BDA Submits Comment Letter to SEC in Response to FINRA ATS Trade Reporting Amendments

BDA submitted a comment letter to the SEC on SR-FINRA-2015-055, a Notice of Filing and Immediate Effectiveness of a Proposed Rule Change to Provide FINRA with Authority to Grant Exemptions from TRACE Reporting for Certain ATS Transactions.

Please review BDA’s comment letter to the SEC here.

  • The proposed rule creates a process for ATSs to be exempt from certain TRACE reporting responsibilities if certain conditions are met. For an ATS to be exempt, the ATS and a dealer will be required to have a written agreement in place which states that the dealer (and not the ATS) is responsible for reporting trades to TRACE.
  • Additionally, dealers will be required to add ATS MPIDs to the TRACE reports for exempted trades. BDA’s letter objected to the fact that FINRA filed these rule changes as “non-controversial” for immediate effectiveness with a July 18, 2016 implementation date without a sufficient public comment period.
  • Additionally, BDA argues that dealers should be given more time to work with compliance personnel, third-party vendors, and ATSs before the implementation date.


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