Author: Alison.Parker

  • Gold: Data & Transparency examined in joint-industry review

    • Financial Markets Standards Board (“FMSB”) brought together precious metals trading experts to consider the steps that the gold market needs to take to support the asset’s characterisation as a High-Quality Liquid Asset (HQLA).

    • The Review notes the potential benefits of a new gold reference rate as well as greater pre-trade and post-trade transparency.

    5 July 2023 – Financial Markets Standards Board today published a Spotlight Review on Data & Transparency in Precious Metals Markets. It is the third in a series of Spotlight Reviews by FMSB Members that also cover Precious Metals Market Structure and Post-Trade.

    This paper identifies three areas to drive greater trust and confidence in the market: (i) availability of reference prices; (ii) pre-and post- transparency; and (iii) robust market surveillance.

    The Review focuses on:
    • Benchmarking: The re-introduction of a gold reference rate – through the proposed creation of a forward benchmark – which could improve transparency in the market and would evidence an ‘active and sizeable’ gold market.
    • Transparency: Improving both point-of-trade transparency through greater adoption of electronic trading, and post-trade price transparency through publicly available historic transaction prices, should demonstrate the ‘ease and certainty’ of gold’s valuation, as well as the presence of an active, liquid market. Having sustained price transparency, where price data is published and accessible, could also demonstrate that gold has a low correlation with risky assets, as it has historically been shown to keep its value in times of market stress or crisis.
    • Market surveillance: Robust market surveillance supports market integrity thereby increasing participant confidence in such markets.

    World Gold Council CEO, David Tait, who led the FMSB Working Group behind the Spotlight Review, said: “This publication reveals that we have a great opportunity before us to take action collectively and improve data transparency in the market. Harnessing technology to improve trust and confidence will help gold be characterised as a High-Quality Liquid Asset, which will support current and future gold demand. I look forward to continuing work with the entire industry to implement the observations from all three Spotlight Reviews.”

    FMSB CEO, Myles McGuinness, said: “Today’s Spotlight Review identifies key developments that could support more liquid and transparent precious metals markets. We hope that the paper will help inform the broader industry debate around the structure of such markets for the benefit of all participants.”

    Data and Transparency in Precious Metals Markets

    ENDS
    Media contact
    FMSB
    Vic Silverman
    +447787 083681
    vic.silverman@fmsb.com


    Notes to Editors

    About FMSB

    Logo of FMSB

    • A not-for-profit, privately-owned company, Financial Markets Standards Board (FMSB) is the leading market-led, global standards body for fair and effective wholesale financial markets.
    • Created following the Fair and Effective Markets Review (FEMR) in 2015, FMSB brings together its Members – practitioners – from buy-side, sell-side, corporate issuer and infrastructure provider organisations to develop Standards, Statements of Good Practice and Spotlight Reviews.
    • Its mission is to improve the transparency, fairness and effectiveness of global wholesale financial markets, bridging the ‘void’ between high-level regulatory principles and low-level operational rules.
    • See all FMSB Members. Access all FMSB industry Standards and publications.

    About World Gold Council

    This is an image of the World Gold Council logo

    • World Gold Council (WGC) are the global experts on gold.
    • Leveraging their broad knowledge and experience, they work to improve understanding of the gold market and underscore gold’s value to individuals, investors, and the world at large.
    • Collaboration is the cornerstone of their approach. Their Members are the world’s most forward-thinking gold mining companies. Combining their insights and those of other industry partners, WGC seek to unlock gold’s evolving role as a catalyst for advancements that meet societal needs.
    • They develop standards, expand access to gold, and tackle barriers to adoption to stimulate demand and support a vibrant and sustainable future for the gold market. From their offices in Beijing, London, Mumbai, New York, Shanghai, and Singapore, WGC deliver positive impact worldwide.
    • You can follow the World Gold Council on Twitter at @goldcouncil.
  • Pre-hedging explored in speech by Australian regulator, references work by FMSB

    Joseph Longo, Chair of the Australian Securities and Investments Commission, made reference in his speech on 20 June 2023 to work by Financial Markets Standards Board (“FMSB”).

    Read the speech.

    And see this article by Rick Steves in Finance Feeds Magazine referencing Joseph’s speech.

  • “3 Lines” Model Spotlight Review and Risk Register published

    • Financial Markets Standards Board (“FMSB”) Members representing communities active in global wholesale financial markets review the 3 Lines Model.
    • FMSB issues a Spotlight Review and Risk Register for practical application and benchmarking.
    • The aim is to assist firms in assessing aspects of their holistic risk management frameworks using the 3 Lines Model as a lens.
    • The work will help the industry to reduce incidents of siloed knowledge, fudged accountability, duplication, technical problems and misconduct; it will be of interest to market practitioners, Board members and executives, and those working in the field of risk.

    8 June 2023 –  Financial Markets Standards Board today published a Spotlight Review and Risk Register on the 3 Lines Model. Initially known as the 3 Lines of Defence, this approach to risk management is widely deployed in financial services.

    Rather than being considered an organisational structure, the FMSB Review calls for the Model to be repositioned more beneficially as a lens through which to examine key aspects of risk management frameworks: effective process design, checks and balances, efficiency and effectiveness vis-a-vis outcomes and staff behaviour. Overseen by Boards, the 3 Lines comprise:

    • 1st Line: Management and business generators (CEO, traders, sales and origination, etc.)
    • 2nd Line: Risk and Compliance teams
    • 3rd Line: Internal Audit

    In late 2022, under the leadership of Standard Chartered’s Tracey McDermott, CBE, Group Head Conduct, Financial Crime and Compliance, market practitioners led by Bank of America’s Alan Leigh, MD, Global Banking & Markets, created a Financial Market Standards Board Working Group to look in-depth at the Model, identify frequently arising risks and how to address them practically.

    The 3 Lines Model poorly applied can contribute to difficulties such as siloed knowledge, disputed accountability, excessive duplication and protracted technical issues. Using the lens to assess risk enables an evaluation of the activities people perform wherever they sit in an organisation, including the sort of misbehaviour that derails well-designed and governed policies and processes.

    FMSB’s Member subject matter experts developed this paper to help the financial industry understand how the Model can evolve and be implemented most successfully. It contains a Risk Register which lists hot spots to help practitioners consider how best to approach the problems.

    FMSB CEO Myles McGuinness said: “The power of FMSB is illustrated in the collective knowledge-share among Members who review foundational concepts such as the 3 Lines Model and refine them to meet the unique challenges faced in today’s global wholesale markets. I would like to thank Members and stakeholders who contributed to this publication.”

    Bank of America’s Alan Leigh, who led the work with one of FMSB Secretariat’s Senior Technical Specialists, Ted MacDonald, said: “It’s useful to view the Model as a lens. It is a framework for assessing organisational infrastructure around risk of all kinds, the relevant checks and balances as well as the approach to assurance. No organisational unit is immune to risks or mistakes. This lens can be of use in assessing individual functions as well as the organisation as a whole.”

    Standard Chartered’s Tracey McDermott, who is Chair of FMSB’s Conduct & Ethics Committee, said: “As the 3 Lines Model continues to develop and evolve it is important to take a step back and consider what is working and what can be improved. This Spotlight Review provides a snapshot of how FMSB Members are thinking about these issues and some practical suggestions about risks to watch out for.”

    PowerPoint Presentation

    ENDS

    Media contacts

    FMSB
    Vic Silverman
    +447787 083681
    vic.silverman@fmsb.com

     

    Notes to Editors

    • A not-for-profit, privately-owned company, Financial Markets Standards Board (FMSB) is the leading market-led, global standards body for fair and effective wholesale financial markets.
    • Created following the Fair and Effective Markets Review (FEMR) in 2015, FMSB brings together its Members – practitioners – from buy-side, sell-side, corporate issuer and infrastructure provider organisations to develop Standards, Statements of Good Practice and Spotlight Reviews.
    • Its mission is to improve the transparency, fairness and effectiveness of global wholesale financial markets, bridging the ‘void’ between high-level regulatory principles and low-level operational rules.
    • See all FMSB Members. Access all FMSB industry Standards and publications.

     

  • DTCC Europe Limited joins global standard setting body  

    12 May 2023 – The Financial Markets Standards Board (FMSB) today welcomed DTCC Europe Limited, a subsidiary of The Depository Trust & Clearing Corporation (DTCC), to be part of the market-led, global standards body for fair and effective wholesale financial markets. DTCC is a leading post-trade market infrastructure for the global financial services industry.

    DTCC joins FMSB’s membership of industry participants from the sell-side, buy-side and corporations, as well as key financial data and infrastructure providers.

    Michalis Sotiropoulos, Executive Director, DTCC, said: “We are pleased to be joining FMSB following our participation in the Bank of England’s Post-Trade Task Force, which moved to FMSB last year. We look forward to contributing to FMSB’s important role in further developing and delivering on the Task Force’s recommendations, as well as to shaping Standards which support transparent, fair and effective wholesale financial markets.”

    FMSB, CEO Myles McGuinness, said: “DTCC will bring interesting views to the table, having already added vital inputs to the work we took on from the Post-Trade Task Force in April 2022. Post-trade is of vital importance to the whole financial ecosystem.”

     Notes to editors

    About DTCC

    DTCC Europe Ltd

    • With 50 years of experience, DTCC is the premier post-trade market infrastructure for the global financial services industry.
    • From 20 locations around the world, DTCC, through its subsidiaries, automates, centralises, and standardises the processing of financial transactions, mitigating risk, increasing transparency and driving efficiency for thousands of broker/dealers, custodian banks and asset managers.
    • Industry owned and governed, the firm simplifies the complexities of clearing, settlement, asset servicing, data management, data reporting and information services across asset classes, bringing increased security and soundness to financial markets.
    • In 2022, DTCC’s subsidiaries processed securities transactions valued at US $2.5 quadrillion.
    • Its depository provides custody and asset servicing for securities issues from over 150 countries and territories valued at US $72 trillion.
    • DTCC’s Global Trade Repository service, through locally registered, licensed, or approved trade repositories, processes more than 17.5 billion messages annually.
    • To learn more, please visit dtcc.com or connect on LinkedInTwitterYouTube, Facebook, and Instagram.

     

    About FMSB

    FMSB logo

    • The Financial Markets Standards Board (FMSB) is a standards setting body for the wholesale financial markets.
    • Created out of the Fair and Effective Markets Review (FEMR) in 2015, FMSB brings together its members from buy-side, sell-side, corporate issuer and infrastructure providers to develop Standards, Statements of Good Practice and Spotlight Reviews that raise standards of behaviour, competence and awareness – to promote the fairness and effectiveness of wholesale financial markets.
    • As well as standard setting, subject matter experts from member firms debate issues in working groups and are able to benchmark their approaches against industry peers, thus helping to lift standards of conduct.
    • Our full membership list is here.


    Contact
    FMSB
    Vic Silverman
    Head of Communications
    +447787083681
    vic.silverman@fmsb.com

     

  • FMSB announces new Chair as Jonathan Moulds, CBE

    9 May 2023 – Financial Markets Standards Board (“FMSB”) is pleased to announce Jonathan Moulds, CBE as its new Chair with effect from 1 June 2023. Jonathan replaces Mark Yallop who chose to step down as Chair in May 2023 after seven years.

    Jonathan has extensive experience in financial services and has worked in the UK, US and Asia during his 25+ year executive career. He spent the majority of his career at Bank of America where he became head of Bank of America’s International businesses and subsequently European President of Bank of America Merrill Lynch and the CEO of Merrill Lynch International following the merger of the two companies in 2009. He was most recently Group Chief Operating Officer at Barclays Plc.

    Since leaving Barclays, Jonathan has taken on a number of non-executive roles and is currently the Senior Independent Director and Chair of the Risk Committee at IG Group, the listed global leveraged trading platform, Chair of Citi’s International Broker Dealer CGML and Chair of Litigation Capital Management, a listed litigation finance provider focused on global commercial disputes.

    During his executive career, he has been active in numerous industry bodies including as Chair of the International Swaps and Derivatives Association (ISDA), an inaugural board member of the Association of Financial Markets in Europe (AFME) and a board member of the Global Financial Markets Association (GFMA). He was the founding Chair of OTCDerivNet (the online clearing initiative for OTC products).

    Jonathan has a long-standing commitment to music education, both from his experience as a player and benefactor. Among his many charitable interests, Jonathan is Chair of the Advisory and Development Boards of the London Symphony Orchestra (LSO). In 2015, he received a CBE in the New Year’s Honours List for his philanthropic work for various charities including the LSO. He holds a first-class honours degree in mathematics from the University of Cambridge.

    Jonathan Moulds (pictured) said:
    “Taking on the Chair of FMSB gives me further opportunity to contribute to many aspects of financial markets as participants continue to grapple with age-old imperfections and new challenges; be those from the advanced application of machine learning in trading to the markets’ transition to net zero. Trust, transparency and coalescence across the financial sector matter more now than ever. I look forward to building on Mark’s stewardship of FMSB and working with Members, key stakeholders, as well as the Secretariat, in pursuit of this.”

    FMSB CEO, Myles McGuinness, said: “I’m delighted that Jonathan is joining us as Chair. He has extensive industry experience at the highest levels, and he cares deeply about conduct and the fairness and effectiveness of global wholesale markets.”

    Departing FMSB Chair, Mark Yallop (pictured), said “Recent events demonstrate the vital importance of well-functioning, fair and effective financial markets. FMSB’s purpose and mission are as important today as they were when it was established in 2015.

    “As I approached the seventh anniversary of chairing FMSB, I decided that the time had come for another Chair to oversee the next stage of its development. I am delighted that Jonathan is taking on this role and take great pleasure from the fact that FMSB has an experienced board of non-executive directors, with wide industry experience, who oversee a robust governance structure, and a CEO in Myles McGuinness who is leading the drive to expand membership, work with Members to produce excellent Standards and publications and broaden our scope beyond FICC (fixed income, currencies, and commodities).”

    ENDS

    Media contact
    FMSB
    Head of Communications
    Vic Silverman
    +447787 083681
    vic.silverman@fmsb.com

     Notes to Editors

    • A not-for-profit, privately-owned company, Financial Markets Standards Board (FMSB) is the leading market-led, global standards setting body for fair and effective wholesale financial markets.
    • Created following the Fair and Effective Markets Review (FEMR) in 2015, FMSB brings together its Members – practitioners – from buy-side, sell-side, corporate issuer and infrastructure provider organisations to develop Standards, Statements of Good Practice and Spotlight Reviews.
    • Its mission is to improve the transparency, fairness and effectiveness of global wholesale financial markets, bridging the ‘void’ between high-level regulatory principles and low-level operational rules.
    • See all FMSB Members. Access all FMSB industry Standards and publications.
    • Learn more at fmsb.com or contact us at Secretariat@fmsb.com.
  • Celebrating Mark Yallop’s time at FMSB

    Take a look at FMSB Chair Mark Yallop’s time as Chair of FMSB. Mark is stepping down from the role after seven years.

    Mark Yallop’s time at FMSB

     

     

  • Annual Report documents a year of ‘step-change’

    FMSB’s Annual Report is now live. It maps a year of international and Member engagement, and key collaborations to promote the fairness and effectiveness of wholesale financial markets.

    In his Chair’s report, Mark Yallop reiterates his decision to stand down from FMSB in 2023 and thanked Members, regulators, and supporters for their “kindness, generosity of spirit, and dedication to a shared purpose.”

    As well as a Q&A interview with Mark, the report contains details of seven publications in the year across ESG ratings, voluntary carbon markets, trading platform disclosure, precious metals, LBMA precious metals auctions, investor allocation information, and market misconduct.

    The report explains our name change and an enhanced remit, marking a step-change in the areas FMSB covers. We explore a new initiative in post-trade and highlight the steps taken towards creating our current book of work which includes pre-hedging, the role of conduct and culture management information, and the 3 Lines Model.

    Annual Report

    Notes to editors
    • The Financial Markets Standards Board (FMSB) is a standards setting body for the wholesale financial markets.
    • Created out of the Fair and Effective Markets Review (FEMR) in 2015, FMSB brings together its members from buy-side, sell-side, global corporate and infrastructure provider organisations to develop Standards, Statements of Good Practice and Spotlight Reviews that raise standards of behaviour, competence and awareness – to promote the fairness and effectiveness of wholesale financial markets.
    • As well as standard setting, subject matter experts from member firms debate issues in working groups and are able to benchmark their approaches against industry peers, thus helping to lift standards of conduct.
    • Our full membership list is here.

    FMSB
    Vic Silverman
    Head of Comms
    +447787083681
    vic.silverman@fmsb.com

  • FMSB Board mentoring programme announced

    In a message to FMSB Members and supporters, Chair Mark Yallop today announced a pilot mentoring programme to give members of the financial community direct boardroom experience.

    Mark Yallop said: “This is a new initiative for 2023 where successful candidates will spend a year gaining practical boardroom experience to assist them with attaining a non-executive board role in the future.”

    FMSB identified LSEG’s Sabina Liu and J.P. Morgan’s Emma Mangan as the first participants in our Board mentoring programme, after a successful interview process carried out by Teneo People Advisory.

    “Sabina and Emma will see the work of the Board first-hand during a 12-month period and gain practical insight into the workings and decision-making processes of the FMSB Limited Board and its committees. They will be mentored by FMSB’s Non-Executive Directors and, importantly, they will enrich our own Board discussion with their expertise and perspectives.”

    Sabina is Head of Equities Trading Sales, APAC, and also responsible for key UK account coverage, at London Stock Exchange Group. With a background in international journalism and an MBA from Oxford Said Business School, Sabina has spent 12 years with LSEG, leading strategy and business development across APAC and for several global banks based in the UK with expertise in equity secondary markets and post trade. She is also Global Co-Chair of LSEG’s women’s network WIN, influencing and shaping diversity and inclusion in the workplace and the financial services industry. Sabina started the mentoring programme in January 2023.

    Emma is the newly appointed Merchant & Card European Head of Technology within J.P. Morgan’s Corporate Investment Bank. Her experience spans wholesale markets and securities services, management consultancy, civil and environmental engineering. She has completed her Chartered Financial Analyst (CFA) in ESG investing and has been an active participant in a number of FMSB workstreams in recent years. Emma starts the mentoring programme in July 2023.

    Non-Executive Director (NED), Niki Beattie, said: “Diversity and inclusion starts from the top of the organisation. By creating this programme, FMSB hopes to bring diverse perspectives to our own Board and to grow diverse talent that will bring positive changes to other businesses at the Board level.

    “This programme will help candidates gain corporate governance experience, enabling them to take their first step to become NEDs.”

    FMSB Chief Executive Office, Myles McGuinness, adds: “This programme is highly pragmatic in its approach to improving diversity of thought in the boardroom. I know we will gain as much from the insights of our participants in this programme as they gain from us and look forward to working with our Board and Sabina and Emma.”

    It is hoped that the FMSB Board mentoring programme will operate on an annual basis, and the opportunity to participate in the programme in 2024 will be made available to interested parties in early 2024.

    Notes to editors

    • FMSB Non-Executive Director Niki Beattie is CEO and Founder of Market Structure Partners, an independent consulting firm and is a member of the European Securities and Markets Authority (ESMA) Secondary Markets Advisory Committee. Niki was also a member of the FCA’s Regulatory Decisions Committee for six years. Prior to setting up Market Structure Partners, Niki spent 14 years at Merrill Lynch in roles including EMEA Head of Market Structure. Details of the full FMSB Board are here.
    • The Financial Markets Standards Board (FMSB) is a standards setting body for the wholesale financial markets.
    • FMSB currently has 47 Members and our full membership list is here.
    • Created out of the Fair and Effective Markets Review (FEMR) in 2015, FMSB brings together its members from buy-side, sell-side, global corporate and infrastructure provider organisations to develop Standards, Statements of Good Practice and Spotlight Reviews that raise standards of behaviour, competence and awareness – to promote the fairness and effectiveness of wholesale financial markets.
    • As well as standard setting, subject matter experts from member firms debate issues in working groups and are able to benchmark their approaches against industry peers, thus helping to lift standards of conduct.
    • Teneo People Advisory is a part of the global CEO advisory firm Teneo.

    Contact

    FMSB
    Vic Silverman
    Head of Comms
    +447787083681
    vic.silverman@fmsb.com

  • abrdn joins global standard setting body FMSB

    Financial Markets Standards Board (FMSB) today welcomed abrdn to be part of the market-led, global standards body for fair and effective wholesale financial markets.

    abrdn joins FMSB’s membership of market participants which represents all users of global wholesale markets: asset managers, global corporates, financial data and infrastructure providers, wholesale and investment banks.

    Gareth Murphy, Chief Risk Officer, abrdn, said: “We are looking forward to joining FMSB and to contributing to its important work shaping standards which support transparent, fair and effective wholesale financial markets to operate in the best interests of our clients and market participants.”

    Myles McGuinness, CEO, FMSB, said: “We are pleased to welcome abrdn as a Member. Having asset managers set standards with their counterparts from the wholesale financial markets is critical to making the markets fairer and more effective.

    “We have a busy agenda for 2023 and look forward to abrdn’s contribution to FMSB’s pursuit of fairer and more effective global financial markets, strengthening trust in wholesale financial markets.”

    Notes to editors

    About abrdn

    At abrdn, we enable our clients to plan, save and invest for their futures. We structure our business into three areas – and together they reflect our focus on enabling our clients to be better investors:

    • Investments: We work with clients to create solutions across asset classes, regions and markets globally – combining multi-layered research and market insights with technology and diverse thinking.
    • Adviser: We offer market-leading platform technology and tools that enable UK wealth managers and financial advisers to create more opportunity for their business and their clients.
    • Personal: We help people throughout the UK plan for their financial futures – through our financial planning business and our digital investing services.

    Across our investments, adviser and personal businesses we manage and administer £508.4 billion of assets for our clients, and abrdn plc has over 1 million shareholders. (Figures as at 30 June 2022.)

    Our investments are built on an insight strength that comes from multi-layered research and a large global footprint. Our teams collaborate across multiple capabilities, to create forward-thinking solutions that aim to meet our clients’ needs and deliver more sustainable outcomes. Our investments business manages £386.3 billion on behalf of individuals, governments, pension funds, insurers, companies, charities and foundations (as at 30 June 2022) – with support and expertise from 800 investment specialists in over 30 locations.

    About FMSB

    • The Financial Markets Standards Board (FMSB) is a standards setting body for the wholesale financial markets.

    • Created out of the Fair and Effective Markets Review (FEMR) in 2015, FMSB brings together its members from buy side, sell side, global corporate and infrastructure provider organisations to develop standards, spotlight reviews and statements of good practice that raise standards of behaviour, competence and awareness – to promote the fairness and effectiveness of wholesale financial markets.

    • As well as standard setting, subject matter experts from member firms debate issues in working groups and are able to benchmark their approaches against industry peers, thus helping to lift standards of conduct.

    • Other asset management Members of FMSB include BlackRock and Invesco. Our full membership list is here.

    Contact

    abrdn
    Debbie Cowe
    Media Relations Manager
    M +44 (0) 7711 774017

    FMSB
    Vic Silverman
    Head of Comms
    M +44 (0) 7787 08 3681
    vic.silverman@fmsb.com

  • Overview of Voluntary Carbon Markets published

    • Infrastructure and data are vital next steps in the evolution of Voluntary Carbon markets
    • Market design is a critical concept as the Voluntary Carbon Markets expand
    • Overview highlights gaps in the current markets’ ecosystem

    29 September 2022 – The Financial Markets Standards Board (“FMSB”) has today published its Spotlight Review of the Voluntary Carbon Markets

    Voluntary Carbon Markets (VCM) are one of the fastest growing markets in recent years, and are seen as a vital tool in the race to Net Zero by 2050. As voluntary carbon credits transition rapidly to the mainstream, FMSB’s report calls for market participants to consciously evaluate the VCM’s evolution against its environmental aims, and highlights gaps in the current market ecosystem that may help in its transition into a mature asset class.

    In addition, FMSB’s review aims to assist in the steep learning curve facing newer entrants to the market, noting the crucial role of education in fair and effective wholesale markets. The report also features a holistic overview of the history, evolution, and current status of the VCM and associated initiatives.

    FMSB CEO Myles McGuinness said: “As the world grows increasingly conscious of the drastic need to reduce its emissions, Voluntary Carbon Markets can be seen as part of the solution, driving capital towards projects designed to decrease and even remove carbon from the atmosphere.

    “With significant international progress made on integrity initiatives on both the supply- and demand-side, it is now time for practitioners to ensure these markets develop in the right way.

    ENDS

    Media contacts
    H/Advisors Maitland
    Freddie Barber
    +44 207 379 5151
    freddie.barber@h-advisors.global
    FMSB
    Vic Silverman
    +447711331127
    vic.silverman@fmsb.com

     

    Notes to Editors
    A not-for-profit, privately-owned company, Financial Markets Standards Board (FMSB) is the leading market-led, global standards body for fair and effective wholesale financial markets.

    Created following the Fair and Effective Markets Review (FEMR) in 2015, FMSB brings together its members – practitioners – from buy-side, sell-side, corporate issuer and infrastructure provider organisations to develop Standards, Statements of Good Practice and Spotlight Reviews.

    Its mission is to improve the transparency, fairness and effectiveness of global wholesale financial markets.
    See all of our publications.

  • Agreement signed by Australian regulator and FMSB to uphold and promote financial market integrity

    London, 29 September 2022 – The Financial Markets Standards Board (FMSB), has signed a Consultation Agreement with the Australian Securities and Investments Commission (ASIC).

    The Agreement formalises the continuing cooperation between FMSB and ASIC.  The Commission supports the primary objectives of the FMSB to promote fair and effective global wholesale financial markets; to produce clear guidance on how business should be conducted to eliminate or mitigate vulnerabilities, and to promulgate such guidance as widely as possible globally and obtain commitments for its use.

    ASIC Consultation Agreement – Signed

    FMSB and ASIC have strong shared interests in maintaining, and where appropriate, improving the operation of wholesale fixed income, currency and commodities markets. This Consultation Agreement underpins their close strategic and working relationship.

    ASIC Chair Joseph Longo said: “We welcome the Agreement between ASIC and the FMSB. This Agreement will help us engage with the FMSB to promote good wholesale market practices.

    “ASIC is committed to ensuring Australia’s financial markets are fair and efficient, and those who provide financial services demonstrate fairness, honesty and professionalism.”

    FMSB Chair Mark Yallop said:

    “I am delighted that we have signed a Consultation Agreement that acknowledges the continuing cooperation between ASIC and FMSB to strengthen the fairness, effectiveness and transparency of wholesale markets. I look forward to seeing enhancements in market and post trade structures and technology.”

    FMSB CEO Myles McGuinness said:

    “Our strategic goals, to promote fair and effective markets for all participants, align closely to those of the regulatory authorities, policy makers and supervisors both in Australia and around the world.

    “I am very pleased that this Consultation Agreement demonstrates our ongoing important relationship with ASIC and look forward to establishing similar arrangements with key regulatory authorities in other jurisdictions as our membership expands.”

    Read the ASIC announcement.


    Note to editors

    The Australian Securities and Investments Commission (ASIC) is a regulatory and law enforcement agency for company, financial services, markets and consumer credit laws, and has a range of roles, including the function of monitoring and promoting market integrity and consumer protection in relation to the Australian financial system.

    Financial Markets Standards Board (FMSB) is the leading market-led, global standards body for fair and effective wholesale financial markets. FMSB is a not-for-profit, privately-owned company.

    Created following the Fair and Effective Markets Review (FEMR) in 2015, FMSB brings together its members – practitioners – from buy-side, sell-side, corporate issuer and infrastructure provider organisations to develop Standards, Statements of Good Practice and Spotlight Reviews.

    Its mission is to improve the transparency, fairness and effectiveness of global wholesale financial markets.


    Media contacts

    H/Advisors Maitland
    Freddie Barber
    +44 207 379 5151
    freddie.barber@h-advisors.global


    ASIC Media Unit
    media.unit@asic.gov.au
    +61 2 9911 2455

    FMSB
    Victoria Silverman
    +447787083681
    vic.silverman@fmsb.com

  • Spotlight Review published on ESG ratings


    • Market practitioners make tangible proposals to improve the transparency of ESG ratings and enhance user understanding
    • Comparability across providers would improve trust in ratings and thereby support informed allocation of capital
    • Greater transparency is required

    20 July 2022 – The Financial Markets Standards Board (“FMSB”) today publishes a Spotlight Review which examines ESG ratings methodologies and data collection processes.

    The rapidly growing market for ESG-related products and the desire of financial institutions to manage their exposure to ESG-related risks has heightened the importance of, and demand for, ESG ratings. ESG ratings assist the development of a healthy market ecosystem by providing an additional and external source of due diligence and expertise, however, their prominence also means that ESG ratings have real impacts on issuers and
    investors.

    This paper seeks to facilitate greater transparency of ESG ratings methodologies and data collection processes to enhance understanding of ESG ratings and facilitate comparability across ratings providers in wholesale financial markets. The Review builds on an existing body of work produced by regulators, standard-setters and industry participants and focuses on issues identified in the following areas:

    • Output/Objectives of ESG ratings
    • Data inputs
    • Methodology
    • Post-assessment rating process

    The Spotlight Review highlights:

    • the varied use cases of ESG ratings
    • issues associated with limited transparency and market understanding of ratings
    • the different objectives of rating products
    • the diversity between products with similar objectives
    • the impact of controversies on an issuer’s ESG rating can be material but little
    understood
    • efforts to increase issuer ESG disclosure are likely to improve the quality of ESG
    ratings; and
    • greater transparency helps to drive market solutions independent of regulation

    Myles McGuinness, CEO of FMSB, said: “ESG ratings are an important tool for investors when making investment decisions related to managing exposure to ESG-related risks. We hope that this Spotlight Review can help to support increased transparency around collection processes and methodologies as a means of facilitating comparability of ESG ratings.”

    Caroline Haas, Chair of the FMSB ESG Ratings Working Group and Head of Climate and ESG Capital Markets at NatWest Markets, said: “Improved disclosure and transparency are key for market participants to understand the significance of different ratings in a diverse landscape. This Review seeks to increase the transparency of ESG ratings methodologies and data collection processes to promote user understanding, aid comparability across
    providers, improve trust in ratings and thereby support informed allocation of capital.”


