conclusion of
the COOP Timer during which the Phlx
XL system will determine which
Complex Order on the CBOOK, if any,
will be eligible for a COLA. Complex
Orders received during the COOP Timer
and the COOP Evaluation will reside on
the CBOOK and will be visible to Phlx
XL participants.9
At the conclusion of the COOP Timer,
the Phlx XL system will identify the
‘‘COLA-eligible order,’’ 10 if any, from
4 The ‘‘Complex Orders’’ that may be traded on
Phlx XL are spread orders, as defined in Phlx Rule
1066(f)(1); straddle orders, as defined in Phlx Rule
1066(f)(2); combination orders, as defined in Phlx
Rule 1066(f)(3); ratio orders; and collar (risk
reversal) orders. See Phlx Rule 1080, Commentary
.08(a)(i).
5 See Phlx Rule 1080, Commentary .08(e)(ix).
6 See Notice, supra note 3.
7 See Phlx Rule 1080, Commentary .08(d)(ii).
However, as described in greater detail in the
Notice, supra note 3, a COOP will not be initiated
if any of the conditions in Phlx Rule 1080,
Commentary .08(c)(ii) exist.
8 See Phlx Rule 1080, Commentary .08(d)(i). A
‘‘Complex Order Strategy’’ is any Complex Order
involving any option series that is priced at a net
debit or credit based on the relative prices of each
component. See Phlx Rule 1080, Commentary
.08(a)(ii).
9 See Phlx Rule 1080, Commentary .08(d)(ii)(A)(3)
and (4).
10 A ‘‘COLA-eligible order’’ is a Complex Order
(a) identified by way of a COOP; or (b) that, upon
receipt, improves the cPBBO (i.e., the Phlx best net
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Federal Register / Vol. 73, No. 163 / Thursday, August 21, 2008 / Notices
market and marketable limit Complex
Orders, including Complex Orders that
cross the ‘‘cPBBO,’’ 11 and Complex
Orders that improve the cPBBO,
according to the methodology set forth
in Phlx Rule 1080, Commentary
.08(d)(ii)(B)(2). If the system receives no
such orders, Complex Orders received
during the COOP Timer will be placed
on the CBOOK.12
COLA
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COLA Broadcast and Responses
After identifying a COLA-eligible
order, the Phlx will send a broadcast
notice to Phlx XL participants 13
indicating that the system has initiated
a COLA. The broadcast message will
identify the Complex Order Strategy,
and the size of the order and any
contingencies, but not the side of the
market or the price.14 During the COLA
Timer, which will not exceed five
seconds, Phlx XL participants may bid
and/or offer on either or both side(s) of
the market by submitting one or more
bids or offers that improve the cPBBO,
known as ‘‘COLA Sweeps.’’ 15 COLA
Sweeps will not be visible to Phlx XL
participants or disseminated by the
Phlx.16 The requirements in Phlx Rule
1080(c)(ii)(C) regarding trading as
principal with agency orders will apply
to Complex Orders and COLA
Sweeps.17 Complex Orders for the same
Complex Order Strategy as the COLAdebt or credit price for a Complex Order based on
the Phlx best bid or offer for the individual
components of the Complex Order). See Phlx Rule
1080, Commentary .08(e)(i)(B)(1). The methodology
for determining the COLA-eligible order is
described in greater detail in the Notice, supra note
3.
11 The cPBBO is the best net debit or credit price
for a Complex Order based on the Phlx’s best bid
and/or offer for the individual legs of the Complex
Order. See Phlx Rule 1080, Commentary .08(a)(iv).
12 See Phlx Rule 1080, Commentary
.08(d)(ii)(B)(1).
13 Under the proposal, Phlx XL participants are
Streaming Quote Traders (‘‘SQTs’’), Remote
Streaming Quote Traders (‘‘RSQTs’’), non-SQT
Register Options Traders (‘‘ROTs’’), specialists and
non-Phlx market makers on another exchange; nonbroker-dealer customers and non-market maker offfloor broker-dealers; and Floor Brokers using the
Options Floor Broker Management System. See
Phlx Rule 1080, Commentary .08(a)(vii).
14 See Phlx Rule 1080, Commentary .08(e)(ii).
15 See Phlx Rule 1080, Commentary .08(e)(iii) and
(iv).
16 See Phlx Rule 1080, Commentary .08(e)(iv)(C).
17 See Phlx Rule 1080, Commentary .08(e)(iv)(D).
Phlx Rule 1080(c)(ii)(C) prohibits an Order Entry
Firm from executing as principal against an order
on the limit order book that it represents as agent
unless: (a) The agency order is first exposed on the
limit order book for at least three seconds; (b) the
Order Entry Firm has been bidding or offering on
the Phlx for at least three seconds prior to receiving
the agency order that is executable against such
order; or (c) the Order Entry Firm proceeds in
accordance with the crossing rules in Phlx Rule
1064.
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17:48 Aug 20, 2008
Jkt 214001
eligible order may not be cancelled
during the COLA.18
Executions and Allocations
If the system receives no COLA
Sweeps or responsive Complex Orders
during the COLA Timer, the COLAeligible order may trade at the Phlx best
bid or offer (‘‘PBBO’’) with quotes or
orders on the limit order book for the
components of the Complex Order,
provided that the order can be executed
in the correct ratio and at the desired
price.19
If the system receives responses
during the COLA Timer, the COLAeligible order and the responsive COLA
Sweeps or Complex Orders will trade,
first, based on the best price or prices
available at the end of the COLA Timer,
with responses at the same price
allocated in the following sequence: (1)
Customer marketable Complex Orders
on the CBOOK; (2) COLA Sweeps on a
size pro-rata basis; (3) SQT, RSQT, and
non-SQT ROT Immediate or Cancel
Complex Orders on a size pro-rata basis;
and (4) non-market maker off-floor
broker-dealers on a size pro-rata basis.20
Executions in the COLA will comply
with the complex order priority
requirements of Phlx Rule 1033(d).21 In
addition, the COLA’s priority rules
provide that a non-broker-dealer
customer’s Complex Order will have
priority over specialists, SQTs, RSQTs,
and off-floor broker-dealers bidding for
or offering any components of the
Complex Order at the same price, but
18 See
Phlx Rule 1080, Commentary .08(e)(iii).
