Self-Regulatory Organizations; Chicago Board Options Exchange, Incorporated; Notice of Filing of a Proposed Rule Change Relating to Spread Margin Rules, 33802-33805 [2012-13763]
Download as PDF
33802
Federal Register / Vol. 77, No. 110 / Thursday, June 7, 2012 / Notices
SECURITIES AND EXCHANGE
COMMISSION
[Release No. 34–67086; File No. SR–CBOE–
2012–043]
Self-Regulatory Organizations;
Chicago Board Options Exchange,
Incorporated; Notice of Filing of a
Proposed Rule Change Relating to
Spread Margin Rules
May 31, 2012.
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 29,
2012, the Chicago Board Options
Exchange, Incorporated (‘‘Exchange’’ or
‘‘CBOE’’) 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.
The Commission is publishing this
notice to solicit comments on the
proposed rule change from interested
persons.
I. Self-Regulatory Organization’s
Statement of the Terms of Substance of
the Proposed Rule Change
This filing proposes universal spread
margin rules. The text of the proposed
rule change is available on the
Exchange’s Web site (https://
www.cboe.com/AboutCBOE/
CBOELegalRegulatoryHome.aspx), at
the Exchange’s Office of the Secretary,
and at the Commission’s Public
Reference Room.
srobinson on DSK4SPTVN1PROD with NOTICES
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
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 the
Statutory Basis for, the Proposed Rule
Change
1. Purpose
An option spread is typically
characterized by the simultaneous
holding of a long and short option of the
1 15
2 17
U.S.C. 78s(b)(1).
CFR 240.19b–4.
VerDate Mar<15>2010
17:48 Jun 06, 2012
Jkt 226001
same type (put or call) where both
options overly the same security or
instrument, but have different exercise
prices and/or expirations. To be eligible
for spread margin treatment, the long
option may not expire before the short
option. These long put/short put or long
call/short call spreads are known as
two-legged spreads.
Since the inception of the Exchange,
the margin requirements for two-legged
spreads have been specified in CBOE
margin rules.3 The margin requirement
for a two-legged spread that is eligible
for spread margin treatment is its
maximum risk based on the intrinsic
values of the options, exclusive of any
net option premiums paid or received
when the positions were established.4
For example, consider the following
equity option spread:
Long 1 XYZ May2011 60 call
Short 1 XYZ May2011 50 call
The maximum potential loss (i.e.,
risk) for this particular spread would be
a scenario where the price of the
underlying stock (XYZ) is $60 or higher.
If the market price of XYZ is $60, the
May2011 60 call would have an
intrinsic value of zero, because the right
to buy at $60 when XYZ can be
purchased in the market for $60 has no
intrinsic value. The May2011 50 call
would have an intrinsic value of $10
because of the $10 advantage gained by
being able to buy at $50 when it costs
$60 to purchase XYZ in the market.
Because each option contract controls
100 shares of the underlying stock, the
intrinsic value, which was calculated on
a per share basis, is multiplied by 100,
resulting in an aggregate intrinsic value
of $1,000 for the May2011 50 call.5
However, because the May2011 50 call
is short, the $1,000 intrinsic value is a
loss, because it represents the cost to
close (i.e., buy-back) the short option. At
an assumed XYZ market price of $60,
netting the intrinsic values of the
options results in a loss of $1,000
(¥$1,000 + 0).6 Therefore, the
maximum risk of, and margin
requirement for, this spread is $1,000. If
there is no maximum risk (i.e., there is
no loss calculated at any of the exercise
prices found in the spread), no margin
3 Chapter
12. Rule 12.3(c)(5)(C)(4).
4 Any net credit received for establishing a spread
may be applied to the margin requirement, if any.
In the case of a spread that is established for a net
debit, the net debit must be paid for in full.
5 The result would be multiplied by the number
of contracts when more than a one-by-one contract
spread is involved.
6 At an assumed market price of $50, both the
May2011 50 call and May2011 60 call would have
no intrinsic value. Thus, there is no risk (provided
any net debit is paid for in full) at an assumed
market price of $50.
PO 00000
Frm 00100
Fmt 4703
Sfmt 4703
is required, but under Exchange margin
rules any net debit incurred to establish
the spread would be required to be paid
for in full. Current CBOE Rule
12.3(c)(5)(C)(4) provides that, when the
exercise price of the long call (or short
put) is less than or equal to the exercise
price of the offsetting short call (or long
put), no margin is required; and that
when the exercise price of the long call
(or short put) is greater than the exercise
price of the offsetting short call (or long
put) the amount of margin required is
the lesser of the margin requirement on
the short option, if treated as uncovered,
or the difference in the aggregate
exercise prices. The intrinsic value
calculation described above is
essentially expressed, in different
words, in the current rule language.
The maximum risk remains constant
at $1,000 for XYZ market prices higher
than $60 because for each incremental
increase in the assumed market price of
XYZ above $60, the loss on the short
option is equally offset by a gain on the
long option in terms of their intrinsic
values. By calculating the net intrinsic
value of the options at each exercise
price found in the spread, as in the
computation exemplified above, the
maximum risk of, and margin
requirement for, any two-legged spread
can be determined.
On August 23, 1999, the Exchange
implemented specific definitions and
margin requirements for butterfly
spreads and box spreads.7 In a butterfly
spread, a two-legged spread is combined
with a second two-legged spread (same
type—put or call—and same underlying
security) as in the following example:
Long 1 XYZ May2011 50 call
Short 1 XYZ May2011 60 call
Long 1 XYZ May2011 70 call
Short 1 XYZ May2011 60 call
Note that a short XYZ May2011 60
call option is common to both twolegged spreads. Therefore, by adding the
May2011 60 call options together, the
two spreads can be combined to form a
butterfly spread as follows:
Long 1 XYZ May2011 50 call
Short 2 XYZ May2011 60 calls
Long 1 XYZ May2010 70 call 8
The margin requirement for a
butterfly spread is its maximum risk.
