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FISD General Meeting

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Significant progress made on active projects. MDPP ready for launch ... Notice of changes in MDP change log as received. MDPP Enhancements ... – PowerPoint PPT presentation

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Title: FISD General Meeting


1
FISD General Meeting
  • June 22, 2001
  • Reuters Information
  • New York City

2
Meeting Agenda
  • General Assessment
  • Business Process Automation
  • Market Data Policy Project
  • Market Data Definition Language
  • ANNA Service Bureau/ISIN
  • Unique Security Identification/STP
  • SEC Market Data Advisory Committee
  • World Financial Information Conference
  • Organizational Issues
  • Open Forum

3
General FISD Assessment
  • Significant progress made on active projects
  • MDPP ready for launch
  • MDDL version 0.9 ready for industry evaluation
  • ISIN, ASB and unique security identification
  • SEC Market Data Advisory Committee
  • Billing automation project gains momentum
  • World Conference in London
  • NYC office and new staff

4
Business Process Automation
  • Growing support for concept of billing automation
  • Functional requirements specification
  • Firms (inventory management, billing
    reconciliation, electronic bills, data
    optimization)
  • Vendors (simplification of reporting
    requirements, automated data feed reporting,
    e-bills/statements, payments to 3rd parties)
  • Exchanges (efficient data feed authorization,
    timely and accurate reporting, timely and
    accurate payment)

5
Billing Automation
  • Definition/Mapping of Process
  • Data capture requirements
  • How data moves through system(s)
  • How data is used to generate a bill
  • What entities do to validate and pay the bill
  • Issues that arise from current process
  • Reporting requirements
  • Timing cycles
  • Data sets that dont match

6
Billing Automation
  • Process simplification and data standards
  • Reporting requirements/snapshot reporting
  • Process simplification (flexible reporting dates,
    partial month billing, timing cycles)
  • Standard data elements on data feed reports and
    invoices (XML standard)
  • Transparency and consistency of rules
  • Sizing of problem and value proposition
  • Development of industry-wide solution

7
Market Data Policy Database
  • Industry-wide reference tool on market data
    policy requirements and fees
  • Status of MDP Database
  • Policies for 30 exchanges (another 13 awaiting
    clearance)
  • Web interface built and tested
  • Access download built and functional
  • Status of MDP Fees Guide
  • Fees information for 37 exchanges (another 42
    awaiting clearance)

8
Market Data Policy Database
  • Database beta test results
  • Content is accurate, detailed and useful
  • High marks on primary applications -- real world
    policy compliance policy comparison, development
    and adjustment business assessment
  • Knowledge of contracts, market data business
    management and MDPP database structure are
    required to take full advantage of MDP database
  • Addition of contract library will significantly
    increase value of database

9
Market Data Policy Database
  • Initial Launch Strategy
  • Access to online database and pre-formatted
    reports is open to entire industry with
    pre-registration
  • MS ACCESS version restricted to FISD members
  • Redistribution or incorporation into commercial
    product is subject to license
  • Clear statements on both content and how to
    effectively use the database
  • MDP Fees Guide is available to entire industry

10
Market Data Policy Database
  • MDPP Maintenance
  • Quarterly updates plus RMA added to exchange
    notification lists
  • Notice of changes in MDP change log as received
  • MDPP Enhancements
  • Online library of source contracts (17 received)
  • Proposal received for development of online
    library development and database creation
  • Direct link to Exchange Contract Guide

11
Market Data Policy Database
  • MDPP Enhancements
  • Proposal received for development of online
    contributor interface to facilitate updates from
    contributing exchanges
  • Development of MDPP training program in concept
    stage
  • Development of MDPP customized research program
    in concept stage

12
Market Data Definition Language
  • FISD activity formally launched January 2001
  • Generic XML-based interchange format on the
    fields needed to describe
  • Instruments/Asset Classes
  • Corporate Events (affecting value and
    tradability)
  • Market-Related Information (economic and
    industrial indicators
  • Vocabulary and Technical Committees have been
    meeting approximately twice per month

13
Why MDDL?
  • Mission
  • Promote data interoperability
  • Focus on broad field definitions for market data
    applicable to multiple classes
  • Initial application is end-of-day and snapshot
    that can be extended (streaming and interpreted)
    as appropriate
  • Users firm requirements
  • Integrate data from multiple sources
  • Shift resources from data formats to data
    quality

14
MDDL Development Process
  • Goal of MDDL process is to develop a practical,
    realistic and achievable standard (evolutionary,
    not revolutionary)
  • The initial focus is intraday snaps and
    end-of-day values -- but the vocabulary must be
    amenable for extensibility to streaming of real
    time data
  • Vocabulary work has been on the definition of the
    domains for market data and their descriptors

