This document is part of 斗牛棋牌在线' ongoing efforts to provide transparency to clients about its business practices related to US equity products for Institutional Clients. These procedures are current as of听January 2025 and are subject to change at the discretion of 斗牛棋牌在线.
If you need further information or have additional questions, please contact your 斗牛棋牌在线 Salesperson or representative.
General
General
General Order Handling & Best Execution. In order to fulfill our best execution obligation, we use reasonable diligence to ascertain the best market for customers' orders so that the resultant price is as favorable as possible under prevailing market conditions. When handling and executing customer orders, we consider a number of factors, such as: the customer's order objectives and constraints, our understanding of the current order book, security price, order size, trading characteristics of the security, speed of execution, the expected cost and difficulty of executing an order in a particular market, transaction costs, the potential for price improvement, the level of service provided by the market venue, and the reliability of and our historical experience routing to liquidity sources. 斗牛棋牌在线 closely monitors the quality of internal and external liquidity sources when accessing external liquidity from the broader marketplace.
斗牛棋牌在线 operates an ATS ("斗牛棋牌在线 ATS") for crossing orders in U.S. equities and generally preferences 斗牛棋牌在线 ATS as a routing destination when consistent with the Firm's best execution obligation. The 斗牛棋牌在线 ATS (registered with the SEC) facilitates the matching of non-displayed orders in National Market System (鈥淣MS鈥) securities, which includes retail and institutional orders, orders from 斗牛棋牌在线 Trading Desks, as well as order flow from other broker dealers, market makers, and other active traders1. If you wish to apply crossing restrictions to your orders in the 斗牛棋牌在线 ATS or opt out of trading in the 斗牛棋牌在线 ATS, please contact your 斗牛棋牌在线 Salesperson. Additional information about the 斗牛棋牌在线 ATS, including FAQs, Specifications, and Form ATS-N can be found on the 斗牛棋牌在线 ATS website, www.ubs.com/ATS. If you would like more information about the 斗牛棋牌在线 ATS, please contact your 斗牛棋牌在线 Salesperson.
斗牛棋牌在线 Securities LLC is responsible for maintaining and carrying out business continuity plans in the event of disruptions. These plans enable the Firm to continue performing critical business functions, such as the facilitation of customer transactions and other capital markets activities, in the event of localized or industry-wide crises, operational disruptions, emergencies, pandemics or other events that result in adverse market conditions. Examples of actions the firm may undertake include, but are not limited to, the following:
- Relocating personnel to designated recovery locations and/or permitting certain personnel to work remotely from home;
- Implementation of bespoke controls and supervisory protocols reasonably designed to ensure compliance with applicable rules and regulations; and
- Deployment and reallocation of personnel and resources depending on the nature of the event and its impact to the Firm's various business lines.
While the Firm has taken significant steps to carefully develop and implement these plans, we cannot guarantee that the Firm's systems will function at normal capacity during a disruption, or the Firm will be capable of processing the volume of activity during the then-existing market conditions. As a result, increased latency and other factors may negatively impact execution quality and the ability of the Firm to accept certain types of orders, but the Firm will continue to use reasonable diligence to satisfy its regulatory obligations, including its duty of best execution.
Additionally, the Firm has adopted procedures governing the handling and execution of customer orders during extreme market conditions consistent with FINRA guidance. If the Firm invokes its extreme market conditions procedures, customers will be informed and provided details concerning the securities and activities impacted.
For more information on the Firm's business continuity plans, please visit our听Business Continuity Planning听飞别产蝉颈迟别.
1听Sometimes referred to as High Frequency Traders ("HFT").
As stated in the Firm鈥檚 Code of Conduct, 斗牛棋牌在线 will only share customer details with personnel who have a bona fide business "need to know" (as defined by 斗牛棋牌在线 policy) to serve the customers' best interests.
All orders (including high touch originated orders) routed through the 斗牛棋牌在线 Electronic Trading Infrastructure are monitored by personnel on the 斗牛棋牌在线 Electronic Trading Desk to ensure the Firm's algorithms and Smart Order Router ("SOR") operate effectively. The Electronic Trading Desk also monitors for orders paused or rejected by 斗牛棋牌在线 market access and other risk management controls. To help 斗牛棋牌在线 clients maximize liquidity opportunities within 斗牛棋牌在线, the Electronic Trading Desk monitors orders handled by 斗牛棋牌在线 algorithms for potential crossing opportunities.听In situations where a potential crossing opportunity is identified (e.g., high touch client order to sell using VWAP algorithm and offsetting low touch client order to buy using POV algorithm), an agency sales trader on the Electronic Trading Desk could initiate contact with the client to discuss the potential crossing opportunity. If you would like to opt out of this service, please contact your 斗牛棋牌在线 Salesperson.
When handling facilitation orders in Exchange-Traded Funds (鈥淓TFs鈥) that contain non-equities components (i.e.,corporate bonds, US Treasuries, precious metals, etc.), the 斗牛棋牌在线 Equities ETF Trading Desk will typically share certain detail of the clients' order information with limited personnel on the relevant 斗牛棋牌在线 FX, Rates or Credit trading desk to ensure 斗牛棋牌在线 properly prices and hedges such transactions.
