Markettimingreport PDF
Markettimingreport PDF
Markettimingreport PDF
May 2019
July, 2019
Contents
1. Introduction 1
2. Market Structure 3
5. Summary of Recommendations 30
i
List of Abbreviations
AD Authorised Dealer
AMFI Association of Mutual Funds of India
BSE Bombay Stock Exchange
CBLO Collateralised Borrowing and Lending Obligation
CCIL The Clearing Corporation of India Ltd.
CCP Central Counterparty
CDs Certificate of Deposits
CGS Central Government Securities
CME Chicago Mercantile Exchange
CPI Consumer Price Index
CPs Commercial Papers
CROMS Clearcorp Repo Order Matching System
CRR Cash Reserve Ratio
CSGL Constituents' Subsidiary General Ledger
DGCX Dubai Gold & Commodities Exchange
DSB Designated Settlement Bank
DvP Delivery versus Payment
ECB External Commercial Borrowing
EM Emerging Market
EU European Union
EUR Euro
FBIPL Financial Benchmark India Private Ltd.
FDI Foreign Direct Investment
FEDAI Foreign Exchange Dealers' Association of India
FIA Futures Industry Association
FIMMDA Fixed Income Money Market & Derivative Association of India
FOMC Federal Open Market Committee
FPIs Foreign Portfolio Investors
Forex Foreign Exchange
GDP Gross Domestic Product
G-sec Government securities
ii
HKEx Hong Kong Exchange
ICE Intercontinental Exchange
INR Indian Rupee
ISIN International Security Identification Number
IST Indian Standard Time
IWG Internal Working Group
MSEI Metropolitan Stock Exchange of India
MSF Marginal Standing Facility
MTM Mark-to-Market
NDF Non-Deliverable Forwards
ND-OIS Non-deliverable Overnight Indexed Swaps
NDS Negotiated Dealing System
NDS-OM Negotiated Dealing System – Order Matching
NEFT National Electronic Funds Transfer
NFP Non-Farm Payroll
NOOP Net Overnight open Position
NOPL Net Open Position Limit
NSE National Stock Exchange
NY New York
OI Open Interest
OMO Open Market Operations
OTC Over-the-Counter
PDAI Primary Dealers' Association of India
PDs Primary Dealers
PvP Payment-versus-Payment
RBI Reserve Bank of India
RTGS Real-time Gross Settlement
SDLs State Development Loans
SGL Subsidiary General Ledger
SGX Singapore Exchange
SPDs Standalone Primary Dealers
T-bills Treasury Bills
TREPS Tri-party Repo
iii
US United States of America.
USD US Dollars
VAR Vector Auto Regression
WACR Weighted Average Call Rate
iv
1. Introduction
Background
1.1. The Reserve Bank has, from time to time, been receiving requests for extension of timings
for certain markets such as currency futures and Over-the-Counter (OTC) foreign exchange
market. Accordingly, it was announced as a part of the Statement on Developmental and
Regulatory Policies dated August 01, 2018, to set up an internal group to comprehensively
review the timings of various markets and the associated payment and settlement
infrastructure. Accordingly, an Internal Working Group (IWG) was set up comprising officials
of the relevant Departments of the Reserve Bank.
Terms of Reference
1.2. The terms of reference for the Internal Working Group are as follows:
1. To study the current timings of various financial markets regulated by the Reserve
Bank, including instruments traded on exchanges, with respect to their trading,
clearing and settlement cycles. The study would also cover a review of the
arrangements of supporting payment and settlement systems.
2. To examine cross-country practices in the matter including the support
infrastructure, and their influence, if any, on market development in terms of
participation, liquidity, volume and similar factors.
3. To examine the implications, including benefits and costs, of revision in current
timings for trading as well as for supporting payment and settlement arrangements.
4. To make recommendations in respect of timing for trading, clearing and settlement
arrangements and for any related aspect of market functioning that may be justified
for improving efficiency.
1
3. A study on risk management during extended trading hours by major overseas
exchanges/clearing houses located in Europe (Eurex) and Asia (Hong Kong
Exchange (HKEx) and Singapore Exchange (SGX)) was also undertaken.
4. Discussions were held with market bodies/associations (Foreign Exchange
Dealers' Association of India (FEDAI), Fixed Income Money Market & Derivative
Association of India (FIMMDA), Primary Dealers' Association of India (PDAI) and
Association of Mutual Funds of India (AMFI)) as well as with the market participants
(banks, clearing corporations and corporates) to obtain their views/ feedback.
5. Market data for various dimensions like hourly and daily average trading volumes
and rates across the segments, major participants, etc. were analysed.
Additionally, data pertaining to National Electronic Funds Transfer (NEFT) and
Real-time Gross Settlement (RTGS) transactions were also analysed to
understand liquidity management by market participants.
6. An empirical exercise to assess the impact of Rupee exchange rate in the Rupee
Non-Deliverable Forwards (NDF) market on domestic exchange rate was
undertaken. A similar exercise to assess the impact of rates in the non-deliverable
Overnight Indexed Swaps (ND-OIS) market on yield of Government securities (G-
sec) was also undertaken.
1.4. Following this introductory section, Section 2 gives an overview of the markets regulated
by the Reserve Bank. Section 3 provides an overview of timings and the issues that merit
review of timings followed by an analysis of various proposals examined by the Group and
recommendations therein.
1.5. The report has four annexes. The results of empirical studies undertaken by the Group
on linkages of rupee NDF and onshore exchange rate market are given in Annex-I. A summary
of the literature studied by the Group is furnished in Annex-II. A few case studies related to
extension of timing on exchanges in a few jurisdictions are given in Annex-III. An overview of
risk management measures adopted in some of the major overseas exchanges/clearing
houses for extended trading window is given in Annex - IV.
2
2. Market Structure
2.1. The Reserve Bank regulates money markets, Government Securities (G-Sec) market,
foreign exchange (Forex) market and the markets for derivatives on interest rate, currency
and credit derivatives. These markets have evolved in last 10-15 years in terms of
participation, liquidity and venues of trading etc. Most of these markets are dominated by
institutional players and corporates with low participation from retail participants. Technology
has helped in further deepening of these markets, with most of the trading volumes in
overnight money market and G-sec market now carried out on electronic platforms. This
chapter discusses, in detail, the structure of each of these markets.
2.2. Forex market in India is predominantly a wholesale market, dominated by banks, forex
brokers and corporate clients. Customers are priced off-market by banks. Trading in forex and
related derivatives takes place OTC as well as on exchanges. Forex market is largely an OTC
market with an average daily volume of about USD 33 billion. Exchange traded forex
derivatives have an average daily volume of about USD 8 billion (Chart 2.1).
90
80
70
60
Per cent
50
40
30
20
10
0
2015-16 2016-17 2017-18 2018-19
OTC Exchange
3
2.3. In the interbank market, spot trading is the dominant segment with a share of over 50 per
cent in total turnover followed by swaps (Chart 2.2). In the client segment, forwards constitute
about 58 per cent of total turnover, followed by spot at 42 per cent (Chart 2.3).
Chart 2.2 - Forex Interbank segment - breakup of Chart 2.3 - Forex client segment - breakup of
turnover turnover
25 8
20
6
USD billion
USD billion
15
4
10
5 2
0 0
2.4. Major trading venues for interbank spot market are Reuters D2 and FX Clear, while forex
swaps are largely transacted outside platform on a bilateral basis. However, almost all
settlement in USD/INR markets (about 90-95 per cent) is guaranteed by CCIL.
