Self-Regulatory Organizations: Investors Exchange LLC; Notice of Filing and Immediate Effectiveness of Proposed Rule Change To Revise the Threshold for Imposition of the Crumbling Quote Remove Fee, 40365-40371 [2018-17396]
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Federal Register / Vol. 83, No. 157 / Tuesday, August 14, 2018 / Notices
values, or (d) the applicability of
Exchange rules specified in this filing
shall constitute continued listing
requirements for listing the Shares on
the Exchange. The issuer has
represented to the Exchange that it will
advise the Exchange of any failure by a
Fund or Shares to comply with the
continued listing requirements, and,
pursuant to its obligations under
Section 19(g)(1) of the Act, the Exchange
will surveil for compliance with the
continued listing requirements. If a
Fund or Shares is not in compliance
with the applicable listing requirements,
then, with respect to such Fund or
Shares, the Exchange will commence
delisting procedures under BZX Rule
14.12.
This approval order is based on all of
the Exchange’s representations and
description of the Funds, including
those set forth above and in Amendment
No. 2 to the proposed rule change.
Except as described herein, the
Commission notes that the Shares must
comply with all other applicable
requirements of BZX Rule 14.11(c) to be
listed and traded on the Exchange on an
initial and continuing basis. The
Commission further notes that the
Shares of the Funds will not be listed
and traded on the Exchange until any
and all exemptive and/or no-action
relief required under the 1940 Act has
been obtained with respect to the Funds
and the Shares and any conditions
related thereto are satisfied.
For the foregoing reasons, the
Commission finds that the proposed
rule change, as modified by Amendment
No. 2, is consistent with Section 6(b)(5)
of the Act 26 and the rules and
regulations thereunder applicable to a
national securities exchange.
IV. Conclusion
It is therefore ordered, pursuant to
Section 19(b)(2) of the Act,27 that the
proposed rule change (SR–CboeBZX–
2017–005), as modified by Amendment
No. 2, be, and it hereby is, approved.
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For the Commission, by the Division of
Trading and Markets, pursuant to delegated
authority.28
Eduardo A. Aleman,
Assistant Secretary.
[FR Doc. 2018–17392 Filed 8–13–18; 8:45 am]
BILLING CODE 8011–01–P
SECURITIES AND EXCHANGE
COMMISSION
Sections A, B, and C below, of the most
significant aspects of such statements.
[Release No. 34–83800; File No. SR–IEX–
2018–16]
A. Self-Regulatory Organization’s
Statement of the Purpose of, and the
Statutory Basis for, the Proposed Rule
Change
Self-Regulatory Organizations:
Investors Exchange LLC; Notice of
Filing and Immediate Effectiveness of
Proposed Rule Change To Revise the
Threshold for Imposition of the
Crumbling Quote Remove Fee
August 8, 2018.
Pursuant to Section 19(b)(1) 1 of the
Securities Exchange Act of 1934 (the
‘‘Act’’) 2 and Rule 19b–4 thereunder,3
notice is hereby given that, on July 26,
2018, the Investors Exchange LLC
(‘‘IEX’’ or the ‘‘Exchange’’) filed with the
Securities and Exchange Commission
(the ‘‘Commission’’) the proposed rule
change as described in Items I, II and III
below, which Items have been prepared
by the self-regulatory organization. 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
Pursuant to the provisions of Section
19(b)(1) under the Securities Exchange
Act of 1934 (‘‘Act’’),4 and Rule 19b–4
thereunder,5 IEX is filing with the
Commission a proposed rule change to
revise the threshold for imposition of
the Crumbling Quote Remove Fee
(‘‘CQRF’’) to more narrowly tailor it to
trading activity that is indicative of a
deliberate trading strategy that may
adversely affect execution quality on the
Exchange. The text of the proposed rule
change is available at the Exchange’s
website at www.iextrading.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 the
Statutory Basis for, the Proposed Rule
Change
In its filing with the Commission, the
self-regulatory organization 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 statement may be examined at
the places specified in Item IV below.
The self-regulatory organization has
prepared summaries, set forth in
1 15
U.S.C. 78s(b)(1).
U.S.C. 78a.
3 17 CFR 240.19b–4.
4 15 U.S.C. 78s(b)(1).
5 17 CRF 240.19b–4.
2 15
26 15
U.S.C. 78f(b)(5).
U.S.C. 78s(b)(2).
28 17 CFR 200.30–3(a)(12).
27 15
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1. Purpose
The Exchange proposes to amend its
fee schedule, pursuant to IEX Rule
15.110 (a) and (c), to revise the
threshold for imposition of the CQRF to
more narrowly tailor it to trading
activity that is indicative of a deliberate
trading strategy that may adversely
affect execution quality on the
Exchange.
The Exchange charges the CQRF to
orders that remove resting liquidity
when the crumbling quote indicator
(‘‘CQI’’) is on if such executions
constitute at least 5% of the Member’s
volume executed on IEX and at least 1
million shares, on a monthly basis,
measured on a per market participant
identifier (‘‘MPID’’) basis (the ‘‘CQRF
Threshold’’). Orders that exceed the 5%
and 1 million share thresholds are
assessed a fee of $0.0030 per each
incremental share executed at or above
$1.00 that exceeds the CQRF
Threshold.6
Pursuant to IEX Rule 11.190(g), in
determining whether quote instability or
a crumbling quote exists, the Exchange
utilizes real time relative quoting
activity of certain Protected Quotations 7
and a proprietary mathematical
calculation (the ‘‘quote instability
calculation’’) to assess the probability of
an imminent change to the current
Protected National Best Bid 8 to a lower
price or the Protected National Best
Offer 9 to a higher price for a particular
security (‘‘quote instability factor’’).
When the quoting activity meets
predefined criteria and the quote
instability factor calculated is greater
than the Exchange’s defined quote
instability threshold, the System treats
the quote as unstable and the CQI is on.
During all other times, the quote is
considered stable, and the CQI is off.
The System independently assesses the
stability of the Protected NBB and
Protected NBO for each security. When
the System determines that a quote,
6 Executions below $1.00 are assessed a fee of
0.30% of TDV unless the Fee Code Combination
results in a free execution. See Investors Exchange
Fee Schedule, available on the Exchange public
website.
7 Pursuant to Rule 11.190(g), the Protected
Quotations of the New York Stock Exchange,
Nasdaq Stock Market, NYSE Arca, Nasdaq BX, Cboe
BZX Exchange, Cboe BYX Exchange, Cboe EDGX
Exchange, and Cboe EDGA Exchange.
8 See, Rule 600(b)(42) under Regulation NMS.
9 See supra note 4 [sic].
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predictive strategies to chase short-term
price momentum and successfully target
resting orders at unstable prices. IEX
believes that these types of trading
strategies, with concentrated and
aggressive tactics during moments of
quote instability, are detrimental to the
experience of other IEX participants,
and create disparate burdens on resting
orders, particularly those that are
displayed and therefore ineligible to
benefit from the CQI in the manner of
Discretionary Peg orders 11 and primary
peg orders 12 which do not exercise
price discretion when the CQI is on.13
The CQRF is a narrowly tailored
approach, designed to disincentivize
certain liquidity removing orders that
can degrade the quality of the market
and thereby incentivize the entry of
liquidity providing orders that can
enhance the quality of the market. The
CQRF is only charged on incremental
executed shares above the CQRF
Threshold, which is designed to limit
the fee to trading activity that is
indicative of a deliberate trading
strategy that may adversely affect
execution quality on IEX and to not
charge the fee to executions taking
liquidity when the CQI is on that are
likely to be incidental and not part of
such a strategy.
As described in the CQRF rule filing,
there are significant differences in short
term markouts 14 for resting and taking
orders between executions when the
CQI is on and off, regardless of whether
the NBB (NBO) moves lower (higher)
within two milliseconds of the
Exchange’s determination of quote
instability. Moreover, the breakdown of
orders entered and shares removed
when the CQI is on or off evidences that
certain trading strategies appear to
involve entering liquidity taking orders
targeting resting orders at prices that are
likely to move adversely from the
perspective of the resting order.
The CQRF has been incrementally
successful in achieving its stated goal of
reducing the incidence of liquidity
taking orders when the CQI is on. The
volume removed when the CQI is on has
declined from 8.1% in December 2017
to 7.3% in April 2018 (see Chart 1
below). Further, 5 of 12 Members that
surpassed the CQRF Threshold in
December 2017 appear to have reduced
such activity by at least 20% and one
fell below the CQRF Threshold in April
2018.
10 See Securities Exchange Act Release No. 81484
(August 25, 2017), 82 FR 41446 (August 31, 2017)
(SR–IEX–2017–27).
11 See Rule 11.190(b)(10).
12 See Rule 11.190(b)(8).
13 By not permitting resting Discretionary Peg
orders and primary peg orders to exercise price
discretion during periods of quote instability, the
Exchange is designed to protect such orders from
unfavorable executions when its probabilistic
model identifies that the market appears to be
moving adversely to them. This limitation is
designed to appropriately balance the protective
benefits to Discretionary Peg and primary peg
orders with the interest of avoiding potentially
undue trading restrictions.
14 The term markouts refers to changes in the
midpoint of the NBBO measured from the
perspective of either the liquidity providing resting
order or liquidity removing taking order over a
specified period of time following the time of
execution.
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either the Protected NBB or the
Protected NBO, is unstable, the
determination remains in effect at that
price level for two milliseconds, unless
a new determination is made before the
end of the two-millisecond period. A
new determination may be made after at
least 200 microseconds has elapsed
since a preceding determination, or a
price change on either side of the
Protected NBBO occurs, whichever is
first. If a new determination is made, the
original determination is no longer in
effect. A new determination can be at
either the Protected NBB or the
Protected NBO and at the same or
different price level as the original
determination.
