Trading and Capital-Markets Activities Manual First Printing, February 1998 Prepared By: Federal Reserve System

Total Page:16

File Type:pdf, Size:1020Kb

Trading and Capital-Markets Activities Manual First Printing, February 1998 Prepared By: Federal Reserve System Trading and Capital-Markets Activities Manual First Printing, February 1998 Prepared by: Federal Reserve System Send comments to: Director, Division of Banking Supervision and Regulation Board of Governors of the Federal Reserve System Washington, D.C. 20551 Copies of this manual may be obtained from: Publications Services Division of Support Services Board of Governors of the Federal Reserve System Washington, D.C. 20551 Updates are available at an additional charge. For information about updates or to order by credit card, call 202-452-3244. Trading and Capital-Markets Activities Manual Supplement 8—September 2002 Nature of Changes how a banking organization can mitigate the risk that may arise if a counterparty claims that a Trading Activities bank-recommended or -structured derivatives transaction was unsuitable for it. Other changes In section 2020.1, ‘‘Counterparty Credit Risk discuss the new-product approval process in and Presettlement Risk,’’ a new subsection on banking organizations, including the role of off-market or prefunded derivatives transactions in-house or outside legal counsel in defining and has been added to provide examples of deriva- approving new products. The examination tives transactions that are the functional equiva- objectives and examination procedures, sections lent of extensions of credit to counterparties and 2070.2 and 2070.3, respectively, have also been to describe the risks associated with them. The updated. discussion of assessment of counterparty credit risk has been revised to specify that banking Capital-Markets Activities organizations should understand and confirm with their counterparties the business purpose of Section 3040.1, ‘‘Equity Investment and Mer- derivatives transactions. chant Banking Activities,’’ has been completely A more detailed discussion of contingency revised. The accounting, valuation, and risk funding plans has been added to section 2030.1, management of equity investments in banking ‘‘Liquidity Risk.’’ The characteristics of effec- organizations are summarized. In addition, the tive contingency funding plans, such as forming section explains the legal and regulatory com- a crisis-management team and establishing action pliance requirements for these transactions— plans for different levels of liquidity stress, are including the January 2002 rule establishing described. Specific information on contingency minimum regulatory capital requirements for liquidity for bank holding companies is also equity investments in nonfinancial companies. provided. Examination objectives and examination proce- Section 2070.1, ‘‘Legal Risk,’’ has been reor- dures, sections 3040.2 and 3040.3, respectively, ganized and updated. A new subsection describes have been added. Filing Instructions Remove pages Insert pages 2020.1, pages 8.1–8.2 2020.1, pages 8.1–8.2 pages 11–13 pages 11–15 2030.1, pages 1–2 2030.1, pages 1–2, 2.1–2.3 2070.1, pages 1–6 2070.1, pages 1–7 2070.2, page 1 2070.2, page 1 2070.3, pages 1–3 2070.3, pages 1–3 3040.1, pages 1–14 3040.1, pages 1–19 3040.2, page 1 3040.3, pages 1–5 Subject Index, pages 1–7 Subject Index, pages 1–7 Trading and Capital-Markets Activities Manual September 2002 Page 1 Trading and Capital-Markets Activities Manual Supplement 7—April 2002 Nature of Changes its affiliates are subject to the market-terms requirement of section 23B. Section 3000.1, ‘‘Investment Securities and End- User Activities,’’ has been revised to explain In Section 3020.1, ‘‘Securitization and recent interpretations of sections 23A and 23B Secondary-Market Credit Activities,’’ the discus- of the Federal Reserve Act. The internal control