The maximum risk can be determined
7 The butterfly and box spread margin rules, and
various other CBOE margin rule changes, were
approved by the Securities and Exchange
Commission on July 27, 1999. See Securities
Exchange Act Release No. 41658 (July 27, 1999), 64
FR 42736 (SR–CBOE–97–67).
8 This configuration represents a long butterfly
spread. The opposite (i.e., short 1 XYZ May2011 50
call, long 2 XYZ May2011 60 calls and short 1 XYZ
May2011 70 call) would be a short butterfly spread.
E:\FR\FM\07JNN1.SGM
07JNN1
Federal Register / Vol. 77, No. 110 / Thursday, June 7, 2012 / Notices
in the same manner as demonstrated
above for two-legged spreads. In this
example, the net intrinsic values would
be calculated at assumed prices for the
underlying of $50, $60 and $70, which
are the exercise prices found in the
butterfly spread. The greatest loss, if
any, from among the net intrinsic values
is the margin requirement. For this
particular butterfly spread, there is no
loss in terms of net intrinsic values at
any of the assumed underlying prices
($50, $60 or $70). Therefore, there is no
margin requirement. However, the net
debit incurred to establish this butterfly
spread must be paid for in full.
In a box spread, a two-legged call
spread is combined with a two-legged
put spread. The exercise prices of the
long and short put options are the
reverse of the call spread. All options
have the same underlying security and
expiration date. An example is as
follows:
Long 1 XYZ May2011 50 call
Short 1 XYZ May2011 60 call
Long 1 XYZ May2011 60 put
Short 1 XYZ May2011 50 put 9
The margin requirement for a box
spread, unless all options are European
style, is its maximum risk. The
maximum risk of a box spread can be
determined in the same manner as
demonstrated above for two-legged
spreads and butterfly spreads. In this
example, the net intrinsic values would
be calculated at assumed prices for the
underlying of $50 and $60, which are
the exercise prices found in the box
spread. The greatest loss, if any, from
among the net intrinsic values is the
margin requirement. For this particular
box spread (long box spread), there is no
loss in terms of net intrinsic values at
either of the assumed underlying prices
($50 or $60). Therefore, there is no
margin requirement. However, the net
debit incurred to establish this box
spread must be paid for in full. In the
case of a long box spread where all
options are European style, the margin
requirement is 50% of the difference in
the exercise prices (in aggregate).10
On August 13, 2003, the Exchange
issued a Regulatory Circular (RG03–066)
srobinson on DSK4SPTVN1PROD with NOTICES
9 This
configuration represents a long box spread.
The opposite (i.e., short 1 XYZ May2011 50 call,
long 1 XYZ May2011 60 call, short 1 May2011 60
put and long 1 XYZ May2011 50 put) would be a
short box spread.
10 A 50% margin requirement is allowed because
a long box spread has an intrinsic value at
expiration equal to the difference in the exercise
prices (in aggregate), which will more than cover
the net debit incurred to establish the spread. A
long box spread is, essentially, a riskless position.
The difference between the value of the long box
spread realizable at expiration and the lower cost
to establish the spread represents a risk-free rate of
return.
VerDate Mar<15>2010
17:48 Jun 06, 2012
Jkt 226001
to define additional types of multi-leg
option spreads, and to set margin
requirements for these spreads through
interpretation of Exchange margin rules.
The Regulatory Circular had been filed
with the Commission and was approved
on August 8, 2003, on a one-year pilot
basis.11 The Regulatory Circular was
reissued as RG04–90 (dated August 16,
2004) and RG05–37 (dated April 6,
2005) pursuant to one-year extensions of
the pilot granted by the Commission on
August 6, 2004, and March 22, 2005,
respectively.12
The Regulatory Circular identified
seven spread strategies by presenting an
example of each spread’s configuration,
and numbering each configuration,
rather than designating the
configurations by names commonly
used in the industry. The seven
configurations would be referred to in
the industry as:
Long Condor Spread,
Short Iron Butterfly Spread,
Short Iron Condor Spread,
Long Calendar Butterfly Spread,
Long Calendar Condor Spread,
Short Calendar Iron Butterfly Spread and
Short Calendar Iron Condor Spread.
On July 30, 2004, the Exchange filed
proposed rule amendments with the
Commission to codify the provisions of
the Regulatory Circular in Exchange
margin rules. Included in the proposal
were definitions of Long Condor Spread
(which includes a Long Calendar
Condor Spread), Short Iron Butterfly
Spread (which includes a Short
Calendar Iron Butterfly Spread), and
Short Iron Condor Spread (which
includes a Short Calendar Iron Condor
Spread). In addition, it was proposed
that the existing definition of Long
Butterfly Spread be amended to include
a Long Calendar Butterfly Spread. The
margin requirements, specific to each
type of spread, as had been set-forth in
the Regulatory Circulars, were also
proposed for inclusion in Exchange
margin rules.13 Contemporaneously, the
New York Stock Exchange filed similar
margin rule proposals with
Commission.14 CBOE’s proposed rule
11 See Securities Exchange Act Release No. 48306
(Aug. 8, 2003), 68 FR 48974 (Aug. 15, 2003) (SR–
CBOE–2003–24).
12 See Securities Exchange Act Release No. 50164
(Aug. 6, 2004), 69 FR 50405 (Aug. 16, 2004) and
Securities Exchange Act Release No. 51407 (Mar.
22, 2005), 70 FR 15669 (Mar. 28, 2005).
13 See Securities Exchange Act Release No. 52739
(Nov. 4, 2005), 70 FR 69173 (Nov. 14, 2005) (SR–
CBOE–2004–53). This release also noticed a partial
amendment (Amendment No. 1) that was filed on
August 23, 2005 (in coordination with the New
York Stock Exchange).