15
MDDL Vocabulary
  • MDDL Domains
  • Category 1 -- Instruments (equities, collective
    investment vehicles, debt, contracts and units)
  • Category 2 -- Indicators (indices, financial and
    exchange statistics, ratings, economic
    indicators)
  • Category 3 -- Corporate events (notifications,
    descriptive data, fundamentals)
  • Release 0.9 deals with global equities,
    collective investment vehicles (specifically
    mutual funds) and indices only

16
MDDL Vocabulary
  • Descriptor Categories (instrument identification
    issuer identification valuations measures
    statistics dates times currency locations
    holdings loads fees industry classification
    asset class source status, indicators and
    features)
  • Data field map (which descriptors relate to which
    domains)
  • Data relationship map (descriptors that can be
    attributes of other descriptors)

17
MDDL Technical Approach
  • Specification to support XML Schema and DTD
  • Novel approach! (usually one or the other)
  • Implies certain degree of simplicity
  • Sets the stage for enhanced functionality
  • Minimal required tags and content
  • Example (excluding namespace attributes)
  • lt?xml version"1.0" encoding"UTF-8"?gt
  • ltmddl version0.9-betagt
  • lt/mddlgt

18
MDDL Technical Framework
  • Includes or Permits
  • reference lists of commonly used material
  • Internal AND External
  • Element based approach to represent content model
  • Property concept that inherits through hierarchy
  • Multiple snaps and timeseries in each
    instance
  • Content model mapped from Vocabularys Domains
  • Schema Adjunct Framework for Data Dictionary
  • Contains labels and other display related
    attributes

19
MDDL Status and Next Steps
  • Release 0.9 (June 22, 2001) on equities, CIVs and
    indices
  • Global evaluation and change management process
  • Procedures for completion of standard and release
    of version 1.0 (November at WFIC)
  • Documentation, maintenance and promotion
  • Liaison with other XML groups

20
ISIN and Security Identification
  • The core message (i.e. accurate and timely access
    to ISIN is essential for STP automation) has been
    successfully delivered
  • Creation of the ANNA Service Bureau (ASB)
  • Jointly managed by Telekurs Financial and SP
    CUSIP
  • July 1, 2001 start date
  • GIAM feed discontinued September 2001

21
ISIN and Security Identification
  • Creation of ISIN User Group (four FISD members,
    three SWIFT members, six ANNA members)
  • ISIN assignment and maintenance issues
  • Product specification (phase one and beyond)
  • Minimum mandatory data elements for ISIN
    assignment
  • Indicative data elements and CFI code
  • ISIN for futures and options?

22
ISIN and Security Identification
  • Centralized customer support
  • Contract and bilateral agreements
  • ASB goal is a single contract between vendors and
    the ANNA Service Bureau (key issue is
    transferability)
  • FISD proposal
  • Level 1 ISIN (all data elements needed for
    unique identification) should be unrestricted
  • Level 2 ISIN plus data elements in GIAM
  • Level 3 Full ASB data set including
    cross-referencing

23
Unique Security Identification
  • FISD Research Process
  • Goal identify (at a granular level) what each
    segment of the information chain requires for
    security identification
  • Perspectives of trading, investment/portfolio
    management, pricing, custody, settlement,
    depository, clearing, compliance, risk
    management, database management
  • Five meetings and three conference calls since
    March

24
Unique Security Identification
  • This is a complicated issue
  • Instruments can be issued, priced, traded,
    settled and cleared in many ways
  • Different types of identifiers are relevant at
    various levels and for a variety of functions --
    one size doesnt fit all
  • Overall goal is efficiency and reduction of fails
    -- STP trade mechanics and cross-border
    processing are part of security identification

25
An Illustration
26
ISIN Alone is Not Sufficient
  • ISIN DE0007236101
  • ISIN is a unique issue identifier but not always
    a unique security identifier
  • ISIN alone is not sufficient for unique
    identification because one ISIN can be shared
    among multiple offerings in multiple locations
  • However, ISIN is important for front-office
    systems and for aggregation of global positions

27
Register Level Identifier
  • Register is the place where legal records of
    security
  • ownership are held. This is important for
    determining
  • whether re-registration is required and is part
    of
  • determining settlement compatibility
  • Register can span different listed securities
    and
  • different currencies
  • ISIN Register is not sufficient for all
    functions
  • because it cannot identify a specific listed
    security

