The Association for Financial Markets in Europe (AFME) is pleased to provide its response to the initial set of consultations released by the European Securities and Markets Authority (ESMA). These consultations address three key areas: Bond Transparency, Consolidated Tape Provider and Reasonable Commercial Basis.
Victoria Webster, Managing Director, Fixed Income at AFME, said: “AFME supports the objective of enhancing transparency in European bond markets, as it can lead to improved pricing and market participation. However, it is imperative the framework is carefully calibrated, with a strong focus on data analysis, particularly for less liquid segments of the bond market.”
April Day, Head of Equities (ECM, Trading and Post Trade) at AFME, said: “AFME supports ESMA’s efforts to bring more rigorous scrutiny to market data pricing. Market data is essential to any firm offering wholesale financial services. Applying the requirements for reasonable commercial basis in a more consistent manner will help to ensure that market data clients in the EU get a fair deal for the data they buy, but enforcement will only be effective if the fundamental rules are drafted precisely. We encourage ESMA to be mindful of market participants’ feedback on this consultation paper – they have suggested amendments to the drafting of the law to ensure that regulators will have a sound legal basis to prevent discriminatory pricing.”
In more detail:
On RTS 2 Bond Transparency:
-
AFME acknowledges the complexity of ESMA’s task in calibrating bond transparency thresholds. While we appreciate that ESMA's data analysis aims to support achieving an adequate level of transparency, it overlooks similar analysis of undue risk; this will have a detrimental impact to the delicate balance between transparency and liquidity with wider, negative knock-on effects on investors and issuers. AFME are specifically concerned about the treatment for illiquid bonds which results in excessive immediate transparency for many illiquid bonds.
-
AFME have expanded on their previous analysis based on Average Daily Volume (ADV) of bonds to calculate the average time it takes for a market maker to trade out of risk. They have presented a more balanced and data-driven framework which results in high levels of immediate transparency for bond markets, supporting ESMA’s goals while safeguarding market liquidity and competitiveness.
On Consolidated Tape Provider:
-
Consideration needs to be paid to the different requirements across asset classes, meaning a ‘one-size-fits-all’ approach to minimum technical requirements is not appropriate across bonds, equities and derivatives. For example, unnecessarily aggressive latency threshold for a bond CT which would disproportionately increase costs to users.
On Reasonable Commercial Basis:
-
However, while acknowledging the progress that ESMA has made, AFME continues to be concerned that the drafting of the RTS will undermine its objectives. We have proposed several amendments to the draft RTS to address gaps that will allow discriminatory pricing to persist.
– Ends –