Phlx Rule 1080, Commentary
.08(e)(vi)(A)(1). An SQT or RSQT quoting all
components of the Complex Order would have
priority over SQTs and RSQTs quoting a single
component, but would not have priority over
customer orders. See Phlx Rule 1080, Commentary
.08(e)(vi)(A)(1).
20 See Phlx Rule 1080, Commentary .08(e)(v) and
(vi)(B)(1)–(4). If the markets for the individual
components of the COLA-eligible order improve
during the COLA Timer and match the best price
of COLA Sweep(s) and/or responsive Complex
Order(s), the system will execute the COLA
Sweep(s) and/or responsive Complex Order(s)
before executing the individual components of the
COLA-eligible order. See Phlx Rule 1080,
Commentary .08(e)(vi)(A)(2).
21 See Phlx Rule 1080, Commentary .08(e)(v).
Phlx Rule 1033(d) provides that when a member
holding a hedge order (i.e., a spread, straddle, or
combination order), and bidding or offering on the
basis of a total credit or debit for the order has
determined that the order may not be executed by
a combination of transactions at or within the bids
and offers established in the marketplace, then the
order may be executed as a hedge order at the total
credit or debit with one other member with priority
over either the bid or the offer established in the
marketplace that is not better than the bids or offers
comprising the total credit or debit, provided that
the member executes at least one option leg at a
better price than the established bid or offer for that
contract and no option leg is executed at a price
outside of the established bid or offer for that option
contract.
19 See
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not over non-broker-dealer customer
orders for any components of the
Complex Order at the same price.22
If the specialist submits a COLA
Sweep at the same price as other COLA
Sweeps, then, after any customer
marketable Complex Orders have been
executed against the COLA-eligible
order, the specialist will be entitled to
receive the greater of: (1) The proportion
of the aggregate size at the cPBBO
associated with the specialist’s COLA
Sweep, SQT and RSQT COLA Sweeps,
and non-SQT ROT Complex Orders on
the CBOOK; (2) the Enhanced Specialist
Participation described in Phlx Rule
1014(g)(ii)–(iv); or (3) 40% of the
remainder of the order.23
The components of a COLA-eligible
order may be executed in one-cent
increments, regardless of the minimum
quoting increments otherwise
applicable to the individual legs of the
order.24
Treatment of Incoming Orders Received
During the COLA
Incoming Complex Orders on the
same side of the market as the COLAeligible order that are received during
the COLA will join the COLA, although
the original COLA-eligible order will
have priority at all price points over any
incoming Complex Order, regardless of
the price of the incoming order.25 If the
incoming Complex Order is not
executed in its entirety, any remaining
contracts will be placed on the CBOOK,
subject to other instructions.26
Incoming customer and non-customer
Complex Orders on the opposite side of
the market from the COLA-eligible order
that have prices equal to or better than
the best-priced COLA Sweep may
execute against the COLA-eligible order
or be placed on the CBOOK, subject to
other instructions, if unexecuted
interest remains in the incoming order
after the COLA-eligible order has been
executed in its entirety.27 Incoming
Complex Orders on the opposite side of
the market that have a price inferior to
the COLA Sweep Price(s) will execute
against the COLA-eligible order after
interest at the better COLA Sweep
Price(s) has been executed. Any
unexecuted remaining contracts in the
22 See Phlx Rule 1080, Commentary
.08(e)(vi)(A)(3).
23 See Phlx Rule 1080, Commentary .08(e)(vi)(C).
The specialist is not entitled to receive an allocation
that would exceed the size of the specialist’s COLA
Sweep. See Phlx Rule 1080, Commentary
.08(e)(vi)(C)(4).
24 See Phlx Rule 1080, Commentary .08(e)(v).
25 See Phlx Rule 1080, Commentary
.08(e)(viii)(B).
26 Id.
27 See Phlx Rule 1080, Commentary
.08(e)(viii)(C)(1) and (2).
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incoming Complex Order will be placed
on the CBOOK, subject to other
instructions.28
CBOOK
Non-broker-dealer customer and nonmarket maker broker-dealer Complex
Orders may be entered on the CBOOK.29
An order resting on the CBOOK may
execute against quotes or orders on the
limit order book for the individual
components of the order or against
incoming Complex Order(s) that do not
trigger a COLA Timer, whichever arrives
first.30 An incoming Complex Order that
does not trigger a COLA Timer may
execute against interest on the limit
order book for the individual
components of the order or against
Complex Orders resting on the
CBOOK.31 Complex Orders on the
CBOOK may be executed in one-cent
increments, regardless of the minimum
increments applicable to the individual
components of the Complex Order.32
Executions against orders on the
CBOOK will comply with the complex
order priority requirements of Phlx Rule
1033(d).33 In addition, the CBOOK rules
provide that a non-broker-dealer
customer Complex Order will have
priority over specialists, SQTs, RSQTs,
and off-floor broker-dealers bidding for
or offering any component(s) of a
Complex Order at the same price, but
not over non-broker-dealer customer
orders representing any component(s) of
the Complex Order at the same price.34
SPP
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The SPP is a system feature that will
prevent ‘‘Vertical Spreads’’ 35 and
‘‘Time Spreads’’ 36 from trading at prices
outside of pre-set standard limits. If an
execution would violate these limits,
the system will place the order on the
CBOOK.37
28 See Phlx Rule 1080, Commentary
.08(e)(viii)(C)(3).
