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    Mr. Ravi Narain, 9th

    July 2010.

    Managing Director and CEOs

    The National Stock Exchange of India Limited

    Mumbai

    At the outset, we at ANMI would like to congratulate the entire team of NSE under the

    leadership of MD and CEO Shri Ravi Narain for the successful launch of two new

    segments namely, Currency Derivatives and Mutual Fund Service System. We believe

    that these initiatives shall go a long way in furthering larger national interests and shall

    provide newer opportunities to our members for the growth of their businesses. We would

    also like to take a note of the smooth and successful migration of technology from X.25

    to IP, overcoming the major bottleneck relating to systems performance. We are pleased

    to note the multi fold improvement in the systems performance particularly the price

    broadcasts and order confirmation along with the head room for scalability and smooth

    change over between the primary and secondary connectivities.

    We place on record our gratitude towards all the senior officials of NSE for their graceful

    presence, encouragements and guidance on the various occasions and programmes

    organised by ANMI during the last year.

    Upon reviewing the issues on which the presentation were made in the past, it has been

    observed that majority of the important and significant issues have largely been addressed

    by the NSE in line with the past presentations and we are very thankful to the

    management for their prompt and favourable responses to our presentations.

    However, with a view to further improve our services to the investors and to improve the

    efficiency in our day-to-day operations, surveillance and risk management, we have listed

    out several issues in Annexure 1 as enclosed which we wish to put up before you for your

    favourable consideration. Apart from this, we shall continue our interaction with the

    Exchange on an on-going basis as and when we come across any such issues.

    In time to come, we look forward to strengthen ANMI further, to continue working in

    tandem with the NSEIL with a desire to contribute in the growth and development of the

    market place, to serve the investor community and the nation, by facilitating the much-

    needed process of capital formation to achieve the widely proclaimed national agenda of

    Inclusive Growth.

    We thank you once again for providing your valuable time and patient hearing. We look

    forward for your continued support and guidance in strengthening ANMI as an

    Institution.

    Warmest Regards

    For Association of national Exchanges Members of India

    Anil BagriPresident - ANMI

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    Priority Items:

    1. Efforts to improve liquidity and efficiency of brokers FundsWe take note of the number of positive steps taken by the exchange with regard to the

    early pay-in of funds and securities. We have also noticed that pay-out of funds /margins is now taking place at about 11:00 a.m. on most days along with the

    settlement of accounts. We request that system may further be improved to mark the

    funds for early pay-in of funds towards settlement may be allowed from more than

    one bank account and only the balance may be picked up from the primary designated

    bank, as is prevalent in the case of ABC. The requirement of minimum commitment

    of a quarter for T+0 pay-in in F&O may be reconsidered and made flexible (needs to

    be defined).

    We also request that fungibility of collateral deposits between the Cash, F&O and

    Currency segments be made online. We request the exchange to make it more flexible

    and permit fungibility of Bank Guarantees and Collaterals between the Cash and F&OSegments and reduce the time lag to effect the movements.

    It may be noted that currently, in case of Bank Guarantee, the formats for Bank

    Guarantee which are being used are same except the segment is being mentioned on

    Bank Guarantee. If the segment will not be mentioned in the Bank Guarantee, the

    same may be used for any segment subject to letter send by the member. It will make

    operationally easy to make bank guarantee fungible.

    2. Increase the choices of Order types in the trading system.Without compromising with the performance of the system, the additional order type

    like One Cancels Other or Trailing Stop Loss Orders may be made available in the

    system as tools to curtail losses and improve the volumes.

    3. Pay-out of securities to the specifically designated depository a/c.At present the pay-out of securities are allocated as per the availability of balance

    within the respective depositories to NSCCL. If in the pay-out break-up file a clients

    account is NSDL and the NSCCL does not have balance in NSDL, the instruction of

    direct pay-out to client fails and the delivery lands in the brokers CDSL pool a/c. The

    remaining deliveries also come in both the NSDL and CDSL pool accounts of thebroker according to the availability with NSCCL. For the operational convenience at

    brokers end, this may be avoided by inter-dp transfer at the NSCCL end and all

    payouts may be given in one preferred depository, though the pay-in may be made

    from any depository.