The Exchange adopted the CQRF
beginning in January 2018 in order to
incentivize the entry of resting liquidity
on IEX, including displayed liquidity.
Specifically, and as described more
fully in the rule filing adopting the
CQRF (‘‘CQRF rule filing’’),10 the
Exchange identified that Members
entering liquidity taking orders when
the CQI was on appeared to be able to
engage in a form of latency arbitrage by
leveraging fast proprietary market data
feeds and connectivity along with
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Moreover, although material
differences in key metrics related to
orders entered when the CQI is on and
off have persisted following
implementation of the CQRF, the
Exchange has identified some
incremental improvement which
appears to be generally attributable to
the CQRF comparing data from June
2017 to April 2018. Most significantly,
the percentage of marketable orders
received when the CQI is on has
declined from 30.4% to 18.2%,
notwithstanding that the amount of time
the CQI is on has increased from 1.24
seconds (0.005% of time during Regular
Market Hours 15) to 1.84 seconds
(0.008% of time during Regular Market
Hours). Thus, based on the foregoing
analysis, IEX believes that the CQRF has
been incrementally effective in reducing
order flow that targets resting liquidity
at prices that are about to become stale.
With respect to incentivizing liquidity
adding order flow, the Exchange notes
that IEX’s overall volume has increased
since implementation of the CQRF, and
volume traded when the CQI is off has
increased as a proportion of overall
volume.16 With the confluence of factors
that influence order flow decisions, it is
inherently difficult to attribute such
increases to the CQRF, particularly in
the short period of time it has been in
effect. Nonetheless, IEX believes that the
CQRF has achieved some of its intended
objectives already.
Beginning in May 2018, the Exchange
incrementally optimized and enhanced
the effectiveness of the quote instability
calculation in determining whether a
crumbling quote exists.17 As a result,
the CQI is on more often. During May
and June 2018, the CQI ‘‘fired’’ 28.6%
more often per symbol per trading day
(on average), compared to April 2018.
However, shares removed when the CQI
is on increased only 19.6%. The
Exchange believes that this subsequent
increase in CQI activity is attributable to
the increased coverage of the signal as
a result of the upgrade in May 2018, not
a reduction in the effectiveness of the
CQRF.
However, notwithstanding the
incremental effectiveness of the CQRF,
IEX believes that it is possible for a
Member to circumvent (in whole or in
part) the CQRF Threshold by routing
orders to IEX that are part of a deliberate
trading strategy that targets resting
15 See
IEX Rule 1.160(gg).
December 2017 to April 2018, IEX
average daily volume increased from 148 million
shares to 155 million shares and IEX volume when
the CQI is off increased from 91.9% to 92.7%.
17 See Securities Exchange Act Release No. 83048
(April 13, 2018), 83 FR 17467 (April 19, 2018) (SR–
IEX–2018–07).
16 Comparing
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liquidity during periods of quote
instability through another Member
(using such Members’ MPID) not
engaged in such a strategy at all or to the
same extent. Such a routing approach
would thus consolidate the executions
that take liquidity when the CQI is on
with executions of the other executing
Member thereby reducing the
executions that exceed the CQRF
Threshold and the resultant fee for the
entering Member. This is because the
consolidated pool of executions would
contain a significant number of orders
executed on behalf of the executing
Member and its other customers that did
not take liquidity when the CQI is on.
Therefore, fewer of the entering
Member’s executions that take liquidity
when the CQI is on would be above the
5% threshold when measured on an
MPID basis.
In order to address the potential for
ongoing and increased circumvention of
the CQRF, IEX proposes to revise the
threshold for imposition of the CQRF to
more narrowly tailor it to trading
activity that is indicative of a deliberate
trading strategy that may adversely
affect execution quality on the
Exchange. As proposed, the CQRF
Threshold would be revised in two
respects. First, the 5% monthly CQRF
Threshold would be measured and
applied on a per logical port (also
referred to as a ‘‘session’’) per MPID
basis.18 Second, the 1 million share
aspect of the CQRF Threshold would be
eliminated. Therefore, on a monthly
basis, the Exchange would determine
whether the 5% threshold was reached
within each session used by each
Member’s MPID. Incremental shares that
removed liquidity while the CQI was on
above the 5% threshold would be
charged the CQRF.
IEX believes that Members generally
use separate sessions within the same
MPID to segment the order flow of
particular customers and proprietary
strategies. Thus, the Exchange believes
that applying the CQRF Threshold on a
per session per MPID basis, rather than
solely per MPID, will result in a more
fair application of the fee because it will
more narrowly apply the fee to trading
strategies that are indicative of a
deliberate strategy that targets resting
orders at prices that are likely to move
adversely from the perspective of the
resting order and that thus may
18 Pursuant to the IEX Equities Port Request Form
(available on IEX’s website at https://
iextrading.com/docs/IEX%20Connectivity%20
Agreements%20and%20Forms.pdf), Members may
request one or more connectivity ports to connect
to IEX, through which the Member may send, or
permit a Sponsored Participant of such Member, to
send orders and order related messages to IEX.
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40367
adversely affect execution quality on
IEX. In addition, the change is designed
to reduce potential circumvention of the
CQRF by Members that consolidate
orders under one MPID that are part of
such deliberate trading strategies with
orders that are not.
Eliminating the 1 million share aspect
of the CQRF Threshold is designed to
avoid potential circumvention whereby
a Member could divide its orders that
are part of such a deliberate trading
strategy across multiple sessions in
order to circumvent the CQRF by
keeping each session below the 1
million share threshold. IEX does not
charge for sessions, and thus Members
can readily add additional sessions
upon request.
Based on an analysis of data from
June 2018, the Exchange estimates that
35 Members would be subject to
monthly increases in the CQRF, totaling
approximately $94,000 and ranging
from $0.10 to $36,351. Fourteen
Members’ increased fees would be more
than $1,000 and two would be over
$10,000. Twelve Members’ fees would
increase by less than $100.
The Exchange will continue to
provide the Fee Code Indicator of ‘‘Q’’
on execution reports to Members
removing liquidity at or within the
NBBO when the CQI is on.
IEX will implement the proposed fee
change beginning on August 1, 2018.
2. Statutory Basis
IEX believes that the proposed rule
change is consistent with the provisions
of Section 6(b) 19 of the Act in general,
and furthers the objectives of Sections
6(b)(4) 20 of the Act, in particular, in that
it is designed to provide for the
equitable allocation of reasonable dues,
fees and other charges among its
Members and other persons using its
facilities. Additionally, IEX believes that
the proposed revisions to the CQRF is
consistent with the investor protection
objectives of Section 6(b)(5) 21 of the Act
in particular in that it is designed to
promote just and equitable principles of
trade, to remove impediments to a free
and open market and national market
system, and in general to protect
investors and the public interest.
The CQRF is designed to enhance the
Exchange’s market quality by
encouraging Members and other market
participants to add more liquidity to the
Exchange order book, which benefits all
investors by deepening the Exchange’s
liquidity pool. Specifically, the
Exchange believes that trading strategies
19 15
U.S.C. 78f.
U.S.C. 78f(b)(4).
21 15 U.S.C. 78f(b)(5).
20 15
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that target resting liquidity during
periods of quote instability seek to trade
at prices that are about to become stale,
and thus discourage other market
participants from entering liquidity
providing orders on the Exchange. The
Exchange believes that the CQRF has
been incrementally successful in
achieving this goal. However, as
described in the Purpose section, the
Exchange has identified certain actual
and potential ways in which the CQRF
can be circumvented, which warrant
revisions to the CQRF Threshold.
The proposed change to the
applicable threshold for imposition of
the CQRF is a limited and narrowly
drawn approach that is designed to
increase the fairness of the fee, and also
mitigate and reduce the potential for
circumvention, as described in the
Purpose section. Specifically, the
Exchange believes that applying the
CQRF Threshold on a per session per
MPID basis, rather than solely on a per
MPID basis, will result in a more fair
and narrowly tailored application of the
fee because it will better focus the fee
on deliberate trading strategies that
target resting orders at prices that are
about to become stale, thus reducing the
potential that incidental trading activity
not part of such a strategy towards the
end of a month after the MPID has
crossed the threshold could be subject
to the CQRF. In addition, the change is
designed to reduce potential
circumvention of the CQRF by Members
that intentionally consolidate orders
that are part of such a deliberate trading
strategy with orders that are not, within
a single MPID. The Exchange
understands that Members typically use
separate sessions for distinct trading
strategies and customers, and that
therefore deliberate trading strategies
that target resting orders at prices that
are about to become stale would
generally not be on the same session as
trading strategies that do not target
resting orders in such a manner. Thus,
assessing the threshold on a per session
per MPID basis, rather than per MPID,
is designed to be even more fair and
narrowly tailored since the approach
will focus the fee on transactions that
are part of a deliberate strategy that
targets resting orders at prices that are
about to become stale, and reduce the
potential that the fee will be applied to
incidental transactions not part of such
a strategy.