    ENDS

    Media contacts
    Maitland/amo
    Charles Withey
    +44207 379 5151
    charles.withey@maitland.co.uk

    FMSB
    Vic Silverman
    +447787083681
    vic.silverman@fmsb.com


    Notes to Editors

    ESG ratings: means the ‘broad spectrum of external ratings products that are marketed as providing an opinion regarding an entity, a financial instrument or a product, a company’s ESG profile or characteristics or exposure to ESG, climatic or environmental risks or impact on society and the environment that are issued using a defined ranking system or rating categories, whether or not these are explicitly labelled as ESG ratings.’

    About FMSB: A not-for-profit, privately-owned company, Financial Markets Standards Board (FMSB) is the leading market-led, global standards body for fair and effective wholesale financial markets.

    Created following the Fair and Effective Markets Review (FEMR) in 2015, FMSB brings together its members – practitioners – from buy-side, sell-side, corporate issuer and infrastructure provider organisations to develop Standards, Statements of Good Practice and Spotlight Reviews.

    Its mission is to improve the transparency, fairness and effectiveness of global wholesale financial markets.

  • “Trust is not delivered by ticking boxes”

    FMSB Chair Mark Yallop spoke at the London Stock Exchange on 12 July at a Market Closing in honour of FMSB’s contribution to fairer and effective markets. Read the full speech and the ‘LSEG welcome story’.

    “It will eternally be to the great credit of those at the Bank of England, the FCA and HM
    Treasury who wrestled, in writing the Fair and Effective Markets Review, with how to
    respond to the successive waves of wholesale market problems from 2008-2013, that
    they did not double down on a complex, prescriptive, targets and rules-based regulatory
    system that would have done nothing to change the accountability for market outcomes
    and the trustworthiness of financial markets.

    “Rather the Bank, the FCA and HMT deliberately sought to create a system that
    reinforced a genuine sense of accountability for trust-able outcomes on the part of both
    market makers and market users.”

  • Members’ achievements captured in one document


    FMSB’s Annual Report 2021 is now live and includes an interview with CEO Myles McGuinness, features by market participants on ESG Ratings and Large Trades, along with details of our public private partnership.

    In his Chair’s report, FMSB’s Mark Yallop says: “Huge thanks go to the Advisory Council, the Standards Board, Committee, Sub-Committee and Working Group Chairs and all their participants. They are the lifeblood of our organisation and continue to deliver very high-quality output, notwithstanding the background of uncertainty and change amid which we all worked in 2021.”



  • FMSB issues Statement of Good Practice on Trading Platform Disclosures

    • New guidance draws extensively from existing European and UK regulatory requirements and initiatives.
    • Experts from across the global financial markets reach consensus on how trading platforms should disclose information.
    • Statement of Good Practice to benefit participants both on MTFs (multilateral trading facilities) and single dealer platforms.

    28 June 2022 – Financial Markets Standards Board today launches its final Statement of Good Practice on Trading Platform Disclosures. Establishing best practices around what platform operators should disclose to their participants, the paper covers all areas of the fixed income, currencies and commodities markets and includes platforms that are considered to be trading venues under existing regulation (e.g., MiFID II) and those that are not (e.g., Single Dealer Platforms).

    Developing six areas of guidance, this Statement of Good Practice calls for Platform Arrangements to contain information about:

    • Trading Protocols
    • Counterparty name disclosure
    • Prioritisation
    • Use of Last Look
    • Trade dispute resolution

    The Statement of Good Practice also covers the potential obligations on platform participants, exploring:

    • Systems and Risk Controls
    • Configuring credit and providing names of personnel authorised to access the platform

    Outages, are also examined in the paper, including disclosure expectations around suspension of trading:

    • When trading is expected to resume
    • The status of orders or quotes on resumption of trading
    • Information regarding the cause of trading cessation

    Myles McGuinness, CEO of FMSB, said: “We would like to thank our members for collaborating to address the important topic of disclosures to trading platform participants. Ensuring that market participants have a solid understanding of how their trades are executed is a cornerstone of fair and effective markets, and with the ever-increasing electronification of markets, this Statement of Good Practice will help participants across the marketplace.”

    Zar Amrolia, co-CEO of XTX, said: “I congratulate the FMSB for convening participants from across financial markets to focus on the critical topic of disclosures to participants on electronic trading platforms. The development of this Statement of Good Practice involved significant discussion between different participants which reflects the ambition of the paper to cover fixed income, currencies and commodities markets as a whole and a broad range of platforms from established MTFs (multilateral trading facilities) through to single dealer platforms.”

    Mark Meredith, Global Head of FX E-Trading and Algorithmic Execution at Citi, added: “High quality disclosures are a crucial part of how trading platforms and liquidity providers build strong and sustainable relationships with their clients. It has been beneficial to work with the FMSB and other market participants to develop this important Statement of Good Practice.”

    Media contacts

    Maitland/amo

    Freddie Barber

    +44 207 379 5151

    fbarber@maitland.co.uk

    FMSB

    Vic Silverman

    +447711331127

    vic.silverman@fmsb.com

    Notes to Editors

    A not-for-profit, privately-owned company, Financial Markets Standards Board (FMSB) is the leading market-led, global standards body for fair and effective wholesale financial markets.

    Created following the Fair and Effective Markets Review (FEMR) in 2015, FMSB brings together its members – practitioners – from buy-side, sell-side, corporate issuer and infrastructure provider organisations to develop Standards, Statements of Good Practice and Spotlight Reviews.

    Its mission is to improve the transparency, fairness and effectiveness of global wholesale financial markets.

  • Precious Metals Market Post-Trade review published

    • Global financial markets practitioners examine post-trade from their perspective in a review covering lessons from other asset classes and technological solutions.
    • Considerations include increasing adoption of automation for trade confirmations, increasing the take-up of bilateral netting agreements, and the potential long-term benefits of digital solutions.
    • Review shines a light on ways the precious metals marketplace can innovate to mitigate post-trade risks and reduce costs.

    “A golden opportunity to innovate”

    17 June 2022 – The Financial Markets Standards Board (“FMSB”) today publishes its Precious Metals Market Post-Trade Spotlight Review.

    Market practitioners from across the FMSB membership developed the review to address challenges faced by the financial markets for trading precious metals when it comes to confirmation, netting and settlement.

    They noted that in the post-trade arena, there are opportunities in the precious metals market to learn from other fixed income, currencies and commodities markets in adopting automation and making efficiency gains.

    The Precious Metals Market Post-Trade Spotlight Review examines the existing post-trade landscape for gold, silver, platinum and palladium, identifying prevailing structural and technical opportunities for improvement. The review considers:

    • Potential solutions to the current inefficiencies that exist with precious metal trade confirmations through the use of electronic platforms
    • Increasing the adoption of netting for non-prime brokerage transactions
    • Reducing the concentration of clearing and settlement of London based precious metals trades in a limited number of LPMCL numbers
    • Whether the settlement period for precious metals could be shortened in line with the efforts for other asset classes
    • If Delivery vs Payment settlement could be adopted on a greater scale to reduce settlement risk in the precious metals market
    • The potential for an expanded and more integrated unallocated precious metals market across both London and Zurich
    • How a digital solution whereby physical assets are tokenised could offer a more radical change of the post-trade ecosystem 

    David Tait, CEO, World Gold Council said:

    I’m delighted to see the opportunity for the market to make material improvements to the efficiency of its post-trade processes. This progress could be incremental, or perhaps more radical, and this Spotlight Review gave us an opportunity to look at our toughest issues through many lenses.

    “Of course, we must move at the pace that ensures the marketplace operates in a fair and effective manner, but looking at the ground this review covers, it’s clear that we now have a golden opportunity to innovate.”

    Ian Warman, Head of Precious Metals Trade Management Unit of Standard Chartered said:

    “It was a pleasure to work with the FMSB and participants across the precious metals market to consider the potential ways in which we can improve the efficiency in which we manage precious metals trades to mitigate post-trade risks and reduce costs.”

    ENDS

    Media contacts
    Maitland/amo
    Freddie Barber
    +44 207 379 5151
    fbarber@maitland.co.uk

    FMSB
    Vic Silverman
    +447711331127
    vic.silverman@fmsb.com

     Notes to Editors

    A not-for-profit, privately-owned company, Financial Markets Standards Board (FMSB) is the leading market-led, global standards body for fair and effective wholesale financial markets.

    Created following the Fair and Effective Markets Review (FEMR) in 2015, FMSB brings together its members – practitioners – from buy-side, sell-side, corporate issuer and infrastructure provider organisations to develop Standards, Statements of Good Practice and Spotlight Reviews.

    Its mission is to improve the transparency, fairness and effectiveness of global wholesale financial markets.

    The Precious Metals Market Post-Trade Spotlight Review follows our review of the precious markets structure published in November 2021. You can see all of our publications at Standards & Publications – Financial Markets Standards Board (fmsb.com).

  • Starling Compendium’s in-depth feature goes live

    Financial Markets Standards Board features in the 2022 Starling Compendium, with a seven-page spread on culture and conduct in the Banking section.

  • Updated analysis published on misconduct in global financial markets

    MEDIA RELEASE

    • Updated research shows historical forms of misconduct which have been present in the financial markets for hundreds of years, are playing out in new digital asset classes, including crypto assets and nonfungible tokens
    • Misconduct may also be found in new contexts, such as the sustainable finance market and the post-pandemic hybrid working environment
    • Financial Markets Standards Board highlights key patterns of behaviour at a time when government indebtedness and reliance on wholesale markets have never been greater

    “History may not repeat itself. But it rhymes”

    The Financial Markets Standards Board (“FMSB”) today publishes its Behaviour-pattern Conduct Analysis (“BCA”) report, a study of misconduct in global financial markets spanning over 200 years. This research looks at examples from 14 jurisdictions, selected from 28 countries across the world and multiple asset classes, and finds that market misconduct cases that have been seen for centuries still recur most frequently across six core behaviours.

    The purpose of this study is to provide market practitioners with lessons from history to learn from and to give insights as to the steps that firms can take to help prevent those behaviours from occurring in a changing environment.

    FMSB published its first BCA report in 2018 and this edition updates to include cases that have occurred between 2017 and 2021 and extends the number of jurisdictions to include France, Spain, Italy, Germany and the Netherlands. This updated analysis supports the same key conclusions of the original analysis, that:

    1. There are a limited number of patterns of poor behaviour and types of misconduct
      This study identifies that 19 types of misconduct, grouped across six simple behaviours (as shown in the table below), have been used to manipulate or distort markets and they repeat and recur over time.
    2. Misconduct is jurisdictionally, geographically and asset class neutral
      Misconduct is evident worldwide across global markets and is not specific to particular asset classes but occurs in all fixed income, currencies and commodities markets, and equity markets, as well as in new asset classes, including crypto and other digital asset markets.
    3. The six behaviours adapt to new technology and market structures
      Technology is not new – it has been a feature of markets for years, and as such there is a corresponding body of evidence of misconduct in the screen-based trading environment. 

    The study also finds that historical forms of misconduct, such as price manipulation and circular trading, which have been present in the financial markets for hundreds of years, are playing out in new digital asset classes, including crypto assets and NFTs, and in new contexts, such as the sustainable finance market and the post-pandemic hybrid working environment.

    Rapid advances in, and growing access to, new technologies and social media platforms are making traditional misconduct, like bull and bear raids, easier to facilitate (spurring the increasing occurrence of “meme stocks”) while simultaneously facilitating the detection of market manipulation by regulators.

    The nature of regulation also tends to be reactive, introduced after problems are identified, rather than pre-emptive. This may be exacerbated by the pace of innovation in wholesale markets, with very rapid product and market development cycles.

    This may be why, despite the introduction of new laws and regulations, patterns of behaviour driving misconduct seen for decades, and even centuries, still recur.

    At the same time, these developments are taking place alongside a growing global regulatory emphasis on individual accountability, meaning regulators will have increased powers to hold senior individuals responsible for poor conduct in their business lines, potentially deterring some of the misconduct discussed in this analysis.

    Myles McGuinness, CEO, Financial Markets Standards Board Limited said:

    Government indebtedness and reliance on wholesale markets have never been greater post-pandemic. Our members know that integrity matters now more than ever, no matter how adept artificial intelligence is at spotting misconduct, it can also be a tool for creating it.

    This work remains as relevant as ever in today’s rapidly evolving environment in which market participants are grappling with a raft of the same conduct challenges in new settings. The wholesale financial services industry is arguably better equipped than ever to reduce future misconduct through the development of more effective controls, assisted by advances in behavioural science and a broader mindset shift.

    “This research is also an exercise in the collation and analysis of market misconduct for the purposes of recognition, and to support, among other things, management oversight, training and control function oversight. We simply wanted to find out what can be learned from past episodes of market misconduct to pre-empt conduct problems that may arise in the future.”

    David Flowerday, Chair of the FMSB BCA Committee and Head of EMEA Markets and Securities Services Compliance at Citi said:

    “We hope this piece of research will be a valuable reference point for wholesale financial market participants.

    “This analysis highlights the repetitive nature of financial market misconduct over an extended time period. Given the pace of innovation and change, the intention is that market practitioners can use the BCA framework, supported with illustrative case studies, to inform their business practices, help eradicate poor behaviours, and continue to build trust in financial markets.”

    ENDS

    Media contacts
    Maitland/amo
    Freddie Barber
    +44 207 379 5151

    fbarber@maitland.co.uk

    FMSB
    Vic Silverman
    +447711331127

    vic.silverman@fmsb.com

    Notes to Editors

    A not-for-profit, privately-owned company, Financial Markets Standards Board (FMSB) is the leading market-led, global standards body for fair and effective wholesale financial markets.

    Created following the Fair and Effective Markets Review (FEMR) in 2015, FMSB brings together its members – practitioners – from buy-side, sell side, corporate issuer and infrastructure provider organisations to develop Standards, Statements of Good Practice and Spotlight Reviews.

    Its mission is to improve the transparency, fairness and effectiveness of global wholesale financial markets.

  • FMSB changes its name

    We’re pleased to announce that FMSB is changing its name from FICC Markets Standards Board to Financial Markets Standards Board.

    This change will help support engagement with a wider range of users of wholesale markets who may be less familiar with the FICC acronym and reflects the broader relevance of much of our work across wholesale financial markets.

    The FMSB acronym remains the same. We are also taking this opportunity to refresh our website and other branded materials.

    Notes to editors

    FICC stands for fixed income, currencies and commodities.

    A not-for-profit, privately-owned company, Financial Markets Standards Board (FMSB) is the leading market-led, global standards body for fair and effective wholesale financial markets.

    Created following the Fair and Effective Markets Review (FEMR) in 2015, FMSB brings together its members – practitioners – from buy-side, sell side, corporate issuer and infrastructure provider organisations to develop Standards, Statements of Good Practice and Spotlight Reviews.

    Our mission is to improve the transparency, fairness and effectiveness of global wholesale financial markets.


    Media contacts

    Maitland/AMO

    Freddie Barber
    +44 207 379 5151
    fbarber@maitland.co.uk

    FMSB

    Vic Silverman
    +447711331127
    vic.silverman@fmsb.com

  • FMSB publishes Spotlight Review on examining hybrid working risks in FICC markets

    FMSB publishes Spotlight Review on examining hybrid working risks in FICC markets  

    30 September 2021 – The FICC Markets Standards Board (FMSB) has today published a Spotlight Review which examines hybrid working risks in FICC markets. 

    The flexible working practices that have emerged following the onset of the COVID-19 pandemic have given rise to a number of benefits for FICC market participants. There is a desire to harness some of these benefits and allow some flexibility for front office practitioners to carry out their activities from non-office locations longer term. The extent of this flexibility will vary by firm and role. 

    This Spotlight Review seeks to support the adoption of hybrid working models in FICC markets in a controlled way by identifying key conduct risks associated with such models and considering steps that firms can take to mitigate them. 

    Regulators have been clear that regulatory obligations have not changed as a result of the shift to hybrid working and this Spotlight Review therefore outlines steps that firms can take to promote equivalent conduct outcomes in a hybrid environment. 

    The Spotlight Review categorises conduct-related risks associated with hybrid working models into five thematic categories: 

    1. Cultural change 
    2. Supervision and control impairments 
    3. Execution risks 
    4. Sharing of confidential information  
    5. Threats to market effectiveness  

    Within each of these categories, the Spotlight Review examines a number of individual risks, including risk of sub-cultures developing, reduced engagement with training, slower resolution of operating incidents, inappropriate communication channels, loss of connectivity and controlling the flow of confidential information. Potential mitigants are considered in relation to each risk.  

    Myles McGuinness, CEO of FMSB said: “Hybrid working models have the potential to drive a number of benefits for firms, individuals and the market more widely, including attracting a more diverse pool of people to FICC markets and improving staff wellbeing. We hope that this Spotlight Review supports firms in considering and addressing elevated risks associated with the adoption of hybrid working models.” 

    The Spotlight Review is available for download here: fmsb.com 

    Media contacts

    Maitland/AMO
    Freddie Barber
    +44 207 379 5151
    fbarber@maitland.co.uk

    Notes to Editors
    1) The Fixed Income, Currencies and Commodities Markets Standards Board (FMSB) is practitioner led, funded by members and operated by the major participants in wholesale markets to improve standards of conduct in wholesale fixed income, currencies and commodities (FICC) markets. It aims to bring transparency to grey areas


    in the wholesale FICC markets by identifying emerging vulnerabilities, clarifying and documenting practice and agreeing standards to improve conduct and market behaviour. Ensuring that wholesale FICC markets are transparent, fair and effective for all participants is at the heart of FMSB’s mission.

    FMSB Standards set out Core Principles and accompanying guidance on the most important aspects of practice where ambiguity risks undermining the transparency, fairness, and effectiveness of markets.

    FMSB Statements of Good Practice set out clear expectations and guidance on good practice in relation to broader areas of uncertainty in wholesale FICC markets.

    FMSB Spotlight Reviews encompass a broad range of publications used by FMSB to illuminate important emerging issues in FICC markets. Drawing on the insight of members and industry experts, they provide a way for FMSB to surface nascent challenges market participants face and may inform topics for future work. Spotlight Reviews will often include references to existing law, regulation and business practices. However, they do not set or define any new precedents or standards of business practice applicable to market participants.

    All FMSB publications are available on the FMSB website at fmsb.com/our-publications/.

    2) Setting up the FMSB was one of the main recommendations from the Fair and Effective Markets Review (FEMR), which was conducted by HM Treasury, the Bank of England, and the Financial Conduct Authority.

    FEMR set FMSB four strategic goals:

    1. Identifying global market vulnerabilities through scanning the horizon for emerging business practice risks.
    2. Developing best market practice through the production of standards and other materials that create a common understanding.
    3. Driving global adherence through ensuring standards are comprehensible and practical.
    4. Developing consistent approaches to market practices through identifying gaps and inconsistencies in existing regulatory standards and working with other standards setting bodies.

    3) FMSB has a Standards Board drawn from senior executives from across wholesale markets, from corporate clients, asset managers, sell-side participants and intermediaries and infrastructure providers such as exchanges and custodians. In specialist, focused committees, sub-committees and working groups, industry experts debate issues and develop FMSB Standards and Statements of Good Practice, and undertake Spotlight Reviews that are made available to the global community of FICC market participants and regulatory authorities.

    4) FMSB members bring together sell-side investment banks, buy-side asset managers, market infrastructure providers and exchanges, custodians and users of the market such as corporates. This constitution is unique.

    The member firms are listed on the FMSB website at fmsb.com/who-we-are/.

  • FMSB publishes final Standard on the use of Term SONIA reference rates

    28 July 2021 – The FICC Markets Standards Board (“FMSB”) today publishes the finalised Standard on use of Term SONIA reference rates.

    The Standard was initially published as a Transparency Draft on 24 March 2021. Since its publication, UK regulators have provided supportive references to the Standard, including in a joint PRA / FCA Dear CEO letter on Transition from LIBOR to Risk Free Rates stating that firms should consider this Standard in selecting benchmarks, as well as in a recent speech by the Governor of the Bank of England (Descending safely: Life after Libor – speech by Andrew Bailey | Bank of England).

    Certain minor changes have been made to the final Standard in response to comments received during the Transparency Period, such as clarifying the relationship between the Standard and applicable benchmark regulations. However, the FMSB Working Group determined that no changes were required to be made to the proposed ‘use cases’ for Term SONIA.

    SONIA is the Sterling Overnight Index Average, as published by the Bank of England, and Term SONIA refers to forward-looking benchmarks.

    The UK authorities and the Working Group on Sterling Risk-Free Reference Rates have made clear they expect the use of such forward-looking benchmarks to be relatively limited. Instead, the expectation is that Sterling fixed income and wholesale lending markets should predominantly transition to SONIA compounded in arrears as part of the move away from LIBOR.

    However, there will be some circumstances where the use of a rate compounded in arrears is not appropriate or operationally achievable. This Standard has therefore been developed with the aim of identifying where there may be robust rationales for using Term SONIA and sets out certain expected behaviours of market participants.

    This Standard applies to participants in the Sterling fixed income and wholesale lending markets, including Sterling legs of multi-currency products.

    Media contacts
    Maitland/AMO
    Freddie Barber
    +44 207 379 5151
    fbarber@maitland.co.uk

    Notes to Editors

    1) The Fixed Income, Currencies and Commodities Markets Standards Board (‘FMSB’) is practitioner led, funded by members and operated by the major participants in wholesale markets to improve standards of conduct in wholesale fixed income, currencies and commodities (FICC) markets. It aims to bring transparency to grey areas in the wholesale FICC markets by identifying emerging vulnerabilities, clarifying and documenting practice and agreeing standards to improve conduct and market behaviour. Ensuring that wholesale FICC markets are transparent, fair and effective for all participants is at the heart of FMSB’s mission.

    FMSB Standards set out Core Principles and accompanying guidance on the most important aspects of practice where ambiguity risks undermining the transparency, fairness and effectiveness of markets.

    FMSB Statements of Good Practice set out clear expectations and guidance on good practice in relation to broader areas of uncertainty in wholesale FICC markets.

    FMSB Spotlight Reviews encompass a broad range of publications used by FMSB to illuminate important emerging issues in FICC markets. Drawing on the insight of members and industry experts, they provide a way for FMSB to surface nascent challenges market participants face and may inform topics for future work. Spotlight Reviews will often include references to existing law, regulation and business practices. However, they do not set or define any new precedents or standards of business practice applicable to market participants.

    All FMSB publications are available on the FMSB website at fmsb.com/our-publications/.

    2) Setting up the FMSB was one of the main recommendations from the Fair and Effective Markets Review (FEMR), which was conducted by HM Treasury, the Bank of England, and the Financial Conduct Authority.

    FEMR set FMSB four strategic goals:

    1. Identifying global market vulnerabilities through scanning the horizon for emerging business practice risks.
    2. Developing best market practice through the production of standards and other materials that create a common understanding.
    3. Driving global adherence through ensuring standards are comprehensible and practical.
    4. Developing consistent approaches to market practices through identifying gaps and inconsistencies in existing regulatory standards and working with other standards setting bodies.

    3) FMSB has a Standards Board drawn from senior executives from across wholesale markets, from corporate clients, asset managers, sell-side participants and intermediaries and infrastructure providers such as exchanges and custodians. In specialist, focused committees, subcommittees and working groups, industry experts debate issues and develop FMSB Standards and Statements of Good Practice, and undertake Spotlight Reviews that are made available to the global community of FICC market participants and regulatory authorities.

    4) FMSB members bring together sell-side investment banks, buy-side asset managers, market infrastructure providers and exchanges, custodians and users of the market such as corporates. This constitution is unique.

    The member firms are listed and available on the FMSB website at fmsb.com/who-we-are/

  • FMSB appoints Myles McGuinness as its new Chief Executive Officer

    7 June 2021 – The FICC Markets Standards Board (“FMSB”) today announces the appointment of Myles McGuinness as its new Chief Executive Officer.

    Myles joins FMSB from NatWest Markets where he has spent the last 20 years across a number of senior roles, most recently as Head of Capital Markets NV, where he was responsible for establishing the bank’s new capital markets business in Europe.

    Myles has extensive experience of working with regulators in the UK, Continental Europe and the US and has been a chair of NatWest Markets Reputational Risk Committee. Prior to NatWest, Myles spent 10 years at ABN AMRO in their FICC markets businesses. He studied Economics and Geography at the National University of Ireland, Galway and received a MSc in Investment and Treasury from Dublin City University.

    Mark Yallop, Chair of FMSB said: “I am delighted Myles is joining FMSB as our new CEO. He has spent his whole career working in wholesale markets and therefore brings a vast amount of experience and knowledge of the issues that FMSB is seeking to address. He also has significant leadership experience and strong relationships with a variety of FMSB’s key stakeholders in the UK, Europe and the US. I look forward to working with him and continuing to deliver FMSB’s ambitious strategic agenda.”

    Myles McGuinness said: “FMSB is an organisation whose activities and membership encompasses a wide spectrum of wholesale markets activity. It has recently produced high-quality work on a range of topics including LIBOR transition, machine learning and the use of data as part of the overall remit of enhancing the fairness and effectiveness of wholesale markets. I am very excited about joining and leading this important organisation and building on the success it has enjoyed to date.”

    Myles joins FMSB today and succeeds Martin Pluves.

    Media contacts
    Maitland/AMO
    Freddie Barber
    +44 207 379 5151
    fbarber@maitland.co.uk

    Notes to Editors

    1) The Fixed Income, Currencies and Commodities Markets Standards Board (‘FMSB’) is practitioner led, funded by members and operated by the major participants in wholesale markets to improve standards of conduct in wholesale fixed income, currencies and commodities (FICC) markets. It aims to bring transparency to grey areas in the wholesale FICC markets by identifying emerging vulnerabilities, clarifying and documenting practice and agreeing standards to improve conduct and market behaviour. Ensuring that wholesale FICC markets are transparent, fair and effective for all participants is at the heart of FMSB’s mission.

    FMSB Standards set out Core Principles and accompanying guidance on the most important aspects of practice where ambiguity risks undermining the transparency, fairness and effectiveness of markets.

    FMSB Statements of Good Practice set out clear expectations and guidance on good practice in relation to broader areas of uncertainty in wholesale FICC markets.

    FMSB Spotlight Reviews encompass a broad range of publications used by FMSB to illuminate important emerging issues in FICC markets. Drawing on the insight of members and industry experts, they provide a way for FMSB to surface nascent challenges market participants face and may inform topics for future work. Spotlight Reviews will often include references to existing law, regulation and business practices. However, they do not set or define any new precedents or standards of business practice applicable to market participants.

    All FMSB publications are available on the FMSB website at fmsb.com/our-publications/.

    2) Setting up the FMSB was one of the main recommendations from the Fair and Effective Markets Review (FEMR), which was conducted by HM Treasury, the Bank of England, and the Financial Conduct Authority.

    FEMR set FMSB four strategic goals:

    • Identifying global market vulnerabilities through scanning the horizon for emerging business practice risks.
    • Developing best market practice through the production of standards and other materials that create a common understanding.
    • Driving global adherence through ensuring standards are comprehensible and practical.
    • Developing consistent approaches to market practices through identifying gaps and inconsistencies in existing regulatory standards and working with other standards setting bodies.

    3) FMSB has a Standards Board drawn from senior executives from across wholesale markets, from corporate clients, asset managers, sell-side participants and intermediaries and infrastructure providers such as exchanges and custodians. In specialist, focused committees, subcommittees and working groups, industry experts debate issues and develop FMSB Standards and Statements of Good Practice, and undertake Spotlight Reviews that are made available to the global community of FICC market participants and regulatory authorities.

    4) FMSB members bring together sell-side investment banks, buy-side asset managers, market infrastructure providers and exchanges, custodians and users of the market such as corporates. This constitution is unique.

    The member firms are listed and available on the FMSB website at fmsb.com/who-we-are/

  • FMSB Publishes 2020 Annual Report

    2 June 2021 – The FICC Markets Standards Board (FMSB) has today issued its 2020 Annual Report setting out the progress made to enhance standards of behaviour in the wholesale fixed income, currencies and commodities (FICC) markets and its priorities for the year ahead.

    FMSB is a private sector, practitioner-led organisation whose membership collectively accounts for a substantial share of the business conducted in wholesale FICC markets worldwide.

    Despite the enormous challenges faced by FMSB’s members and its Secretariat in navigating the turbulence of 2020, FMSB made significant progress during the year. It has been its most productive year since it was formed in 2015, following the Fair and Effective Markets Review, which was conducted jointly by HM Treasury, Bank of England, and Financial Conduct Authority.

    A significant amount of work in progress has been undertaken, including:

    • Developing and publishing in Transparency Draft, Standards on the execution of large trades in FICC markets and on the sharing of investor allocation information for new issuances;
    • Exploring LIBOR benchmark reform and the remaining risks and issues that could arise as the industry transfers to alternative risk-free rates, with the publication of a Spotlight Review and the commencement of the development of a second one focusing on back book transition;
    • Setting out expected behaviours of market participants when using or issuing Term SONIA products, with the commencement of the development of a Standard on the use of Term SONIA reference rates;
    • Finalising a series of four Spotlight Review publications on FICC market structure and the impact of regulatory and technological change on the fairness and effectiveness of wholesale markets;
    • Identifying and capturing risks arising from remote working focusing on areas with impact the fairness and effectiveness of wholesale FICC markets, and considering mitigants or strategies to manage those risks; and
    • Continuing with the workstreams focused on the precious metals markets.

    Mark Yallop, Chair of FMSB said:

    “Despite the challenges presented by the COVID-19 pandemic, we worked extensively with our members and others to maintain a high level of productivity during 2020. Ten publications in support of our purpose: to strengthen trust in wholesale FICC markets by raising worldwide standards of conduct for all participants; enhancing overall transparency, fairness and effectiveness, reflect the continued strong engagement, dedication and insight provided by market practitioners across our member firms. I would like to thank all our members and their people for the strong commitment and support received in a year like no other.

    2021 has already seen the publication of some important pieces of work on LIBOR transition and the use of term risk-free rates as well as the finalisation of the Standard on the execution of large trades in FICC markets. We are continuing to scan the horizon for new emerging vulnerabilities, which will form the basis of our future work.”

    FMSB continues to receive strong support from the Bank of England and the Financial Conduct Authority. Andrew Bailey and Nikhil Rathi expressed their support for the work of FMSB in the Annual Report:

    Andrew Bailey, Governor of the Bank of England, said:

    “As I have said in previous years, FMSB performs an important role in wholesale markets, shedding light on best practices in areas of genuine uncertainty. Its continuing work on LIBOR transition has been constructive, both in supporting the migration of new business and back-book transactions, and developing principles for the use of Term SONIA. FMSB has shown in 2020 the value of the private sector using its expertise in conjunction with regulators, developing high-quality, practical protocols for the conduct of business. I look forward to the FMSB’s future contributions as it continues its mission to improve the transparency of wholesale markets.”