sion of risk-based provisions affecting asset questionnaire, section 3000.4, has also been securitizations has been updated to include a updated. final rule on the capital treatment of recourse obligations, residual interests, and direct-credit • A final rule, effective June 11, 2001, provides substitutes resulting from asset securitizations. three exemptions from the quantitative limits The new rule treats recourse obligations and and collateral requirements of section 23A. direct-credit substitutes more consistently than The exemptions apply to certain loans an the current risk-based capital standards, adds insured depository institution makes to third new standards for the treatment of residual parties that use the proceeds to purchase interests, and introduces a ratings-based approach securities or assets through an affiliate of the to assigning risk weights within a securitization. depository institution. There is a one-year transition period for apply- • A final rule, effective June 11, 2001, exempts ing the new rules to existing transactions. All from section 23A an insured depository insti- transactions settled on or after January 1, 2002, tution’s purchase of a security from an affili- are subject to the revised rules. ated broker-dealer registered with the Securi- Revisions to section 3040.1, ‘‘Equity Invest- ties and Exchange Commission (SEC), ment and Merchant Banking Activities,’’ incor- provided several conditions are met. Among porate a final rule establishing special minimum other conditions, the purchased security must regulatory capital requirements for equity invest- have a ready market, as defined by the SEC, ments in nonfinancial companies. The new and a publicly available market quotation. requirements, effective April 1, 2002, impose a • An interim rule, effective January 1, 2002, series of marginal capital charges on covered confirms that (1) derivative transactions equity investments. The charges increase with between an insured depository institution and the level of a banking organization’s overall its affiliates and (2) intraday extensions of exposure to equity investments relative to tier 1 credit by an insured depository institution to capital. Filing Instructions Remove pages Insert pages 2120.1, pages 1–2 2120.1, pages 1–2 pages 7–8 pages 7–8 2120.2, page 1 2120.2, page 1 2120.3, page 1 2120.3, page 1 2120.4, page 1 2120.4, page 1 2120.5, pages 1–3 2120.5, pages 1–3 3000.1, pages 1–8 3000.1, pages 1–8, 8.1 pages 15–19 pages 15–20 Trading and Capital-Markets Activities Manual April 2002 Page 1 Supplement 7—April 2002 Remove pages Insert pages 3000.4, pages 1–3 3000.4, pages 1–3 3020.1, pages 7–10 3020.1, pages 7–10 pages 10.1–10.2 pages 10.1–10.4 pages 13–14 pages 13–14 3040.1, pages 1–2 3040.1, pages 1–2 pages 5–6 pages 5–6, 6.1–6.3 4020.1, pages 1–2 4020.1, pages 1–2 Subject Index, pages 1–7 Subject Index, pages 1–7 April 2002 Trading and Capital-Markets Activities Manual Page 2 Trading and Capital-Markets Activities Manual Supplement 6—September 2001 Nature of Changes Standards No. 140 (FAS 140). Section 2120.1 was further corrected to replace a reference to Sections 2120.1, ‘‘Accounting,’’ and 3020.1, Accounting Principles Board (APB) Opinion ‘‘Securitization and Secondary-Market Credit No.16 with Statement of Financial Accounting Activities,’’ have been corrected to remove ref- Standards No. 141 (FAS 141), ‘‘Business Com- erences to Statement of Financial Accounting binations.’’ References to FAS 125 have also Standards No. 125 (FAS 125), which has been been removed from the instrument profiles (sec- replaced by Statement of Financial Accounting tions 4010.1 through 4255.1 and section 4353.1). Filing Instructions Remove pages Insert pages 2120.1, pages 3–12 2120.1, pages 3–12 3020.1, pages 3–4 3020.1, pages 3–4 pages 9–10 pages 9–10 pages 10.1–10.2 pages 10.1–10.2 4010.1, pages 3–4 4010.1, pages 3–4 4015.1, pages 3–4 4015.1, pages 3–4 4020.1, pages 3–4 4020.1, pages 3–4 4025.1, pages 1–3 4025.1, pages 1–3 4030.1, pages 1–3 4030.1, pages 1–3 4035.1, page 3 4035.1, page 3 4040.1, pages 9–10 4040.1, pages 9–10 4045.1, pages 5–6 4045.1, pages 5–6 4050.1, pages 3–5 4050.1, pages 3–5 4055.1, pages 1–2 4055.1, pages 1–2 4105.1, pages 5–7 4105.1, pages 5–7 4110.1, pages 13–14 4110.1, pages 13–14 4205.1, pages 1–3 4205.1, pages 1–3 4210.1, page 3 4210.1, page 3 4215.1, pages 3–4 4215.1, pages 3–4 Trading and Capital-Markets Activities Manual September 2001 Page 1 Supplement 6—September 2001 Remove pages Insert pages 4220.1, pages 3–4 4220.1, pages 3–4 4225.1, pages 1–2 4225.1, pages 1–2 4230.1, pages 3–4 4230.1, pages 3–4 4235.1, pages 3–4 4235.1, pages 3–4 4240.1, page 3 4240.1, page 3 4245.1, pages 1–3 4245.1, pages 1–3 4250.1, pages 3–4 4250.1, pages 3–4 4255.1, pages 3–4 4255.1, pages 3–4 4353.1, pages 3–4 4353.1, pages 3–4 pages 9–10 pages 9–10 September 2001 Trading and Capital-Markets Activities Manual Page 2 Trading and Capital-Markets Activities Manual Supplement 5—April 2001 Nature of Changes regulator of securities firms. Section 2140.1, ‘‘Regulatory Compliance,’’ has been revised to Trading Activities incorporate these provisions of the GLB Act. Section 2120.1, ‘‘Accounting,’’ has been revised to incorporate the following recent guidance Capital-Markets Activities from the Financial Accounting Standards Board: Statement of Financial Accounting Standards New information on the valuation of retained (SFAS) No. 133, ‘‘Accounting for Derivative interests, including SR-99-37 and its related Instruments and Hedging Activities,’’ and SFAS interagency guidance, has been added to section No. 140, ‘‘Accounting for Transfers and Servic- 3020.1, ‘‘Securitization and Secondary-Market ing of Financial Assets and Extinguishments of Credit Activities.’’ The subsection on internal Liabilities." (SFAS 140 supersedes SFAS 125, controls has also been expanded to include the which had the same title).
Recommended publications
  • The Stock Exchange Trading Room, 1977
    “View looking southeast from [The Art Institute] gallery into reconstructed room.” Originally published in The Stock Exchange Trading Room, 1977. 80 Downloaded from http://www.mitpressjournals.org/doi/pdf/10.1162/1526381041165476 by guest on 25 September 2021 The Stock Exchange: Standing Upright, Idle CATHERINE INGRAHAM It is clear, in any case, that mathematical order imposed upon stone is really the culmination of the evolution of earthly forms, whose direction is indicated within the biological order by the passage from the simian to the human form, the latter already displaying all the elements of architecture. Man would seem to represent merely an intermediary stage within the morphological develop- ment between monkey and building.1 One room, the second-floor Trading Room, of Louis Sullivan’s Stock Exchange Building (1863) in Chicago, has been preserved (1977) in the Chicago Art Institute for museum visitors to see and for the museum to use for banquets and fund-raising events.2 Housing architecture, or parts of architecture, in a museum has always been odd. Short of leaving architectural fragments lying around where they fell—the scenic architectural ruin that becomes its own museum—architecture is typically brought into the museum in miniaturized or schematic or cinematic form; as a model, drawing, photograph, or film. On some occasions—the stock exchange trading room is one such occasion— architectural parts are brought into a museum context and completely recon- structed at the original scale. The Pergamon Museum in Berlin houses pilfered building fragments (gates, walls) from Babylon that seem almost plausible architecturally, perhaps because the museum building itself and the colossal fragments are in rooms whose scale is already so large that nothing but archi- tectural remains can be imagined inside them.