14 See Securities Exchange Act Release No. 52738
(Nov. 4, 2005), 70 FR 68501 (Nov. 10, 2005) (SR–
NYSE–2004–39). For approval order, see Securities
PO 00000
Frm 00101
Fmt 4703
Sfmt 4703
33803
amendment was approved by the
Commission on December 14, 2005.15
Because a number of variations are
possible for each basic type of multi-leg
option spread strategy, it is problematic
to maintain margin rules specific to
each.16 It becomes difficult to
continually designate each variation by
name, and define and specify a margin
requirement for it in the rules. For
example, consider the following
spreads:
Long 10 XYZ May2011 50 call
Short 10 XYZ May2011 55 call
Long 5 XYZ May2010 70 call
Short 5 XYZ May2011 60 call
These two spreads combined are a
variation of a condor spread. In a basic
condor spread, the number of option
contracts would be equal across all
option series and the interval between
the exercise prices of each spread would
be equal. In the above variation, there is
a 10-by-10 contract spread vs. a 5-by-5
contract spread, and a spread with a 5
point interval between exercise prices
vs. a spread with a 10 point interval
between exercise prices. The two
spreads in the above example offset
each other in terms of risk, and no
margin requirement is necessary.
However, margin of $5,000 is required
under the Exchange’s current margin
rules, because this variation of the
condor spread is not specified in the
rules. Because it is not recognized in
Exchange margin rules, the two spreads
must be treated as separate, unrelated
spread strategies for margin purposes.
As a result, spread margin of $5,000 is
required (on the May2011 70/May2010
60 call spread) versus no requirement
(other than pay for the net debit in full),
if the two spreads could be recognized
as one strategy.
This rule filing proposes a single,
universal definition of a spread and one
spread margin requirement that consists
of a universal margin requirement
computation methodology. In this
manner, the margin requirement for all
types of option spreads would be
covered by a single rule, without regard
to the number of option series involved
or the term commonly used in the
Exchange Act Release No. 52951 (Dec. 14, 2005), 70
FR 75523 (Dec. 20, 2005).
15 See Securities Exchange Act Release 52950
(Dec. 14, 2005), 70 FR 75512 (Dec. 20, 2005).
16 A long calendar butterfly spread is an example
of a variation. The basic type would be butterfly
spread. In a long calendar butterfly spread, one of
the long options expires after the other two options
expire concurrently, whereas in the basic butterfly
spread, all options expire concurrently. Another
example of a variation of a butterfly spread would
be a configuration where the intervals between the
exercise prices involved are not equal. In a basic
butterfly spread, the intervals are equal (i.e.,
symmetric).
E:\FR\FM\07JNN1.SGM
07JNN1
33804
Federal Register / Vol. 77, No. 110 / Thursday, June 7, 2012 / Notices
industry to refer to the spread. This
would eliminate the need to define, and
refer to, particular spreads by monikers
commonly used in the industry.
Therefore, this rule filing proposes to
eliminate definitions of each particular
spread strategy (e.g., butterfly, condor,
iron butterfly, iron condor, etc.), with
one exception.
The one exception would be ‘‘Box
Spreads.’’ A definition for ‘‘Box Spread’’
would be retained because loan value is
permitted under Exchange margin rules
for box spreads. Box spreads are the
only type of spread that is eligible for
loan value. They, therefore, need to be
specially identified in the rules.
Additionally, the proposed rule
changes would automatically enable
variations not currently recognized in
Exchange margin rules (because only a
limited number of specific spread
strategies are defined) to receive spread
margin treatment.
A new definition of a spread is
proposed as Rule 12.3(a)(5). The key to
the definition is that it designates a
spread as being an equivalent long and
short position in different call option
series and/or equivalent long and short
positions in different put option series,
or a combination thereof.17 With respect
to equivalency of long and short
positions, the definition further requires
that the long and short positions be
equal in terms of the aggregate value of
the underlying security or instrument
covered by each leg. The aggregate value
equivalency is included so that it is
clear that a spread composed of one
standard option contract and one
reduced value option contract covering
the same underlying security or
instrument would be permissible. For
example, if reduced value options, equal
to 1/10th the value of a standard option
contract are trading, a spread consisting
of 10 reduced value contracts vs. one
standard contract would be
permissible.18 As with spreads under
the current rule, the proposed rule
further requires that the short option(s)
expire after, or at the same time as, the
long option(s). Additionally, under the
proposed rule definition, all options in
a spread must have the same exercise
style (American or European) and either
be composed of all listed options or all
over-the-counter (OTC) options. Spreads
that do not conform to the definition
would be ineligible for spread margin
treatment.
Amendments to CBOE Rule
12.3(c)(5)(C)(4) are proposed to
implement language specifying how a
margin requirement is to be computed
for any spread that meets the definition,
and limit eligibility for spread margin
treatment to spreads that meet the
definition. The computational method
would require that the intrinsic value of
each option series contained in a spread
be calculated for assumed prices of the
underlying security or instrument. The
exercise prices of the option series
contained in the spread would be
required to be used as the assumed
prices of the underlying security or
instrument. For each assumed price of
the underlying, the intrinsic values
would be netted. The greatest loss from
among the netted intrinsic values would
be the spread margin requirement. As an
example, consider the following spread:
Long 1 XYZ May2011 50 put
Short 1 XYZ May2011 60 put
Short 1 XYZ May2011 65 call
Long 1 XYZ May2011 70 call
This spread is a variation of an iron
condor spread. It consists of a put
spread and a call spread, with all
options covering the same underlying
security or instrument. There are an
equal number of contracts long and
short in both the put spread and call
spread. The short options expire with or
after the long options (with, in this
case). It is assumed that all options are
of the same exercise style (American or
European). This spread would,
therefore, be eligible for the spread
margin requirement computation in this
proposed rule amendment.