29 See Phlx Rule 1080, Commentary .08(f).
30 See Phlx Rule 1080, Commentary .08(f)(iii)(A).
31 See Phlx Rule 1080, Commentary .08(f)(iii)(B).
32 See Phlx Rule 1080, Commentary .08(f)(i).
33 See Phlx Rule 1080, Commentary
.08(f)(iii)(B)(2).
34 See Phlx Rule 1080, Commentary
.08(f)(iii)(B)(3).
35 A Vertical Spread is a Complex Order Strategy
consisting of the purchase of one call (put) option
and the sale of another call (put) option overlying
the same security that have the same expiration but
different strike prices. See Phlx Rule 1080,
Commentary .08(g)(i).
36 A Time Spread is a Complex Order Strategy
consisting of the purchase of one call (put) option
and the sale of another call (put) option overlying
the same security that have different expirations but
the same strike price. See Phlx Rule 1080,
Commentary .08(g)(ii).
37 See Phlx Rule 1080, Commentary .08(g)(iii).
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III. Discussion
After careful review, the Commission
finds that the proposed rule change is
consistent with the requirements of the
Act and the rules and regulations
thereunder applicable to a national
securities exchange.38 In particular, the
Commission finds that the proposal is
consistent with Section 6(b)(5) of the
Act,39 which requires, in part, that the
rules of a national securities exchange
be designed to prevent fraudulent and
manipulative acts and practices, to
promote just and equitable principles of
trade, 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.
The Commission believes that the
proposal to supplement the trading of
complex orders on the Phlx’s floor with
a facility for the electronic handling of
Complex Orders is consistent with the
Act.
In particular, the Commission finds
that the COOP is consistent with the Act
because it is designed to provide an
orderly procedure for opening electronic
trading in Complex Orders. The
Commission also finds that the rules for
the display of orders on the CBOOK,
which will be visible to Phlx XL
participants, also are consistent with the
Act and are likely to increase
transparency.
In addition, the Commission finds
that the COLA is consistent with the Act
because it is designed to provide a
competitive auction process, lasting up
to five seconds, that could provide price
improvement for COLA-eligible orders.
During the COLA Timer, Phlx XL
participants will be able to bid and/or
offer on either or both sides of the
market by submitting COLA Sweeps
that improve the cPBBO. At the
conclusion of the COLA Timer, the
COLA-eligible order may execute
against COLA Sweeps, Complex Orders
received during the COLA, or, if the
Phlx receives no COLA Sweeps or
responsive Complex Orders, against
existing interest on the limit order book
for the individual components of the
Complex Order. A member could elect
to forego the COLA by sending its order
to the Phlx’s floor for execution.
The Commission finds that the Phlx’s
rules for the allocation of trades with
Complex Orders are consistent with the
Act. Executions of Complex Orders
through the COLA and the CBOOK will
38 In approving the proposed rule change, the
Commission has considered the proposed rule’s
impact on efficiency, competition, and capital
formation. See 15 U.S.C. 78c(f).
39 15 U.S.C. 78f(b)(5).
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49531
comply with the complex order priority
requirements of Phlx Rule 1033(d).40
The CBOOK and COLA rules also
provide that non-broker-dealer customer
Complex Orders will have priority over
specialists, SQTs, RSQTs, and off-floorbroker-dealers bidding for and/or
offering any component(s) of the
Complex Order at the same price, but
not over non-broker-dealer customer
orders representing any component(s) of
the Complex Order at the same price.41
The Commission notes that other
options markets have comparable
priority provisions for complex
orders.42
The COLA rules provide for a
specialist participation guarantee equal
to the greater of: (a) The proportion of
the aggregate size at the cPBBO
associated with such specialist’s COLA
Sweep, SQT and RSQT COLA Sweeps,
and non-SQT ROT Complex Orders on
the CBOOK (i.e., size pro rata); (b) the
Enhanced Specialist Participation as
described in current Phlx Rule
1014(g)(ii) to (iv); or (c) 40% of the
remainder of the order. In addition,
public customer Complex Orders that
are marketable against the COLAeligible order will have priority over the
specialist’s participation guarantee and
the specialist will not be entitled to
receive an allocation that would exceed
the size of the specialist’s COLA
Sweep.43
The Commission finds that the
specialist participation guarantee in the
COLA is consistent with the Act. The
Commission notes that it has closely
scrutinized exchange rule proposals
relating to specialist guarantees to
determine whether the specialist’s
participation would rise to a level that
could have a material adverse impact on
quote competition within a particular
exchange.44 Because the current
proposal would not increase the overall
percentage of an order that is guaranteed
beyond the existing thresholds, the
Commission does not believe that the
proposal will negatively impact quote
competition on the Exchange for
40 See Phlx Rule 1080, Commentary .08(e)(v) and
(f)(iii)(B)(2). See note 21, supra.
41 See Phlx Rule 1080, Commentary .08
(e)(vi)(A)(3) and (f)(iii)(B)(3). In addition, the COLA
allocation rules provide that if a COLA-eligible
order executes against interest in the market for the
individual components of the order, SQTs and
RSQTs quoting all components of the Complex
Order will have priority over SQTs and RSQTs
quoting a single component, but not over customer
orders. See Phlx Rule 1080, Commentary
.08(e)(vi)(A)(1).
42 See, e.g., CBOE Rules 6.45A(b)(ii) and
6.45B(b)(ii); and ISE Rule 722(b)(2).
43 See Phlx Rule 1080, Commentary .08(e)(vi)(C).
44 See, e.g., Securities Exchange Act Release No.
43100 (July 31, 2000), 65 FR 48788 (August 9,
2000).