    [Show full text]
  • View the Bloomberg Terminal User Guide
    Press the <HELP> key twice for instant Helpx2 live assistance. bloomberg.com Frankfurt New York Singapore +49 69 9204 1210 +1 212 318 2000 +65 6212 1000 Hong Kong San Francisco Sydney +852 2977 6000 +1 415 912 2960 +61 2 9777 8600 London São Paulo Tokyo GETTING +44 20 7330 7500 +55 11 3048 4500 +81 3 3201 8900 The BLOOMBERG PROFESSIONAL service, BLOOMBERG Data and BLOOMBERG Order Management Systems (the “Services”) are owned and distributed locally by Bloomberg Finance L.P. (“BFLP”) and its subsidiaries in all jurisdictions other than Argentina, Bermuda, China, India, STARTED Japan and Korea (the “BLP Countries”). BFLP is a wholly-owned subsidiary of Bloomberg L.P. (“BLP”). BLP provides BFLP with all global marketing and operational support and service for the Services and distributes the Services either directly or through a non-BFLP subsidiary in the BLP Countries. BLOOMBERG, BLOOMBERG PROFESSIONAL, BLOOMBERG MARKETS, BLOOMBERG NEWS, BLOOMBERG ANYWHERE, BLOOMBERG TRADEBOOK, BLOOMBERG BONDTRADER, BLOOMBERG TELEVISION, BLOOMBERG RADIO, BLOOMBERG PRESS and BLOOMBERG.COM are trademarks and service marks of BFLP or its subsidiaries. ©2007 Bloomberg Finance L.P. All rights reserved. 26443337 1107 10006030 02 The Bloomberg Keyboard Keyboard and Navigation 04 Creating a Login Name and Password 06 Finding Information Autocomplete and the <HELP> Key 06 The Global Help Desk: 24/7 Interact with the Bloomberg Help Desk 08 Broad Market Perspectives Top Recommended Functions 09 Analyzing a Company Basic Functions for Bonds and Equities 10 Communication The BLOOMBERG PROFESSIONAL® Service Message System 11 Tips, Tricks, and Fun 12 Customer Support If you are not using a Bloomberg-provided keyboard, press the Alt + K buttons simultaneously to view an image of your keyboard.
    [Show full text]
  • Securitization of Assets: Problems and Solutions
    S. HRG. 111–397 SECURITIZATION OF ASSETS: PROBLEMS AND SOLUTIONS HEARING BEFORE THE SUBCOMMITTEE ON SECURITIES, INSURANCE, AND INVESTMENT OF THE COMMITTEE ON BANKING, HOUSING, AND URBAN AFFAIRS UNITED STATES SENATE ONE HUNDRED ELEVENTH CONGRESS FIRST SESSION ON EXAMINING THE SECURITIZATION OF MORTGAGES AND OTHER ASSETS OCTOBER 7, 2009 Printed for the use of the Committee on Banking, Housing, and Urban Affairs ( Available at: http://www.access.gpo.gov/congress/senate/senate05sh.html U.S. GOVERNMENT PRINTING OFFICE 56–262 PDF WASHINGTON : 2010 For sale by the Superintendent of Documents, U.S. Government Printing Office Internet: bookstore.gpo.gov Phone: toll free (866) 512–1800; DC area (202) 512–1800 Fax: (202) 512–2104 Mail: Stop IDCC, Washington, DC 20402–0001 COMMITTEE ON BANKING, HOUSING, AND URBAN AFFAIRS CHRISTOPHER J. DODD, Connecticut, Chairman TIM JOHNSON, South Dakota RICHARD C. SHELBY, Alabama JACK REED, Rhode Island ROBERT F. BENNETT, Utah CHARLES E. SCHUMER, New York JIM BUNNING, Kentucky EVAN BAYH, Indiana MIKE CRAPO, Idaho ROBERT MENENDEZ, New Jersey BOB CORKER, Tennessee DANIEL K. AKAKA, Hawaii JIM DEMINT, South Carolina SHERROD BROWN, Ohio DAVID VITTER, Louisiana JON TESTER, Montana MIKE JOHANNS, Nebraska HERB KOHL, Wisconsin KAY BAILEY HUTCHISON, Texas MARK R. WARNER, Virginia JUDD GREGG, New Hampshire JEFF MERKLEY, Oregon MICHAEL F. BENNET, Colorado EDWARD SILVERMAN, Staff Director WILLIAM D. DUHNKE, Republican Staff Director DAWN RATLIFF, Chief Clerk DEVIN HARTLEY, Hearing Clerk SHELVIN SIMMONS, IT Director JIM CROWELL, Editor SUBCOMMITTEE ON SECURITIES, INSURANCE, AND INVESTMENT JACK REED, Rhode Island, Chairman JIM BUNNING, Kentucky, Ranking Republican Member TIM JOHNSON, South Dakota JUDD GREGG, New Hampshire CHARLES E.