    Nikhil Rathi, CEO of the Financial Conduct Authority, said:

    “FMSB’s private sector members, drawn from across markets, play an important complementary role to that of the FCA and other regulators around the world. I look forward to continue working with them on important market transparency topics, including the growing role of new technology in markets, the development of green finance to support the transition to a low carbon economy, and the completion of the transition away from LIBOR.”        

    The full annual report is available to view at fmsb.com.

    Media contacts
    Maitland/AMO
    Freddie Barber
    +44 207 379 5151
    fbarber@maitland.co.uk

    Notes to Editors

    1) The Fixed Income, Currencies and Commodities Markets Standards Board (‘FMSB’) is practitioner led, funded by members and operated by the major participants in wholesale markets to improve standards of conduct in wholesale fixed income, currencies and commodities (FICC) markets. It aims to bring transparency to grey areas in the wholesale FICC markets by identifying emerging vulnerabilities, clarifying and documenting practice and agreeing standards to improve conduct and market behaviour. Ensuring that wholesale FICC markets are transparent, fair and effective for all participants is at the heart of FMSB’s mission.

    FMSB Standards set out Core Principles and accompanying guidance on the most important aspects of practice where ambiguity risks undermining the transparency, fairness and effectiveness of markets.

    FMSB Statements of Good Practice set out clear expectations and guidance on good practice in relation to broader areas of uncertainty in wholesale FICC markets. 

    FMSB Spotlight Reviews encompass a broad range of publications used by FMSB to illuminate important emerging issues in FICC markets. Drawing on the insight of members and industry experts, they provide a way for FMSB to surface nascent challenges market participants face and may inform topics for future work. Spotlight Reviews will often include references to existing law, regulation and business practices. However, they do not set or define any new precedents or standards of business practice applicable to market participants. 

    All FMSB publications are available on the FMSB website at fmsb.com

    2) Setting up the FMSB was one of the main recommendations from the Fair and Effective Markets Review (FEMR), which was conducted by HM Treasury, the Bank of England, and the Financial Conduct Authority.  

    FEMR set FMSB four strategic goals: 

    • Identifying global market vulnerabilities through scanning the horizon for emerging business practice risks. 
    • Developing best market practice through the production of standards and other materials that create a common understanding. 
    • Driving global adherence through ensuring standards are comprehensible and practical. 
    • Developing consistent approaches to market practices through identifying gaps and inconsistencies in existing regulatory standards and working with other standards setting bodies. 

    3) FMSB has a Standards Board drawn from senior executives from across wholesale markets, from corporate clients, asset managers, sell-side participants and intermediaries and infrastructure providers such as exchanges and custodians. In specialist, focused committees, subcommittees and working groups, industry experts debate issues and develop FMSB Standards and Statements of Good Practice, and undertake Spotlight Reviews that are made available to the global community of FICC market participants and regulatory authorities. 

    4) FMSB members bring together sell-side investment banks, buy-side asset managers, market infrastructure providers and exchanges, custodians and users of the market such as corporates. This constitution is unique.  

    The member firms are listed and available on the FMSB website at fmsb.com/who-we-are/ 

  • Descending safely: Life after Libor – speech by Andrew Bailey

    The Governor of the Bank of England, Andrew Bailey, made reference to FMSB’s work in a speech on 11 May 2021 at the Alternative Reference Rates Committee’s ‘SOFR Symposium: The Final Year’ about the move away from the use of LIBOR.

    Read the speech here: Descending safely: Life after Libor – speech by Andrew Bailey | Bank of England.

  • FMSB publishes a Standard for the execution of Large Trades in FICC markets

    6 May 2021 – The FICC Markets Standards Board (“FMSB”) today publishes a final Standard setting out expected behaviours for the execution of Large Trades by participants in FICC markets.  

    Large Trades – transactions that are greater than the available liquidity prevailing in the market – can create undue pressure on markets, across all FICC asset classes. They create real execution challenges, both for market users and for dealers, often leading to market impact and price volatility, and can sometimes give rise to conflicts of interest for those managing the resulting market exposures.   

    What constitutes a large trade will vary across markets and over time. This Standard focuses on transactions substantially larger than the observed liquidity in the relevant product market around the time of execution, and which could be reasonably expected to have a material impact on prices in the market or related markets.  

    This Standard is intended to:  

    i. Reduce information asymmetries between dealers and clients in relation to the execution of Large Trades and enhance the understanding of clients as to the method of execution and potential impact of Large Trades on the market and price the client receives; 

    ii. Clarify and codify the principles governing the pre-hedging of Large Trades, building on the FX Global Code (‘FXGC’) and extending principles compatible with the FXGC to the fixed income and commodities markets; iii. Establish clear expectations with regard to client confidentiality given the potentially heightened impacts of information leakage in the context of Large Trades; and

    iv. Ensure that clients communicate with dealers in a transparent manner so as to not have a detrimental impact on the effectiveness of the execution of a Large Trade by a dealer. 

    The Standard contains 10 core principles, which include:  

    • Dealers should communicate to clients that the trade may be large in the relevant market. 
    • Clients should communicate in a transparent manner that is clear, accurate and not misleading.  
    • Dealers should not disclose the details of large trades to other market participants unless necessary to give effect to the clients’ instructions  
    • Consideration of the circumstances in which pre-hedging may be undertaken and the expected behaviours of market participants when pre-hedging large trades. 

    The application of these core principles differs depending on whether a market participant is acting as an agent or a principal.  

    In respect of pre-hedging, the Standard sets out that when a dealer is acting as an agent, pre-hedging is never permitted in the relevant market. 

    For principal transactions, the Standard sets out that pre-hedging should only be undertaken where: 

    1. the dealer legitimately expects to take on market risk and the pre-hedging is undertaken at the dealer’s own risk; 
    2. the trading activity is reasonable relative to the size and nature of the anticipated transaction;  
    3. it aims to minimise the impact of the activity on the market; and  
    4. it is designed to benefit the client and not executed in a manner that is meant to disadvantage the client. 

    This Standard applies to all participants in the wholesale FICC markets in Europe, subject to any applicable local regulatory restrictions, but market participants may elect to apply this Standard in other jurisdictions. 

    The Standard was issued as a Transparency Draft for comments from the market in December 2020. Responding to feedback, a small number of changes and additions were made.   

    Mark Yallop, Chair of FMSB said: Ensuring fair and transparent execution of out-sized orders has been a significant challenge for dealers for my entire career in FICC markets, and I daresay well before then too.  It is an extremely important topic, of current interest to many market participants, in all jurisdictions globally.   Ensuring that markets can deliver fair and effective outcomes for Large Trades is a challenge for both dealers and their clients: both sides of the transaction have important responsibilities. FMSB’s mandate to represent the interests of all market participants make it the natural venue to tackle this long-standing challenge and it is particularly pleasing to have been able to collaborate with the FXGC. It is also very gratifying that this work has been led for FMSB by one of our long-standing corporate, end-user Members. I thank them and all our Members who have supported the drafting of this new Standard.”  

    Michael Dawson, Head of Liquidity and FX at Shell and Chair of the FMSB Large Trades Working Group said: By their nature large trades can have a significant impact othe market, as well as there being the potential for heightened conduct risks associated with their execution. This Standard therefore seeks to establish principles for how market participants should behave in relation to the execution of such trades. The core principles set out in this Standard are relevant across asset classes and we believe this should be of value to all market participants involved in transacting large trades.” 

    James Kemp, Managing Director at Global Financial Markets Associations said: “It is extremely constructive to see the close collaboration between market participants in producing this guidance for Large Trades and that key relevant elements of this guidance dovetail closely with the Global FX Committee’s evolving guidance on Pre-Hedging.  Creating a clear and consistent industry position on these topics is helpful in providing all market participants with well understood guidance that serves to underpin effective market functioning.” 

    Media contacts 

    Maitland/AMO 
    Andy Donald or Freddie Barber 
    +44 207 379 5151 
    adonald@maitland.co.uk 
    fbarber@maitland.co.uk 

    Notes to Editors 

    1) The Fixed Income, Currencies and Commodities Markets Standards Board (‘FMSB’) is practitioner led, funded by members and operated by the major participants in wholesale markets to improve standards of conduct in wholesale fixed income, currencies and commodities (FICC) markets. It aims to bring transparency to grey areas in the wholesale FICC markets by identifying emerging vulnerabilities, clarifying and documenting practice and agreeing standards to improve conduct and market behaviour. Ensuring that wholesale FICC markets are transparent, fair and effective for all participants is at the heart of FMSB’s mission.  

    FMSB Standards set out Core Principles and accompanying guidance on the most important aspects of practice where ambiguity risks undermining the transparency, fairness and effectiveness of markets. 

    FMSB Statements of Good Practice set out clear expectations and guidance on good practice in relation to broader areas of uncertainty in wholesale FICC markets. 

    FMSB Spotlight Reviews encompass a broad range of publications used by FMSB to illuminate important emerging issues in FICC markets. Drawing on the insight of members and industry experts, they provide a way for FMSB to surface nascent challenges market participants face and may inform topics for future work. Spotlight Reviews will often include references to existing law, regulation and business practices. However, they do not set or define any new precedents or standards of business practice applicable to market participants. 

    All FMSB publications are available on the FMSB website at fmsb.com/our-publications/

    2) Setting up the FMSB was one of the main recommendations from the Fair and Effective Markets Review (FEMR), which was conducted by HM Treasury, the Bank of England, and the Financial Conduct Authority.  

    FEMR set FMSB four strategic goals: 

    1. Identifying global market vulnerabilities through scanning the horizon for emerging business practice risks. 
    2. Developing best market practice through the production of standards and other materials that create a common understanding. 
    3. Driving global adherence through ensuring standards are comprehensible and practical. 
    4. Developing consistent approaches to market practices through identifying gaps and inconsistencies in existing regulatory standards and working with other standards setting bodies. 

    3) FMSB has a Standards Board drawn from senior executives from across wholesale markets, from corporate clients, asset managers, sell-side participants and intermediaries and infrastructure providers such as exchanges and custodians. In specialist, focused committees, subcommittees and working groups, industry experts debate issues and develop FMSB Standards and Statements of Good Practice, and undertake Spotlight Reviews that are made available to the global community of FICC market participants and regulatory authorities. 

    4) FMSB members bring together sell-side investment banks, buy-side asset managers, market infrastructure providers and exchanges, custodians and users of the market such as corporates. This constitution is unique.  

    The member firms are listed and available on the FMSB website at fmsb.com/who-we-are/ 

  • FMSB publishes Spotlight Review on LIBOR back book transition

    20 April 2021 – The FICC Markets Standards Board (“FMSB”) has today published a new Spotlight Review on LIBOR transition, looking at how market participants may manage potential conduct risks arising in back book transition.

    This Spotlight Review aims to provide practical guidance for market participants and builds on a previous Spotlight Review which focused on moving new business off LIBOR. It has been developed by FMSB’s LIBOR Transition Working Group, which has representation from a wide range of FMSB member firms.

    Back book transition covers long-dated derivative contracts and the need for parties to them to take steps before the end of 2021 to remove their remaining reliance on LIBOR benchmarks. Until July 2017 when it became clear that LIBOR would end, few contracts across the cash and derivatives markets envisaged a permanent cessation of LIBOR settings. Parties to long-dated derivatives contracts as well as borrowers and lenders are therefore exposed to uncertainty on LIBOR cessation if steps are not taken before the end of 2021. For these older legacy contracts, there are four broad transition or fallback options depending on the product and contract in question:

    1. Proactively transition LIBOR-based contracts to alternative benchmark rates in advance of LIBOR cessation
    2. Proactively amend legacy fallback language
    3. Rely on legacy fallback terms
    4. Rely on a legislative solution for tough legacy contracts

    This Spotlight Review focuses on the first of these options given the benefits of actively converting contracts to another rate before the end of 2021. In particular, taking an active approach to transition enables market participants to take a degree of control over the impact of the transition on their contracts, reduce uncertainty and operational risk associated with waiting for LIBOR cessation and helps promote an orderly transition.

    Nonetheless, as with the other transition and fallback options, proactively transitioning away from LIBOR-based contracts to alternative benchmark rates in advance of LIBOR cessation gives rise to a number of complexities which firms will need to manage in order to promote a fair and effective transition. In particular:

    • There is a risk of value transfer depending on the timing of transition and subsequent benchmark rate movements.
    • There may be mismatches in fallbacks for underlying cash and associated hedging instruments.
    • Where firms are required to exercise some discretion, this may give rise to differential client treatment.

    The Spotlight Review examines these complexities through practical case studies and sets out certain key considerations for banks and end users when looking at different transition options and good practice observations for managing the associated risks taking into account the overarching principle that firms ‘must pay due regard to the interests of [their] customers and treat them fairly’. [1]

    Martin Pluves, CEO of FMSB, said:With time fast running out to decide on the most appropriate steps for managing the transition of their back book positions from LIBOR onto risk free rates, firms must choose their course carefully. I am delighted to announce the timely publication of this Spotlight Review, the second in our series looking at conduct risks that arise in managing LIBOR transition.”

    Chris Salmon, Chair of the FMSB LIBOR Transition Working Group, and Chief Control Officer for Markets & Securities Services at HSBC, said: “FMSB’s latest Spotlight Review is designed as a guide to help market participants treat customers fairly and support market integrity when they proactively transition their back book trading contracts from LIBOR to RFR benchmarks.  Through FMSB’s LIBOR Working Group, we have drawn on a wide range of insights and expertise, both from FMSB member firms and the wider industry, to produce this practical Spotlight Review.”

    The Spotlight Review is available for download here: fmsb.com

    [1] PRIN 2.1, Principle 6 FCA Handbook

    Media contacts

    Maitland/AMO
    Andy Donald or Freddie Barber
    +44 207 379 5151
    adonald@maitland.co.uk
    fbarber@maitland.co.uk

    Notes to Editors

    1) The Fixed Income, Currencies and Commodities Markets Standards Board (‘FMSB’) is practitioner led, funded by members and operated by the major participants in wholesale markets to improve standards of conduct in wholesale fixed income, currencies and commodities (FICC) markets. It aims to bring transparency to grey areas in the wholesale FICC markets by identifying emerging vulnerabilities, clarifying and documenting practice and agreeing standards to improve conduct and market behaviour. Ensuring that wholesale FICC markets are transparent, fair and effective for all participants is at the heart of FMSB’s mission.

    FMSB Standards set out Core Principles and accompanying guidance on the most important aspects of practice where ambiguity risks undermining the transparency, fairness and effectiveness of markets.

    FMSB Statements of Good Practice set out clear expectations and guidance on good practice in relation to broader areas of uncertainty in wholesale FICC markets.

    FMSB Spotlight Reviews encompass a broad range of publications used by FMSB to illuminate important emerging issues in FICC markets. Drawing on the insight of members and industry experts, they provide a way for FMSB to surface nascent challenges market participants face and may inform topics for future work. Spotlight Reviews will often include references to existing law, regulation and business practices. However, they do not set or define any new precedents or standards of business practice applicable to market participants.

    All FMSB publications are available on the FMSB website at fmsb.com/our-publications/.

    2) Setting up the FMSB was one of the main recommendations from the Fair and Effective Markets Review (FEMR), which was conducted by HM Treasury, the Bank of England, and the Financial Conduct Authority.

    FEMR set FMSB four strategic goals: 

    1. Identifying global market vulnerabilities through scanning the horizon for emerging business practice risks. 
    2. Developing best market practice through the production of standards and other materials that create a common understanding.
    3. Driving global adherence through ensuring standards are comprehensible and practical. 
    4. Developing consistent approaches to market practices through identifying gaps and inconsistencies in existing regulatory standards and working with other standards setting bodies. 

    3) FMSB has a Standards Board drawn from senior executives from across wholesale markets, from corporate clients, asset managers, sell-side participants and intermediaries and infrastructure providers such as exchanges and custodians. In specialist, focused committees, subcommittees and working groups, industry experts debate issues and develop FMSB Standards and Statements of Good Practice, and undertake Spotlight Reviews that are made available to the global community of FICC market participants and regulatory authorities.

    4) FMSB members bring together sell-side investment banks, buy-side asset managers, market infrastructure providers and exchanges, custodians and users of the market such as corporates. This constitution is unique.

    The member firms are listed and available on the FMSB website at fmsb.com/who-we-are/

  • FMSB publishes new Standard on the use of Term SONIA reference rates

    24 March 2021 – The FICC Markets Standards Board (“FMSB”) today publishes a Transparency Draft of a new Standard on use of Term SONIA reference rates. 

    SONIA is the Sterling Overnight Index Average, as published by the Bank of England, and Term SONIA refers to forward-looking benchmarks. 

    The UK authorities and the Working Group on Sterling Risk-Free Reference Rates have made clear they expect the use of such forward-looking benchmarks to be relatively limited. Instead, the expectation is that Sterling fixed income and wholesale lending markets should predominantly transition to SONIA compounded in arrears as part of the move away from LIBOR.  

    However, there will be some circumstances where the use of a rate compounded in arrears is not appropriate or operationally achievable. This Standard has therefore been developed with the aim of identifying where there may be robust rationales for using Term SONIA and sets out certain expected behaviours of market participants. 

    For example, Term SONIA, as with other term rates, may be valuable where market participants need advance knowledge and certainty of their interest rate obligations, or where the rate is used for discounting future cash flows such as in trade finance. 

    The Standard contains eight core principles, which collectively cover: 

    • Across lending products, derivative products and bonds, market participants should assess whether there is a robust rationale when deciding to use Term SONIA. 
    • Banks / dealers should track and retain appropriate records of the volume of products, used or issued which reference Term SONIA. 
    • Banks / dealers should ensure they have adequate policies, procedures, systems and controls in place to identify and mitigate any conflicts of interest which may arise. 
    • Comprehensive risk disclosures should be provided by banks / dealers to end users to highlight any relevant risks associated with the use of Term SONIA. 
    • Corporates and buy-side firms should assess whether there is a robust rationale for any requests made to dealers to provide products referencing Term SONIA. 
    • Where market participants do use products referencing Term SONIA, they should ensure that such products have robust fallback arrangements included within the contractual terms to allow orderly transition if Term SONIA were to be discontinued or declared non-representative. 

    This Standard applies to participants in the Sterling fixed income and wholesale lending markets, including Sterling legs of multi-currency products. 

    Martin Pluves, CEO of FMSB, said: “Interest rate benchmarks play an important role in FICC markets. As part of the transition away from LIBOR, UK authorities have been clear that markets should predominantly move to SONIA compounded in arrears, but also expect that Term SONIA will be sufficiently robust for selected applications where it is needed”.  
     
    Mark Yallop, Chair of FMSB, said: “This Standard has been created to assist market participants in determining when it may be appropriate to use Term SONIA and sets out clear principles of expected behaviours. We are very grateful for the engagement we have had to date with the Working Group on Sterling Risk-Free Reference Rates, as well as the Bank of England and FCA in producing this important Standard.” 

    FMSB members and other interested parties are invited to comment on the proposed Standard before it is finalised by FMSB.  The consultation will run until 28 May 2021 with the final document is expected to be published shortly thereafter. 

    Media contacts 
    Maitland/AMO 
    Andy Donald or Freddie Barber 
    +44 207 379 5151 
    adonald@maitland.co.uk 
    fbarber@maitland.co.uk 

    Notes to Editors 

    1) The Fixed Income, Currencies and Commodities Markets Standards Board (‘FMSB’) is practitioner led, funded by members and operated by the major participants in wholesale markets to improve standards of conduct in wholesale fixed income, currencies and commodities (FICC) markets. It aims to bring transparency to grey areas in the wholesale FICC markets by identifying emerging vulnerabilities, clarifying and documenting practice and agreeing standards to improve conduct and market behaviour. Ensuring that wholesale FICC markets are transparent, fair and effective for all participants is at the heart of FMSB’s mission.  

    FMSB Standards set out Core Principles and accompanying guidance on the most important aspects of practice where ambiguity risks undermining the transparency, fairness and effectiveness of markets. 

    FMSB Statements of Good Practice set out clear expectations and guidance on good practice in relation to broader areas of uncertainty in wholesale FICC markets. 

    FMSB Spotlight Reviews encompass a broad range of publications used by FMSB to illuminate important emerging issues in FICC markets. Drawing on the insight of members and industry experts, they provide a way for FMSB to surface nascent challenges market participants face and may inform topics for future work. Spotlight Reviews will often include references to existing law, regulation and business practices. However, they do not set or define any new precedents or standards of business practice applicable to market participants. 

    All FMSB publications are available on the FMSB website at fmsb.com/our-publications/

    2) Setting up the FMSB was one of the main recommendations from the Fair and Effective Markets Review (FEMR), which was conducted by HM Treasury, the Bank of England, and the Financial Conduct Authority.  

    FEMR set FMSB four strategic goals: 

    1. Identifying global market vulnerabilities through scanning the horizon for emerging business practice risks. 
    2. Developing best market practice through the production of standards and other materials that create a common understanding.
    3. Driving global adherence through ensuring standards are comprehensible and practical. 
    4. Developing consistent approaches to market practices through identifying gaps and inconsistencies in existing regulatory standards and working with other standards setting bodies. 

    3) FMSB has a Standards Board drawn from senior executives from across wholesale markets, from corporate clients, asset managers, sell-side participants and intermediaries and infrastructure providers such as exchanges and custodians. In specialist, focused committees, subcommittees and working groups, industry experts debate issues and develop FMSB Standards and Statements of Good Practice, and undertake Spotlight Reviews that are made available to the global community of FICC market participants and regulatory authorities. 

    4) FMSB members bring together sell-side investment banks, buy-side asset managers, market infrastructure providers and exchanges, custodians and users of the market such as corporates. This constitution is unique.  

    The member firms are listed and available on the FMSB website at fmsb.com/who-we-are/ 

  • FMSB appoints Ed Davey as Chief Operating Officer.

    2 March 2021 – The FICC Markets Standards Board (FMSB), a standard setting body for the wholesale fixed income, currencies and commodities (FICC) markets, today announces the appointment of Edward Davey as its first Chief Operating Officer.

    Most recently Edward was running his own business development and change management consultancy firm and recently supported a large Australian bank to establish a new EU Banking entity in mainland Europe as part of their Brexit programme and also worked with several FinTech companies.
    Prior to that he was Global FX Chief Operating Officer at JP Morgan and then held the roles of Head of Strategic Initiative Group and Strategic Planning as well as Head of Product Strategy at CLS Group Ltd, the provider of FX settlement solutions.

    Edward qualified as a Chartered Accountant in Australia and also has an MBA from Manchester Business School.

    Reporting to FMSB’s CEO, this role will focus on managing FMSB’s working groups and sub-committees as they develop and produce standards, good practice statements and thought leadership publications across a wide range of wholesale FICC markets topics. The role will also focus on expanding FMSB’s membership base and its international reach.

    FMSB is a practitioner-led, membership organisation with active participation from almost 50 corporate, buy-side, sell-side, markets services and infrastructure providers.

    Martin Pluves, CEO of FMSB, said: “I am delighted to welcome Ed to FMSB as our first Chief Operating Officer. This is an important role for FMSB and our members given we have a large pipeline of work for 2021 and beyond as part of our remit to raise standards in wholesale FICC markets. Ed has significant experience of working within the financial services sector and in delivering organisational improvements. We look forward to working with Ed as part of the FMSB Secretariat.”

    Media Contacts
    Maitland/AMO 
    Andy Donald or Sam Turvey
    +44 207 379 5151 
    adonald@maitland.co.uk 
    sturvey@maitland.co.uk 

    Notes to Editors

    1) The Fixed Income, Currencies and Commodities Markets Standards Board (‘FMSB’) is practitioner led, funded by members and operated by the major participants in wholesale markets to improve standards of conduct in wholesale fixed income, currencies and commodities (FICC) markets. It aims to bring transparency to grey areas in the wholesale FICC markets by identifying emerging vulnerabilities, clarifying and documenting practice and agreeing standards to improve conduct and market behaviour. Ensuring that wholesale FICC markets are transparent, fair and effective for all participants is at the heart of FMSB’s mission.

    FMSB Standards set out Core Principles and accompanying guidance on the most important aspects of practice where ambiguity risks undermining the transparency, fairness and effectiveness of markets.

    FMSB Statements of Good Practice set out clear expectations and guidance on good practice in relation to broader areas of uncertainty in wholesale FICC markets.

    FMSB Spotlight Reviews encompass a broad range of publications used by FMSB to illuminate important emerging issues in FICC markets. Drawing on the insight of members and industry experts, they provide a way for FMSB to surface nascent challenges market participants face and may inform topics for future work. Spotlight Reviews will often include references to existing law, regulation and business practices. However, they do not set or define any new precedents or standards of business practice applicable to market participants.

    All FMSB publications are available on the FMSB website at fmsb.com/our-publications/.

    2) Setting up the FMSB was one of the main recommendations from the Fair and Effective Markets Review (FEMR), which was conducted by HM Treasury, the Bank of England, and the Financial Conduct Authority.

    FEMR set FMSB four strategic goals: 

    1. Identifying global market vulnerabilities through scanning the horizon for emerging business practice risks.
    2. Developing best market practice through the production of standards and other materials that create a common understanding.
    3. Driving global adherence through ensuring standards are comprehensible and practical. 
    4. Developing consistent approaches to market practices through identifying gaps and inconsistencies in existing regulatory standards and working with other standards setting bodies. 

    3) FMSB has a Standards Board drawn from senior executives from across wholesale markets, from corporate clients, asset managers, sell-side participants and intermediaries and infrastructure providers such as exchanges and custodians. In specialist, focused committees, subcommittees and working groups, industry experts debate issues and develop FMSB Standards and Statements of Good Practice, and undertake Spotlight Reviews that are made available to the global community of FICC market participants and regulatory authorities.

    4) FMSB members bring together sell-side investment banks, buy-side asset managers, market infrastructure providers and exchanges, custodians and users of the market such as corporates. This constitution is unique.

    The member firms are listed and available on the FMSB website at fmsb.com/who-we-are/

  • FMSB CEO Update

    1 February 2021 – The FICC Markets Standards Board (FMSB) today announces that Martin Pluves has decided to step down from his role as CEO.

    Martin joined FMSB in 2019 and has played a pivotal role in all FMSB activities, including the establishment of new Working Groups, the finalisation of several Standards and the production of a series of Spotlight Reviews looking at various areas of market practice.

    Alongside his role at FMSB, Martin has significant charitable and other commitments, including to the Ellen MacArthur Cancer Trust where he is a Trustee. He has decided the time is right for him to take a step back from his full-time leadership role in financial services to allow him to focus his efforts and time on these non-executive roles.

    The FMSB Ltd Board has appointed a search firm to find a successor to Martin, who will be staying in his role until the Spring to ensure an orderly transition.

    Mark Yallop, Chair of FMSB said: On behalf of everyone at FMSB I want to thank Martin for his tremendous contribution as CEO.  He has been an extremely effective leader and during his time FMSB has produced a range of important materials, all of which support its role of enhancing the fairness and effectiveness of wholesale markets.  Martin’s charitable and other interests will be big winners from our loss and we wish him every success as he begins a new chapter in his career.  He has very generously agreed to remain at the helm and help us to locate his successor in an orderly transition; we have already started this process and believe it will attract a range of high calibre applicants.”

    Martin Pluves, CEO of FMSB said: “I have hugely enjoyed my time at FMSB, which is a unique organisation that brings together a wide range of market participants. I am extremely grateful to all FMSB members for the support and effort they have shown, as well as to my colleagues in the FMSB Secretariat. FMSB plays a vital role in wholesale markets and I’m sure will continue to be successful as I step away from full-time leadership to dedicate more time to a range of different projects which are close to my heart.”

    Media contacts

    Maitland/AMO
    Andy Donald or Sam Turvey
    +44 207 379 5151
    adonald@maitland.co.uk
    sturvey@maitland.co.uk

    Notes to Editors

    1) The Fixed Income, Currencies and Commodities Markets Standards Board (‘FMSB’) is practitioner led, funded by members and operated by the major participants in wholesale markets to improve standards of conduct in wholesale fixed income, currencies and commodities (FICC) markets. It aims to bring transparency to grey areas in the wholesale FICC markets by identifying emerging vulnerabilities, clarifying and documenting practice and agreeing standards to improve conduct and market behaviour. Ensuring that wholesale FICC markets are transparent, fair and effective for all participants is at the heart of FMSB’s mission.

    FMSB Standards set out Core Principles and accompanying guidance on the most important aspects of practice where ambiguity risks undermining the transparency, fairness and effectiveness of markets.

    FMSB Statements of Good Practice set out clear expectations and guidance on good practice in relation to broader areas of uncertainty in wholesale FICC markets.

    FMSB Spotlight Reviews encompass a broad range of publications used by FMSB to illuminate important emerging issues in FICC markets. Drawing on the insight of members and industry experts, they provide a way for FMSB to surface nascent challenges market participants face and may inform topics for future work. Spotlight Reviews will often include references to existing law, regulation and business practices. However, they do not set or define any new precedents or standards of business practice applicable to market participants.

    All FMSB publications are available on the FMSB website at fmsb.com/our-publications/.

    2) Setting up the FMSB was one of the main recommendations from the Fair and Effective Markets Review (FEMR), which was conducted by HM Treasury, the Bank of England, and the Financial Conduct Authority.

    FEMR set FMSB four strategic goals:
    i) Identifying global market vulnerabilities through scanning the horizon for emerging business practice risks.
    ii) Developing best market practice through the production of standards and other materials that create a common understanding.
    iii) Driving global adherence through ensuring standards are comprehensible and practical.
    iv) Developing consistent approaches to market practices through identifying gaps and inconsistencies in existing regulatory standards and working with other standards setting bodies.

    3) FMSB has a Standards Board drawn from senior executives from across wholesale markets, from corporate clients, asset managers, sell-side participants and intermediaries and infrastructure providers such as exchanges and custodians. In specialist, focused committees, subcommittees and working groups, industry experts debate issues and develop FMSB Standards and Statements of Good Practice, and undertake Spotlight Reviews that are made available to the global community of FICC market participants and regulatory authorities.

    4) FMSB members bring together sell-side investment banks, buy-side asset managers, market infrastructure providers and exchanges, custodians and users of the market such as corporates. This constitution is unique.

    The member firms are listed and available on the FMSB website at fmsb.com/who-we-are/

  • ‘New Rules for the New Normal’ remarks by Mark Yallop

    Speech delivered by Mark Yallop, FMSB Chair, on 15 December 2020 at the 4th International Initiatives in Behavioural Financial Regulation and Policy virtual seminar: ‘Pandemic Shocks, Financial Institutions, Markets and Behaviours’ the full speech is available here.