2.5. Spot trading market is well distributed through the day, while in case of forex forwards,
volumes typically increase gradually during the day, with the last two hours having relatively
higher volumes (Chart 2.4).
Chart 2.4 - Forex - Time wise distribution of trading volume (Q4 FY 2018 - 19)
25%
20%
15%
10%
5%
0%
9 - 10 am 10 - 11 am 11 - 12 pm 12 - 1 pm 1 - 2 pm 2 - 3 pm 3 - 4 pm 4 - 5 pm
4
Exchange Traded Currency Derivatives (ETCD)
Currency Futures and Currency Options, are traded on all three domestic exchanges (NSE,
BSE and MSEI). Distribution of volume and open interest (OI) of currency futures across the
exchanges is given in Charts 2.5 – 2.6. Participants in the ETCDs market are majorly
institutions and are categorized as Proprietary Traders (Banks and Non-bank), Client and
FPIs. Distribution of trading volume and OI for different categories of participants are given in
Charts 2.7 – 2.8. Average daily volume in ETCDs is about USD 8 billion.
Chart 2.5 – USD/INR Futures - OI (Q1 FY2019-20) Chart 2.6 - USD/INR Futures - Volume (Q1 FY2019-20)
22%
77% 0.3%
Chart 2.7 - USD/INR Futures - OI (Q1 FY2019-20) Chart 2.8 - USD/INR Futures - Volume (Q1 FY2019-20)
Banks Banks
Proprietary Proprietary
traders traders
53%
(excluding (excluding
46%
banks) banks)
5
Money Market
2.6. Overnight money market in India includes the call money market, tri-party repos (TREPS)1
and market repos (Chart 2.9). The call money market trades bilaterally as well as on an
electronic platform, Negotiated Dealing System (NDS) – Call, managed by Clearing
Corporation of India Limited (CCIL). Likewise, in market repo, trading takes place bilaterally
as well as on an electronic trading platform – Clearcorp Repo Order Matching System
(CROMS). TREPS is traded entirely through an electronic dealing platform.
Chart 2.9 - Indian overnight Money Markets
NDS-call
Overnight Money
Call
Bilaterallly
Market
TREPS
CROMS
Market repo
Bilaterally
2.7. TREPS accounts for about 60 per cent of the total daily trading volume, while the call
market contributes about 10 per cent of the volume (Charts 2.10 and 2.11).
Chart 2.10 – Daily Average trading volume Chart 2.11 – Daily Average trading volume
100% 1,40,000
90% 1,20,000
80%
70% 1,00,000
Rs. crore
60% 80,000
50%
40% 60,000
30% 40,000
20%
10% 20,000
0% -
2.8. Participation across the three overnight markets varies. The call money market is purely
an inter-bank market with the sole exception of primary dealers (PDs). Mutual Funds are the
major lenders in TREPS (about 65 per cent of average daily lending). An overview of category-
wise participation in the three segments is provided in the following charts (Chart 2.12 – Chart
2.17).
1 Refers to CBLO prior to the date of introduction of TREPS (5th November, 2018)
6
Chart 2.12 – Call borrowing (2018-19) Chart 2.13 - Call lending (2018-19)
Public Sector
2% Banks 3% Public Sector
12%
8% Banks
Standalone
34% PDs Private Sector
27% Banks
Private Sector
26% Banks Co operative
Foreign Banks Banks
27% Foreign Banks
26% Others
Chart 2.14 – Market repo borrowing (2018-19) Chart 2.15 – Market repo lending (2018-19)
Chart 2.16 – TREPS borrowing (2018-19) Chart 2.17 – TREPS lending (2018-19)
Mutual Funds
Public Sector
Banks Insurance
9% Private Sector 9% Companies
4% Banks 4%
7% 6% Provident and
36% Mutual Funds Pension Fund
7% Trusts
9%
Financial Financial
Institutions 12% 62% Institutions
11%
Standalone Public Sector
25% PDs Banks
Foreign Banks
Others
7
2.9. There is variation in hourly trading volumes as well. Call market and repo are active during
the first hour of trade while TREPS sees concentrated trading during the last hour of trading
for members settling through DSB. An overview of average hourly trading activity across all
the three segments is provided below (Chart 2.18).
40,000
35,000
30,000
Rs. crore
25,000
20,000
15,000
10,000
5,000
-
2.10. Over the last two decades, the government securities (G-Sec) market has witnessed
significant changes like introduction of an electronic screen-based trading system,
dematerialised holding, straight through processing, establishment of the CCIL as the CCP for
guaranteed settlement, new instruments, changes in the legal environment, etc. These
changes have contributed to a rapid development of the market.
2.11. G-secs are currently traded on the Negotiated Dealing System – Order Matching (NDS-
OM), or bilaterally in the OTC market. The NDS-OM platform contributes around 81 per cent
of the total value of transactions, the remaining being in the OTC market (Chart 2.19).
8
Chart 2.19 - Share in total traded volume
90
80
70
60
Per cent
50
40
30
20
10
0
2013-14 2014-15 2015-16 2016-17 2017-18 2018-19
NDS-OM OTC
Source: CCIL
2.12. Central Government dated securities (CGs) form a dominant share (around 88 per cent)
in the total trading volume, followed by Treasury Bills (T-bills) and State Development Loans
(SDLs) (Chart 2.20).
Chart 2.20 - Share of CG, T-Bills and SDLs in trading volume
100
80
Per cent
60
40
20
0
2013-14 2014-15 2015-16 2016-17 2017-18 2018-19
Source: CCIL
9
2.13. Primary Dealers and banks are the major participants in the Government securities
market. The market share of participants is shown below (Chart 2.21 – Chart 2.22).
Chart 2.21 - Market share - Proprietary trades Chart 2.22 - Market share - Proprietary trades
(buy) (Mar-19) (sell) (Mar-19)
Insurance
Insurance Companie
Companie s
s 2%
3% Private
Private
Sector
Sector
Banks Mutual
Banks Mutual 20% Funds
23% Others Funds
Primary Primary 7%
4% 6% Others
Dealers Dealers
Source: CCIL Source: CCIL 3%
14% 18%
2.14. An overview of average hourly trading activity for 3 months is provided below (Chart
2.23).
Chart 2.23 - Time-wise distribution of trading volumes
19%
17%
15%
13%
11%
9%
7%
5%
10
Settlement Mechanism in G-Sec, Market Repo, TREPS and Forex Market
2.15. Call is settled bilaterally through RTGS, throughout the day. All secondary market
transactions in Government Securities, market repo and TREPS are settled through CCIL
which acts as a central counterparty (CCP). CCIL also acts as a CCP for the forex markets.
(Chart 2.24 – 2.25).
Direct Funds
Settlement member- pay-out,
process Securities Securities
begins - pay-in at pay-out at
2.30 pm- RBI – 3.20- RBI –
2.45 pm 3.30 pm 3.45 pm
Netting completed -
1.40 PM
11
3. Review of Market Timing
3.1. While the decision of market timings is best left to market participants, there is a need to
review market timings across all products and funding markets to ensure that they complement
each other and thereby avoid unanticipated frictions. Further, extension of trading hours would
depend on availability of an efficient and adequate support infrastructure in terms of trading,
clearing and settlement. Issues like margin calls, posting of margins, line of credit etc., in an
extended market timing scenario need to be considered. Since major payment systems in
India (RTGS and NEFT) are available till 7 pm and funding markets (call, TREPS and repo)
are all closed by 5 pm, any unanticipated margin calls or funding requirement beyond 5 pm
could pose a challenge to the cash and risk management of exchanges or market participants.