    [Show full text]
  • Overview of Risk Management in Trading Activities Section 2000.1
    Overview of Risk Management in Trading Activities Section 2000.1 Risk is an inevitable component of intermedia- must determine that the computer system, man- tion and trading activity. Given the fundamental agement information reports, and other forms of trade-off between risks and returns, the objec- communication are adequate and accurate for tive of regulators is to determine when risk the level of business activity of the institution. exposures either become excessive relative to the financial institution’s capital position and financial condition or have not been identified to the extent that the situation represents an unsafe GLOBAL RISK-MANAGEMENT and unsound banking practice. FRAMEWORK Determination of whether the institution’s risk-management system can measure and con- The primary goal of risk management is to trol its risks is of particular importance. The ensure that a financial institution’s trading, primary components of a sound risk-management position-taking, credit extension, and opera- process are a comprehensive risk-measurement tional activities do not expose it to losses that approach; a detailed structure of limits, guide- could threaten the viability of the firm. Global lines, and other parameters used to govern risk risk management is ultimately the responsibility taking; and a strong management information of senior management and the board of direc- system for monitoring and reporting risks. These tors; it involves setting the strategic direction of components are fundamental to both trading and the firm and determining the firm’s tolerance for nontrading activities. Moreover, the underlying risk. The examiner should verify that the risk risks associated with these activities, such as management of capital-markets and trading market, credit, liquidity, operations, and legal activities is embedded in a strong global (firm- risks, are not new to banking, although their wide) risk-management system, and that senior measurement can be more complex for trading management and the directors are actively in- activities than for lending activities.
    [Show full text]
  • Futures Trading Rooms: 7 Reasons You Should Stay Away
    Futures Trading Rooms: 7 Reasons You Should Stay Away Futures Trading Rooms – 7 Reasons You Should Stay Away Futures trading rooms are probably the next step in the evolution of marketing hype that can entice the gullible traders for all the wrong reasons. In the world of online trading, there is no dearth of misinformation. From books to trading courses and well, trading rooms, without due diligence, it is quite easy for anyone to unwillingly fall prey to false information. This can be quite detrimental to one’s trading success especially if the pattern is caught quite early on. The amount of choices that are available especially for someone who is new to trading can often lead to making false choices which lead to losing money rather than making money trading the financial markets. Even before one has dabbled in trading online, chances are that the lure of making it rich and the easy path to success have already blinded the potential trader. It is easy and perhaps understandable as to why one wouldn’t be tempted to take the easy route. No matter which market you look at, stocks or forex or even futures, it is not very difficult to miss out on the various advertisements screaming at you telling how easy it is to make money by joining the trading room. If you have been wondering or thinking about joining a futures trading room either in expectations that you might make a fortune trading based off an expert’s trading calls or hoping to learn more by hanging out with other traders in the trading chat room, here are seven reasons why you should stay away from joining a futures trading room.