As described in the Purpose section,
elimination of the 1 million share
threshold is designed to avoid potential
circumvention whereby a Member could
divide its orders that are part of
deliberative trading strategies designed
to target resting orders at prices that are
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about to become stale across multiple
sessions in order to circumvent the
CQRF by keeping each session below 1
million shares subject to the CQRF. In
addition, the Exchange believes that the
5% threshold is sufficiently robust such
that it is unlikely that a Member will
accidentally breach the threshold and
incur the CQRF. The CQI is on only 10.4
seconds per symbol per trading day on
a volume weighted average basis,
constituting 0.04% of the day per
symbol. Consequently, the probability
that a Member (or customer of a
Member) not engaged in a deliberate
strategy to target resting orders at prices
about to become stale, would by chance
trade when the CQI is on is about 1 in
2,340. The Exchange believes that it is
highly unlikely for a Member to
encounter a 1 in 2,340 chance event
more than 5% of the time, and thus the
5% threshold is sufficiently robust to
limit application of the CQRF to
intentional activity. As described above,
IEX believes that the per session per
MPID threshold will more narrowly
apply the fee to deliberate trading
strategies that target resting orders at
prices that are about to become stale,
and is thus an even fairer and more
narrowly tailored application of the fee
as a result thereof. Accordingly, the
Exchange believes that the proposed
changes will incrementally enhance the
effectiveness of the CQRF to incentivize
resting liquidity on the Exchange by
more effectively disincentivizing order
flow that targets resting liquidity at
prices that are about to become stale.
Other exchanges offer incentives in
the form of rebates and/or reduced fees
that are designed to encourage market
participants to send increased levels of
order flow to such exchanges. These
typically take the form of lower fees and
higher rebates for meeting specified
volume tiers.22 These fee and rebate
structures are typically justified by other
exchanges on the basis that increased
liquidity benefits all investors by
deepening the exchange’s liquidity pool,
which provides price discovery and
investor protection benefits.23 The
Exchange also notes that other
exchanges charge different fees (or
provide rebates) to the buyer and seller
to an execution, which are generally
referred to as either maker-taker or
taker-maker pricing schemes. Typically,
the exchange offering such pricing is
seeking to incentivize orders that
22 See, e.g., New York Stock Exchange Price List
2018, available at https://www.nyse.com/
publicdocs/nyse/markets/nyse/NYSE_Price_
List.pdf. See also, Nasdaq Rule 7018.
23 See, e.g., Securities Exchange Act Release No.
80034 (February 14, 2017), 82 FR 11275 (February
21, 2017) (File No. SR–BatsEDGX–2017–09).
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provide or remove liquidity, based on
which type of orders receive a rebate.
While these pricing schemes
discriminate against the Member party
to the trade that is charged a fee (in
favor of the Member party to the trade
that is paid a rebate) the Commission
has not found these fees to be unfairly
discriminatory in violation of the Act.24
Similarly, the proposed changes to the
CQRF Threshold seek to promote
increased liquidity and price discovery
on the Exchange by providing a fee
designed to incentivize liquidity
providing orders that can improve the
quality of the market. The Exchange
believes that, to the extent the fee, as
revised, is successful in further reducing
targeted and aggressive liquidity
removing orders, it would contribute to
investors’ confidence in the fairness of
transactions and the market generally,
thereby benefiting multiple classes of
market participants and supporting the
public interest and investor protection
purposes of the Act.
The Exchange believes that makertaker and taker-maker pricing schemes
in general create needless complexity in
market structure in various ways and
result in conflicts of interest between
brokers and their customers.
Accordingly, IEX has made a decision
not to adopt rebate provisions in favor
of a more transparent pricing structure
that generally charges equal fees (or in
some cases, no fee) for a particular trade
to both the ‘‘maker’’ and ‘‘taker’’ of
liquidity. Given this decision, IEX must
use other means to incentivize orders to
rest on its order book. IEX’s execution
quality is one important incentive, but
this incentive can be undercut by
trading strategies that target resting
orders during periods of quote
instability. Accordingly, IEX believes
that the CQRF, as it is proposed to be
amended, is one reasonable way to
compete with other exchanges for order
flow, consistent with its exchange
model and without relying on rebates.
The Exchange believes that the
revised threshold for application of the
CQRF is reasonable and equitable
because it is designed to reduce
potential circumvention of the CQRF
and enhance both the fairness and
narrowly tailored application of the fee.
As amended, the CQRF would continue
not to apply when executions taking
liquidity while the CQI is on are likely
to be incidental and not part of a
deliberate trading strategy that targets
resting liquidity during periods of quote
instability. The Exchange does not
believe that the proposed CQRF
Threshold changes would result in an
24 See
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increase in such incidental orders being
charged the CQRF. To the contrary, the
Exchange believes the proposed CQRF
Threshold changes would result in more
orders that are part of such deliberative
strategies being charged, and the per
session per MPID charge would result in
fewer incidental orders being charged.
Consequently, the Exchange believes
that the proposed fee structure is not
unfairly discriminatory because it is
narrowly tailored to charge a fee only on
trading activity that is indicative of a
trading strategy that may adversely
affect execution quality on IEX and is
reasonably related to the purpose of
encouraging liquidity providing orders
on IEX without the use of rebates.
In particular, the Exchange believes
that the data from April, May, and June
2018 supports the position that the
proposed CQRF Threshold is narrowly
tailored to charge the CQRF based on
objective criteria indicating that
execution of the orders in question
reasonably appear to be part of a
deliberate trading strategy that targets
resting liquidity during periods of quote
instability. A pro forma analysis of June
2018 data evidences that had the CQRF
been calculated under the proposed
threshold per session per MPID, the
order entry profile of sessions that
would have been subject to the fee is
materially different than sessions that
would not have been subject to the fee
with respect to orders entered when the
CQI was on. For the 286 sessions above
the CQRF Threshold, 19.0% of orders
were received while the CQI was on
(21.9% for the 135 sessions that would
have been subject to more than $500 in
fees), while for sessions below the
proposed CQRF Threshold this number
was only 4.7%. The Exchange believes
that this difference evidences that
sessions above the proposed CQRF
Threshold were more likely to be
engaging in a deliberate strategy to
target resting orders at soon to be stale
prices.25
The Exchange also believes that it is
appropriate, and consistent with the
Act, to not charge the CQRF to Members
for executed shares on sessions that do
not exceed the CQRF Threshold during
the month in question, as measured on
a per session per MPID basis. This is
designed to address limited inadvertent
liquidity removal by such Members
when the CQI is on since such order
25 Thirty-seven Members would have been
charged the CQRF, with 35 subject to increased
fees. Those 37 Members traded through 565
separate sessions, 286 of which would have been
subject to the CQRF. For Members that would be
subject to increased fees, the number of sessions
that would be charged ranges from 1 to 42.
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flow during such times appears to be
incidental.
The Exchange also believes that it is
consistent with the Act and an equitable
allocation of reasonable dues, fees and
other charges among its Members and
other persons using its facilities to
measure whether the CQRF Threshold is
reached on per session per MPID basis.
As discussed above, the CQRF
Threshold is designed to narrowly focus
on executions that appear to be part of
a deliberate trading strategy that targets
resting liquidity during periods of quote
instability. The Exchange believes that
Members that utilize multiple sessions
generally use different sessions for
different trading strategies or customers.
Therefore, the Exchange believes that
measuring by session-MPID
combination is a more precise manner
of assessing whether a Member’s trading
strategy (or that of a customer) is part of
a deliberate trading strategy that targets
resting liquidity during periods of quote
instability. Further, applying the CQRF
Threshold on a per session per MPID
basis is designed to address potential
circumvention of the CQRF as described
in the Purpose section.
Accordingly, the Exchange submits
that the proposed CQRF Threshold is
narrowly tailored to address particular
trading strategies (rather than particular
classes of Members) that may operate to
disincentivize the entry of resting orders
by other market participants.
Specifically, and as discussed above, to
the extent the proposed CQRF is
successful in further reducing such
trading strategies on IEX, it may result
in market quality improvements which
could benefit multiple classes of market
participants.
The Exchange further believes that
charging the CQRF only to the liquidity
remover is equitable and not unfairly
discriminatory because it is designed to
incentivize order flow that enhances the
quality of trading on the Exchange and
disincentivize trading that does not. As
discussed above, IEX believes that there
are precedents for exchanges to charge
different fees based upon meeting (or
not meeting) particular criteria, as well
as maker-taker and taker-maker pricing
structures whereby the liquidity adder
and remover to a trade are subject to
differing fees and rebates, to incentivize
certain types of trading activity. Fees
and rebates based on maker-taker and
taker-maker pricing as well as on
volume-based tiers have been widely
adopted by equities exchanges. And in
some cases, maker-taker or taker-maker
pricing has been combined with
volume-based tiers that result in
differential fees and rebates for different
exchange members. These fee structures
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40369
have been permitted by the
Commission. For example, Cboe EDGA
Exchange, Inc. (‘‘EDGA’’) previously
offered a rebate contingent upon adding
specified amounts of liquidity to
EDGA.26 Notwithstanding that certain
classes of exchange members (e.g.,
exchange routing brokers) do not
typically add liquidity on competing
exchanges, this fee structure was
justified by EDGA on the basis that,
generally, it encourages growth in
liquidity on EDGA and applies equally
to all members.27 Similarly, while the
proposed IEX fee structure will result in
the CQRF being imposed only on
Members using specific trading
strategies, it is also designed to attract
liquidity to IEX and applies equally to
all Members.
The Exchange also notes that there is
precedent to charge a different fee (or
pay a different rebate) based on the
execution price of an order. The Cboe
BZX Exchange, Inc. (‘‘BZX’’) pays a
rebate of $0.0015 to a non-displayed
order that adds liquidity, while if such
an order receives price improvement it
does not receive a rebate or pay a fee.28
Thus, maker-taker, taker-maker, and
volume tier based fee structures
(separately or in combination) have
been adopted by other exchanges on the
basis that they may discriminate in
favor of certain types of members but
not in an unfairly discriminatory
manner in violation of the Act. As with
such fee structures, the Exchange
believes that the proposed fee change is
equitable and not unfairly
discriminatory because it is narrowly
tailored to disincentive to all Members
from deploying trading strategies
designed to chase short-term price
momentum during periods when the
CQI is on and thus potentially adversely
impact liquidity providing orders. IEX
believes that, to the extent it is
successful in this regard, the proposed
fee structure may lead to increased
liquidity providing orders on IEX which
could benefit multiple classes of market
participants through increased trading
opportunities and execution quality.