Note that in this example, the interval
between the exercise prices in the put
spread is greater than the interval in the
call spread. In a basic iron condor
spread, these intervals are equal. This
particular configuration is not
recognized under current Exchange
margin rules. Therefore the component
put spread and call spread must be
viewed as separate, unrelated strategies
for margin purposes. Under current
Exchange margin rules, there is a $1,000
margin requirement on the put spread
and $500 margin requirement on the
call spread. However, there are
offsetting properties between the two
spreads, and, if viewed collectively, a
total margin requirement of $1,500 is
not necessary. Using the proposed
computational methodology, a margin
requirement would be calculated as
follows:
INTRINSIC VALUES FOR ASSUMED PRICES OF THE UNDERLYING
Spread
$50
$60
$65
$70
0
$(1,000)
0
0
0
0
0
0
0
0
0
0
0
0
$(500)
0
Net intrinsic values ...................................................................................................................
srobinson on DSK4SPTVN1PROD with NOTICES
Long 1 XYZ May2011 50 put ..........................................................................................................
Short 1 XYZ May2011 60 put ..........................................................................................................
Short 1 XYZ May2011 65 call .........................................................................................................
Long 1 XYZ May2011 70 call ..........................................................................................................
$(1,000)
0
0
$(500)
The greatest loss from among the
netted intrinsic values is $1,000.19
Under the proposed rule amendments,
this would be the margin requirement.
This spread margin requirement is $500
less than that required under current
Exchange margin rules. Note that under
both the current and proposed rules,
any net debit incurred when
establishing the spread is required to be
paid for in full.
It can be intuitively shown that the
put spread and call spread in the
example do not have $1,500 of risk
when viewed collectively. If the price of
the underlying is at or above $60, the
put spread would have no intrinsic
value. At or below $65, the call spread
would have no intrinsic value. Thus,
both spreads would never be at risk at
any given price of the underlying.
Therefore, margin need be required on
only one of the spreads—the one with
the highest risk. In this example, the put
spread has the highest risk ($1,000), and
that is the risk (and margin requirement)
17 An option series means particular exercise
price and expiration date with respect to a put or
call option.
18 Currently, spreads consisting of standard
contracts and reduced value contracts are permitted
by the rules, although the current rule does not go
into detail to require equivalent aggregate
underlying value between the long and short legs.
19 Again, depending on the type of spread
strategy, there may be no loss among the netted
intrinsic values, in which case there would be no
margin requirement.
VerDate Mar<15>2010
17:48 Jun 06, 2012
Jkt 226001
PO 00000
Frm 00102
Fmt 4703
Sfmt 4703
E:\FR\FM\07JNN1.SGM
07JNN1
Federal Register / Vol. 77, No. 110 / Thursday, June 7, 2012 / Notices
that would be rendered by the proposed
computational methodology.
In summary, the proposed rule
amendments would enable the
Exchange, for margin purposes, to
accommodate the many types of spread
strategies utilized in the industry today
in a fair and efficient manner.
2. Statutory Basis
The Exchange believes that the
proposed rule change is consistent with
Section 6(b) 20 of the Act and the rules
and regulations under the Act, in
general, and furthers the objectives of
Section 6(b)(5).21 Because this rule filing
proposes a single, universal definition
of a spread and one spread margin
requirement that consists of a universal
margin requirement computation
methodology, it promotes just and
equitable principles of trade and fosters
cooperation and coordination with
persons engaged in facilitating
transactions in securities. By adding
clarity and consistency to margin
requirements, it also removes
impediments to and perfects the
mechanisms of a free and open market
and a national market system, and, in
general, to protect investors and the
public interest.
B. Self-Regulatory Organization’s
Statement on Burden on Competition
CBOE 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.
srobinson on DSK4SPTVN1PROD with NOTICES
C. Self-Regulatory Organization’s
Statement on Comments on the
Proposed Rule Change Received from
Members, Participants, or Others
The Exchange neither solicited nor
received comments on the proposed
rule change.
III. Date of Effectiveness of the
Proposed Rule Change and Timing for
Commission Action
Within 45 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 or disapprove
such proposed rule change, or
(B) Institute proceedings to determine
whether the proposed rule change
should be disapproved.
20 15
21 15
U.S.C. 78f(b).
U.S.C. 78f(b)(5).
VerDate Mar<15>2010
17:48 Jun 06, 2012
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:
For the Commission, by the Division of
Trading and Markets, pursuant to delegated
authority.22
Kevin M. O’Neill,
Deputy Secretary.
[FR Doc. 2012–13763 Filed 6–6–12; 8:45 am]
BILLING CODE 8011–01–P
Electronic Comments
DEPARTMENT OF TRANSPORTATION
• Use the Commission’s Internet
comment form (https://www.sec.gov/
rules/sro.shtml); or
• Send an email to rulecomments@sec.gov. Please include File
Number SR–CBOE–2012–043 on the
subject line.
Federal Aviation Administration
Paper Comments
• Send paper comments in triplicate
to Elizabeth M. Murphy, Secretary,
Securities and Exchange Commission,
100 F Street NE., Washington, DC
20549–1090.
All submissions should refer to File
Number SR–CBOE-2012–043. This file
number should be included on the
subject line if email 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 Web site viewing and
printing in the Commission’s Public
Reference Room, 100 F Street NE.,
Washington, DC 20549 on official
business days between the hours of
10:00 a.m. and 3:00 p.m. 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–CBOE–
2012–043 and should be submitted on
or before June 28, 2012.
22 17
Jkt 226001
33805
PO 00000
CFR 200.30–3(a)(12).
Frm 00103
Fmt 4703
Sfmt 4703
Notice of Passenger Facility Charge
(PFC) Approvals and Disapprovals
Federal Aviation
Administration (FAA), DOT.