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Complex Orders. The Commission also
notes that it previously approved the
Enhanced Specialist Participation for
the individual components of the
Complex Order.45 To receive an
Enhanced Specialist Participation in the
COLA, the specialist must satisfy the
applicable requirements in current Phlx
Rule 1014(g)(ii) to (iv).
The Commission also notes that Phlx
Rule 1080(c)(ii)(C), relating to an Order
Entry Firm’s trading as principal with
agency orders, will apply to Complex
Orders and COLA Sweeps.46
Finally, the Commission finds that the
SPP is consistent with the Act. It is
designed to protect market participants
by preventing the automatic execution
of certain Complex Order Strategies
outside of a pre-set acceptable price
range, which the Phlx will communicate
to members by Exchange Circular.47 The
Phlx XL system will place orders that
would execute outside of the acceptable
price range on the CBOOK, rather than
executing them automatically.48
IV. Conclusion
It is therefore ordered, pursuant to
Section 19(b)(2) of the Act,49 that the
proposed rule change (SR–Phlx–2008–
50) is approved.
For the Commission, by the Division of
Trading and Markets, pursuant to delegated
authority.50
Florence E. Harmon,
Acting Secretary.
[FR Doc. E8–19352 Filed 8–20–08; 8:45 am]
BILLING CODE 8010–01–P
SMALL BUSINESS ADMINISTRATION
[Disaster Declaration # 11378 and # 11379]
Indiana Disaster # IN–00022
This is a notice of an
Administrative declaration of a disaster
for the State of Indiana dated 08/15/
2008.
Incident: Severe Storm Flooding and
Tornadoes.
Incident Period: 08/04/2008.
Effective Date: 08/15/2008.
Physical Loan Application Deadline
Date: 10/14/2008.
mstockstill on PROD1PC66 with NOTICES
SUMMARY:
Securities Exchange Act Release No. 41588
(July 1, 1999), 64 FR 37185 (July 9, 1999) (order
approving File No. SR–Phlx–98–56).
46 See Phlx Rule 1080, Commentary .08(e)(iv)(D).
47 See Phlx Rule 1080, Commentary .08(g)(i)(C).
48 See Phlx Rule 1080, Commentary .08(g)(iii).
49 15 U.S.C. 78s(b)(2).
50 17 CFR 200.30–3(a)(12).
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17:48 Aug 20, 2008
Jkt 214001
SUMMARY: This is a notice of an
Administrative declaration of a disaster
for the State of Louisiana dated 08/15/
2008.
Incident: Severe Storms, Tornadoes
and Flooding.
Incident Period: 05/13/2008 through
05/15/2008.
Effective Date: 08/15/2008.
Physical Loan Application Deadline
Date: 10/14/2008.
Economic Injury (EIDL) Loan
Application Deadline Date: 05/15/2009.
ADDRESSES: Submit completed loan
applications to: U.S. Small Business
Administration, Processing and
Disbursement Center, 14925 Kingsport
Road, Fort Worth, TX 76155.
FOR FURTHER INFORMATION CONTACT: M.
Mitravich, Office of Disaster Assistance,
U.S. 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
Percent
locally announced locations.
The following areas have been
5.375 determined to be adversely affected by
the disaster:
2.687
Primary Counties:
8.000
Caddo.
Contiguous Counties:
Arkansas: Lafayette, Miller.
4.000
Louisiana: Bossier, De Soto, Red
River.
5.250
Texas: Cass, Harrison, Marion, Panola.
The Interest Rates are:
Homeowners With Credit Available Elsewhere .........................
Homeowners
Without
Credit
Available Elsewhere ..................
Businesses With Credit Available
Elsewhere .................................
Businesses & Small Agricultural
Cooperatives Without Credit
Available Elsewhere ..................
Other (Including Non-Profit Organizations) With Credit Available
Elsewhere .................................
Businesses and Non-Profit Organizations Without Credit Available Elsewhere .........................
4.000
The number assigned to this disaster
for physical damage is 11378 C and for
economic injury is 11379 0.
The States which received an EIDL
Declaration # are Indiana, Illinois.
U.S. Small Business
Administration.
ACTION: Notice.
AGENCY:
45 See
Economic Injury (EIDL) Loan
Application Deadline Date: 05/15/2009.
ADDRESSES: Submit completed loan
applications to: U.S. Small Business
Administration, Processing and
Disbursement Center, 14925 Kingsport
Road, Fort Worth, TX 76155.
FOR FURTHER INFORMATION CONTACT: M.
Mitravich, Office of Disaster Assistance,
U.S. 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:
Primary Counties:
Lake.
Contiguous Counties:
Illinois: Cook, Kankakee, Will.
Indiana: Jasper, Newton, Porter.
The Interest Rates are:
(Catalog of Federal Domestic Assistance
Numbers 59002 and 59008)
Dated: August 15, 2008.
Jovita Carranza,
Acting Administrator.
[FR Doc. E8–19370 Filed 8–20–08; 8:45 am]
BILLING CODE 8025–01–P
SMALL BUSINESS ADMINISTRATION
[Disaster Declaration #11380 and #11381]
Louisiana Disaster #LA–00018
U.S. Small Business
Administration.
ACTION: Notice.
AGENCY:
PO 00000
Frm 00127
Fmt 4703
Sfmt 4703
Percent
Homeowners With Credit Available Elsewhere .........................
Homeowners
Without
Credit
Available Elsewhere ..................
Businesses With Credit Available
Elsewhere .................................
Businesses and Small Agricultural
Cooperatives Without Credit
Available Elsewhere ..................
Other (Including Non-Profit Organizations) With Credit Available
Elsewhere .................................
Businesses and Non-Profit Organizations Without Credit Available Elsewhere .........................
5.375
2.687
8.000
4.000
5.250
4.000
The number assigned to this disaster
for physical damage is 11380 B and for
economic injury is 11381 0.
The States which received an EIDL
Declaration # are Louisiana, Arkansas,
Texas.
