Self-Regulatory Organizations; BOX Exchange LLC; Notice of Filing and Immediate Effectiveness of a Proposed Rule Change To Amend the Fee Schedule on the BOX Options Market LLC Facility To Adopt Electronic Market Maker Trading Permit Fees, 10268-10274 [2022-03763]
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Federal Register / Vol. 87, No. 36 / Wednesday, February 23, 2022 / Notices
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For the Commission, by the Division of
Trading and Markets, pursuant to delegated
authority.20
J. Matthew DeLesDernier,
Assistant Secretary.
[FR Doc. 2022–03760 Filed 2–22–22; 8:45 am]
BILLING CODE 8011–01–P
SECURITIES AND EXCHANGE
COMMISSION
[Release No. 34–94264; File No. SR–BOX–
2022–07]
khammond on DSKJM1Z7X2PROD with NOTICES
Self-Regulatory Organizations; BOX
Exchange LLC; Notice of Filing and
Immediate Effectiveness of a Proposed
Rule Change To Amend the Fee
Schedule on the BOX Options Market
LLC Facility To Adopt Electronic
Market Maker Trading Permit Fees
February 16, 2022.
Pursuant to Section 19(b)(1) of the
Securities Exchange Act of 1934
(‘‘Act’’),1 and Rule 19b–4 thereunder,2
notice is hereby given that on February
CFR 200.30–3(a)(12).
U.S.C. 78s(b)(1).
2 17 CFR 240.19b–4.
1, 2022, BOX Exchange LLC
(‘‘Exchange’’) filed with the Securities
and Exchange Commission
(‘‘Commission’’) the proposed rule
change as described in Items I, II, and
III below, which Items have been
prepared by the Exchange. The
Exchange filed the proposed rule change
pursuant to Section 19(b)(3)(A)(ii) of the
Act,3 and Rule 19b–4(f)(2) thereunder,4
which renders the proposal 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 the Substance
of the Proposed Rule Change
The Exchange is filing with the
Securities and Exchange Commission
(‘‘Commission’’) a proposed rule change
to amend the Fee Schedule to on the
BOX Options Market LLC (‘‘BOX’’)
options facility. The text of the
proposed rule change is available from
the principal office of the Exchange, at
the Commission’s Public Reference
Room and also on the Exchange’s
internet website at https://
boxexchange.com.
II. Self-Regulatory Organization’s
Statement of the Purpose of, and
Statutory Basis for, the Proposed Rule
Change
In its filing with the Commission, the
Exchange included statements
concerning the purpose of and basis for
the proposed rule change and discussed
any comments it received on the
proposed rule change. The text of these
statements may be examined at the
places specified in Item IV below. The
Exchange has prepared summaries, set
forth in Sections A, B, and C below, of
the most significant aspects of such
statements.
A. Self-Regulatory Organization’s
Statement of the Purpose of, and
Statutory Basis for, the Proposed Rule
Change
1. Purpose
The Exchange proposes to amend the
Fee Schedule to establish a new
monthly Participant Fee. Specifically,
the Exchange proposes to adopt
electronic Market Maker Trading Permit
Fees as follows: (i) $4,000 per month for
Market Maker Appointments in up to
and including 10 classes; (ii) $6,000 per
month for Market Maker Appointments
in up to and including 40 classes; (iii)
$8,000 per month for Market Maker
Appointments in up to and including
20 17
1 15
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U.S.C. 78s(b)(3)(A)(ii).
CFR 240.19b–4(f)(2).
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100 classes; and (iv) $10,000 per month
for Market Maker Appointments for over
100 classes. For the calculation of the
monthly electronic Market Maker
Trading Permit fees, the number of
classes is defined as the greatest number
of classes the Market Maker was
appointed to quote in on any given day
within the calendar month. The
Exchange notes that the proposed
electronic Market Maker Trading Permit
fees are lower than fees assessed at
competing options exchanges.5 The
Exchange notes the current monthly
Participant Fee of $1,500 per month will
not apply to electronic Market Makers.
Under this proposal, electronic Market
Makers will pay the applicable monthly
electronic Market Maker Trading Permit
fee only. All other electronic
Participants 6 will continue to pay the
monthly Participant Fee in Section
VIII.B of the BOX Fee Schedule.
The Exchange believes that it is
important to demonstrate that these fees
are based on its costs and reasonable
business needs that have grown
substantially since the Exchange
implemented the Participant Fee for all
BOX Participants in 2016. The Exchange
also believes the proposed electronic
Market Maker Trading Permit Fees will
allow BOX to offset expenses that BOX
has and will incur, and that BOX is
providing sufficient transparency (as
described below) into how BOX
determined to charge such fees.
Accordingly, BOX is providing an
analysis of its revenues, costs, and
profitability associated with the
proposed electronic Market Maker
Trading Permit Fees. This analysis
includes information regarding its
methodology for determining the costs
and revenues associated with providing
access services to electronic Market
Makers.7
5 See NYSE Arca, Inc. (‘‘NYSEArca’’) Fee
Schedule (assessing Market Makers $6,000 for up to
175 option issues, an additional $5,000 for up to
350 option issues, an additional $4,000 for up to
1,000 option issues, and an additional $3,000 for all
option issues traded on the Exchange). The
Exchange notes that these fees are compounded, so
Market Makers who trade in all option issues on the
exchange are assessed $18,000 per month. See also
Miami International Securities Exchange, LLC
(‘‘MIAX’’) Fee Schedule (assessing Market Makers
$7,000 for up to 10 classes or up to 20% of classes
by volume, $12,000 for up to 40 classes or up to
35% of classes by volume, $17,000 for up to 100
classes or up to 50% or classes by volume, and
$22,000 for over 100 classes or over 50% of classes
by volume up to all classes listed on MIAX).
6 The Exchange notes the following Participant
types on BOX: Public Customers, Professional
Customers, Broker Dealers, and Market Makers.
Pursuant to this proposal, Public Customers,
Professional Customers, and Broker Dealers will
continue to be charged the $1,500 Participant Fee
detailed in Section VIII.B of the BOX Fee Schedule.
7 BOX notes that the structure of BOX is different
from other options exchanges in the industry.
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In order to determine BOX’s costs to
provide the access services to electronic
Market Makers, BOX conducted an
extensive cost review in which BOX
analyzed all expenses in BOX’s general
expense ledger to determine whether
each such expense relates to Market
Maker access services, and, if such
expense did so relate, what portion (or
percentage) of such expense actually
supports the access services. The sum of
all such portions of expenses represents
the total cost for BOX to provide the
access services to electronic Market
Makers. For the avoidance of doubt, no
expense amount was allocated twice.
In order to determine BOX’s projected
revenues associated with the proposed
Market Maker Permit Fees, BOX
analyzed the number of Participants
currently utilizing the Trading Permits,
and, utilizing a recent monthly billing
cycle representative of 2021 monthly
revenue, extrapolated annualized
revenue on a going-forward basis
utilizing the proposed Market Maker
Permit Fees discussed herein. BOX does
not believe it is possible or appropriate
to factor into its analysis future revenue
growth or decline into its projections for
purposes of these calculations, given the
uncertainty of such projections due to
the continually changing access needs
of market participants and general
market participant behavior. BOX does,
however, believe that it is reasonable
and appropriate to factor into its
analysis future cost growth or decline
for expenses related to providing access
services associated with the proposed
electronic Market Maker Trading Permit
fees. The Exchange is presenting its
revenue and expense associated with
providing access services to electronic
Market Makers in this filing in a manner
that is consistent with how BOX
presents its revenue and expense in its
Audited Financial Statements. BOX’s
most recent Audited Financial
Statement is for 2020. However, since
the revenues and expenses associated
with the proposed electronic Market
Maker Trading Permit fees were not in
place in 2020, the Exchange believes its
Specifically, BOX Exchange LLC (‘‘Exchange’’) is a
fully separate legal entity from BOX Options Market
LLC, the equity options facility of the Exchange. All
of the Exchange’s expenses support the regulatory
function as the Exchange. Further, the Exchange
fulfills the regulatory functions and responsibilities
as a national securities exchange registered with the
SEC under Section 6 of the Securities Exchange Act
of 1934, and oversees the BOX Options Market.
Exchange expenses are solely regulatory in nature
because, due to the unique structure between the
Exchange and the BOX Options Market facility, the
Exchange expenses are separate from the BOX
Options Market facility expenses and there can be
no commingling of the funds. As such, the expenses
discussed herein are solely those of BOX Options
Market and not the Exchange.
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18:04 Feb 22, 2022
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2020 Audited Financial Statement is not
representative of its current total
annualized revenue and costs associated
with the proposed electronic Market
Maker Trading Permit fees. Accordingly,
BOX believes it is more appropriate to
analyze the proposed electronic Market
Maker Trading Permit fees utilizing its
2021 revenue and costs, as described
herein, which utilize the same
presentation methodology as set forth in
BOX’s previously-issued Audited
Financial Statements.8 Based on the
analysis discussed herein, the Exchange
believes that the proposed electronic
Market Maker Trading Permit fees are
fair and reasonable because they will
not result in excessive pricing or supracompetitive profit when comparing
BOX’s total annual expense associated
with providing the access services to
electronic Market Makers versus the
total projected annual revenue BOX will
collect for providing those services.
2. Statutory Basis
The Exchange believes that the
proposal is consistent with the
requirements of Section 6(b) of the Act,
in general, and Section 6(b)(4) and
6(b)(5) of the Act,9 in particular, in that
it provides for the equitable allocation
of reasonable dues, fees, and other
charges among BOX Participants and
other persons using its facilities and
does not unfairly discriminate between
customers, issuers, brokers or dealers.
The Exchange established the current
$1,500 monthly Participant Fee in
October 2016 for all Participants
regardless of account type.10 At the time
BOX established this Participant Fee,
BOX’s market share was 2.45% and the
total volume of options contracts traded
on BOX in September 2016 was
8,737,707. The Exchange established
this lower (when compared to other
8 For example, BOX previously noted that direct
and indirect expenses described in a prior fee filing
were contained in the following line items in BOX’s
2018 Form 1: Technical and Operational, External
IT Services, Data Processing & Communication,
Depreciation, Personnel, Amortization, Rent of
facilities, Office-related, Professional Services,
Other. See Securities Exchange Act Release No.
88161 (February 11, 2020), 85 FR 8968 (February
18, 2020) (SR–BOX–2020–03). Accordingly, the
direct and indirect expenses described in this filing
is attributed to the same line items for BOX’s 2021
Form 1 Amendment, which will be filed in 2022.