  • Industry Standards Needed for Measuring Execution Quality: FMSB

    Industry Standards Needed for Measuring Execution Quality: FMSB

    8 September 2020 – Article by Editors in Regulation Asia (subscription may be required).

  • FMSB unpicks trade execution challenges

    FMSB unpicks trade execution challenges

    7 September 2020 – Article by Wendy Lisney in Global Investor (subscription may be required).

  • FMSB publishes Spotlight Review on measuring execution quality in FICC markets

    7 September 2020 – The FICC Markets Standards Board (FMSB) has today published a Spotlight Review looking at the challenges in measuring quality of trade execution and how this varies across different market participants and segments

    While not a new concept, in the last four years there has been a significant focus on best execution and transaction cost analysis by both market participants and regulators. 

    As a result, measuring and evidencing trade execution quality has become critical to client servicing as well as to demonstrating ongoing compliance with investor protection regulations. A firm’s ability to do this well depends heavily on the quality of data available.  

    While the various regulatory requirements for measuring execution quality vary by jurisdiction and asset class, wholesale fixed income, currencies and commodities (FICC) markets face specific challenges in achieving high standards of transparency, openness and fairness. This Review explores the root cause of these challenges, highlights the progress made in regulation and market participants’ practices with regard to data reporting and best execution, and sets out key points of focus for firms in navigating these difficult waters.  

    This Review therefore examines the following topics: 

    • the observability of relevant data sources;  
    • the reliability and quality of data sources; 
    • variations in data observability and reliability across different products;
    • obligations and priorities in measuring execution quality; and
    • a role for industry standards.

    This Spotlight Review is intended to benefit front office trade execution on the buy-side as well as within market makers, and those responsible for overseeing regulatory requirements in compliance and risk functions. 

    Mark Yallop, Chair of FMSB, said: “This Spotlight Review, the final in a series on market structure, looks at themes of best execution and transaction cost analysis (‘TCA’) that have grown in importance in recent years. It suggests that there may be benefits to agreeing broad best practices for measuring execution quality, both to better fulfil regulatory requirements and to achieve greater operational and cost efficiency. Drawing on themes already identified in earlier Spotlight Reviews, this study highlights the importance of ensuring good quality data – from the broadest, most reliable and most appropriate sources – in order to measure the quality of trade execution.” 

    Rupak Ghose, Senior Adviser at FMSB, said: “The series of four market structure Spotlight Reviews focused on emerging themes such as model risk in algorithmic trading, the critical role of data management, the changing surveillance environment and processes around measuring execution quality. A common theme throughout this series is the increasing importance of data quality and technology advancements, such as machine learning, in shaping the financial market landscape. Ensuring that governance and industry best practice keeps up with the rapid evolution of these trends is more important than ever in today’s complex financial system.” 

    This Spotlight Review is the fourth and final in a series that is collectively looking at issues of FICC market structure and the impact of regulatory and technological change on the fairness and effectiveness of wholesale markets.  

    This Spotlight Review is available for download on FMSB’s website at fmsb.com/our-publications/#spotlight-reviews. The other three Spotlight Reviews in the market structure series are available at: 

    Emerging themes and challenges in algorithmic trading and machine learning
    The critical role of data management in the financial system 
    Monitoring FICC markets and the impact of machine learning 

    Media Contacts
    Maitland/AMO 
    Andy Donald or Sam Turvey
    +44 207 379 5151 
    adonald@maitland.co.uk 
    sturvey@maitland.co.uk 

    Notes to Editors 

    1) The Fixed Income, Currencies and Commodities Markets Standards Board (‘FMSB’) is practitioner led, funded by members and operated by the major participants in wholesale markets to improve standards of conduct in wholesale fixed income, currencies and commodities (FICC) markets. It aims to bring transparency to grey areas in the wholesale FICC markets by identifying emerging vulnerabilities, clarifying and documenting practice and agreeing standards to improve conduct and market behaviour. Ensuring that wholesale FICC markets are transparent, fair and effective for all participants is at the heart of FMSB’s mission.  

    FMSB Standards set out Core Principles and accompanying guidance on the most important aspects of practice where ambiguity risks undermining the transparency, fairness and effectiveness of markets. 

    FMSB Statements of Good Practice set out clear expectations and guidance on good practice in relation to broader areas of uncertainty in wholesale FICC markets. 

    FMSB Spotlight Reviews encompass a broad range of publications used by FMSB to illuminate important emerging issues in FICC markets. Drawing on the insight of members and industry experts, they provide a way for FMSB to surface nascent challenges market participants face and may inform topics for future work. Spotlight Reviews will often include references to existing law, regulation and business practices. However, they do not set or define any new precedents or standards of business practice applicable to market participants. 

    All FMSB publications are available on the FMSB website at fmsb.com/our-publications/

    2) Setting up the FMSB was one of the main recommendations from the Fair and Effective Markets Review (FEMR), which was conducted by HM Treasury, the Bank of England, and the Financial Conduct Authority.  

    FEMR set FMSB four strategic goals: 

    1. Identifying global market vulnerabilities through scanning the horizon for emerging business practice risks.
    2. Developing best market practice through the production of standards and other materials that create a common understanding.
    3. Driving global adherence through ensuring standards are comprehensible and practical. 
    4. Developing consistent approaches to market practices through identifying gaps and inconsistencies in existing regulatory standards and working with other standards setting bodies. 

    3) FMSB has a Standards Board drawn from senior executives from across wholesale markets, from corporate clients, asset managers, sell-side participants and intermediaries and infrastructure providers such as exchanges and custodians. In specialist, focused committees, subcommittees and working groups, industry experts debate issues and develop FMSB Standards and Statements of Good Practice, and undertake Spotlight Reviews that are made available to the global community of FICC market participants and regulatory authorities. 

    4) FMSB members bring together sell-side investment banks, buy-side asset managers, market infrastructure providers and exchanges, custodians and users of the market such as corporates. This constitution is unique.  

    The member firms are listed and available on the FMSB website at fmsb.com/who-we-are/ 

  • The New World of Work

    The New World of Work

    27 July 2020 – Article by Shirley Yu in The New York Times.

  • FMSB publishes Spotlight Review on monitoring FICC markets and the impact of machine learning

    3 August 2020 – The FICC Markets Standards Board (FMSB) has today published a Spotlight Review looking at current and future challenges that FICC market participants face in market surveillance.

    This Spotlight Review outlines:

    • factors driving the pace of change in market surveillance;
    • the acute impact of data on surveillance effectiveness;
    • surveillance of complex algorithms and machine learning;
    • employing machine learning to empower surveillance; and
    • the vital role agility plays in effective surveillance.

    FMSB believes this Spotlight Review will be of interest to a wide audience across financial institutions including those managing conduct risk, compliance and surveillance and also those working more broadly on the application of machine learning.

    Lukasz Szpruch, Programme Director for Finance and Economics at The Alan Turing Institute, said: “In the Finance and Economics programme at The Alan Turing Institute we are addressing the key challenges of adopting machine learning techniques in the financial services industry by relying on transparent, reliable, and reproducible research. We welcomed this opportunity to work with FMSB on its review of market surveillance. By examining the significant opportunities and risks that machine learning methods offer relative to more traditional rules-based algorithms this paper facilitates an important discussion about the most relevant factors that could impact industry best practices across financial market participants.”

    Martin Pluves, CEO of FMSB, said: “The role of market surveillance remains a high priority for regulators and financial firms. Perhaps never more so than during the outbreak of the COVID-19 global pandemic with high volatility and large numbers of sales and trading staff working remotely. This ‘perfect storm’ forms the backdrop to this important Spotlight Review which looks at how innovation, including machine learning, can present new problems for surveillance professionals, but conversely may also play an important part in delivering creative solutions for managing market abuse risks in the front office.”

    This Spotlight Review is the third in a series that is collectively looking at issues of FICC market structure and the impact of regulatory and technological change on the fairness and effectiveness of wholesale markets.

    Media contacts

    Maitland/AMO
    Andy Donald or Freddie Barber
    +44 207 379 5151
    adonald@maitland.co.uk
    fbarber@maitland.co.uk

    Notes to Editors

    1) The Fixed Income, Currencies and Commodities Markets Standards Board (‘FMSB’) is practitioner led, funded by members and operated by the major participants in wholesale markets to improve standards of conduct in wholesale fixed income, currencies and commodities (FICC) markets. It aims to bring transparency to grey areas in the wholesale FICC markets by identifying emerging vulnerabilities, clarifying and documenting practice and agreeing standards to improve conduct and market behaviour. Ensuring that wholesale FICC markets are transparent, fair and effective for all participants is at the heart of FMSB’s mission.

    FMSB Standards set out Core Principles and accompanying guidance on the most important aspects of practice where ambiguity risks undermining the transparency, fairness and effectiveness of markets.

    FMSB Statements of Good Practice set out clear expectations and guidance on good practice in relation to broader areas of uncertainty in wholesale FICC markets.

    FMSB Spotlight Reviews encompass a broad range of publications used by FMSB to illuminate important emerging issues in FICC markets. Drawing on the insight of members and industry experts, they provide a way for FMSB to surface nascent challenges market participants face and may inform topics for future work. Spotlight Reviews will often include references to existing law, regulation and business practices. However, they do not set or define any new precedents or standards of business practice applicable to market participants.

    All FMSB publications are available on the FMSB website at fmsb.com/our-publications/.

    2) Setting up the FMSB was one of the main recommendations from the Fair and Effective Markets Review (FEMR), which was conducted by HM Treasury, the Bank of England, and the Financial Conduct Authority.

    FEMR set FMSB four strategic goals:

    1. Identifying global market vulnerabilities through scanning the horizon for emerging business practice risks.
    2. Developing best market practice through the production of standards and other materials that create a common understanding.
    3. Driving global adherence through ensuring standards are comprehensible and practical.
    4. Developing consistent approaches to market practices through identifying gaps and inconsistencies in existing regulatory standards and working with other standards setting bodies.

    3) FMSB has a Standards Board drawn from senior executives from across wholesale markets, from corporate clients, asset managers, sell-side participants and intermediaries and infrastructure providers such as exchanges and custodians. In specialist, focused committees, subcommittees and working groups, industry experts debate issues and develop FMSB Standards and Statements of Good Practice, and undertake Spotlight Reviews that are made available to the global community of FICC market participants and regulatory authorities.

    4) FMSB members bring together sell-side investment banks, buy-side asset managers, market infrastructure providers and exchanges, custodians and users of the market such as corporates. This constitution is unique.

    The member firms are listed and available on the FMSB website at fmsb.com/who-we-are/

  • FMSB publishes Spotlight Review on examining remote working risks in FICC markets

    27 July 2020 – The FICC Markets Standards Board (FMSB) has today published a Spotlight Review which examines remote working risks in FICC markets.

    Following COVID-19 being declared a global pandemic and the closure of many offices, FMSB formed a working group of members and other interested market participants to consider the impacts of financial services activities being undertaken by a workforce which is widely distributed and using remote working.

    The working group set about identifying and capturing the main priorities from a wide range of risks that arise from the new working environment, with a focus on areas which impact the fairness and effectiveness of wholesale FICC markets, and then to consider mitigants or strategies to manage these risks.

    As part of this, FMSB has created a risk register that shares the experience and observations of the working group for market practitioners to use when conducting their own risk assessments.

    The Review categorises risks into nine thematic categories:

    1. Control limitations
    2. Execution risks
    3. Governance
    4. Heightened cyber risk
    5. Sales lifecycle
    6. Sharing of confidential information
    7. Staff treatment and productivity
    8. Third party risk
    9. Threats to market effectiveness

    Within these nine categories, the risk register outlines over 40 specific risks, including cultural leakage and reduced employee engagement, weakened control of confidential information, poorer identification of suspicious trading activity, and physical and mental stress resulting from home office environments. For each risk there is an outline of the potential impact and example control and mitigation measures.

    The risk register is already being used by members of the working group in considering how they should best deal with the challenges posed by remote working. FMSB may decide to issue subsequent iterations when it considers there are substantive changes that would be helpful to share.

    Rosie Murphy Williams, Chair of the FMSB Remote Working Risk and Controls Group and former Chief Compliance Officer of several trading platforms and financial institutions said: “It has been impressive to see this group of market participants come together and pool their collective view of the most significant risks arising from the COVID-19 pandemic and the rapid adoption of remote working practices. I am certain that the resulting risk register will prove incredibly valuable to firms across the financial services sector, regardless of business model or location.”

    Martin Pluves, CEO of FMSB said: “The rapid transition to widespread and prolonged remote working presented significant new challenges for all participants in wholesale FICC markets. It would appear that remote working in one form or another is here to stay and each firm must navigate its own unique set of challenges. FMSB’s risk register, the product of a diverse group of practitioners, provides practical considerations to help firms with the task of identifying and mitigating risks during this ongoing period of significant change.”

    Media contacts

    Maitland/AMO
    Andy Donald or Sam Turvey
    +44 207 379 5151
    adonald@maitland.co.uk
    sturvey@maitland.co.uk

    Notes to Editors
    1) The Fixed Income, Currencies and Commodities Markets Standards Board (FMSB) is practitioner led, funded by members and operated by the major participants in wholesale markets to improve standards of conduct in wholesale fixed income, currencies and commodities (FICC) markets. It aims to bring transparency to grey areas in the wholesale FICC markets by identifying emerging vulnerabilities, clarifying and documenting practice and agreeing standards to improve conduct and market behaviour. Ensuring that wholesale FICC markets are transparent, fair and effective for all participants is at the heart of FMSB’s mission.

    FMSB Standards set out Core Principles and accompanying guidance on the most important aspects of practice where ambiguity risks undermining the transparency, fairness and effectiveness of markets.
    FMSB Statements of Good Practice set out clear expectations and guidance on good practice in relation to broader areas of uncertainty in wholesale FICC markets.

    FMSB Spotlight Reviews encompass a broad range of publications used by FMSB to illuminate important emerging issues in FICC markets. Drawing on the insight of members and industry experts, they provide a way for FMSB to surface nascent challenges market participants face and may inform topics for future work. Spotlight Reviews will often include references to existing law, regulation and business practices. However, they do not set or define any new precedents or standards of business practice applicable to market participants.

    All FMSB publications are available on the FMSB website at fmsb.com/our-publications/.

    2) Setting up the FMSB was one of the main recommendations from the Fair and Effective Markets Review (FEMR), which was conducted by HM Treasury, the Bank of England, and the Financial Conduct Authority.

    FEMR set FMSB four strategic goals:

    1. Identifying global market vulnerabilities through scanning the horizon for emerging business practice risks.
    2. Developing best market practice through the production of standards and other materials that create a common understanding.
    3. Driving global adherence through ensuring standards are comprehensible and practical.
    4. Developing consistent approaches to market practices through identifying gaps and inconsistencies in existing regulatory standards and working with other standards setting bodies.

    3) FMSB has a Standards Board drawn from senior executives from across wholesale markets, from corporate clients, asset managers, sell-side participants and intermediaries and infrastructure providers such as exchanges and custodians. In specialist, focused committees, sub-committees and working groups, industry experts debate issues and develop FMSB Standards and Statements of Good Practice, and undertake Spotlight Reviews that are made available to the global community of FICC market participants and regulatory authorities.

    4) FMSB members bring together sell-side investment banks, buy-side asset managers, market infrastructure providers and exchanges, custodians and users of the market such as corporates. This constitution is unique.

    The member firms are listed on the FMSB website at fmsb.com/who-we-are/.

  • Appointments to the FMSB Limited Board

    26 June 2020 – The FICC Markets Standards Board (FMSB) announces three new appointments to the board of FMSB Limited.

    Martin Pluves, CEO of FMSB, has been appointed to the board as executive director, reflecting the highly successful completion of his first six months as CEO of FMSB and his exemplary leadership during the past few months of pandemic lockdown. His extensive knowledge and experience of FICC markets and their infrastructure, and his previous leadership positions in the industry, are well known to all who have worked with Martin.

    The board has also appointed Niki Beattie and Philippa Foster Back CBE as new non-executive directors.

    Niki Beattie has extensive corporate governance experience in financial markets and is currently Chair of both XTX Markets Ltd, a quantitative-driven electronic market-maker, and Aquis Exchange PLC, a pan-European MTF, as well as a non-executive director of IRESS, a listed Australian financial technology company, and Kepler Cheuvreux International, the French brokerage company.

    Niki is also the CEO and Founder of Market Structure Partners, an independent consulting firm providing strategic advice on financial market structure issues to global exchanges, clearing houses, technology firms, market participants and government bodies. Prior to setting up Market Structure Partners, she spent 14 years at Merrill Lynch across a number of roles, including EMEA Head of Market Structure.

    Philippa Foster Back CBE has recently stepped down as Director of the Institute of Business Ethics (IBE), a role she has held since 2001. The IBE’s work is focused on promoting high standards of business behaviour based on ethical values.

    Philippa was previously Group Treasurer at EMI Group, Group Finance Director at DC Gardner Group and Group Treasurer at Bowater. Philippa has also held a number of trustee, major review committee and non-executive roles throughout her career. She is currently a BEIS/FRC Wates Coalition Group member, a member of the  ACT Advisory Panel and a member of the CISI Board and its Integrity Forum.

    Mark Yallop, Chairman of FMSB said: “I’m delighted to welcome Martin, Niki and Philippa as new directors of FMSB. Martin’s dedication to FMSB’s mission and personal passion for our work is evident to all who have worked with him the last months. Niki and Philippa bring significant knowledge and experience of wholesale markets and of promoting high standards in business practices. Martin, Niki and Philippa will all play an important role in the governance and direction of FMSB as we continue to work with our members to enhance standards of behaviour in the wholesale FICC markets.”

    Martin, Niki and Philippa join the Board alongside Chair, Mark Yallop, and existing non-executive directors Michael Cole-Fontayn, Charles Nichols, Edward Ocampo and Stephen O’Connor.

    Media contacts

    Maitland/AMO
    Andy Donald or Sam Turvey
    +44 207 379 5151
    adonald@maitland.co.uk
    sturvey@maitland.co.uk

    Notes to Editors
    1) The Fixed Income, Currencies and Commodities Markets Standards Board (FMSB) is practitioner led, funded by members and operated by the major participants in wholesale markets to improve standards of conduct in wholesale fixed income, currencies and commodities (FICC) markets. It aims to bring transparency to grey areas in the wholesale FICC markets by identifying emerging vulnerabilities, clarifying and documenting practice and agreeing standards to improve conduct and market behaviour. Ensuring that wholesale FICC markets are transparent, fair and effective for all participants is at the heart of FMSB’s mission.

    FMSB Standards set out Core Principles and accompanying guidance on the most important aspects of practice where ambiguity risks undermining the transparency, fairness and effectiveness of markets.
    FMSB Statements of Good Practice set out clear expectations and guidance on good practice in relation to broader areas of uncertainty in wholesale FICC markets.

    FMSB Spotlight Reviews encompass a broad range of publications used by FMSB to illuminate important emerging issues in FICC markets. Drawing on the insight of members and industry experts, they provide a way for FMSB to surface nascent challenges market participants face and may inform topics for future work. Spotlight Reviews will often include references to existing law, regulation and business practices. However, they do not set or define any new precedents or standards of business practice applicable to market participants.

    All FMSB publications are available on the FMSB website at fmsb.com/our-publications/.

    2) Setting up the FMSB was one of the main recommendations from the Fair and Effective Markets Review (FEMR), which was conducted by HM Treasury, the Bank of England, and the Financial Conduct Authority.

    FEMR set FMSB four strategic goals:

    1. Identifying global market vulnerabilities through scanning the horizon for emerging business practice risks.
    2. Developing best market practice through the production of standards and other materials that create a common understanding.
    3. Driving global adherence through ensuring standards are comprehensible and practical.
    4. Developing consistent approaches to market practices through identifying gaps and inconsistencies in existing regulatory standards and working with other standards setting bodies.

    3) FMSB has a Standards Board drawn from senior executives from across wholesale markets, from corporate clients, asset managers, sell-side participants and intermediaries and infrastructure providers such as exchanges and custodians. In specialist, focused committees, sub-committees and working groups, industry experts debate issues and develop FMSB Standards and Statements of Good Practice, and undertake Spotlight Reviews that are made available to the global community of FICC market participants and regulatory authorities.

    4) FMSB members bring together sell-side investment banks, buy-side asset managers, market infrastructure providers and exchanges, custodians and users of the market such as corporates. This constitution is unique.

    The member firms are listed on the FMSB website at fmsb.com/who-we-are/.

  • FMSB issues new Statement of Good Practice on algorithmic trading

    24 June 2020 – The FICC Markets Standards Board (FMSB) published a new Statement of Good Practice on Algorithmic Trading in FICC Markets as a transparency draft for market consultation.

    As the use of computer algorithms in FICC markets continues to increase, the potential for such trading activities to adversely impact market or firm stability, or result in harm to clients, also rises. Accordingly, algorithmic trading has increasingly been the subject of regulatory scrutiny and intervention.

    This Statement of Good Practice draws on the extensive work conducted by regulators to date and seeks to further enhance the integrity and effective functioning of FICC markets by promoting good conduct and governance practices for participants engaged in algorithmic trading across all FICC asset classes and markets, in particular those subject to less stringent regulatory requirements.

    It sets out 10 Good Practice Statements which cover the governance of, and management of conduct risks associated with, the use of algorithmic trading.

    Ciara Quinlan, Global Head of Principal Electronic Trading, FX, Rates and Credit at UBS, said: “The use of algorithmic trading systems across FICC markets has increased significantly in recent years and having robust governance structures in place to help manage the risks associated with this rise in algorithmic trading is critical. This Statement of Good Practice builds on the substantial work conducted by regulators in this space and should help further drive good governance practices particularly in less regulated asset classes and markets”.

    Chris Dickens, Chief Operating Officer EMEA, Global Markets at HSBC said: “This Statement of Good Practice seeks to promote good conduct and governance practices applicable to algorithmic trading activities and demonstrates the shared commitment of market participants to enhancing the integrity and functioning of FICC markets.”

    Ciara and Chris are co-chairs of the FMSB Working Group that collectively produced this Statement of Good Practice.

    FMSB members and other interested parties are invited to comment on the proposed Statement of Good Practice. This consultation will run until Friday 21 August 2020 with the final document expected to be published shortly thereafter.

    Media contacts
    Maitland/AMO
    Andy Donald or Sam Turvey
    +44 207 379 5151
    adonald@maitland.co.uk
    sturvey@maitland.co.uk

    Notes to Editors
    1) The Fixed Income, Currencies and Commodities Markets Standards Board (FMSB) is practitioner led, funded by members and operated by the major participants in wholesale markets to improve standards of conduct in wholesale fixed income, currencies and commodities (FICC) markets. It aims to bring transparency to grey areas in the wholesale FICC markets by identifying emerging vulnerabilities, clarifying and documenting practice and agreeing standards to improve conduct and market behaviour. Ensuring that wholesale FICC markets are transparent, fair and effective for all participants is at the heart of FMSB’s mission.

    FMSB Standards set out Core Principles and accompanying guidance on the most important aspects of practice where ambiguity risks undermining the transparency, fairness and effectiveness of markets.
    FMSB Statements of Good Practice set out clear expectations and guidance on good practice in relation to broader areas of uncertainty in wholesale FICC markets.

    FMSB Spotlight Reviews encompass a broad range of publications used by FMSB to illuminate important emerging issues in FICC markets. Drawing on the insight of members and industry experts, they provide a way for FMSB to surface nascent challenges market participants face and may inform topics for future work. Spotlight Reviews will often include references to existing law, regulation and business practices. However, they do not set or define any new precedents or standards of business practice applicable to market participants.

    All FMSB publications are available on the FMSB website at fmsb.com/our-publications/.

    2) Setting up the FMSB was one of the main recommendations from the Fair and Effective Markets Review (FEMR), which was conducted by HM Treasury, the Bank of England, and the Financial Conduct Authority.

    FEMR set FMSB four strategic goals:

    1. Identifying global market vulnerabilities through scanning the horizon for emerging business practice risks.
    2. Developing best market practice through the production of standards and other materials that create a common understanding.
    3. Driving global adherence through ensuring standards are comprehensible and practical.
    4. Developing consistent approaches to market practices through identifying gaps and inconsistencies in existing regulatory standards and working with other standards setting bodies.

    3) FMSB has a Standards Board drawn from senior executives from across wholesale markets, from corporate clients, asset managers, sell-side participants and intermediaries and infrastructure providers such as exchanges and custodians. In specialist, focused committees, sub-committees and working groups, industry experts debate issues and develop FMSB Standards and Statements of Good Practice, and undertake Spotlight Reviews that are made available to the global community of FICC market participants and regulatory authorities.

    4) FMSB members bring together sell-side investment banks, buy-side asset managers, market infrastructure providers and exchanges, custodians and users of the market such as corporates. This constitution is unique.

    The member firms are listed on the FMSB website at fmsb.com/who-we-are/.

  • FMSB Spotlights Libor Transition

    FMSB Spotlights Libor Transition

    11 June 2020 – Article by Shanny Basar in Markets Media.

  • FMSB publishes a Spotlight Review on navigating conduct risks in LIBOR transition

    11 June 2020 – The FICC Markets Standards Board (FMSB) has today published a Spotlight Review on LIBOR transition with practical case studies to support firms when considering the risks to fairness and effectiveness as the market moves to risk-free rates as more sustainable and representative benchmarks.

    As the risks associated with the continued provision of new LIBOR-linked products increase, ‘LIBOR transition: Case studies for navigating conduct risks’ highlights issues for market participants to address when offering new products to clients or changing performance benchmarks.

    While the LIBOR transition presents market participants with unique challenges, many of the conduct-related risks, and the means of managing them, are not novel. The paper therefore builds on existing FMSB principles and relevant regulatory expectations, combining the broad expertise of FMSB’s IBOR Transition Working Group participants, and explores ways in which firms can manage the uncertainties and associated risks of the transition through the lens of non-prescriptive good practice observations.

    The paper includes four practical case studies which cover cash and derivative products and performance benchmarks. The case studies are relevant across the sell-side, buy-side and corporates.

    This paper has been developed by FMSB’s IBOR Transition Working Group which has representation from a wide range of FMSB member firms.

    FMSB intends to add to this Spotlight Review during the transition process to include additional case studies focusing on areas of uncertainty that are of particular concern to market participants.

    Martin Pluves, CEO of FMSB, said: “Managing the challenges of LIBOR discontinuation and the transition to risk-free rates is a major undertaking for financial market participants the world over. FMSB’s role is to support its broad membership in identifying and managing conduct risks arising from the transition and improving the fairness and effectiveness of global markets. I am delighted to announce the publication of this very practical Spotlight Review, which illuminates challenges from market practitioners’ perspectives and explores approaches for navigating various risks posed by the transition to risk-free rates.”  

    Chris Salmon, FMSB Chair of the IBOR Transition Working Group, and Chief Control Officer for Global Markets at HSBC, explained: “With the deadline fast approaching for the discontinuation of the LIBOR interest rate benchmark, FMSB’s practical guidance and case studies will be, now more than ever, relevant to corporates, insurers, asset managers and banks, who are currently managing their transition to alternative risk-free reference rates.”

    Tushar Morzaria, Chair of the Sterling Risk-Free Reference Rates Working Group (RFRWG), said: “This Review by the FMSB is a very welcome extension of the work undertaken by the Sterling Risk-Free Reference Rates Working Group. The transition away from LIBOR to more reliable and robust rates has long been a regulatory and market imperative and the FMSB work will fill an important role alongside the technical work already completed by the RFRWG and other bodies internationally.”

    Media contacts
    Maitland/AMO
    Andy Donald or Sam Turvey
    +44 207 379 5151
    adonald@maitland.co.uk
    sturvey@maitland.co.uk

    Notes to Editors
    1) The Fixed Income, Currencies and Commodities Markets Standards Board (FMSB) is practitioner led, funded by members and operated by the major participants in wholesale markets to improve standards of conduct in wholesale fixed income, currencies and commodities (FICC) markets. It aims to bring transparency to grey areas in the wholesale FICC markets by identifying emerging vulnerabilities, clarifying and documenting practice and agreeing standards to improve conduct and market behaviour. Ensuring that wholesale FICC markets are transparent, fair and effective for all participants is at the heart of FMSB’s mission.

    FMSB Standards set out Core Principles and accompanying guidance on the most important aspects of practice where ambiguity risks undermining the transparency, fairness and effectiveness of markets.
    FMSB Statements of Good Practice set out clear expectations and guidance on good practice in relation to broader areas of uncertainty in wholesale FICC markets.

    FMSB Spotlight Reviews encompass a broad range of publications used by FMSB to illuminate important emerging issues in FICC markets. Drawing on the insight of members and industry experts, they provide a way for FMSB to surface nascent challenges market participants face and may inform topics for future work. Spotlight Reviews will often include references to existing law, regulation and business practices. However, they do not set or define any new precedents or standards of business practice applicable to market participants.

    All FMSB publications are available on the FMSB website at fmsb.com/our-publications/.

    2) Setting up the FMSB was one of the main recommendations from the Fair and Effective Markets Review (FEMR), which was conducted by HM Treasury, the Bank of England, and the Financial Conduct Authority.

    FEMR set FMSB four strategic goals:

    1. Identifying global market vulnerabilities through scanning the horizon for emerging business practice risks.
    2. Developing best market practice through the production of standards and other materials that create a common understanding.
    3. Driving global adherence through ensuring standards are comprehensible and practical.
    4. Developing consistent approaches to market practices through identifying gaps and inconsistencies in existing regulatory standards and working with other standards setting bodies.

    3) FMSB has a Standards Board drawn from senior executives from across wholesale markets, from corporate clients, asset managers, sell-side participants and intermediaries and infrastructure providers such as exchanges and custodians. In specialist, focused committees, sub-committees and working groups, industry experts debate issues and develop FMSB Standards and Statements of Good Practice, and undertake Spotlight Reviews that are made available to the global community of FICC market participants and regulatory authorities.

    4) FMSB members bring together sell-side investment banks, buy-side asset managers, market infrastructure providers and exchanges, custodians and users of the market such as corporates. This constitution is unique.

    The member firms are listed on the FMSB website at fmsb.com/who-we-are/.

  • In Search of a Risk-Free Rate

    James Leather talks to Edward Ocampo about international benchmark reform. This article is available on pages 24 to 27 of the June/July edition of The Treasurer, the membership publication of the Association of Corporate Treasurers (www.treasurers.org).

