Compliance in Focus
03.11.2024

SEC’s Enhanced Execution Disclosures Welcomed

03.11.2024
Shanny Basar
FCMs Focus on Execution

The industry has broadly welcomed the enhancements that the US Securities and Exchange Commission has made to Rule 605, which covers disclosures around the execution of orders.

Asset manager Fidelity said it was pleased that the changes to Rule 605 provides investors with more data that they can use to compare trading venues.

Rule 605 was initially adopted in 2000 to help the public compare and evaluate execution quality at different market centers. Gary Gensler, chair of the SEC, said in a statement that in the 24 years since the rule Rule 605 was adopted, the US equity markets have been transformed by ever-evolving technologies and business models.

Gensler added : “I am pleased to support this adoption because it will improve transparency for execution quality and facilitate investors’ ability to compare brokers, thereby enhancing competition in our markets.”

KPMG highlighted some of the changes in a blog, which included market centers, brokers, and dealers having to make standardized, monthly reports available of statistical information concerning their order executions as well as a summary report that is publicly available. Separate reports will be required for a firm’s broker-dealer and its alternative trading system (ATS) activity, together with separate reports for any single dealer platforms that they operate.

https://kpmg.com/us/en/articles/2024/sec-final-amendments-rule-605-of-regulation-nms-reg-alert.html

The rule has been widened to include broker-dealers who introduce or carry 100,000 or more customer accounts; expanding the definition of “covered order”; to include certain orders submitted outside of regular trading hours; establishing four new order type categories; adding a timestamp convention of a millisecond or finer.

The changes also include expanding the scope of execution quality measures to include, among others, average effective divided by average quoted spread, measures relative to “size improvement”, and measures of “price improvement relative to the best available price.”

Tyler Gellasch, president and chief executive of the Healthy Markets Association, said the SEC has adopted a “badly needed update to order execution disclosures, and did a pretty fantastic job with decisions and analysis.”

His only big complaint is the lack of report centralization and he highlighted that retail may be annoyed that $250 is the smallest bucket.

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