Self-Regulatory Organizations; Nasdaq ISE, LLC; Notice of Filing and Immediate Effectiveness of Proposed Rule Change Relating to Box and Butterfly Spread Protections, 29583-29589 [2018-13505]
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Federal Register / Vol. 83, No. 122 / Monday, June 25, 2018 / Notices
FOR FURTHER INFORMATION CONTACT:
David Dimitrious, Senior Special
Counsel, at (202) 551–5131, or Benjamin
Bernstein, Attorney-Adviser, at (202)
551–5354, Division of Trading and
Markets, Securities and Exchange
Commission, 100 F Street NE,
Washington, DC 20549–7010.
SUPPLEMENTARY INFORMATION: In
accordance with Section 10(a) of the
Federal Advisory Committee Act, 5
U.S.C.-App. 1, and the regulations
thereunder, Brett Redfearn, Designated
Federal Officer of the Committee, has
ordered publication of this notice.
Dated: June 20, 2018.
Brent J. Fields,
Committee Management Officer.
[FR Doc. 2018–13539 Filed 6–22–18; 8:45 am]
BILLING CODE 8011–01–P
[Release No. 34–83464; File No. SR–ISE–
2018–55]
Self-Regulatory Organizations; Nasdaq
ISE, LLC; Notice of Filing and
Immediate Effectiveness of Proposed
Rule Change Relating to Box and
Butterfly Spread Protections
June 19, 2018.
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 June 7,
2018, Nasdaq ISE, LLC (‘‘ISE’’ or the
‘‘Exchange’’) filed with the Securities
and Exchange Commission
(‘‘Commission’’) the proposed rule
change as described in Items I and II
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
The Exchange proposes to adopt new
order type protections, Butterfly and
Box Spread protections, for Complex
Order 3 strategy trades.
The text of the proposed rule change
is available on the Exchange’s website at
https://ise.cchwallstreet.com/, at the
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II. Self-Regulatory Organization’s
Statement of the Purpose of, and
Statutory Basis for, the Proposed Rule
Change
In its filing with the Commission, the
Exchange included statements
concerning the purpose of and basis for
the proposed rule change and discussed
any comments it received on the
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
SECURITIES AND EXCHANGE
COMMISSION
1 15
principal office of the Exchange, and at
the Commission’s Public Reference
Room.
U.S.C. 78s(b)(1).
CFR 240.19b–4.
3 A complex order is any order involving the
simultaneous purchase and/or sale of two or more
different options series in the same underlying
security, for the same account, in a ratio that is
equal to or greater than one-to-three (.333) and less
than or equal to three-to-one (3.00) and for the
purpose of executing a particular investment
strategy. See ISE Rule 722(a)(1).
1. Purpose
The Exchange proposes to: (i) Adopt
Complex Order protections for Butterfly
and Box Spread protections for Complex
Order strategies; and (ii) reorganize and
amend the existing Complex Order
protections currently contained within
.07 of Supplementary Material to Rule
722 and Rule 714. These amendments
will be described in greater detail
below. This rule change is similar to
protections, which exist today on
Nasdaq Phlx LLC (‘‘Phlx’’).4
Adopt Butterfly and Box Spread
Protections
Today, ISE members may submit
Butterfly and Box spreads into the
System. ISE proposes to define a
Butterfly spread as a three legged
Complex Order with certain
characteristics.5 The Exchange is
proposing to reject Butterfly spreads
which are outside of certain parameters
to avoid potential executions at prices
that exceed the minimum and
maximum possible intrinsic value of the
spread by a specified amount.
Additionally, ISE proposes to define a
Box spread as a four legged Complex
Order with certain characteristics.6 The
Exchange is proposing to reject Box
spreads which are outside of certain
parameters to avoid potential executions
at prices that exceed the minimum and
maximum possible intrinsic value of the
2 17
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4 This
rule change is similar to Phlx Rule 1098(i)
and (j).
5 This strategy utilizes a combination of either all
calls or all puts of the same expiration date in the
same underlying to limit risk.
6 This strategy utilizes a combination of put/call
pairs of options with the same expiration date in
the same underlying to limit risk.
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29583
spread by a specified amount. Today,
the Exchange offers similar order
protection features for Complex Orders
such as Vertical and Calendar Spread
Protections 7 to avoid erroneous trades.
Butterfly Spread Protection
As noted above, the Exchange
proposes to adopt a Butterfly Spread
Protection. A Butterfly Spread is a three
legged Complex Order with the
following: (1) Two legs to buy (sell) the
same number of calls (puts); (2) one leg
to sell (buy) twice the number of calls
(puts) with a strike price at mid-point of
the two legs to buy (sell); (3) all legs
have the same expiration; and (4) each
leg strike price is equidistant from the
next sequential strike price. With this
protection, a Butterfly Spread Limit
Order that is priced higher than the
Maximum Value (defined below) or
lower than the Minimum Value (defined
below) will be rejected. A Butterfly
Spread Market Order (or Butterfly
Spread Limit Order entered with a net
price inside the Butterfly Spread
Protection Range) to Buy (Sell) will be
restricted from executing by legging into
the single leg market with a net price
higher (lower) than the Maximum
(Minimum) Value. The Butterfly Spread
Protection Range is the absolute
difference between the Minimum Value
and the Maximum Value.
ISE’s proposal continues to protect
Butterfly Spreads from legging into the
single leg market(s), similar to Phlx Rule
1098(i), at a price higher than the
Maximum Value for buy orders and
lower than the Minimum Value for sell
orders. ISE’s proposal differs from Phlx
in that ISE allows legging below the
Minimum Value for buys and above the
Maximum Value for sells at a price
made available by the synthetic (cIBBO)
market outside of the Butterfly Spread
Protection Range.8
The Exchange believes that these
limitations, which exist today for ISE
Vertical and Calendar Spreads,9 are
consistent with the Act because the
limits permit buying below the
minimum and selling above the
maximum thereby allowing buyers and
sellers to achieve better prices without
taking on additional risk. The intrinsic
value for the Butterfly Spread that could
be achieved when closing the position
would not be negatively impacted in
7 See Supplementary Material .07(c) to ISE Rule
722.
8 Allowing sell orders to trade by legging into the
simple market at prices above the Maximum Value
(buy orders below the Minimum Value) offers an
opportunity for sellers/buyers to receive a premium
beyond the potential intrinsic value of the spread
without creating risk for the Complex Order Book.
9 Id.
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this case because the limitation permits
price improvement. The Exchange
notes, however, that in certain
situations, market participants willingly
want to execute certain trading
strategies even if such trades occur
outside their intrinsic value or at
seemingly erroneous prices (e.g.,
negative price).10 The Exchange believes
it is appropriate to provide market
participants flexibility to allow them to
execute these trading strategies and
therefore to adopt a buffer to permit the
execution of such trading strategies. The
Exchange believes it is reasonable to
adopt a buffer to give the Exchange the
ability to adjust the pre-set value
uniformly across all options classes in
the event the Exchange believes a
different pre-set value is more
appropriate. Finally, the Exchange notes
that it provides these protections for the
benefit of, and in consultation with, its
Members. The Exchange believes the
proposed rule change will help the
Exchange to maintain a fair and orderly
market, and provide a valuable service
to investors.
The Initial Maximum Value shall be
the distance between the strike price of
the leg with the mid-point strike price
and either of the outer leg strike prices.
The Maximum Value Buffer is the lesser
of a configurable absolute dollar value
or percentage of the Initial Maximum
Value set by the Exchange and
announced via a notice to members. The
Exchange intends to set the Maximum
Value Buffer at zero initially. The
Maximum Value is calculated by adding
the Initial Maximum Value and
Maximum Value Buffer.
The Initial Minimum Value shall be
zero. The Minimum Value Buffer is a
configurable absolute dollar value set by
the Exchange and announced via a
notice to members. The Exchange
intends to set the Minimum Value
Buffer at zero initially. The Exchange
would monitor the zero value, including
feedback from market participants, in
determining whether the value is set at
the appropriate level. The decision to
change the buffer could stem from
participant concern for their ability to
close out positions. The Minimum
10 A small incremental allowance outside of the
Minimum/Maximum Value allows for a small
premium to offset commissions associated with
trading and may incentivize participants to take the
other side of spreads trading at or slightly outside
of the intrinsic value. For the participant looking to
close out their position, it may be financially
beneficial to pay a small premium and close out the
position rather than carry such position to
expiration and take delivery. The purpose of this
rule change is not to impede current order handling
but to ensure execution prices are within a
reasonable range of minimum and maximum
values.
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Value is calculated by subtracting the
Minimum Value Buffer from the Initial
Minimum Value of zero. There are
circumstances where the Minimum
Value may be less than zero.11
The Butterfly Spread Protection
would apply throughout the trading
day, including pre-market, during the
Opening Process and during a trading
halt. Unlike Phlx, but similar to ISE
Vertical and Calendar spreads,12 these
protections will not apply to Complex
Orders being auctioned in the
Facilitation, Solicitation, Price
Improvement mechanism and
associated auction responses. Also,
today, the Vertical and Calendar spreads
do not apply to Customer Cross
Orders.13 The Exchange is adding
Customer Cross Orders to the list of
excluded order types that are not
protected by the Vertical, Calendar, Box
or Butterfly spread protections.
Complex orders executed in these
mechanisms are two-sided orders where
the contra-side order is willing to trade
with the agency order at an agreed upon
price thus removing the risk that the
order was executed erroneously outside
its intrinsic value. Similarly, a Customer
Cross Order is a two-sided order where
the contra-side order is willing to trade
with the agency order at an agreed upon
price. The Exchange believes that
because paired orders are negotiated in
advance by both parties it is unlikely
that the parties would agree to transact
at prices that would necessitate the
protections proposed within the
Butterfly Spread Protection.
Below is an example of the
application of this protection.
Example 1
Assume the following Complex Order
legs for a Butterfly Spread:
1. Buy 1 NDX 6960 Jan 26 Call (33.70
× 34.60)
2. Sell 2 NDX 6970 Jan 26 Calls (27.00
× 27.90)
3. Buy 1 NDX 6980 Jan 26 Call (28.40
× 29.50)
11 For example, market participants who desire to
trade out of positions at intrinsic value may not find
a contra-side willing to trade without a premium.
A small incremental allowance outside of the
minimum/maximum value allows for a small
premium to offset commissions associated with
trading and may incentivize participants to take the
other side of spreads trading at intrinsic value. For
the participant looking to close out their position,
it may be financially beneficial to pay a small
premium and close out the position rather than
carry such position to expiration and take delivery.
12 See ISE Rule 722 at Supplementary Material
.07(c).
13 A Customer Cross Order is comprised of a
Priority Customer Order to buy and a Priority
Customer Order to sell at the same price and for the
same quantity. See ISE Rule 715(i).
