CFTC Proposes New Regulation on Automated Trading

Discussion in 'Automated Trading' started by Baron, Feb 1, 2016.

  1. Baron

    Baron ET Founder

    COMMODITY FUTURES TRADING COMMISSION PROPOSES REGULATION AT

    The CFTC has unanimously approved a proposed Rule on Automated Trading. Regulation AT takes a multi-level approach to represent a series of risk controls, transparency measures, and other safeguards to enhance the U.S. regulatory industry for automated trading. The rule proposes risk control and other requirements for 1) Market participants using algorithmic trading systems who are defined as “AT Persons” in the rulemaking, 2) clearing member futures commission merchants with respect to their AT Person customers and 3) Designated Contract Markets (DCMs) executing AT Person Orders. The rules are intended to reduce potential risks arising from algorithmic trading activity. They require the following implementation of risk controls:

    • Maximum Order Message and Maximum Order Size Parameters
    • Establishment of standards for the development, testing, and monitoring of Algorithmic Trading Systems
    • AT Persons and Clearing Member FCMs would be required to submit reports on their risk controls to DCMs
    • Maintain books and records regarding their risk controls
    • Other algorithmic trading procedures for review by DCMs
    • Require registration of certain proprietary traders not currently registered with the CFTC (this requirement would be applicable specifically to proprietary traders engaged in algorithmic trading though direct electronic access to a DCM)
    • The use of self-trade prevention tools by market participants on DCMs while permitting trades originating from accounts with independent decision makers
    • Digital Contract Markets (DCMs) must publish a description of rules or known attributes of the trade matching platform that materially affect factors such as the time, price, or quantity of execution of market participant orders, the ability to cancel or modify orders, and the transmission of market data and order or trade confirmations to market participants.
    These proposed rules are intended to provide transparency. The commission is proposing that AT Persons become members of a registered futures association and will further require registered futures associations to consider membership rules that address algorithmic trading for each category of member withing the registered futures association. A question and answer PDF can be found by clicking here.
     
    bone and TraDaToR like this.
  2. IAS_LLC

    IAS_LLC

    I don't see a definition of what a "AT Person" is. Would little old me, flipping 1 lots inter-day in an automated fashion be considered an "AT Person" ?
     
  3. rmorse

    rmorse Sponsor

    “AT Person” means any person registered or required to be registered as an FCM, floor broker, swap dealer, major swap participant, commodity pool operator, commodity trading advisor, or introducing broker that engages in “Algorithmic Trading” on or subject to the rules of a DCM. The term AT Person also includes a new class of persons required to be registered as floor traders.

    http://www.cftc.gov/idc/groups/public/@newsroom/documents/file/regat_factsheet112415.pdf
     
    Chubbly and IAS_LLC like this.
  4. 2rosy

    2rosy

    No. This is for brokers/clearers exchange members. Maybe can be lucrative for some