A Systematic Approach to Staying Ahead of Regulations

All firms that participate in the Capital Markets Industry –  from Banks, Fund Managers, Institutional Asset Managers, and Corporate Treasuries to Exchanges and Industry Utilities – need to stay abreast
June 17, 2016 - Editor

All firms that participate in the Capital Markets Industry –  from Banks, Fund Managers, Institutional Asset Managers, and Corporate Treasuries to Exchanges and Industry Utilities – need to stay abreast of existing and emerging regulations that dictate what, how, when, and where they need to report about their activity.

All firms that participate in the Capital Markets Industry –  from Banks, Fund Managers, Institutional Asset Managers, and Corporate Treasuries to Exchanges and Industry Utilities – need to stay abreast of existing and emerging regulations that dictate what, how, when, and where they need to report about their activity.

A major consideration for firms that are either global or that trade with counterparties outside their home country is that regulations across regions are not harmonized and keep evolving. For instance, Derivatives reporting requirements in the EU under EMIR for OTC Derivatives Trade reporting differs from the US requirements under the CFTC, which in turn is fundamentally different to proposed reporting requirements in the US under the SEC for reporting Securities Based Saps (regulation SBSR). Besides the granular details of which elements should be reported and at what precision, basic concepts such as which trade participant is required (or not) to report which essential data elements varies across regulatory regimes.

Besides these divergent requirements, new reporting regimes are on the near horizon, e.g. the aforementioned SEC Regulation SBSR, MIFIR/MiFID II, HKMA Phase II, and SFTR under ESMA. Additionally, existing regulatory reporting specs are going through second and third rounds of revision, e.g. ESMA implemented Level 2 for EMIR reporting last year and a new RTS/ITS was proposed in November 2015, and proposed changes to the CFTC RTS were issued for comments in December 2015.

We recommend that firms take a systematic approach to staying ahead of regulations. This means keeping a calendar of dates that impact compliance – not just for the regulations themselves but the utilities to which you need to report, e.g. Trade Repositories (TR), when they plan to release their specifications, and when they will make their platforms available for testing and production.

At Risk Focus, which provides Report-it.Trade a suite of modules that helps firms stay in compliance with derivatives reporting regulations, we break each regulation into four distinct phases:

  • Beta – once a Regulatory RTS is issued we create a set of validation rules against that spec. Once a TR issues their functional or technical specification, those TR-specific validations are added to the Beta version of our software
  • Pre-UAT – once a supported TR makes a development environment available to us ahead of their scheduled UAT, we provide our clients with an environment that simulates the TR’s UAT environment against which they can test. This gives our clients weeks to months of lead time to get ready for UAT
  • UAT – In addition to providing an environment consistent with the TR’s UAT environment, we also allow clients to “turn off” UAT and test against a simulated Production environment. This has proven invaluable for firms that need to test against a simulated production environment while the TR’s test environment is in UAT.
  • Prod – production as the name implies.

 

The diagram below illustrates the four phases.

 

Below is our regulatory release calendar that we share at our Enterprise Clients once per quarter.

The systematic approach that we describe above helps firms take a proactive, planned approach to scheduling their response to and compliance with regulations. In particular:

  • Business Analysts can start identifying impact analysis early in the project lifecycle
  • QA teams can design their test cases well ahead of the software being available
  • Developers can test early and often against the various versions of the rules
  • User Acceptance Testing can be expanded so that it’s not a rush at the end of the project
  • Production control teams have high level of confidence that their new system meets the regulators expectations and the repository requirements.

Join us for a Free Webinar on Trade and Transaction Reporting: What good can come of it?

30th June 2016: 3pm BST (11am ET)

Trade reporting is an on-going obligation for firms who use OTC products. The number of jurisdictions requiring reporting keeps increasing, and the formats for data keep changing. In this webinar we want to discuss the positive benefits of compliance with OTC (and other) trade reporting, and how that brings opportunities to use the data to improve the internal environment at your firm. We all know that the accurate capture of trades is vital to every aspect of the operation of an OTC user. How does trade reporting improve and enhance record keeping, and derived functions like risk management, credit risk, collateral and regulatory capital calculations? At a basic level why does trade reporting change the way firms approach their controls around data and reconciliations?

There is no end of research extoling the grim realities or lamenting the high costs and negative impacts of Trade and Transaction Reporting, unfortunately, it’s not going away. We thought it was time to explore the positive perspective. In this live event we have asked 4 firms with varying stakes in the Trade and Transaction Reporting domain to discuss the perceived, achieved and potential positives to be gained from this unavoidable obligation.

  • Having been forced to combine and align multiple sources of transaction data, are there internal benefits that have accrued or may accrue?
  • What data quality controls have been built and how have they benefited the market as a whole?
  • Has the need for matching at the trade repository improved the quality or integrity of intra-firm processes? Confirmations, settlements etc?
  • Has delegated reporting improved clients access to data and understanding of the operational flows?
  • What have we learned from the public data?

Speakers will include:

  • Brian Lynch: CEO, Riskfocus
  • Steve French: Director of Product Marketing, Traiana
  • Chris Barnes: Subject Matter Expert, ClarusFT
  • Gavin Dixon: Independent Consultant, ex-COO Credit Trading, BNP Paribas
  • Bill Hodgson: Owner, The OTC Space

Complete the form below to register


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