ACTION: Monthly Notice of PFC
Approvals and Disapprovals. In May
2012, there were three applications
approved. This notice also includes
information on one application,
approved in April 2012, inadvertently
left off the April 2012 notice.
Additionally, four approved
amendments to previously approved
applications are listed.
AGENCY:
The FAA publishes a monthly
notice, as appropriate, of PFC approvals
and disapprovals under the provisions
of the Aviation Safety and Capacity
Expansion Act of 1990 (Title IX of the
Omnibus Budget Reconciliation Act of
1990) (Pub. L. 101–508) and Part 158 of
the Federal Aviation Regulations (14
CFR part 158). This notice is published
pursuant to paragraph d of § 158.29.
SUMMARY:
PFC Applications Approved
PUBLIC AGENCY: Tri State Airport
Authority, Huntington, West Virginia.
APPLICATION NUMBER: 12–07–C–
00–HTS.
APPLICATION TYPE: Impose and use
a PFC.
PFC LEVEL: $4.50.
TOTAL PFC REVENUE APPROVED
IN THIS DECISION: $2,369,532.
EARLIEST CHARGE EFFECTIVE
DATE: July 1, 2012.
ESTIMATED CHARGE EXPIRATION
DATE: October 1, 2017.
CLASS OF AIR CARRIERS NOT
REQUIRED TO COLLECT PFC’S: None.
Brief Description of Projects Approved
for Collection and Use
Terminal center—phase I.
PFC application.
Improve airport drainage.
Acquire snow removal equipment.
Install perimeter fencing.
Rehabilitate terminal building.
Rehabilitate taxiway A (west).
Access road repair.
Rehabilitate taxiways g, E, C, F, and
A (ramp edge).
E:\FR\FM\07JNN1.SGM
07JNN1
Agencies
[Federal Register Volume 77, Number 110 (Thursday, June 7, 2012)]
[Notices]
[Pages 33802-33805]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 2012-13763]
[[Page 33802]]
-----------------------------------------------------------------------
SECURITIES AND EXCHANGE COMMISSION
[Release No. 34-67086; File No. SR-CBOE-2012-043]
Self-Regulatory Organizations; Chicago Board Options Exchange,
Incorporated; Notice of Filing of a Proposed Rule Change Relating to
Spread Margin Rules
May 31, 2012.
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 29, 2012, the Chicago Board Options Exchange, Incorporated
(``Exchange'' or ``CBOE'') 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. The Commission is publishing this notice to solicit comments
on the proposed rule change from interested persons.
---------------------------------------------------------------------------
\1\ 15 U.S.C. 78s(b)(1).
\2\ 17 CFR 240.19b-4.
---------------------------------------------------------------------------
I. Self-Regulatory Organization's Statement of the Terms of Substance
of the Proposed Rule Change
This filing proposes universal spread margin rules. The text of the
proposed rule change is available on the Exchange's Web site (https://www.cboe.com/AboutCBOE/CBOELegalRegulatoryHome.aspx), at the Exchange's
Office of the Secretary, and at the Commission's Public Reference Room.
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 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 the
Statutory Basis for, the Proposed Rule Change
1. Purpose
An option spread is typically characterized by the simultaneous
holding of a long and short option of the same type (put or call) where
both options overly the same security or instrument, but have different
exercise prices and/or expirations. To be eligible for spread margin
treatment, the long option may not expire before the short option.
These long put/short put or long call/short call spreads are known as
two-legged spreads.
Since the inception of the Exchange, the margin requirements for
two-legged spreads have been specified in CBOE margin rules.\3\ The
margin requirement for a two-legged spread that is eligible for spread
margin treatment is its maximum risk based on the intrinsic values of
the options, exclusive of any net option premiums paid or received when
the positions were established.\4\ For example, consider the following
equity option spread:
---------------------------------------------------------------------------
\3\ Chapter 12. Rule 12.3(c)(5)(C)(4).
\4\ Any net credit received for establishing a spread may be
applied to the margin requirement, if any. In the case of a spread
that is established for a net debit, the net debit must be paid for
in full.
Long 1 XYZ May2011 60 call
Short 1 XYZ May2011 50 call
The maximum potential loss (i.e., risk) for this particular spread
would be a scenario where the price of the underlying stock (XYZ) is
$60 or higher. If the market price of XYZ is $60, the May2011 60 call
would have an intrinsic value of zero, because the right to buy at $60
when XYZ can be purchased in the market for $60 has no intrinsic value.
The May2011 50 call would have an intrinsic value of $10 because of the
$10 advantage gained by being able to buy at $50 when it costs $60 to
purchase XYZ in the market. Because each option contract controls 100
shares of the underlying stock, the intrinsic value, which was
calculated on a per share basis, is multiplied by 100, resulting in an
aggregate intrinsic value of $1,000 for the May2011 50 call.\5\
However, because the May2011 50 call is short, the $1,000 intrinsic
value is a loss, because it represents the cost to close (i.e., buy-
back) the short option. At an assumed XYZ market price of $60, netting
the intrinsic values of the options results in a loss of $1,000 (-
$1,000 + 0).\6\ Therefore, the maximum risk of, and margin requirement
for, this spread is $1,000. If there is no maximum risk (i.e., there is
no loss calculated at any of the exercise prices found in the spread),
no margin is required, but under Exchange margin rules any net debit
incurred to establish the spread would be required to be paid for in
full. Current CBOE Rule 12.3(c)(5)(C)(4) provides that, when the
exercise price of the long call (or short put) is less than or equal to
the exercise price of the offsetting short call (or long put), no
margin is required; and that when the exercise price of the long call
(or short put) is greater than the exercise price of the offsetting
short call (or long put) the amount of margin required is the lesser of
the margin requirement on the short option, if treated as uncovered, or
the difference in the aggregate exercise prices. The intrinsic value
calculation described above is essentially expressed, in different
words, in the current rule language.