Further, the Exchange notes that the
Nasdaq Stock Market (‘‘Nasdaq’’)
charges excess order fees (ranging from
$0.005 to $0.01 per excess weighted
order) on certain members that have a
relatively high ratio of orders entered
26 See Securities Exchange Act Release No. 80976
(June 20, 2017), 82 FR 28920 (June 26, 2017) (SR–
BatsEDGA–2017–18).
27 See, e.g., Securities Exchange Act Release No.
69066 (March 7, 2013), 78 FR 16023 (March 13,
2013) (SR–EDGA–2013–10).
28 See Cboe BZX Exchange Fee Schedule,
available at: https://markets.cboe.com/us/equities/
membership/fee_schedule/bzx/.
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away from the NBBO to orders executed
in whole or in part, subject to a carveouts for specified lower volume
members and certain registered market
makers.29 In its rule filing adopting the
fee Nasdaq justified it as designed to
achieve improvements in the quality of
displayed liquidity to the benefit of all
market participants.30 Nasdaq also
asserted that the fee is reasonable
because market participants may readily
avoid the fee by making improvements
in their order entry practices, noting
that ‘‘[i]deally, the fee will be applied to
no one because market participants will
adjust their behavior to avoid the fee.’’ 31
Similarly, the IEX CQRF, as revised,
is designed to incentivize the entry of
liquidity providing orders that can
enhance the quality of the market and
disincentivize certain liquidity
removing orders that can degrade the
quality of the market. Participants can
manage their fees by making
adjustments to their order entry
practices, to decrease their entry of
orders designed to target resting
liquidity during periods of quote
instability. And, as with the Nasdaq
excess order fees, ideally, the fee will be
applied to no one, because participants
will adjust their trading activity to
account for the pricing change. Thus,
the Exchange believes that the fee of
$0.0030 per share executed at or above
$1.00 is reasonably related to the trading
activity IEX is seeking to disincentivize.
IEX also believes that it is
appropriate, reasonable and consistent
with the Act, to charge a fee of $0.0030
per share executed at or above $1.00 (or
0.3% of the total dollar value of the
transaction for securities priced below
$1.00) that exceed the CQRF Threshold
described herein because it is within the
transaction fee range charged by other
exchanges 32 and consistent with Rule
610(c) of Regulation NMS.33 Although
the amount of the CQRF may not be
adequate to fully disincentivize
Members from deploying trading
strategies designed to chase short-term
price momentum during periods when
the CQI is on, the Exchange is hopeful
that it will further reduce such activity
based on the economic disincentives
that the CQRF will provide.
Moreover, IEX believes that the CQRF
will help to prevent fraudulent and
manipulative acts and practices, to
promote just and equitable principles of
trade, to foster cooperation and
29 See
Nasdaq Rule 7018(a)(3)(m) [sic].
Securities Exchange Act Release No. 66951
(May 9, 2012), 77 FR 28647 (May 15, 2012) (File No.
SR–NASDAQ–2012–055).
31 Id.
32 See note 14 [sic] supra.
33 17 CFR 242.610(c)(1).
30 See,
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19:13 Aug 13, 2018
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coordination with persons engaged in
regulating, clearing, settling, processing
information with respect to, and
facilitating transactions in securities, to
remove impediments to and perfect the
mechanism of a free and open market
and a national market system, and, in
general, to protect investors and the
public interest, because the CQRF is
designed to reduce the entry of liquidity
removing orders that can degrade the
quality of the market and incentivize
liquidity providing orders that can
improve the quality of the market,
thereby promoting greater order
interaction and inhibiting potentially
abusive trading practices.
Finally, and as discussed in the
Burden on Competition section, the
Exchange notes that it operates in a
highly competitive market in which
Members and market participants can
readily direct order flow to competing
venues if they deem fee levels to be
excessive.
B. Self-Regulatory Organization’s
Statement on Burden on Competition
IEX does not believe that the
proposed rule change will result in any
burden on competition that is not
necessary or appropriate in furtherance
of the purposes of the Act. The
Exchange does not believe that the
proposed rule change will impose any
burden on intermarket competition that
is not necessary or appropriate in
furtherance of the purposes of the Act.
To the contrary, the Exchange believes
that the proposed pricing structure may
increase competition and hopefully
draw additional volume to the Exchange
by enhancing the quality of executions
across all participants when the CQI is
on. As discussed in the Statutory Basis
section, the proposed fee structure is a
narrowly tailored approach, designed to
enhance the Exchange’s market quality
by incentivizing trading activity that the
Exchange believes enhances the quality
of its market. The Exchange believes
that the proposed revisions to the CQRF
Threshold would contribute to, rather
than burden, competition, as the CQRF
is intended to incentivize Members and
market participants to send increased
liquidity providing order flow to the
Exchange, which may increase IEX’s
liquidity and market quality, thereby
enhancing the Exchange’s ability to
compete with other exchanges. Further,
with the proposed revisions to the
CQRF Threshold, the CQRF would
continue to be in line with fees charged
by other exchanges.
The Exchange operates in a highly
competitive market in which market
participants can readily favor competing
venues if fee schedules at other venues
PO 00000
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are viewed as more favorable.
Consequently, the Exchange believes
that the degree to which IEX fees could
impose any burden on competition is
extremely limited, and does not believe
that such fees would burden
competition of Members or competing
venues in a manner that is not necessary
or appropriate in furtherance of the
purposes of the Act.
The Exchange does not believe that
the proposed rule change will impose
any burden on intramarket competition
that is not necessary or appropriate in
furtherance of the purposes of the Act
because, while the CQRF, as revised,
would only be assessed in some
circumstances, those circumstances are
not based on the type of Member
entering the liquidity removing order
but on the percent of liquidity removing
volume that the Member executes when
the CQI is on. Further, the proposed
revisions to the CQRF Threshold are
intended to encourage market
participants to bring increased volume
to the Exchange, which benefits all
market participants.34
C. Self-Regulatory Organization’s
Statement on Comments on the
Proposed Rule Change Received From
Members, Participants, or Others
Written comments were neither
solicited nor received.
III. Date of Effectiveness of the
Proposed Rule Change and Timing for
Commission Action
The foregoing rule change has become
effective pursuant to Section
19(b)(3)(A)(ii) 35 of the Act.
At any time within 60 days of the
filing of the proposed rule change, the
34 See e.g., IEX’s white paper that utilized
publicly available quote and trade data to compare
market quality across U.S. stock exchanges, which
empirically found, inter alia, that on average IEX
has the lowest effective spread, and the greatest
opportunity for price improvement amongst all
exchanges. A Comparison of Execution Quality
across U.S. Stock Exchanges, Elaine Wah, Stan
Feldman, Francis Chung, Allison Bishop, and
Daniel Aisen, Investors Exchange (2017). Effective
spread is commonly defined by market structure
academics and market participants as twice the
absolute difference between the trade price and
prevailing NBBO midpoint at the time of a trade,
and is generally meant to measure the cost paid
when an incoming order executes against a resting
order, and unlike quoted spread captures other
features of a market center, such as hidden and
midpoint liquidity as well as market depth. Price
improvement is in reference to the situation where
an aggressive order is filled at a price strictly better
than the inside quote (i.e., in the case of an
aggressive buy (sell) order, receiving a fill at a price
lower (higher) than the NBO (NBB)). See also, Hu,
Edwin, Intentional Access Delays, Market Quality,
and Price Discovery: Evidence from IEX Becoming
an Exchange (February 7, 2018). Available at SSRN:
https://ssrn.com/abstract=3195001.
35 15 U.S.C. 78s(b)(3)(A)(ii).
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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) 36 of the Act to
determine whether the proposed rule
change should be approved or
disapproved.
IV. Solicitation of Comments
Interested persons are invited to
submit written data, views and
arguments concerning the foregoing,
including whether the proposed rule
change is consistent with the Act.
Comments may be submitted by any of
the following methods:
amozie on DSK3GDR082PROD with NOTICES1
Electronic Comments
• Use the Commission’s internet
comment form (https://www.sec.gov/
rules/sro.shtml); or
• Send an email to rule-comments@
sec.gov. Please include File Number SR–
IEX–2018–16 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–IEX–2018–16. This file
number should be included on the
subject line if email is used. To help the
Commission process and review your
comments more efficiently, please use
only one method. The Commission will
post all comments on the Commission’s
internet 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 the
filing also will be available for
inspection and copying at the principal
office of the Exchange. All comments
received will be posted without change.
36 15
U.S.C. 78s(b)(2)(B).
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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–IEX–2018–16 and should
be submitted on or before September 4,
2018.
For the Commission, by the Division of
Trading and Markets, pursuant to delegated
authority.37
Eduardo A. Aleman,
Assistant Secretary.
[FR Doc. 2018–17396 Filed 8–13–18; 8:45 am]
BILLING CODE 8011–01–P
SECURITIES AND EXCHANGE
COMMISSION
[Release No. 34–83798; File No. SR–
CboeBYX–2018–013]
Self-Regulatory Organizations; Cboe
BYX Exchange, Inc.; Notice of Filing
and Immediate Effectiveness of a
Proposed Rule Change To Amend
Exchange Rule 1.5 Definitions and
Exchange Rule 14.1 Unlisted Trading
Privileges
August 8, 2018.