Similarly, it will have cost implications for various stakeholders such as banks, brokers,
custodians, regulators etc., in terms of availability of infrastructure and manpower. This section
discusses in detail the various aspects relating to extension of market timings, their
implications, and the possible path ahead.
3.2.1. FEDAI has stipulated market timings for inter-bank USD/INR forex transactions from 9
am to 5 pm2 (Table 3.1). However, Authorised Dealers3 are permitted to accept retail
transactions beyond these timings. There are no restrictions on timings for transactions in
cross currencies. Banks can decide the trade timings based on their internal policies.
2 Guidelines for ‘Internal Control over Foreign Exchange Business’ dated February 03, 2011
3Authorised Dealers means a person authorised as an authorised dealer under Sub-section (1) of
Section 10 of FEMA.
12
Broad Objectives of Market Hours
3.2.3. A comprehensive review of timings in the forex market is considered desirable for the
reasons discussed here.
3.2.3.1. Increased volume in offshore markets: Gradual integration of the Indian economy
with the global economy and increased interest of foreign investors in Indian markets aided
by a liquid USD/INR forex market, have led to growing volumes in Rupee trades in the offshore
markets. Volumes in the offshore currency futures markets, have steadily increased during
last 3-4 years vis-à-vis on-shore exchanges (Chart 3.1). Market share of domestic exchanges
in USD/INR futures has come down from about 74 per cent in 2014-15 to 56 per cent in 2018-
19. Similarly, offshore markets for non-deliverable forward (NDF) in financial centres such as
Singapore, Hong Kong, Dubai and London have seen sizable growth and, as per BIS Triennial
Survey 2016, NDF turnover stands at about USD 16 billion on a daily basis.
Several enablers such as ease of capital flows, conducive tax environment, operational/
administrative convenience, enabling regulatory environment (onboarding of investors,
product design and offerings) longer trading windows, etc., have facilitated growth of NDF
markets in various currencies in international financial centres. Offshore markets provide
several advantages over onshore markets. The capital control regime requires that entities
with Rupee exposure can access the onshore market for hedging. Even for hedgers,
administratively, there is a natural incentive to operate in the offshore market so as to leverage
their existing settlement as well as collateral arrangements through centralised treasuries.
Product related restrictions in the onshore market e.g., swaps and structured options are not
allowed to non-residents for hedging, may also limit the product choices for non-resident.
13
Offshore Rupee derivative market is virtually a 24 hour market and, therefore, non-residents
have the flexibility to execute and unwind hedge contracts during their working hours.
However, onshore market timings may not be a suitable window as per their time zone. Thus,
the ability to dynamically manage risk in the offshore market, makes NDF markets attractive
for non-residents. Apart from this favourable tax laws may also be an important determinant
in choice of trading market.
1200
1000
800
USD billion
600
400
200
0
2014-15 2015-16 2016-17 2017-18 2018-19
Domestic Offshore
Source: Exchanges
3.2.3.2. Longer trading window in offshore markets: Total investment by Foreign Portfolio
Investors (FPIs)/Foreign Direct Investors (FDIs) in India has grown significantly in the last 15-
20 years. However, onshore hedging activities of non-residents have been low with forward
outstanding currently at around USD 6 billion as compared to the investment at USD 80 billion.
There is a possibility that non-residents prefer offshore markets to hedge their Rupee risk,
because of centralised treasuries, ease of regulatory and taxation requirements, non-
availability of onshore markets during their time zone, etc. Trading hours of onshore forex
markets, especially the exchanges, are shorter in comparison to offshore exchanges which
offer Rupee contracts (like DGCX, SGX, CME, ICE, etc.) (Table 3.2). These exchanges are
located at major financial centres and offer a variety of products. Incidentally, although Rupee
trades for 17-23 hours on these exchanges, the majority of the volume (72-87 per cent) takes
place during Indian trading hours (Table 3.3).
14
Table 3.2 - Comparison of Rupee trading hours Table 3.3 - Trading of Rupee Futures across exchanges
During Beyond
Trading Hours Duration Indian Indian
Trading Venue Venue
(India Time) (approx.) Trading Trading
Hours Hours
NSE,BSE,MSE 9:00 am to 5:00 pm 8 Hours DGCX (Normal) 72% 28%
DGCX USDINR
DGCX 8:30 am to 1:30 am 17 Hours 80% 20%
(Mini)
SGX 4:30 am to 2:15 am 21 Hours DGCX USDINR
72% 28%
CME 3:30 am to 2:30 am 23 Hours (Quanto)
Total-DGCX 72% 28%
ICE 6:30 am to 4:30 am 22 Hours
SGX 87% 13%
Source: Exchanges
The current market hours for USD/INR spot/ forward/ options, starts at 9 am and closes at 5
pm, with customers being able to access the USD/INR market till 4:30 pm. These current
timings overlap with the trading hours of Asian markets (including their closing) as well as first
half of a European trading day. This allows Indian markets to have a reasonably good price
discovery based on news in global markets during these hours. There are, however, some
market hours, especially the US market opening (after India closes) and Asia opening (before
India opens), during which the Indian markets are shut, which have a bearing on the prices in
Indian markets.
Further, domestic OTC markets in most economies have regulated market hours and a review
of the spot market timings data for emerging Asian economies indicates that the trading hours
vary in the range of 6-9 hours (Chart 3.3). Indian forex markets remain open for 8 hours which
is similar to most Asian markets. Even in case of major currencies (G-10 currencies) which
are traded 24 hours across the globe, domestic markets in each country are open for a limited
time period and activity is transferred from one place to another. For instance, activity for
EUR/USD, for an internationally active bank, would shift from its London desk to NY desk after
close of trading (in London). Further, as mentioned earlier, USD/INR volumes on the off-shore
exchanges are also concentrated during Indian trading hours. As a corollary, any extension of
domestic market hours might lead to higher volumes in off-shore exchanges.
15
Chart 3.3 - Trading hours of forex spot market across the globe (in IST)
Sydney
Tokyo
Sri Lanka
Thailand
Malaysia
Korea
Indonesia
India
Bangladesh
London
New York
00:00 02:00 04:00 06:00 08:00 10:00 12:00 14:00 16:00 18:00 20:00 22:00 00:00
Source: FEDAI
3.2.3.3. Onshore markets fail to capture major international events: Domestic markets
are closed during important currency trading sessions such as New York time and Tokyo time.
Hence, any major domestic or international event or data release during hours when the Indian
markets are closed, are not priced in by the residents and this may impact the opening rates
of the Rupee. In extreme cases, it may manifest in a gap-up or gap-down at market opening,
on the next day. While traders in offshore markets are able to price the information as and
when it is released, an onshore trader is at a disadvantage. Commodity hedging market in
India operates till 11.30 pm and hence prices in international developments completely. This
enables commodity hedging domestically, but the corresponding currency exposures remain
unhedged as forex market is closed.
As seen in Chart 3.2, the opening price of USD/INR (near month contract) on NSE is generally
closer to the previous closing price on DGCX than the previous end of day price on NSE. This
is understandable as trades in DGCX price in information generated after NSE closes. Quick
and effective assimilation of information is likely to make markets more efficient in terms of
price discovery, reduction in volatility and impact cost.