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The derived net ISE Complex Order
market (‘‘cIBBO’’) is 6.30 × 10.10 14
Assume both the Maximum Value
Buffer and Minimum Value Buffer
are 0.00
Minimum Value = 0.00
• Initial Minimum Value: 0.00
• Minimum Value Buffer: 0.00
• Minimum Value: 0.00¥0.00 = 0.00
Maximum Value = 10
• Initial Maximum Value: 6970
(middle leg strike price)¥6960
(outer leg strike price) = 10.00
• Maximum Value Buffer: 0.00
• Maximum Value: 10.00 (Initial
Maximum Value) + 0.00 (Maximum
Value Buffer) = 10.00
An incoming order to buy the spread
defined above for 10.10 will be rejected
because the purchase price of 10.10 is
greater than the Maximum Value of
10.00.
Example 2
Assume the following Complex Order
legs for a Butterfly Spread:
1. Buy 1 NDX 6960 Jan 26 Call (33.70
× 34.60)
2. Sell 2 NDX 6970 Jan 26 Calls (27.00
× 27.90)
3. Buy 1 NDX 6980 Jan 26 Call (28.40
× 29.45)
The derived net ISE Complex Order
market (‘‘cIBBO’’) is 6.30 × 10.05 15
Assume both the Maximum Value
Buffer and Minimum Value Buffer
are 0.05
Minimum Value = ¥0.05
• Initial Minimum Value: 0.00
• Minimum Value Buffer: 0.05
• Minimum Value: 0.00¥0.05 =
¥0.05
Maximum Value = 10.05
• Initial Maximum Value: 6970
(middle leg strike price)¥6960
(outer leg strike price) = 10.00
• Maximum Value Buffer: 0.05
• Maximum Value: 10.00 (Initial
Maximum Value) + 0.05 (Maximum
Value Buffer) = 10.05
An incoming order to buy the spread
defined above for 10.05 will be accepted
and executed against the simple market
because the purchase price of 10.05 is
equal to the Maximum Value 10.05.
14 The cIBBO is calculated by deriving the
synthetic bid and offer available in the simple
market with the ratio of each option leg of the
spread considered. The 6.30 number is arrived at
by multiplying (1 * 33.70) then subtracting (2 *
27.90) and adding (1 * 28.40). The 10.10 number
is derived by multiplying (1 * 34.60) then
subtracting (2 * 27.00) and adding (1 * 29.50).
15 The cIBBO is calculated by deriving the
synthetic bid and offer available in the simple
market with the ratio of each option leg of the
spread considered.
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Phlx has a similar protection in place
today.16
Box Spread Protection
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As noted above, the Exchange
proposes to adopt a Box Spread
Protection. A Box Spread is a four
legged Complex Order with the
following: (1) One pair of legs with the
same strike price with one leg to buy a
call (put) and one leg to sell a put (call);
(2) a second pair of legs with a different
strike price from the pair described in
(1) with one leg to sell a call (put) and
one leg to buy a put (call); (3) all legs
have the same expiration; and (4) all
legs have equal volume. With this
protection, a Box Spread Limit Order
that is priced higher than the Maximum
Value or lower than the Minimum Value
will be rejected. A Box Spread Market
Order (or Box Spread Limit Order
entered with a net price inside the Box
Spread Protection Range) to Buy (Sell)
will be restricted from executing by
legging into the single leg market with
a net price higher (lower) than the
Maximum (Minimum) Value. The Box
Spread Protection Range is the absolute
difference between the Minimum Value
and the Maximum Value.
ISE’s proposal continues to protect
Box Spreads from legging into the single
leg market(s), similar to Phlx Rule
1098(j), at a price higher than the
Maximum Value for buy orders and
lower than the Minimum Value for sell
orders. ISE’s proposal differs from Phlx
in that ISE allows legging below the
Minimum Value for buys and above the
Maximum Value for sells at a price
made available by the synthetic (cIBBO)
market outside of the Box Spread
Protection Range.17
The Exchange believes that these
limitations, which exist today for ISE
Vertical and Calendar Spreads,18 are
consistent with the Act because the
limits permit buying below the
minimum and selling above the
maximum thereby allowing buyers and
sellers to achieve better prices without
taking on additional risk. The intrinsic
value for the Box Spread that could be
achieved when closing the position
would not be negatively impacted in
this case because the limitation permits
16 See Securities and Exchange Act Release No.
83033 (April 11, 2018), 83 FR 16907 (April 17,
2018) (SR–Phlx–2018–14).
17 Allowing sell orders to trade by legging into the
simple market at prices above the Maximum Value
(buy orders below the Minimum Value) offers an
opportunity for sellers/buyers to receive a premium
beyond the potential intrinsic value of the spread
without creating risk for the Complex Order Book.
18 See Supplementary Material .07(c) to ISE Rule
722.
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price improvement as noted above for
Butterfly Spreads.
The Initial Maximum Value shall be
the distance between the strike prices of
each pair of leg strike prices. The
Maximum Value Buffer is the lesser of
a configurable absolute dollar value or
percentage of the Initial Maximum
Value set by the Exchange and
announced via a notice to members. The
Exchange intends to set the Maximum
Value Buffer at zero initially. The
Maximum Value is calculated by adding
the Initial Maximum Value and
Maximum Value Buffer.
The Initial Minimum Value shall be
zero. The Minimum Value Buffer is a
configurable absolute dollar value set by
the Exchange and announced via a
notice to members. The Exchange
intends to set the Minimum Value
Buffer at zero initially. The Minimum
Value is calculated by subtracting the
Minimum Value Buffer from the Initial
Minimum Value of zero.
The Box Spread Protection would
apply throughout the trading day,
including pre-market, during the
Opening Process and during a trading
halt. The protections will not apply to
Complex Orders in the Facilitation,
Solicitation, Price Improvement
mechanism and associated auction
responses. The Box Spread Protection
will also not apply to Customer Cross
Orders. Unlike Phlx, but similar to ISE
Vertical and Calendar spreads,19 these
protections will not apply to Complex
Orders being auctioned in the
Facilitation, Solicitation, Price
Improvement mechanism and
associated auction responses. Also,
today, the Vertical and Calendar spreads
do not apply to Customer Cross Orders.
The Exchange is adding Customer Cross
Orders to the list of excluded order
types that are not protected by the
Vertical, Calendar, Box or Butterfly
spread protections. Complex orders
executed in these mechanisms are twosided orders where the contra-side order
is willing to trade with the agency order
at an agreed upon price thus removing
the risk that the order was executed
erroneously outside its intrinsic value.
Similarly, a Customer Cross Order is a
two-sided order where the contra-side
order is willing to trade with the agency
order at an agreed upon price. The
Exchange believes that because paired
orders are negotiated in advance by both
parties it is unlikely that the parties
would agree to transact at prices that
would necessitate the protections
proposed within the Box Spread
Protections.
19 Id.
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29585
Example 1
Assume the following Complex Order
pairs for a Box Spread:
1. Pair A
a. Buy 1 NDX 6960 Jan 26 Call (30.80
× 34.05)
b. Sell 1 NDX 6960 Jan 26 Put (33.50
× 36.00)
2. Pair B
a. Sell 1 NDX 6970 Jan 26 Call (27.50
× 29.00)
b. Buy 1 NDX 6970 Jan 26 Put (36.40
× 37.05)
The derived net ISE Complex Order
market (‘‘cIBBO’’) is 2.20 × 10.10 20
Assume both Maximum Value Buffer
and Minimum Value Buffer are 0.00
Minimum Value = 0.00
• Initial Minimum Value: 0.00
• Minimum Value Buffer: 0.00
• Minimum Value: 0.00¥0.00 = 0.00
Maximum Value = 10.00
• Initial Maximum Value: 6970 (Pair
A strike price)¥6960 (Pair B strike
price) = 10.00
• Maximum Value Buffer: 0.00
• Maximum Value: 10.00 (Initial
Maximum Value) + 0.00 (Maximum
Value Buffer) = 10.00
An incoming order to buy the spread
defined above for 10.10 will be rejected
because the purchase price of 10.10 is
greater than the Maximum Value of
10.00.
Example 2
Assume the following Complex Order
pairs for a Box Spread:
1. Pair A
a. Buy 1 NDX 6960 Jan 26 Call (30.80
× 34.05)
b. Sell 1 NDX 6960 Jan 26 Put (33.50
× 36.50)
2. Pair B
a. Sell 1 NDX 6970 Jan 26 Call (27.50
× 30.75)
b. Buy 1 NDX 6970 Jan 26 Put (36.40
× 37.05)
The derived net ISE Complex Order
market (‘‘cIBBO’’) is ¥0.05 ×
10.10 21
Assume both Maximum Value Buffer
and Minimum Value Buffer are 0.05
Minimum Value = ¥0.05
• Initial Minimum Value: 0.00
• Minimum Value Buffer: 0.05
• Minimum Value: 0.00¥0.05 =
¥0.05
Maximum Value = 10.05
• Initial Maximum Value: 6970 (Pair
20 The cIBBO is calculated by deriving the
synthetic bid and offer available in the simple
market with the ratio of each option leg of the
spread considered.
21 The cIBBO is calculated by deriving the
synthetic bid and offer available in the simple
market with the ratio of each option leg of the
spread considered.
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A strike price)¥6960 (Pair B strike
price) = 10.00
• Maximum Value Buffer: 0.05
• Maximum Value: 10.00 (Initial
Maximum Value) + 0.05 (Maximum
Value Buffer) = 10.05
An incoming order to sell the spread
defined above for ¥0.05 will be
accepted and executed against the
simple market because the purchase
price of -0.05 is equal than the
Minimum Value of ¥0.05. Phlx has a
similar protection in place today.22
Reorganize and Amend Supplementary
Material .07 to Rule 722
The Exchange proposes to reorganize
and amend Supplementary Material .07
to Rule 722 which is entitled ‘‘Price
limits for complex order and quotes.’’
The Exchange proposes to rename .07 as
‘‘Complex Order Protections.’’ The
Exchange proposes to list all available
Complex Order protections on ISE
within Supplementary Material .07 to
Rule 722.
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Universal Changes
The Exchange proposes to reorder the
rule and title subsection ‘‘a’’ as ‘‘Price
limits for Complex Orders and quotes.’’
The Exchange is proposing to capitalize
defined terms throughout this section
for consistency. The Exchange removed
cross-references that are no longer
necessary with the reorganization. The
Exchange proposes to re-letter and
renumber this section to accommodate
all the price protections. The Exchange
also proposes adding titles throughout
.07 to add more context to the rules.
Proposed Supplementary Material to
Rule 722 at .07(b) shall be titled,
‘‘Strategy Protections.’’ Proposed
Supplementary Material to Rule 722 at
.07(c) shall be titled, ‘‘Other Price
Protections which apply to Complex
Orders.’’
Price Limits
With respect to the price limits
specified in proposed Rule 722 at
Supplementary Material .07(a)(1) the
Exchange proposes a substantive
amendment to revise the second
sentence which currently provides,
‘‘Notwithstanding, the System will not
permit any leg of a complex order to
trade through the NBBO for the series by
a configurable amount calculated as the
lesser of (i) an absolute amount not to
exceed $0.10, and (ii) a percentage of
the NBBO not to exceed 500%, as
determined by the Exchange on a class
or series basis.’’ The Exchange originally
filed this rule to permit ISE to configure
settings for this protection on a class or
22 See
note 4 above.