(Catalog of Federal Domestic Assistance
Numbers 59002 and 59008)
E:\FR\FM\21AUN1.SGM
21AUN1
Agencies
[Federal Register Volume 73, Number 163 (Thursday, August 21, 2008)]
[Notices]
[Pages 49529-49532]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: E8-19352]
-----------------------------------------------------------------------
SECURITIES AND EXCHANGE COMMISSION
[Release No. 34-58361; File No. SR-Phlx-2008-50]
Self-Regulatory Organizations; Philadelphia Stock Exchange, Inc.;
Order Approving a Proposed Rule Change Relating to the Electronic
Handling of Complex Orders
August 14, 2008.
I. Introduction
On July 1, 2008, the Philadelphia Stock Exchange, Inc. (``Phlx'' or
``Exchange'') filed with the Securities and Exchange Commission
(``Commission''), pursuant to Section 19(b)(1) of the Securities
Exchange Act of 1934 (``Act''),\1\ and Rule 19b-4 thereunder,\2\ a
proposal to adopt Phlx Rule 1080, Commentary .08, ``Complex Orders on
Phlx XL,'' to provide for the electronic handling of certain Complex
Orders on Phlx XL, the Phlx's electronic trading platform for options.
The proposed rule change was published for comment in the Federal
Register on July 10, 2008.\3\ The Commission received no comments
regarding the proposed rule change. This order approves the proposed
rule change.
---------------------------------------------------------------------------
\1\ 15 U.S.C. 78s(b)(1).
\2\ 17 CFR 240.19b-4.
\3\ See Securities Exchange Act Release No. 58099 (July 3,
2008), 73 FR 39769 (``Notice'').
---------------------------------------------------------------------------
II. Description of the Proposal
The Phlx proposes to adopt Phlx Rule 1080, Commentary .08 to
provide for the electronic handling of certain Complex Orders on Phlx
XL.\4\ Phlx members and Phlx XL participants quoting and trading in
open outcry will be required to submit quotes and/or orders
electronically to participate in the electronic Complex Order
system.\5\
---------------------------------------------------------------------------
\4\ The ``Complex Orders'' that may be traded on Phlx XL are
spread orders, as defined in Phlx Rule 1066(f)(1); straddle orders,
as defined in Phlx Rule 1066(f)(2); combination orders, as defined
in Phlx Rule 1066(f)(3); ratio orders; and collar (risk reversal)
orders. See Phlx Rule 1080, Commentary .08(a)(i).
\5\ See Phlx Rule 1080, Commentary .08(e)(ix).
---------------------------------------------------------------------------
As described briefly below and in greater detail in the Notice,\6\
the proposal establishes a Complex Order Opening Process (``COOP''), a
Complex Order Book (``CBOOK''), and a Complex Order Live Auction
(``COLA''). In addition, the proposal includes a Strategy Price
Protection (``SPP'') feature that will prevent certain Complex Orders
from trading at prices outside of specified pre-set limits.
---------------------------------------------------------------------------
\6\ See Notice, supra note 3.
---------------------------------------------------------------------------
COOP
After trading has opened in each component of a pending Complex
Order or re-opened following a trading halt, the Phlx XL system will
initiate the COOP.\7\ There will be one COOP per Complex Order
Strategy.\8\ The COOP is composed of two components: (1) The COOP
Timer, a period ranging from 0 to 600 seconds, as determined by the
Phlx, during which the Complex Order will not trade; and (2) the COOP
Evaluation, the period following the conclusion of the COOP Timer
during which the Phlx XL system will determine which Complex Order on
the CBOOK, if any, will be eligible for a COLA. Complex Orders received
during the COOP Timer and the COOP Evaluation will reside on the CBOOK
and will be visible to Phlx XL participants.\9\
---------------------------------------------------------------------------
\7\ See Phlx Rule 1080, Commentary .08(d)(ii). However, as
described in greater detail in the Notice, supra note 3, a COOP will
not be initiated if any of the conditions in Phlx Rule 1080,
Commentary .08(c)(ii) exist.
\8\ See Phlx Rule 1080, Commentary .08(d)(i). A ``Complex Order
Strategy'' is any Complex Order involving any option series that is
priced at a net debit or credit based on the relative prices of each
component. See Phlx Rule 1080, Commentary .08(a)(ii).
\9\ See Phlx Rule 1080, Commentary .08(d)(ii)(A)(3) and (4).
---------------------------------------------------------------------------
At the conclusion of the COOP Timer, the Phlx XL system will
identify the ``COLA-eligible order,'' \10\ if any, from
[[Page 49530]]
market and marketable limit Complex Orders, including Complex Orders
that cross the ``cPBBO,'' \11\ and Complex Orders that improve the
cPBBO, according to the methodology set forth in Phlx Rule 1080,
Commentary .08(d)(ii)(B)(2). If the system receives no such orders,
Complex Orders received during the COOP Timer will be placed on the
CBOOK.\12\
---------------------------------------------------------------------------
\10\ A ``COLA-eligible order'' is a Complex Order (a) identified
by way of a COOP; or (b) that, upon receipt, improves the cPBBO
(i.e., the Phlx best net debt or credit price for a Complex Order
based on the Phlx best bid or offer for the individual components of
the Complex Order). See Phlx Rule 1080, Commentary .08(e)(i)(B)(1).
The methodology for determining the COLA-eligible order is described
in greater detail in the Notice, supra note 3.
\11\ The cPBBO is the best net debit or credit price for a
Complex Order based on the Phlx's best bid and/or offer for the
individual legs of the Complex Order. See Phlx Rule 1080, Commentary
.08(a)(iv).
\12\ See Phlx Rule 1080, Commentary .08(d)(ii)(B)(1).