Pursuant to Section 19(b)(1) of the
Securities Exchange Act of 1934 (the
‘‘Act’’),1 and Rule 19b–4 thereunder,2
notice is hereby given that on July 25,
2018, Cboe BYX Exchange, Inc. (the
‘‘Exchange’’ or ‘‘BYX’’) 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 Exchange has
designated this proposal as a ‘‘noncontroversial’’ proposed rule change
pursuant to Section 19(b)(3)(A) of the
Act 3 and Rule 19b–4(f)(6)(iii)
thereunder,4 which renders it effective
upon filing with the Commission. 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 filed a proposal to
amend Rule 1.5(c), which defines the
After Hours Trading Session, to allow
trading until 8:00 p.m. ET.
The text of the proposed rule change
is available at the Exchange’s website at
37 17
CFR 200.30–3(a)(12).
U.S.C. 78s(b)(1).
2 17 CFR 240.19b–4.
3 15 U.S.C. 78s(b)(3)(A).
4 17 CFR 240.19b–4(f)(6)(iii).
1 15
PO 00000
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40371
www.markets.cboe.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 parts of such
statements.
(A) Self-Regulatory Organization’s
Statement of the Purpose of, and
Statutory Basis for, the Proposed Rule
Change
1. Purpose
The Exchange offers four distinct
trading sessions where the Exchange
accepts orders for potential execution:
(1) The ‘‘Early Trading Session,’’ which
begins at 7:00 a.m. Eastern Time (‘‘ET’’)
and continues until 8:00 a.m. ET,5 (2)
the ‘‘Pre-Opening Session,’’ which
begins at 8:00 a.m. ET and continues
until 9:30 a.m. ET,6 (3) ‘‘Regular Trading
Hours,’’ which begin at 9:30 a.m. ET and
continue until 4:00 p.m. ET,7 and (4) the
‘‘After Hours Trading Session,’’ which
begins at 4:00 p.m. ET and continues
until 5:00 p.m. ET.8 Users 9 may
designate when their orders are eligible
for execution by selecting their desired
Time-in-Force instruction.10
The purpose of the proposed rule
change is to amend Rule 1.5(c), which
defines the After Hours Trading Session,
to allow trading until 8:00 p.m. ET,
consistent with the hours currently
available on the Exchange’s affiliates
Cboe EDGX Exchange, Inc. (‘‘EDGX’’)
and Cboe EDGA Exchange, Inc.
(‘‘EDGA’’).11 The After Hours Trading
5 ‘‘Early Trading Session’’ means the time
between 7:00 a.m. and 8:00 a.m. ET. See Rule
1.5(ee).
6 ‘‘Pre-Opening Session’’ means the time between
8:00 a.m. and 9:30 a.m. ET. See Rule 1.5(r).
7 ‘‘Regular Trading Hours’’ means the time
between 9:30 a.m. and 4:00 p.m. ET. See Rule
1.5(w).
8 ‘‘After Hours Trading Session’’ means the time
between 4:00 p.m. and 5:00 p.m. ET. See Rule
1.5(c).
9 ‘‘User’’ means any Member or Sponsored
Participant who is authorized to obtain access to the
System pursuant to Rule 11.3. See Rule 1.5(cc).
10 See Rule 11.9(b).
11 See EDGX and EDGA Rule 1.5(r), which both
define ‘‘Post-Closing Session’’ as the time between
4:00 p.m. and 8:00 p.m. ET.
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[Federal Register Volume 83, Number 157 (Tuesday, August 14, 2018)]
[Notices]
[Pages 40365-40371]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2018-17396]
-----------------------------------------------------------------------
SECURITIES AND EXCHANGE COMMISSION
[Release No. 34-83800; File No. SR-IEX-2018-16]
Self-Regulatory Organizations: Investors Exchange LLC; Notice of
Filing and Immediate Effectiveness of Proposed Rule Change To Revise
the Threshold for Imposition of the Crumbling Quote Remove Fee
August 8, 2018.
Pursuant to Section 19(b)(1) \1\ of the Securities Exchange Act of
1934 (the ``Act'') \2\ and Rule 19b-4 thereunder,\3\ notice is hereby
given that, on July 26, 2018, the Investors Exchange LLC (``IEX'' or
the ``Exchange'') filed with the Securities and Exchange Commission
(the ``Commission'') the proposed rule change as described in Items I,
II and III below, which Items have been prepared by the self-regulatory
organization. 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\ 15 U.S.C. 78a.
\3\ 17 CFR 240.19b-4.
---------------------------------------------------------------------------
I. Self-Regulatory Organization's Statement of the Terms of Substance
of the Proposed Rule Change
Pursuant to the provisions of Section 19(b)(1) under the Securities
Exchange Act of 1934 (``Act''),\4\ and Rule 19b-4 thereunder,\5\ IEX is
filing with the Commission a proposed rule change to revise the
threshold for imposition of the Crumbling Quote Remove Fee (``CQRF'')
to more narrowly tailor it to trading activity that is indicative of a
deliberate trading strategy that may adversely affect execution quality
on the Exchange. The text of the proposed rule change is available at
the Exchange's website at www.iextrading.com, at the principal office
of the Exchange, and at the Commission's Public Reference Room.
---------------------------------------------------------------------------
\4\ 15 U.S.C. 78s(b)(1).
\5\ 17 CRF 240.19b-4.
---------------------------------------------------------------------------
II. Self-Regulatory Organization's Statement of the Purpose of, and the
Statutory Basis for, the Proposed Rule Change
In its filing with the Commission, the self-regulatory organization
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 statement may be examined at
the places specified in Item IV below. The self-regulatory organization
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 amend its fee schedule, pursuant to IEX
Rule 15.110 (a) and (c), to revise the threshold for imposition of the
CQRF to more narrowly tailor it to trading activity that is indicative
of a deliberate trading strategy that may adversely affect execution
quality on the Exchange.
The Exchange charges the CQRF to orders that remove resting
liquidity when the crumbling quote indicator (``CQI'') is on if such
executions constitute at least 5% of the Member's volume executed on
IEX and at least 1 million shares, on a monthly basis, measured on a
per market participant identifier (``MPID'') basis (the ``CQRF
Threshold''). Orders that exceed the 5% and 1 million share thresholds
are assessed a fee of $0.0030 per each incremental share executed at or
above $1.00 that exceeds the CQRF Threshold.\6\
---------------------------------------------------------------------------
\6\ Executions below $1.00 are assessed a fee of 0.30% of TDV
unless the Fee Code Combination results in a free execution. See
Investors Exchange Fee Schedule, available on the Exchange public
website.
---------------------------------------------------------------------------
Pursuant to IEX Rule 11.190(g), in determining whether quote
instability or a crumbling quote exists, the Exchange utilizes real
time relative quoting activity of certain Protected Quotations \7\ and
a proprietary mathematical calculation (the ``quote instability
calculation'') to assess the probability of an imminent change to the
current Protected National Best Bid \8\ to a lower price or the
Protected National Best Offer \9\ to a higher price for a particular
security (``quote instability factor''). When the quoting activity
meets predefined criteria and the quote instability factor calculated
is greater than the Exchange's defined quote instability threshold, the
System treats the quote as unstable and the CQI is on. During all other
times, the quote is considered stable, and the CQI is off. The System
independently assesses the stability of the Protected NBB and Protected
NBO for each security. When the System determines that a quote,
[[Page 40366]]
either the Protected NBB or the Protected NBO, is unstable, the
determination remains in effect at that price level for two
milliseconds, unless a new determination is made before the end of the
two-millisecond period. A new determination may be made after at least
200 microseconds has elapsed since a preceding determination, or a
price change on either side of the Protected NBBO occurs, whichever is
first. If a new determination is made, the original determination is no
longer in effect. A new determination can be at either the Protected
NBB or the Protected NBO and at the same or different price level as
the original determination.
---------------------------------------------------------------------------
\7\ Pursuant to Rule 11.190(g), the Protected Quotations of the
New York Stock Exchange, Nasdaq Stock Market, NYSE Arca, Nasdaq BX,
Cboe BZX Exchange, Cboe BYX Exchange, Cboe EDGX Exchange, and Cboe
EDGA Exchange.
\8\ See, Rule 600(b)(42) under Regulation NMS.
\9\ See supra note 4 [sic].
---------------------------------------------------------------------------
The Exchange adopted the CQRF beginning in January 2018 in order to
incentivize the entry of resting liquidity on IEX, including displayed
liquidity. Specifically, and as described more fully in the rule filing
adopting the CQRF (``CQRF rule filing''),\10\ the Exchange identified
that Members entering liquidity taking orders when the CQI was on
appeared to be able to engage in a form of latency arbitrage by
leveraging fast proprietary market data feeds and connectivity along
with predictive strategies to chase short-term price momentum and
successfully target resting orders at unstable prices. IEX believes
that these types of trading strategies, with concentrated and
aggressive tactics during moments of quote instability, are detrimental
to the experience of other IEX participants, and create disparate
burdens on resting orders, particularly those that are displayed and
therefore ineligible to benefit from the CQI in the manner of
Discretionary Peg orders \11\ and primary peg orders \12\ which do not
exercise price discretion when the CQI is on.\13\ The CQRF is a
narrowly tailored approach, designed to disincentivize certain
liquidity removing orders that can degrade the quality of the market
and thereby incentivize the entry of liquidity providing orders that
can enhance the quality of the market. The CQRF is only charged on
incremental executed shares above the CQRF Threshold, which is designed
to limit the fee to trading activity that is indicative of a deliberate
trading strategy that may adversely affect execution quality on IEX and
to not charge the fee to executions taking liquidity when the CQI is on
that are likely to be incidental and not part of such a strategy.
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\10\ See Securities Exchange Act Release No. 81484 (August 25,
2017), 82 FR 41446 (August 31, 2017) (SR-IEX-2017-27).