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series basis. The Exchange proposes to
amend the ability to configure settings.
Similar to the proposed Butterfly and
Box Spread protections, the Exchange
proposes to apply the settings uniformly
across all classes.
Strategy Protections
The Exchange proposes introducing
ISE Rule 722 at Supplementary Material
.07(b) with the following text, ‘‘The
following protections will apply
throughout the trading day, including
pre-market, during the Opening Process
and during a trading halt.’’ Today, the
Vertical and Calendar Spread
Protections apply throughout the
trading day, including pre-market,
during the Opening Process and during
a trading halt. The Exchange provides
for no limitations in the Vertical and
Calendar Spread Protections with
respect to any limitations during
specific trading sessions. The Exchange
also does not intend for such limitations
to apply for Box and Butterfly Spread
Protections. The Exchange believes that
adding this affirmative language will
simply serve to remove any confusion
on whether the protections do not apply
during a specific trading session.
The Exchange also proposes to add
another sentence to the introduction of
new section (b) which provides ‘‘The
protections will not apply to Complex
Orders being auctioned and auction
responses in the Facilitation
Mechanism, Solicited Order
Mechanism, and Price Improvement
Mechanism and will not apply to
Customer Cross Orders.’’ Today, the
protections for Vertical Spread
Protection and Calendar Spread
Protections do not apply to Complex
Orders being auctioned and auction
responses in the Facilitation
Mechanism, Solicited Order
Mechanism, and Price Improvement
Mechanism and Customer Cross
Orders.23 The Exchange is proposing
these same limitations for Box and
Butterfly Spreads. Complex orders
executed in these mechanisms are twosided orders where the contra-side order
is willing to trade with the agency order
at an agreed upon price thus removing
the risk that the order was executed
erroneously outside its intrinsic value.
Vertical Spread Protections
The Exchange proposes amending ISE
Rule 722 at Supplementary Material
.07(b)(1), similar to the Box and
Butterfly Spread protections, to begin
the section with the same conforming
23 The current rule text does not include
Customer Cross Orders, however, today, the
Vertical and Calendar spread protections do not
apply to Customer Cross Orders.
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language indicating which strategy the
Vertical Spread Protection applies to
and also relocating the definition of a
Vertical Spread to the initial paragraph.
The Exchange is amending proposed
ISE Rule 722 at Supplementary Material
.07(b)(1)(A) to relocate the language in
current Rule 722 at Supplementary
Material .07(c)(4)(i) 24 and .07(c)(5) 25
into the actual paragraph rather than
referring back to the paragraph.26 The
Exchange proposes the following rule
text, ‘‘The Exchange will set a common
pre-set value not to exceed $1.00 to be
applied uniformly across all classes.
The Exchange may amend the pre-set
value uniformly across all classes’’ at
proposed ISE Rule 722 at
Supplementary Material .07(b)(1)(A).
The Exchange notes that proposed ISE
Rule 722 at Supplementary Material
.07(b)(1)(B) already has a sentence
which states, ‘‘The pre-set value is the
lesser of an absolute amount and a
percentage of the difference between the
strike prices.’’ Instead of also relocating
ISE Rule 722 at Supplementary Material
.07(c)(4)(ii) and (c)(5) into the actual
paragraph, the Exchange proposes to
remove the current sentence, ‘‘The preset value is the lesser of an absolute
amount and a percentage of the
difference between the strike prices’’
and instead combine ISE Rule 722 at
Supplementary Material .07(c)(4)(ii) 27
and (c)(5).28 The Exchange proposes to
state ‘‘The pre-set value used by the
vertical spread check will be the lesser
of (1) an absolute amount not to exceed
$1.00 and (2) a percentage of the
difference between the strike prices not
to exceed 10% to be applied uniformly
across all classes. The Exchange may
amend the pre-set value uniformly
across all classes.’’ The Exchange
24 Rule 722 at Supplementary Material .07(c)(4)(i)
provides, ‘‘For purposes of the price protections set
forth in paragraphs (c)(1) and (c)(3), the Exchange
will set a common pre-set value not to exceed $1.00
to be applied uniformly across all classes.’’
25 Rule 722 at Supplementary Material .07(c)(5)
provides ‘‘The Exchange may change the pre-set
values established in paragraph (c)(4) in accordance
with the parameters set forth therein from time to
time uniformly across all classes.’’
26 The words, ‘‘For purposes of the price
protections set forth in paragraphs (c)(1) and (c)(3)’’
and ‘‘established in paragraph (c)(4) in accordance
with the parameters set forth therein from time to
time’’ are not being carried into the rule text as they
are no longer necessary.
27 ISE Rule 722 at Supplementary Material
.07(c)(4)(ii) provides ‘‘For purposes of the price
protections set forth in paragraph (c)(2), the
Exchange will set common pre-set values of (1) an
amount not to exceed $1.00 and (2) a percentage of
the difference between strike prices not to exceed
10% to be applied uniformly across all classes.’’
28 ISE Rule 722 at Supplementary Material
.07(c)(5) provides, ‘‘The Exchange may change the
pre-set values established in paragraph (c)(4) in
accordance with the parameters set forth therein
from time to time uniformly across all classes.’’
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believes that this proposed rule text
more efficiently explains the relevant
provisions and removes unnecessary
text.
Calendar Spread Protections
The Exchange proposes amending ISE
Rule 722 at Supplementary Material
.07(b)(2), similar to the Box and
Butterfly Spread protections, to begin
the section with the same conforming
language indicating which strategy the
Calendar Spread Protection applies to
and also relocating the definition of a
Calendar Spread to the initial
paragraph. The Exchange is also
relocating language in current Rule 722
at Supplementary Material .07(c)(4)(i)
into the actual paragraph rather than
referring back to the paragraph.29 The
Exchange also proposes to relocate
current Rule 722 at Supplementary
Material .07(c)(5) into proposed ISE
Rule 722 at Supplementary Material
.07(b)(2) and amending the language to
conform to the text in the remainder of
the rule.30 The Exchange proposes to
eliminate the remainder of the rule text
currently in Supplementary Material to
Rule 722 at .07(c)(4)(i) and (ii) and
.07(c)(5) because the language has been
relocated within the proposed text as
described herein.
Other Price Protections
amozie on DSK3GDR082PROD with NOTICES1
The Exchange proposes to add to ISE
Rule 722 new Supplementary Material
.07(c) entitled ‘‘Other Price Protections
which apply to Complex Orders’’ and
relocate Limit Order Price Protection to
.07(c)(1).31 The Exchange proposes to
relocate Size Limitation to ISE Rule 722
at Supplementary Material .07(c)(2).32
Finally, the Exchange proposes to
relocate Price Level Protection from
Rule 714(b)(4) to Rule 722 at
Supplementary Material .07(c)(3). The
Exchange proposes to remove the first
sentence which provides, ‘‘This
protection shall apply to Complex
Orders’’ because this rule is not within
a Complex Order rule currently and will
not need that indication once the rule
text is relocated to Rule 722. The
Exchange also proposes to amend the
29 The words, ‘‘For purposes of the price
protections set forth in paragraphs (c)(1) and (c)(3)’’
are not being carried into the rule text as they are
no longer necessary.
30 Currently, the rule text provides ‘‘The
Exchange may change the pre-set values established
in paragraph (c)(4) in accordance with the
parameters set forth therein from time to time
uniformly across all classes.’’ The Exchange
proposes to state ‘‘The Exchange may amend the
pre-set value uniformly across all classes.’’
31 Limit Order Price Protection is currently at ISE
Rule 722 at Supplementary Material .07(d).
32 Size Limitation is currently at ISE Rule 722 at
Supplementary Material .07(e).
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last sentence of that rule which
currently provides, ‘‘The number of
price levels for the component leg,
which may be between one (1) and ten
(10), is determined by the Exchange
from time-to-time on a class-by-class
basis.’’ The Exchange believes
indicating between one and ten could be
misleading because the setting could be
numbers 1 and 10 so ‘‘from one (1) to
ten (10)’’ is being proposed to make that
more clear.
Rule 714
Finally, the Exchange proposes to
amend Rule 714(b) to make clear that
the protections in that rule apply to
single leg orders. The Exchange is
placing protections for Complex Orders
into Rule 722 and relocating the Price
Level Protection rule 33 related to
Complex Orders. The additional
clarifying language to single leg and
cross-reference to Supplementary
Material .07 to ISE Rule 722 should
make clear to Members where the
various price protections are located.
2. Statutory Basis
The Exchange believes that its
proposal is consistent with Section 6(b)
of the Act,34 in general, and furthers the
objectives of Section 6(b)(5) of the Act,35
in particular, in that it is designed 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, by
offering protections for certain Complex
Orders which restrict executions that
exceed the intrinsic value of the spread
by a specified (or configurable) amount.
Further, the Exchange believes that its
proposal will mitigate risks to market
participants. Specifically, ISE believes
that the change, which is responsive to
member input, will facilitate
transactions in securities and perfect the
mechanism of a free and open market by
providing its Members with additional
functionality that will assist them with
managing their risk by checking each
Complex Order that is either a Butterfly
or Box spread against certain parameters
described within the filing before
accepting the Complex Orders into the
order book.
The Exchange believes that the
parameters described herein, including
parameters which will be configured by
the Exchange, will protect members
from executing orders too far outside the
33 As noted above the Price Level Protection rule
is being relocated to ISE Rule 722 at Supplementary
Material .07(c)(3).
34 15 U.S.C. 78f(b).
35 15 U.S.C. 78f(b)(5).
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29587
Minimum Value and Maximum Value
which considers the intrinsic value of
the strategy, thereby promoting fair and
orderly markets and the protection of
investors. The Exchange intends to offer
a buffer allowance from the minimum/
maximum values permitted for the
execution of these strategy orders to
allow market participants flexibility to
manage their business and
accommodate executions outside of this
range. The Exchange would monitor the
zero value, including feedback from
market participants, in determining
whether the value is set at the
appropriate level. The decision to
change the buffer could stem from
participants’ concern for their ability to
close out positions. There are
circumstances where the Minimum
Value may be less than zero. For
example, market participants who
desire to trade out of positions at
intrinsic value may not find a contraside willing to trade without a premium.
A small incremental allowance outside
of the minimum/maximum value allows
for a small premium to offset
commissions associated with trading
and may incentivize participants to take
the other side of spreads trading at
intrinsic value. For the participant
looking to close out their position, it
may be financially beneficial to pay a
small premium and close out the
position rather than carry such position
to expiration and take delivery. The
purpose of this rule change is not to
impede current order handling but to
ensure execution prices are within a
reasonable range of minimum and
maximum values.