---------------------------------------------------------------------------
\5\ The result would be multiplied by the number of contracts
when more than a one-by-one contract spread is involved.
\6\ At an assumed market price of $50, both the May2011 50 call
and May2011 60 call would have no intrinsic value. Thus, there is no
risk (provided any net debit is paid for in full) at an assumed
market price of $50.
---------------------------------------------------------------------------
The maximum risk remains constant at $1,000 for XYZ market prices
higher than $60 because for each incremental increase in the assumed
market price of XYZ above $60, the loss on the short option is equally
offset by a gain on the long option in terms of their intrinsic values.
By calculating the net intrinsic value of the options at each exercise
price found in the spread, as in the computation exemplified above, the
maximum risk of, and margin requirement for, any two-legged spread can
be determined.
On August 23, 1999, the Exchange implemented specific definitions
and margin requirements for butterfly spreads and box spreads.\7\ In a
butterfly spread, a two-legged spread is combined with a second two-
legged spread (same type--put or call--and same underlying security) as
in the following example:
---------------------------------------------------------------------------
\7\ The butterfly and box spread margin rules, and various other
CBOE margin rule changes, were approved by the Securities and
Exchange Commission on July 27, 1999. See Securities Exchange Act
Release No. 41658 (July 27, 1999), 64 FR 42736 (SR-CBOE-97-67).
Long 1 XYZ May2011 50 call
Short 1 XYZ May2011 60 call
Long 1 XYZ May2011 70 call
Short 1 XYZ May2011 60 call
Note that a short XYZ May2011 60 call option is common to both two-
legged spreads. Therefore, by adding the May2011 60 call options
together, the two spreads can be combined to form a butterfly spread as
follows:
Long 1 XYZ May2011 50 call
Short 2 XYZ May2011 60 calls
Long 1 XYZ May2010 70 call \8\
---------------------------------------------------------------------------
\8\ This configuration represents a long butterfly spread. The
opposite (i.e., short 1 XYZ May2011 50 call, long 2 XYZ May2011 60
calls and short 1 XYZ May2011 70 call) would be a short butterfly
spread.
The margin requirement for a butterfly spread is its maximum risk.
The maximum risk can be determined
[[Page 33803]]
in the same manner as demonstrated above for two-legged spreads. In
this example, the net intrinsic values would be calculated at assumed
prices for the underlying of $50, $60 and $70, which are the exercise
prices found in the butterfly spread. The greatest loss, if any, from
among the net intrinsic values is the margin requirement. For this
particular butterfly spread, there is no loss in terms of net intrinsic
values at any of the assumed underlying prices ($50, $60 or $70).
Therefore, there is no margin requirement. However, the net debit
incurred to establish this butterfly spread must be paid for in full.
In a box spread, a two-legged call spread is combined with a two-
legged put spread. The exercise prices of the long and short put
options are the reverse of the call spread. All options have the same
underlying security and expiration date. An example is as follows:
Long 1 XYZ May2011 50 call
Short 1 XYZ May2011 60 call
Long 1 XYZ May2011 60 put
Short 1 XYZ May2011 50 put \9\
---------------------------------------------------------------------------
\9\ This configuration represents a long box spread. The
opposite (i.e., short 1 XYZ May2011 50 call, long 1 XYZ May2011 60
call, short 1 May2011 60 put and long 1 XYZ May2011 50 put) would be
a short box spread.
The margin requirement for a box spread, unless all options are
European style, is its maximum risk. The maximum risk of a box spread
can be determined in the same manner as demonstrated above for two-
legged spreads and butterfly spreads. In this example, the net
intrinsic values would be calculated at assumed prices for the
underlying of $50 and $60, which are the exercise prices found in the
box spread. The greatest loss, if any, from among the net intrinsic
values is the margin requirement. For this particular box spread (long
box spread), there is no loss in terms of net intrinsic values at
either of the assumed underlying prices ($50 or $60). Therefore, there
is no margin requirement. However, the net debit incurred to establish
this box spread must be paid for in full. In the case of a long box
spread where all options are European style, the margin requirement is
50% of the difference in the exercise prices (in aggregate).\10\
---------------------------------------------------------------------------
\10\ A 50% margin requirement is allowed because a long box
spread has an intrinsic value at expiration equal to the difference
in the exercise prices (in aggregate), which will more than cover
the net debit incurred to establish the spread. A long box spread
is, essentially, a riskless position. The difference between the
value of the long box spread realizable at expiration and the lower
cost to establish the spread represents a risk-free rate of return.
---------------------------------------------------------------------------
On August 13, 2003, the Exchange issued a Regulatory Circular
(RG03-066) to define additional types of multi-leg option spreads, and
to set margin requirements for these spreads through interpretation of
Exchange margin rules. The Regulatory Circular had been filed with the
Commission and was approved on August 8, 2003, on a one-year pilot
basis.\11\ The Regulatory Circular was reissued as RG04-90 (dated
August 16, 2004) and RG05-37 (dated April 6, 2005) pursuant to one-year
extensions of the pilot granted by the Commission on August 6, 2004,
and March 22, 2005, respectively.\12\
---------------------------------------------------------------------------
\11\ See Securities Exchange Act Release No. 48306 (Aug. 8,
2003), 68 FR 48974 (Aug. 15, 2003) (SR-CBOE-2003-24).
\12\ See Securities Exchange Act Release No. 50164 (Aug. 6,
2004), 69 FR 50405 (Aug. 16, 2004) and Securities Exchange Act
Release No. 51407 (Mar. 22, 2005), 70 FR 15669 (Mar. 28, 2005).
---------------------------------------------------------------------------
The Regulatory Circular identified seven spread strategies by
presenting an example of each spread's configuration, and numbering
each configuration, rather than designating the configurations by names
commonly used in the industry. The seven configurations would be
referred to in the industry as:
Long Condor Spread,
Short Iron Butterfly Spread,
Short Iron Condor Spread,
Long Calendar Butterfly Spread,
Long Calendar Condor Spread,
Short Calendar Iron Butterfly Spread and
Short Calendar Iron Condor Spread.