However, based on a study spanning the period from 1998 to 2018, the average intra-day
volatility (Closet+0 – Opent+0) is 13 paise while the average overnight volatility (Opent+1 –
Closet+0) is 6 paise. More significantly, there are substantially more days of high intra-day
volatility than high overnight volatility. Roughly, 85 per cent of exchange rate volatility occurs
during domestic market hours; perhaps even more because off-shore volatility is exaggerated
due to relative illiquidity post Indian trading hours.
16
Chart 3.2 - Comparison of USD/INR Futures prices at NSE open
with NSE close and DGCX close
14
12
Absolute change in paisa
10
0
2015 2016 2017 2018 2019
Source: Bloomberg
3.2.3.4. Offshore NDF markets impact on onshore price: Over a period, regulations have
been liberalised to permit Rupee invoicing of trades, Rupee borrowings under the External
Commercial Borrowings (ECB) route, issue of Masala Bonds, centralised hedging etc., which
have increased Rupee exposure of non-residents. There is evidence that onshore exchange
rate, especially in times of volatility, is guided by the price movements in offshore markets. A
2013 RBI working paper4 on inter-linkages between onshore and offshore NDF markets shows
that when Rupee is appreciating, there is a bi-directional relationship between the two
markets, while there is a unidirectional impact of NDF market on onshore market when the
Rupee is depreciating. The results indicate that with increasing volumes of NDF market, the
rupee is likely to become more prone to shocks emanating from overseas markets. The Group
also carried out an empirical analysis to assess the impact of NDF closing prices on the forex
opening prices in the domestic market for the period 2010 – 2018 (Annex I). The assessment
indicated a strong bi-directional causality between NDF prices and onshore forex prices, which
is statistically significant. The dynamic relationship between the NDF closing prices and
domestic forex opening prices are also estimated through an unrestricted vector auto
regression (VAR). The estimated impulse response shows that a one standard deviation shock
4RBI WPS (DEPR): 11/2013: NDF and Onshore Indian Rupee Market: Study on Inter-Linkages
17
in NDF closing prices results in an increase of about 22 basis points in forex opening prices
on the following day which gets muted after one day and peters out thereafter.
Extension of domestic market timings could help domestic markets to become less prone to
external price fluctuations. However, for this to happen, along with extension of market hours,
other complementary measures which are underway viz. flexibility to non-residents to access
onshore interest rate market and forex hedging markets, need to be expedited.
3.2.4. Impact of extension of trading hours, primarily for USD/INR trades, are discussed here.
Advantages
a) Globally, OTC forex markets in major currencies (G10 currencies) are open round the
clock. The growing volumes in Rupee on offshore exchanges (Chart 3.1 above) indicate
that there is reasonable offshore demand for Rupee exposure. Further, internationally
forex markets are quite active when New York and London times overlap, but the domestic
Rupee market is closed during these hours. Extension of trade timing could help in
effective assimilation of international developments and help make the domestic markets
less prone to the to external price fluctuations in Rupee. This would also imply effective
exchange rate management policy.
b) Prices would reflect significant developments during extended hours enabling domestic
entities to manage risk more efficiently.
Disadvantages
a) There could be less informed price discovery during extended hours due to lower liquidity
and lower number of active market participants.
b) Efficient pricing in futures markets requires live spot market in the underlying. If the OTC
market is closed, inefficient pricing and their illiquidity could lead to volatility, price
overshoots and the associated costs.
c) Keeping the spot market open would involve costs for participant banks, brokers etc. It
may also require that the funding markets are kept open, further raising market costs. All
these cost increases, since they are eventually passed on to customers, raise the cost of
market access in the long run.
18
3.2.4.2. Impact on Cost
Advantages
a) Though there will be initial costs, there are long term benefits in terms of market
development. Banks may minimise the cost through review of process flows,
centralisation of activities, etc. Banks may decide to participate in extended trading
hours based on their internal policy. Further, with improved liquidity in the market over
time, the costs may get reduced. Further, calibrated extension may help in limiting
costs to some extent.
Disadvantages
a) Any extension of trading hours could entail costs for various banks, brokers, custodians,
regulators, etc. in terms of infrastructure, back office processing and human resource. Not
only Treasury Front Office, but various other supporting departments of banks (e.g.
Clearing, B/O, M/O, Trade Finance, IT) may need to remain open during extended hours.
There could be a need for keeping the branches open to process the documentation and
related activities. The attendant costs could outweigh the benefits. A similar analysis by
Tokyo Stock Exchange (TSE) suggested that the early opening or extension of trading
hours may have higher cost than benefits. Thus, TSE reduced the noon recess to allow
additional trading time instead of extension of market timing. (Annex III).
b) .(To be discussed)
The extent of additional cost due to extended business hours could not be quantified.
However, as per market feedback, extension may not have benefits commensurate with
increase in costs, at least initially.
3.2.5.1. Discussion with market participants indicate that market has a mixed view on the
benefits of extension in market timing. While, the large corporates believe that extension in
market timing may enable them to manage their risk efficiently, the smaller corporates appear
to be indifferent to the same. The feedback from banks, which are the major market makers,
is also not unanimous. Some of them believe that extension in market timing need not impact
volumes substantially and may lead to spreading of the volumes across extended hours.
Extension in market timing could entail higher infrastructure cost to stakeholders, viz., banks,
brokers, exchanges and regulators. With, most of the turnover in offshore exchange traded
19
rupee derivative market taking place during onshore market hours and limited market hours
in most of the other emerging markets, suggests that any extension in market timings needs
to be calibrated carefully.
As discussed in para 3.2.3.1, though several factors contribute to growth in NDF markets,
availability of longer market hours is one of the major determinants. The current forex market
regulations are being reviewed and rationalised to allow greater flexibilities to both residents
and non-residents in terms of products choice, positions, purpose and participation etc..
Recently the Reserve Bank has also constituted a Task Force to examine the offshore Rupee
market and recommend measures to incentivize the non-residents to hedge in the onshore
market.
It is felt that extension in market timing will complement these policy measures aimed towards
improving access to onshore markets and better position onshore markets vis-à-vis offshore
markets in terms of efficiency, liquidity and price discovery for non-residents. This assumes
importance as growth in the external sector and increased internationalisation of rupee, likely
to increase trading interest and investor base in Rupee going forward. This is evident from
introduction of Rupee products in several offshore exchanges. Extension of market timings
may enable shift of some of the offshore volumes to onshore markets thereby improving
domestic market liquidity, if not immediate but over medium to long term period. Experience
from some of the exchanges viz., Hong Kong Exchange (HKEx), points to positive impacts on
the volume on account of extension of market timing. Further, from the perspective of
residents, the benefits could be in form of improved price discovery, reduction in volatility
during opening hours, efficient hedging, etc., due to improved assimilation of international
development. Better price discovery coupled with improved liquidity over a medium to long
term horizon, may allow domestic market prices to become less prone to external price
fluctuations in Rupee. It is therefore desirable to explore calibrated opening of markets
to gauge demand and potential benefits.
3.2.5.2. Markets segments to be extended: Clients generally prefer the OTC market for
hedging their risks as it gives flexibility in terms of size and tenor of contracts. The IWG
examined the potential issues of extending the timing of exchanges only, leaving the OTC
market unchanged. It is operationally easier to extend timings on exchanges as they already
have some segments open in extended hours. However, longer market timings for currency
futures over OTC (spot) market will create asymmetry between the underlying market and the
futures market, which could possibly lead to higher volatility during the non-overlap timing.