These protections are very similar to
protections on Phlx.36 ISE’s proposal
continues to protect Butterfly and Box
Spreads from legging into the single leg
market(s), similar to Phlx Rule 1098(i)
and (j), at a price higher than the
Maximum Value for buy orders and
lower than the Minimum Value for sell
orders. Further, ISE’s proposal differs
from Phlx in that ISE allows legging
below the Minimum Value for buys and
above the Maximum Value for sells at a
price made available by the synthetic
(cIBBO) market outside of the Butterfly
and Box Spread Ranges, The Exchange
believes that these limitations, which
exist today for ISE Vertical and Calendar
Spreads,37 are consistent with the Act
because the limits permit buying below
the minimum and selling above the
maximum thereby allowing buyers and
sellers to achieve better prices without
36 See
37 See
Phlx Rule 1098(i) and (j).
Supplementary Material .07(c) to ISE Rule
722.
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Federal Register / Vol. 83, No. 122 / Monday, June 25, 2018 / Notices
taking on additional risk.38 The intrinsic
value for the Box Spread and the
Butterfly Spread that could be achieved
when closing the position would not be
negatively impacted in this case because
the limitation permits price
improvement as noted above for Box
Spreads and Butterfly Spreads.
The Exchange’s proposal to exclude
the Butterfly and Box Spread
Protections from Complex Orders being
auctioned and auction responses in the
Facilitation Mechanism, Solicited Order
Mechanism, and Price Improvement
Mechanism is consistent with the Act
because it conforms to the behavior of
other protections on ISE protection
including the protections for Vertical
Spread and Calendar Spreads. Complex
Orders executed in these mechanisms
are two-sided orders where the contraside order is willing to trade with the
agency order at an agreed upon price
thus removing the risk that the order
was executed erroneously outside its
intrinsic value. The Box and Butterfly
Spread Protection will also not apply to
Customer Cross Orders. Unlike Phlx, but
similar to ISE Vertical and Calendar
spreads,39 these protections will not
apply to Complex Orders being
auctioned in the Facilitation,
Solicitation, Price Improvement
mechanism and associated auction
responses. Also, today, the Vertical and
Calendar spreads do not apply to
Customer Cross Orders. The Exchange is
adding Customer Cross Orders to the list
of excluded order types that are not
protected by the Vertical, Calendar, Box
or Butterfly Spread Protections.
Complex orders executed in these
mechanisms are two-sided orders where
the contra-side order is willing to trade
with the agency order at an agreed upon
price thus removing the risk that the
order was executed erroneously outside
its intrinsic value. Similarly, a Customer
Cross Order is a two-sided order where
the contra-side order is willing to trade
with the agency order at an agreed upon
price. The Exchange believes that
because paired orders are negotiated in
advance by both parties it is unlikely
that the parties would agree to transact
at prices that would necessitate the
protections proposed within the Box
and Butterfly Spread Protections.
The Exchange believes that the
proposed amendments to
Supplementary Material .07 to ISE Rule
722 further clarify the existing rules and
38 Allowing sell orders to trade by legging into the
simple market at prices above the Maximum Value
(buy orders below the Minimum Value) offers an
opportunity for sellers/buyers to receive a premium
beyond the potential intrinsic value of the spread
without creating risk for the Complex Order Book.
39 Id.
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17:58 Jun 22, 2018
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conform the structure of the rules to the
proposed Butterfly and Box Spread
protections. The Exchange believes that
reorganizing Supplementary Material
.07 to ISE Rule 722 by adding titles,
capitalizing defined terms, reorganizing
the letters and numbers and
consolidating text will protect investors
and the public interest by adding greater
transparency to the rules. The Exchange
also notes that it is adding clarifying
language to the rule text and relocating
the Price Level Protection from Rule
714, which concerns single leg
protections to Rule 722 at
Supplementary Material .07, which
concerns Complex Order protections.
The Exchange believes that amending
proposed Supplementary Material
.07(a)(1) to ISE Rule 722 to apply the
setting 40 uniformly across all markets
rather than on a class or series basis will
align this protection to the manner in
which all other protections are applied
for Complex Orders. The Exchange
believes that uniformly applying the
setting is consistent with the Act
because it will apply the protection in
the same manner regardless of class.
B. Self-Regulatory Organization’s
Statement on Burden on Competition
The Exchange does not believe that
the proposed rule change will impose
any burden on competition not
necessary or appropriate in furtherance
of the purposes of the Act. Specifically,
the proposal does not impose an intramarket burden on competition, because
it will apply to all Complex Orders,
which are either Butterfly or Box
spreads entered by any ISE Member.
Further, the proposal will not impose an
undue burden on inter-market
competition, rather the proposal will
assist the Exchange in remaining
competitive in light of protections
offered by other options exchanges.41
The Exchange competes with many
other options exchanges, which offer
Complex Orders. In this highly
competitive market, market participants
can easily and readily direct order flow
to competing venues. The Exchange
believes that not applying the Box and
Butterfly Spread Protections to
Customer Cross Orders, in addition to
Complex Orders being auctioned in the
Facilitation, Solicitation, Price
Improvement mechanism and
associated auction responses, does not
impose any significant burden on
competition because it will not be
applied to any of these orders for any
market participant.
C. Self-Regulatory Organization’s
Statement on Comments on the
Proposed Rule Change Received From
Members, Participants, or Others
No written comments were either
solicited or received.
III. Date of Effectiveness of the
Proposed Rule Change and Timing for
Commission Action
The Exchange has filed the proposed
rule change pursuant to Section
19(b)(3)(A) of the Act 42 and Rule 19b–
4(f)(6) thereunder.43 Because the
proposed rule change does not: (i)
Significantly affect the protection of
investors or the public interest; (ii)
impose any significant burden on
competition; and (iii) become operative
for 30 days from the date on which it
was filed, or such shorter time as the
Commission may designate, it has
become effective pursuant to Section
19(b)(3)(A) of the Act and Rule 19b–
4(f)(6) thereunder.44
A proposed rule change filed under
Rule 19b–4(f)(6) 45 normally does not
become operative for 30 days after the
date of the filing. However, pursuant to
Rule 19b–4(f)(6)(iii),46 the Commission
may designate a shorter time if such
action is consistent with the protection
of investors and the public interest. In
its filing with the Commission, the
Exchange has asked the Commission to
waive the 30-day operative delay so that
the proposal may become operative
immediately upon filing so that the
Exchange may immediately offer the
Box and Butterfly Spread protections,
which are offered on Phlx, and remain
competitive with other markets. The
Commission believes that waiver of the
30-day operative delay is consistent
with the protection of investors and the
public interest because the Box and
Butterfly Spread protections will help
market participant mitigate risk by
preventing the execution of Butterfly
and Box Spreads at prices that are
outside of specified minimum and
maximum values. The Commission
notes that the Box and Butterfly Spread
42 15
U.S.C. 78s(b)(3)(A)(iii).
CFR 240.19b–4(f)(6).
44 In addition, Rule 19b–4(f)(6)(iii) requires a selfregulatory organization to give the Commission
written notice of its intent to file the proposed rule
change at least five business days prior to the date
of filing of the proposed rule change, or such
shorter time as designated by the Commission. The
Exchange has satisfied this requirement.
45 17 CFR 240.19b–4(f)(6).
46 17 CFR 240.19b–4(f)(6)(iii).
43 17
40 Proposed Supplementary Material .07(a)(1) to
ISE Rule 722 provides that the System will not
permit any leg of a complex order to trade through
the NBBO for the series by a configurable amount
calculated as the lesser of (i) an absolute amount
not to exceed $0.10, and (ii) a percentage of the
NBBO not to exceed 500%, as determined by the
Exchange.
41 See Phlx Rule 1098(i) and (j).
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Federal Register / Vol. 83, No. 122 / Monday, June 25, 2018 / Notices
provisions of 5 U.S.C. 552, will be
available for website 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.
Persons submitting comments are
cautioned that we do not redact or edit
personal identifying information from
comment submissions. You should
submit only information that you wish
to make available publicly. All
submissions should refer to File
Number SR–ISE–2018–55, and should
be submitted on or before July 16, 2018.
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.49
Eduardo A. Aleman,
Assistant Secretary.
Electronic Comments
• Use the Commission’s Internet
comment form (https://www.sec.gov/
rules/sro.shtml); or
• Send an e-mail to rulecomments@sec.gov. Please include File
Number SR–ISE–2018–55 on the subject
line.
amozie on DSK3GDR082PROD with NOTICES1
protections are substantially similar to
protections offered on Phlx. Therefore,
the Commission designates the
proposed rule change operative upon
filing.47
At any time within 60 days of the
filing of such proposed rule change, the
Commission summarily may
temporarily suspend such rule change if
it appears to the Commission that such
action is necessary or appropriate in the
public interest, for the protection of
investors, or otherwise in furtherance of
the purposes of the Act. If the
Commission takes such action, the
Commission shall institute proceedings
under Section 19(b)(2)(B) of the Act 48 to
determine whether the proposed rule
change should be approved or
disapproved.
SECURITIES AND EXCHANGE
COMMISSION
Paper Comments
• Send paper comments in triplicate
to Secretary, Securities and Exchange
Commission, 100 F Street NE,
Washington, DC 20549–1090.
All submissions should refer to File
Number SR–ISE–2018–55. This file
number should be included on the
subject line if e-mail is used. To help the
Commission process and review your
comments more efficiently, please use
only one method. The Commission will
post all comments on the Commission’s
Internet website (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
47 For purpose only of waiving the operative
delay, the Commission has considered the proposed
rule’s impact on efficiency, competition, and capital
formation. See 15 U.S.C. 78c(f).
48 15 U.S.C. 78s(b)(2)(B).
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Commission, 100 F Street NE,
Washington, DC 20549–2521.
SUPPLEMENTARY INFORMATION: The draft
strategic plan is available at the
Commission’s website at https://
www.sec.gov/files/sec-strategic-plan2018-2022.pdf or by contacting Nicole
Puccio, Branch Chief, Office of
Financial Management, at (202) 551–
6638, Securities and Exchange
Commission, 100 F Street NE,
Washington, DC 20549–2521.
By the Commission.
Dated: June 19, 2018.
Brent J. Fields,
Secretary.
[FR Doc. 2018–13484 Filed 6–22–18; 8:45 am]
BILLING CODE 8011–01–P
SECURITIES AND EXCHANGE
COMMISSION
[Release No. 34–83467; File No. SR–
CboeBZX–2018–019]
[FR Doc. 2018–13505 Filed 6–22–18; 8:45 am]
BILLING CODE 8011–01–P
[Release No. 34–83463]
Draft 2018–2022 Strategic Plan for
Securities and Exchange Commission
Securities and Exchange
Commission.
ACTION: Request for comment.
AGENCY:
The Securities and Exchange
Commission (SEC) is providing notice
that it is seeking comments on its draft
2018–2022 Strategic Plan. The draft
Strategic Plan includes a draft of the
SEC’s mission, vision, values, strategic
goals, and planned initiatives.
DATES: Comments should be received on
or before July 25, 2018.