    [Show full text]
  • The Socio-Technology of Arbitrage in a Wall Street Trading Room
    Tools of the Trade: The Socio-Technology of Arbitrage in a Wall Street Trading Room Daniel Beunza Department of Economics and Business, Universitat Pompeu Fabra and Center on Organizational Innovation, Columbia University [email protected] and David Stark Department of Sociology, Columbia University, and The Santa Fe Institute [email protected] Published in Industrial and Corporate Change 2004, 13: 369–400. Winner of the 2005 Outstanding Paper Award, American Sociological Association (Communications and Information Technology Division). This is a pre-copyediting, author-produced PDF of an article accepted for publication in Industrial and Corporate Change. The definitive publisher-authenticated version is available online at http://icc.oxfordjournals.org/ . Daniel Beunza is Assistant Professor at Universitat Pompeu Fabra, Barcelona (Spain) and Faculty Associate at Columbia’s Center on Organizational Innovation. David Stark is Arthur Lehman Professor of Sociology and International Affairs at Columbia University and an External Faculty member at the Santa Fe Institute. Tools of the Trade: The Socio-Technology of Arbitrage in a Wall Street Trading Room Daniel Beunza and David Stark Abstract Our task in this paper is to analyze the organization of trading in the era of quantitative finance. To do so, we conduct an ethnography of arbitrage, the trading strategy that best exemplifies finance in the wake of the quantitative revolution. In contrast to value and momentum investing, we argue, arbitrage involves an art of association - the construction of equivalence (comparability) of properties across different assets. In place of essential or relational characteristics, the peculiar valuation that takes place in arbitrage is based on an operation that makes something the measure of something else - associating securities to each other.
    [Show full text]
  • Financialization's Global Infrastructure
    Financialization’s Global Infrastructure: Transformation of the Securities Trading Industry Conference “Financialization and Labor” February 27‐28, 2014 Prof. Dr. Sebastian Botzem [email protected]‐bremen.de Universität Bremen| Institut für Interkulturelle und Internationale Studien (InIIS) Wissenschaftszentrum Berlin| Projektgruppe “Modes of Economic Governance” (MEG) Outline I. Introduction: Past and present − images of markets and trading II. Conceptual background: exchanges and financialization III. Transformations in securities trading: i. Technological innovation ii. Deregulation and competition iii. Organizational reform IV. Reinterpreting the global exchange industry V. Conclusion: Financialization and inter‐organizational relations Outline Sebastian Botzem 2 1. Introduction • Rapid and profound change for traders, firms and society at large • Industry perspective to capture blurring boundaries of securities trading • Cross‐border securities trading as mode of market based governance (short termism, redistribution of risk and ownership) • Inter‐organizational focus to grasp embeddedness and change in securities trading; and pointing to financialization of exchanges themselves • Increasing global harmonization, but local varieties of securities trading remain Sebastian Botzem 3 2. Images: NYSE, 1963 I. Introduction Sebastian Botzem 4 2. Images: Zurich, 1988 I. Introduction Sebastian Botzem 5 2. Images: CBOT, 1993 I. Introduction Sebastian Botzem 6 2. Images: UBS trading room, 1996 I. Introduction Sebastian Botzem 7 2. Images: Deutsche Börse, 2011 I. Introduction Sebastian Botzem 8 2. Images: Twitter IPO on NYSE, 2013 I. Introduction Sebastian Botzem 9 2. Images: Börse im Ersten (prime time TV) I. Introduction Sebastian Botzem 10 2. Images: Börse im Ersten (Switch Reloaded) I. Introduction Sebastian Botzem 11 3. Financialization and securities trading • Securities trading – Provision of capital (Weber 1896, Lee 1998) – Market‐based financial system (Hall/Soskice 2001) – Exchanges as icons of statehood and modernity (Mayer et al.