---------------------------------------------------------------------------
COLA
COLA Broadcast and Responses
After identifying a COLA-eligible order, the Phlx will send a
broadcast notice to Phlx XL participants \13\ indicating that the
system has initiated a COLA. The broadcast message will identify the
Complex Order Strategy, and the size of the order and any
contingencies, but not the side of the market or the price.\14\ During
the COLA Timer, which will not exceed five seconds, Phlx XL
participants may bid and/or offer on either or both side(s) of the
market by submitting one or more bids or offers that improve the cPBBO,
known as ``COLA Sweeps.'' \15\ COLA Sweeps will not be visible to Phlx
XL participants or disseminated by the Phlx.\16\ The requirements in
Phlx Rule 1080(c)(ii)(C) regarding trading as principal with agency
orders will apply to Complex Orders and COLA Sweeps.\17\ Complex Orders
for the same Complex Order Strategy as the COLA-eligible order may not
be cancelled during the COLA.\18\
---------------------------------------------------------------------------
\13\ Under the proposal, Phlx XL participants are Streaming
Quote Traders (``SQTs''), Remote Streaming Quote Traders
(``RSQTs''), non-SQT Register Options Traders (``ROTs''),
specialists and non-Phlx market makers on another exchange; non-
broker-dealer customers and non-market maker off-floor broker-
dealers; and Floor Brokers using the Options Floor Broker Management
System. See Phlx Rule 1080, Commentary .08(a)(vii).
\14\ See Phlx Rule 1080, Commentary .08(e)(ii).
\15\ See Phlx Rule 1080, Commentary .08(e)(iii) and (iv).
\16\ See Phlx Rule 1080, Commentary .08(e)(iv)(C).
\17\ See Phlx Rule 1080, Commentary .08(e)(iv)(D). Phlx Rule
1080(c)(ii)(C) prohibits an Order Entry Firm from executing as
principal against an order on the limit order book that it
represents as agent unless: (a) The agency order is first exposed on
the limit order book for at least three seconds; (b) the Order Entry
Firm has been bidding or offering on the Phlx for at least three
seconds prior to receiving the agency order that is executable
against such order; or (c) the Order Entry Firm proceeds in
accordance with the crossing rules in Phlx Rule 1064.
\18\ See Phlx Rule 1080, Commentary .08(e)(iii).
---------------------------------------------------------------------------
Executions and Allocations
If the system receives no COLA Sweeps or responsive Complex Orders
during the COLA Timer, the COLA-eligible order may trade at the Phlx
best bid or offer (``PBBO'') with quotes or orders on the limit order
book for the components of the Complex Order, provided that the order
can be executed in the correct ratio and at the desired price.\19\
---------------------------------------------------------------------------
\19\ See Phlx Rule 1080, Commentary .08(e)(vi)(A)(1). An SQT or
RSQT quoting all components of the Complex Order would have priority
over SQTs and RSQTs quoting a single component, but would not have
priority over customer orders. See Phlx Rule 1080, Commentary
.08(e)(vi)(A)(1).
---------------------------------------------------------------------------
If the system receives responses during the COLA Timer, the COLA-
eligible order and the responsive COLA Sweeps or Complex Orders will
trade, first, based on the best price or prices available at the end of
the COLA Timer, with responses at the same price allocated in the
following sequence: (1) Customer marketable Complex Orders on the
CBOOK; (2) COLA Sweeps on a size pro-rata basis; (3) SQT, RSQT, and
non-SQT ROT Immediate or Cancel Complex Orders on a size pro-rata
basis; and (4) non-market maker off-floor broker-dealers on a size pro-
rata basis.\20\
---------------------------------------------------------------------------
\20\ See Phlx Rule 1080, Commentary .08(e)(v) and (vi)(B)(1)-
(4). If the markets for the individual components of the COLA-
eligible order improve during the COLA Timer and match the best
price of COLA Sweep(s) and/or responsive Complex Order(s), the
system will execute the COLA Sweep(s) and/or responsive Complex
Order(s) before executing the individual components of the COLA-
eligible order. See Phlx Rule 1080, Commentary .08(e)(vi)(A)(2).
---------------------------------------------------------------------------
Executions in the COLA will comply with the complex order priority
requirements of Phlx Rule 1033(d).\21\ In addition, the COLA's priority
rules provide that a non-broker-dealer customer's Complex Order will
have priority over specialists, SQTs, RSQTs, and off-floor broker-
dealers bidding for or offering any components of the Complex Order at
the same price, but not over non-broker-dealer customer orders for any
components of the Complex Order at the same price.\22\
---------------------------------------------------------------------------
\21\ See Phlx Rule 1080, Commentary .08(e)(v). Phlx Rule 1033(d)
provides that when a member holding a hedge order (i.e., a spread,
straddle, or combination order), and bidding or offering on the
basis of a total credit or debit for the order has determined that
the order may not be executed by a combination of transactions at or
within the bids and offers established in the marketplace, then the
order may be executed as a hedge order at the total credit or debit
with one other member with priority over either the bid or the offer
established in the marketplace that is not better than the bids or
offers comprising the total credit or debit, provided that the
member executes at least one option leg at a better price than the
established bid or offer for that contract and no option leg is
executed at a price outside of the established bid or offer for that
option contract.
\22\ See Phlx Rule 1080, Commentary .08(e)(vi)(A)(3).
---------------------------------------------------------------------------
If the specialist submits a COLA Sweep at the same price as other
COLA Sweeps, then, after any customer marketable Complex Orders have
been executed against the COLA-eligible order, the specialist will be
entitled to receive the greater of: (1) The proportion of the aggregate
size at the cPBBO associated with the specialist's COLA Sweep, SQT and
RSQT COLA Sweeps, and non-SQT ROT Complex Orders on the CBOOK; (2) the
Enhanced Specialist Participation described in Phlx Rule 1014(g)(ii)-
(iv); or (3) 40% of the remainder of the order.\23\
---------------------------------------------------------------------------
\23\ See Phlx Rule 1080, Commentary .08(e)(vi)(C). The
specialist is not entitled to receive an allocation that would
exceed the size of the specialist's COLA Sweep. See Phlx Rule 1080,
Commentary .08(e)(vi)(C)(4).