ADDRESSES: Comments may be
submitted by any of the following
methods:
SUMMARY:
Electronic Comments
Send an email to
PerformancePlanning@sec.gov.
Paper Comments
Send paper comments to Nicole
Puccio, Branch Chief, Securities and
Exchange Commission, 100 F Street NE,
Washington, DC 20549–2521.
FOR FURTHER INFORMATION CONTACT:
Nicole Puccio, Branch Chief, Office of
Financial Management, at (202) 551–
6638, Securities and Exchange
49 17
PO 00000
CFR 200.30–3(a)(12).
Frm 00062
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Self-Regulatory Organizations; Cboe
BZX Exchange, Inc.; Order Instituting
Proceedings To Determine Whether To
Approve or Disapprove a Proposed
Rule Change, as Modified by
Amendment No. 2 Thereto, To List and
Trade Shares of Eighteen ADRPLUS
Funds of the Precidian ETFs Trust
Under Rule 14.11(i), Managed Fund
Shares
June 19, 2018.
I. Introduction
On March 5, 2018, Cboe BZX
Exchange, Inc. 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 proposed rule change to
list and trade shares (‘‘Shares’’) of
eighteen ADRPLUS Funds (‘‘Funds’’) of
the Precidian ETFs Trust (‘‘Trust’’). The
proposed rule change was published for
comment in the Federal Register on
March 21, 2018.3 On April 25, 2018, the
Exchange filed Amendment No. 1 to the
proposed rule change,4 and the
Commission, pursuant to Section
19(b)(2) of the Act,5 designated a longer
1 15
U.S.C. 78s(b)(1).
CFR 240.19b–4.
3 See Securities Exchange Act Release No. 82881
(March 15, 2018), 83 FR 12449.
4 Amendment No. 1 replaced and superseded the
original rule filing in its entirety. Amendment
No. 1 is available at https://www.sec.gov/comments/
sr-cboebzx-2018-019/cboebzx2018019-3551361162325.pdf. Amendment No. 1 was subsequently
replaced and superseded in its entirety by
Amendment No. 2. See note 7, infra.
5 15 U.S.C. 78s(b)(2).
2 17
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Agencies
[Federal Register Volume 83, Number 122 (Monday, June 25, 2018)]
[Notices]
[Pages 29583-29589]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2018-13505]
-----------------------------------------------------------------------
SECURITIES AND EXCHANGE COMMISSION
[Release No. 34-83464; File No. SR-ISE-2018-55]
Self-Regulatory Organizations; Nasdaq ISE, LLC; Notice of Filing
and Immediate Effectiveness of Proposed Rule Change Relating to Box and
Butterfly Spread Protections
June 19, 2018.
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 June 7, 2018, Nasdaq ISE, LLC (``ISE'' or the ``Exchange'') filed
with the Securities and Exchange Commission (``Commission'') the
proposed rule change as described in Items I and II 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
The Exchange proposes to adopt new order type protections,
Butterfly and Box Spread protections, for Complex Order \3\ strategy
trades.
---------------------------------------------------------------------------
\3\ A complex order is any order involving the simultaneous
purchase and/or sale of two or more different options series in the
same underlying security, for the same account, in a ratio that is
equal to or greater than one-to-three (.333) and less than or equal
to three-to-one (3.00) and for the purpose of executing a particular
investment strategy. See ISE Rule 722(a)(1).
---------------------------------------------------------------------------
The text of the proposed rule change is available on the Exchange's
website at https://ise.cchwallstreet.com/, at the principal office of
the Exchange, 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
The Exchange proposes to: (i) Adopt Complex Order protections for
Butterfly and Box Spread protections for Complex Order strategies; and
(ii) reorganize and amend the existing Complex Order protections
currently contained within .07 of Supplementary Material to Rule 722
and Rule 714. These amendments will be described in greater detail
below. This rule change is similar to protections, which exist today on
Nasdaq Phlx LLC (``Phlx'').\4\
---------------------------------------------------------------------------
\4\ This rule change is similar to Phlx Rule 1098(i) and (j).
---------------------------------------------------------------------------
Adopt Butterfly and Box Spread Protections
Today, ISE members may submit Butterfly and Box spreads into the
System. ISE proposes to define a Butterfly spread as a three legged
Complex Order with certain characteristics.\5\ The Exchange is
proposing to reject Butterfly spreads which are outside of certain
parameters to avoid potential executions at prices that exceed the
minimum and maximum possible intrinsic value of the spread by a
specified amount. Additionally, ISE proposes to define a Box spread as
a four legged Complex Order with certain characteristics.\6\ The
Exchange is proposing to reject Box spreads which are outside of
certain parameters to avoid potential executions at prices that exceed
the minimum and maximum possible intrinsic value of the spread by a
specified amount. Today, the Exchange offers similar order protection
features for Complex Orders such as Vertical and Calendar Spread
Protections \7\ to avoid erroneous trades.
---------------------------------------------------------------------------
\5\ This strategy utilizes a combination of either all calls or
all puts of the same expiration date in the same underlying to limit
risk.
\6\ This strategy utilizes a combination of put/call pairs of
options with the same expiration date in the same underlying to
limit risk.
\7\ See Supplementary Material .07(c) to ISE Rule 722.
---------------------------------------------------------------------------
Butterfly Spread Protection
As noted above, the Exchange proposes to adopt a Butterfly Spread
Protection. A Butterfly Spread is a three legged Complex Order with the
following: (1) Two legs to buy (sell) the same number of calls (puts);
(2) one leg to sell (buy) twice the number of calls (puts) with a
strike price at mid-point of the two legs to buy (sell); (3) all legs
have the same expiration; and (4) each leg strike price is equidistant
from the next sequential strike price. With this protection, a
Butterfly Spread Limit Order that is priced higher than the Maximum
Value (defined below) or lower than the Minimum Value (defined below)
will be rejected. A Butterfly Spread Market Order (or Butterfly Spread
Limit Order entered with a net price inside the Butterfly Spread
Protection Range) to Buy (Sell) will be restricted from executing by
legging into the single leg market with a net price higher (lower) than
the Maximum (Minimum) Value. The Butterfly Spread Protection Range is
the absolute difference between the Minimum Value and the Maximum
Value.
ISE's proposal continues to protect Butterfly Spreads from legging
into the single leg market(s), similar to Phlx Rule 1098(i), at a price
higher than the Maximum Value for buy orders and lower than the Minimum
Value for sell orders. ISE's proposal differs from Phlx in that ISE
allows legging below the Minimum Value for buys and above the Maximum
Value for sells at a price made available by the synthetic (cIBBO)
market outside of the Butterfly Spread Protection Range.\8\
---------------------------------------------------------------------------
\8\ Allowing sell orders to trade by legging into the simple
market at prices above the Maximum Value (buy orders below the
Minimum Value) offers an opportunity for sellers/buyers to receive a
premium beyond the potential intrinsic value of the spread without
creating risk for the Complex Order Book.
---------------------------------------------------------------------------
The Exchange believes that these limitations, which exist today for
ISE Vertical and Calendar Spreads,\9\ are consistent with the Act
because the limits permit buying below the minimum and selling above
the maximum thereby allowing buyers and sellers to achieve better
prices without taking on additional risk. The intrinsic value for the
Butterfly Spread that could be achieved when closing the position would
not be negatively impacted in
[[Page 29584]]
this case because the limitation permits price improvement. The
Exchange notes, however, that in certain situations, market
participants willingly want to execute certain trading strategies even
if such trades occur outside their intrinsic value or at seemingly
erroneous prices (e.g., negative price).\10\ The Exchange believes it
is appropriate to provide market participants flexibility to allow them
to execute these trading strategies and therefore to adopt a buffer to
permit the execution of such trading strategies. The Exchange believes
it is reasonable to adopt a buffer to give the Exchange the ability to
adjust the pre-set value uniformly across all options classes in the
event the Exchange believes a different pre-set value is more
appropriate. Finally, the Exchange notes that it provides these
protections for the benefit of, and in consultation with, its Members.
The Exchange believes the proposed rule change will help the Exchange
to maintain a fair and orderly market, and provide a valuable service
to investors.
---------------------------------------------------------------------------
\9\ Id.
\10\ A small incremental allowance outside of the Minimum/
Maximum Value allows for a small premium to offset commissions
associated with trading and may incentivize participants to take the
other side of spreads trading at or slightly outside of the
intrinsic value. For the participant looking to close out their
position, it may be financially beneficial to pay a small premium
and close out the position rather than carry such position to
expiration and take delivery. The purpose of this rule change is not
to impede current order handling but to ensure execution prices are
within a reasonable range of minimum and maximum values.
---------------------------------------------------------------------------
The Initial Maximum Value shall be the distance between the strike
price of the leg with the mid-point strike price and either of the
outer leg strike prices. The Maximum Value Buffer is the lesser of a
configurable absolute dollar value or percentage of the Initial Maximum
Value set by the Exchange and announced via a notice to members. The
Exchange intends to set the Maximum Value Buffer at zero initially. The
Maximum Value is calculated by adding the Initial Maximum Value and
Maximum Value Buffer.
The Initial Minimum Value shall be zero. The Minimum Value Buffer
is a configurable absolute dollar value set by the Exchange and
announced via a notice to members. The Exchange intends to set the
Minimum Value Buffer at zero initially. The Exchange would monitor the
zero value, including feedback from market participants, in determining
whether the value is set at the appropriate level. The decision to
change the buffer could stem from participant concern for their ability
to close out positions. The Minimum Value is calculated by subtracting
the Minimum Value Buffer from the Initial Minimum Value of zero. There
are circumstances where the Minimum Value may be less than zero.\11\
---------------------------------------------------------------------------
\11\ For example, market participants who desire to trade out of
positions at intrinsic value may not find a contra-side willing to
trade without a premium. A small incremental allowance outside of
the minimum/maximum value allows for a small premium to offset
commissions associated with trading and may incentivize participants
to take the other side of spreads trading at intrinsic value. For
the participant looking to close out their position, it may be
financially beneficial to pay a small premium and close out the
position rather than carry such position to expiration and take
delivery.
---------------------------------------------------------------------------
The Butterfly Spread Protection would apply throughout the trading
day, including pre-market, during the Opening Process and during a
trading halt. Unlike Phlx, but similar to ISE Vertical and Calendar
spreads,\12\ these protections will not apply to Complex Orders being
auctioned in the Facilitation, Solicitation, Price Improvement
mechanism and associated auction responses. Also, today, the Vertical
and Calendar spreads do not apply to Customer Cross Orders.\13\ The
Exchange is adding Customer Cross Orders to the list of excluded order
types that are not protected by the Vertical, Calendar, Box or
Butterfly spread protections. Complex orders executed in these
mechanisms are two-sided orders where the contra-side order is willing
to trade with the agency order at an agreed upon price thus removing
the risk that the order was executed erroneously outside its intrinsic
value. Similarly, a Customer Cross Order is a two-sided order where the
contra-side order is willing to trade with the agency order at an
agreed upon price. The Exchange believes that because paired orders are
negotiated in advance by both parties it is unlikely that the parties
would agree to transact at prices that would necessitate the
protections proposed within the Butterfly Spread Protection.