    [Show full text]
  • Developing a University Financial Trading Room
    McLaren Advances in Business Research 2010, Vol. 1, No. 1, 103-113 9rryvt)h)Vvr v)Avhpvhy)U hqvt)S))6)8hr)Cv Bruce McLaren, Indiana State University !"#$%$"&#&"$&"'"()'#)!"#"*$"&+"(,"#-.#,&"%)+(/#%#[(%(,+%1#)&%2+(/#&--3#%)#)!"#4,-))#5-11"/"#-.#67'+("''#%)#8(2+%(%# 4)%)"#9(+:"&'+);<#8)#+'#+()"(2"2#)-#$&-:+2"#,-33"()%&;#%(2#%2:+,"#.-&#)!-'"#,-()"3$1%)+(/#=7+12+(/#%#7(+:"&'+);#[(%(,+%1# )&%2+(/#&--3<#8)#%22&"''"'#2"'+/(>#,-(')&7,)+-(>#$&-?",)#-:"&'+/!)@+(')%11%)+-(>#=72/")>#%(2#3-&"<# !"#$%$"&#+'#%#,%'"# !+')-&;#-.#-7&#$%)!#)-#-$"&%)+(/#-7&#)&%2+(/#&--3#A+)!#&"/%&2#)-#!%&2A%&"@'-.)A%&">#:"(2-&'>#$&-?",)#3%(%/"3"()># =72/")#+''7"'>#-$"&%)+(/#$-1+,+"'>#%(2#'-#.-&)!<#B1)!-7/!#A"#%&"#$1"%'"2#A+)!#)!"#[(%1#$&-27,)#&"$&"'"()"2#+(#-7&# C+(%(,+%1# &%2+(/#D--3>#A"#')7=="2#%#."A#)-"'#%1-(/#)!"#A%;#%(2#="/%(#3%E+(/#%#1+')#-.#2",+'+-('#)-#%:-+2#.-&#)!"# ("*)#)&%2+(/#&--3<#C-&#+(')%(,">#A"#!%:"#3%2"#+()"&+3#,-([/7&%)+-(#,!%(/"'<#F+(E'#)-#)!"#$!-)-'#-.#)!"#)&%2+(/#&--3# and vendors appear in the comprehensive references list. !"#$%&%'($%('#')*#$*!'$+','-.%/')*$.0$*!'$[)&)2"&-$*(&+")3$(../$")$*!'$42.**$5.--'3'$.0$67#")'##$&*$8)+"&)&$ 4*&*'$9)",'(#"*:;$[(#*$.%')'+$")$<==>?$@7($*(&+")3$(../$"#$%&(*$.0$*!'$A")&#$5')*'($0.($8),'#*/')*$&)+$B")&)2"&-$ Education, and was partly funded by a grant from the Lilly Endowment. The paper explores design, construction, project oversight, installation, operations, and budget implications. The lessons we have learned are being applied to the new trading room in the new business building now under construction. UC@)ADI6I8D6G)US69DIB)SPPH
    [Show full text]
  • The Future of Trading Floors
    Expert Insights The future of trading floors Compete on cloud platforms with a remote workforce Experts on this topic Søren F. Mortensen Søren brings over 25 years of financial markets experience delivering mission critical transformational projects for IBM Director Global financial institutions. His responsibilities include complex Financial Markets transformations of financial institutions and innovation in linkedin.com/in/sorenfmortensen/ financial markets. In addition to his role at IBM, Søren has, [email protected] since January 2017, been an advisor to the Consultative Working Group of ESMA’s Financial Innovation Standing Committee (FISC), advising European regulators on technology and innovation. He is also on the advisory board of the EDM Council. Tina Naser Tina is an organizational strategy expert with over 20 years of experience designing and executing sustainable Partner and Practice Leader, people strategies at the intersection of digital and Enterprise Strategy business transformation. Tina works with clients to design IBM Global Business Services and bring to life their future workforce, workplace, and linkedin.com/in/tinanaser/ ways of working, with a focus on banking and financial [email protected] markets. This includes strategy activation, defining the future of work, designing and implementing resilient operating models, and transforming culture to be oriented around purpose, innovation, agility, and growth. Laura Cheung Laura is an Associate Partner in IBM’s strategy consulting practice, working with clients to understand and ride the Laura Cheung waves of ongoing disruptive change in their markets. She is Associate Partner, experienced in shaping and executing multiyear strategies Enterprise Strategy and transformation journeys. Laura draws upon a prior IBM Global Business Services career in architecture to help others navigate complex linkedin.com/in/laura-cheung- systems and effect real change.
