Clarus Financial Technology

New Block Trading Rules Will Now Start in December 2023

Those of you with long memories will recall a particular blog I wrote about Block Trading and new rules that were going to come into play:

Those new rules could have come into play as early as March 2023, but they have been delayed until December 2023. As a result, we have just seen learnt what the new thresholds are going to be.

What is a Block Trade?

Block trading blogs are a popular, albeit niche, topic over here on the Clarus blog. As a result, they are second on a Google search for “swaps block trading”, behind only the CFTC themselves. We’ve written a number of pieces, including:

  1. New Block Trading Rules for Derivatives
  2. CFTC Block Trading Consultation May 2020
  3. Block Trading
  4. Identifying Customer Block Trades in the SDR Data
  5. CFTC Block and Cap Sizes

They attract interest on the blog because Block trades in Swaps tend to have two behaviours:

Block trades in USD OIS during 2023

Where-as between 20-25% of all Capped trades are indeed done on D2D SEFs:

Block Trades and Capped Trades are different and exhibit different behaviours in the SDR data.

Crucially, up until now, Block Trades and Capped Trades have shared one common trait – their maximum sizes reported to the SDRs are the same – e.g. USD170m 10 years.

A Reminder on the Current Block Thresholds

Not all of us can remember the precise Block and Capped thresholds! So here is a quick summary. In USD millions of trade notional:

Which equates into DV01 ($000s equivalents):

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What Will Change?

On December 4th 2023 this will change. The CFTC will move to the “post-initial” phase, and block sizes will increase. Also, the block thresholds will now be different to the capped thresholds. We will therefore see the full size of some block trades reported (the remainder will still be above the capped thresholds):

The New Block Thresholds

Using all of the lovely transparency data over the past 10 years, the CFTC are now able to accurately calibrate all of these block thresholds per currency and per tenor. According to the recently published thresholds:

The 67-percent notional amount calculations for the block thresholds are prescribed in Regulation 43.6(d)(1)(i)-(ix) and (g). Figures are based on data from December 1, 2021 to November 30, 2022

Part 43 Revised Post-Initial Block Sizes and Post-Initial Cap Sizes – April 2023

This is a pretty cool use of the data (remember the CFTC have access to “private” regulatory data that is not disclosed on the public SDR tape, and hence know the true full size of all trades). In December, the new block sizes will be (USD millions of trade notional):

And in DV01 terms ($000s equivalents);

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One thing that certainly stands out is the change to the long-end of the USD curve:

Obviously, the rules are the rules, so the calibration has to follow the prescribed methodology. But there is no getting away from the fact that the calibration looks strange for USD. Could it actually be due to so few trades being down in these long tenors I wonder?

Looking back at the CFTC’s MRAC recording this week, it looks like there will now be a “sub-committee” looking into this:

Bis Chatterjee, Managing Director and Head of Innovation for the Global Markets Division, Citigroup presents at the CFTC MRAC July 10th 2023

It will be interesting to see the feedback from market participants!

Other Changes

Please note that the capped thresholds will now also be larger. I don’t want to confuse readers with a further analysis in this blog. I will probably wait for the new data before highlighting the new capped thresholds. They are available via the CFTC on page three here. Also note that the thresholds will change for different products, including FX and CDS – one for another time!

In Summary

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