This is because in the absence of OTC (spot) markets, the price discovery in futures market
could be purely based on the trading interests of entities dealing in extended hours. Such
prices therefore may not be a true reflection of the underlying interest. Similarly, while the
20
future market would rapidly converge to the spot plus carry at the next spot open, when the
spot market resumes its role as a price setter, it could still influence the opening on the next
date.
Further, banks are active participants on both - exchange and OTC currency markets; they
hedge their economic positions in both OTC (options and forwards) and exchange traded
(futures and options) segments within the assigned limits. Extension of exchange timings
without corresponding extension in the OTC market could subject overnight positions of banks
to excess valuation changes. Besides, the presence of customers, sensitive to volatile prices,
would ensure that the banks stay active on exchanges also. Therefore, it is desirable to
extend trading hours for both OTC and Exchanges.
3.2.5.3. Preferred revised timings: In the event of extension of forex trading hours, the
trading hours may be such that they cover EU and US sessions’ overlap as this will facilitate
to sufficiently capture movements in European markets and part of US markets (Table 3.4).
This would also be beneficial from the perspective of limiting infrastructural costs, human
resource cost and administrative costs.
IWG was of the opinion to extend the OTC forex and exchange traded currency
derivatives markets till 9 pm.
3.2.5.4. Need for aligning corporate and inter-bank trading hours: Currently, inter-bank
trading hours in USD/INR are longer than customer window by 30 minutes (till 5 pm). This
arrangement has worked well for banks. The Reserve Bank has been receiving suggestions
to allow banks to extend USD/INR trading window to corporates beyond 4.30 pm. The IWG
21
explored the feasibility of aligning inter-bank and customer window. Banks are of the view that
the gap between inter-bank and customer window is needed to cover customer positions in
the inter-bank market. Banks will find it difficult to cover, in case there are large customer
transactions at the closing moments of market. Further, this window allows banks to manage
NOPL and regulatory requirements. Hence, banks are of the view that for efficient
management of risks, inter-bank trading hours should be slightly greater than the customer
timings.
In several jurisdictions there is no gap between inter-bank and customer window. Currently
also, AD banks are permitted to accept retail transactions in USD/INR beyond 5 pm. There
are no time restrictions for transactions in cross currencies. However, the market may still
force banks to a uniform time-line as customers may shift to banks with larger trading window.
The IWG suggests that the current structure of client and inter-bank timings - i.e. longer
inter-bank timings by 30 minutes - may be continued as this window allows banks to
manage their risks.
Tri-party Repo Tri-party Repo T+0 9:00 am 2:30 pm Entities settling funds
Dealing Order at Settlement Bank
Matching
T+0 9:00 am 3:00 pm Entities settling funds
Platform
at RBI
22
Cross Country Comparison
3.3.2. For many other Asian economies, like Indonesia, Malaysia, South Korea and Hong
Kong, interbank money markets are open till about 4 pm to 6:30 pm (local time), akin to that
in India. The cut-off timings for payment systems (for customer transactions), in many of these
jurisdictions, is before closure of money markets. However, in certain jurisdictions, including
China, Thailand and Vietnam, retail payment systems remain open post closure of money
markets.
Review of timings
3.3.3. The committee reviewed the money market timings from the perspective of – 1)
alignment of timings across various segments; 2) alignment of timing for members settling at
RBI and members settling at DSBs; 3) intraday liquidity challenges due to sequencing of
settlements; and 4) challenges for benchmark calculation.
3.3.4. It is desirable that the various segments of money markets remain open for a similar
time window so that participants have options to access collateralised or uncollateralised
funding as per their need. It may also alleviate pressure on any particular segment that
remains open after closure of other market segments, which could happen in case of separate
timings for different funding markets. However, different settlement mechanisms for
collateralised (market repo and TREPS) segments and uncollateralised (call) segment pose
challenges in alignment of timings. The settlement of transactions in market repo and TREPS
takes place along with secondary market transactions in securities segment. Multilateral
netting of funds and securities results in high degree of netting benefits for market participants
in terms of liquidity requirement. Further, sufficient time is also required after completion of
securities settlement so as to facilitate market participants to repay their intra-day credit lines
availed from banks. Thus, availability of large value payment systems, such as RTGS, is
essential for efficient functioning of the collateralised funding markets.
Currently, funding markets in India remain open for about six to eight hours, which is
comparatively on par with most emerging Asian economies. However, with the extension in
customer RTGS timings till 6 pm and collateralised funding markets available till 3 pm, high
value customer payments may entail liquidity management issues for banks. Extension of
RTGS customer window provides scope for extension of collateralised money markets. Taking
23
into account the need for settlement in collateralised segment prior to closure of RTGS
customer window, IWG suggests that market repo and TREPS may be extended till 4 pm.
As call market transactions are settled bilaterally through RTGS, extension would not require
any modifications in the supporting payment and settlement systems. Hence, IWG
recommends that the call market timings may be extended till at 6 pm co-terminus with
RTGS customer window, by which time high value payments are expected to get over. Banks
may manage unanticipated their liquidity, post 6 pm, by accessing RBI’s MSF window or
reverse repo facility.
Alignment of timing for members settling at RBI and members settling at DSBs
3.3.5. Market repo and TREPS close at 2:30 pm and 3 pm respectively. However, entities
settling their fund positions at Reserve Bank have an additional 30 minutes in the TREPS
market beyond 2:30 pm. To increase synergy between the collateralised funding segments,
timings for all participants may be aligned. Alignment in timings may, however, pose some
operational challenges in current DSB structure. Thus, IWG recommends that the current
difference in timings for DSB members may be continued. This may be reviewed once
clearing member structure is introduced by CCIL.
3.3.6. Primary auctions and OMOs settle at about mid-day while securities settlement takes
place at the end of the day. This sequencing of settlements may increase the intraday liquidity
needs of the system as some market participants may have payable position in one settlement
and receivable in another. Hence, IWG recommends that settlement time of primary
auction/OMO may be shifted from current (around 12 pm) to a later time (afternoon) of
around 4 pm. Alternatively, the option of merging the settlement for OMOs (non-guaranteed
basis) with that of secondary market in G-sec (guaranteed), may also be explored by taking
into account various legal and operational issues. This would help in reducing the overall
liquidity requirement and improving the netting efficiency.
3.3.7. Secondary market trading in Commercial Papers (CPs) and Certificate of Deposits
(CDs) take place OTC and are reported on CCIL’s F-TRAC platform. Currently, Financial
Benchmark India Private Ltd (FBIL) calculates the benchmark rates for CDs and takes the cut-
off time as 5 pm. To streamline benchmark rate calculation, cut-off time for CP, CD
24
secondary market trading should be fixed at 5 pm, thereby aligning it with other segments.
FBIL may be accordingly advised to take trades reported till 5:15 pm on the F-TRAC platform
for benchmark rates calculation.
3.4.1. Currently, the dealing hours for the secondary market transactions on NDS-OM and
OTC are from 9 am to 5 pm for all the members and the settlement is usually on T+1 basis
(FPIs are permitted to settle on T+1 or T+2 basis). Settlement is completed by 4 pm on DvP
III basis. Settlement of primary auction and OMO takes place in RBI at about 12 pm. Daily
trading volumes are well distributed during the day with slightly higher share in the first and
the last hour of the trading. Trading data for (old) 10-year benchmark (7.17 per cent GS 2028)
for the month of March 2019 is as below (Table 3.6).