    [Show full text]
  • Software in the Financial Research and Trading Room
    Software in the Tozzi Trading Floor – R0400 Updated March 2016 – Kai Petainen FactSet http://www.factset.com/ FactSet combines data from a number of databases and places into a single information system. The broad data library offers information on financial, market, and economic information, including fundamental data on tens of thousands of companies and securities worldwide. Clients can manipulate and analyze data in an infinite variety of formats, they can create custom reports, perform stock screens through Universal Screening, and even back-test financial variables historically. Factset is a premier software solution for equity and quant research. Bloomberg http://www.bloomberg.com/ “A massive data stream, unparalleled in scope and depth, delivered to your desktop in real time. Along with data, the Bloomberg Professional® provides access to all the news, analytics, communications, charts, liquidity, functionalities and execution services that you need to put knowledge into action. Once you have access to our rich content, you can build a customized View of the markets using Launchpad, our real-time platform for news, security monitors, charting and more.” Trading Technologies https://www.tradingtechnologies.com/ “Our flagship product, X_TRADER®, is the front-end execution solution of choice for professional traders. It provides broker-neutral global market access from a single platform. X_TRADER incorporates many proprietary technologies and industry-leading features including MD Trader®, the patented ladder that is the best available tool for point-and-click trading.” “Simultaneously trade multiple markets from one fully-customizable screen with superior speed, stability and accuracy. Single-click order execution and the patented MD Trader® ladder coupled with tools for automated trading, charting and more give traders the edge for optimal trading performance.” upTick “upTick is financial-simulation software developed at the Harvard Business School.
    [Show full text]
  • Study Guide for Come Into My Trading Room
    01 Chap SG 3/1/02 2:41 PM Page 1 STUDY GUIDE FOR COME INTO MY TRADING ROOM hink of the millions of people who throw money at stocks, options, Tand futures. Probably less than one percent of them ever pick up a trading book. Only a tiny fraction of those perform any learning exer- cises or take tests. If you can work through this Study Guide, grade your performance, then study and retake some of the tests if necessary, you will belong to a small sophisticated minority. It is easy to sit at a lecture, sagely nod your head, and think you understand everything. What if someone asks you a question about that lecture a week or a month later? Will you be able to answer, or will you have forgotten by then? It took me three years to write Come into My Trading Room, yet a person can read it in just a few days. Do you expect to get full value out of it after a quick read? Or will you return, reread, review, and under- line key sections and paragraphs? I created this Study Guide to help you grasp the main ideas in my book, expose blind spots, and achieve a deeper degree of understanding. Do not rush yourself through this workbook. Take the tests one chap- ter at a time and keep returning to the original source until you get that chapter right. Then move to the next one. There is nothing wrong with taking several weeks to work through this book. Quality is more impor- tant than speed.
    [Show full text]
  • The Transition of Legacy Assets to the Securitization Market
    Special Issue Innovating Financial Information Infrastructures: The Transition of Legacy Assets to the Securitization Market Antonios Kaniadakis University of Central Lancashire [email protected] Panos Constantinides University of Warwick [email protected] Abstract The introduction of mortgage securitization in the UK as a new type of financial innovation to help banks raise funds took the form of transferring existing legacy mortgage assets into the emerging securitization chain. In this paper, we explore the role of financial information infrastructure (FII) innovation as a process that enabled this transition and we ask what the implications for the calculation of financial risk were. New empirical evidence from a qualitative case study research in a U.K. bank shows that instead of focusing on the re-calculation of risk of the pre-existing legacy assets, the bank’s innovative efforts were centered around validating the accuracy of the data available on those assets as an independent process. Our contribution is twofold. First, we show that FII are built with specific financial functions in mind that are formulated in the context of managerial and political decisions. Second, we show that data validation, although not a direct calculation of risk, constitutes an effort to order risk calculation practices. This is important in understanding the role of FII innovation as a mechanism by which FII become an integrating and standardising force in securitization markets. Keywords: Information Infrastructures, Mortgage Securitization, Calculation, Risk, Legacy Assets. Journalofthe Association for Information * Eric Monteiro was the accepting senior editor. This article was submitted on 28th January 2013 and went through two revisions.
    [Show full text]