28
Place of Official Listing
  • The place of official listing (POOL) identifies
    the primary and
  • secondary markets where the security is listed
  • In this example the place of official listing is
    Frankfurt,
  • Zurich and Paris
  • POOL is needed to differentiate the security in
    the case of
  • multiple listings (i.e. subject to different
    settlement, pricing,
  • tax/corporate event treatment, allocation of
    national
  • numbers)

29
Event Related Identifiers
  • There are attributes associated with a financial
    instrument that are not identifiers but are
    critical data elements
  • CSD Bridge Link details - used to determine if a
    security can be delivered from one place of
    settlement to another. Must be presented at time
    of trade decision to be useful for risk
    management
  • Place of Trade -- needed as a practical matter
    for due diligence and market compliance (i.e. for
    trade execution problems, transaction related
    taxes, trade related statistics, etc.)

30
Five Core Elements
31
Instrument Identification
  • ISIN is needed as the issue level identifier for
    aggregation of positions
  • POOL and register are indicative data elements
    that are attributes of a security, known by
    issuers and can be collected
  • CSD Bridge Link and Place of Trade are attributes
    of a transaction but important
  • The fundamental security identification problem
    is the inability to derive POOL (and possibly
    register) from ISIN.

32
Possible Approaches
  • Option 1 Create a new security ID number at the
    POOL/Register level integrated into a defined and
    maintained database of relationships between
    securities on a global basis
  • Option 2 Create a standard symbology for
    identification of POOL/Register using marketplace
    codes (i.e. redefined MICs)
  • More research is needed to identify the practical
    implementation issues associated with POOL

33
SEC Advisory Committee
  • Schwab petition, Concept Release, Advisory
    Committee on Market Data,
  • NYSE seeks to withdraw from CTA
  • Core issues
  • Governance of consolidators
  • Competition among consolidators
  • Market data policy, administration and contracts
  • Transparency (what information)
  • Fee structure and regulation

34
SRO Governance
  • Non-issue
  • CTA just implements what SRO boards dictate
  • CTA process works
  • Additional bureaucracy not needed
  • Outside input to help analyze practical
    implications
  • Revenue sharing is the only issue (not a
    governance problem)

35
Competing Consolidators
  • An area of significant debate (unclear why)
  • Within confines of NBBO -- little to be gained
    and significant risk associated with shift to
    multiple consolidators
  • Risk areas sequencing, message gapping, design
    of internal software, validation tolerances,
    capacity, protocols and data formats, conversion
    management
  • Risks are manageable, but whats the point?

36
Market Data Business Issues
  • Issues are not well understood by SEC or members
    of the Advisory Committee
  • Four key questions
  • Who should determine the business practices of
    the exchanges
  • New business considerations associated with
    information competition
  • Opportunities for business process efficiency
  • Role of regulators in business management
    oversight

37
Market Data Business Issues
  • Market data contracts
  • Market data business policies
  • Prior approval versus vendor discretion
  • User classification
  • Unit of count
  • Billing and reporting requirements
  • Subscriber agreement
  • Derived data
  • Business process automation

38
Market Data Business Issues
  • Conclusions
  • Global transparency of fees, terms and
    administrative requirements is important
  • Progress is being made to embrace e-commerce in
    market data administration
  • A productive dialogue exists on exchange business
    requirements
  • Business requirements of the new environment need
    thoughtful consideration

39
Market Data Fees
  • Cost-based standard is appealing but impractical
  • Transparency rather than rate setting
  • Hard to separate pricing issues from market data
    policy, contracts, billing and administration
  • Is current SEC fee oversight process sufficient?
  • Mandatory minimum (NBBO and last sale)
  • Enhanced data
  • Commercial products outside core SRO functions

40
Transparency
  • Transparency is the core issue
  • Complete depth of book on production side
  • Display rule
  • Information competition on display
  • must display versus must offer
  • Best execution rule
  • NBBO is important but insufficient
  • Size benchmark (10,000, 20,000 50,000)?
  • Other (high/low, average price, etc.)
  • Whats the definition of core data?

41
World Financial Information Conference
  • October 30 - November 2, London, UK
  • Partnership with Dow Jones Newswires has been
    terrific on the content side
  • Sponsors London Stock Exchange, Radianz, SAIC,
    SWX/ExFeed, Telekurs Financial, Veronis, Suhler
    Associates
  • Program ready for roll-out
  • REGISTER! www.fisd.net/wfic2001

42
Operational Issues
  • FISD Associate Director Bill Mangan
  • FISD Coordinator Tom Andresen
  • New York City Office
  • Organizational relationships growing
  • Next General Meeting
  • September meeting in Europe
  • Is this necessary?
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