    Note: Edward Ocampo is a Non-Executive Director of FMSB Limited.

  • FMSB publishes Spotlight Review on data management in the financial system

    11th May 2020 – The FICC Markets Standards Board (FMSB) has today published its second Spotlight Review examining the crucial role of data management in the stability and resilience of wholesale FICC markets and financial systems.

    The Spotlight Review considers:

    • seven sources of critical data risk covering business continuity, data confidentiality, trading, aggregate exposure, regulatory enforcement, ownership rights and security risks relating to misconduct;
    • regulatory authorities’ work in this field and the benefits of increased standardisation across different international jurisdictions; and
    • eight key components to promote effective data governance covering the data lifecycle, data policies, data taxonomy, mapping data sources, data movement and lineage, data classification, data leakage detection and data quality.

    It establishes the foundational need for robust data governance and management strategies, both within firms and between different markets participants who are active in rapidly changing wholesale FICC markets. The paper highlights the significant benefits to market participants from moving to a more centralised data strategy, recognising the magnitude of centralisation will vary from firm to firm depending on size, complexity and business models.

    Martin Pluves, CEO of FMSB, said: I am delighted that FMSB is publishing this thoughtful paper on data management. Data drives today’s FICC markets. Ensuring confidence in data is vital to stability and resilience of the financial system. With exponential growth in the volume and sophistication of data, there are opportunities for increased transparency and improved overall efficiency of FICC markets. There are also great challenges and significant risks, explored in this paper. Given the growing importance of data there is an increasing interest in developing standards in this area and on strengthening data governance, areas FMSB and its diverse members are well placed to address.”

    Gareth Ramsay, Executive Director of Data at the Bank of England, said: “The rapid pace of systems development and the increasing dependence of the financial system on data is a key strategic focus for the Bank. Therefore, the FMSB’s Spotlight Review is a welcome exploration of the critical role of data management for the financial industry. The key themes in the review, particularly the importance of data governance and standardisation, complement the Bank’s ongoing data collection review, which aims to make data collection more efficient for the Bank and for firms, and to improve our ability to use that data effectively.”

    This Spotlight Review is the second in a series that is collectively looking at issues of FICC market structure and the impact of regulatory and technological change on the fairness and effectiveness of wholesale markets.

    Media contacts

    Maitland/AMO
    Andy Donald or Sam Turvey
    +44 207 379 5151
    adonald@maitland.co.uk
    sturvey@maitland.co.uk

    Notes to Editors

    1) The Fixed Income, Currencies and Commodities Markets Standards Board (‘FMSB’) is practitioner led, funded by members and operated by the major participants in wholesale markets to improve standards of conduct in wholesale fixed income, currencies and commodities (FICC) markets. It aims to bring transparency to grey areas in the wholesale FICC markets by identifying emerging vulnerabilities, clarifying and documenting practice and agreeing standards to improve conduct and market behaviour. Ensuring that wholesale FICC markets are transparent, fair and effective for all participants is at the heart of FMSB’s mission.

    FMSB Standards set out Core Principles and accompanying guidance on the most important aspects of practice where ambiguity risks undermining the transparency, fairness and effectiveness of markets.

    FMSB Statements of Good Practice set out clear expectations and guidance on good practice in relation to broader areas of uncertainty in wholesale FICC markets.

    FMSB Spotlight Reviews encompass a broad range of publications used by FMSB to illuminate important emerging issues in FICC markets. Drawing on the insight of members and industry experts, they provide a way for FMSB to surface nascent challenges market participants face and may inform topics for future work. Spotlight Reviews will often include references to existing law, regulation and business practices. However, they do not set or define any new precedents or standards of business practice applicable to market participants.

    All FMSB publications are available on the FMSB website at fmsb.com/our-publications/.

    2) Setting up the FMSB was one of the main recommendations from the Fair and Effective Markets Review (FEMR), which was conducted by HM Treasury, the Bank of England, and the Financial Conduct Authority.

    FEMR set FMSB four strategic goals:

    i) Identifying global market vulnerabilities through scanning the horizon for emerging business practice risks.
    ii) Developing best market practice through the production of standards and other materials that create a common understanding.
    iii) Driving global adherence through ensuring standards are comprehensible and practical.
    iv) Developing consistent approaches to market practices through identifying gaps and inconsistencies in existing regulatory standards and working with other standards setting bodies.

    3) FMSB has a Standards Board drawn from senior executives from across wholesale markets, from corporate clients, asset managers, sell-side participants and intermediaries and infrastructure providers such as exchanges and custodians. In specialist, focused committees, sub-committees and working groups, industry experts debate issues and develop FMSB Standards and Statements of Good Practice, and undertake Spotlight Reviews that are made available to the global community of FICC market participants and regulatory authorities.

    4) FMSB members bring together sell-side investment banks, buy-side asset managers, market infrastructure providers and exchanges, custodians and users of the market such as corporates. This constitution is unique.

    The member firms are listed and available on the FMSB website at fmsb.com/who-we-are/.

    AstraZeneca
    Australia and New Zealand Banking Group
    BAE Systems
    Bank of America Merrill Lynch
    Bank of New York Mellon
    Barclays
    BHP
    BlackRock
    Bloomberg
    BNP Paribas
    BP
    Citadel Securities
    Citigroup Global Markets Limited
    Crédit Agricole CIB
    Credit Suisse
    Deutsche Bank
    Euronext FX Inc.
    Goldman Sachs
    HSBC
    Invesco
    JP Morgan
    Legal & General Investment Management
    Linklaters (Legal Advisor)
    Lloyds Banking Group
    London Stock Exchange Group
    M&G Investment Management Limited
    MarketAxess
    Morgan Stanley & Co. International plc
    National Australia Bank
    Nomura
    RBS
    Refinitiv
    Rio Tinto
    Royal Bank of Canada
    Royal Dutch Shell
    Royal Mail Group
    Société Générale
    Standard Chartered
    Standard Life Aberdeen
    TP ICAP
    Tradeweb
    Tradition
    UBS
    Vodafone
    XTX Markets

  • Execution algorithms unlikely to be ‘magic bullet’ for FICC

    Execution algorithms unlikely to be ‘magic bullet’ for FICC

    Report from FMSB emphasises limitations and challenges in adopting algorithmic trading in less liquid markets.

    Article by Hayley McDowell in The Trade.

  • FMSB publishes Spotlight Review on Algorithmic Trading and Machine Learning

    FMSB publishes Spotlight Review on data management in the financial system

    The FICC Markets Standards Board (FMSB) has today published its second Spotlight Review examining the crucial role of data management in the stability and resilience of wholesale FICC markets and financial systems.

    The Spotlight Review considers:

    • seven sources of critical data risk covering business continuity, data confidentiality, trading, aggregate exposure, regulatory enforcement, ownership rights and security risks relating to misconduct;
    • regulatory authorities’ work in this field and the benefits of increased standardisation across different international jurisdictions; and
    • eight key components to promote effective data governance covering the data lifecycle, data policies, data taxonomy, mapping data sources, data movement and lineage, data classification, data leakage detection and data quality.

    It establishes the foundational need for robust data governance and management strategies, both within firms and between different markets participants who are active in rapidly changing wholesale FICC markets. The paper highlights the significant benefits to market participants from moving to a more centralised data strategy, recognising the magnitude of centralisation will vary from firm to firm depending on size, complexity and business models.

    Martin Pluves, CEO of FMSB, said: I am delighted that FMSB is publishing this thoughtful paper on data management. Data drives today’s FICC markets. Ensuring confidence in data is vital to stability and resilience of the financial system. With exponential growth in the volume and sophistication of data, there are opportunities for increased transparency and improved overall efficiency of FICC markets. There are also great challenges and significant risks, explored in this paper. Given the growing importance of data there is an increasing interest in developing standards in this area and on strengthening data governance, areas FMSB and its diverse members are well placed to address.”

    Gareth Ramsay, Executive Director of Data at the Bank of England, said: “The rapid pace of systems development and the increasing dependence of the financial system on data is a key strategic focus for the Bank. Therefore, the FMSB’s Spotlight Review is a welcome exploration of the critical role of data management for the financial industry. The key themes in the review, particularly the importance of data governance and standardisation, complement the Bank’s ongoing data collection review, which aims to make data collection more efficient for the Bank and for firms, and to improve our ability to use that data effectively.”

    This Spotlight Review is the second in a series that is collectively looking at issues of FICC market structure and the impact of regulatory and technological change on the fairness and effectiveness of wholesale markets.

    The Spotlight Review is available for download here: fmsb.com

    Media contacts

    Maitland/AMO

    Andy Donald or Sam Turvey

    +44 207 379 5151

    adonald@maitland.co.uk

    sturvey@maitland.co.uk

    Notes to Editors

    1) The Fixed Income, Currencies and Commodities Markets Standards Board (‘FMSB’) is practitioner led, funded by members and operated by the major participants in wholesale markets to improve standards of conduct in wholesale fixed income, currencies and commodities (FICC) markets. It aims to bring transparency to grey areas in the wholesale FICC markets by identifying emerging vulnerabilities, clarifying and documenting practice and agreeing standards to improve conduct and market behaviour. Ensuring that wholesale FICC markets are transparent, fair and effective for all participants is at the heart of FMSB’s mission.

    FMSB Standards set out Core Principles and accompanying guidance on the most important aspects of practice where ambiguity risks undermining the transparency, fairness and effectiveness of markets.

    FMSB Statements of Good Practice set out clear expectations and guidance on good practice in relation to broader areas of uncertainty in wholesale FICC markets.

    FMSB Spotlight Reviews encompass a broad range of publications used by FMSB to illuminate important emerging issues in FICC markets. Drawing on the insight of members and industry experts, they provide a way for FMSB to surface nascent challenges market participants face and may inform topics for future work. Spotlight Reviews will often include references to existing law, regulation and business practices. However, they do not set or define any new precedents or standards of business practice applicable to market participants.

    All FMSB publications are available on the FMSB website at fmsb.com/our-publications/.

    2) Setting up the FMSB was one of the main recommendations from the Fair and Effective Markets Review (FEMR), which was conducted by HM Treasury, the Bank of England, and the Financial Conduct Authority.

    FEMR set FMSB four strategic goals:

    1. Identifying global market vulnerabilities through scanning the horizon for emerging business practice risks.
      1. Developing best market practice through the production of standards and other materials that create a common understanding.
      2. Driving global adherence through ensuring standards are comprehensible and practical.
      3. Developing consistent approaches to market practices through identifying gaps and inconsistencies in existing regulatory standards and working with other standards setting bodies.

    3) FMSB has a Standards Board drawn from senior executives from across wholesale markets, from corporate clients, asset managers, sell-side participants and intermediaries and infrastructure providers such as exchanges and custodians. In specialist, focused committees, sub-committees and working groups, industry experts debate issues and develop FMSB Standards and Statements of Good Practice, and undertake Spotlight Reviews that are made available to the global community of FICC market participants and regulatory authorities.

    4) FMSB members bring together sell-side investment banks, buy-side asset managers, market infrastructure providers and exchanges, custodians and users of the market such as corporates. This constitution is unique.

    The member firms are listed and available on the FMSB website at fmsb.com/who-we-are/.

    AstraZeneca

    Australia and New Zealand Banking Group

    BAE Systems

    Bank of America Merrill Lynch

    Bank of New York Mellon

    Barclays

    BHP

    BlackRock

    Bloomberg

    BNP Paribas

    BP

    Citadel Securities

    Citigroup Global Markets Limited

    Crédit Agricole CIB

    Credit Suisse

    Deutsche Bank

    Euronext FX Inc.

    Goldman Sachs

    HSBC

    Invesco

    JP Morgan

    Legal & General Investment Management

    Linklaters (Legal Advisor)

    Lloyds Banking Group

    London Stock Exchange Group

    M&G Investment Management Limited

    MarketAxess

    Morgan Stanley & Co. International plc

    National Australia Bank

    Nomura

    RBS

    Refinitiv

    Rio Tinto

    Royal Bank of Canada

    Royal Dutch Shell

    Royal Mail Group

    Société Générale

    Standard Chartered

    Standard Life Aberdeen

    TP ICAP

    Tradeweb

    Tradition

    UBS

    Vodafone

    XTX Markets

  • FICC report warns of algo trading risks

    FICC report warns of algo trading risks

    The Fixed Income, Currencies and Commodities (FICC) Markets Standards Board (FMSB) has published a review of emerging challenges in algorithmic trading and machine learning, warning of risks to market stability from unsupervised models. Article by Peter Walker in FStech.

  • FMSB publishes Spotlight Review on Algorithmic Trading and Machine Learning

    23rd April 2020 – The FICC Markets Standards Board (FMSB) has today published its first Spotlight Review, looking at emerging themes and challenges in algorithmic trading and machine learning.

    This Spotlight Review highlights important emerging issues in this area to assist market participants in considering how to address challenges that may arise.

    This Spotlight Review considers:

    • managing model risk in algorithmic trading;
    • challenges for algorithmic market making in less liquid instruments;
    • adoption of machine learning in algorithmic market making;
    • increased use of execution algorithms; and
    • best practice, and the role for practitioner-led solutions.

    FMSB believes this Spotlight Review will be of interest to a wide audience of participants in global wholesale FICC markets and hopes it will generate further discussion on these important topics and their relevance to future standards work by FMSB.

    Mark Yallop, Chair of FMSB, said: “This Spotlight Review, the first that FMSB has published, looks at the very important issue of algorithmic trading and machine learning. This is a space that is developing fast and creating exciting opportunities in markets, but also an emerging area of risk and vulnerability. We are very grateful for the insights and support provided by FMSB members and other industry experts in producing this document. We hope it will create further discussion on the nascent challenges market participants face and also inform potential topics for FMSB’s future work.”

    Ciara Quinlan, Global Head of Principal Electronic Trading, FX, Rates and Credit at UBS, said: “As the adoption of algorithmic trading expands into new products and new machine learning technologies emerge, model risk is likely to become increasingly relevant. This review discusses these important themes and makes a credible case for industry-led best practices in this area.”

    Mark Meredith, Head of FX E-Trading and Algorithmic Trading at Citigroup Global Markets Limited said: “Citi welcomes FMSB’s work in this paper on emerging themes in algorithmic trading and the scope for best practices in this area.”

    Both Ciara and Mark are FMSB Standards Board Members and provided input into the Spotlight Review.

    This Spotlight Review is the first in a series that will collectively consider issues of FICC market structure and the impact of regulatory and technological change on the fairness and effectiveness of wholesale markets. The next publication will cover the role of data management in the financial system.

    Additionally, FMSB members are advancing a Statement of Good Practice on Algorithmic Trading and this topic is certain to remain an important focus for transparency, fairness and effectiveness of trading practices in the coming years.

    The Spotlight Review is available for download here: fmsb.com

    Media contacts

    Maitland/AMO
    Andy Donald or Sam Turvey
    +44 207 379 5151
    adonald@maitland.co.uk
    sturvey@maitland.co.uk

    Notes to Editors

    1) The Fixed Income, Currencies and Commodities Markets Standards Board (‘FMSB’) is practitioner led, funded by members and operated by the major participants in wholesale markets to improve standards of conduct in wholesale fixed income, currencies and commodities (FICC) markets. It aims to bring transparency to grey areas in the wholesale FICC markets by identifying emerging vulnerabilities, clarifying and documenting practice and agreeing standards to improve conduct and market behaviour. Ensuring that wholesale FICC markets are transparent, fair and effective for all participants is at the heart of FMSB’s mission.

    FMSB Standards set out Core Principles and accompanying guidance on the most important aspects of practice where ambiguity risks undermining the transparency, fairness and effectiveness of markets.

    FMSB Statements of Good Practice set out clear expectations and guidance on good practice in relation to broader areas of uncertainty in wholesale FICC markets.

    FMSB Spotlight Reviews encompass a broad range of publications used by FMSB to illuminate important emerging issues in FICC markets. Drawing on the insight of members and industry experts, they provide a way for FMSB to surface nascent challenges market participants face and may inform topics for future work. Spotlight Reviews will often include references to existing law, regulation and business practices. However, they do not set or define any new precedents or standards of business practice applicable to market participants.

    All FMSB publications are available on the FMSB website at fmsb.com/our-publications/.

    2) Setting up the FMSB was one of the main recommendations from the Fair and Effective Markets Review (FEMR), which was conducted by HM Treasury, the Bank of England, and the Financial Conduct Authority.

    FEMR set FMSB four strategic goals:

    i) Identifying global market vulnerabilities through scanning the horizon for emerging business practice risks.
    ii) Developing best market practice
    through the production of standards and other materials that create a common understanding.
    iii) Driving global adherence
    through ensuring standards are comprehensible and practical.
    iv) Developing consistent approaches to market practices
    through identifying gaps and inconsistencies in existing regulatory standards and working with other standards setting bodies.

    3) FMSB has a Standards Board drawn from senior executives from across wholesale markets, from corporate clients, asset managers, sell-side participants and intermediaries and infrastructure providers such as exchanges and custodians. In specialist, focused committees, subcommittees and working groups, industry experts debate issues and develop FMSB Standards and Statements of Good Practice, and undertake Spotlight Reviews that are made available to the global community of FICC market participants and regulatory authorities.

    4) FMSB members bring together sell-side investment banks, buy-side asset managers, market infrastructure providers and exchanges, custodians and users of the market such as corporates. This constitution is unique. The member firms are listed and available on the FMSB website at fmsb.com/who-we-are/

    AstraZeneca
    Australia and New Zealand Banking Group
    BAE Systems
    Bank of America Merrill Lynch
    Bank of New York Mellon
    Barclays
    BHP
    BlackRock
    Bloomberg
    BNP Paribas
    BP
    Citadel Securities
    Citigroup Global Markets Limited
    Crédit Agricole CIB
    Credit Suisse
    Deutsche Bank
    Euronext FX Inc.
    Goldman Sachs
    HSBC
    Invesco
    JP Morgan
    Legal & General Investment Management
    Linklaters (Legal Advisor)
    Lloyds Banking Group
    London Stock Exchange Group
    M&G Investment Management Limited
    MarketAxess
    Morgan Stanley & Co. International plc
    National Australia Bank
    Nomura
    RBS
    Refinitiv
    Rio Tinto
    Royal Bank of Canada
    Royal Dutch Shell
    Royal Mail Group
    Société Générale
    Standard Chartered
    Standard Life Aberdeen
    TP ICAP
    Tradeweb
    Tradition
    UBS
    Vodafone
    XTX Markets

  • Why is the FMSB so important to corporate treasurers?

    An article by Liz Loxton that looks at FMSB’s standard setting work and asks CEO Martin Pluves what’s in it for corporates, the full article is available here.

    This article first appeared in the April/May edition of The Treasurer, the membership publication of the Association of Corporate Treasurers (www.treasurers.org).

  • FCA Discussion Paper ‘Transforming culture in financial services: Driving purposeful cultures’

    On 5 March 2020, the Financial Conduct Authority (FCA) published Discussion Paper 20/1 ‘Transforming culture in financial services: Driving purposeful cultures’.

    The paper is a set of essays which present a range of views from industry leaders, professional bodies and culture experts to help firms embed purposeful cultures. It makes the case for healthy purposeful cultures in firms, leading to good outcomes for their customers, employees and investors. The FCA describes purpose as what a firm and its employees is trying to achieve – the definition of what constitutes success. 

    Mark Yallop (FMSB Chair) co-authored with Michael Cole-Fontayn (AFME Chair and FMSB Non-Executive Director) sector-specific essay 2.6 (page 30).

  • ‘Disrupting Markets, Disrupting Money, Disrupting Finance’ – Speech delivered by Mark Yallop

    Speech delivered by Mark Yallop, FMSB Chair, on 28 February 2020 at the 2020 IOSCO Stakeholder Meeting. Full speech is available here.

  • FMSB publishes its Annual Report 2019 – Towards Fairer Markets

    25 February 2020 – The FICC Markets Standards Board (FMSB) has today issued its 2019 Annual Report setting out the progress made to enhance standards of behaviour in the wholesale fixed income, currencies and commodities (FICC) markets and its priorities for the year ahead.

    FMSB is a private sector, practitioner-led organisation whose membership collectively accounts for a substantial share of the business conducted in wholesale FICC markets worldwide.

    The Annual Report gives an overview of the work undertaken by FMSB during 2019 in pursuit of the four strategic goals set out in the Fair and Effective Markets Review, which was conducted jointly by HM Treasury, Bank of England, and Financial Conduct Authority:

    1. Identifying global market vulnerabilities through scanning the horizon for emerging business practice risks
    2. Developing best market practice through the production of standards and other materials that create a common understanding
    3. Driving global adherence through ensuring standards are comprehensible and practical
    4. Developing consistent approaches to market practices through identifying gaps and inconsistencies in existing regulatory standards and working with other standards setting bodies

    Alongside the five Standards and ten Statements of Good Practice already published, FMSB has a significant amount of work in progress and planned for the year ahead to support its strategic goals, including:

    • Developing and publishing further Standards, Statements of Good Practice and Spotlight Reviews
    • Looking at the impact of FMSB Standards to understand how business practices are changing in response
    • Finalising a series of publications on the role of data in ensuring fair and effective FICC markets
    • Exploring IBOR benchmark reform and the remaining risks and issues that could arise as the industry transfers to alternative risk-free rates
    • Looking at the commodities markets in metals and energy through the recently established working groups in these areas
    • Assessing the viability of creating a series FICC market practice training programmes that could be recognised across institutions and locations

     Mark Yallop, Chair of FMSB said:

    “FMSB has achieved a great deal since it was created, and in 2019 we made significant progress against our central objective of raising standards of conduct in global wholesale FICC markets so that they are more transparent, fair and effective for all participants. We now have 15 published Standards or Statements of Good Practice, with more in the pipeline.

    “We are continuing to scan the horizon for new vulnerabilities, recognising that markets are evolving constantly and we see new challenges today that didn’t exist when FMSB was created, including the opportunities and potential hazards afforded by new technology, in particular the growth of machine learning and data science.

    “We have a significant amount of activity planned for 2020, including our focus on assessing the potential risks that could arise with the replacement of IBOR with other near risk-free rates. This is a clear example of FMSB’s important role in global markets.

    “As a network organisation, we rely on expert market practitioners from across member firms. They commit their time, dedication, and insight to the FMSB, and I would like to thank all our members and their people for the strong commitment and support we receive.”

    FMSB continues to receive strong support from UK and international central banks and regulatory bodies. Alongside others, Mark Carney, Andrew Bailey and Ashley Alder expressed their support for the work of FMSB in the Annual Report.

    • Mark Carney, Governor of the Bank of England, said: “A new economy is emerging, driven by immense changes in technology, the reordering of global economic power, and the growing pressures of climate change. This transition needs markets that are effective and fair and that balance innovation and resilience. I support the FMSB’s work to achieve that goal. The private sector is responsible for supporting competition in FICC markets and managing conduct risks. By developing standards on transparency and fairness, the FMSB promotes the new finance needed for the new economy.”
    • Andrew Bailey, CEO of the Financial Conduct Authority, said: “The FCA always and only regulates in the public interest. We place the strongest emphasis on outcomes and principles, and understand that rules alone cannot deliver these particularly in wholesale markets that are global in nature. The FCA sees the FMSB’s role as a practitioner-led standards setter as an important supplement to the regulatory framework to improve business practices and rebuild trust in the financial system. The FCA supports the FMSB’s ambitious workplan to deliver more transparent, fair and effective global wholesale markets.”
    • Ashley Alder, Chair of IOSCO Board said: “Eight years have now passed since multiple conduct failures in wholesale finance first came to light, resulting in unprecedented fines and other sanctions. In response, FMSB has been unrelenting in harnessing the deep expertise of its participants to develop a series of detailed, actionable industry standards aimed at restoring confidence and trust in FICC markets. IOSCO commends and supports this important work.”

    The full annual report is available to view at fmsb.com.

    Media contacts

    Maitland/AMO

    Andy Donald or Sam Turvey

    +44 207 379 5151

    adonald@maitland.co.uk

    sturvey@maitland.co.uk

    Notes to Editors

    1) The Fixed Income, Currencies and Commodities (‘FICC’) Markets Standards Board (‘FMSB’) is practitioner led, funded by members and operated by the major participants in wholesale markets to improve standards of conduct in wholesale FICC markets. It aims to bring transparency to grey areas in the wholesale FICC markets by identifying emerging vulnerabilities, clarifying and documenting practice and agreeing standards to improve conduct and market behaviour. Ensuring that wholesale FICC markets are transparent, fair and effective for all participants is at the heart of FMSB’s mission.

    FMSB Standards set out Core Principles and accompanying guidance on the most important aspects of practice where ambiguity risks undermining the transparency, fairness and effectiveness of markets.

    FMSB Statements of Good Practice set out clear expectations and guidance on good practice in relation to broader areas of uncertainty in wholesale FICC markets.

    FMSB Spotlight Reviews encompass a broad range of publications used by FMSB to illuminate important emerging issues. Drawing on the insight of multiple members and industry experts, they provide a way for FMSB to surface nascent challenges and address potential topics for future work, either in setting standards or establishing good practice.

    All FMSB publications are available on the FMSB website at fmsb.com/our-publications/.

    2) Setting up the FMSB was one of the main recommendations from the Fair and Effective Markets Review, which was conducted by HM Treasury, the Bank of England, and the Financial Conduct Authority. All materials relating to the Effective Markets Review are available on the Bank of England’s website at: www.bankofengland.co.uk/markets/fair-and-effective-markets

    3) FMSB has a Standards Board drawn from senior executives from across wholesale markets, from corporate clients, asset managers, sell-side participants and intermediaries and infrastructure providers such as exchanges and custodians.

    4) FMSB members bring together sell side investment banks, buy-side asset managers, market infrastructure providers and exchanges, custodians and users of the market such as corporates. This constitution is unique. The member firms are listed and available on the FMSB website at fmsb.com/who-we-are/:

    • AstraZeneca
    • Australia and New Zealand Banking Group
    • BAE Systems
    • Bank of America Merrill Lynch
    • Bank of New York Mellon
    • Barclays
    • BHP
    • BlackRock
    • Bloomberg
    • BNP Paribas
    • BP
    • Citadel Securities
    • Citigroup Global Markets Limited
    • Crédit Agricole CIB
    • Credit Suisse
    • Deutsche Bank
    • Euronext FX Inc.
    • Goldman Sachs
    • HSBC
    • Invesco
    • JP Morgan
    • Legal & General Investment Management
    • Linklaters (Legal Advisor)
    • Lloyds Banking Group
    • London Stock Exchange Group
    • M&G Investment Management Limited
    • MarketAxess
    • Morgan Stanley & Co. International plc
    • National Australia Bank
    • Nomura
    • RBS
    • Refinitiv
    • Rio Tinto
    • Royal Bank of Canada
    • Royal Dutch Shell
    • Royal Mail Group
    • Société Générale
    • Standard Chartered
    • Standard Life Aberdeen
    • TP ICAP
    • Tradeweb
    • Tradition
    • UBS
    • Vodafone
    • XTX Markets
  • FMSB appoints Christopher Rich as General Counsel

    11 February 2020: The FICC Markets Standards Board (FMSB), a standard setting body for the global wholesale fixed income, currencies and commodities (FICC) markets, today announces the appointment of Chris Rich as General Counsel.

    Chris will join FMSB on 1 April 2020 from Linklaters, where he is a Managing Associate in the Financial Regulation Group. He is currently on secondment with FMSB and will therefore transfer over full-time in April.

    In this newly created role, Chris will be responsible for advising FMSB executive management on all legal matters, as well as supporting FMSB members in the development of new Standards and Statements of Good Practice. He will also be responsible for managing all the organisation’s legal and regulatory affairs.

    Chris joined Linklaters in 2011 and has since worked with a wide range of financial services clients including secondments to RBS, Deutsche Bank and BNP Paribas.

    FMSB is a practitioner-led, membership organisation with active participation from 50 corporate, buy-side, sell-side, markets services and infrastructure providers.

    Martin Pluves, CEO of FMSB, said: “I am delighted that Chris Rich is joining FMSB as our first General Counsel. This is a very important role for both FMSB and its members as we continue to develop the organisation and work to raise standards in wholesale markets. He has significant experience of working with the financial services sector and in supporting FMSB. I look forward to him joining us in April and supporting our ambitions for 2020 and beyond.”

    Chris Rich said: “FMSB has an impressive track record of partnering with its members and other market participants and has a critical part to play in global wholesale markets. I have been very impressed with the work FMSB is doing and am looking forward to working with Martin, the rest of the FMSB team and member firms to provide them with strong legal support and guidance.”

     

    Media contacts

     Maitland/AMO

    Andy Donald or Sam Turvey

    T: +44 207 379 5151

    E: adonald@maitland.co.uk

    sturvey@maitland.co.uk

     

    Notes to Editors

     1) The Fixed Income, Currencies and Commodities (‘FICC’) Markets Standards Board (‘FMSB’) is practitioner led, funded by members and operated by the major participants in wholesale markets to improve standards of conduct in wholesale FICC markets. It aims to bring transparency to grey areas in the wholesale FICC markets by identifying emerging vulnerabilities, clarifying and documenting practice and agreeing standards to improve conduct and market behaviour. Ensuring that wholesale FICC markets are transparent, fair and effective for all participants is at the heart of FMSB’s mission.

    2) Setting up the FMSB was one of the main recommendations from the Fair and Effective Markets Review, which was conducted by HM Treasury, the Bank of England, and the Financial Conduct Authority.

    3) FMSB has a Standards Board drawn from senior executives from across wholesale markets, from corporate clients, asset managers, sell-side participants and intermediaries and infrastructure providers such as exchanges and custodians. Reporting to the Standards Board are a number of committees, sub-committees and working groups. There is also an Advisory Council representing the interests of member firms.