On July 30, 2004, the Exchange filed proposed rule amendments with
the Commission to codify the provisions of the Regulatory Circular in
Exchange margin rules. Included in the proposal were definitions of
Long Condor Spread (which includes a Long Calendar Condor Spread),
Short Iron Butterfly Spread (which includes a Short Calendar Iron
Butterfly Spread), and Short Iron Condor Spread (which includes a Short
Calendar Iron Condor Spread). In addition, it was proposed that the
existing definition of Long Butterfly Spread be amended to include a
Long Calendar Butterfly Spread. The margin requirements, specific to
each type of spread, as had been set-forth in the Regulatory Circulars,
were also proposed for inclusion in Exchange margin rules.\13\
Contemporaneously, the New York Stock Exchange filed similar margin
rule proposals with Commission.\14\ CBOE's proposed rule amendment was
approved by the Commission on December 14, 2005.\15\
---------------------------------------------------------------------------
\13\ See Securities Exchange Act Release No. 52739 (Nov. 4,
2005), 70 FR 69173 (Nov. 14, 2005) (SR-CBOE-2004-53). This release
also noticed a partial amendment (Amendment No. 1) that was filed on
August 23, 2005 (in coordination with the New York Stock Exchange).
\14\ See Securities Exchange Act Release No. 52738 (Nov. 4,
2005), 70 FR 68501 (Nov. 10, 2005) (SR-NYSE-2004-39). For approval
order, see Securities Exchange Act Release No. 52951 (Dec. 14,
2005), 70 FR 75523 (Dec. 20, 2005).
\15\ See Securities Exchange Act Release 52950 (Dec. 14, 2005),
70 FR 75512 (Dec. 20, 2005).
---------------------------------------------------------------------------
Because a number of variations are possible for each basic type of
multi-leg option spread strategy, it is problematic to maintain margin
rules specific to each.\16\ It becomes difficult to continually
designate each variation by name, and define and specify a margin
requirement for it in the rules. For example, consider the following
spreads:
---------------------------------------------------------------------------
\16\ A long calendar butterfly spread is an example of a
variation. The basic type would be butterfly spread. In a long
calendar butterfly spread, one of the long options expires after the
other two options expire concurrently, whereas in the basic
butterfly spread, all options expire concurrently. Another example
of a variation of a butterfly spread would be a configuration where
the intervals between the exercise prices involved are not equal. In
a basic butterfly spread, the intervals are equal (i.e., symmetric).
Long 10 XYZ May2011 50 call
Short 10 XYZ May2011 55 call
Long 5 XYZ May2010 70 call
Short 5 XYZ May2011 60 call
These two spreads combined are a variation of a condor spread. In a
basic condor spread, the number of option contracts would be equal
across all option series and the interval between the exercise prices
of each spread would be equal. In the above variation, there is a 10-
by-10 contract spread vs. a 5-by-5 contract spread, and a spread with a
5 point interval between exercise prices vs. a spread with a 10 point
interval between exercise prices. The two spreads in the above example
offset each other in terms of risk, and no margin requirement is
necessary. However, margin of $5,000 is required under the Exchange's
current margin rules, because this variation of the condor spread is
not specified in the rules. Because it is not recognized in Exchange
margin rules, the two spreads must be treated as separate, unrelated
spread strategies for margin purposes. As a result, spread margin of
$5,000 is required (on the May2011 70/May2010 60 call spread) versus no
requirement (other than pay for the net debit in full), if the two
spreads could be recognized as one strategy.
This rule filing proposes a single, universal definition of a
spread and one spread margin requirement that consists of a universal
margin requirement computation methodology. In this manner, the margin
requirement for all types of option spreads would be covered by a
single rule, without regard to the number of option series involved or
the term commonly used in the
[[Page 33804]]
industry to refer to the spread. This would eliminate the need to
define, and refer to, particular spreads by monikers commonly used in
the industry. Therefore, this rule filing proposes to eliminate
definitions of each particular spread strategy (e.g., butterfly,
condor, iron butterfly, iron condor, etc.), with one exception.
The one exception would be ``Box Spreads.'' A definition for ``Box
Spread'' would be retained because loan value is permitted under
Exchange margin rules for box spreads. Box spreads are the only type of
spread that is eligible for loan value. They, therefore, need to be
specially identified in the rules.
Additionally, the proposed rule changes would automatically enable
variations not currently recognized in Exchange margin rules (because
only a limited number of specific spread strategies are defined) to
receive spread margin treatment.
A new definition of a spread is proposed as Rule 12.3(a)(5). The
key to the definition is that it designates a spread as being an
equivalent long and short position in different call option series and/
or equivalent long and short positions in different put option series,
or a combination thereof.\17\ With respect to equivalency of long and
short positions, the definition further requires that the long and
short positions be equal in terms of the aggregate value of the
underlying security or instrument covered by each leg. The aggregate
value equivalency is included so that it is clear that a spread
composed of one standard option contract and one reduced value option
contract covering the same underlying security or instrument would be
permissible. For example, if reduced value options, equal to 1/10th the
value of a standard option contract are trading, a spread consisting of
10 reduced value contracts vs. one standard contract would be
permissible.\18\ As with spreads under the current rule, the proposed
rule further requires that the short option(s) expire after, or at the
same time as, the long option(s). Additionally, under the proposed rule
definition, all options in a spread must have the same exercise style
(American or European) and either be composed of all listed options or
all over-the-counter (OTC) options. Spreads that do not conform to the
definition would be ineligible for spread margin treatment.
---------------------------------------------------------------------------
\17\ An option series means particular exercise price and
expiration date with respect to a put or call option.