---------------------------------------------------------------------------
\12\ See ISE Rule 722 at Supplementary Material .07(c).
\13\ A Customer Cross Order is comprised of a Priority Customer
Order to buy and a Priority Customer Order to sell at the same price
and for the same quantity. See ISE Rule 715(i).
---------------------------------------------------------------------------
Below is an example of the application of this protection.
Example 1
Assume the following Complex Order legs for a Butterfly Spread:
1. Buy 1 NDX 6960 Jan 26 Call (33.70 x 34.60)
2. Sell 2 NDX 6970 Jan 26 Calls (27.00 x 27.90)
3. Buy 1 NDX 6980 Jan 26 Call (28.40 x 29.50)
The derived net ISE Complex Order market (``cIBBO'') is 6.30 x 10.10
\14\
---------------------------------------------------------------------------
\14\ The cIBBO is calculated by deriving the synthetic bid and
offer available in the simple market with the ratio of each option
leg of the spread considered. The 6.30 number is arrived at by
multiplying (1 * 33.70) then subtracting (2 * 27.90) and adding (1 *
28.40). The 10.10 number is derived by multiplying (1 * 34.60) then
subtracting (2 * 27.00) and adding (1 * 29.50).
---------------------------------------------------------------------------
Assume both the Maximum Value Buffer and Minimum Value Buffer are 0.00
Minimum Value = 0.00
Initial Minimum Value: 0.00
Minimum Value Buffer: 0.00
Minimum Value: 0.00-0.00 = 0.00
Maximum Value = 10
Initial Maximum Value: 6970 (middle leg strike price)-6960
(outer leg strike price) = 10.00
Maximum Value Buffer: 0.00
Maximum Value: 10.00 (Initial Maximum Value) + 0.00
(Maximum Value Buffer) = 10.00
An incoming order to buy the spread defined above for 10.10 will be
rejected because the purchase price of 10.10 is greater than the
Maximum Value of 10.00.
Example 2
Assume the following Complex Order legs for a Butterfly Spread:
1. Buy 1 NDX 6960 Jan 26 Call (33.70 x 34.60)
2. Sell 2 NDX 6970 Jan 26 Calls (27.00 x 27.90)
3. Buy 1 NDX 6980 Jan 26 Call (28.40 x 29.45)
The derived net ISE Complex Order market (``cIBBO'') is 6.30 x 10.05
\15\
---------------------------------------------------------------------------
\15\ The cIBBO is calculated by deriving the synthetic bid and
offer available in the simple market with the ratio of each option
leg of the spread considered.
---------------------------------------------------------------------------
Assume both the Maximum Value Buffer and Minimum Value Buffer are 0.05
Minimum Value = -0.05
Initial Minimum Value: 0.00
Minimum Value Buffer: 0.05
Minimum Value: 0.00-0.05 = -0.05
Maximum Value = 10.05
Initial Maximum Value: 6970 (middle leg strike price)-6960
(outer leg strike price) = 10.00
Maximum Value Buffer: 0.05
Maximum Value: 10.00 (Initial Maximum Value) + 0.05
(Maximum Value Buffer) = 10.05
An incoming order to buy the spread defined above for 10.05 will be
accepted and executed against the simple market because the purchase
price of 10.05 is equal to the Maximum Value 10.05.
[[Page 29585]]
Phlx has a similar protection in place today.\16\
---------------------------------------------------------------------------
\16\ See Securities and Exchange Act Release No. 83033 (April
11, 2018), 83 FR 16907 (April 17, 2018) (SR-Phlx-2018-14).
---------------------------------------------------------------------------
Box Spread Protection
As noted above, the Exchange proposes to adopt a Box Spread
Protection. A Box Spread is a four legged Complex Order with the
following: (1) One pair of legs with the same strike price with one leg
to buy a call (put) and one leg to sell a put (call); (2) a second pair
of legs with a different strike price from the pair described in (1)
with one leg to sell a call (put) and one leg to buy a put (call); (3)
all legs have the same expiration; and (4) all legs have equal volume.
With this protection, a Box Spread Limit Order that is priced higher
than the Maximum Value or lower than the Minimum Value will be
rejected. A Box Spread Market Order (or Box Spread Limit Order entered
with a net price inside the Box Spread Protection Range) to Buy (Sell)
will be restricted from executing by legging into the single leg market
with a net price higher (lower) than the Maximum (Minimum) Value. The
Box Spread Protection Range is the absolute difference between the
Minimum Value and the Maximum Value.
ISE's proposal continues to protect Box Spreads from legging into
the single leg market(s), similar to Phlx Rule 1098(j), at a price
higher than the Maximum Value for buy orders and lower than the Minimum
Value for sell orders. ISE's proposal differs from Phlx in that ISE
allows legging below the Minimum Value for buys and above the Maximum
Value for sells at a price made available by the synthetic (cIBBO)
market outside of the Box Spread Protection Range.\17\
---------------------------------------------------------------------------
\17\ Allowing sell orders to trade by legging into the simple
market at prices above the Maximum Value (buy orders below the
Minimum Value) offers an opportunity for sellers/buyers to receive a
premium beyond the potential intrinsic value of the spread without
creating risk for the Complex Order Book.
---------------------------------------------------------------------------
The Exchange believes that these limitations, which exist today for
ISE Vertical and Calendar Spreads,\18\ are consistent with the Act
because the limits permit buying below the minimum and selling above
the maximum thereby allowing buyers and sellers to achieve better
prices without taking on additional risk. The intrinsic value for the
Box Spread that could be achieved when closing the position would not
be negatively impacted in this case because the limitation permits
price improvement as noted above for Butterfly Spreads.
---------------------------------------------------------------------------
\18\ See Supplementary Material .07(c) to ISE Rule 722.
---------------------------------------------------------------------------
The Initial Maximum Value shall be the distance between the strike
prices of each pair of leg strike prices. The Maximum Value Buffer is
the lesser of a configurable absolute dollar value or percentage of the
Initial Maximum Value set by the Exchange and announced via a notice to
members. The Exchange intends to set the Maximum Value Buffer at zero
initially. The Maximum Value is calculated by adding the Initial
Maximum Value and Maximum Value Buffer.
The Initial Minimum Value shall be zero. The Minimum Value Buffer
is a configurable absolute dollar value set by the Exchange and
announced via a notice to members. The Exchange intends to set the
Minimum Value Buffer at zero initially. The Minimum Value is calculated
by subtracting the Minimum Value Buffer from the Initial Minimum Value
of zero.
The Box Spread Protection would apply throughout the trading day,
including pre-market, during the Opening Process and during a trading
halt. The protections will not apply to Complex Orders in the
Facilitation, Solicitation, Price Improvement mechanism and associated
auction responses. The Box Spread Protection will also not apply to
Customer Cross Orders. Unlike Phlx, but similar to ISE Vertical and
Calendar spreads,\19\ these protections will not apply to Complex
Orders being auctioned in the Facilitation, Solicitation, Price
Improvement mechanism and associated auction responses. Also, today,
the Vertical and Calendar spreads do not apply to Customer Cross
Orders. The Exchange is adding Customer Cross Orders to the list of
excluded order types that are not protected by the Vertical, Calendar,
Box or Butterfly spread protections. Complex orders executed in these
mechanisms are two-sided orders where the contra-side order is willing
to trade with the agency order at an agreed upon price thus removing
the risk that the order was executed erroneously outside its intrinsic
value. Similarly, a Customer Cross Order is a two-sided order where the
contra-side order is willing to trade with the agency order at an
agreed upon price. The Exchange believes that because paired orders are
negotiated in advance by both parties it is unlikely that the parties
would agree to transact at prices that would necessitate the
protections proposed within the Box Spread Protections.
---------------------------------------------------------------------------
\19\ Id.
---------------------------------------------------------------------------
Example 1
Assume the following Complex Order pairs for a Box Spread:
1. Pair A
a. Buy 1 NDX 6960 Jan 26 Call (30.80 x 34.05)
b. Sell 1 NDX 6960 Jan 26 Put (33.50 x 36.00)
2. Pair B
a. Sell 1 NDX 6970 Jan 26 Call (27.50 x 29.00)
b. Buy 1 NDX 6970 Jan 26 Put (36.40 x 37.05)
The derived net ISE Complex Order market (``cIBBO'') is 2.20 x 10.10
\20\
---------------------------------------------------------------------------
\20\ The cIBBO is calculated by deriving the synthetic bid and
offer available in the simple market with the ratio of each option
leg of the spread considered.
---------------------------------------------------------------------------
Assume both Maximum Value Buffer and Minimum Value Buffer are 0.00
Minimum Value = 0.00
Initial Minimum Value: 0.00
Minimum Value Buffer: 0.00
Minimum Value: 0.00-0.00 = 0.00
Maximum Value = 10.00
Initial Maximum Value: 6970 (Pair A strike price)-6960
(Pair B strike price) = 10.00
Maximum Value Buffer: 0.00
Maximum Value: 10.00 (Initial Maximum Value) + 0.00
(Maximum Value Buffer) = 10.00
An incoming order to buy the spread defined above for 10.10 will be
rejected because the purchase price of 10.10 is greater than the
Maximum Value of 10.00.
Example 2
Assume the following Complex Order pairs for a Box Spread:
1. Pair A
a. Buy 1 NDX 6960 Jan 26 Call (30.80 x 34.05)
b. Sell 1 NDX 6960 Jan 26 Put (33.50 x 36.50)
2. Pair B
a. Sell 1 NDX 6970 Jan 26 Call (27.50 x 30.75)
b. Buy 1 NDX 6970 Jan 26 Put (36.40 x 37.05)
The derived net ISE Complex Order market (``cIBBO'') is -0.05 x 10.10
\21\
---------------------------------------------------------------------------
\21\ The cIBBO is calculated by deriving the synthetic bid and
offer available in the simple market with the ratio of each option
leg of the spread considered.
---------------------------------------------------------------------------
Assume both Maximum Value Buffer and Minimum Value Buffer are 0.05
Minimum Value = -0.05
Initial Minimum Value: 0.00
Minimum Value Buffer: 0.05
Minimum Value: 0.00-0.05 = -0.05
Maximum Value = 10.05
Initial Maximum Value: 6970 (Pair
[[Page 29586]]
A strike price)-6960 (Pair B strike price) = 10.00
Maximum Value Buffer: 0.05
Maximum Value: 10.00 (Initial Maximum Value) + 0.05
(Maximum Value Buffer) = 10.05
An incoming order to sell the spread defined above for -0.05 will
be accepted and executed against the simple market because the purchase
price of -0.05 is equal than the Minimum Value of -0.05. Phlx has a
similar protection in place today.\22\
---------------------------------------------------------------------------
\22\ See note 4 above.