    4. Debarred entities without PAN information.It has been observed that of late almost all SEBI action orders contain the PAN of the

    entities against whom action is being initiated. In cases where the PAN isnt available

    initially, it is also being given by supplementary circulars. There continue to be cases,

    however, of orders without PANs by SEBI, or in cases of Orders, of some otherauthorities, which do not contain PAN. In such cases, the violations by members, if

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    any, may be treated leniently due to the practical difficulties of implementation. We

    may also suggest some mechanism of scanning existing UCC database at Exchange

    level for any such new order and rejection of new UCC upload and intimation to the

    respective brokers.

    5. Additional Features in F&O Corporate IdFacility to control code modification rights of dealer terminals may be provided in

    NEAT Corporate ID. This is required for effective control and monitoring over the

    client code modifications. Also, at present there is no mechanism to get or keep a

    record of such code modification in F&O. A facility of end of day code modification

    log file download may be provided.

    6. Ad-Hoc Margins.It is noticed that in times of high volatility or when a member takes a position, even

    with adequate collateral, higher than his normal position size, the Exchange imposes

    Ad Hoc Margins on the member. While we understand and appreciate that this is only

    done as a risk mitigating measure, we would appreciate the exchange defining broad

    guidelines on why such margins are imposed so that members may plan accordingly.

    In most of the times, it turns out that the members themselves end up funding such

    margins charged.

    7. F&O-like admin terminal in CM / Currency segment.In the wake of increasing requirements of compliance and surveillance, the online

    trade updation in risk management system is very essential. We request the exchange

    to re-look at the possibility of providing F&O-like admin Id in Cash / Currrency

    segment also.

    8. Support for ANMIs Initiatives for the development of Self-RegulationWe at ANMI intend to continue taking various initiatives, like organising Seminars

    and Programmes, preparing and publishing literatures and creating awareness to

    develop the culture of self-regulations amongst the capital market participants in

    India.

    Towards this, we are in the process of increasing our association with similar

    International bodies like Japan Securities Dealers Association (JSDA) with whom we

    have already established some association and we are in talk with the organisationslike the Korea Financial Investment Association (KOFIA) to associate with them and

    gain the benefits of their knowledge and experiences in self regulation.

    ANMI is also a member of the Asian Securities Forum (ASF). In 2011, ANMI will

    host the Annual General Meeting of ASF in Mumbai. This will help us to raise

    important regulatory discussions with world counter parts.

    While discussing these initiatives with the SEBI Chairman during our meeting with

    him, he encouraged us to carry it forward in association with the Exchanges like NSE

    and BSE. We are in the process of gearing up our organisational resources to further

    this objective and we request you to extend your support, knowledge resources andguidance in our efforts towards this objective.

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    Other Items:

    9. Disclosure of MF/DII/Promoters positions in derivatives segments.The purchases and sales made in the cash market segment by Mutual Funds

    /Domestic institutions are disclosed by the Exchange/SEBI. The positions inDerivative markets taken by Mutual Funds / Domestic institutions promoters are not

    made available to the investors in the daily data provided by Stock Exchanges and

    SEBI. It is suggested that these data be made available because in the absence of it,

    only cash market data may prove to be misleading for the investors.

    10.Rationalisation of Charges.The connectivity mediums like Leased Lines, VSATs, C2N facilities etc. are integral

    and essential requirements for carrying out the main activities of executing

    transactions on the exchange and its monitoring. Therefore, the provision of these

    ancillary services may not be linked to its individual set-up costs but may be viewedas part of the business as a package and their charges may be rationalised in line with

    the changing business conditions of the broker members. In view of the increased

    competition and falling brokerage rates and revenues at the brokers end, the existing

    charges structure of these ancillary services seems on higher side and be rationalised.

    11.Relaxation in User Certification requirements.Admin/View only terminals of CTCL/NOW may be allowed without certification

    requirements. As such we are reporting the location details of these terminals.

    12.Self Clearing members in CFX segmentIt is suggested that a system of Self clearing members with lower Net Worth be

    introduced in CFX segment. At present, a lot of members are not able to trade

    frequently on the exchange due to clearing costs. This will go a long way to increase

    volumes and bring efficiencies in the market. The exchange may take up the issue

    with relevant authorities.