The Exchange notes that another exchange has
utilized a similar presentation methodology in a
recent filing and such filing was noticed and not
suspended by the Commission when the exchange
adopted Trading Permit fees. See Securities
Exchange Act Release Nos. 91033 (February 1,
2021), 86 FR 8455 (February 5, 2021) (SR–
EMERALD–2021–03). See also SR–PEARL–2021–
59.
9 15 U.S.C. 78f(b)(4) and (5).
10 See Securities Exchange Act Release No. 79038
(October 4, 2016), 81 FR 70214 (October 11, 2016)
(SR–BOX–2016–47).
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10269
options exchanges in the industry)
Participant fee in order to encourage
market participants to become
Participants of BOX and register as BOX
Market Makers. Since 2016, BOX has
grown its market share and membership
base significantly. Specifically, in
September 2021, BOX’s market share
was 5.19% and the total volume of
option contracts traded on BOX in
September 2021 was 42,098,287. BOX
recently reviewed its current Participant
Fees detailed in Section VIII of the BOX
Fee Schedule. In its review, BOX
determined that Participant fees would
need to be raised, and a flat fee for all
Participant types is no longer
appropriate. Specifically, BOX found
that electronic Market Makers had been
benefitting from a flat Participant Fee
rate while (1) consuming the most
bandwidth and resources of the
network; (2) transacting the vast
majority of the volume on BOX; and (3)
requiring the high touch network
support services provided by BOX and
its staff. The Exchange notes that Broker
Dealers, Professional Customers, and
Public Customers take up significantly
less BOX resources and costs as
discussed further below. In its review,
BOX found that since 2016, Market
Makers have had the luxury of paying
the same Participant Fees as other
account types despite Market Makers
consuming the most resources on the
BOX system and contributing to
increased costs for BOX. As such, the
Exchange proposes to establish higher,
separate electronic Trading Permit fees
for Market Makers that are more aligned
with the costs and resources that Market
Makers continue to place on BOX and
its systems. Additionally, the Exchange
believes that the proposed change will
better align BOX Participant Fees with
rates charged by competing options
exchanges in the industry for similar
Trading Permits for such market
participants. As such, BOX believes the
proposed electronic Market Maker
Trading Permit fees are reasonable in
that they are lower than comparable fees
at other options exchanges.11 Further,
the Exchange believes that the proposal
is reasonably designed to continue to
compete with other options exchanges
by incentivizing market participants to
register as Market Makers on BOX in a
manner than enables BOX to improve its
overall competitiveness and strengthen
market quality for all market
participants.
The proposed fees are equitable and
not unfairly discriminatory as the fees
apply equally to all electronic Market
Makers. As such, all similarly situated
11 See
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electronic Market Makers, with the same
number of appointments, will be subject
to the same electronic Market Maker
Trading Permit fee. The Exchange also
believes that assessing lower fees to
electronic Market Makers that quote in
fewer classes is reasonable and
appropriate as it will allow BOX to
retain and attract smaller-scale
electronic Market Makers, which are an
integral component of the options
industry marketplace. Since these
smaller electronic Market Makers utilize
less bandwidth and capacity on the
BOX network due to the lower number
of quoted classes, the Exchange believes
it is reasonable and appropriate to offer
such electronic Market Makers a lower
fee. The Exchange also notes that other
options exchanges assess permit fees at
different rates, based upon a member’s
participation on that exchange,12 and, as
such, this concept is not new or novel.
Further, the Exchange believes the
proposed tiered structure of the
electronic Market Maker Trading Permit
fees is reasonable and appropriate.
Under the proposal, electronic Market
Makers will be charged monthly fees
based on the greatest number of classes
quoted on any given trading day in a
calendar month. Under the proposed fee
structure, the fees increase as the
number of classes quoted by a Market
Maker increases. The Exchange believes
this structure is reasonable because the
BOX system requires increased
performance and capacity in order to
provide the opportunity for Market
Makers to quote in a higher number of
options classes on BOX. Specifically,
the more classes that are actively quoted
on BOX by a Market Maker requires
increased memory for record retention,
increased bandwidth for optimized
performance, increased functionalities
on each application layer, and increased
optimization with regard to surveillance
12 See e.g., NYSE Arca Options Fees and Charges,
p.1 (assessing market makers $6,000 for up to 175
option issues, an additional $5,000 for up to 350
option issues, an additional $4,000 for up to 1,000
option issues, an additional $3,000 for all option
issues on the exchange, and an additional $1,000
for the fifth trading permit and for each trading
permit thereafter); NYSE American Options Fee
Schedule, p. 23 (assessing market makers $8,000 for
up to 60 plus the bottom 45% of option issues, an
additional $6,000 for up to 150 plus the bottom
45% of option issues, an additional $5,000 for up
to 500 plus the bottom 45% of option issues, and
additional $4,000 for up to 1,100 plus the bottom
45% of option issues, an additional $3,000 for all
issues traded on the exchange, and an additional
$2,000 for 6th to 9th ATPs; plus an addition fee for
premium products). See also Cboe BZX Options
Exchange (‘‘BZX Options’’) assesses the Participant
Fee, which is a membership fee, according to a
member’s ADV. See Cboe BZX Options Exchange
Fee Schedule under ‘‘Membership Fees’’. The
Participant Fee is $500 if the member ADV is less
than 5,000 contracts and $1,000 if the member ADV
is equal to or greater than 5,000 contracts.
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18:04 Feb 22, 2022
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and monitoring of such classes quoted.
As such, basing the Market Maker
Trading Permit fee on the greatest
number of classes quoted in on any
given day in a calendar month is
reasonable and appropriate when taking
into account how the increased number
of quoted classes directly impact the
costs and resources for BOX. Further,
the Exchange believes that the proposed
tiered structure is equitable and not
unfairly discriminatory as all similarly
situated Market Makers will be charged
the same fee. The Exchange notes that
another options exchange in the
industry calculates Market Maker
Permit Fees in the same manner.13
The Exchange believes that its
proposal is consistent with Section
6(b)(4) of the Act because the proposed
fees will not result in excessive or
supra-competitive profit. The costs
associated with providing access to
Participants and non-Participants are
extensive, have increased year-overyear, and are projected to increase yearover-year in the future. In particular,
BOX has experienced a material
increase in its costs in the last several
years, in connection with projects to
make its network environment more
transparent and deterministic, based on
customer demand. In order to provide
this for BOX Participants and nonParticipants, in 2021 alone BOX has
made significant capital expenditures
(‘‘CapEx’’), incurred increased ongoing
operational expenditures (‘‘OpEx’’), and
undertaken additional engineering
research and development (‘‘R&D’’) in
the following areas: (i) Implementing an
improved network design to ensure
equalized cabling between Participants;
(ii) introducing designated gateways for
BOX Market Makers; and (iii)
optimization of network and systems to
better handle the increased quote and
order flow seen through 2020 and 2021.
The CapEx in 2021 was approximately
$720,000 for BOX. This expense does
not include the significant increase in
employee time and other resources
necessary to maintain and service this
network, which expense is captured in
the operating expense discussed below.
These projects, which resulted in a
material increase in expense to BOX,
are, among other things, intended to
enhance the overall trading experience
at BOX, making it a venue that market
participants want to access.
Given these increased costs, BOX
determined that access fees must be
increased and believes the proposed
electronic Market Maker Trading Permit
13 See Nasdaq Phlx LLC (‘‘Phlx’’) Fee Schedule,
Section 8(B) detailing the tiered structure for
Streaming Quote Trader (‘‘SQT’’) Fees.
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fees are equitably allocated between
other BOX Participants and Market
Makers, when these fees are viewed in
the context of the overall activity on
BOX, as Market Makers: (1) Consume
the most bandwidth and resources of
the network; (2) transact the vast
majority of the volume on BOX; and (3)
require the high touch network support
services provided by BOX and its staff,
including more costly network
monitoring, reporting and support
services, resulting in a much higher cost
to BOX. The proposed electronic Market
Maker Trading Permit fees are equitably
allocated in this regard because the
majority of customer demand comes
from Market Makers, whose transactions
make up a majority of the volume on
BOX. Accordingly, the Exchange
believes it is reasonable, equitably
allocated, and not unfairly
discriminatory to recoup a portion of its
costs associated with providing
electronic Market Makers access
services. BOX believes that the
proposed electronic Market Maker
Trading Permit fees are equitably
allocated between other BOX
Participants and Market Makers, as
Market Makers consume the most
bandwidth and resources of the network
because only Market Makers submit
quotes on BOX. Specifically, BOX notes
that these market participants account
for greater than 99% of message traffic
over the network, while other nonMarket Maker market participants
account for less than 1% of message
traffic over the network. In BOX’s
experience, most BOX Participants do
not have a business need for the high
performance network solutions required
by Market Makers. BOX’s high
performance network solutions and
supporting infrastructure (including
employee support), provides
unparalleled system throughput and the
capacity to handle approximately 3
million quote messages per second. On
an average day, BOX handles over 1.6
billion total messages. Of those, Market
Makers generate approximately 1.59
billion messages, and other BOX
Participants generate 9.5 million
messages. However, in order to achieve
consistent, premium network
performance, BOX must build out and
maintain a network that has the capacity
to handle the message rate requirements
of its most heavy network consumers.
These billions of messages per day
consume BOX’s resources and
significantly contribute to the overall
expense for storage and network
transport capabilities. Given this
difference in network utilization rate,
the Exchange believes that it is
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reasonable, equitable, and not unfairly
discriminatory that Market Makers pay
for a higher portion of the access costs
(compared to other Participant types)
designed to be recovered via the
proposed electronic Market Maker
Trading Permit fees.
In order to provide more detail and to
quantify BOX’s costs associated with
providing access to the BOX network in
general, BOX notes that there are
material costs associated with providing
the infrastructure and headcount to
fully-support access to BOX. BOX
incurs technology expenses related to
establishing and maintaining
Information Security services, enhanced
network monitoring and customer
reporting associated with its network
technology. While some of the expense
is fixed, much of the expense is not
fixed, and thus increases as the
expenses associated with access services
for electronic Market Makers increase.
For example, new Market Makers to
BOX may require the purchase of
additional hardware to support those
Participants as well as enhanced
monitoring and reporting of customer
performance that BOX provides.