    4) FMSB members bring together sell side investment banks, buy-side asset managers, market infrastructure providers and exchanges, custodians and users of the market such as corporates. This constitution is unique. The member firms are:

    • AstraZeneca
    • Australia and New Zealand Banking Group
    • BAE Systems
    • Bank of America Merrill Lynch
    • Bank of New York Mellon
    • Barclays
    • BHP
    • BlackRock
    • Bloomberg
    • BNP Paribas
    • BP
    • Citadel Securities
    • Citigroup Global Markets Limited
    • Crédit Agricole CIB
    • Credit Suisse
    • Deutsche Bank
    • Euronext FX Inc.
    • Goldman Sachs
    • HSBC
    • Invesco
    • JP Morgan
    • Legal & General Investment Management
    • Linklaters (Legal Advisor)
    • Lloyds Banking Group
    • London Stock Exchange Group
    • M&G Investment Management Limited
    • MarketAxess
    • Morgan Stanley & Co. International plc
    • National Australia Bank
    • Nomura
    • RBS
    • Refinitiv
    • Rio Tinto
    • Royal Bank of Canada
    • Royal Dutch Shell
    • Royal Mail Group
    • Société Générale
    • Standard Chartered
    • Standard Life Aberdeen
    • TP ICAP
    • Tradeweb
    • Tradition
    • UBS
    • Vodafone
    • XTX Markets

     

  • Machine learning: the big risks and how to manage them

    Machine learning: the big risks and how to manage them

    Opinion editorial in the Financial Times by Mark Yallop, FMSB Chair (subscription may be required)

  • ‘Behaving Fairly: Artificial Intelligence and Conduct in Wholesale Markets’ – Speech delivered by Mark Yallop

    Speech delivered by Mark Yallop, FMSB Chair, on 2 December 2019 at the 2019 Toronto Refinitiv Summit, Canada. Full speech is available here.

  • ‘Behaving Fairly: Artificial Intelligence and Conduct in Wholesale Markets’ – Speech delivered by Mark Yallop at Bank of Italy, Rome

    Speech delivered by Mark Yallop, FMSB Chair, on 28 November 2019 at the 3rd International Workshop on Behavioural Financial Regulation and Policy, Bank of Italy, Rome. Full speech is available here.

  • FMSB issues new ‘Statement of Good Practice for Participation in Sovereign and Supranational Auctions in Fixed Income Markets’

    2 December 2019: The FICC Markets Standards Board (FMSB) today issued a Transparency Draft of a new Statement of Good Practice for Participation in Sovereign and Supranational Auctions (‘SSAs’) in Fixed Income Markets.

    A common way for government or supranational bonds to be issued is through a publicly announced auction. Auctions involve multiple parties/participants including issuers (debt management offices/agencies/treasuries), primary dealers, dealers and investors.

    The interaction between the different roles and objectives of market participants, the issuer’s chosen price formation mechanism, type of auction system and differing transaction types can lead to conflicts of interest. These conflicts of interest may lead to behaviours that may be detrimental to fair and effective markets (as well as potentially breaching applicable law or regulation).

    This Statement of Good Practice seeks to identify some of the key conflicts of interest that can arise, as well as setting out measures to enhance market transparency by providing clearly articulated information as to how SSAs work and identifying principles governing the management of conflicts that may arise. There are eight good practice statements which firms should consider when participating in these markets.

    Charles Bristow, Chair of the FMSB Rates Sub-Committee and Global Head of Rates Trading at J.P. Morgan said: “This Statement of Good Practice has brought together issuers, dealers and investors from across the sovereign and supranational market to explain how the market functions, and the types of auctions, investor activity, and conflicts of interest that can arise through the normal course of business. It reflects a shared spirit of commitment to fair and effective markets, created through greater transparency, that countries and economies rely upon to receive the regular funding that they need in order to thrive.”

    Martin Pluves, FMSB’s Chief Executive Officer said: “On behalf of its members, FMSB is very pleased to publish this latest Transparency Draft Statement of Good Practice for wider market consultation and feedback. The principles set out in this Statement make an important contribution to our work to raise standards of conduct at the core of capital markets in Sovereign and Supranational Debt Auctions.”

    FMSB members and other interested parties are invited to comment on the proposed Statement of Good Practice. This consultation will run until 27 January 2020 with the final document expected to be published shortly thereafter.

    This is the tenth Statement of Good Practice to have been published by FMSB since it was set up in 2015 in response to the Fair and Effective Markets Review with a mandate to improve conduct and raise standards in the wholesale fixed income, currencies and commodities markets.

    All materials officially published by FMSB are available at www.fmsb.com

    Media contacts

    Maitland/AMO

    Andy Donald or Sam Turvey

    +44 207 379 5151

    adonald@maitland.co.uk

    sturvey@maitland.co.uk

     

    Notes to Editors

    1) The Fixed Income, Currencies and Commodities (‘FICC’) Markets Standards Board (‘FMSB’) is practitioner led, funded by members and operated by the major participants in wholesale markets to improve standards of conduct in wholesale FICC markets. It aims to bring transparency to grey areas in the wholesale FICC markets by identifying emerging vulnerabilities, clarifying and documenting practice and agreeing standards to improve conduct and market behaviour. Ensuring that wholesale FICC markets are transparent, fair and effective for all participants is at the heart of FMSB’s mission.

    2) Setting up the FMSB was one of the main recommendations from the Fair and Effective Markets Review, which was conducted by HM Treasury, the Bank of England, and the Financial Conduct Authority.

    3) FMSB has a Standards Board drawn from senior executives from across wholesale markets, from corporate clients, asset managers, sell-side participants and intermediaries and infrastructure providers such as exchanges and custodians. Reporting to the Standards Board are standing Committees addressing Market Practices, Codes & Standards Convergence, Conduct & Ethics, and Electronic Trading and Technology. The Market Practices Committee is split into four asset-class specific committees. There is also an Advisory Council representing the interests of member firms.

    4) FMSB members bring together sell side investment banks, buy-side asset managers, market infrastructure providers and exchanges, custodians and users of the market such as corporates. This constitution is unique. The member firms are:

    • AstraZeneca
    • Australia and New Zealand Banking Group
    • BAE Systems
    • Bank of America Merrill Lynch
    • Bank of New York Mellon
    • Barclays
    • BHP
    • BlackRock
    • Bloomberg
    • BNP Paribas
    • BP
    • Citadel Securities
    • Citigroup Global Markets Limited
    • Crédit Agricole CIB
    • Credit Suisse
    • Deutsche Bank
    • Euronext FX Inc.
    • Goldman Sachs
    • HSBC
    • Invesco
    • JP Morgan
    • Legal & General Investment Management
    • Linklaters (Legal Advisor)
    • Lloyds Banking Group
    • London Stock Exchange Group
    • M&G Investment Management Limited
    • MarketAxess
    • Morgan Stanley & Co. International plc
    • National Australia Bank
    • Nomura
    • RBS
    • Refinitiv
    • Rio Tinto
    • Royal Bank of Canada
    • Royal Dutch Shell
    • Royal Mail Group
    • Société Générale
    • Standard Chartered
    • Standard Life Aberdeen
    • TP ICAP
    • Tradeweb
    • Tradition
    • UBS
    • Vodafone
    • XTX Markets
  • ‘Halting the wholesale markets breach, reform and repeat cycle: addressing conduct risk through practitioner-led standards’ – Speech delivered by Martin Pluves on 14 November 2019

    ‘Halting the wholesale markets breach, reform and repeat cycle: addressing conduct risk through practitioner-led standards’ – full speech is available here.

  • “China and the Global Economy – Financial Reform and Unlocking Opportunities” – Speech delivered by Mark Yallop on 29 October 2019

    “China and the Global Economy – Financial Reform and Unlocking Opportunities” full speech is available here

    Financial Reform and Unlocking Opportunities.

  • FMSB finalises Conflicts of Interest Statement of Good Practice

    14 October 2019: The FICC Markets Standards Board (FMSB) has today published the final version of a Statement of Good Practice on the issue of Conflicts of Interest.

    This Statement of Good Practice aims to provide practical, working level guidance and examples for market participants to draw on, as they consider ways to prevent, manage and mitigate conflicts of interest that arise within their firms.

    Conflicts of interest may arise between (i) clients; (ii) a firm and its client(s); and (iii) employees and a firm/client(s). These conflicts have the potential to be detrimental, not only to the firms involved, but to clients and the financial markets more generally. Dealing with them effectively is one way in which instances of this kind of market misconduct can be minimised.

    The means of preventing, managing or mitigating conflicts of interest that are suggested in the Statement of Good Practice include periodic reviews within each business area to identify scenarios or situations that could potentially create a conflict, as well as ensuring the appropriate identification and escalation procedures for actual conflicts.

    There are eight specific Good Practice Statements that firms should look to when considering their own working practice, including:

    • having the necessary policies, procedures and training in place across a firm;
    • having senior management provide oversight and governance around how conflicts of interest are identified and managed; and
    • having controls in place to either prevent conflicts of interest from arising, as well as managing or mitigating those that do arise.

    This Statement of Good Practice is being published as part of FMSB’s remit to improve conduct and raise standards in the wholesale Fixed Income, Currencies and Commodities markets. It was issued previously as a Transparency Draft and the final version takes account of comments and feedback received from market participants and Members.

    All materials officially published by FMSB are available at www.fmsb.com.

    Media contacts

     Maitland/AMO

    Andy Donald or Sam Turvey

    +44 207 379 5151

    adonald@maitland.co.uk; sturvey@maitland.co.uk

    Notes to Editors

     1) The Fixed Income, Currencies and Commodities (“FICC”) Markets Standards Board (“FMSB”) is an independent body set up by market practitioners to improve standards of conduct in wholesale FICC markets. It aims to bring transparency to grey areas in the wholesale FICC markets by identifying emerging vulnerabilities, clarifying and documenting practice and agreeing standards to improve conduct and market behaviour. Ensuring that wholesale FICC markets are transparent, fair and effective is at the heart of the FMSB’s mission.

    2) Setting up the FMSB was one of the main recommendations to emerge from the Fair and Effective Markets Review, which was conducted by HM Treasury, the Bank of England and the Financial Conduct Authority.

    3) The FMSB has a Standards Board drawn from senior executives from across wholesale markets, from corporate clients, asset managers, sell side participants and intermediaries and infrastructure providers such as exchanges and custodians. Reporting to the Standards Board are standing sub-committees addressing Market Practices, Codes & Standards Convergence, Conduct & Ethics and Electronic Trading and Technology. The Market Practices sub-committees are split into 4 asset-class specific committees. There is also an Advisory Council representing the interests of Member firms.

    4) The FMSB’s Members bring together sell side investment banks, buy side asset managers, market infrastructure providers and exchanges, custodians and users of the market such as corporates. This constitution is unique. The Member firms are:

    • Australia and New Zealand Banking Group
    • BAE Systems
    • Bank of America Merrill Lynch
    • Barclays
    • BHP
    • BlackRock
    • Bloomberg
    • BNP Paribas
    • BNY Mellon
    • BP
    • Citadel Securities
    • Citigroup Global Markets Limited
    • Crédit Agricole CIB
    • Credit Suisse
    • Deutsche Bank
    • Euronext FX Inc.
    • Goldman Sachs
    • HSBC
    • Invesco
    • J.P. Morgan
    • Legal & General Investment Management
    • Linklaters (Legal Advisor)
    • Lloyds Banking Group
    • London Stock Exchange Group
    • M&G Investment Management Limited
    • MarketAxess
    • Morgan Stanley & Co. International plc
    • National Australia Bank
    • Nomura
    • RBS
    • Refinitiv
    • Rio Tinto
    • Royal Bank of Canada
    • Royal Dutch Shell
    • Royal Mail Group
    • Société Générale
    • Standard Chartered
    • Standard Life Aberdeen
    • TP ICAP
    • Tradeweb
    • Tradition
    • UBS
    • Vodafone
    • XTX Markets
  • FICC Markets Standards Board finalises Information & Confidentiality Statement of Good Practice

    3 October 2019 – The FICC Markets Standards Board (“FMSB”) has today published the final version of a Statement of Good Practice on the issue of Information & Confidentiality.

    This Statement of Good Practice seeks to bring clarity to the complex issue of sharing information in Fixed Income and Commodities markets and dealing with confidential information within a firm.

    Recent events have highlighted the risks associated with the sharing of information; and have suggested that there is uncertainty amongst market participants as to the type, and nature, of information that can be shared (whether internally or otherwise).

    This Statement of Good Practice seeks to provide examples of the types of information that cannot be shared. As well as the circumstances in which certain aggregated information (i.e. market colour) may be shared and how the potential impact of this should be managed and notified to clients of firms.

    There are nine Good Practice Statements which firms should look to when considering their own practice and cover issues including:

      • the management of data integrity;
      • how and in what circumstances client confidential information may be shared with third parties; and,
      • what can and cannot be discussed when providing “Market Colour”; in particular, the document makes clear that “the timely and appropriate exchange of Market Colour between market participants can contribute to an efficient, open, and transparent market through the exchange of information on the general state of the market, views and anonymised and aggregated flow information” and discusses how this may be achieved.

    This document is being published as part of FMSB’s remit to improve conduct and raise standards in the wholesale Fixed Income, Currencies and Commodities markets. It was issued previously as a Transparency Draft and the final version takes account of comments received from market participants.

    All materials published by FMSB are available at www.fmsb.com.

     

    Media contacts

    Maitland

    Andy Donald / Sam Turvey

    +44 207 379 5151

    adonald@maitland.co.uk

    sturvey@maitland.co.uk

    Notes to Editors

    1) The Fixed Income, Currencies and Commodities (“FICC”) Markets Standards Board (“FMSB”) is an independent body set up by market practitioners to improve standards of conduct in wholesale FICC markets. It aims to bring transparency to grey areas in the wholesale FICC markets by identifying emerging vulnerabilities, clarifying and documenting practice and agreeing standards to improve conduct and market behaviour. Ensuring that wholesale FICC markets are transparent, fair and effective is at the heart of the FMSB’s mission.

    2) Setting up the FMSB was one of the main recommendations to emerge from the Fair and Effective Markets Review, which was conducted by HM Treasury, the Bank of England and the Financial Conduct Authority.

    3) The FMSB has a Standards Board drawn from senior executives from across wholesale markets, from corporate clients, asset managers, sell side participants and intermediaries and infrastructure providers such as exchanges and custodians. Reporting to the Standards Board are standing sub-committees addressing Market Practices, Codes & Standards Convergence, Conduct & Ethics and Electronic Trading and Technology. The Market Practices sub-committees are split into 4 asset-class specific committees. There is also an Advisory Council representing the interests of Member firms.

    4) The FMSB’s Members bring together sell side investment banks, buy side asset managers, market infrastructure providers and exchanges, custodians and users of the market such as corporates. This constitution is unique. The Member firms are:

    • Australia and New Zealand Banking Group
    • BAE Systems
    • Bank of America Merrill Lynch
    • Barclays
    • BHP
    • BlackRock
    • Bloomberg
    • BNP Paribas
    • BNY Mellon
    • BP
    • Citadel Securities
    • Citigroup Global Markets Limited
    • Crédit Agricole CIB
    • Credit Suisse
    • Deutsche Bank
    • Euronext FX Inc.
    • Goldman Sachs
    • HSBC
    • Invesco
    • J.P. Morgan
    • Legal & General Investment Management
    • Linklaters (Legal Advisor)
    • Lloyds Banking Group
    • London Stock Exchange Group
    • M&G Investment Management Limited
    • MarketAxess
    • Morgan Stanley & Co. International plc
    • National Australia Bank
    • Nomura
    • RBS
    • Refinitiv
    • Rio Tinto
    • Royal Bank of Canada
    • Royal Dutch Shell
    • Royal Mail Group
    • Société Générale
    • Standard Chartered
    • Standard Life Aberdeen
    • TP ICAP
    • Tradeweb
    • Tradition
    • UBS
    • Vodafone
    • XTX Markets
  • FMSB appoints Martin Pluves as Chief Executive Officer

    25 July 2019 – The FICC Markets Standards Board (“FMSB”) today announces the appointment of Martin Pluves as its new Chief Executive Officer.

    Martin joins FMSB from LCH Group, where he was Chief Executive of LCH Ltd. He has spent a decade at LCH in a variety of senior roles and was appointed CEO of LCH Ltd in 2015. During his tenure as CEO of LCH Ltd, the company has delivered record growth in revenues and volumes across its clearing services, including at SwapClear, the largest OTC rates liquidity pool. Martin’s responsibilities included operations in London as well as in Australia, Japan and North America. Before joining LCH, Martin spent 14 years at PA Consulting where he was elected a Partner in the Financial Services practice and was a member of the Management Group.

    Mark Yallop, Chair of FMSB said: “Martin has 20 years’ experience in the financial services sector covering exchange trading, OTC clearing and financial regulation. He has played a significant role during a period of extensive regulatory and industry change over the past decade and brings to FMSB a deep understanding of the forces transforming the FICC landscape. I am delighted that he has agreed to join us as our new CEO.”

    Martin Pluves said: “FMSB plays a hugely important role in seeking to enhance standards of behaviour in FICC markets and in turn promoting the fairness and effectiveness of wholesale markets. It has made significant progress since it was established in 2015 and has also set out an exciting programme of work for the coming years, including looking at emerging vulnerabilities in FICC markets and the challenges of new technologies and artificial intelligence in markets. I look forward to working with Mark and his team and the wider FMSB membership in delivering FMSB’s ambitious strategic agenda.”

    Martin will join FMSB in October, at which point Mark Yallop will revert from being Executive Chairman to Non-Executive Chairman.

    Media contacts

     Maitland

    Andy Donald / Sam Turvey

    +44 207 379 5151

    adonald@maitland.co.uk sturvey@maitland.co.uk

    Notes to Editors

     The Fixed Income, Currencies and Commodities (“FICC”) Markets Standards Board (“FMSB”) is an independent body set up by market practitioners to improve standards of conduct in wholesale FICC markets. It aims to bring transparency to grey areas in the wholesale FICC markets by identifying emerging vulnerabilities, clarifying and documenting practice and agreeing standards to improve conduct and market behaviour. Ensuring that wholesale FICC markets are transparent, fair and effective is at the heart of the FMSB’s mission.

    • Setting up the FMSB was one of the main recommendations to emerge from the Fair and Effective Markets Review, which was conducted by HM Treasury, the Bank of England and the Financial Conduct
    • The FMSB has a Board drawn from senior executives from across wholesale markets, from corporate clients, asset managers, sell side participants and intermediaries and infrastructure providers such as exchanges and custodians. Reporting to the Standards Board are standing sub-committees addressing Market Practices, Codes & Standards Convergence, Conduct & Ethics and Electronic Trading and Technology. The Market Practices sub-committees are split into 4 asset-class specific committees. There is also an Advisory Council representing the interests of member
    • The FMSB’s members bring together sell-side investment banks, buyside asset managers, market infrastructure providers and exchanges, custodians and users of the market such as corporates.
    • This constitution is unique. The member firms are:
    • Australia and New Zealand Banking Group
    • BAE Systems
    • Bank of America Merrill Lynch
    • Barclays
    • BHP
    • BlackRock
    • Bloomberg
    • BNP Paribas
    • BNY Mellon
    • BP
    • Citadel Securities
    • Citigroup Global Markets Limited
    • Crédit Agricole CIB
    • Credit Suisse
    • Deutsche Bank
    • Euronext FX
    • Goldman Sachs
    • HSBC
    • Invesco
    • P. Morgan
    • Legal & General Investment Management
    • Linklaters (Legal Advisor)
    • Lloyds Banking Group
    • London Stock Exchange Group
    • M&G Investments
    • MarketAxess
    • Morgan Stanley & Co. International plc
    • National Australia Bank
    • Nomura
    • RBS
    • Refinitiv
    • Rio Tinto
    • Royal Bank of Canada
    • Royal Dutch Shell
    • Royal Mail Group
    • Société Générale
    • Standard Chartered
    • Standard Life Aberdeen
    • TP ICAP
    • Tradeweb
    • Tradition
    • UBS
    • Vodafone
    • XTX Markets
  • FMSB issues new Statement of Good Practice on Conflicts of Interest

    London, 20 June 2019 – The FICC Markets Standards Board (“FMSB”) today publishes a Transparency Draft of a new Statement of Good Practice on Conflicts of Interest.

    The primary aim of this Statement of Good Practice is to provide guidance for FICC market participants as they consider ways in which to identify, prevent, manage or mitigate conflicts of interest that arise both: (i) specifically in connection with their FICC markets business; and (ii) more generally across their firm.

    The document covers an important area for FMSB and divides conflicts of interest into three broad categories:

    1. Client versus Client – for example, different clients placing competing orders to deal in the same instrument;
    2. Firm versus Client – for example, a business area holding a risk position in connection with market-making activities, while another business area is advising investors with respect to an inverse economic position; and
    3. Employee versus Firm or Employee versus Client – for example, giving or receiving gifts or entertainment which may potentially impact the individual’s behaviour.

    There are eight Good Practice Statements which firms should look to when considering their own practice in this area, including:

    • Having the necessary policies, procedures and training in place across a firm;
    • Having senior management provide oversight and governance around how conflicts of interest are identified and managed; and
    • Having controls in place to either prevent conflicts of interest from arising, as well as managing or mitigating those that do arise.

    Mark Yallop, Chair of FMSB said: “In wholesale markets there are inherent conflicts of interest in the way firms operate – a firm’s interests in price movements may conflict with those of their clients, opening the way for possible misconduct. This Statement of Good Practice therefore covers a vitally important area in the work that FMSB is doing to improve conduct and raise standards across wholesale markets. That is why it is critical for firms to have robust policies and procedures in place which can identify, address and deal with any conflicts of interest that may arise.”

    FMSB members and other interested parties are invited to comment on the proposed Statement of Good Practice before it is finalised by FMSB. This consultation will run until 6 September 2019 with the final document expected to be published shortly thereafter.

    This is the ninth Statement of Good Practice to have been published by FMSB since it was set up in 2015 in response to the Fair and Effective Markets Review in the UK with a mandate to improve conduct and raise standards in the wholesale Fixed Income, Currencies and Commodities markets.

    All materials published by FMSB are available at www.fmsb.com.

    Media contacts

    Maitland

    Andy Donald / Sam Turvey

    +44 207 379 5151

    adonald@maitland.co.uk

    sturvey@maitland.co.uk

     

    Notes to Editors

    1) The Fixed Income, Currencies and Commodities (“FICC”) Markets Standards Board (“FMSB”) is an independent body set up by market practitioners to improve standards of conduct in wholesale FICC markets. It aims to bring transparency to grey areas in the wholesale FICC markets by identifying emerging vulnerabilities, clarifying and documenting practice and agreeing standards to improve conduct and market behaviour. Ensuring that wholesale FICC markets are transparent, fair and effective is at the heart of the FMSB’s mission.

    2) Setting up the FMSB was one of the main recommendations to emerge from the Fair and Effective Markets Review, which was conducted by HM Treasury, the Bank of England and the Financial Conduct Authority.

    3) The FMSB has a Board drawn from senior executives from across wholesale markets, from corporate clients, asset managers, sell side participants and intermediaries and infrastructure providers such as exchanges and custodians. Reporting to the Standards Board are standing sub-committees addressing Market Practices, Codes & Standards Convergence, Conduct & Ethics and Electronic Trading and Technology. The Market Practices sub-committees are split into 4 asset-class specific committees. There is also an Advisory Council representing the interests of member firms.

     

    4) The FMSB’s members bring together sell-side investment banks, buyside asset managers, market infrastructure providers and exchanges, custodians and users of the market such as corporates. This constitution is unique. The member firms are:

    • Australia and New Zealand Banking Group
    • BAE Systems
    • Bank of America Merrill Lynch
    • Barclays
    • BHP
    • BlackRock
    • Bloomberg
    • BNP Paribas
    • BNY Mellon
    • BP
    • Citadel Securities
    • Citigroup Global Markets Limited
    • Crédit Agricole CIB
    • Credit Suisse
    • Deutsche Bank
    • Euronext FX Inc.
    • Goldman Sachs
    • HSBC
    • Invesco
    • P. Morgan
    • Legal & General Investment Management
    • Linklaters (Legal Advisor)
    • Lloyds Banking Group
    • London Stock Exchange Group
    • M&G Investments
    • MarketAxess
    • Morgan Stanley & Co. International plc
    • National Australia Bank
    • NEX Group PLC
    • Nomura
    • RBS
    • Refinitiv
    • Rio Tinto
    • Royal Bank of Canada
    • Royal Dutch Shell
    • Royal Mail Group
    • Société Générale
    • Standard Chartered
    • Standard Life Aberdeen
    • TP ICAP
    • Tradeweb
    • Tradition
    • UBS
    • Vodafone
    • XTX Markets

     

  • “Wholesale Market Manipulation” – Speech delivered by Mark Yallop at the Deloitte Capital Markets Seminar on 5 April 2019

    The best stories in my childhood always started with the words “It was a dark and stormy night…” 

    But history relates that it really was a dark and stormy night on Sunday 20th February 1814.  Sunset fell shortly after 5.20pm in the afternoon.   The day had been bitterly cold, windy and misty; and the night followed suit, so the weather was truly a pathetic fallacy for the human drama that was about to unfold. 

    Two locals, John Marsh and Thomas Gourley were disturbed later that evening, as they shared a pipe in the Ship Inn by the sound of a voice demanding a post chaise carriage to London. 

    Dover at this time was on constant alert for news from the Continent.    Napoleon had been defeated in his disastrous Russian campaign in 1812, and again at Leipzig in October 1813, but was still at large with significant forces in Northern France.   While no-one in England seriously feared an invasion, Napoleon at the head of an army was nonetheless a potent threat.  Indeed, Napoleon had thoroughly trounced the Coalition forces led by Blücher on six occasions in battles across Northern France in the previous 3 weeks.   So, at this stage, Britain waited news of Napoleon’s next move with something like breathless anticipation. 

    The source of the knocking turned out to be a stranger, dressed in a soaked greatcoat over an unusual-looking, battle scarred and very muddy uniform, who stated that he was Lieutenant-Colonel du Bourg, just arrived from France with the most important news that had to be delivered immediately to Admiral Foley, Commander of the south coast naval forces at nearby Deal. 

    Had they looked more closely, some of the surprised Dover residents, who had gathered at the disturbance, might have noticed that the battle-stained uniform was in fact streaked with boot-black; and they would have been even more surprised some minutes earlier to have seen the stranger standing in the nearby millstream throwing water over his coat to simulate a sea-soaked Channel crossing.  

    But unaware of these details, the locals provided Du Bourg with the wherewithal to write to Admiral Foley, and his letter set out the stunning news that Napoleon had been defeated in battle: “Bonaparte was overtaken by a party of Sachen’s Cossacks who immediately slayed him and divided his body between them.   General Platoff saved Paris from being reduced to ashes…an immediate peace is certain” he wrote. 

    Du Bourg’s letter was delivered to Admiral Foley at 3am, but the poor weather prevented its transmission to London via the primitive telegraph system then available.   Nevertheless, the sensational news started to spread by word of mouth, across and inland from the south coast, even at this early hour.   And Du Bourg left for London personally, changing horses and carriage several times before arriving in the capital early on Monday 21st.      

    While Du Bourg was en route, two gentlemen claiming to be French officers of the pre-Napoleonic Bourbon government appeared in Dartford, with even more lurid details of the demise of the Emperor, also demanding transport to the capital. 

    The combined effect of the overnight rumours and the arrival in the early morning of two separate parties with news of impending peace created pandemonium among Londoners and on the Stock Exchange.   Large crowds gathered outside the Mansion House hoping for an official announcement from the Lord Mayor.  In the course of the day government stocks – gilts – rose in value by an astonishing 20 per cent.   

    Inevitably, as the day wore on with no further corroboration of this dramatic turn of events, suspicion mounted and disappointment grew.   It was confirmed later in the afternoon that Napoleon was in fact alive and that Lieutenant-General Baron Sachen’s Cossacks had been engaged elsewhere.   Gilt prices fell sharply and many investors caught up in the frenzy of the morning lost large sums of money. 

    In the investigation that followed it transpired that only four individuals had sold gilts on that Monday – Sir Thomas Cochrane (10th Earl of Dundonald, a distinguished Naval hero, MP and member of the Order of the Bath), Andrew Cochrane Johnstone (ex-Governor of Dominica, MP for a rotten borough in Cornwall and Thomas’s uncle), Richard Butt (a stockbroker) and John Holloway (a wine merchant).    

    These four owned almost £1m in holdings of gilts – equivalent to £50m million today –  at the start of the day’s trading, most of which had been purchased the previous Friday.   They could have made profits of between £5 and £10m in today’s money on their trading, if things had gone well; as it was they only netted about £0.5m – this was long before the days of best execution rules! 

    The four of them, and du Bourg, whose real name turned out to be Charles Random de Beringer, were tried at the Old Bailey on eight counts including that they: 
     

    “…did conspire and by diverse false and subtle arts, devices, contrivances, representations, reports, and rumours to occasion without just and true cause a rise and increase in the prices of the public Government Funds … and sell and cause to be sold for them divers other large parts of the said Government Funds at higher and greater prices than said parts would otherwise sell for with a wicked and fraudulent intention to thereby cheat and defraud … all his Majesty’s subjects who should contract for or purchase part of the said public Government Funds … of diverse large sums of money…” 

    They were found guilty, fined, placed in the public pillory at the front of the Royal Exchange and sent to prison for 12 months in the first ever successful prosecution in the English courts for market manipulation. 

    The Cruikshank cartoon – April 1st 1814 

    Two sets of double stocks face each other, the farther ends converging so that the occupants are sufficiently close to play cards at a table placed between them. The principal pair, Lord Cochrane (left) and de Beranger (right) throw dice. Cochrane’s seat is a huge thistle; he wears naval uniform with a star, cocked hat, and knee-breeches. Beside him is a grappling iron. De Beranger has huge black moustaches, indicating his Prussian nationality; he wears a cocked hat in which is a large olive-branch, a green military coat; his left hand rests on a sabre, with which he supports himself. His legs are in tattered stockings; his large jack-boots lying on the ground in front of the stocks. 

    Next to Cochrane sits his uncle, Andrew Cochrane Johnstone, wearing a tam-o’-shanter. In his pocket is a paper: ‘Motion Princess Wales Cock John’. His vis-à-vis, Butt, wears a barrel over his coat from neck to waist, with holes for the arms. Under his hand is a paper: ‘Oxford 18th Feb To my Secretary Mr Butt [signed] F. Burdett’. They play cards with sly but pleased concentration. The other two throw dice with a reckless swagger.  

    In the foreground (left) a procession of animals makes its way to a pond inscribed ‘Fleet Ditch’ (left) on which two ducks are already swimming. A bull enters the water, followed by two ‘lame ducks’, one using a stick, the other, wearing hat and wig, using crutches. They walk over papers inscribed ‘Consols’ and ‘Omnium’ [twice]. They are followed by a bear on its hind-legs walking on ‘Scrip’, at whom a duck quacks.  

    On the right is a bench inscribed ‘Kings Bench’ with four occupants: a duck, a bear, a man (in back view), a bull, which is dressed as a man, and sits on the end of the seat facing another piece of water inscribed ‘Sinking Fund’ (right). This is much agitated by a man (or bull) who has plunged in head first, leaving hind-quarters inscribed ‘Honor’ and legs waving in the air; the creature wears breeches and boots, the feet of which are formed of cocked pistols. 