\11\ See Rule 11.190(b)(10).
\12\ See Rule 11.190(b)(8).
\13\ By not permitting resting Discretionary Peg orders and
primary peg orders to exercise price discretion during periods of
quote instability, the Exchange is designed to protect such orders
from unfavorable executions when its probabilistic model identifies
that the market appears to be moving adversely to them. This
limitation is designed to appropriately balance the protective
benefits to Discretionary Peg and primary peg orders with the
interest of avoiding potentially undue trading restrictions.
---------------------------------------------------------------------------
As described in the CQRF rule filing, there are significant
differences in short term markouts \14\ for resting and taking orders
between executions when the CQI is on and off, regardless of whether
the NBB (NBO) moves lower (higher) within two milliseconds of the
Exchange's determination of quote instability. Moreover, the breakdown
of orders entered and shares removed when the CQI is on or off
evidences that certain trading strategies appear to involve entering
liquidity taking orders targeting resting orders at prices that are
likely to move adversely from the perspective of the resting order.
---------------------------------------------------------------------------
\14\ The term markouts refers to changes in the midpoint of the
NBBO measured from the perspective of either the liquidity providing
resting order or liquidity removing taking order over a specified
period of time following the time of execution.
---------------------------------------------------------------------------
The CQRF has been incrementally successful in achieving its stated
goal of reducing the incidence of liquidity taking orders when the CQI
is on. The volume removed when the CQI is on has declined from 8.1% in
December 2017 to 7.3% in April 2018 (see Chart 1 below). Further, 5 of
12 Members that surpassed the CQRF Threshold in December 2017 appear to
have reduced such activity by at least 20% and one fell below the CQRF
Threshold in April 2018.
[GRAPHIC] [TIFF OMITTED] TN14AU18.000
[[Page 40367]]
Moreover, although material differences in key metrics related to
orders entered when the CQI is on and off have persisted following
implementation of the CQRF, the Exchange has identified some
incremental improvement which appears to be generally attributable to
the CQRF comparing data from June 2017 to April 2018. Most
significantly, the percentage of marketable orders received when the
CQI is on has declined from 30.4% to 18.2%, notwithstanding that the
amount of time the CQI is on has increased from 1.24 seconds (0.005% of
time during Regular Market Hours \15\) to 1.84 seconds (0.008% of time
during Regular Market Hours). Thus, based on the foregoing analysis,
IEX believes that the CQRF has been incrementally effective in reducing
order flow that targets resting liquidity at prices that are about to
become stale. With respect to incentivizing liquidity adding order
flow, the Exchange notes that IEX's overall volume has increased since
implementation of the CQRF, and volume traded when the CQI is off has
increased as a proportion of overall volume.\16\ With the confluence of
factors that influence order flow decisions, it is inherently difficult
to attribute such increases to the CQRF, particularly in the short
period of time it has been in effect. Nonetheless, IEX believes that
the CQRF has achieved some of its intended objectives already.
---------------------------------------------------------------------------
\15\ See IEX Rule 1.160(gg).
\16\ Comparing December 2017 to April 2018, IEX average daily
volume increased from 148 million shares to 155 million shares and
IEX volume when the CQI is off increased from 91.9% to 92.7%.
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Beginning in May 2018, the Exchange incrementally optimized and
enhanced the effectiveness of the quote instability calculation in
determining whether a crumbling quote exists.\17\ As a result, the CQI
is on more often. During May and June 2018, the CQI ``fired'' 28.6%
more often per symbol per trading day (on average), compared to April
2018. However, shares removed when the CQI is on increased only 19.6%.
The Exchange believes that this subsequent increase in CQI activity is
attributable to the increased coverage of the signal as a result of the
upgrade in May 2018, not a reduction in the effectiveness of the CQRF.
---------------------------------------------------------------------------
\17\ See Securities Exchange Act Release No. 83048 (April 13,
2018), 83 FR 17467 (April 19, 2018) (SR-IEX-2018-07).
---------------------------------------------------------------------------
However, notwithstanding the incremental effectiveness of the CQRF,
IEX believes that it is possible for a Member to circumvent (in whole
or in part) the CQRF Threshold by routing orders to IEX that are part
of a deliberate trading strategy that targets resting liquidity during
periods of quote instability through another Member (using such
Members' MPID) not engaged in such a strategy at all or to the same
extent. Such a routing approach would thus consolidate the executions
that take liquidity when the CQI is on with executions of the other
executing Member thereby reducing the executions that exceed the CQRF
Threshold and the resultant fee for the entering Member. This is
because the consolidated pool of executions would contain a significant
number of orders executed on behalf of the executing Member and its
other customers that did not take liquidity when the CQI is on.
Therefore, fewer of the entering Member's executions that take
liquidity when the CQI is on would be above the 5% threshold when
measured on an MPID basis.
In order to address the potential for ongoing and increased
circumvention of the CQRF, IEX proposes to revise the threshold for
imposition of the CQRF to more narrowly tailor it to trading activity
that is indicative of a deliberate trading strategy that may adversely
affect execution quality on the Exchange. As proposed, the CQRF
Threshold would be revised in two respects. First, the 5% monthly CQRF
Threshold would be measured and applied on a per logical port (also
referred to as a ``session'') per MPID basis.\18\ Second, the 1 million
share aspect of the CQRF Threshold would be eliminated. Therefore, on a
monthly basis, the Exchange would determine whether the 5% threshold
was reached within each session used by each Member's MPID. Incremental
shares that removed liquidity while the CQI was on above the 5%
threshold would be charged the CQRF.
---------------------------------------------------------------------------
\18\ Pursuant to the IEX Equities Port Request Form (available
on IEX's website at https://iextrading.com/docs/IEX%20Connectivity%20Agreements%20and%20Forms.pdf), Members may
request one or more connectivity ports to connect to IEX, through
which the Member may send, or permit a Sponsored Participant of such
Member, to send orders and order related messages to IEX.
---------------------------------------------------------------------------
IEX believes that Members generally use separate sessions within
the same MPID to segment the order flow of particular customers and
proprietary strategies. Thus, the Exchange believes that applying the
CQRF Threshold on a per session per MPID basis, rather than solely per
MPID, will result in a more fair application of the fee because it will
more narrowly apply the fee to trading strategies that are indicative
of a deliberate strategy that targets resting orders at prices that are
likely to move adversely from the perspective of the resting order and
that thus may adversely affect execution quality on IEX. In addition,
the change is designed to reduce potential circumvention of the CQRF by
Members that consolidate orders under one MPID that are part of such
deliberate trading strategies with orders that are not.
Eliminating the 1 million share aspect of the CQRF Threshold is
designed to avoid potential circumvention whereby a Member could divide
its orders that are part of such a deliberate trading strategy across
multiple sessions in order to circumvent the CQRF by keeping each
session below the 1 million share threshold. IEX does not charge for
sessions, and thus Members can readily add additional sessions upon
request.
Based on an analysis of data from June 2018, the Exchange estimates
that 35 Members would be subject to monthly increases in the CQRF,
totaling approximately $94,000 and ranging from $0.10 to $36,351.
Fourteen Members' increased fees would be more than $1,000 and two
would be over $10,000. Twelve Members' fees would increase by less than
$100.
The Exchange will continue to provide the Fee Code Indicator of
``Q'' on execution reports to Members removing liquidity at or within
the NBBO when the CQI is on.
IEX will implement the proposed fee change beginning on August 1,
2018.
2. Statutory Basis
IEX believes that the proposed rule change is consistent with the
provisions of Section 6(b) \19\ of the Act in general, and furthers the
objectives of Sections 6(b)(4) \20\ of the Act, in particular, in that
it is designed to provide for the equitable allocation of reasonable
dues, fees and other charges among its Members and other persons using
its facilities. Additionally, IEX believes that the proposed revisions
to the CQRF is consistent with the investor protection objectives of
Section 6(b)(5) \21\ of the Act in particular in that it is designed to
promote just and equitable principles of trade, to remove impediments
to a free and open market and national market system, and in general to
protect investors and the public interest.
---------------------------------------------------------------------------
\19\ 15 U.S.C. 78f.
\20\ 15 U.S.C. 78f(b)(4).
\21\ 15 U.S.C. 78f(b)(5).
---------------------------------------------------------------------------
The CQRF is designed to enhance the Exchange's market quality by
encouraging Members and other market participants to add more liquidity
to the Exchange order book, which benefits all investors by deepening
the Exchange's liquidity pool. Specifically, the Exchange believes that
trading strategies
[[Page 40368]]
that target resting liquidity during periods of quote instability seek
to trade at prices that are about to become stale, and thus discourage
other market participants from entering liquidity providing orders on
the Exchange. The Exchange believes that the CQRF has been
incrementally successful in achieving this goal. However, as described
in the Purpose section, the Exchange has identified certain actual and
potential ways in which the CQRF can be circumvented, which warrant
revisions to the CQRF Threshold.
The proposed change to the applicable threshold for imposition of
the CQRF is a limited and narrowly drawn approach that is designed to
increase the fairness of the fee, and also mitigate and reduce the
potential for circumvention, as described in the Purpose section.
Specifically, the Exchange believes that applying the CQRF Threshold on
a per session per MPID basis, rather than solely on a per MPID basis,
will result in a more fair and narrowly tailored application of the fee
because it will better focus the fee on deliberate trading strategies
that target resting orders at prices that are about to become stale,
thus reducing the potential that incidental trading activity not part
of such a strategy towards the end of a month after the MPID has
crossed the threshold could be subject to the CQRF. In addition, the
change is designed to reduce potential circumvention of the CQRF by
Members that intentionally consolidate orders that are part of such a
deliberate trading strategy with orders that are not, within a single
MPID. The Exchange understands that Members typically use separate
sessions for distinct trading strategies and customers, and that
therefore deliberate trading strategies that target resting orders at
prices that are about to become stale would generally not be on the
same session as trading strategies that do not target resting orders in
such a manner. Thus, assessing the threshold on a per session per MPID
basis, rather than per MPID, is designed to be even more fair and
narrowly tailored since the approach will focus the fee on transactions
that are part of a deliberate strategy that targets resting orders at
prices that are about to become stale, and reduce the potential that
the fee will be applied to incidental transactions not part of such a
strategy.