\18\ Currently, spreads consisting of standard contracts and
reduced value contracts are permitted by the rules, although the
current rule does not go into detail to require equivalent aggregate
underlying value between the long and short legs.
---------------------------------------------------------------------------
Amendments to CBOE Rule 12.3(c)(5)(C)(4) are proposed to implement
language specifying how a margin requirement is to be computed for any
spread that meets the definition, and limit eligibility for spread
margin treatment to spreads that meet the definition. The computational
method would require that the intrinsic value of each option series
contained in a spread be calculated for assumed prices of the
underlying security or instrument. The exercise prices of the option
series contained in the spread would be required to be used as the
assumed prices of the underlying security or instrument. For each
assumed price of the underlying, the intrinsic values would be netted.
The greatest loss from among the netted intrinsic values would be the
spread margin requirement. As an example, consider the following
spread:
Long 1 XYZ May2011 50 put
Short 1 XYZ May2011 60 put
Short 1 XYZ May2011 65 call
Long 1 XYZ May2011 70 call
This spread is a variation of an iron condor spread. It consists of
a put spread and a call spread, with all options covering the same
underlying security or instrument. There are an equal number of
contracts long and short in both the put spread and call spread. The
short options expire with or after the long options (with, in this
case). It is assumed that all options are of the same exercise style
(American or European). This spread would, therefore, be eligible for
the spread margin requirement computation in this proposed rule
amendment.
Note that in this example, the interval between the exercise prices
in the put spread is greater than the interval in the call spread. In a
basic iron condor spread, these intervals are equal. This particular
configuration is not recognized under current Exchange margin rules.
Therefore the component put spread and call spread must be viewed as
separate, unrelated strategies for margin purposes. Under current
Exchange margin rules, there is a $1,000 margin requirement on the put
spread and $500 margin requirement on the call spread. However, there
are offsetting properties between the two spreads, and, if viewed
collectively, a total margin requirement of $1,500 is not necessary.
Using the proposed computational methodology, a margin requirement
would be calculated as follows:
Intrinsic Values for Assumed Prices of the Underlying
------------------------------------------------------------------------
Spread $50 $60 $65 $70
------------------------------------------------------------------------
Long 1 XYZ May2011 50 put... 0 0 0 0
Short 1 XYZ May2011 60 put.. $(1,000) 0 0 0
Short 1 XYZ May2011 65 call. 0 0 0 $(500)
Long 1 XYZ May2011 70 call.. 0 0 0 0
-------------------------------------------
Net intrinsic values.... $(1,000) 0 0 $(500)
------------------------------------------------------------------------
The greatest loss from among the netted intrinsic values is
$1,000.\19\ Under the proposed rule amendments, this would be the
margin requirement. This spread margin requirement is $500 less than
that required under current Exchange margin rules. Note that under both
the current and proposed rules, any net debit incurred when
establishing the spread is required to be paid for in full.
---------------------------------------------------------------------------
\19\ Again, depending on the type of spread strategy, there may
be no loss among the netted intrinsic values, in which case there
would be no margin requirement.
---------------------------------------------------------------------------
It can be intuitively shown that the put spread and call spread in
the example do not have $1,500 of risk when viewed collectively. If the
price of the underlying is at or above $60, the put spread would have
no intrinsic value. At or below $65, the call spread would have no
intrinsic value. Thus, both spreads would never be at risk at any given
price of the underlying. Therefore, margin need be required on only one
of the spreads--the one with the highest risk. In this example, the put
spread has the highest risk ($1,000), and that is the risk (and margin
requirement)
[[Page 33805]]
that would be rendered by the proposed computational methodology.
In summary, the proposed rule amendments would enable the Exchange,
for margin purposes, to accommodate the many types of spread strategies
utilized in the industry today in a fair and efficient manner.
2. Statutory Basis
The Exchange believes that the proposed rule change is consistent
with Section 6(b) \20\ of the Act and the rules and regulations under
the Act, in general, and furthers the objectives of Section
6(b)(5).\21\ Because this rule filing proposes a single, universal
definition of a spread and one spread margin requirement that consists
of a universal margin requirement computation methodology, it promotes
just and equitable principles of trade and fosters cooperation and
coordination with persons engaged in facilitating transactions in
securities. By adding clarity and consistency to margin requirements,
it also removes impediments to and perfects the mechanisms of a free
and open market and a national market system, and, in general, to
protect investors and the public interest.
---------------------------------------------------------------------------
\20\ 15 U.S.C. 78f(b).
\21\ 15 U.S.C. 78f(b)(5).
---------------------------------------------------------------------------
B. Self-Regulatory Organization's Statement on Burden on Competition
CBOE 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 neither solicited nor received comments on the
proposed rule change.
III. Date of Effectiveness of the Proposed Rule Change and Timing for
Commission Action
Within 45 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 or disapprove 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 email to rule-comments@sec.gov. Please include
File Number SR-CBOE-2012-043 on the subject line.
Paper Comments
Send paper comments in triplicate to Elizabeth M. Murphy,
Secretary, Securities and Exchange Commission, 100 F Street NE.,
Washington, DC 20549-1090.
All submissions should refer to File Number SR-CBOE-2012-043. This file
number should be included on the subject line if email 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 Web site viewing and
printing in the Commission's Public Reference Room, 100 F Street NE.,
Washington, DC 20549 on official business days between the hours of
10:00 a.m. and 3:00 p.m. 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-CBOE-2012-043 and should be
submitted on or before June 28, 2012.
---------------------------------------------------------------------------
\22\ 17 CFR 200.30-3(a)(12).
For the Commission, by the Division of Trading and Markets,
pursuant to delegated authority.\22\
Kevin M. O'Neill,
Deputy Secretary.
[FR Doc. 2012-13763 Filed 6-6-12; 8:45 am]
BILLING CODE 8011-01-P