     
    In the middle distance (left) a bull with a man’s face and branded ‘J B’ [John Bull] has tossed a little Napoleon high in the air so that he is about to fall on the spear of a grimly expectant Cossack. Behind these figures is a rocky pinnacle with a ladder and gibbet on its summit. The top of the gibbet is hidden by a cloud, from which dangles a noose surrounding the stalk-like neck of a grotesque mannikin wearing spurred boots, who looks down at the gamblers through an eye-glass, saying, “Ha! ha! Neck or Nothing.”  

    From behind the side of the hill appears an empty pillory, the holes in which represent a grinning face looking towards Cochrane; missiles and a cat are flying round it, with the words ‘Peep boo’. On the right a post-chaise with four galloping horses and two postilions is dashing down a hill (right to left); a man (Ralph Sandom) leans out, wildly waving his hat and shouting “Death of Bounaparte!!” The chaise, inscribed ‘H. Humbug & Co North Fleet’, and horses are decked with branches of laurel; behind it are tied large bundles of ‘Dispatches’. 
     

  • FMSB appoints Edward Ocampo and Michael Cole-Fontayn as non-executive directors

    London, 18 March 2019 – The FICC Markets Standards Board (FMSB) announces that it has appointed Edward Ocampo and Michael Cole-Fontayn as new non-executive directors.

    Edward Ocampo is an Advisory Director at Quantile Technologies, which provides portfolio risk management services for derivatives markets.  Prior to joining Quantile Technologies, he spent four years as a Senior Advisor at the Bank of England where he led work to develop and promote alternatives to Libor.  He also contributed to the Fair and Effective Markets Review, which called for the creation of the FMSB.  He joined the Bank of England from Morgan Stanley in London, where he was a Managing Director and held several senior roles over a 24-year career.

    Michael Cole-Fontayn is the Chair of the Association for Financial Markets in Europe (AFME) and Chair of the Chartered Institute for Securities and Investment (CISI). AFME is the trade association for leading global and European banks and other significant capital market participants and CISI is the largest professional body for the securities and investment profession in the UK.

    Michael was previously EMEA Chair of BNY Mellon, responsible for governance, culture and strategy development across the region. Before taking up the EMEA Chair of BNY Mellon, he spent 25 years in various roles at both BNY Mellon and Bank of New York in London, Hong Kong and New York.

    Mark Yallop, Chairman of FMSB said: “I’m delighted to welcome Edward and Michael as new non-executive directors of FMSB – they both bring significant knowledge and experience of wholesale markets around the world. Along with the rest of the board, Edward and Michael will play a vital role in the overall governance and direction of FMSB in the coming months and years under our remit of enhancing standards of behaviour in the wholesale FICC markets.”

    Edward and Michael join as non-executive directors alongside Chairman, Mark Yallop and existing non-executives Charles Nichols and Stephen O’Connor.

    Media contacts

    Maitland

    Andy Donald

    +44 207 379 5151

    adonald@maitland.co.uk

    Notes to Editors

    1) The Fixed Income, Currency and Commodities (“FICC”) Markets Standards Board (“FMSB”) is an independent body set up by market practitioners to improve standards of conduct in wholesale FICC markets. It aims to bring transparency to grey areas in the wholesale FICC markets by identifying emerging vulnerabilities, clarifying and documenting practice and agreeing standards to improve conduct and market behaviour. Ensuring that wholesale FICC markets are transparent, fair and effective is at the heart of the FMSB’s mission.

    2) Setting up the FMSB was one of the main recommendations to emerge from the Fair and Effective Markets Review (“FEMR”), which was conducted by HM Treasury, the Bank of England and the Financial Conduct Authority.

    3) The FMSB has a Board drawn from senior executives from across wholesale markets, from corporate clients, asset managers, sell side participants and intermediaries and infrastructure providers such as exchanges and custodians. Reporting to the Standards Board are standing sub-committees addressing Market Practices, Codes & Standards Convergence, Conduct & Ethics and Electronic Trading and Technology. The Market Practices sub-committees are split into 4 asset-class specific committees. There is also an Advisory Council representing the interests of member firms.

     

    4) The FMSB’s members bring together sell-side investment banks, buyside asset managers, market infrastructure providers and exchanges, custodians and users of the market such as corporates. This constitution is unique. The member firms are:

    • Australia and New Zealand Banking Group
    • BAE Systems
    • Bank of America Merrill Lynch
    • Barclays
    • BHP
    • BlackRock
    • Bloomberg
    • BNP Paribas
    • BNY Mellon
    • BP
    • Citadel Securities
    • Citigroup Global Markets Limited
    • Crédit Agricole CIB
    • Credit Suisse
    • Deutsche Bank
    • FastMatch
    • Goldman Sachs
    • HSBC
    • Invesco
    • J.P. Morgan
    • Legal & General Investment Management
    • Linklaters (Legal Advisor)
    • Lloyds Banking Group
    • London Stock Exchange Group
    • M&G Investments
    • MarketAxess
    • Morgan Stanley & Co. International plc
    • National Australia Bank
    • NEX Group PLC
    • Nomura
    • RBS
    • Refinitiv
    • Rio Tinto
    • Royal Bank of Canada
    • Royal Dutch Shell
    • Royal Mail Group
    • Société Générale
    • Standard Chartered
    • Standard Life Aberdeen
    • TP ICAP
    • Tradeweb
    • Tradition
    • UBS
    • Vodafone
    • XTX Markets

     

  • FMSB Annual Report 2018 sets out progress made in delivering fair and effective markets

    London, 18 March 2019 – The FICC Markets Standards Board (FMSB) has today issued its 2018 Annual Report setting out the progress made to enhance standards of behaviour in the wholesale Fixed Income, Currencies and Commodities (“FICC”) markets.

    FMSB is a private sector, market-led organisation which was created in 2015 to raise standards of conduct in wholesale FICC markets and its members include international users of FICC markets, such as corporate issuers, asset managers, exchanges and investment banks.

    The report gives an overview of the significant amount of work undertaken by FMSB, including its unique Behavioural Cluster Analysis study, which reviewed the behavioural patterns in 390 cases of misconduct in financial markets stretching back to 1792.

    The report also provides information on FMSB’s 13 published Standards and Statements of Good Practice which cover a wide range of topics, including risk management transactions, suspicious transaction & order reporting and monitoring of written electronic communications.

    Alongside the published materials, FMSB has a significant amount of work in progress, such as reviews of structural and conduct risks in electronic trading, government bond auctions, the sharing of allocation information in primary bond markets, the management of large trades and the conduct of precious metals fixes.

    Mark Yallop, Chair of FMSB said: “Common globally accepted standards of business practice can play a vital role in ensuring that markets operate fairly and effectively for users and support economic growth goals. At a time when we are probably closer to the next crisis than we are to the last, such standards are doubly important, which underlines the vital work that FMSB is undertaking.

    In the last year FMSB has made significant progress, notably the publication of our ground-breaking study into market misconduct and we also have a large volume of work to undertake this year, including looking at how algorithmic trading in markets should be governed. Alongside our existing work on market conduct issues we will be expanding our focus to address broader market structure questions, which we see as critical in delivering on our remit of raising standards of conduct in global wholesale FICC markets.

    I would like to thank our members for the commitment and support we receive, which has made possible the progress that we have achieved.”

    FMSB also continues to receive strong support from UK and international central banks and regulatory bodies. Alongside others, both Mark Carney and Christopher Giancarlo both expressed their support for the work of FMSB:

    • Mark Carney, Governor of the Bank of England, stated: “UK authorities have used their convening powers to encourage market participants to establish standards of market practice that are well understood, widely followed and, crucially, that keep pace with market developments… But the authorities cannot future-proof alone. We rely on industry to help us scan the landscape for emerging risks and to help determine ways to mitigate them. We are encouraged by your efforts. In particular, the FMSB is undertaking horizon scanning for future misconduct risks through its innovative Behaviour Cluster Analysis.”
    • Christopher Giancarlo, Chairman, US Commodity Futures Trading Commission stated: “Good conduct in global financial markets cannot be achieved by regulation alone. FMSB’s novel work on the historical causes of misconduct in wholesale markets makes this very clear. Private sector participants have to play their role as well and actors in markets need to cooperate across jurisdictions if arbitrage is to be avoided and standards raised. I’m delighted that FMSB has made so much progress in its first two years. The CTFC looks forward to continuing to work with FMSB and its Members, to rebuild trust and deliver the fair and effective markets which are the core of FMSB’s mission.”

    The full Annual Report is available to view at www.fmsb.com.

     

    Media contacts

    Maitland

    Andy Donald

    +44 207 379 5151

    adonald@maitland.co.uk

     

    Notes to Editors

    1) The Fixed Income, Currency and Commodities (“FICC”) Markets Standards Board (“FMSB”) is an independent body set up by market practitioners to improve standards of conduct in wholesale FICC markets. It aims to bring transparency to grey areas in the wholesale FICC markets by identifying emerging vulnerabilities, clarifying and documenting practice and agreeing standards to improve conduct and market behaviour. Ensuring that wholesale FICC markets are transparent, fair and effective is at the heart of the FMSB’s mission.

    2) Setting up the FMSB was one of the main recommendations to emerge from the Fair and Effective Markets Review (“FEMR”), which was conducted by HM Treasury, the Bank of England and the Financial Conduct Authority.

    3) The FMSB has a Board drawn from senior executives from across wholesale markets, from corporate clients, asset managers, sell side participants and intermediaries and infrastructure providers such as exchanges and custodians. Reporting to the Standards Board are standing sub-committees addressing Market Practices, Codes & Standards Convergence, Conduct & Ethics and Electronic Trading and Technology. The Market Practices sub-committees are split into 4 asset-class specific committees. There is also an Advisory Council representing the interests of member firms.

    4) The FMSB’s members bring together sell-side investment banks, buyside asset managers, market infrastructure providers and exchanges, custodians and users of the market such as corporates. This constitution is unique. The member firms are:

    • Australia and New Zealand Banking Group
    • BAE Systems
    • Bank of America Merrill Lynch
    • Barclays
    • BHP
    • BlackRock
    • Bloomberg
    • BNP Paribas
    • BNY Mellon
    • BP
    • Citadel Securities
    • Citigroup Global Markets Limited
    • Crédit Agricole CIB
    • Credit Suisse
    • Deutsche Bank
    • FastMatch
    • Goldman Sachs
    • HSBC
    • Invesco
    • P. Morgan
    • Legal & General Investment Management
    • Linklaters (Legal Advisor)
    • Lloyds Banking Group
    • London Stock Exchange Group
    • M&G Investments
    • MarketAxess
    • Morgan Stanley & Co. International plc
    • National Australia Bank
    • NEX Group PLC
    • Nomura
    • RBS
    • Refinitiv
    • Rio Tinto
    • Royal Bank of Canada
    • Royal Dutch Shell
    • Royal Mail Group
    • Société Générale
    • Standard Chartered
    • Standard Life Aberdeen
    • TP ICAP
    • Tradeweb
    • Tradition
    • UBS
    • Vodafone
    • XTX Markets
  • FICC Markets Standards Board (FMSB) finalises new Standard on Secondary Market Trading Error Compensation

    London, 28 January 2019 – The FICC Markets Standards Board (“FMSB”) has today published the final version of its Standard on Secondary Market Trading Error Compensation under its remit to improve conduct and raise standards in the wholesale Fixed Income, Currencies and Commodities markets.
    The new Standard sets out expected behaviours that are designed to improve the practice of payment of compensation for trading errors. It advises that compensation should be paid in the following ways:
    • By direct payment to the compensated party’s account; or
    • By reducing or increasing net brokerage; or
    • By another means which does not create a false market in, or a misleading impression as to the value or liquidity of a financial instrument.
    The Standard makes clear that methods of compensation such as wash trades should not be used as these can create a misleading impression regarding volume or price in the market.
    This Standard was previously issued as a Transparency Draft and the final version takes account of comments received from market participants.
    All materials published by FMSB are available at www.fmsb.com.

    Media contacts
    Maitland
    Andy Donald
    +44 207 379 5151
    adonald@maitland.co.uk

    Notes to Editors
    1) The Fixed Income, Currencies and Commodities (“FICC”) Markets Standards Board (“FMSB”) is an independent body set up by market practitioners to improve standards of conduct in wholesale FICC markets. It aims to bring transparency to grey areas in the wholesale FICC markets by identifying emerging vulnerabilities, clarifying and documenting practice and agreeing standards to improve conduct and market behaviour. Ensuring that wholesale FICC markets are transparent, fair and effective is at the heart of the FMSB’s mission.
    2) Setting up the FMSB was one of the main recommendations to emerge from the Fair and Effective Markets Review (“FEMR”), which was conducted by HM Treasury, the Bank of England and the Financial Conduct Authority.
    3) The FMSB has a Board drawn from senior executives from across wholesale markets, from corporate clients, asset managers, sell side participants and intermediaries and infrastructure providers such as exchanges and custodians. Reporting to the Standards Board are standing sub-committees addressing Market Practices, Codes & Standards Convergence, Conduct & Ethics and Electronic Trading and Technology. The Market Practices sub-committees are split into 4 asset-class specific committees. There is also an Advisory Council representing the interests of Member firms.

    4) The FMSB’s Members bring together sell-side investment banks, buyside asset managers, market infrastructure providers and exchanges, custodians and users of the market such as corporates. This constitution is unique. The Member firms are:

    • Australia and New Zealand Banking Group
    • BAE Systems
    • Bank of America Merrill Lynch
    • Barclays
    • BHP
    • BlackRock
    • Bloomberg
    • BNP Paribas
    • BNY Mellon
    • BP
    • Citadel Securities
    • Citigroup Global Markets Limited
    • Crédit Agricole CIB
    • Credit Suisse
    • Deutsche Bank
    • FastMatch
    • Goldman Sachs
    • HSBC
    • Invesco
    • J.P. Morgan
    • Legal & General Investment Management
    • Linklaters (Legal Advisor)
    • Lloyds Banking Group
    • London Stock Exchange Group
    • M&G Investments
    • MarketAxess
    • Morgan Stanley & Co. International plc
    • National Australia Bank
    • NEX Group PLC
    • Nomura
    • RBS
    • Refinitiv
    • Rio Tinto
    • Royal Bank of Canada
    • Royal Dutch Shell
    • Royal Mail Group
    • Société Générale
    • Standard Chartered
    • Standard Life Aberdeen
    • TP ICAP
    • Tradeweb
    • Tradition
    • UBS
    • Vodafone
    • XTX Markets

  • FICC Markets Standards Board (FMSB) finalises new Statement of Good Practice

    London, 15 January 2019 – The FICC Markets Standards Board (“FMSB”) has today published the final version of its Statement of Good Practice on Suspicious Transaction and Order Reporting under its remit to improve conduct and raise standards in the wholesale Fixed Income, Commodity and Currency markets.
    The Statement of Good Practice deals with the identification of suspicious transactions and orders and their reporting to the relevant regulator.
    There are ten Good Practice Statements contained within this document which firms should look to when considering their own practice in this area and cover issues including:
    • Firms should have a clear organisational structure in place to facilitate monitoring and reporting of suspicious orders or transactions
    • Surveillance activities should be owned by a function which is independent from the business activities. That function should have the expertise and experience to provide control over their business activities
    • Electronic surveillance systems should analyse trading data through a set of logic and look back scenarios searching for potentially suspicious behaviour
    This document was issued last year as a Transparency Draft and the final version takes account of comments received from market participants.
    All materials published by FMSB are available at www.fmsb.com.

    Media contacts
    Maitland
    Andy Donald
    +44 207 379 5151
    adonald@maitland.co.uk

    Notes to Editors
    1) The Fixed Income, Currency and Commodities (“FICC”) Markets Standards Board (“FMSB”) is an independent body set up by market practitioners to improve standards of conduct in wholesale FICC markets. It aims to bring transparency to grey areas in the wholesale FICC markets by identifying emerging vulnerabilities, clarifying and documenting practice and agreeing standards to improve conduct and market behaviour. Ensuring that wholesale FICC markets are transparent, fair and effective is at the heart of the FMSB’s mission.
    2) Setting up the FMSB was one of the main recommendations to emerge from the Fair and Effective Markets Review (“FEMR”), which was conducted by HM Treasury, the Bank of England and the Financial Conduct Authority.
    3) The FMSB has a Board drawn from senior executives from across wholesale markets, from corporate clients, asset managers, sell side participants and intermediaries and infrastructure providers such as exchanges and custodians. Reporting to the Standards Board are standing sub-committees addressing Market Practices, Codes & Standards Convergence, Conduct & Ethics and Electronic Trading and Technology. The Market Practices sub-committees are split into 4 asset-class specific committees. There is also an Advisory Council representing the interests of member firms.

    4) The FMSB’s members bring together sell-side investment banks, buyside asset managers, market infrastructure providers and exchanges, custodians and users of the market such as corporates. This constitution is unique. The member firms are:

    • Australia and New Zealand Banking Group
    • BAE Systems
    • Bank of America Merrill Lynch
    • Barclays
    • BHP
    • BlackRock
    • Bloomberg
    • BNP Paribas
    • BNY Mellon
    • BP
    • Citadel Securities
    • Citigroup Global Markets Limited
    • Crédit Agricole CIB
    • Credit Suisse
    • Deutsche Bank
    • FastMatch
    • Goldman Sachs
    • HSBC
    • Invesco
    • J.P. Morgan
    • Legal & General Investment Management
    • Linklaters (Legal Advisor)
    • Lloyds Banking Group
    • London Stock Exchange Group
    • M&G Investments
    • MarketAxess
    • Morgan Stanley & Co. International plc
    • National Australia Bank
    • NEX Group PLC
    • Nomura
    • RBS
    • Refinitiv
    • Rio Tinto
    • Royal Bank of Canada
    • Royal Dutch Shell
    • Royal Mail Group
    • Société Générale
    • Standard Chartered
    • Standard Life Aberdeen
    • TP ICAP
    • Tradeweb
    • Tradition
    • UBS
    • Vodafone
    • XTX Markets

  • Evolve or Perish – The Global Forces changing the business of Banks Geopolitical Threats and Opportunities for Europe – speech given by Mark Yallop

    Financial Regulatory Outlook Conference 2018

    Evolve or Perish – The Global Forces changing the business of Banks Geopolitical Threats and Opportunities for Europe


    Palazzo Taverna, Rome, 28 November 2018

    Speech given by Mark Yallop (Chair, FMSB)

    As I have told some of you before, I was staying in the Borghese gardens when I woke up two and a half years ago to the news that my country had voted for Brexit. Notwithstanding this alarming memory, it is a huge pleasure to be in Rome and I thank you for inviting me back here to be with you at this conference.

    When thinking about what I might say to you this evening I first thought I might discuss the macroeconomic challenges facing the eurozone; how the most productive EU economies benefit most from an undervalued Euro; how monetary union is creating an unintended but damaging divergence between the north and the south, with massive persistent surpluses in the former and deficits in the latter; and how domestic demand has been suppressed in the periphery to sustain the union.

    But then I thought that – as a Briton speaking in Rome – this might seem rather unattractive, if not downright undiplomatic.

    I also considered talking about the problems created by the shifting political landscape; the popular disenchantment with mainstream politics; the lack of respect for experts and great public institutions; the lack of informed public debate about the balance between the safety and soundness of the financial system and the need for economic growth; and the need for a clearer defence of open markets and capitalism.

    But then I realised that – as a Briton speaking in Rome – this too might seem rather
    presumptuous.

    So I thought I would speak briefly about two other challenges that I see for Europe, its economy and financial system and its regulators: trust and technology. In truth they are global challenges; but clearly also highly relevant for our own region here.

    Let me first address trust, and particularly the loss of trust in the financial system and financial markets that has occurred in the past decade.

    The crisis that broke over us 10 years ago inflicted extraordinary damage. On top of the staggering outright losses incurred by firms and individuals, the fines imposed for misconduct now total almost $400 billion, the cost of remediation for firms runs to between $5-10 billion, and a generation of bankers have been wiped out.

    To give you sense of scale, $400 billion, had it been retained as capital in the banking system, would have supported well over $5 trillion in bank lending – equivalent to about 40% of all bank lending today in the United States.

    However, the real harm done a decade ago was not financial, but rather reputational damage – to trust in the financial system, in financial services firms and in financial services regulators. And this reputational harm and loss of trust has had a real cost to us all in terms of higher costs of capital, lost opportunity and the erosion of the social licence to operate needed by the financial services industry.

    A decade on, countless surveys show that trust in financial services and banking in particular is still very low: both by the public in bankers and by employees in banks with respect to their own firms.

    I was in Australia three weeks ago when coincidentally the latest Trust Project survey findings revealed that just 18% of Australian citizens trust their banks; so you can work out quite easily how many don’t trust them.

    Of course regulators have been very busy in the past decade, repairing things that were broken and making individual firms and the system as a whole much safer.

    But – and this is the central message I want to convey this evening in connection with trust – regulation cannot fix the “trust deficit” that persists; however much we may want it to.

    Fundamentally, this is because the conduct and culture of people and firms in financial services are determined by factors well outside the scope of financial regulation; factors that are the province of psychology, social science, behavioural economics, philosophy
    and the law; that manifest themselves in complex ways; and in which a series of collective action and prisoners dilemma problems make embedded conflicts of interest very hard to address.

    It is also fair to point out that regulation can struggle with the rapid pace of innovation in the private sector; the asymmetric imbalance of knowledge and resources between public sector regulators and the private sector; and a global financial services industry that transcends national jurisdictional and regulatory boundaries.

    I must emphasise that I am not arguing that regulation is a bad idea or doomed to fail – rather that it is a necessary, but not sufficient, condition for fair and effective financial services.

    Something else beyond regulation has to be addressed if trust in financial services is to be rebuilt.

    If you need proof of this thesis then I refer you to work that has been done by the FMSB recently which shows that over 235 years since the dawn of modern capital markets, across hundreds of cases of misconduct in finance in 25 jurisdictions worldwide, just 14 types of behaviour repeat again and again across time, markets and jurisdictions and together explain effectively all market misconduct that has been prosecuted.

    Every time a major problem occurs, the same cycle ensues: an investigation is conducted, an authoritative report is written, new laws are passed and regulation created. Then a few years later, in another part of the world or another market – or even in the same part of the world and the same market – precisely the same misconduct repeats itself.

    The law in the UK that was used to prosecute LIBOR manipulators in 2014 was the very same law that was created in 1814 to prosecute the first manipulators on the UK government bond market at the end of the Napoleonic Wars.

    I believe that the biggest missing pre-requisite for trust to be rebuilt is a comprehensive and sustained effort by the private sector, undertaken willingly and not at the end of the regulators gun barrel, to define the standards by which business will be done and how
    the private sector will measure itself against these standards verifiably, and in public.

    Only with such public, voluntary and measurable scrutiny can trustworthiness be established and the first steps taken to rebuilding trust itself.

    There is already good work being done in this area, not only by my organisation FMSB, by the UK Banking Standards Board and other parallel organisations; but there is quite a steep hill still to climb before this work is complete.

    Let me now turn to my second topic: technology.

    I believe that massive technological advances in computer processing power, data harvesting and storage, machine learning, open access, cloud computing and the distributed ledger, as well as changes to come – for example in quantum computing – all will mean very significant changes over the next 15-20 years in financial services and, necessarily therefore also, for regulation.

    Many of these changes will result in huge benefits, for example in the area of financial inclusion where they could enable the 1.5 billion people globally who have no access to banking to receive financial services, or in combating financial crime where new technology, data science and artificial intelligence should materially help fight the criminal and terrorist exploitation of financial services intermediaries.

    Without in any way underplaying these benefits I want to focus this evening on the challenges that will also be encountered, as they must be addressed but haven’t yet received much attention.

    The biggest change that new technology will bring is the disaggregation of what have hitherto been highly integrated bank business models – in which essentially all activities, risk, infrastructure and governance have been located inside a single legal entity or group of closely related legal entities. This corporate structure has in turn driven the approach to bank regulation, which has everywhere in the world developed policies and supervision tailored to the legal entity structure of the industry.

    In future it is most likely that material banking risks, and the accountability for those risks, will not sit so neatly inside simple, easily-supervisable, legal entities. It is highly probable that bank business models will change materially to reflect the opportunities offered by advanced data science and AI. It seems logical that “data rewards” available to those firms with advanced data harvesting and analysis capabilities will confer greater advantages than simple algorithmic prowess. In this case, it seems likely that firms with the best data scientists are likely to have a systematic competitive advantage over their peers; and in all likelihood will be able to
    grow at a structurally higher rate.

    If this is the case it is likely that such firms will outstrip medium and smaller sized firms to create a new tier of “globally significant” financial services providers enabled by data science – potentially a very different group of firms from today’s GSIBs.

    Different skills will be needed by banks to compete in a highly technology enabled, data rich world. Where previously asset gathering and balance sheet management were critical, in future data gathering and analysis will be crucial. Where scale and the techniques of mass production have been critical to compete on cost, in future tailoring services to specific customer profile will be key. Where personal relationship management was a critical differentiator, in a digitised world optimising the “best fit” for your customer using data science will be essential. Where firms have hitherto retained customers by raising barriers to exit, they will in future have to work harder to
    create sticky retention-ties based on the quality, excitement and convenience of their data-enabled services. Where human judgement has been a differentiating advantage, in future competition will be driven by data-fuelled artificial intelligence.

    Faced with these challenges some firms will likely opt to become “dumb pipes” to other product providers while other firms will choose to become “supermarkets” offering a wide range of banking, and non-banking, services under one roof. Probably, some of these supermarkets will have their ancestry in technology and e-commerce rather than in banking. Not-for-profit industry utilities and infrastructure providers are likely to be attracted by the opportunities presented by data harvesting and analysis, just as much as traditional profit-maximisers.

    The human resources, talent management and governance structures of firms will likely be severely tested by these changes, and firm cultures will be tried in ways that they have not previously. In all probability we will face a war for data science talent similar or greater in intensity to that experienced by banking in the heady days of the late twentieth century.

    All these developments will create challenges for the regulators.

    The shape of the regulatory perimeter will need to be revisited. And where risk sits inside the perimeter will change.

    For macro-prudential regulators, the shape and structure of the financial services system will change. But it may also become less diverse – due to the accelerated growth opportunities for data leaders, or because of the arrival in financial services of new, concentrated technology firms. The financial system is likely to be more interconnected, a particular hazard already identified by the G20 in 2009 and which regulators have been trying to mitigate for the past decade. The types of risk that are systemic – potentially a hazard to the entire financial system – will be different. And the viability of firms that are today traditional, major players in banking may be threatened if their business models are “salami-sliced” by new firms gouging profitable tranches of the integrated banking industry.

    Micro-prudential regulators face a digital world with analogue tools. The traditional micro-prudential tools – of supervision, capital and liquidity – may be inadequate safeguards of safety and soundness. Risk distributed across multiple technology providers will be much more difficult to assess than in the current integrated bank with bilateral or central counterparty risk profiles. Individual accountability regimes will be sorely tested, or even undermined, by artificial intelligence-driven decision making: who is making the decision in an algorithm that has “taught itself” based on past observations that are not visible to human management? Regulators will also find it useful, or even essential, to standardise or harmonise their rule books to automate and make them AI-interpretable; and will have to rethink how they gather and interpret regulatory data from firms they supervise.

    For conduct regulators interesting challenges will arise from the changes in the way that consumers interact with financial services providers in a data-enabled, high technology market. Less experienced consumers may be able to access sophisticated products and services rather more easily than would be ideal. The way in which consumer protection is provided may need to change markedly. And judging the effectiveness, or otherwise, of competition will need new skills. While sophisticated AI and strong data analysis may make conduct problems less frequent, the interconnectedness of the financial system may well make them larger, more contagious and more serious when they do occur.

    Regulator challenges will not end there, either. Banking and financial services regulators will need to think through, in the light of the probable changes I have described above, quite a few fundamental issues.

    Should financial services regulators try to address a much changed, technology-driven market by expanding their own responsibilities and purview; or by finding friends among data regulators? And if the latter, how should regulatory collaboration be ensured to deliver effective policy and oversight? In particular, how should disparate and under-developed personal data standards be developed to protect financial services customers and providers?

    An important related question is how technology and AI may impact the legal framework and decision making that underpins the financial services industry and regulatory structures that oversee it? How do we want ethical dilemmas that might have been decided using human judgement in the traditional legal system to be resolved in a world when, increasingly, artificial intelligence may be being used to cut the cost and increase the efficiency of legal dispute resolution? There is also an uncomfortable tension between global technology business models and the (necessarily) local focus of legal structures to safeguard consumers of technology services.

    Underpinning all of the above is of course a bigger existential question: namely what degree of delegation society will accept in terms of financial services data ownership, management and analysis. This is particularly pertinent in view of the damage inflicted on trust in financial services in the past decade. There are those who argue that consumers will take a different attitude to privacy for personal financial data to that they have for social media data, and that this will limit the scale of the challenge to financial services providers, but this remains to be tested.

    With all these questions unanswered – even unanswerable – today it would be easy to become discouraged. But I am an optimist and I look forward to the technology- enabled, data-rich future. In particular I am encouraged by the idea that there are obvious links between the trust “challenge” and the opportunities created by new technology.

    Greater transparency about how business gets done and decisions get made is key to
    rebuilding trustworthiness. And the techniques of data harvesting and analysis can create this transparency. So, while addressing the many questions posed by data science and new technology, we need also to be asking ourselves how these powerful new tools can be used to tackle the deficit of public and market user trust that has, very unfortunately come to bedevil financial services.

    By answering this question I believe we can do much to create the stronger and more highly regarded financial services industry and markets that we need to support economic growth for our children.

    Ladies and gentlemen, thank you for your attention.

  • True Finance – Ten years after the financial crisis, speech by Mark Carney

    Speech given by Mark Carney, Governor of the Bank of England and Chair of the Financial Stability Board at the Economic Club of New York 19 October 2018

    Read the speech here: True Finance – Ten years after the financial crisis, speech by Mark Carney

  • Mark Yallop shares his views on the key challenges which UK firms face

    Take a look at the video of Mark recorded from the 2018 Refinitv Regulatory Summit in Hong Kong in October 2018.

  • Addressing Misconduct in Capital Markets, Keynote Speech at 2018 Refinitiv Pan Asian Regulatory Summit

    Ms Julia Leung
    Deputy Chief Executive Officer and Executive Director, Intermediaries
    9 October 2018

    Good morning. It’s an honour to be invited to the 2018 Refinitiv Pan Asian Regulatory Summit to deliver this keynote speech.