Table 3.6 - Trading data for (old) 10 – year benchmark (March 2019)
% Share of
Traded
Traded
Cover (Rs. Short sell Net Cover volume vis-
Time Slot Volume (Rs.
Cr.) (Rs. Cr.) (Rs. Cr.) à-vis Grand
Cr.)
total (Rs.
Cr.)
25
Cross Country Comparison
3.4.2. IWG examined the G-sec market trading hours in other comparable Asian markets.
The current trading hours in Indian markets are comparable, or longer compared to the trading
hours in some of these Asian bonds’ markets. Interestingly, some of the markets have an
intraday break in between (Table 3.7).
Table 3.7 - Bond market timings in other jurisdictions
Review of Timings
Review of G-sec market was undertaken mainly from the perspective of 1) better integration
of market moving news/information and ease of participation for non-residents in G-Secs, 2)
impact of ND-OIS prices on on-shore prices and 3) Occasional requests for permitting T+0
settlement for secondary market transactions.
3.4.3. Major data in respect of US market (NFP data, FOMC minutes, etc.), which lead to
movement in treasury yields, are released post the closing of domestic G-Sec market. Current
market timings do not allow market participants, especially the FPIs, to adjust their
investments immediately based on the news/events in international markets. Further, there is
a growing non-deliverable overnight indexed swaps (ND-OIS) offshore market, which may
influence the onshore market. Empirical study by the IWG indicated that there is a strong
unidirectional causality from ND-OIS closing rates to domestic opening rates. On settlement
26
side, there have been occasional requests to permit T+0 settlement for secondary market
transactions which may facilitate funding unanticipated requirements.
3.4.4. There have been no requests from any market participants seeking extension of
market hours for G-sec trading. Most of the FPIs investing in India already have Asian base
and therefore extending the timings may not lead to larger volume. The feedback from the
market is that current timings are more than adequate. Therefore, IWG recommends to
retain the current market timings.
3.4.5. T+0 transactions can be supported by NDS-OM platform and may be undertaken. But,
introduction of T+0 settlement on the NDS-OM platform may result in fragmentation of the
liquidity between segments. This may impact the pricing of the securities and result in wide
bid-ask spreads. However, the committee discussed exploring the feasibility of allowing
market participants to transact in G-sec on T+0 basis on DvP 1 mode for meeting their funding
requirement. This facility could be provided by linking the securities settlement system (e-
Kuber) and RTGS.
27
4. Impact on clearing, settlement and risk management
4.1.1. Post-trade services like clearing and settlement play a crucial role in ensuring that the
obligations on account of entering into a trade are properly discharged. Further, the risk
management systems and processes are integral in eliminating (or minimising) risks
associated with trading. This chapter examines the impact of the recommendations by the
IWG on underlying post-trade and risk management processes and systems.
4.1.2.1. The revised forex market timings as recommended by the IWG have been provided
in Table 4.1.
Table 4.1 - Market timing (current and revised) in interbank forex market
4.1.2.2. In the OTC segment, as the deals during the extended hours would be for value date
Tom and beyond, there would be little impact on current settlement process. However,
extension in market timings will lead to corresponding increase in CCIL’s (CCP’s) day end
processing like MTM valuation and margin calls etc. As supporting payment systems will not
be available during this extended hours, CCIL will be required to review its risk management
framework and processes, especially those relating to margin calls.
4.1.2.3. Exchanges may also have to suitably amend their settlement systems to tackle longer
hours. Exchanges with longer trading hours, like HKEx (Annex III), consider trades executed
during the extended hours as T+1 trades which are cleared and settled the following day.
Currently the clearing house of exchanges levy initial margin and other margins at the time of
transactions. Margins on a portfolio client level are computed on a real time basis and adjusted
from the collateral of clearing members. Post extension of timing, margin requirement for
portfolio change may have to be planned in advance and provided by the clearing members,
as payment systems (NEFT and RTGS) will not be available post 7 pm.
28
4.1.3. Money market
4.1.3.1. The group has recommended extension of timings for both collateralised and
uncollateralised segments of the money market. The revised timings, along with the current
timings are provided in the Table 4.2 .
Table 4.2 - Market timing (current and revised) in money market (T+0 settlement)
4.1.3.2. Extension in timing for collateralised segments of the money market, for T+0
settlement, will concurrently extend the entire securities settlement process. Settlement
process, which currently gets over by 4:00 pm currently, will be completed by around 5:00 pm,
post extension. However, the availability of large value payment system (RTGS), till 6:00 pm,
will ensure that members availing intraday credit lines, from settlement banks, have an hour
(5:00 – 6:00 pm) window to close those lines.
4.1.3.3. Further, extension of call market timings (to 6:00 pm) will not require any modifications
in the supporting clearing and settlement systems, since transactions are settled bilaterally
through interbank RTGS. As call market is uncollateralised, risks arising from counterparty
exposure is borne by members. Hence, no additional risks will arise only because of extension
in timings.
4.1.3.4. The group has recommended that settlement time of Primary auction/OMO may be
shifted from current (around 12:00 noon) to a later time (afternoon) of around 4:00
pm. Settlement of OMO is on DvP basis. Thus, in case a counterparty fails to deliver the
securities/funds, it will be excluded from the settlement process. Hence the change in timings
may not require any system changes.
4.1.4. G-sec market
The group has not recommended any revision in timings for the G-sec market.
29
5. Summary of recommendations
5.1.1.1. As discussed in para 3.2.5.1, market has mixed views on the benefits of extension of
market timing. While the extension of market timings is expected to provide benefits such as
better pricing of post market hours information/data, improved onshore price discovery, and
possible shift of offshore volumes to onshore, there is a view that it may entail higher costs to
stakeholders. However, since RBI is in the process of reviewing and rationalising foreign
exchange regulations to provide flexibility in terms of choice of products, participation,
positions, etc., both for residents and non-residents, extension of market hours would
complement these policy measures. Thus, calibrated extension of market hours, and to begin
with revised market timings of 9 am - 9 pm, may be considered to gauge demand and potential
benefits. (Para 3.2.5.1 and 3.2.5.3)
5.1.1.2. It is operationally easier to extend timings on exchanges as they are already offering
extended market hours for commodity and derivative segment. However, foreign exchange
market in India is predominantly over-the-counter (OTC) and hence prices in thinly traded
exchanges could be more volatile in the absence of OTC market. Extension of exchange
timings without corresponding extension in the OTC market could pose risk management
issues (valuation and open position) for banks operating in both markets. Therefore, it is
desirable to extend trading hours for both OTC and Exchanges. (Para 3.2.5.2)
5.1.1.3. Timings for both inter-bank and client segments may be extended and the current gap
of 30 minutes between inter-bank and client segments may be maintained to allow banks to
manage their risks. (Para 3.2.5.4)
5.1.2.1. With extension in RTGS customer window till 6:00 pm, the timings for collateralized
money market segments (market repo and TREPS) may be extended till 4:00 pm. (Para 3.3.4)
5.1.2.2. Call market timings may be extended till 6:00 pm, co-terminus with RTGS customer
window, to facilitate liquidity management by banks. (Para 3.3.4)
5.1.2.3. To increase synergy between the collateralised funding segments, timings for all
participants (members settling at settlement banks and members settling at RBI) may be
30
reviewed and synchronised, once clearing member structure is introduced by CCIL. (Para
3.3.5)
5.1.2.5. To streamline benchmark rate calculation, cut-off time for Commercial Paper (CP) and
Certificate of Deposits (CD) secondary market trading should be fixed at 5:00 pm, thereby
aligning it with other segments. (Para 3.3.7)
5.1.3.1. The current market timings for G-sec markets may be retained, on account of lack of
demand from participants. (Para 3.4.4)
5.1.3.2. The feasibility of facilitating securities transactions on T+0 basis on a DvP I mode may
be examined for facilitating funding needs of market participants. (Para 3.4.5)
31
Annex I
Empirical Results on Market Timings - Impact Analysis5
a) Impact of NDF closing prices on onshore forex opening prices: The empirical exercise
to assess the impact of NDF closing prices on the forex opening prices in the domestic market
is based on pair-wise Granger Causality tests on daily data with one period lag covering from
January 1, 2010 to October 12, 2018. The estimated results reveal strong bi-directional
causality, which is statistically significant at 1 per cent level of significance (Table 1).
