The MSRB reminds dealers of trade
reporting procedures with respect to “step outs” and other inter-dealer
deliveries that are not the result of inter-dealer transactions.
Rule G-14 requires that
inter-dealer purchase-sale transactions eligible for comparison through the
National Securities Clearing Corporation (NSCC) automated comparison system
(RTTM) be reported to the MSRB Transaction Reporting System. For these
inter-dealer transactions, trade reporting to the MSRB is accomplished by both
the purchasing and selling dealers submitting the trade for comparison
following NSCC’s procedures, and ensuring that the trade record includes
certain additional data required by Rule G-14. NSCC then forwards each
dealer’s trade submission to the MSRB. In effect, the comparison submission to
NSCC doubles as the trade report to the MSRB.
In certain situations, deliveries
of securities occur between two dealers even though the two dealers did not
effect a purchase-sale transaction with each other. Dealers using the
comparison system to facilitate these deliveries must be careful not to report
the deliveries as inter-dealer transactions. A frequent example of this
situation occurs when an independent investment advisor effects a transaction
with a dealer (the “executing dealer”) and instructs the executing dealer to
deliver securities to another dealer (the “custody dealer”) for unnamed clients
of the investment advisor. The resulting delivery between the executing dealer
and the custody dealer may be handled through NSCC by submitting the delivery
to RTTM for comparison, even though there was no purchase-sale transaction
between the two dealers. However, in these cases, the executing dealer and the
custody dealer each must indicate that the submissions are for RTTM Matching
Only (Destination 01, see below) to ensure that the submissions do not also
constitute trade reports under Rule G-14. Failure to do so by either party
will result in a violation of Rule G-14.[1]
NSCC has published procedures for
identifying comparison submissions as step outs, meaning comparison submissions
that do not represent reportable inter-dealer transactions.[2]
Although the full procedures are not repeated here, they basically require
dealers using interactive messaging to submit data to NSCC with “DEST 01” (and
no other “DEST”) in the destination indicator message field and dealers using
RTTM Web to select the “RTTM” trade reporting indicator.[3]
To avoid violations of Rule G-14, dealers also should be careful to use NSCC’s
step out procedures only when applicable (i.e., when there is an inter-dealer
delivery being compared, but there was no purchase-sale transaction between the
dealers).[4]
It is worth noting that comparison
submissions will compare against each other in RTTM regardless of whether their
step out indicators match. When two dealers submit “mismatched” destination
indicators and a comparison occurs, NSCC forwards data about both submissions
to the MSRB, but the MSRB is unable to determine which dealer was correct as to
whether the comparison represents a transaction or a step out. However, it is clear
in such a case that at least one of the dealers has violated Rule G-14, either
by reporting a true inter-dealer trade as a step out or by reporting an
inter-dealer transaction that did not occur.
The MSRB is developing a report
that will identify such “mismatched” inter-dealer trade comparisons as an aid
to dealers and enforcement personnel. The MSRB will publish a notice when the
report is available. However, dealers should at this time review their
comparison and trade reporting procedures to ensure that their comparison
submissions correctly use the step out indicator and use it only when
appropriate.
Questions about the procedure for
processing step out deliveries should be directed to NSCC. Questions about
whether a particular type of delivery is reportable as an inter-dealer
purchase-sale transaction may be directed to Jay Jackson or Justin Pica at the
MSRB.
April 1, 2005
[2] For NSCC’s complete procedure on comparing step out
deliveries, see e.g., NSCC Important Notice A5943/P&S5513, “Changes
to Municipal Bond ‘Step Out’ Processing,” December 2, 2004, on www.nscc.com.
[3] To further distinguish step out submissions, dealers
also should include “STEP” in the Trader ID contra party field.