    13.Additional Strike Prices.We believe that the current strike prices are very far apart given the fact thatvolatilities are much lower than what they were after the Lehman crisis. As are a

    result of this, there are very low volumes in the deep out-of-the-money stock options.

    Further, volumes that could be generated if the strike prices were tighter are lost.

    For example, in the case of IDBI (price around Rs. 100 Rs. 115), the strike price is

    almost 10% apart. The stock usually does not move so much within a month. Assume

    someone has written 3 Calls of 120 strike at the beginning of the expire and bought a

    future at Rs. 114. Lets assume that the price falls to Rs. 112.50 4 days before expiry

    and he needs to hedge his position. He is unable to sell a Call of 120 strike because

    the premium would be too low. He would, however, be able to protect himself if a

    strike of Rs. 115 Call is available to him. For the same reason, a person engaged in

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    Delta arbitrage would require strike prices at intervals of Rs. 50 to protect himself

    closer to expiry.

    As per the circular, the following is the methodology adopted by the exchange to

    determine strike prices:

    Closing PriceStepValue

    % toAverage No. of Scrips

    STOCK OPTION (196 Scrips Covers)

    0 50 25 2.5 10.00% 11

    50 100 75 5 6.67% 30

    100 250 175 10 5.71% 51

    250 500 375 20 5.33% 36

    500 1000 750 20 2.67% 35

    1000 & Above 1000 50 5.00% 33

    INDEX OPTION (5 Index Cover)

    0 2000 1000 50 5.00% 0

    2000 4000 3000 100 3.33% 1

    4000 6000 5000 100 2.00% 3

    6000 &above 6000 100 1.67% 1

    Total 201

    We propose the following methodology be adopted:

    Strike Prices suggested by ANMI

    Strike Price Step Value % to Average No. of Scrips

    0 25 12.5 1.25 10.00% 2

    25 75 50 2.5 5.00% 27

    75 150 112.5 5 4.44% 34

    150 300 225 10 4.44% 43

    300 600 450 20 4.44% 32

    600 1000 800 30 3.75% 25

    1000 4000 2500 50 2.00% 34

    5000 &

    above 5000 100 2.00% 4

    Total 201

    Nifty Options: We need the stike prices at intervals of 50.

    Note: The lower band is taken as average and the % calculatedon that.

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    14.Report of One UCC with Multiple Brokers.The KYC format requires self-declaration by the clients about their dealings with

    other brokers. However, very rarely does any client do so. As the information about

    clients dealings with other brokers is a vital input for certain regulatory compliances,a report may be given for such client having registration with more than one broker.

    Such report may or may not contain the other brokers name, it may only contain

    information on whether the client is registered with other brokers without the name of

    other broker being given, or it may only contain the number i.e. one, two or three as

    the number of UCC registration available in the Exchange database. In case this is not

    possible to be given, the requirement of the declaration by the client to disclose which

    other broker he is registered with should be withdrawn.

    15.Setting up of SME PlatformAs SEBI has already allowed setting up of a trading platform for having nation-wide

    trading terminals for SME, there is no guideline available from the Exchange in thisregard. It is requested that this beimplemented at the earliest as it will give a good

    opportunity to all participants of the capital market.

    16.Mutual Fund tradingIt is a matter of great concern, that in spite of being such a good concept, trading in

    the MFSS segment is not picking up as desired. A task force should be set up to

    identify the problem areas, be it clearing and settlement issues, and proper training be

    provided to members in marketing of of mutual fund products and operation of the

    MFSS, registration with AMCs, upfront and trailing commissions, etc.

    17. Interest on depositsIt is a very long time since the exchange came into being and all setup costs have long

    been absorbed. It is now requested that interest at FDR rates be allowed to members

    on their cash deposits with the exchange.

    18.Pledge of SecuritiesIt is requested that securities may be allowed to be pledged from any DP since

    custodians appointed by NSE are charging exhorbitant amounts for pledging the

    securities.

    19.Frequent InspectionsItis felt that ever since the SEBI directive of annual inspections, members are under

    inspection / internal audits all year round. It is requested that the exchange may take

    up the issue with the regulator to rationalise the same. Inspection of all segments

    should at least be covered in one go so that the frequency can be reduced.