Further, as the total number of Market
Makers increase, BOX may need to
increase their data center footprint and
consume more power, resulting in
increased costs charged by their thirdparty data center provider. Accordingly,
the cost to BOX to provide access to its
Participants is not fixed. BOX believes
the proposed electronic Market Maker
Trading Permit fees are reasonable in
order to offset a portion of the costs to
BOX associated with providing access to
Market Makers to its network
infrastructure.
BOX Market Makers have and
continue to account for the vast majority
of network capacity utilization and
trading activity on BOX and thus
account for the majority of expenses
placed on BOX systems. Specifically, in
2017 (the year after BOX established the
flat Participant Fee), the total expense
for providing access services for all
Participant types was approximately
$819,000. Broken down further, in 2017,
the total expense for providing access
services to non-Market Maker
Participants was approximately
$117,000 and the total expense for
providing access services to Market
Makers was approximately $702,000.
The Exchange has seen this disparity in
access expenses between non-Market
Makers and Market Makers year after
year since the establishment of the
Participant Fee in 2016. In 2018, the
total expense for providing access
services for all Participant types was
approximately $763,000—
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approximately $109,000 allocated to
non-Market Maker expenses and
approximately $654,000 allocated to
Market Maker expenses. In 2019, the
total expense for providing access
services for all Participant types was
approximately $722,000—
approximately $103,000 allocated to
non-Market Maker expenses and
approximately $619,000 allocated to
Market Makers. In 2020, the total
expense for providing access services
for all Participant types was
approximately $1.1 million—
approximately $161,000 allocated to
non-Market Maker expenses and
approximately $971,000 allocated to
Market Makers. Further, as discussed
herein, BOX experienced a material
increase in costs in 2021 and projects a
similar material increase for 2022 due to
projects to make its network
environment more transparent and
deterministic, and increased order flow
seen throughout the industry. These
increased costs are reflected in the
expenses related to providing access
services to all BOX Participants.
Specifically, in 2021, the total expense
for providing access services for all
Participant types was approximately
$1.29 million—approximately $190,000
allocated to non-Market Maker expenses
and approximately $1.1 million
allocated to Market Makers. Further, in
the projected expenses for 2022, the
total projected expense for providing
access services for all Participant types
is approximately $1.89 million—
approximately $270,000 allocated to
non-Market Maker expenses and $1.62
million allocated to Market Makers. As
illustrated by these access expenses year
over year, it is clear that BOX Market
Makers account for the majority of
expenses related to the provision of
access services for BOX Participants.
Accordingly, BOX believes that it is
reasonable and appropriate to charge
electronic Market Makers more than
other BOX Participants for electronic
Trading Permits to access the BOX
network.
BOX believes that the proposed
Market Maker Fees are fair and
reasonable because they will not result
in excessive pricing or supracompetitive profit, when comparing the
total annual expense that BOX projects
to incur in connection with providing
these access services versus the total
annual revenue that BOX projects it will
collect in connection with the
associated electronic Market Maker
Trading Permit fees.
As discussed herein, BOX conducted
an extensive cost review in which BOX
analyzed all expenses in BOX’s general
expense ledger to determine whether
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10271
each such expense relates to the access
services for electronic Market Makers,
and, if such expense did so relate, what
portion (or percentage) of such expense
actually supports those services, and
thus bears a relationship that is, ‘‘in
nature and closeness,’’ directly related
to those services. While BOX undertook
this review of its expenses from 2019
through 2021, it focused on the 2021
expenses as these are the most recent
and clearly demonstrate why BOX
determined that access fees needed to be
raised for certain Participants. The sum
of all such portions of expenses
represents the total cost to BOX to
provide Market Makers access to the
BOX network.
For 2021,14 the total annual expense
for providing access services to Market
Makers was approximately $1.1 million.
The $1.1 million in projected total
annual expense is comprised of direct
and indirect expenses. For 2021, total
direct expense, (which relates to the
network infrastructure, associated data
center processing equipment required to
support various connections, network
monitoring systems and associated
software required to support the access
services for Market Makers) was
$770,749.15 It is important to note that
BOX did not allocate the entirety of its
overall direct expense in 2021 to
providing access services for Market
Makers. Specifically, the $770,749
direct expense is only a portion of the
overall direct expenses for access
service incurred by BOX as overall
direct expenses in 2021 totaled
approximately $8.2 million.16 To
reiterate, the Exchange did not allocate
all of the direct expenses toward the
cost of providing access services to
Market Makers, only that portion which
BOX identified as being specifically
mapped to providing the access services
to Market Makers, approximately 10%
of the total direct expense for access
services. The Exchange believes this
allocation is reasonable because it
represents BOX’s actual cost to provide
access services to its Market Makers,
and not any other service, as supported
by its cost review.
The indirect expense (which includes
expenses related to employee
compensation and benefits for full-time
14 BOX has not yet finalized its 2021 year end
results.
15 The direct expenses detailed herein are
contained in the following line items: Technical
and Operational, External IT Services, Data
Processing & Communication, and Depreciation.
16 This overall direct expense total includes all
expenses related to space rental, power usage,
connections, etc., at the Exchange’s data centers,
trading technology support, software and hardware
depreciation, and intermarket linkage and third
party market data connectivity fees.
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employees, legal expenses and other
professional services, and office space
and rent and other miscellaneous
expenses) that BOX allocates to
providing access services to electronic
Market Makers in 2021 was
approximately $370,435.17 BOX notes
that the overall indirect expense in 2021
totaled approximately $18.5 million. To
reiterate, the Exchange did not allocate
all of the indirect expenses incurred in
2021 toward the cost of providing the
access services to Market Makers.
Specifically, BOX allocated
approximately 2% of the total indirect
expense incurred in 2021 to Market
Maker access services. The Exchange
notes that it took a conservative
approach with regard to the allocation
of indirect expenses related to providing
access services to Market Makers. As
such, this may result in BOX under
allocating an expense to the provision of
access services for Market Makers and
such expenses may actually be higher or
increase above what BOX utilizes
within this proposal. The Exchange
believes this allocation is reasonable
and appropriate when compared to
other exchanges’ allocations of similar
indirect costs.18
Further, BOX analyzed projected
expenses for 2022 with regard to
providing access services to Market
Makers. The projected total expense for
providing access services to Market
Makers in 2022 is approximately $1.6
million.19 BOX notes that direct
expenses associated with providing
access services to Market Makers will
increase 61%, while indirect expenses
associated with providing access
services to Market Makers are not
projected to exceed 2021 costs.20 BOX
expects significant increases in costs for
space rental, power usage, connections,
17 The indirect expenses detailed herein are
contained in the following line items in the BOX
2021 Form 1: Personnel, Amortization, Rent of
facilities, Office-related, Professional Services,
Other expenses.
18 With regard to their proposed access fees,
MIAX Emerald allocated approximately 15% of the
total employee compensation and benefits expense,
approximately 15% of the total depreciation and
amortization expense, and approximately 15% of
the total occupancy expense. MIAX Pearl allocated
approximately 6% of the total applicable employee
compensation and benefits expense, approximately
5% of the total applicable depreciation and
amortization expense, and approximately 8% of the
total applicable occupancy expense. As such, BOX
believes its conservative allocation percentage is
reasonable and appropriate.
19 The Exchange notes that these numbers are
projections based on BOX’s projected 2022 budget
expenditures. These costs are subject to change
depending on the nature of the project or service,
however BOX does not expect material changes to
the projected expenses.
20 Expenses for 2022 are based off of BOX
projected expenses and budget. These expenses are
subject to change.
VerDate Sep<11>2014
18:04 Feb 22, 2022
Jkt 256001
etc., at the Exchange’s data centers and
trading technology support. These
increased costs are attributed to projects
including, but not limited to redesign
and migration to an equalized cabling
infrastructure, the optimization of order
entry protocol, and upgrades to the
trading servers and production network
in connection with the increased order
flow seen in 2020 and 2021 and
expected in 2022.21
The Exchange notes that a material
portion of its total overall expense is
allocated to the provision of access
services (including connectivity for all
BOX Participants and ports).22 The
Exchange believes this is reasonable and
in line, as BOX operates a technologybased business that differentiates itself
from its competitors based on its trading
systems that rely on access to a highperformance network, resulting in
significant technology expense. The
majority of BOX’s expense is
technology-based. As such, the
Exchange believes it is reasonable to
allocate a portion of its total overall
expense towards the proposed
electronic Market Maker Trading Permit
fees.
Accordingly, based on the facts and
circumstances presented above, the
Exchange believes that the proposed
electronic Market Maker Trading Permit
Fees will not result in excessive pricing
or supra-competitive profit. To
illustrate, beginning January 1, 2022, on
a fully annualized basis, BOX projects
that its annualized revenue associated
with the proposed electronic Market
Maker Trading Permit Fees would be
approximately $1.23 in 2022 based on a
recent billing cycle. As noted above,
BOX projects that its annualized
expense for providing the access
services to electronic Market Makers
would be approximately $1.62 million
in 2022. Accordingly, on a fullyannualized basis, the Exchange believes
its total projected revenue from the
proposed electronic Market Maker
Trading Permit fees will not result in
any profit for BOX, rather the projected
revenue will only recoup a portion of
the 2022 expense for providing access
services to electronic Market Makers
(approximately $1.23 million revenue
minus approximately $1.62 million in
expense = approximately $388,000 loss
21 As
discussed above, the costs of these projects
are included in the total direct expenses for access
services, of which only a portion were allocated to
the direct expenses associated with providing
access services to Market Makers.
22 No expenses related to connectivity or ports
were included in BOX’s overall expense calculation
for purposes of this proposal.
PO 00000
Frm 00106
Fmt 4703
Sfmt 4703
in 2022).23 The Exchange notes that the
fee charged to each Market Maker for
electronic Trading Permits may vary
from month to month depending on the
number of classes in which the Market
Maker was appointed to quote on any
given day within the calendar month.
As such, the revenue projection is not
a static number, with monthly Trading
Permit fees likely to fluctuate month to
month.
For the avoidance of doubt, none of
the expenses included herein relating to
providing access services to electronic
Market Makers relate to the provision of
any other services offered by BOX.
Stated differently, no expense amount
on BOX was allocated more than once.
The Exchange notes that, with respect to
the BOX expenses included herein,
those expenses only cover the BOX
Options Market; expenses associated
with the Exchange, BOX Exchange LLC,
are accounted for separately and are not
included within the scope of this filing.