---------------------------------------------------------------------------
Reorganize and Amend Supplementary Material .07 to Rule 722
The Exchange proposes to reorganize and amend Supplementary
Material .07 to Rule 722 which is entitled ``Price limits for complex
order and quotes.'' The Exchange proposes to rename .07 as ``Complex
Order Protections.'' The Exchange proposes to list all available
Complex Order protections on ISE within Supplementary Material .07 to
Rule 722.
Universal Changes
The Exchange proposes to reorder the rule and title subsection
``a'' as ``Price limits for Complex Orders and quotes.'' The Exchange
is proposing to capitalize defined terms throughout this section for
consistency. The Exchange removed cross-references that are no longer
necessary with the reorganization. The Exchange proposes to re-letter
and renumber this section to accommodate all the price protections. The
Exchange also proposes adding titles throughout .07 to add more context
to the rules. Proposed Supplementary Material to Rule 722 at .07(b)
shall be titled, ``Strategy Protections.'' Proposed Supplementary
Material to Rule 722 at .07(c) shall be titled, ``Other Price
Protections which apply to Complex Orders.''
Price Limits
With respect to the price limits specified in proposed Rule 722 at
Supplementary Material .07(a)(1) the Exchange proposes a substantive
amendment to revise the second sentence which currently provides,
``Notwithstanding, the System will not permit any leg of a complex
order to trade through the NBBO for the series by a configurable amount
calculated as the lesser of (i) an absolute amount not to exceed $0.10,
and (ii) a percentage of the NBBO not to exceed 500%, as determined by
the Exchange on a class or series basis.'' The Exchange originally
filed this rule to permit ISE to configure settings for this protection
on a class or series basis. The Exchange proposes to amend the ability
to configure settings. Similar to the proposed Butterfly and Box Spread
protections, the Exchange proposes to apply the settings uniformly
across all classes.
Strategy Protections
The Exchange proposes introducing ISE Rule 722 at Supplementary
Material .07(b) with the following text, ``The following protections
will apply throughout the trading day, including pre-market, during the
Opening Process and during a trading halt.'' Today, the Vertical and
Calendar Spread Protections apply throughout the trading day, including
pre-market, during the Opening Process and during a trading halt. The
Exchange provides for no limitations in the Vertical and Calendar
Spread Protections with respect to any limitations during specific
trading sessions. The Exchange also does not intend for such
limitations to apply for Box and Butterfly Spread Protections. The
Exchange believes that adding this affirmative language will simply
serve to remove any confusion on whether the protections do not apply
during a specific trading session.
The Exchange also proposes to add another sentence to the
introduction of new section (b) which provides ``The protections will
not apply to Complex Orders being auctioned and auction responses in
the Facilitation Mechanism, Solicited Order Mechanism, and Price
Improvement Mechanism and will not apply to Customer Cross Orders.''
Today, the protections for Vertical Spread Protection and Calendar
Spread Protections do not apply to Complex Orders being auctioned and
auction responses in the Facilitation Mechanism, Solicited Order
Mechanism, and Price Improvement Mechanism and Customer Cross
Orders.\23\ The Exchange is proposing these same limitations for Box
and Butterfly Spreads. Complex orders executed in these mechanisms are
two-sided orders where the contra-side order is willing to trade with
the agency order at an agreed upon price thus removing the risk that
the order was executed erroneously outside its intrinsic value.
---------------------------------------------------------------------------
\23\ The current rule text does not include Customer Cross
Orders, however, today, the Vertical and Calendar spread protections
do not apply to Customer Cross Orders.
---------------------------------------------------------------------------
Vertical Spread Protections
The Exchange proposes amending ISE Rule 722 at Supplementary
Material .07(b)(1), similar to the Box and Butterfly Spread
protections, to begin the section with the same conforming language
indicating which strategy the Vertical Spread Protection applies to and
also relocating the definition of a Vertical Spread to the initial
paragraph. The Exchange is amending proposed ISE Rule 722 at
Supplementary Material .07(b)(1)(A) to relocate the language in current
Rule 722 at Supplementary Material .07(c)(4)(i) \24\ and .07(c)(5) \25\
into the actual paragraph rather than referring back to the
paragraph.\26\ The Exchange proposes the following rule text, ``The
Exchange will set a common pre-set value not to exceed $1.00 to be
applied uniformly across all classes. The Exchange may amend the pre-
set value uniformly across all classes'' at proposed ISE Rule 722 at
Supplementary Material .07(b)(1)(A).
---------------------------------------------------------------------------
\24\ Rule 722 at Supplementary Material .07(c)(4)(i) provides,
``For purposes of the price protections set forth in paragraphs
(c)(1) and (c)(3), the Exchange will set a common pre-set value not
to exceed $1.00 to be applied uniformly across all classes.''
\25\ Rule 722 at Supplementary Material .07(c)(5) provides ``The
Exchange may change the pre-set values established in paragraph
(c)(4) in accordance with the parameters set forth therein from time
to time uniformly across all classes.''
\26\ The words, ``For purposes of the price protections set
forth in paragraphs (c)(1) and (c)(3)'' and ``established in
paragraph (c)(4) in accordance with the parameters set forth therein
from time to time'' are not being carried into the rule text as they
are no longer necessary.
---------------------------------------------------------------------------
The Exchange notes that proposed ISE Rule 722 at Supplementary
Material .07(b)(1)(B) already has a sentence which states, ``The pre-
set value is the lesser of an absolute amount and a percentage of the
difference between the strike prices.'' Instead of also relocating ISE
Rule 722 at Supplementary Material .07(c)(4)(ii) and (c)(5) into the
actual paragraph, the Exchange proposes to remove the current sentence,
``The pre-set value is the lesser of an absolute amount and a
percentage of the difference between the strike prices'' and instead
combine ISE Rule 722 at Supplementary Material .07(c)(4)(ii) \27\ and
(c)(5).\28\ The Exchange proposes to state ``The pre-set value used by
the vertical spread check will be the lesser of (1) an absolute amount
not to exceed $1.00 and (2) a percentage of the difference between the
strike prices not to exceed 10% to be applied uniformly across all
classes. The Exchange may amend the pre-set value uniformly across all
classes.'' The Exchange
[[Page 29587]]
believes that this proposed rule text more efficiently explains the
relevant provisions and removes unnecessary text.
---------------------------------------------------------------------------
\27\ ISE Rule 722 at Supplementary Material .07(c)(4)(ii)
provides ``For purposes of the price protections set forth in
paragraph (c)(2), the Exchange will set common pre-set values of (1)
an amount not to exceed $1.00 and (2) a percentage of the difference
between strike prices not to exceed 10% to be applied uniformly
across all classes.''
\28\ ISE Rule 722 at Supplementary Material .07(c)(5) provides,
``The Exchange may change the pre-set values established in
paragraph (c)(4) in accordance with the parameters set forth therein
from time to time uniformly across all classes.''
---------------------------------------------------------------------------
Calendar Spread Protections
The Exchange proposes amending ISE Rule 722 at Supplementary
Material .07(b)(2), similar to the Box and Butterfly Spread
protections, to begin the section with the same conforming language
indicating which strategy the Calendar Spread Protection applies to and
also relocating the definition of a Calendar Spread to the initial
paragraph. The Exchange is also relocating language in current Rule 722
at Supplementary Material .07(c)(4)(i) into the actual paragraph rather
than referring back to the paragraph.\29\ The Exchange also proposes to
relocate current Rule 722 at Supplementary Material .07(c)(5) into
proposed ISE Rule 722 at Supplementary Material .07(b)(2) and amending
the language to conform to the text in the remainder of the rule.\30\
The Exchange proposes to eliminate the remainder of the rule text
currently in Supplementary Material to Rule 722 at .07(c)(4)(i) and
(ii) and .07(c)(5) because the language has been relocated within the
proposed text as described herein.
---------------------------------------------------------------------------
\29\ The words, ``For purposes of the price protections set
forth in paragraphs (c)(1) and (c)(3)'' are not being carried into
the rule text as they are no longer necessary.
\30\ Currently, the rule text provides ``The Exchange may change
the pre-set values established in paragraph (c)(4) in accordance
with the parameters set forth therein from time to time uniformly
across all classes.'' The Exchange proposes to state ``The Exchange
may amend the pre-set value uniformly across all classes.''
---------------------------------------------------------------------------
Other Price Protections
The Exchange proposes to add to ISE Rule 722 new Supplementary
Material .07(c) entitled ``Other Price Protections which apply to
Complex Orders'' and relocate Limit Order Price Protection to
.07(c)(1).\31\ The Exchange proposes to relocate Size Limitation to ISE
Rule 722 at Supplementary Material .07(c)(2).\32\ Finally, the Exchange
proposes to relocate Price Level Protection from Rule 714(b)(4) to Rule
722 at Supplementary Material .07(c)(3). The Exchange proposes to
remove the first sentence which provides, ``This protection shall apply
to Complex Orders'' because this rule is not within a Complex Order
rule currently and will not need that indication once the rule text is
relocated to Rule 722. The Exchange also proposes to amend the last
sentence of that rule which currently provides, ``The number of price
levels for the component leg, which may be between one (1) and ten
(10), is determined by the Exchange from time-to-time on a class-by-
class basis.'' The Exchange believes indicating between one and ten
could be misleading because the setting could be numbers 1 and 10 so
``from one (1) to ten (10)'' is being proposed to make that more clear.
---------------------------------------------------------------------------
\31\ Limit Order Price Protection is currently at ISE Rule 722
at Supplementary Material .07(d).
\32\ Size Limitation is currently at ISE Rule 722 at
Supplementary Material .07(e).
---------------------------------------------------------------------------
Rule 714
Finally, the Exchange proposes to amend Rule 714(b) to make clear
that the protections in that rule apply to single leg orders. The
Exchange is placing protections for Complex Orders into Rule 722 and
relocating the Price Level Protection rule \33\ related to Complex
Orders. The additional clarifying language to single leg and cross-
reference to Supplementary Material .07 to ISE Rule 722 should make
clear to Members where the various price protections are located.
---------------------------------------------------------------------------
\33\ As noted above the Price Level Protection rule is being
relocated to ISE Rule 722 at Supplementary Material .07(c)(3).
---------------------------------------------------------------------------
2. Statutory Basis
The Exchange believes that its proposal is consistent with Section
6(b) of the Act,\34\ in general, and furthers the objectives of Section
6(b)(5) of the Act,\35\ in particular, in that it is designed 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, by offering protections for certain Complex Orders which
restrict executions that exceed the intrinsic value of the spread by a
specified (or configurable) amount. Further, the Exchange believes that
its proposal will mitigate risks to market participants. Specifically,
ISE believes that the change, which is responsive to member input, will
facilitate transactions in securities and perfect the mechanism of a
free and open market by providing its Members with additional
functionality that will assist them with managing their risk by
checking each Complex Order that is either a Butterfly or Box spread
against certain parameters described within the filing before accepting
the Complex Orders into the order book.
---------------------------------------------------------------------------
\34\ 15 U.S.C. 78f(b).