    We live in a time of great promise and great peril. New technologies are having a profound impact on the sciences as well as businesses and economies. The rapid development of artificial intelligence and machine learning has changed the way financial firms provide customer advice, how trading orders are executed and how regulators conduct surveillance. This is not a gradual evolution — it’s a revolution.

    In the midst of rapid technological and financial innovation, it’s easy to forget that economic development is predicated on fair and efficient capital markets. So I thought this would be an opportune time to reflect on the basic yet essential role that market regulators play in tackling misconduct in capital markets and how that ties in with our current regulatory approach at the Securities and Futures Commission (SFC).

    Importance of regulating capital markets

    A decade on from the Global Financial Crisis (GFC), it is worthwhile to reflect on how a combination of misconduct and excessive risk taking can destroy trust and prevent markets from functioning properly.

    The sub-prime mortgage crisis in the US had its roots in lax underwriting standards and risky lending which fuelled a housing bubble. Banks repackaged poor quality loans via the securitisation process. Flawed credit ratings were assigned to complex products and they were mis-sold to investors as high-credit-quality securities.

    When the US housing bubble finally burst, global financial institutions suffered crippling losses on their balance sheets. Confidence deteriorated and interbank lending seized up. The evaporation of public trust led to bank collapses and rescues in the UK and the US.

    More recently, failures of peer-to-peer lending platforms in mainland China were triggered by a series of high-profile scams coupled with tightening credit, liquidity and regulatory conditions as authorities reined in excessive lending after years of explosive growth.

    These are stark reminders of the need for regulators to tackle fraud, excessive risk-taking and misconduct in capital markets.

    As a regulator in an international financial centre, the SFC is charged with maintaining and promoting the fairness, efficiency, competitiveness, transparency and orderliness of the securities and futures markets. But as both a conduct regulator and a prudential regulator, our objectives are not limited to safeguarding the interests of investors and minimising fraud and market misconduct. Our role also extends to maintaining Hong Kong’s financial stability and mitigating systemic risk. I’ll now talk about the characteristics of capital markets that give rise to misconduct and how the SFC addresses it.

    Characteristics of capital markets that give rise to misconduct

    Recently, the FICC (1) Markets Standards Board (FMSB) published a fascinating study of “Misconduct Patterns in Financial Markets.” The study examined 390 cases from 26 jurisdictions, spanning 225 years, to identify the causes of misconduct. It found that misconduct has been similar across time, asset classes and jurisdictions. In other words, there is a core set of underlying behaviours which recur over time. These patterns also have a tendency to adapt to both new technologies and market structures.

    Twenty-five specific patterns of misconduct were identified and these can be classified into seven broad behavioural categories: price manipulation, wash trading, improper handling of client orders, misleading customers, manipulating reference prices (such as benchmarks), trading on inside information and collusion.

    The FMSB report cited a case in US in 1929 when the president of a listed company used dummy accounts he and his associates controlled to conduct wash trades. What is the modern day version like? In Hong Kong, China AU Group Holdings Limited issued convertible bonds in 2009 to finance an acquisition of Mainland property. Its then-CEO and her two associates opened 14 securities trading accounts in various names. The SFC alleged that the former CEO funded these accounts to trade China AU shares to create a false and misleading impression of active trading so that the fundraising exercise would appear more attractive to potential investors. In August, the Market Misconduct Tribunal found the former CEO and her two associates culpable of false trading.

    Understanding misconduct and the behavioural patterns behind it helps us design a more robust and effective control framework. It also reinforces the industry’s collective memory. New joiners who have no experience of prior failings are made aware of them.

    So what are the characteristics of capital markets that enable misconduct to occur in the first place? Well, we’ve actually touched on some of them already.

    First is the age-old problem of conflicts of interest.

    When discussing the GFC, I alluded to credit rating agencies which were incentivised to assign higher credit ratings to debt instruments to win more business. In capital markets, there are inherent conflicts of interest in the way firms operate. Whether as market makers or as sole proprietary traders, they may be trading as an agent for clients or as principal. Their interests in price movements may conflict with those of their clients, opening the way for possible misconduct.

    For example, when transacting for clients as agents in opaque markets, they may hide and retain any price differences behind obscure fees and charges. The SFC reprimanded Societe Generale in July 2012 for failing to disclose that it retained the difference between the actual transacted price and what it charged clients for over 3,000 secondary market transactions in over-the-counter (OTC) bonds, options and structured notes. As part of the resolution of this case(2), Societe Generale, without admitting liability, agreed to reimburse affected customers with interest. It has since taken steps to overhaul its systems and procedures to be fully compliant.

    The opacity of OTC trading makes it relatively easy to charge mark-ups or spreads to unsuspecting clients. This opacity and the complexity of some of the financial products traded over the counter impede effective market surveillance by regulators and make it more difficult to detect misconduct such as manipulation, mis-use of information, front running and collusion.

    Next, let’s mull over the lack of senior management accountability. No doubt we’ve all seen the prominent news coverage of firms being taken to task and fined for misconduct.

    But even when charges were brought against individuals, senior management deflected attention from their own failings during the GFC and laid the blame on rogue traders. Very few senior executives were prosecuted. It’s not difficult to see why the public and even the individuals concerned have the false impression that senior management or star employees are not personally liable for misconduct.

    Finally, as I alluded to earlier, financial innovation, particularly automation and algorithmic trading, heightens misconduct risk by magnifying existing concerns and introducing new ones. By enabling more transactions to be conducted even more quickly, automation makes it even more challenging for regulators to monitor and analyse the huge volume of trading data as well as to ensure that market integrity is maintained.

    Questions have been raised over the role of automation and algorithms in flash crashes such as the one in August 2015 when the S&P 500 fell 5% within minutes of opening. Some commentators argued that market volatility was exacerbated by high-frequency trading and market makers holding back liquidity because their computer models malfunctioned or shut down.

    The SFC’s regulatory approach

    But are we doomed to repeat the mistakes of the past? Are market misconduct, excessive risk taking and the cycles of boom and bust going to stay with us? Is the notion of stopping misconduct in capital markets a lost cause?

    Of course not. Alice in Wonderland has to keep running just to stay in the same spot in the race with the Red Queen. We regulators have to do better — to keep running a step ahead of the bad actors. We need to adapt to the times and arm ourselves with the appropriate technologies, data and methods to combat misconduct more effectively with the resources at our disposal.

    Throughout history bad actors have exhibited the same behaviours and recycled the same old tricks. So the SFC aims to drive and mould good conduct to achieve the desired regulatory outcomes. Rather than letting potential issues fester and morph into more serious problems later on and then using our enforcement and disciplinary powers to deal with the fallout, our tactic is to pre-empt them. This means adopting a front-loaded regulatory approach whereby we intervene at an earlier stage with targeted actions designed to achieve a quicker, more impactful outcome.

    Before I go into more detail, I want to clarify that enforcement still has an essential role as a regulatory tool for deterring bad behaviour. My colleague Tom Atkinson will speak here tomorrow on the role of enforcement. However, disciplinary action is not the panacea, and it takes time. The point is, no single regulatory function can address today’s complex misconduct risks.

    We need to pool our regulatory expertise and industry knowledge to home in on nascent issues and tackle misconduct in a coordinated, holistic manner. That’s why we’ve adopted the “One SFC approach”, so that we can put our heads together to unmask the masterminds, unravel ulterior motives and hidden agendas and expose linkages among the connected parties behind misconduct.

    Misconduct in the listed market

    Two years ago, we formed a multi-disciplinary project team called ICE after the first letters of our Intermediaries, Corporate Finance and Enforcement divisions. The team’s objective was to identify patterns of misconduct that aims to manipulate stock prices, rig shareholders’ votes or scam minority shareholders. Even though the so-called “con stock” activities involve a small number of listed companies, the reputation risk for Hong Kong is not small.

    The ICE team’s strategy has had tangible results. An early success was against price manipulation of GEM shares. There was a pattern: high concentrations of GEM shares were placed with a few shareholders, with 10% or less suspected to be distributed among a number of nominees. On the first day of listing, prices soared multiple times (3) only to fall flat later, suggesting a pump-and-dump scheme.

    In response, the SFC and Hong Kong Exchanges and Clearing Limited issued a joint statement (4) in January 2017 which detailed our regulatory concerns (5). The SFC concurrently issued a guideline (6) to sponsors, underwriters and placing agents involved in the listing and placing of GEM stocks. Following our intervention, the average first day price change of newly-listed GEM stocks immediately dropped to a more normal level of 20%, where it has since remained.

    ICE also took on the dubious market activities associated with shell companies. Our response was clear – better gatekeeping at both the front gate and the back gate. In cases where we suspected that listing applicants reported seriously inflated sales figures, the SFC exercised its power (7) to query the listing applications, which were subsequently withdrawn. In cases where vote rigging was suspected, we invoked our power to order suspension of trading in the shares (8). In 2017, around 40 cases involved the actual or potential use of these powers, compared to only two or three such cases in prior years.

    We also put sponsors in the spotlight. We identify sponsors with a history of having their sponsored listings rejected because of substandard work. These sponsors have a higher chance of being inspected by us. If our supervisory inspection identifies poor quality sponsor work (9), we open an enforcement investigation.

    Our recent inspections uncovered a worrying trend of intermediaries concocting convoluted arrangements to either conceal the identities of the beneficial owners of securities or cloak their true intentions, such as to engage in margin lending. Firms should not facilitate market misconduct by making “nominee” or “warehousing” arrangements for their clients. To protect investors and maintain the integrity of the markets, the SFC will not hesitate to take stiff enforcement action against the perpetrators as well as the firms and individuals who participate in such arrangements.

    Our intervention tools also include requiring immediate rectification of bad behaviour, imposing licensing conditions or issuing a restriction notice on the intermediary to limit or, in extreme cases, to prohibit some or all of their regulated activities to mitigate and control the risk. We’ve adopted similar approaches to manage the risks posed by persistently loss-making but thinly-capitalised brokers who struggle to meet their minimum liquid capital requirements.

    Misconduct in the wholesale market

    Let me now shift to the decentralised wholesale market. As discussed earlier, inherent conflicts of interest coupled with a lack of transparency is a recipe for misconduct. That’s why globally, this issue is most taxing to conduct regulators. The SFC Code of Conduct (10) requires intermediaries to disclose material interests or conflicts to the client. The client’s best interest is the overarching principle.

    While this seems like a simple rule to follow, firms sometimes conflate their principal roles and their agency roles. We have made this the theme of a joint inspection we conducted with the Hong Kong Monetary Authority (HKMA). The HKMA examined the wealth management unit of a bank that sourced in-house products as agent, and the SFC inspected the books of the securities unit in the same banking group that sold the products as principal. We are able to identify conflicts of interest by examining both ends of the same transaction.

    Thematic reviews allow us to deploy our limited regulatory resources to increase our touch points with intermediaries on specific risks identified from our intelligence gathering and monitoring activities. This helps focus our risk-based supervision on imminent, high-impact issues. In the past two years, we completed five thematic reviews on conduct issues in capital markets. (11)

    Innovation and technology can help the industry improve performance but it can also amplify the risks in capital markets. Quant funds have long employed algorithms to execute large orders to achieve particular statistical benchmarks, such as Value Weighted Average Price. Algorithmic programmes now use a vast number of hidden layers to process large, unstructured data sets to drive investment decisions. These programmes may be too complex and hard for humans to comprehend.

    I was once asked this question at a forum — as machines replace humans, what handle do we have over machines to control the risks? The answer is simple. If a computer algorithm goes awry and runs rampant, the SFC can’t exactly arrest the computer or bring it in for questioning, as fun as that may sound. Our regulatory handle is over the operator, and to hold senior management responsible for implementing a robust governance structure and appropriate policies and procedures with effective controls to ensure reliability, data protection and security.

    This brings us to the final issue of senior management responsibility, which is our response to one of the causes of misconduct discussed earlier. We introduced the Manager-In-Charge regime in 2016 to reinforce the message that senior management are responsible and accountable for fostering good conduct and behaviour. Let there be no doubt — we will vigorously pursue individuals culpable for misconduct.

    Before I conclude, I want to go back to what I said about the SFC leveraging technology to enrich our market surveillance and intelligence. To improve the effectiveness of our gatekeeping function, the SFC has embarked on a strategic effort to more closely track bad apples involved in misconduct and to keep bad actors out of the market altogether. New initiatives help us collect and analyse data as well as to more easily identify and visualise the relationships between firms, listed companies and individuals. To enhance our market surveillance, we also use big data processing techniques to analyse trading information. Those who exploit technology should be aware that the SFC is also leveraging technology to make sure that they have no place to hide.

    Conclusion

    Ladies and gentlemen, 10 years on, it’s more important than ever to remember the lessons from the GFC. While misconduct appears throughout the ages in various forms and guises, the behavioural patterns always remain the same. In this rapidly changing world, on the cusp of revolutionary breakthroughs in financial technology, it seems the adage “the more things change the more they stay the same”, still rings true today.

    But one thing that has not changed is the SFC’s steadfast determination to keep our capital markets clean. The bad actors are on our radar and we will do whatever it takes to prevent them from harming our markets. Hong Kong is open for business, but not at any cost. That’s why the SFC has shifted to a front-loaded regulatory approach. The examples I cited today demonstrate the positive impact that this new approach has had, as well as the SFC’s resolve to tackle misconduct.

    Thank you.

    Note: This is an expanded version of the speech Ms Leung delivered.

    1 Fixed income, currencies and commodities.

    2 Under section 201 of the Securities and Futures Ordinance.

    3 The average first day price change of GEM listings was over seven times in 2015 and five times in 2016.

    4 Joint statement regarding the price volatility of GEM stocks, 20 January 2017.

    5 We were concerned that these market practices undermined the GEM Listing Rules and prevented an orderly, informed, fair and efficient market in GEM stocks to develop.

    6 Guideline to sponsors, underwriters and placing agents involved in the listing and placing of GEM stocks, 20 January 2017.

    7 Under Section 6 of the Securities and Futures (Stock Market Listing) Rules.

    8 Section 8 of the SMLR gives the SFC the power to order suspension of trading in the shares of listed companies.

    9 For example, not following up on obvious due diligence red flags or a lack of professional scepticism.

    10 Code of Conduct for Persons Licensed by or Registered with the Securities and Futures Commission.

    11 These reviews covered algorithmic trading, alternative liquidity pools, best execution, client facilitation, distribution of fixed-income and structured products. Reviews on prime broking and book building are continuing.

  • FMSB: Challenges and Opportunities for the next 3 years, Speech given by Mark Yallop at the KPMG/FMSB – Fair and Effective Markets for Users Event on October 2nd 2018

    FMSB: Challenges and Opportunities for the next 3 years

    Thank You Karim. Good morning

    In Europe and America the latter half of the 18th century was a time of war.

    On the other side of the world a different kind of upheaval was taking place: the opening up of previously unknown cultures by European explorers.

    In 1768 – 250 years ago this year – this institution, the Royal Academy, was founded and James Cook departed on his first voyage of discovery to the Pacific to track the transit of Venus and search for the Unknown Southern Continent. He never made it to Antarctica, but he did have a remarkable series of encounters with hardly-known civilisations scattered across many thousands of miles in the Pacific.

    The superb exhibition that we are privileged to be able to see this morning celebrates that voyage and explores the culture, history, religion and art of Australasia, Polynesia, Melanesia and Micronesia, which together make up the vast region of Oceania.

    Oceania is an area one-third of the earth’s surface, 3.5 million square miles of ocean, whose 10,000 islands make up only 6% of its land mass and house just ½% of its population. The demography of the region changed dramatically when the arrival of Europeans with and after Cook placed Oceania right in the path of global maritime transport routes; and so the works shown here are a record of a cultural transformation
    as well as a witness to extinct ways of life on the far side of the globe.

    This is the first major exhibition of Oceanic art in the UK and we are truly lucky to be here at KPMG’s invitation. If you have time for only one exhibit, can I recommend that you go straight to the room with Lisa Reihana’s installation: In Pursuit of Venus [infected], which is quite arresting.

    But before we enjoy a tour of the show we have a few minutes to celebrate something closer to home, the FICC Markets Standards Board.

    Those who have been involved with FMSB for the past 3 years have quite a few reasons to feel pleased.

    FMSB has assembled 50 major firms in global fixed income markets; has mobilized over 350 senior industry experts and market leaders on its programme and engaged with 50 regulators and central bankers globally; and has published 14 Standards or Statements of Good Practice.

    FMSB has shown its early sceptics that:

    • tension between its Members, when they have opposed commercial interests, can be managed creatively and constructively to develop the best solutions to knotty market problems; and that

    • private sector market participants who are normally locked in deep competition can cooperate in a “safe space” and share concerns and views openly on market practice.

    FMSBs work has also shown that lack of clarity over roles in markets, poor management of information, and defective management of conflicts of interest are more important factors when things go wrong in wholesale markets than deliberate bad behaviour.

    But I don’t want to talk about FMSBs successes this morning; rather about the challenges and opportunities that lie ahead for the Board.

    A changed landscape

    The world that FMSB operates in today looks very different from that we all faced when the Fair and Effective Markets Review was published, only 3 years ago in summer 2015.

    In the short time we have this morning, let me call out just three of what I think are the most significant changes for us.

    First, post-crisis regulation is virtually complete. At the time of FEMR, post-crisis waves of new regulation were still crashing at full force onto the shores of global capital markets. But these are now abating rapidly. Most regulators see the prudential agenda as now largely delivered with Basel 3 and the Dodd Frank and MiFID2/EMIR regimes, coupled with aggressive enforcement actions, as having addressed their conduct agenda.

    Some regulators are even actively seeking to reduce the intrusiveness and complexity of post-crisis measures already enacted.

    Second, politics has become a lot more complex and fragmented. The primacy of national interests, national sovereignty over decision making, and domestic control of financial stability tools all seem to trump – if that is the correct term – international collaboration for the greater good.

    Regulators have legitimate concerns that this political climate will undermine the cross border collaboration which they need for effective regulation and supervision of firms and to ensure fair and effective market functioning. And obvious developments in the US, Europe and UK all fuel these concerns.

    This is especially galling for regulators as many of them believe we are now closer to the next crisis than we are to the last one.

    Third, regulatory priorities have changed significantly. In the United States, interventionist, detailed, prescriptive rule-writers have been succeeded by people who are more interested in efficient and effective capital markets that will support economic growth and who believe that detailed regulation for fast-evolving, innovative wholesale markets is as impractical as it is undesirable.

    In continental Europe, 27 National Competent Authorities, ESMA and the SSM face material new challenges in overseeing complex banking and financial markets businesses that were previously outsourced to the UK authorities.

    And in the UK, while no-one yet knows where the balance between national interest and international political and regulatory co-operation will be struck, there is a real possibility that a new framework may be needed for wholesale financial markets.

    This is a fertile landscape for FMSB.

    • Internationally, there is a much broader recognition of the role that global, expertly drafted standards can play in supporting common business standards across jurisdictions and the way in which this can contribute to economic growth.

    • There is much greater recognition of the value that private sector expertise can add to the formulation of standards in complex markets that are prone to regulatory arbitrage;

    • There is specific excitement among the US agencies about the complementary role that private sector standards can play, alongside black-letter law and formal regulation;

    • And there is a growing awareness in Europe of the role that standards, and the analysis of market vulnerabilities and behavioural patterns of misconduct that FMSB has led, could play in addressing the new supervisory challenges.

    Partly because of the modest successes we have recorded in our first three years, and partly because of these landscape changes, FMSB is significantly better positioned today than it was 3 years ago to deliver its goals.

    But the next 3 years can’t just be an incremental extension of the past three.

    The future

    In addition to continuing the development and roll-out of market standards on a truly international basis, we need to

    • move on from the heavy compliance and market conduct agenda that we have attacked in our first two years to address the market structure questions that concern market participants and which may challenge the fairness and effectiveness of markets. Electronic markets are facilitating the break-up of traditional market structures in fixed income but it is not always clear that the new order that is emerging improves fairness and effectiveness for market users;

    • shine a light on, and produce practical solutions for, the dangers of regulatory divergences and inconsistencies that threaten fairness and effectiveness of wholesale markets. The ways in which OTC derivatives regulation and central clearing house regulation work are obvious examples where the interests of market users may not be receiving the attention they deserve, but there are many others; and third

    demonstrate more clearly the practical effectiveness of our standards in supporting fair and effective markets, perhaps by developing a suite of metrics that allow us to track progress.

    These ambitions aren’t additional to our original goals and the intention of the FEMR; they are crucial to the strategy of delivering those goals.

    How they are to be delivered will be a big topic for our Advisory Council this Autumn; but FMSBs agenda and work is crucial to the future heath of global capital markets – and all that depends on that – and I for one look forward addressing them with our Members.

    Thank you for your attention.

  • FMSB publishes new financial markets misconduct research

    London, 27 July 2018 – The FICC Markets Standards Board (“FMSB”) today publishes its Behavioural Cluster Analysis (“BCA”) study. This is a unique piece of research that has reviewed the behavioural patterns in 390 cases of misconduct in financial markets over an extended period of time (225 years stretching back to 1792) and covering 26 countries and multiple asset classes. This review indicates that the behavioural patterns evident in misconduct events are not unique to each case but that the same 25 behavioural patterns are evident in market misconduct cases and these consistently repeat and recur over time.

    The purpose of the work is practical. This work addresses a number of the findings of the Fair and Effective Markets Review 2015 (FEMR). In particular, identifying the root causes and relevant behaviours which underlie market misconduct is an essential step in preventing them recurring and the work leverages the experience of domestic and international markets to do this. The FEMR also called for the provision of real-life case studies in areas detrimental to the effective operation of markets and the need for the industry to reinforce collective memory in these areas.

    The FEMR said: “One of the Review’s most striking findings has been that, although the specific aspects of individual misconduct may have varied substantially across traders, firms and markets, the underlying behaviours were remarkably similar in many cases and relatively straightforward to describe”.

    The work undertaken by FMSB involved researching and analysing information set out in a large body of enforcement cases. The materials were used to illustrate the behaviours in question, so that they can be understood by market participants and factored into systems and controls frameworks.

    BCA is an evidence-based methodology based on analysis of the patterns of behaviours in actual market conduct cases brought by regulatory and other enforcement authorities. Using BCA, enforcement cases and similar source materials describing actual adverse conduct are reviewed to ascertain the pattern of behaviour indicated in each case. These are compared with those in other cases in order to determine whether the same behaviours repeat or whether the underlying behaviours are unique in each case. This is the first time that these patterns of behaviour have been collated, analysed and published as a single reference point for market participants.
    Findings

    The study identified 25 patterns which can be further grouped in to seven broad categories of behaviour as shown in the table below.

    Price Manipulation

    Spoofing/Layering

    New Issue/M&A Support

    Ramping

    Squeeze/Corner

    Bull/Bear Raids

    Circular Trading

    Wash Trades

    Matched Trades

    Money Pass & Compensation Trades

    Parking/Warehousing

    Collusion & Information Sharing

    Pools

    Information Disclosures

    Inside Information

    Insider Dealing

    Soundings

    Research

    Reference Price Influence

    Benchmarks

    Closing Prices

    Reference Prices

    Portfolio Trades

    Barriers

    Improper Order Handling

    Front Running

    Cherry Picking & Partial Fills

    Stop Losses & Limits

    Misleading Customers

    Guarantees

    Window Dressing

    Misrepresentation

                               

    The work has also led to four key thematic conclusions:

    1. There are a limited number of behavioural patterns – The materials show 25 behavioural patterns evident in market misconduct cases, which repeat and recur over time.

    2. The same behavioural patterns occur across different jurisdictions and countries – These behavioural patterns do not respect national or jurisdictional boundaries but are evident internationally.

    3. The same behavioural patterns also occur across different asset classes – These behavioural patterns are not specific to particular asset classes. The same patterns are evident in different asset classes.

    4. The behaviours adapt to new technologies and market structures – Technology is not new – it has been a feature for markets for years and these same behaviours have adapted to new technologies and new forms of communication.

    Case Examples

    Included below are three examples cases taken from FMSB’s database. FMSB has created a searchable database of misconduct cases relating to the behavioural patterns identified in the study.

    • Bull and Bear Raiding.

    Bull and Bear Raiding (sometimes called spreading “rumours”) constitutes taking a position in a security, publishing or disseminating false information in order to move the price of the security and then closing the position.

    Example. An early example is R v. de Berenger 1814 in which a conspiracy was formed between Charles de Berenger, Sir Thomas Cochrane and six others to profit from the publication of false information that Napoleon Bonaparte had been killed. Having accumulated a large position in UK Government Bonds, De Berenger appeared in the port of Dover, Kent, disguised as a Bourbon Officer and calling himself Lieutenant Colonel Du Bourg. He reported that Napoleon had been killed by the Prussians and sent a false letter to that effect to the Port Admiral at Deal for transmission to the Admiralty in London by semaphore telegraph (which was expected to be published in the press).

    Co-conspirators paraded across London Bridge in a post chaise proclaiming an allied victory and handing out handbills to that effect. The price of UK Gilts rose on the news.

    The conspirators then sold the Gilts which they had purchased prior to the bull raid on the London market.

    • Corners and Squeezes.

    A corner arises where a party attempts to achieve a dominant controlling position in a commodity, security and/or related derivatives to influence the price of the commodity, security or related derivatives and profit from that activity. This can be undertaken to drive prices or to support them.
    A squeeze arises where a party does not seek dominance but attempts to gain control of sufficient amounts of a commodity or security to impact prices.

    Example. US 1963. Soybean Oil. In what is known as the Great Salad Oil Swindle, Anthony DeAngelis, owner of the Allied Crude Vegetable Oil Refining Corp., created false warehouse receipts for non-existent soybean oil. He did this through a variety of methods including filling storage tanks with water and covering the water with a thin layer of soybean oil on top. He used the receipts as loan collateral to finance heavy trading of soybeans, soybean oil, and cottonseed oil futures (including a 1962 attempt to corner the soybean market).

    Gerry Harvey, CEO of FMSB said: “Behavioural Cluster Analysis is an innovative piece of research. This is the first time that the underlying patterns of misconduct across markets, jurisdictions and asset classes have been collated and analysed over an extended period of time.

    The importance of this work was set out in the Fair and Effective Markets Review. This recognised that good regulation and a sound legal framework are necessary pre-conditions for markets to operate fairly and effectively, but more is required to ensure that users of markets receive the best outcomes. As such, the purpose of BCA is a practical one. Identifying the relevant behaviours underlying market misconduct is an essential step to forestalling them.

    Furthermore, technology in markets does not remove misconduct as some have suggested – our findings show that misconduct adapts to new technologies and market structures.

    (“BCA”) is derived from real cases of market misconduct. By identifying the root causes and relevant behaviours which underlie market misconduct BCA supports and advances the objectives of the FEMR, in particular, in leveraging the experience of other markets and jurisdictions and providing practical examples in one source document.”

    Karim Haji, Head of Banking, KPMG UK and member of the FMSB Advisory Council, adds: “The FMSB’s all-encompassing analysis of behaviour and conduct is a game changer for creating better markets.

    “Perhaps for the first time, we can say that we have analysed the full range of market manipulation and therefore can more quickly identify any new variants of misconduct that emerge. It is encouraging, and slightly staggering, to think that over two centuries’ worth of market misconduct and manipulation has been boiled down to 25 behavioural patterns we need to combat.

    “The Behavioural Conduct Analysis offers practical tools that will help firms instil better conduct outcomes without just writing a longer list of rules.

    “The UK’s financial markets form the foundation for our financial services sector, which in turn is a key driver for the UK economy. Markets have to operate effectively, fairly and honestly, the findings of the FMSB’s analysis marks a major step towards this end, we now have a better way to manage misconduct risk, we have to make sure it is used.”

    Dan Lavender, Partner, Macfarlanes LLP said: “I am delighted that we have been able to support the FMSB in the development of the Behavioural Cluster Analysis. We think the BCA will be a valuable resource for financial market participants and their advisors. It should prompt firms to think widely about the types of conduct risk they face and design systems to counteract them. It is a practical document and we hope it will become a key reference point for all financial services firms.”

    All materials published by FMSB are available at www.fmsb.com.

    Media contacts

    Maitland

    Andy Donald / Rebecca Mitchell

    +44 207 379 5151

    adonald@maitland.co.uk

    rmitchell@maitland.co.uk

    Notes to Editors

    1. The Fixed Income, Currency and Commodities (“FICC”) Markets Standards Board (“FMSB”) is an independent body set up by market practitioners to improve standards of conduct in wholesale FICC markets. It aims to bring transparency to grey areas in the wholesale FICC markets by identifying emerging vulnerabilities, clarifying and documenting practice and agreeing standards to improve conduct and market behaviour. Ensuring that wholesale FICC markets are transparent, fair and effective is at the heart of the FMSB’s mission.

    2. Setting up the FMSB was one of the main recommendations to emerge from the Fair and Effective Markets Review (“FEMR”), which was conducted by HM Treasury, the Bank of England and the Financial Conduct Authority.

    3. FMSB has a Board drawn from senior executives from across wholesale markets, from corporate clients, asset managers, sell side participants and intermediaries, and infrastructure providers such as exchanges and custodians. Reporting to the Standards Board are standing sub-committees addressing Market Practices, Codes & Standards Convergence and Conduct & Ethics. The Market Practices sub-committees are split into four asset-class specific committees. There is also an Advisory Council representing the interests of member firms.

    4. FMSB’s members bring together sell-side investment banks, buyside asset managers, market infrastructure providers and exchanges, custodians and users of the market such as corporates. This constitution is unique. The member firms are:

    ANZ
    BAE Systems
    Bank of America Merrill Lynch
    Bank of New York Mellon
    Barclays
    BHP
    BlackRock
    Bloomberg
    BNP Paribas
    BP
    Citadel Securities
    Citigroup Global Markets Limited
    Crédit Agricole CIB
    Credit Suisse
    Deutsche Bank
    FastMatch
    Goldman Sachs
    HSBC
    Invesco
    J.P. Morgan
    Legal & General IM
    Linklaters (Legal Advisor)
    Lloyds Banking Group
    London Stock Exchange Group
    M&G Investments
    MarketAxess
    Morgan Stanley
    National Australia Bank
    NEX Group PLC
    Nomura
    RBS
    Rio Tinto
    Royal Bank of Canada
    Royal Dutch Shell
    Royal Mail Group
    Société Générale
    Standard Chartered
    Standard Life Aberdeen
    State Street
    Thomson Reuters
    TP ICAP
    Tradeweb
    UBS
    Vodafone
    XTX Markets