The Exchange believes it is
reasonable, equitable and not unfairly
discriminatory to allocate the respective
figures of each expense category
described above towards the total cost to
BOX of operating and supporting the
network, including providing access
services to electronic Market Makers
because BOX performed a line-by-line
item analysis of all the expenses of
BOX, and has determined the expenses
that directly relate to providing Market
Makers access to BOX. Further, the
Exchange notes that, without the
specific direct and indirect items listed
above, BOX would not be able to
provide the access services to its Market
Makers. Each of these expense items,
including physical hardware, software,
employee compensation and benefits,
occupancy costs, and the depreciation
and amortization of equipment, have
been identified through a line-by-line
item analysis to be integral to providing
access services to its Market Makers.
The proposed fees are intended to
recover BOX’s costs of providing Market
Makers access to the BOX network.
Accordingly, the Exchange believes that
the proposed electronic Market Maker
Trading Permit fees are fair and
reasonable because they do not result in
excessive pricing or supra-competitive
profit, when comparing the actual costs
to BOX versus the projected annual
23 The Exchange notes that other exchanges that
recently amended access fees resulted in a 24% and
10% profit margin, respectively. See Securities
Exchange Act Release Nos. 93555 (November 10,
2021), 86 FR 64254 (November 17, 2021) (SR–
PEARL–2021–54) and 91033 (February 1, 2021), 86
FR 8455 (February 5, 2021) (SR–EMERALD–2021–
03). The Exchange notes that similar access fees are
currently charged at these exchanges today.
E:\FR\FM\23FEN1.SGM
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Federal Register / Vol. 87, No. 36 / Wednesday, February 23, 2022 / Notices
revenue from the proposed electronic
Market Maker Trading Permit fees.
The Exchange believes that the
proposed electronic Market Maker
Trading Permit fees are reasonable,
equitable, and not unfairly
discriminatory because they are lower
than comparable fees at other competing
options exchanges.24 The proposed fees
are fair and equitable and not
unreasonably discriminatory because
they apply equally to all Market Makers
and access to BOX is offered on terms
that are not unfairly discriminatory.
BOX designed the fee rates in order to
provide objective criteria for Market
Makers of different sizes and business
models that best matches their quoting
activity on BOX. BOX believes that the
proposed fee rates and criteria provide
an objective and flexible framework that
will encourage Market Makers to be
appointed and quote in option classes
while also equitably allocating the fees
in a reasonable manner amongst Market
Maker appointments to account for
quoting and trading activity.25
The Exchange notes that it operates in
a highly competitive market in which
market participants can readily favor
competing venues if they deem fee
levels at a particular venue to be
excessive. In such an environment, BOX
must continually adjust its fees for
services and products, in addition to
order flow, to remain competitive with
other exchanges. BOX believes that the
proposed changes reflect this
competitive environment.
Finally, the Exchange notes it is not
aware of any reason why Market Makers
could not simply drop their access to an
exchange (or not initially access an
exchange) if an exchange were to
establish prices for its non-transaction
fees that, in the determination of such
Market Maker, did not make business or
economic sense for such Market Maker
to access such exchange. No options
market participant—including Market
Makers—are required by rule,
regulation, or competitive forces to be a
Participant of the Exchange. As
evidence of the fact that market
participants can and do drop their
access to exchanges based on nontransaction fee pricing, R2G Services
LLC (‘‘R2G’’) filed a comment letter after
BOX’s proposed rule changes to
khammond on DSKJM1Z7X2PROD with NOTICES
24 See
supra note 5.
to filing this proposal, the Exchange notes
that BOX Market Makers were made aware of the
proposed tier structure and fee change. BOX
received feedback from these Market Makers and
adjusted the fees accordingly based on their
feedback. Market Makers are not required to quote
on every options exchange. BOX Market Makers
choose to quote and transact business on BOX
because BOX is providing increased trading
opportunities for these firms.
25 Prior
VerDate Sep<11>2014
18:04 Feb 22, 2022
Jkt 256001
increase its connectivity fees (SR–BOX–
2018–24, SR–BOX–2018–37, and SR–
BOX–2019–04). The R2G Letter stated,
‘‘[w]hen BOX instituted a $10,000/
month price increase for connectivity;
we had no choice but to terminate
connectivity into them as well as
terminate our market data relationship.
The cost benefit analysis just didn’t
make any sense for us at those new
levels.’’ Accordingly, this example
shows that if an exchange sets a certain
fee for connectivity and/or other nontransaction fees for its relevant
marketplace that are too high or deemed
unreasonable by such market
participant, market participants can
choose to drop their access to such
exchange if they so choose.
B. Self-Regulatory Organization’s
Statement on Burden on Competition
The Exchange does not believe that
the proposed rule change will impose
any burden on competition not
necessary or appropriate in furtherance
of the purposes of the Act.
Intra-Market Competition
The Exchange believes that the
proposed electronic Market Maker
Trading Permit fees do not place certain
market participants at a relative
disadvantage to other market
participants because the proposed fees
do not favor certain categories of market
participants in a manner that would
impose a burden on competition; rather,
the fee rates are designed in order to
provide objective criteria for Market
Makers of different sizes and business
models that best matches their quoting
activity on BOX. Further, the Exchange
believes that the proposed electronic
Market Maker Trading Permit fees will
not impose a burden on intramarket
competition because, when these fees
are viewed in the context of the overall
activity on BOX, Market Makers: (1)
Consume the most bandwidth and
resources of the network; (2) transact the
vast majority of the volume on BOX;
and (3) require the high touch network
support services provided by BOX and
its staff, including more costly network
monitoring, reporting and support
services, resulting in a much higher cost
to BOX. The Exchange notes that the
majority of customer demand comes
from Market Makers, whose transactions
make up a majority of the volume on
BOX. Further, as discussed herein, other
Participant types (Broker Dealers,
Professional Customers, and Public
Customers) take up significantly less
BOX resources and costs. As such, the
Exchange does not believe charging
electronic Market Makers higher
Trading Permit fees than other
PO 00000
Frm 00107
Fmt 4703
Sfmt 4703
10273
Participant types will impose a burden
on intramarket competition.
The Exchange believes that the tiered
structure of the proposed electronic
Market Maker Trading Permit fees will
not impose a burden on intramarket
competition because the tiered structure
takes into account the number of classes
quoted by each individual Market
Maker. As discussed herein, the BOX
system requires increased performance
and capacity in order to provide the
opportunity for each Market Maker to
quote in a higher number of options
classes on BOX. Specifically, the more
classes that are actively quoted on BOX
by a Market Maker requires increased
memory for record retention, increased
bandwidth for optimized performance,
increased functionalities on each
application layer, and increased
optimization with regard to surveillance
and monitoring of such classes quoted.
As such, basing the Market Maker
Trading Permit fee on the greatest
number of classes quoted in on any
given day in a calendar month is
reasonable and appropriate when taking
into account how the increased number
of quoted classes directly impact the
costs and resources for BOX.
Inter-Market Competition
The Exchange believes the proposed
Market Maker Fees do not place an
undue burden on competition on other
SROs that is not necessary or
appropriate. In particular, options
market participants are not forced to
become participants of all options
exchanges. The Exchange notes that it
has far less Participants as compared to
the much greater number of participants
at other options exchanges. There are a
number of large market makers and
broker-dealers that are participants of
other options exchange but not
Participants of BOX. The Exchange is
also unaware of any assertion that its
existing fee levels or the proposed
electronic Market Maker Fees would
somehow unduly impair its competition
with other options exchanges. To the
contrary, if the fees charged are deemed
too high by market participants, they
can simply discontinue their
membership with BOX.
The Exchange operates in a highly
competitive market in which market
participants can readily favor one of the
15 competing options venues if they
deem fee levels at a particular venue to
be excessive. Based on publiclyavailable information, and excluding
index-based options, no single exchange
has more than 16% market share.
Therefore, no exchange possesses
significant pricing power in the
execution of multiply-listed equity and
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Federal Register / Vol. 87, No. 36 / Wednesday, February 23, 2022 / Notices
ETF options order flow. For the month
of November 2021, BOX had a market
share of approximately 5.58% of
executed multiply-listed equity
options 26 and BOX believes that the
ever-shifting market share among
exchanges from month to month
demonstrates that market participants
can discontinue or reduce use of certain
categories of products, or shift order
flow, in response to fee changes. In such
an environment, BOX must continually
adjust its fees and fee waivers to remain
competitive with other exchanges and to
attract order flow to the facility.
Finally, the Exchange notes that it
operates in a highly competitive market
in which market participants can
readily favor competing venues. In such
an environment, the Exchange must
continually review, and consider
adjusting, its fees and credits to remain
competitive with other exchanges. For
the reasons described above, the
Exchange believes that the proposed
rule change reflects this competitive
environment.
C. Self-Regulatory Organization’s
Statement on Comments on the
Proposed Rule Change Received From
Members, Participants, or Others
No written comments were either
solicited or received.
khammond on DSKJM1Z7X2PROD with NOTICES
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) of the Exchange Act 27
and Rule 19b–4(f)(2) thereunder,28
because it establishes or changes a due,
or fee.
At any time within 60 days of the
filing of the proposed rule change, the
Commission summarily may
temporarily suspend the rule change if
it appears to the Commission that the
action is necessary or appropriate in the
public interest, for the protection of
investors, or would otherwise further
the purposes of the Act. If the
Commission takes such action, the
Commission shall institute proceedings
to determine whether the proposed rule
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
26 See Options Volume by Exchange available at
https://www.theocc.com/Market-Data/Market-DataReports/Volume-and-Open-Interest/Volume-byExchange.
27 15 U.S.C. 78s(b)(3)(A)(ii).
28 17 CFR 240.19b–4(f)(2).
VerDate Sep<11>2014
18:04 Feb 22, 2022
Jkt 256001
change is consistent with the Act.
Comments may be submitted by any of
the following methods:
Electronic Comments
• Use the Commission’s internet
comment form (https://www.sec.gov/
rules/sro.shtml); or
• Send an email to rule-comments@
sec.gov. Please include File Number SR–
BOX–2022–07 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–BOX–2022–07. 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 such
filing also will be available for
inspection and copying at the principal
office of the Exchange. All comments
received will be posted without change.
Persons submitting comments are
cautioned that we do not redact or edit
personal identifying information from
comment submissions. You should
submit only information that you wish
to make available publicly. All
submissions should refer to File
Number SR–BOX–2022–07, and should
be submitted on or before March 16,
2022.
For the Commission, by the Division of
Trading and Markets, pursuant to delegated
authority.29
J. Matthew DeLesDernier,
Assistant Secretary.
[FR Doc. 2022–03763 Filed 2–22–22; 8:45 am]
BILLING CODE 8011–01–P
29 17
PO 00000
CFR 200.30–3(a)(12).