---------------------------------------------------------------------------
The components of a COLA-eligible order may be executed in one-cent
increments, regardless of the minimum quoting increments otherwise
applicable to the individual legs of the order.\24\
---------------------------------------------------------------------------
\24\ See Phlx Rule 1080, Commentary .08(e)(v).
---------------------------------------------------------------------------
Treatment of Incoming Orders Received During the COLA
Incoming Complex Orders on the same side of the market as the COLA-
eligible order that are received during the COLA will join the COLA,
although the original COLA-eligible order will have priority at all
price points over any incoming Complex Order, regardless of the price
of the incoming order.\25\ If the incoming Complex Order is not
executed in its entirety, any remaining contracts will be placed on the
CBOOK, subject to other instructions.\26\
---------------------------------------------------------------------------
\25\ See Phlx Rule 1080, Commentary .08(e)(viii)(B).
\26\ Id.
---------------------------------------------------------------------------
Incoming customer and non-customer Complex Orders on the opposite
side of the market from the COLA-eligible order that have prices equal
to or better than the best-priced COLA Sweep may execute against the
COLA-eligible order or be placed on the CBOOK, subject to other
instructions, if unexecuted interest remains in the incoming order
after the COLA-eligible order has been executed in its entirety.\27\
Incoming Complex Orders on the opposite side of the market that have a
price inferior to the COLA Sweep Price(s) will execute against the
COLA-eligible order after interest at the better COLA Sweep Price(s)
has been executed. Any unexecuted remaining contracts in the
[[Page 49531]]
incoming Complex Order will be placed on the CBOOK, subject to other
instructions.\28\
---------------------------------------------------------------------------
\27\ See Phlx Rule 1080, Commentary .08(e)(viii)(C)(1) and (2).
\28\ See Phlx Rule 1080, Commentary .08(e)(viii)(C)(3).
---------------------------------------------------------------------------
CBOOK
Non-broker-dealer customer and non-market maker broker-dealer
Complex Orders may be entered on the CBOOK.\29\ An order resting on the
CBOOK may execute against quotes or orders on the limit order book for
the individual components of the order or against incoming Complex
Order(s) that do not trigger a COLA Timer, whichever arrives first.\30\
An incoming Complex Order that does not trigger a COLA Timer may
execute against interest on the limit order book for the individual
components of the order or against Complex Orders resting on the
CBOOK.\31\ Complex Orders on the CBOOK may be executed in one-cent
increments, regardless of the minimum increments applicable to the
individual components of the Complex Order.\32\ Executions against
orders on the CBOOK will comply with the complex order priority
requirements of Phlx Rule 1033(d).\33\ In addition, the CBOOK rules
provide that a non-broker-dealer customer Complex Order will have
priority over specialists, SQTs, RSQTs, and off-floor broker-dealers
bidding for or offering any component(s) of a Complex Order at the same
price, but not over non-broker-dealer customer orders representing any
component(s) of the Complex Order at the same price.\34\
---------------------------------------------------------------------------
\29\ See Phlx Rule 1080, Commentary .08(f).
\30\ See Phlx Rule 1080, Commentary .08(f)(iii)(A).
\31\ See Phlx Rule 1080, Commentary .08(f)(iii)(B).
\32\ See Phlx Rule 1080, Commentary .08(f)(i).
\33\ See Phlx Rule 1080, Commentary .08(f)(iii)(B)(2).
\34\ See Phlx Rule 1080, Commentary .08(f)(iii)(B)(3).
---------------------------------------------------------------------------
SPP
The SPP is a system feature that will prevent ``Vertical Spreads''
\35\ and ``Time Spreads'' \36\ from trading at prices outside of pre-
set standard limits. If an execution would violate these limits, the
system will place the order on the CBOOK.\37\
---------------------------------------------------------------------------
\35\ A Vertical Spread is a Complex Order Strategy consisting of
the purchase of one call (put) option and the sale of another call
(put) option overlying the same security that have the same
expiration but different strike prices. See Phlx Rule 1080,
Commentary .08(g)(i).
\36\ A Time Spread is a Complex Order Strategy consisting of the
purchase of one call (put) option and the sale of another call (put)
option overlying the same security that have different expirations
but the same strike price. See Phlx Rule 1080, Commentary
.08(g)(ii).
\37\ See Phlx Rule 1080, Commentary .08(g)(iii).
---------------------------------------------------------------------------
III. Discussion
After careful review, the Commission finds that the proposed rule
change is consistent with the requirements of the Act and the rules and
regulations thereunder applicable to a national securities
exchange.\38\ In particular, the Commission finds that the proposal is
consistent with Section 6(b)(5) of the Act,\39\ which requires, in
part, that the rules of a national securities exchange be designed to
prevent fraudulent and manipulative acts and practices, to promote just
and equitable principles of trade, 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.
---------------------------------------------------------------------------
\38\ In approving the proposed rule change, the Commission has
considered the proposed rule's impact on efficiency, competition,
and capital formation. See 15 U.S.C. 78c(f).
\39\ 15 U.S.C. 78f(b)(5).
---------------------------------------------------------------------------
The Commission believes that the proposal to supplement the trading
of complex orders on the Phlx's floor with a facility for the
electronic handling of Complex Orders is consistent with the Act.
In particular, the Commission finds that the COOP is consistent
with the Act because it is designed to provide an orderly procedure for
opening electronic trading in Complex Orders. The Commission also finds
that the rules for the display of orders on the CBOOK, which will be
visible to Phlx XL participants, also are consistent with the Act and
are likely to increase transparency.