\35\ 15 U.S.C. 78f(b)(5).
---------------------------------------------------------------------------
The Exchange believes that the parameters described herein,
including parameters which will be configured by the Exchange, will
protect members from executing orders too far outside the Minimum Value
and Maximum Value which considers the intrinsic value of the strategy,
thereby promoting fair and orderly markets and the protection of
investors. The Exchange intends to offer a buffer allowance from the
minimum/maximum values permitted for the execution of these strategy
orders to allow market participants flexibility to manage their
business and accommodate executions outside of this range. The Exchange
would monitor the zero value, including feedback from market
participants, in determining whether the value is set at the
appropriate level. The decision to change the buffer could stem from
participants' concern for their ability to close out positions. There
are circumstances where the Minimum Value may be less than zero. For
example, market participants who desire to trade out of positions at
intrinsic value may not find a contra-side willing to trade without a
premium. A small incremental allowance outside of the minimum/maximum
value allows for a small premium to offset commissions associated with
trading and may incentivize participants to take the other side of
spreads trading at intrinsic value. For the participant looking to
close out their position, it may be financially beneficial to pay a
small premium and close out the position rather than carry such
position to expiration and take delivery. The purpose of this rule
change is not to impede current order handling but to ensure execution
prices are within a reasonable range of minimum and maximum values.
These protections are very similar to protections on Phlx.\36\
ISE's proposal continues to protect Butterfly and Box Spreads from
legging into the single leg market(s), similar to Phlx Rule 1098(i) and
(j), at a price higher than the Maximum Value for buy orders and lower
than the Minimum Value for sell orders. Further, ISE's proposal differs
from Phlx in that ISE allows legging below the Minimum Value for buys
and above the Maximum Value for sells at a price made available by the
synthetic (cIBBO) market outside of the Butterfly and Box Spread
Ranges, The Exchange believes that these limitations, which exist today
for ISE Vertical and Calendar Spreads,\37\ are consistent with the Act
because the limits permit buying below the minimum and selling above
the maximum thereby allowing buyers and sellers to achieve better
prices without
[[Page 29588]]
taking on additional risk.\38\ The intrinsic value for the Box Spread
and the Butterfly Spread that could be achieved when closing the
position would not be negatively impacted in this case because the
limitation permits price improvement as noted above for Box Spreads and
Butterfly Spreads.
---------------------------------------------------------------------------
\36\ See Phlx Rule 1098(i) and (j).
\37\ See Supplementary Material .07(c) to ISE Rule 722.
\38\ Allowing sell orders to trade by legging into the simple
market at prices above the Maximum Value (buy orders below the
Minimum Value) offers an opportunity for sellers/buyers to receive a
premium beyond the potential intrinsic value of the spread without
creating risk for the Complex Order Book.
---------------------------------------------------------------------------
The Exchange's proposal to exclude the Butterfly and Box Spread
Protections from Complex Orders being auctioned and auction responses
in the Facilitation Mechanism, Solicited Order Mechanism, and Price
Improvement Mechanism is consistent with the Act because it conforms to
the behavior of other protections on ISE protection including the
protections for Vertical Spread and Calendar Spreads. Complex Orders
executed in these mechanisms are two-sided orders where the contra-side
order is willing to trade with the agency order at an agreed upon price
thus removing the risk that the order was executed erroneously outside
its intrinsic value. The Box and Butterfly Spread Protection will also
not apply to Customer Cross Orders. Unlike Phlx, but similar to ISE
Vertical and Calendar spreads,\39\ these protections will not apply to
Complex Orders being auctioned in the Facilitation, Solicitation, Price
Improvement mechanism and associated auction responses. Also, today,
the Vertical and Calendar spreads do not apply to Customer Cross
Orders. The Exchange is adding Customer Cross Orders to the list of
excluded order types that are not protected by the Vertical, Calendar,
Box or Butterfly Spread Protections. Complex orders executed in these
mechanisms are two-sided orders where the contra-side order is willing
to trade with the agency order at an agreed upon price thus removing
the risk that the order was executed erroneously outside its intrinsic
value. Similarly, a Customer Cross Order is a two-sided order where the
contra-side order is willing to trade with the agency order at an
agreed upon price. The Exchange believes that because paired orders are
negotiated in advance by both parties it is unlikely that the parties
would agree to transact at prices that would necessitate the
protections proposed within the Box and Butterfly Spread Protections.
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\39\ Id.
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The Exchange believes that the proposed amendments to Supplementary
Material .07 to ISE Rule 722 further clarify the existing rules and
conform the structure of the rules to the proposed Butterfly and Box
Spread protections. The Exchange believes that reorganizing
Supplementary Material .07 to ISE Rule 722 by adding titles,
capitalizing defined terms, reorganizing the letters and numbers and
consolidating text will protect investors and the public interest by
adding greater transparency to the rules. The Exchange also notes that
it is adding clarifying language to the rule text and relocating the
Price Level Protection from Rule 714, which concerns single leg
protections to Rule 722 at Supplementary Material .07, which concerns
Complex Order protections. The Exchange believes that amending proposed
Supplementary Material .07(a)(1) to ISE Rule 722 to apply the setting
\40\ uniformly across all markets rather than on a class or series
basis will align this protection to the manner in which all other
protections are applied for Complex Orders. The Exchange believes that
uniformly applying the setting is consistent with the Act because it
will apply the protection in the same manner regardless of class.
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\40\ Proposed Supplementary Material .07(a)(1) to ISE Rule 722
provides that the System will not permit any leg of a complex order
to trade through the NBBO for the series by a configurable amount
calculated as the lesser of (i) an absolute amount not to exceed
$0.10, and (ii) a percentage of the NBBO not to exceed 500%, as
determined by the Exchange.
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B. Self-Regulatory Organization's Statement on Burden on Competition
The Exchange does not believe that the proposed rule change will
impose any burden on competition not necessary or appropriate in
furtherance of the purposes of the Act. Specifically, the proposal does
not impose an intra-market burden on competition, because it will apply
to all Complex Orders, which are either Butterfly or Box spreads
entered by any ISE Member. Further, the proposal will not impose an
undue burden on inter-market competition, rather the proposal will
assist the Exchange in remaining competitive in light of protections
offered by other options exchanges.\41\ The Exchange competes with many
other options exchanges, which offer Complex Orders. In this highly
competitive market, market participants can easily and readily direct
order flow to competing venues. The Exchange believes that not applying
the Box and Butterfly Spread Protections to Customer Cross Orders, in
addition to Complex Orders being auctioned in the Facilitation,
Solicitation, Price Improvement mechanism and associated auction
responses, does not impose any significant burden on competition
because it will not be applied to any of these orders for any market
participant.
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\41\ See Phlx Rule 1098(i) and (j).
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C. Self-Regulatory Organization's Statement on Comments on the Proposed
Rule Change Received From Members, Participants, or Others
No written comments were either solicited or received.
III. Date of Effectiveness of the Proposed Rule Change and Timing for
Commission Action
The Exchange has filed the proposed rule change pursuant to Section
19(b)(3)(A) of the Act \42\ and Rule 19b-4(f)(6) thereunder.\43\
Because the proposed rule change does not: (i) Significantly affect the
protection of investors or the public interest; (ii) impose any
significant burden on competition; and (iii) become operative for 30
days from the date on which it was filed, or such shorter time as the
Commission may designate, it has become effective pursuant to Section
19(b)(3)(A) of the Act and Rule 19b-4(f)(6) thereunder.\44\
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\42\ 15 U.S.C. 78s(b)(3)(A)(iii).
\43\ 17 CFR 240.19b-4(f)(6).
\44\ In addition, Rule 19b-4(f)(6)(iii) requires a self-
regulatory organization to give the Commission written notice of its
intent to file the proposed rule change at least five business days
prior to the date of filing of the proposed rule change, or such
shorter time as designated by the Commission. The Exchange has
satisfied this requirement.
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A proposed rule change filed under Rule 19b-4(f)(6) \45\ normally
does not become operative for 30 days after the date of the filing.
However, pursuant to Rule 19b-4(f)(6)(iii),\46\ the Commission may
designate a shorter time if such action is consistent with the
protection of investors and the public interest. In its filing with the
Commission, the Exchange has asked the Commission to waive the 30-day
operative delay so that the proposal may become operative immediately
upon filing so that the Exchange may immediately offer the Box and
Butterfly Spread protections, which are offered on Phlx, and remain
competitive with other markets. The Commission believes that waiver of
the 30-day operative delay is consistent with the protection of
investors and the public interest because the Box and Butterfly Spread
protections will help market participant mitigate risk by preventing
the execution of Butterfly and Box Spreads at prices that are outside
of specified minimum and maximum values. The Commission notes that the
Box and Butterfly Spread
[[Page 29589]]
protections are substantially similar to protections offered on Phlx.
Therefore, the Commission designates the proposed rule change operative
upon filing.\47\
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\45\ 17 CFR 240.19b-4(f)(6).
\46\ 17 CFR 240.19b-4(f)(6)(iii).
\47\ For purpose only of waiving the operative delay, the
Commission has considered the proposed rule's impact on efficiency,
competition, and capital formation. See 15 U.S.C. 78c(f).
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At any time within 60 days of the filing of such proposed rule
change, the Commission summarily may temporarily suspend such rule
change if it appears to the Commission that such action is necessary or
appropriate in the public interest, for the protection of investors, or
otherwise in furtherance of the purposes of the Act. If the Commission
takes such action, the Commission shall institute proceedings under
Section 19(b)(2)(B) of the Act \48\ to determine whether the proposed
rule change should be approved or disapproved.
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\48\ 15 U.S.C. 78s(b)(2)(B).
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IV. Solicitation of Comments
Interested persons are invited to submit written data, views, and
arguments concerning the foregoing, including whether the proposed rule
change is consistent with the Act. Comments may be submitted by any of
the following methods:
Electronic Comments
Use the Commission's Internet comment form (https://www.sec.gov/rules/sro.shtml); or
Send an e-mail to [email protected]. Please include
File Number SR-ISE-2018-55 on the subject line.
Paper Comments
Send paper comments in triplicate to Secretary, Securities
and Exchange Commission, 100 F Street NE, Washington, DC 20549-1090.
All submissions should refer to File Number SR-ISE-2018-55. This file
number should be included on the subject line if e-mail is used. To
help the Commission process and review your comments more efficiently,
please use only one method. The Commission will post all comments on
the Commission's Internet website (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 website 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. Persons submitting comments are
cautioned that we do not redact or edit personal identifying
information from comment submissions. You should submit only
information that you wish to make available publicly. All submissions
should refer to File Number SR-ISE-2018-55, and should be submitted on
or before July 16, 2018.
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\49\ 17 CFR 200.30-3(a)(12).
For the Commission, by the Division of Trading and Markets,
pursuant to delegated authority.\49\
Eduardo A. Aleman,
Assistant Secretary.
[FR Doc. 2018-13505 Filed 6-22-18; 8:45 am]
BILLING CODE 8011-01-P