Frm 00108
Fmt 4703
Sfmt 4703
SELECTIVE SERVICE SYSTEM
Form To Be Submitted to the Office of
Management and Budget for Extension
of Clearance
Selective Service System.
Notice.
AGENCY:
ACTION:
The following form will be submitted
to the Office of Management and Budget
(OMB) for extension of clearance
without change in compliance with the
Paperwork Reduction Act (44 U.S.C.
chapter 35):
SSS Form 750
Title: Request for a Medical Exception
to the COVID–19 Vaccination
Requirement.
Summary: Per Executive Order 14043,
Requiring Coronavirus Disease 2019
Vaccination for Federal Employees, and
guidance from the Safer Federal
Workforce Task Force, the Selective
Service System (SSS) created and
received emergency clearance for the
Agency’s Request for a Medical
Exception to the COVID–19 Vaccination
Requirement form. This form is for SSS
employees requesting a medical
exception to the vaccine requirements.
The current form is only valid for six
months. In anticipation of future
requests from its employees, the SSS is
seeking an extension of this currently
approved collection.
Respondents: SSS employees and
their personal medical providers.
Frequency: Completion is a one-time
occurrence.
Burden: A burden of 30 minutes or
less on the individual respondent.
SUPPLEMENTARY INFORMATION: The
vaccination requirement issued
pursuant to E.O. 14043, is currently the
subject of a nationwide injunction.
While that injunction remains in place,
Selective Service System will not
process requests for a medical exception
from the COVID–19 vaccination
requirement pursuant to E.O. 14043.
Selective Service System will also not
request the submission of any medical
information related to a request for an
exception from the vaccination
requirement pursuant to E.O. 14043
while the injunction remains in place.
But Selective Service System may
nevertheless receive information
regarding a medical exception. That is
because, if Selective Service System
were to receive a request for an
exception from the COVID–19
vaccination requirement pursuant to
E.O. 14043 during the pendency of the
injunction, Selective Service System
will accept the request, hold it in
abeyance, and notify the employee who
E:\FR\FM\23FEN1.SGM
23FEN1
Agencies
[Federal Register Volume 87, Number 36 (Wednesday, February 23, 2022)]
[Notices]
[Pages 10268-10274]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2022-03763]
-----------------------------------------------------------------------
SECURITIES AND EXCHANGE COMMISSION
[Release No. 34-94264; File No. SR-BOX-2022-07]
Self-Regulatory Organizations; BOX Exchange LLC; Notice of Filing
and Immediate Effectiveness of a Proposed Rule Change To Amend the Fee
Schedule on the BOX Options Market LLC Facility To Adopt Electronic
Market Maker Trading Permit Fees
February 16, 2022.
Pursuant to Section 19(b)(1) of the Securities Exchange Act of 1934
(``Act''),\1\ and Rule 19b-4 thereunder,\2\ notice is hereby given that
on February 1, 2022, BOX Exchange LLC (``Exchange'') filed with the
Securities and Exchange Commission (``Commission'') the proposed rule
change as described in Items I, II, and III below, which Items have
been prepared by the Exchange. The Exchange filed the proposed rule
change pursuant to Section 19(b)(3)(A)(ii) of the Act,\3\ and Rule 19b-
4(f)(2) thereunder,\4\ which renders the proposal effective upon filing
with the Commission. The Commission is publishing this notice to
solicit comments on the proposed rule change from interested persons.
---------------------------------------------------------------------------
\1\ 15 U.S.C. 78s(b)(1).
\2\ 17 CFR 240.19b-4.
\3\ 15 U.S.C. 78s(b)(3)(A)(ii).
\4\ 17 CFR 240.19b-4(f)(2).
---------------------------------------------------------------------------
I. Self-Regulatory Organization's Statement of the Terms of the
Substance of the Proposed Rule Change
The Exchange is filing with the Securities and Exchange Commission
(``Commission'') a proposed rule change to amend the Fee Schedule to on
the BOX Options Market LLC (``BOX'') options facility. The text of the
proposed rule change is available from the principal office of the
Exchange, at the Commission's Public Reference Room and also on the
Exchange's internet website at https://boxexchange.com.
II. Self-Regulatory Organization's Statement of the Purpose of, and
Statutory Basis for, the Proposed Rule Change
In its filing with the Commission, the Exchange included statements
concerning the purpose of and basis for the proposed rule change and
discussed any comments it received on the proposed rule change. The
text of these statements may be examined at the places specified in
Item IV below. The Exchange has prepared summaries, set forth in
Sections A, B, and C below, of the most significant aspects of such
statements.
A. Self-Regulatory Organization's Statement of the Purpose of, and
Statutory Basis for, the Proposed Rule Change
1. Purpose
The Exchange proposes to amend the Fee Schedule to establish a new
monthly Participant Fee. Specifically, the Exchange proposes to adopt
electronic Market Maker Trading Permit Fees as follows: (i) $4,000 per
month for Market Maker Appointments in up to and including 10 classes;
(ii) $6,000 per month for Market Maker Appointments in up to and
including 40 classes; (iii) $8,000 per month for Market Maker
Appointments in up to and including 100 classes; and (iv) $10,000 per
month for Market Maker Appointments for over 100 classes. For the
calculation of the monthly electronic Market Maker Trading Permit fees,
the number of classes is defined as the greatest number of classes the
Market Maker was appointed to quote in on any given day within the
calendar month. The Exchange notes that the proposed electronic Market
Maker Trading Permit fees are lower than fees assessed at competing
options exchanges.\5\ The Exchange notes the current monthly
Participant Fee of $1,500 per month will not apply to electronic Market
Makers. Under this proposal, electronic Market Makers will pay the
applicable monthly electronic Market Maker Trading Permit fee only. All
other electronic Participants \6\ will continue to pay the monthly
Participant Fee in Section VIII.B of the BOX Fee Schedule.
---------------------------------------------------------------------------
\5\ See NYSE Arca, Inc. (``NYSEArca'') Fee Schedule (assessing
Market Makers $6,000 for up to 175 option issues, an additional
$5,000 for up to 350 option issues, an additional $4,000 for up to
1,000 option issues, and an additional $3,000 for all option issues
traded on the Exchange). The Exchange notes that these fees are
compounded, so Market Makers who trade in all option issues on the
exchange are assessed $18,000 per month. See also Miami
International Securities Exchange, LLC (``MIAX'') Fee Schedule
(assessing Market Makers $7,000 for up to 10 classes or up to 20% of
classes by volume, $12,000 for up to 40 classes or up to 35% of
classes by volume, $17,000 for up to 100 classes or up to 50% or
classes by volume, and $22,000 for over 100 classes or over 50% of
classes by volume up to all classes listed on MIAX).
\6\ The Exchange notes the following Participant types on BOX:
Public Customers, Professional Customers, Broker Dealers, and Market
Makers. Pursuant to this proposal, Public Customers, Professional
Customers, and Broker Dealers will continue to be charged the $1,500
Participant Fee detailed in Section VIII.B of the BOX Fee Schedule.
---------------------------------------------------------------------------
The Exchange believes that it is important to demonstrate that
these fees are based on its costs and reasonable business needs that
have grown substantially since the Exchange implemented the Participant
Fee for all BOX Participants in 2016. The Exchange also believes the
proposed electronic Market Maker Trading Permit Fees will allow BOX to
offset expenses that BOX has and will incur, and that BOX is providing
sufficient transparency (as described below) into how BOX determined to
charge such fees. Accordingly, BOX is providing an analysis of its
revenues, costs, and profitability associated with the proposed
electronic Market Maker Trading Permit Fees. This analysis includes
information regarding its methodology for determining the costs and
revenues associated with providing access services to electronic Market
Makers.\7\
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\7\ BOX notes that the structure of BOX is different from other
options exchanges in the industry. Specifically, BOX Exchange LLC
(``Exchange'') is a fully separate legal entity from BOX Options
Market LLC, the equity options facility of the Exchange. All of the
Exchange's expenses support the regulatory function as the Exchange.
Further, the Exchange fulfills the regulatory functions and
responsibilities as a national securities exchange registered with
the SEC under Section 6 of the Securities Exchange Act of 1934, and
oversees the BOX Options Market. Exchange expenses are solely
regulatory in nature because, due to the unique structure between
the Exchange and the BOX Options Market facility, the Exchange
expenses are separate from the BOX Options Market facility expenses
and there can be no commingling of the funds. As such, the expenses
discussed herein are solely those of BOX Options Market and not the
Exchange.
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[[Page 10269]]
In order to determine BOX's costs to provide the access services to
electronic Market Makers, BOX conducted an extensive cost review in
which BOX analyzed all expenses in BOX's general expense ledger to
determine whether each such expense relates to Market Maker access
services, and, if such expense did so relate, what portion (or
percentage) of such expense actually supports the access services. The
sum of all such portions of expenses represents the total cost for BOX
to provide the access services to electronic Market Makers. For the
avoidance of doubt, no expense amount was allocated twice.
In order to determine BOX's projected revenues associated with the
proposed Market Maker Permit Fees, BOX analyzed the number of
Participants currently utilizing the Trading Permits, and, utilizing a
recent monthly billing cycle representative of 2021 monthly revenue,
extrapolated annualized revenue on a going-forward basis utilizing the
proposed Market Maker Permit Fees discussed herein. BOX does not
believe it is possible or appropriate to factor into its analysis
future revenue growth or decline into its projections for purposes of
these calculations, given the uncertainty of such projections due to
the continually changing access needs of market participants and
general market participant behavior. BOX does, however, believe that it
is reasonable and appropriate to factor into its analysis future cost
growth or decline for expenses related to providing access services
associated with the proposed electronic Market Maker Trading Permit
fees. The Exchange is presenting its revenue and expense associated
with providing access services to electronic Market Makers in this
filing in a manner that is consistent with how BOX presents its revenue
and expense in its Audited Financial Statements. BOX's most recent
Audited Financial Statement is for 2020. However, since the revenues
and expenses associated with the proposed electronic Market Maker
Trading Permit fees were not in place in 2020, the Exchange believes
its 2020 Audited Financial Statement is not representative of its
current total annualized revenue and costs associated with the proposed
electronic Market Maker Trading Permit fees. Accordingly, BOX believes
it is more appropriate to analyze the proposed electronic Market Maker
Trading Permit fees utilizing its 2021 revenue and costs, as described
herein, which utilize the same presentation methodology as set forth in
BOX's previously-issued Audited Financial Statements.\8\ Based on the
analysis discussed herein, the Exchange believes that the proposed
electronic Market Maker Trading Permit fees are fair and reasonable
because they will not result in excessive pricing or supra-competitive
profit when comparing BOX's total annual expense associated with
providing the access services to electronic Market Makers versus the
total projected annual revenue BOX will collect for providing those
services.