Table 1: Pairwise Granger Causality Tests
The dynamic relationship between the NDF closing prices and forex opening prices are also
estimated through an unrestricted vector auto regression (VAR). The estimated impulse
response shows that a one standard deviation shock in NDF closing prices results in an
increase of about 22 basis points in forex opening prices on the following day which gets
muted after one day and peters out thereafter. The impulse response function is also
statistically significant as it lies within the standard error band (Chart 1).
Chart 1: Impulse Response Analysis
Response of DINRUSDO to D1MNDFC
.20
.15
.10
.05
.00
-.05
1 2 3 4 5 6 7 8 9 10
5
The appropriate empirical exercise was carried out after testing the stationary properties of the variables under
consideration. The Augmented Dickey-Fuller tests reveal that the variables are stationary in first difference (which
reflects the returns).
32
b) Impact of ND-OIS closing rate on onshore G-sec opening rate: A similar exercise to
assess the impact of ND-OIS closing rate on the opening yield of benchmark 10-year G-sec
paper, based on pair-wise Granger Causality test (on daily data covering from January 2, 2012
to October 12, 2018), reveals strong unidirectional causality (with one period lag) running from
ND-OIS closing rate to opening yield of benchmark 10-year G-sec (Table 2).
The strength of the relationship between the ND-OIS closing rate and the opening yield of
benchmark 10-year G-sec as estimated from an unrestricted VAR shows that a one standard
deviation shock in ND-OIS closing rate leads to a marginal increase of around 1.5 basis points
in the opening yield of G-sec the following day, which dies down after three days. This
response is also found to be statistically significant (Chart 2).
.06
.05
.04
.03
.02
.01
.00
-.01
1 2 3 4 5 6 7 8 9 10
33
Annex II
Literature Survey
Several studies exploring the impact of periodical market closures suggest that such closure
may induce delay in incorporation of information into stock prices, which can widen the
divergence between stock prices and fundamental values (price efficiency). It may also cause
excessive volatility in stock returns on an intra-day basis, especially at the beginning and end
of the trading session (Kyle, 1985; Glosten and Milgrom,1985; and Easlay and O’Hara, 1992).
Moreover, a skewed trading pattern in NASDAQ i.e., high trading volume – especially at the
open and close of the regular-hours – calls for extension of trading hours to mitigate market
inefficiencies (Jain and Joh, 1988). Furthermore, it is found that trading after regular business
hours introduces noise resulting in higher bid-ask spreads and inefficient price discovery.
Thus, announcements after market hours are likely to generate greater price volatility (Barclay
and Hendershott, 2003).
34
Annex III
Case Studies related to Extension
Case Study 1: After-Hours Trading (AHT) at Hong Kong Exchanges and Clearing Limited
In May 2011, Hong Kong Exchanges & Clearing Limited (HKEx) released a Consultation Paper in which
it proposed to introduce an after-hours trading session for its futures market (T+1 Session), which would
begin at 4:45 pm (30 minutes after the close of regular trading session or T Session) and end at 11:15
pm
The HKEx proposed that after the close of the T+1 Session, 30 minutes will be allowed for performing
post-trade activities. Further, all trades transacted in the T+1 Session would be registered as T+1 trades
and would be cleared and settled on the following trading day.
The Exchange also mentioned that it did not have any intention of introducing after hours trading in the
cash market as it is not a common practice among major stock exchanges.
The After-Hours Trading Session was launched on 8 Apr 2013. The closing time for the AHT was fixed
at 11 pm.
The AHT has been well received and in the 6 years since its inception:
• The Exchange has extended the timings of AHT, in phases, to close at 1:00 am.
• The instruments which could be traded during AHT were also increased and today include equity
index futures, currency futures, commodity futures, gold futures and iron ore futures.
• After-hours derivatives trading volume increased by nearly 12 times to more than 83,000
contracts.
• Session’s volume rose from about 4 per cent of the day trading volume in 2013 to about 20
percent (till Apr, 2018).
• Eighty-five per cent of HKFE participants participated in the after-hours session.
References
• Consultation Paper on After-Hours Futures Trading - HKEx
• https://www.hkex.com.hk/News/News-Release/2018/180410news?sc_lang=en
35
Case Study 2: Tokyo Stock Exchange - Extension of Trading Session
The Tokyo Stock Exchange is the fourth largest stock exchange in the world and largest in Asia, by
total market capitalisation. Till 2010, the normal daily trading hours comprised a morning session
(9:00 am - 11:00 am) and afternoon session (12:30 pm - 3:00 pm). The trading hours were extended
in 2010 when the noon recess was shortened from one and a half hours to one hour by extending
the close of morning session from 11:00 am to 11:30 am.
Revised Timings
Old Timings
In July, 2010 a discussion paper regarding the extension of trading hours was released by the TSE,
in which four approaches were proposed for extending the trading hours: (1) Abolishing/ shortening
the noon recess; (2) Introduction of night-hour trading for the equities market; (3) Extension of the
evening session hours for the derivatives market (an evening session, apart from morning and
afternoon session was in existence for the derivatives market); and (4) Early opening of the morning
session.
The probable impact of the changes on factors like liquidity, trading practices, price discovery,
system adjustments etc. were analysed. The impact on consistency between cash and futures
markets was also discussed. Based on the analysis and feedback of market participants, the
decision to shorten the noon recess was taken while not making any other changes.
1. The trading hours of the TSE were relatively shorter than those of other major exchanges. For
instance, in 2010 the TSE was open for a total of four and a half hours, while NYSE and LSE
were open for six and a half hours and eight and a half hours respectively. Hence, TSE felt it
imperative to seriously look into extending trading hours.
2. However, due to the costs outweighing the benefits, proposal 2, 3 and 4 were discarded.
3. The noon session was shortened. However, it was not abolished due to high demand for trading
executions by the ‘Itayose’ method at the closing of the morning session and the opening of the
afternoon session. The Itayose is a kind of call auction which generates a certain amount of
liquidity during the aforementioned intervals.
4. The morning session for derivatives trading was aligned with the cash market and its closing
time was extended from 11:00 am to 11: 30 am. Further, citing the reason that the equity index
futures were already being traded during the noon recess, the afternoon session opening time
was revised to 11:45 am from 12:30 pm.