As described in the Purpose section, elimination of the 1 million
share threshold is designed to avoid potential circumvention whereby a
Member could divide its orders that are part of deliberative trading
strategies designed to target resting orders at prices that are about
to become stale across multiple sessions in order to circumvent the
CQRF by keeping each session below 1 million shares subject to the
CQRF. In addition, the Exchange believes that the 5% threshold is
sufficiently robust such that it is unlikely that a Member will
accidentally breach the threshold and incur the CQRF. The CQI is on
only 10.4 seconds per symbol per trading day on a volume weighted
average basis, constituting 0.04% of the day per symbol. Consequently,
the probability that a Member (or customer of a Member) not engaged in
a deliberate strategy to target resting orders at prices about to
become stale, would by chance trade when the CQI is on is about 1 in
2,340. The Exchange believes that it is highly unlikely for a Member to
encounter a 1 in 2,340 chance event more than 5% of the time, and thus
the 5% threshold is sufficiently robust to limit application of the
CQRF to intentional activity. As described above, IEX believes that the
per session per MPID threshold will more narrowly apply the fee to
deliberate trading strategies that target resting orders at prices that
are about to become stale, and is thus an even fairer and more narrowly
tailored application of the fee as a result thereof. Accordingly, the
Exchange believes that the proposed changes will incrementally enhance
the effectiveness of the CQRF to incentivize resting liquidity on the
Exchange by more effectively disincentivizing order flow that targets
resting liquidity at prices that are about to become stale.
Other exchanges offer incentives in the form of rebates and/or
reduced fees that are designed to encourage market participants to send
increased levels of order flow to such exchanges. These typically take
the form of lower fees and higher rebates for meeting specified volume
tiers.\22\ These fee and rebate structures are typically justified by
other exchanges on the basis that increased liquidity benefits all
investors by deepening the exchange's liquidity pool, which provides
price discovery and investor protection benefits.\23\ The Exchange also
notes that other exchanges charge different fees (or provide rebates)
to the buyer and seller to an execution, which are generally referred
to as either maker-taker or taker-maker pricing schemes. Typically, the
exchange offering such pricing is seeking to incentivize orders that
provide or remove liquidity, based on which type of orders receive a
rebate. While these pricing schemes discriminate against the Member
party to the trade that is charged a fee (in favor of the Member party
to the trade that is paid a rebate) the Commission has not found these
fees to be unfairly discriminatory in violation of the Act.\24\
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\22\ See, e.g., New York Stock Exchange Price List 2018,
available at https://www.nyse.com/publicdocs/nyse/markets/nyse/NYSE_Price_List.pdf. See also, Nasdaq Rule 7018.
\23\ See, e.g., Securities Exchange Act Release No. 80034
(February 14, 2017), 82 FR 11275 (February 21, 2017) (File No. SR-
BatsEDGX-2017-09).
\24\ See note 15 [sic] supra.
---------------------------------------------------------------------------
Similarly, the proposed changes to the CQRF Threshold seek to
promote increased liquidity and price discovery on the Exchange by
providing a fee designed to incentivize liquidity providing orders that
can improve the quality of the market. The Exchange believes that, to
the extent the fee, as revised, is successful in further reducing
targeted and aggressive liquidity removing orders, it would contribute
to investors' confidence in the fairness of transactions and the market
generally, thereby benefiting multiple classes of market participants
and supporting the public interest and investor protection purposes of
the Act.
The Exchange believes that maker-taker and taker-maker pricing
schemes in general create needless complexity in market structure in
various ways and result in conflicts of interest between brokers and
their customers. Accordingly, IEX has made a decision not to adopt
rebate provisions in favor of a more transparent pricing structure that
generally charges equal fees (or in some cases, no fee) for a
particular trade to both the ``maker'' and ``taker'' of liquidity.
Given this decision, IEX must use other means to incentivize orders to
rest on its order book. IEX's execution quality is one important
incentive, but this incentive can be undercut by trading strategies
that target resting orders during periods of quote instability.
Accordingly, IEX believes that the CQRF, as it is proposed to be
amended, is one reasonable way to compete with other exchanges for
order flow, consistent with its exchange model and without relying on
rebates.
The Exchange believes that the revised threshold for application of
the CQRF is reasonable and equitable because it is designed to reduce
potential circumvention of the CQRF and enhance both the fairness and
narrowly tailored application of the fee. As amended, the CQRF would
continue not to apply when executions taking liquidity while the CQI is
on are likely to be incidental and not part of a deliberate trading
strategy that targets resting liquidity during periods of quote
instability. The Exchange does not believe that the proposed CQRF
Threshold changes would result in an
[[Page 40369]]
increase in such incidental orders being charged the CQRF. To the
contrary, the Exchange believes the proposed CQRF Threshold changes
would result in more orders that are part of such deliberative
strategies being charged, and the per session per MPID charge would
result in fewer incidental orders being charged. Consequently, the
Exchange believes that the proposed fee structure is not unfairly
discriminatory because it is narrowly tailored to charge a fee only on
trading activity that is indicative of a trading strategy that may
adversely affect execution quality on IEX and is reasonably related to
the purpose of encouraging liquidity providing orders on IEX without
the use of rebates.
In particular, the Exchange believes that the data from April, May,
and June 2018 supports the position that the proposed CQRF Threshold is
narrowly tailored to charge the CQRF based on objective criteria
indicating that execution of the orders in question reasonably appear
to be part of a deliberate trading strategy that targets resting
liquidity during periods of quote instability. A pro forma analysis of
June 2018 data evidences that had the CQRF been calculated under the
proposed threshold per session per MPID, the order entry profile of
sessions that would have been subject to the fee is materially
different than sessions that would not have been subject to the fee
with respect to orders entered when the CQI was on. For the 286
sessions above the CQRF Threshold, 19.0% of orders were received while
the CQI was on (21.9% for the 135 sessions that would have been subject
to more than $500 in fees), while for sessions below the proposed CQRF
Threshold this number was only 4.7%. The Exchange believes that this
difference evidences that sessions above the proposed CQRF Threshold
were more likely to be engaging in a deliberate strategy to target
resting orders at soon to be stale prices.\25\
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\25\ Thirty-seven Members would have been charged the CQRF, with
35 subject to increased fees. Those 37 Members traded through 565
separate sessions, 286 of which would have been subject to the CQRF.
For Members that would be subject to increased fees, the number of
sessions that would be charged ranges from 1 to 42.
---------------------------------------------------------------------------
The Exchange also believes that it is appropriate, and consistent
with the Act, to not charge the CQRF to Members for executed shares on
sessions that do not exceed the CQRF Threshold during the month in
question, as measured on a per session per MPID basis. This is designed
to address limited inadvertent liquidity removal by such Members when
the CQI is on since such order flow during such times appears to be
incidental.
The Exchange also believes that it is consistent with the Act and
an equitable allocation of reasonable dues, fees and other charges
among its Members and other persons using its facilities to measure
whether the CQRF Threshold is reached on per session per MPID basis. As
discussed above, the CQRF Threshold is designed to narrowly focus on
executions that appear to be part of a deliberate trading strategy that
targets resting liquidity during periods of quote instability. The
Exchange believes that Members that utilize multiple sessions generally
use different sessions for different trading strategies or customers.
Therefore, the Exchange believes that measuring by session-MPID
combination is a more precise manner of assessing whether a Member's
trading strategy (or that of a customer) is part of a deliberate
trading strategy that targets resting liquidity during periods of quote
instability. Further, applying the CQRF Threshold on a per session per
MPID basis is designed to address potential circumvention of the CQRF
as described in the Purpose section.
Accordingly, the Exchange submits that the proposed CQRF Threshold
is narrowly tailored to address particular trading strategies (rather
than particular classes of Members) that may operate to disincentivize
the entry of resting orders by other market participants. Specifically,
and as discussed above, to the extent the proposed CQRF is successful
in further reducing such trading strategies on IEX, it may result in
market quality improvements which could benefit multiple classes of
market participants.
The Exchange further believes that charging the CQRF only to the
liquidity remover is equitable and not unfairly discriminatory because
it is designed to incentivize order flow that enhances the quality of
trading on the Exchange and disincentivize trading that does not. As
discussed above, IEX believes that there are precedents for exchanges
to charge different fees based upon meeting (or not meeting) particular
criteria, as well as maker-taker and taker-maker pricing structures
whereby the liquidity adder and remover to a trade are subject to
differing fees and rebates, to incentivize certain types of trading
activity. Fees and rebates based on maker-taker and taker-maker pricing
as well as on volume-based tiers have been widely adopted by equities
exchanges. And in some cases, maker-taker or taker-maker pricing has
been combined with volume-based tiers that result in differential fees
and rebates for different exchange members. These fee structures have
been permitted by the Commission. For example, Cboe EDGA Exchange, Inc.
(``EDGA'') previously offered a rebate contingent upon adding specified
amounts of liquidity to EDGA.\26\ Notwithstanding that certain classes
of exchange members (e.g., exchange routing brokers) do not typically
add liquidity on competing exchanges, this fee structure was justified
by EDGA on the basis that, generally, it encourages growth in liquidity
on EDGA and applies equally to all members.\27\ Similarly, while the
proposed IEX fee structure will result in the CQRF being imposed only
on Members using specific trading strategies, it is also designed to
attract liquidity to IEX and applies equally to all Members.