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\8\ For example, BOX previously noted that direct and indirect
expenses described in a prior fee filing were contained in the
following line items in BOX's 2018 Form 1: Technical and
Operational, External IT Services, Data Processing & Communication,
Depreciation, Personnel, Amortization, Rent of facilities, Office-
related, Professional Services, Other. See Securities Exchange Act
Release No. 88161 (February 11, 2020), 85 FR 8968 (February 18,
2020) (SR-BOX-2020-03). Accordingly, the direct and indirect
expenses described in this filing is attributed to the same line
items for BOX's 2021 Form 1 Amendment, which will be filed in 2022.
The Exchange notes that another exchange has utilized a similar
presentation methodology in a recent filing and such filing was
noticed and not suspended by the Commission when the exchange
adopted Trading Permit fees. See Securities Exchange Act Release
Nos. 91033 (February 1, 2021), 86 FR 8455 (February 5, 2021) (SR-
EMERALD-2021-03). See also SR-PEARL-2021-59.
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2. Statutory Basis
The Exchange believes that the proposal is consistent with the
requirements of Section 6(b) of the Act, in general, and Section
6(b)(4) and 6(b)(5) of the Act,\9\ in particular, in that it provides
for the equitable allocation of reasonable dues, fees, and other
charges among BOX Participants and other persons using its facilities
and does not unfairly discriminate between customers, issuers, brokers
or dealers.
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\9\ 15 U.S.C. 78f(b)(4) and (5).
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The Exchange established the current $1,500 monthly Participant Fee
in October 2016 for all Participants regardless of account type.\10\ At
the time BOX established this Participant Fee, BOX's market share was
2.45% and the total volume of options contracts traded on BOX in
September 2016 was 8,737,707. The Exchange established this lower (when
compared to other options exchanges in the industry) Participant fee in
order to encourage market participants to become Participants of BOX
and register as BOX Market Makers. Since 2016, BOX has grown its market
share and membership base significantly. Specifically, in September
2021, BOX's market share was 5.19% and the total volume of option
contracts traded on BOX in September 2021 was 42,098,287. BOX recently
reviewed its current Participant Fees detailed in Section VIII of the
BOX Fee Schedule. In its review, BOX determined that Participant fees
would need to be raised, and a flat fee for all Participant types is no
longer appropriate. Specifically, BOX found that electronic Market
Makers had been benefitting from a flat Participant Fee rate while (1)
consuming the most bandwidth and resources of the network; (2)
transacting the vast majority of the volume on BOX; and (3) requiring
the high touch network support services provided by BOX and its staff.
The Exchange notes that Broker Dealers, Professional Customers, and
Public Customers take up significantly less BOX resources and costs as
discussed further below. In its review, BOX found that since 2016,
Market Makers have had the luxury of paying the same Participant Fees
as other account types despite Market Makers consuming the most
resources on the BOX system and contributing to increased costs for
BOX. As such, the Exchange proposes to establish higher, separate
electronic Trading Permit fees for Market Makers that are more aligned
with the costs and resources that Market Makers continue to place on
BOX and its systems. Additionally, the Exchange believes that the
proposed change will better align BOX Participant Fees with rates
charged by competing options exchanges in the industry for similar
Trading Permits for such market participants. As such, BOX believes the
proposed electronic Market Maker Trading Permit fees are reasonable in
that they are lower than comparable fees at other options
exchanges.\11\ Further, the Exchange believes that the proposal is
reasonably designed to continue to compete with other options exchanges
by incentivizing market participants to register as Market Makers on
BOX in a manner than enables BOX to improve its overall competitiveness
and strengthen market quality for all market participants.
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\10\ See Securities Exchange Act Release No. 79038 (October 4,
2016), 81 FR 70214 (October 11, 2016) (SR-BOX-2016-47).
\11\ See supra note 5.
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The proposed fees are equitable and not unfairly discriminatory as
the fees apply equally to all electronic Market Makers. As such, all
similarly situated
[[Page 10270]]
electronic Market Makers, with the same number of appointments, will be
subject to the same electronic Market Maker Trading Permit fee. The
Exchange also believes that assessing lower fees to electronic Market
Makers that quote in fewer classes is reasonable and appropriate as it
will allow BOX to retain and attract smaller-scale electronic Market
Makers, which are an integral component of the options industry
marketplace. Since these smaller electronic Market Makers utilize less
bandwidth and capacity on the BOX network due to the lower number of
quoted classes, the Exchange believes it is reasonable and appropriate
to offer such electronic Market Makers a lower fee. The Exchange also
notes that other options exchanges assess permit fees at different
rates, based upon a member's participation on that exchange,\12\ and,
as such, this concept is not new or novel.
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\12\ See e.g., NYSE Arca Options Fees and Charges, p.1
(assessing market makers $6,000 for up to 175 option issues, an
additional $5,000 for up to 350 option issues, an additional $4,000
for up to 1,000 option issues, an additional $3,000 for all option
issues on the exchange, and an additional $1,000 for the fifth
trading permit and for each trading permit thereafter); NYSE
American Options Fee Schedule, p. 23 (assessing market makers $8,000
for up to 60 plus the bottom 45% of option issues, an additional
$6,000 for up to 150 plus the bottom 45% of option issues, an
additional $5,000 for up to 500 plus the bottom 45% of option
issues, and additional $4,000 for up to 1,100 plus the bottom 45% of
option issues, an additional $3,000 for all issues traded on the
exchange, and an additional $2,000 for 6th to 9th ATPs; plus an
addition fee for premium products). See also Cboe BZX Options
Exchange (``BZX Options'') assesses the Participant Fee, which is a
membership fee, according to a member's ADV. See Cboe BZX Options
Exchange Fee Schedule under ``Membership Fees''. The Participant Fee
is $500 if the member ADV is less than 5,000 contracts and $1,000 if
the member ADV is equal to or greater than 5,000 contracts.
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Further, the Exchange believes the proposed tiered structure of the
electronic Market Maker Trading Permit fees is reasonable and
appropriate. Under the proposal, electronic Market Makers will be
charged monthly fees based on the greatest number of classes quoted on
any given trading day in a calendar month. Under the proposed fee
structure, the fees increase as the number of classes quoted by a
Market Maker increases. The Exchange believes this structure is
reasonable because the BOX system requires increased performance and
capacity in order to provide the opportunity for Market Makers to quote
in a higher number of options classes on BOX. Specifically, the more
classes that are actively quoted on BOX by a Market Maker requires
increased memory for record retention, increased bandwidth for
optimized performance, increased functionalities on each application
layer, and increased optimization with regard to surveillance and
monitoring of such classes quoted. As such, basing the Market Maker
Trading Permit fee on the greatest number of classes quoted in on any
given day in a calendar month is reasonable and appropriate when taking
into account how the increased number of quoted classes directly impact
the costs and resources for BOX. Further, the Exchange believes that
the proposed tiered structure is equitable and not unfairly
discriminatory as all similarly situated Market Makers will be charged
the same fee. The Exchange notes that another options exchange in the
industry calculates Market Maker Permit Fees in the same manner.\13\
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\13\ See Nasdaq Phlx LLC (``Phlx'') Fee Schedule, Section 8(B)
detailing the tiered structure for Streaming Quote Trader (``SQT'')
Fees.
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The Exchange believes that its proposal is consistent with Section
6(b)(4) of the Act because the proposed fees will not result in
excessive or supra-competitive profit. The costs associated with
providing access to Participants and non-Participants are extensive,
have increased year-over-year, and are projected to increase year-over-
year in the future. In particular, BOX has experienced a material
increase in its costs in the last several years, in connection with
projects to make its network environment more transparent and
deterministic, based on customer demand. In order to provide this for
BOX Participants and non-Participants, in 2021 alone BOX has made
significant capital expenditures (``CapEx''), incurred increased
ongoing operational expenditures (``OpEx''), and undertaken additional
engineering research and development (``R&D'') in the following areas:
(i) Implementing an improved network design to ensure equalized cabling
between Participants; (ii) introducing designated gateways for BOX
Market Makers; and (iii) optimization of network and systems to better
handle the increased quote and order flow seen through 2020 and 2021.
The CapEx in 2021 was approximately $720,000 for BOX. This expense does
not include the significant increase in employee time and other
resources necessary to maintain and service this network, which expense
is captured in the operating expense discussed below. These projects,
which resulted in a material increase in expense to BOX, are, among
other things, intended to enhance the overall trading experience at
BOX, making it a venue that market participants want to access.
Given these increased costs, BOX determined that access fees must
be increased and believes the proposed electronic Market Maker Trading
Permit fees are equitably allocated between other BOX Participants and
Market Makers, when these fees are viewed in the context of the overall
activity on BOX, as Market Makers: (1) Consume the most bandwidth and
resources of the network; (2) transact the vast majority of the volume
on BOX; and (3) require the high touch network support services
provided by BOX and its staff, including more costly network
monitoring, reporting and support services, resulting in a much higher
cost to BOX. The proposed electronic Market Maker Trading Permit fees
are equitably allocated in this regard because the majority of customer
demand comes from Market Makers, whose transactions make up a majority
of the volume on BOX. Accordingly, the Exchange believes it is
reasonable, equitably allocated, and not unfairly discriminatory to
recoup a portion of its costs associated with providing electronic
Market Makers access services. BOX believes that the proposed
electronic Market Maker Trading Permit fees are equitably allocated
between other BOX Participants and Market Makers, as Market Makers
consume the most bandwidth and resources of the network because only
Market Makers submit quotes on BOX. Specifically, BOX notes that these
market participants account for greater than 99% of message traffic
over the network, while other non-Market Maker market participants
account for less than 1% of message traffic over the network. In BOX's
experience, most BOX Participants do not have a business need for the
high performance network solutions required by Market Makers. BOX's
high performance network solutions and supporting infrastructure
(including employee support), provides unparalleled system throughput
and the capacity to handle approximately 3 million quote messages per
second. On an average day, BOX handles over 1.6 billion total messages.