References
• Discussion Paper regarding the Extension of Trading Hours - July 26, 2010 - TSE
• Partial Revision of Trading Hours - November 24, 2010 – TSE
36
Case Study 3: Montreal Exchange
In November, 2017 the Montreal Exchange proposed an extension in the trading hours for interest
rate derivative products. It noted the increasing demand internationally for Canadian securities. It
observed that international and Canadian clients could not hedge Canadian assets at non-Canadian
business hours, while international events could affect asset values at all hours. Hence, it proposed
preponing the exchange opening time by 4 hours to align it with the London opening.
The clearing process was reviewed and it was proposed that the Canadian Derivatives Clearing
Corporation (CDCC) will add an intra-day margin call at 7:15 am.
The Exchange expressed its concerns about liquidity during the extended hours in the initial days.
It mentioned that it was open to partnership with domestic and international firms for developing
liquidity through a slew of approaches such as market making, volume rebates etc.
Additionally, the Exchange also discussed that the surveillance and operations departments will be
adequately staffed to remain open during the extended hours, in order to ensure market integrity.
A phased approach was proposed for extension in timing and in October, 2018 the first
phase was launched, which covered 9 IRD products.
37
Annex IV
Forex trading takes place around the clock worldwide, starting on Monday morning New
Zealand time and closing Friday afternoon New York time. In order to offer a competitive
trading environment, EUREX has extended the trading hours to cover a trading time of 23
hours. Forex futures market was extended in Feb 2017 and forex options market was
extended with effect from 2 July 2018.
Calculation of initial margins for forex futures is unaffected and completely integrated into the
margin methodology called Eurex Clearing Prisma. Margin offsets will be granted between
forex options and forex futures within the same liquidation group. Margin figures for Clearing
Members who are exposed to forex products are calculated as well between 00:00 and 07:00
CET in the morning. During this time span, Eurex Clearing will issue margin reports to the
affected Clearing Members on a 10-minute interval showing the margin shortfall and surplus.
Clearing Members who are actively clearing forex futures should be aware that the Intra Day
Margin call process is applicable during the complete trading day. Margin calls issued
between 00:00 and 07:00 CET can be fulfilled using cash payments in Australian dollars.
Margin settlement
Margin calls are always called against the Clearing Member. However, margin calls arising
from shortfalls on client accounts are calculated separately, with auto allocation of the cash
collateral received to the client collateral pool.
For cash collateral under all clearing models, the Clearing Member’s existing payment
infrastructure may be used. All Clearing Members should have access to a USD account
for late margin calls.
If there is a margin shortfall on a client account under a Clearing Member, Eurex Clearing will
issue and process individual margin calls for the collateral pool in which the margin shortfall
has occurred.
Eurex Clearing may issue an intra-day margin call between 7:00 CET and 22:30 CET. Once
an intra-day margin call has been issued, the Clearing Member has 30 minutes to:
38
- Enter risk reducing trades
- Instruct Eurex Clearing to process a direct debit in any eligible currency against the
segregated pool in shortfall- considering cut-off times
If no action is taken within the 30 minutes then Eurex Clearing will automatically instruct a
debit against the Clearing Member’s cash account. If the margin shortfall is a result of a
shortfall from a client account, then the cash will be automatically allocated to the segregated
pool in which the shortfall occurred.
Eurex Clearing’s system closes at 22:30 CET and any overnight margin shortfalls are
automatically debited the following morning. Auto-debits are instructed by 07:00 CET and must
be funded at the latest by 08:00 CET for EUR and USD and by 09:00 CET for CHF and GBP.
If the margin deficit is a result of a shortfall from a client account, then the cash will be
automatically allocated to the segregated collateral pool in which the shortfall occurred. Credits
are instructed thereafter, 08:00 CET for EUR and USD and 09:00 CET for CHF and GBP.
Eurex plans to extend its trading and clearing hours for selected equity index, fixed income
and MSCI futures into the Asian time zone starting from 10 December 2018. Brief on Risk
Management for the same is given below:
Existing procedures for Clearing Members shall remain unchanged as far as possible.
Overnight margin calls will continue to be debited in the European morning. Moreover, the
overnight margin calls will be considered as fulfilled during the extended service hours, i.e.
each collateral pool starts into the extended service hours without a shortfall.
An intra-day margin call during the extended service hours shall only be issued under the
following conditions:
a. in case of positions changes during the extended service hours due to trading and/or
clearing activities (e.g. position transfer, Give-Up/Take-Up etc.) and
b. when the intra-day risk limit of the Clearing Member is exceeded (10 percent of the Clearing
Member’s Total Margin Requirement).
In case an intra-day margin call needs to be fulfilled during the extended service hours, U.S.
dollar (USD) and Australian dollar (AUD) are offered as currencies to cover such margin call.
Already existing USD payment infrastructures can be utilised. Initially, it will not be possible to
provide securities collateral during the extended service hours.
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Source:
i. EUREX Circular6
ii. EUREX Website7
At the end of each clearing cycle, SWIFT debit instructions are sent to SGX-DC’s settlement
banks to debit Clearing Members’ accounts for margin calls. Settlement banks are required
to confirm the banking instructions within a stipulated time via SWIFT. SWIFT system facility
is also available after closure of banking hours.
Note - on SGX website, after opening the link above, please check the “Clearing Process”
option provided.
Perform monitoring of CPs’ net capital-based position limit (CBPL) based on both the current
market prices and positions at regular intervals during the T+1 Session, supplemented by ad-
hoc CBPL monitoring. CPs breaching their CBPL will be requested to reduce their exposure
to ensure their CBPL compliance. CPs may be disconnected from the HKEX trading system
6
https://www.eurexchange.com/blob/2732236/a2089515cf52df77c025e858f2c252e9/data/er
16087e.pdf
7
http://www.eurexclearing.com/clearing-en/collateral-management/margin-settlement
8
http://www.sgx.com/wps/portal/sgxweb/home/clearing/derivatives/derivatives_clearing
40
and subject to closing out action by HKEX should they fail to comply with such request or
further increase their exposure.
A mandatory variation adjustment (VA) and margin call to markets (based on the morning
Calculated Opening Prices (COP) or market price shortly after the market open if COP is not
available) with T+1 Session will be introduced following the market open of each T Session.
Unlike the current ad-hoc intra-day call which includes VA only, this mandatory call will include
both VA and margin of all positions as of thirty minutes before the relevant market open of the
morning trading session. The call will be issued to CPs by 10:00 a.m. and the payment shall
be settled by 12:00 noon. The Calculated Opening Price is the equilibrium market price
derived from the price discovery period of thirty minutes before the opening of the morning
trading session.
There will be no intra-day variation adjustment or margin call during the T+1 Session.
Global Practices
Four major overseas exchanges/clearing houses located in USA, Europe and Asia, the mark-
to-market and margin of the trades executed during the T+1 Session are in general collected
within one day after execution Moreover, it is common amongst overseas clearing houses to
conduct multiple variation adjustments and margin calls on their CPs each day.
Overseas risk management measures to manage the intra-day risk of afterhours trading vary.
Some of the overseas exchanges are able to rely on intra-day call(s) to mitigate the risk as
their banking support is still available during their afterhours trading while others impose
position limits on their CPs instead as we are proposing to do.
9
https://www.hkex.com.hk/Global/Exchange/FAQ/Derivatives-Market/Trading/After-Hours-
Trading-(AHT)?sc_lang=en
10
http://www.hkex.com.hk/-/media/HKEX-Market/News/Market-Consultations/2011-to-
2015/May-2011-Consultation-Paper/Consultation-paper/cp201105.pdf
41