In addition, the Commission finds that the COLA is consistent with
the Act because it is designed to provide a competitive auction
process, lasting up to five seconds, that could provide price
improvement for COLA-eligible orders. During the COLA Timer, Phlx XL
participants will be able to bid and/or offer on either or both sides
of the market by submitting COLA Sweeps that improve the cPBBO. At the
conclusion of the COLA Timer, the COLA-eligible order may execute
against COLA Sweeps, Complex Orders received during the COLA, or, if
the Phlx receives no COLA Sweeps or responsive Complex Orders, against
existing interest on the limit order book for the individual components
of the Complex Order. A member could elect to forego the COLA by
sending its order to the Phlx's floor for execution.
The Commission finds that the Phlx's rules for the allocation of
trades with Complex Orders are consistent with the Act. Executions of
Complex Orders through the COLA and the CBOOK will comply with the
complex order priority requirements of Phlx Rule 1033(d).\40\ The CBOOK
and COLA rules also provide that non-broker-dealer customer Complex
Orders will have priority over specialists, SQTs, RSQTs, and off-floor-
broker-dealers bidding for and/or offering any component(s) of the
Complex Order at the same price, but not over non-broker-dealer
customer orders representing any component(s) of the Complex Order at
the same price.\41\ The Commission notes that other options markets
have comparable priority provisions for complex orders.\42\
---------------------------------------------------------------------------
\40\ See Phlx Rule 1080, Commentary .08(e)(v) and
(f)(iii)(B)(2). See note 21, supra.
\41\ See Phlx Rule 1080, Commentary .08 (e)(vi)(A)(3) and
(f)(iii)(B)(3). In addition, the COLA allocation rules provide that
if a COLA-eligible order executes against interest in the market for
the individual components of the order, SQTs and RSQTs quoting all
components of the Complex Order will have priority over SQTs and
RSQTs quoting a single component, but not over customer orders. See
Phlx Rule 1080, Commentary .08(e)(vi)(A)(1).
\42\ See, e.g., CBOE Rules 6.45A(b)(ii) and 6.45B(b)(ii); and
ISE Rule 722(b)(2).
---------------------------------------------------------------------------
The COLA rules provide for a specialist participation guarantee
equal to the greater of: (a) The proportion of the aggregate size at
the cPBBO associated with such specialist's COLA Sweep, SQT and RSQT
COLA Sweeps, and non-SQT ROT Complex Orders on the CBOOK (i.e., size
pro rata); (b) the Enhanced Specialist Participation as described in
current Phlx Rule 1014(g)(ii) to (iv); or (c) 40% of the remainder of
the order. In addition, public customer Complex Orders that are
marketable against the COLA-eligible order will have priority over the
specialist's participation guarantee and the specialist will not be
entitled to receive an allocation that would exceed the size of the
specialist's COLA Sweep.\43\
---------------------------------------------------------------------------
\43\ See Phlx Rule 1080, Commentary .08(e)(vi)(C).
---------------------------------------------------------------------------
The Commission finds that the specialist participation guarantee in
the COLA is consistent with the Act. The Commission notes that it has
closely scrutinized exchange rule proposals relating to specialist
guarantees to determine whether the specialist's participation would
rise to a level that could have a material adverse impact on quote
competition within a particular exchange.\44\ Because the current
proposal would not increase the overall percentage of an order that is
guaranteed beyond the existing thresholds, the Commission does not
believe that the proposal will negatively impact quote competition on
the Exchange for
[[Page 49532]]
Complex Orders. The Commission also notes that it previously approved
the Enhanced Specialist Participation for the individual components of
the Complex Order.\45\ To receive an Enhanced Specialist Participation
in the COLA, the specialist must satisfy the applicable requirements in
current Phlx Rule 1014(g)(ii) to (iv).
---------------------------------------------------------------------------
\44\ See, e.g., Securities Exchange Act Release No. 43100 (July
31, 2000), 65 FR 48788 (August 9, 2000).
\45\ See Securities Exchange Act Release No. 41588 (July 1,
1999), 64 FR 37185 (July 9, 1999) (order approving File No. SR-Phlx-
98-56).
---------------------------------------------------------------------------
The Commission also notes that Phlx Rule 1080(c)(ii)(C), relating
to an Order Entry Firm's trading as principal with agency orders, will
apply to Complex Orders and COLA Sweeps.\46\
---------------------------------------------------------------------------
\46\ See Phlx Rule 1080, Commentary .08(e)(iv)(D).
---------------------------------------------------------------------------
Finally, the Commission finds that the SPP is consistent with the
Act. It is designed to protect market participants by preventing the
automatic execution of certain Complex Order Strategies outside of a
pre-set acceptable price range, which the Phlx will communicate to
members by Exchange Circular.\47\ The Phlx XL system will place orders
that would execute outside of the acceptable price range on the CBOOK,
rather than executing them automatically.\48\
---------------------------------------------------------------------------
\47\ See Phlx Rule 1080, Commentary .08(g)(i)(C).
\48\ See Phlx Rule 1080, Commentary .08(g)(iii).
---------------------------------------------------------------------------
IV. Conclusion
It is therefore ordered, pursuant to Section 19(b)(2) of the
Act,\49\ that the proposed rule change (SR-Phlx-2008-50) is approved.
---------------------------------------------------------------------------
\49\ 15 U.S.C. 78s(b)(2).
For the Commission, by the Division of Trading and Markets,
pursuant to delegated authority.\50\
---------------------------------------------------------------------------
\50\ 17 CFR 200.30-3(a)(12).
---------------------------------------------------------------------------
Florence E. Harmon,
Acting Secretary.
[FR Doc. E8-19352 Filed 8-20-08; 8:45 am]
BILLING CODE 8010-01-P