Of those, Market Makers generate approximately 1.59 billion messages,
and other BOX Participants generate 9.5 million messages. However, in
order to achieve consistent, premium network performance, BOX must
build out and maintain a network that has the capacity to handle the
message rate requirements of its most heavy network consumers. These
billions of messages per day consume BOX's resources and significantly
contribute to the overall expense for storage and network transport
capabilities. Given this difference in network utilization rate, the
Exchange believes that it is
[[Page 10271]]
reasonable, equitable, and not unfairly discriminatory that Market
Makers pay for a higher portion of the access costs (compared to other
Participant types) designed to be recovered via the proposed electronic
Market Maker Trading Permit fees.
In order to provide more detail and to quantify BOX's costs
associated with providing access to the BOX network in general, BOX
notes that there are material costs associated with providing the
infrastructure and headcount to fully-support access to BOX. BOX incurs
technology expenses related to establishing and maintaining Information
Security services, enhanced network monitoring and customer reporting
associated with its network technology. While some of the expense is
fixed, much of the expense is not fixed, and thus increases as the
expenses associated with access services for electronic Market Makers
increase. For example, new Market Makers to BOX may require the
purchase of additional hardware to support those Participants as well
as enhanced monitoring and reporting of customer performance that BOX
provides. Further, as the total number of Market Makers increase, BOX
may need to increase their data center footprint and consume more
power, resulting in increased costs charged by their third-party data
center provider. Accordingly, the cost to BOX to provide access to its
Participants is not fixed. BOX believes the proposed electronic Market
Maker Trading Permit fees are reasonable in order to offset a portion
of the costs to BOX associated with providing access to Market Makers
to its network infrastructure.
BOX Market Makers have and continue to account for the vast
majority of network capacity utilization and trading activity on BOX
and thus account for the majority of expenses placed on BOX systems.
Specifically, in 2017 (the year after BOX established the flat
Participant Fee), the total expense for providing access services for
all Participant types was approximately $819,000. Broken down further,
in 2017, the total expense for providing access services to non-Market
Maker Participants was approximately $117,000 and the total expense for
providing access services to Market Makers was approximately $702,000.
The Exchange has seen this disparity in access expenses between non-
Market Makers and Market Makers year after year since the establishment
of the Participant Fee in 2016. In 2018, the total expense for
providing access services for all Participant types was approximately
$763,000--approximately $109,000 allocated to non-Market Maker expenses
and approximately $654,000 allocated to Market Maker expenses. In 2019,
the total expense for providing access services for all Participant
types was approximately $722,000--approximately $103,000 allocated to
non-Market Maker expenses and approximately $619,000 allocated to
Market Makers. In 2020, the total expense for providing access services
for all Participant types was approximately $1.1 million--approximately
$161,000 allocated to non-Market Maker expenses and approximately
$971,000 allocated to Market Makers. Further, as discussed herein, BOX
experienced a material increase in costs in 2021 and projects a similar
material increase for 2022 due to projects to make its network
environment more transparent and deterministic, and increased order
flow seen throughout the industry. These increased costs are reflected
in the expenses related to providing access services to all BOX
Participants. Specifically, in 2021, the total expense for providing
access services for all Participant types was approximately $1.29
million--approximately $190,000 allocated to non-Market Maker expenses
and approximately $1.1 million allocated to Market Makers. Further, in
the projected expenses for 2022, the total projected expense for
providing access services for all Participant types is approximately
$1.89 million--approximately $270,000 allocated to non-Market Maker
expenses and $1.62 million allocated to Market Makers. As illustrated
by these access expenses year over year, it is clear that BOX Market
Makers account for the majority of expenses related to the provision of
access services for BOX Participants. Accordingly, BOX believes that it
is reasonable and appropriate to charge electronic Market Makers more
than other BOX Participants for electronic Trading Permits to access
the BOX network.
BOX believes that the proposed Market Maker Fees are fair and
reasonable because they will not result in excessive pricing or supra-
competitive profit, when comparing the total annual expense that BOX
projects to incur in connection with providing these access services
versus the total annual revenue that BOX projects it will collect in
connection with the associated electronic Market Maker Trading Permit
fees.
As discussed herein, BOX conducted an extensive cost review in
which BOX analyzed all expenses in BOX's general expense ledger to
determine whether each such expense relates to the access services for
electronic Market Makers, and, if such expense did so relate, what
portion (or percentage) of such expense actually supports those
services, and thus bears a relationship that is, ``in nature and
closeness,'' directly related to those services. While BOX undertook
this review of its expenses from 2019 through 2021, it focused on the
2021 expenses as these are the most recent and clearly demonstrate why
BOX determined that access fees needed to be raised for certain
Participants. The sum of all such portions of expenses represents the
total cost to BOX to provide Market Makers access to the BOX network.
For 2021,\14\ the total annual expense for providing access
services to Market Makers was approximately $1.1 million. The $1.1
million in projected total annual expense is comprised of direct and
indirect expenses. For 2021, total direct expense, (which relates to
the network infrastructure, associated data center processing equipment
required to support various connections, network monitoring systems and
associated software required to support the access services for Market
Makers) was $770,749.\15\ It is important to note that BOX did not
allocate the entirety of its overall direct expense in 2021 to
providing access services for Market Makers. Specifically, the $770,749
direct expense is only a portion of the overall direct expenses for
access service incurred by BOX as overall direct expenses in 2021
totaled approximately $8.2 million.\16\ To reiterate, the Exchange did
not allocate all of the direct expenses toward the cost of providing
access services to Market Makers, only that portion which BOX
identified as being specifically mapped to providing the access
services to Market Makers, approximately 10% of the total direct
expense for access services. The Exchange believes this allocation is
reasonable because it represents BOX's actual cost to provide access
services to its Market Makers, and not any other service, as supported
by its cost review.
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\14\ BOX has not yet finalized its 2021 year end results.
\15\ The direct expenses detailed herein are contained in the
following line items: Technical and Operational, External IT
Services, Data Processing & Communication, and Depreciation.
\16\ This overall direct expense total includes all expenses
related to space rental, power usage, connections, etc., at the
Exchange's data centers, trading technology support, software and
hardware depreciation, and intermarket linkage and third party
market data connectivity fees.
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The indirect expense (which includes expenses related to employee
compensation and benefits for full-time
[[Page 10272]]
employees, legal expenses and other professional services, and office
space and rent and other miscellaneous expenses) that BOX allocates to
providing access services to electronic Market Makers in 2021 was
approximately $370,435.\17\ BOX notes that the overall indirect expense
in 2021 totaled approximately $18.5 million. To reiterate, the Exchange
did not allocate all of the indirect expenses incurred in 2021 toward
the cost of providing the access services to Market Makers.
Specifically, BOX allocated approximately 2% of the total indirect
expense incurred in 2021 to Market Maker access services. The Exchange
notes that it took a conservative approach with regard to the
allocation of indirect expenses related to providing access services to
Market Makers. As such, this may result in BOX under allocating an
expense to the provision of access services for Market Makers and such
expenses may actually be higher or increase above what BOX utilizes
within this proposal. The Exchange believes this allocation is
reasonable and appropriate when compared to other exchanges'
allocations of similar indirect costs.\18\
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\17\ The indirect expenses detailed herein are contained in the
following line items in the BOX 2021 Form 1: Personnel,
Amortization, Rent of facilities, Office-related, Professional
Services, Other expenses.
\18\ With regard to their proposed access fees, MIAX Emerald
allocated approximately 15% of the total employee compensation and
benefits expense, approximately 15% of the total depreciation and
amortization expense, and approximately 15% of the total occupancy
expense. MIAX Pearl allocated approximately 6% of the total
applicable employee compensation and benefits expense, approximately
5% of the total applicable depreciation and amortization expense,
and approximately 8% of the total applicable occupancy expense. As
such, BOX believes its conservative allocation percentage is
reasonable and appropriate.
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Further, BOX analyzed projected expenses for 2022 with regard to
providing access services to Market Makers. The projected total expense
for providing access services to Market Makers in 2022 is approximately
$1.6 million.\19\ BOX notes that direct expenses associated with
providing access services to Market Makers will increase 61%, while
indirect expenses associated with providing access services to Market
Makers are not projected to exceed 2021 costs.\20\ BOX expects
significant increases in costs for space rental, power usage,
connections, etc., at the Exchange's data centers and trading
technology support. These increased costs are attributed to projects
including, but not limited to redesign and migration to an equalized
cabling infrastructure, the optimization of order entry protocol, and
upgrades to the trading servers and production network in connection
with the increased order flow seen in 2020 and 2021 and expected in
2022.\21\
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\19\ The Exchange notes that these numbers are projections based
on BOX's projected 2022 budget expenditures. These costs are subject
to change depending on the nature of the project or service, however
BOX does not expect material changes to the projected expenses.
\20\ Expenses for 2022 are based off of BOX projected expenses
and budget. These expenses are subject to change.
\21\ As discussed above, the costs of these projects are
included in the total direct expenses for access services, of which
only a portion were allocated to the direct expenses associated with
providing access services to Market Makers.
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The Exchange notes that a material portion of its total overall
expense is allocated to the provision of access services (including
connectivity for all BOX Participants and ports).\22\ The Exchange
believes this is reasonable and in line, as BOX operates a technology-
based business that differentiates itself from its competitors based on
its trading systems that rely on access to a high-performance network,
resulting in significant technology expense. The majority of BOX's
expense is technology-based. As such, the Exchange believes it is
reasonable to allocate a portion of its total overall expense towards
the proposed electronic Market Maker Trading Permit fees.
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\22\ No expenses related to connectivity or ports were included
in BOX's overall expense calculation for purposes of this proposal.
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Accordingly, based on the facts and circumstances presented above,
the Exchange believes that the proposed electronic Market Maker Trading
Permit Fees will not result in excessive pricing or supra-competitive
profit. To illustrate, beginning January 1, 2022, on a fully annualized
basis, BOX projects that its annualized revenue associated with the
proposed electronic Market Maker Trading Permit Fees would be
approximately $1.23 in 2022 based on a recent billing cycle. As noted
above, BOX projects that its annualized expense for providing the
access services to electronic Market Makers would be approximately
$1.62 million in 2022. Accordingly, on a fully-annualized basis, the
Exchange believes its total projected revenue from the proposed
electronic Market Maker Trading Permit fees will not result in any
profit for BOX, rather the projected revenue will only recoup a portion
of the 2022 expense for providing access services to electronic Market
Makers (approximately $1.23 million revenue minus approximately $1.62
million in expense = approximately $388,000 loss in 2022).\23\ The
Exchange notes that the fee charged to each Market Maker for electronic
Trading Permits may vary from month to month depending on the number of
classes in which the Market Maker was appointed to quote on any given
day within the calendar month. As such, the revenue projection is not a
static number, with monthly Trading Permit fees likely to fluctuate
month to month.