---------------------------------------------------------------------------
\26\ See Securities Exchange Act Release No. 80976 (June 20,
2017), 82 FR 28920 (June 26, 2017) (SR-BatsEDGA-2017-18).
\27\ See, e.g., Securities Exchange Act Release No. 69066 (March
7, 2013), 78 FR 16023 (March 13, 2013) (SR-EDGA-2013-10).
---------------------------------------------------------------------------
The Exchange also notes that there is precedent to charge a
different fee (or pay a different rebate) based on the execution price
of an order. The Cboe BZX Exchange, Inc. (``BZX'') pays a rebate of
$0.0015 to a non-displayed order that adds liquidity, while if such an
order receives price improvement it does not receive a rebate or pay a
fee.\28\
---------------------------------------------------------------------------
\28\ See Cboe BZX Exchange Fee Schedule, available at: https://markets.cboe.com/us/equities/membership/fee_schedule/bzx/.
---------------------------------------------------------------------------
Thus, maker-taker, taker-maker, and volume tier based fee
structures (separately or in combination) have been adopted by other
exchanges on the basis that they may discriminate in favor of certain
types of members but not in an unfairly discriminatory manner in
violation of the Act. As with such fee structures, the Exchange
believes that the proposed fee change is equitable and not unfairly
discriminatory because it is narrowly tailored to disincentive to all
Members from deploying trading strategies designed to chase short-term
price momentum during periods when the CQI is on and thus potentially
adversely impact liquidity providing orders. IEX believes that, to the
extent it is successful in this regard, the proposed fee structure may
lead to increased liquidity providing orders on IEX which could benefit
multiple classes of market participants through increased trading
opportunities and execution quality.
Further, the Exchange notes that the Nasdaq Stock Market
(``Nasdaq'') charges excess order fees (ranging from $0.005 to $0.01
per excess weighted order) on certain members that have a relatively
high ratio of orders entered
[[Page 40370]]
away from the NBBO to orders executed in whole or in part, subject to a
carve-outs for specified lower volume members and certain registered
market makers.\29\ In its rule filing adopting the fee Nasdaq justified
it as designed to achieve improvements in the quality of displayed
liquidity to the benefit of all market participants.\30\ Nasdaq also
asserted that the fee is reasonable because market participants may
readily avoid the fee by making improvements in their order entry
practices, noting that ``[i]deally, the fee will be applied to no one
because market participants will adjust their behavior to avoid the
fee.'' \31\
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\29\ See Nasdaq Rule 7018(a)(3)(m) [sic].
\30\ See, Securities Exchange Act Release No. 66951 (May 9,
2012), 77 FR 28647 (May 15, 2012) (File No. SR-NASDAQ-2012-055).
\31\ Id.
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Similarly, the IEX CQRF, as revised, is designed to incentivize the
entry of liquidity providing orders that can enhance the quality of the
market and disincentivize certain liquidity removing orders that can
degrade the quality of the market. Participants can manage their fees
by making adjustments to their order entry practices, to decrease their
entry of orders designed to target resting liquidity during periods of
quote instability. And, as with the Nasdaq excess order fees, ideally,
the fee will be applied to no one, because participants will adjust
their trading activity to account for the pricing change. Thus, the
Exchange believes that the fee of $0.0030 per share executed at or
above $1.00 is reasonably related to the trading activity IEX is
seeking to disincentivize.
IEX also believes that it is appropriate, reasonable and consistent
with the Act, to charge a fee of $0.0030 per share executed at or above
$1.00 (or 0.3% of the total dollar value of the transaction for
securities priced below $1.00) that exceed the CQRF Threshold described
herein because it is within the transaction fee range charged by other
exchanges \32\ and consistent with Rule 610(c) of Regulation NMS.\33\
Although the amount of the CQRF may not be adequate to fully
disincentivize Members from deploying trading strategies designed to
chase short-term price momentum during periods when the CQI is on, the
Exchange is hopeful that it will further reduce such activity based on
the economic disincentives that the CQRF will provide.
---------------------------------------------------------------------------
\32\ See note 14 [sic] supra.
\33\ 17 CFR 242.610(c)(1).
---------------------------------------------------------------------------
Moreover, IEX believes that the CQRF will help to prevent
fraudulent and manipulative acts and practices, to promote just and
equitable principles of trade, to foster cooperation and coordination
with persons engaged in regulating, clearing, settling, processing
information with respect to, and facilitating transactions in
securities, to remove impediments to and perfect the mechanism of a
free and open market and a national market system, and, in general, to
protect investors and the public interest, because the CQRF is designed
to reduce the entry of liquidity removing orders that can degrade the
quality of the market and incentivize liquidity providing orders that
can improve the quality of the market, thereby promoting greater order
interaction and inhibiting potentially abusive trading practices.
Finally, and as discussed in the Burden on Competition section, the
Exchange notes that it operates in a highly competitive market in which
Members and market participants can readily direct order flow to
competing venues if they deem fee levels to be excessive.
B. Self-Regulatory Organization's Statement on Burden on Competition
IEX does not believe that the proposed rule change will result in
any burden on competition that is not necessary or appropriate in
furtherance of the purposes of the Act. The Exchange does not believe
that the proposed rule change will impose any burden on intermarket
competition that is not necessary or appropriate in furtherance of the
purposes of the Act. To the contrary, the Exchange believes that the
proposed pricing structure may increase competition and hopefully draw
additional volume to the Exchange by enhancing the quality of
executions across all participants when the CQI is on. As discussed in
the Statutory Basis section, the proposed fee structure is a narrowly
tailored approach, designed to enhance the Exchange's market quality by
incentivizing trading activity that the Exchange believes enhances the
quality of its market. The Exchange believes that the proposed
revisions to the CQRF Threshold would contribute to, rather than
burden, competition, as the CQRF is intended to incentivize Members and
market participants to send increased liquidity providing order flow to
the Exchange, which may increase IEX's liquidity and market quality,
thereby enhancing the Exchange's ability to compete with other
exchanges. Further, with the proposed revisions to the CQRF Threshold,
the CQRF would continue to be in line with fees charged by other
exchanges.
The Exchange operates in a highly competitive market in which
market participants can readily favor competing venues if fee schedules
at other venues are viewed as more favorable. Consequently, the
Exchange believes that the degree to which IEX fees could impose any
burden on competition is extremely limited, and does not believe that
such fees would burden competition of Members or competing venues in a
manner that is not necessary or appropriate in furtherance of the
purposes of the Act.
The Exchange does not believe that the proposed rule change will
impose any burden on intramarket competition that is not necessary or
appropriate in furtherance of the purposes of the Act because, while
the CQRF, as revised, would only be assessed in some circumstances,
those circumstances are not based on the type of Member entering the
liquidity removing order but on the percent of liquidity removing
volume that the Member executes when the CQI is on. Further, the
proposed revisions to the CQRF Threshold are intended to encourage
market participants to bring increased volume to the Exchange, which
benefits all market participants.\34\
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\34\ See e.g., IEX's white paper that utilized publicly
available quote and trade data to compare market quality across U.S.
stock exchanges, which empirically found, inter alia, that on
average IEX has the lowest effective spread, and the greatest
opportunity for price improvement amongst all exchanges. A
Comparison of Execution Quality across U.S. Stock Exchanges, Elaine
Wah, Stan Feldman, Francis Chung, Allison Bishop, and Daniel Aisen,
Investors Exchange (2017). Effective spread is commonly defined by
market structure academics and market participants as twice the
absolute difference between the trade price and prevailing NBBO
midpoint at the time of a trade, and is generally meant to measure
the cost paid when an incoming order executes against a resting
order, and unlike quoted spread captures other features of a market
center, such as hidden and midpoint liquidity as well as market
depth. Price improvement is in reference to the situation where an
aggressive order is filled at a price strictly better than the
inside quote (i.e., in the case of an aggressive buy (sell) order,
receiving a fill at a price lower (higher) than the NBO (NBB)). See
also, Hu, Edwin, Intentional Access Delays, Market Quality, and
Price Discovery: Evidence from IEX Becoming an Exchange (February 7,
2018). Available at SSRN: https://ssrn.com/abstract=3195001.
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C. Self-Regulatory Organization's Statement on Comments on the Proposed
Rule Change Received From Members, Participants, or Others
Written comments were neither solicited nor received.
III. Date of Effectiveness of the Proposed Rule Change and Timing for
Commission Action
The foregoing rule change has become effective pursuant to Section
19(b)(3)(A)(ii) \35\ of the Act.
---------------------------------------------------------------------------
\35\ 15 U.S.C. 78s(b)(3)(A)(ii).
---------------------------------------------------------------------------
At any time within 60 days of the filing of the proposed rule
change, the
[[Page 40371]]
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) \36\ of the Act to determine whether the proposed rule
change should be approved or disapproved.
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\36\ 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 email to [email protected]. Please include
File Number SR-IEX-2018-16 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-IEX-2018-16. This file
number should be included on the subject line if email is used. To help
the Commission process and review your comments more efficiently,
please use only one method. The Commission will post all comments on
the Commission's internet 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 the 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-IEX-2018-16 and should be submitted on
or before September 4, 2018.
For the Commission, by the Division of Trading and Markets,
pursuant to delegated authority.\37\
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\37\ 17 CFR 200.30-3(a)(12).
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Eduardo A. Aleman,
Assistant Secretary.
[FR Doc. 2018-17396 Filed 8-13-18; 8:45 am]
BILLING CODE 8011-01-P