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\23\ The Exchange notes that other exchanges that recently
amended access fees resulted in a 24% and 10% profit margin,
respectively. See Securities Exchange Act Release Nos. 93555
(November 10, 2021), 86 FR 64254 (November 17, 2021) (SR-PEARL-2021-
54) and 91033 (February 1, 2021), 86 FR 8455 (February 5, 2021) (SR-
EMERALD-2021-03). The Exchange notes that similar access fees are
currently charged at these exchanges today.
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For the avoidance of doubt, none of the expenses included herein
relating to providing access services to electronic Market Makers
relate to the provision of any other services offered by BOX. Stated
differently, no expense amount on BOX was allocated more than once. The
Exchange notes that, with respect to the BOX expenses included herein,
those expenses only cover the BOX Options Market; expenses associated
with the Exchange, BOX Exchange LLC, are accounted for separately and
are not included within the scope of this filing.
The Exchange believes it is reasonable, equitable and not unfairly
discriminatory to allocate the respective figures of each expense
category described above towards the total cost to BOX of operating and
supporting the network, including providing access services to
electronic Market Makers because BOX performed a line-by-line item
analysis of all the expenses of BOX, and has determined the expenses
that directly relate to providing Market Makers access to BOX. Further,
the Exchange notes that, without the specific direct and indirect items
listed above, BOX would not be able to provide the access services to
its Market Makers. Each of these expense items, including physical
hardware, software, employee compensation and benefits, occupancy
costs, and the depreciation and amortization of equipment, have been
identified through a line-by-line item analysis to be integral to
providing access services to its Market Makers. The proposed fees are
intended to recover BOX's costs of providing Market Makers access to
the BOX network. Accordingly, the Exchange believes that the proposed
electronic Market Maker Trading Permit fees are fair and reasonable
because they do not result in excessive pricing or supra-competitive
profit, when comparing the actual costs to BOX versus the projected
annual
[[Page 10273]]
revenue from the proposed electronic Market Maker Trading Permit fees.
The Exchange believes that the proposed electronic Market Maker
Trading Permit fees are reasonable, equitable, and not unfairly
discriminatory because they are lower than comparable fees at other
competing options exchanges.\24\ The proposed fees are fair and
equitable and not unreasonably discriminatory because they apply
equally to all Market Makers and access to BOX is offered on terms that
are not unfairly discriminatory. BOX designed the fee rates in order to
provide objective criteria for Market Makers of different sizes and
business models that best matches their quoting activity on BOX. BOX
believes that the proposed fee rates and criteria provide an objective
and flexible framework that will encourage Market Makers to be
appointed and quote in option classes while also equitably allocating
the fees in a reasonable manner amongst Market Maker appointments to
account for quoting and trading activity.\25\
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\24\ See supra note 5.
\25\ Prior to filing this proposal, the Exchange notes that BOX
Market Makers were made aware of the proposed tier structure and fee
change. BOX received feedback from these Market Makers and adjusted
the fees accordingly based on their feedback. Market Makers are not
required to quote on every options exchange. BOX Market Makers
choose to quote and transact business on BOX because BOX is
providing increased trading opportunities for these firms.
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The Exchange notes that it operates in a highly competitive market
in which market participants can readily favor competing venues if they
deem fee levels at a particular venue to be excessive. In such an
environment, BOX must continually adjust its fees for services and
products, in addition to order flow, to remain competitive with other
exchanges. BOX believes that the proposed changes reflect this
competitive environment.
Finally, the Exchange notes it is not aware of any reason why
Market Makers could not simply drop their access to an exchange (or not
initially access an exchange) if an exchange were to establish prices
for its non-transaction fees that, in the determination of such Market
Maker, did not make business or economic sense for such Market Maker to
access such exchange. No options market participant--including Market
Makers--are required by rule, regulation, or competitive forces to be a
Participant of the Exchange. As evidence of the fact that market
participants can and do drop their access to exchanges based on non-
transaction fee pricing, R2G Services LLC (``R2G'') filed a comment
letter after BOX's proposed rule changes to increase its connectivity
fees (SR-BOX-2018-24, SR-BOX-2018-37, and SR-BOX-2019-04). The R2G
Letter stated, ``[w]hen BOX instituted a $10,000/month price increase
for connectivity; we had no choice but to terminate connectivity into
them as well as terminate our market data relationship. The cost
benefit analysis just didn't make any sense for us at those new
levels.'' Accordingly, this example shows that if an exchange sets a
certain fee for connectivity and/or other non-transaction fees for its
relevant marketplace that are too high or deemed unreasonable by such
market participant, market participants can choose to drop their access
to such exchange if they so choose.
B. Self-Regulatory Organization's Statement on Burden on Competition
The Exchange does not believe that the proposed rule change will
impose any burden on competition not necessary or appropriate in
furtherance of the purposes of the Act.
Intra-Market Competition
The Exchange believes that the proposed electronic Market Maker
Trading Permit fees do not place certain market participants at a
relative disadvantage to other market participants because the proposed
fees do not favor certain categories of market participants in a manner
that would impose a burden on competition; rather, the fee rates are
designed in order to provide objective criteria for Market Makers of
different sizes and business models that best matches their quoting
activity on BOX. Further, the Exchange believes that the proposed
electronic Market Maker Trading Permit fees will not impose a burden on
intramarket competition because, when these fees are viewed in the
context of the overall activity on BOX, Market Makers: (1) Consume the
most bandwidth and resources of the network; (2) transact the vast
majority of the volume on BOX; and (3) require the high touch network
support services provided by BOX and its staff, including more costly
network monitoring, reporting and support services, resulting in a much
higher cost to BOX. The Exchange notes that the majority of customer
demand comes from Market Makers, whose transactions make up a majority
of the volume on BOX. Further, as discussed herein, other Participant
types (Broker Dealers, Professional Customers, and Public Customers)
take up significantly less BOX resources and costs. As such, the
Exchange does not believe charging electronic Market Makers higher
Trading Permit fees than other Participant types will impose a burden
on intramarket competition.
The Exchange believes that the tiered structure of the proposed
electronic Market Maker Trading Permit fees will not impose a burden on
intramarket competition because the tiered structure takes into account
the number of classes quoted by each individual Market Maker. As
discussed herein, the BOX system requires increased performance and
capacity in order to provide the opportunity for each Market Maker to
quote in a higher number of options classes on BOX. Specifically, the
more classes that are actively quoted on BOX by a Market Maker requires
increased memory for record retention, increased bandwidth for
optimized performance, increased functionalities on each application
layer, and increased optimization with regard to surveillance and
monitoring of such classes quoted. As such, basing the Market Maker
Trading Permit fee on the greatest number of classes quoted in on any
given day in a calendar month is reasonable and appropriate when taking
into account how the increased number of quoted classes directly impact
the costs and resources for BOX.
Inter-Market Competition
The Exchange believes the proposed Market Maker Fees do not place
an undue burden on competition on other SROs that is not necessary or
appropriate. In particular, options market participants are not forced
to become participants of all options exchanges. The Exchange notes
that it has far less Participants as compared to the much greater
number of participants at other options exchanges. There are a number
of large market makers and broker-dealers that are participants of
other options exchange but not Participants of BOX. The Exchange is
also unaware of any assertion that its existing fee levels or the
proposed electronic Market Maker Fees would somehow unduly impair its
competition with other options exchanges. To the contrary, if the fees
charged are deemed too high by market participants, they can simply
discontinue their membership with BOX.
The Exchange operates in a highly competitive market in which
market participants can readily favor one of the 15 competing options
venues if they deem fee levels at a particular venue to be excessive.
Based on publicly-available information, and excluding index-based
options, no single exchange has more than 16% market share. Therefore,
no exchange possesses significant pricing power in the execution of
multiply-listed equity and
[[Page 10274]]
ETF options order flow. For the month of November 2021, BOX had a
market share of approximately 5.58% of executed multiply-listed equity
options \26\ and BOX believes that the ever-shifting market share among
exchanges from month to month demonstrates that market participants can
discontinue or reduce use of certain categories of products, or shift
order flow, in response to fee changes. In such an environment, BOX
must continually adjust its fees and fee waivers to remain competitive
with other exchanges and to attract order flow to the facility.
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\26\ See Options Volume by Exchange available at https://www.theocc.com/Market-Data/Market-Data-Reports/Volume-and-Open-Interest/Volume-by-Exchange.
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Finally, the Exchange notes that it operates in a highly
competitive market in which market participants can readily favor
competing venues. In such an environment, the Exchange must continually
review, and consider adjusting, its fees and credits to remain
competitive with other exchanges. For the reasons described above, the
Exchange believes that the proposed rule change reflects this
competitive environment.
C. Self-Regulatory Organization's Statement on Comments on the Proposed
Rule Change Received From Members, Participants, or Others
No written comments were either solicited or received.
III. Date of Effectiveness of the Proposed Rule Change and Timing for
Commission Action
The foregoing rule change has become effective pursuant to Section
19(b)(3)(A)(ii) of the Exchange Act \27\ and Rule 19b-4(f)(2)
thereunder,\28\ because it establishes or changes a due, or fee.
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\27\ 15 U.S.C. 78s(b)(3)(A)(ii).
\28\ 17 CFR 240.19b-4(f)(2).
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At any time within 60 days of the filing of the proposed rule
change, the Commission summarily may temporarily suspend the rule
change if it appears to the Commission that the action is necessary or
appropriate in the public interest, for the protection of investors, or
would otherwise further the purposes of the Act. If the Commission
takes such action, the Commission shall institute proceedings to
determine whether the proposed rule 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:
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-BOX-2022-07 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-BOX-2022-07. 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 such filing also will be available for inspection
and copying at the principal office of the Exchange. All comments
received will be posted without change. Persons submitting comments are
cautioned that we do not redact or edit personal identifying
information from comment submissions. You should submit only
information that you wish to make available publicly. All submissions
should refer to File Number SR-BOX-2022-07, and should be submitted on
or before March 16, 2022.
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\29\ 17 CFR 200.30-3(a)(12).
For the Commission, by the Division of Trading and Markets,
pursuant to delegated authority.\29\
J. Matthew DeLesDernier,
Assistant Secretary.
[FR Doc. 2022-03763 Filed 2-22-22; 8:45 am]
BILLING CODE 8011-01-P