斗牛棋牌在线's Central Risk Book Desk ("CRB Desk") facilitates orders from customers (e.g., portfolio risk bids, ETF risk trades, and orders for customers that leverage the firm's internalization offering) and helps to centrally manage the market risk that 斗牛棋牌在线 trading desks take on when trading with customers as principal/dealer/market maker in cash equity securities and related derivatives. For example, the CRB Desk may internally facilitate a 斗牛棋牌在线 Trading Desk by acquiring a position established in connection with a customer facilitation by such desk and then holding or trading out of the risk position. Furthermore, principal order activity originating from other 斗牛棋牌在线 Trading Desks (e.g., cash equities hedge for an OTC derivative) is eligible for internalization by the CRB Desk. To assist the CRB Desk in efficiently pricing risk capital offered to customers through principal facilitations, the CRB Desk is provided with certain customer identifying information on a "need to know" basis. More specifically, for customer child orders that are internalized by the CRB Desk or eligible for internalization (i.e., orders that are acknowledged), CRB Desk personnel will receive basic, non-client identifying order and execution information in real time and aggregated information on a historical basis. For directed customer order flow internalized by CRB, CRB personnel will have access to certain client identifying information. 听
Besides information available to CRB in connection with internalization, the CRB Desk will have access to order and execution information on a T+1 basis for high-touch single stock cash equities customer order flow facilitated in any capacity by 斗牛棋牌在线.听 Customer-related information is made available to the CRB Desk in a controlled manner to enable the CRB Desk to appropriately manage its risk in a commercially prudent manner and provide 斗牛棋牌在线 customers with fair and competitive risk prices.
斗牛棋牌在线 provides order information to third parties to the extent required to process, settle or clear client transactions or for the purpose of complying with regulatory obligations. Consistent with its practice of cooperating with regulators, 斗牛棋牌在线 provides information on client activities to regulators upon request, where validly made in connection with inquiries, investigations or examinations, or as otherwise required by law or regulation. 斗牛棋牌在线 also provides information when required or subpoenaed, as part of administrative, civil or criminal proceedings.
Order Routing
Order Routing
斗牛棋牌在线 subjects all orders to certain financial and regulatory risk management controls before submitting them to market centers in compliance with the SEC Market Access Rule 15c3-5. The Firm's financial risk management controls include but are not limited to: credit & capital threshold checks, price checks, and erroneous and duplicative order controls. If a customer order triggers one of these pre-trade controls, 斗牛棋牌在线 may either reject or execute it on a delayed basis after further review. Where 斗牛棋牌在线 reviews your order, a 斗牛棋牌在线 employee may contact you to request more information about your transaction to verify that the transaction was not erroneous.
斗牛棋牌在线 is required to publicly disclose its order routing practices for in-scope NMS equity and option orders on a quarterly basis. More information and the quarterly reports are available at: /global/en/investment-bank/ib/sec_reports.html.听As a customer2 , you may request from your 斗牛棋牌在线 Salesperson additional order routing information about your orders handled by 斗牛棋牌在线 going back six months3听 before the date of your request. On-demand routing reports will include standardized metrics about the routing and execution of your orders, including the venues to which your orders were routed.
斗牛棋牌在线 does not accept PFOF from other broker-dealers. 斗牛棋牌在线 accepts payment in the form of rebates from market centers that use either the "Maker-Taker" or inverted fee model. These payments generally offset fees for accessing orders or for other services provided by market centers. From time to time, the amount of rebates/credits that 斗牛棋牌在线 receives from an exchange may exceed the amount of fees that 斗牛棋牌在线 is charged by such exchange.听 In these limited circumstances, the receipt of net payments from an exchange would constitute payment for order flow. Any net payments are retained by 斗牛棋牌在线 and are used to reduce overall expenses in providing services to clients. 斗牛棋牌在线 makes routing decisions based on the quality of execution and not on the receipt of payments. However, 斗牛棋牌在线 considers costs, including rebates and fees, in comparing market centers with comparable performance.听 Where possible, we seek to objectively estimate the value expected to be realized when routing to any of the eligible venues under prevailing conditions. Value is highly correlated with the order placer鈥檚 desired outcome, such as enhanced execution quality while minimizing the dollar cost of executing a transaction. The value we assign to each eligible venue is based on a statistical analysis of past performance under similar conditions and it carries an inherent degree of uncertainty given that we cannot know for sure which venue will produce the best outcome in advance of routing. Our designated measure of uncertainty is represented by the standard deviation of the distribution of outcome values and is used to determine which venues are statistically comparable. We compute comparability using an overlap of the venue with the best expected value compared with other eligible venues, measured by a factor of the standard deviations. The set of venue options where the expected values plus/minus the standard deviation factor overlap is considered the comparable set. When selecting a destination venue from within a statistically comparable set of eligible venues, 斗牛棋牌在线 can exercise its reasonable discretion when routing customer orders for execution, such as by favoring a venue offering a higher rebate or the 斗牛棋牌在线 ATS.
Generally, client orders will be handled as "not held" (including all orders sent to a 斗牛棋牌在线 algorithm) unless they are sent to 斗牛棋牌在线 via direct market access or the client instructs otherwise (i.e., a "held" order). A 鈥渘ot held鈥 order is one in which the client gives 斗牛棋牌在线 discretion as to the time and price at which to execute the order. A 鈥渉eld鈥 order is when the client instructs 斗牛棋牌在线 to immediately submit the order for execution at the best available market prices, subject to size and limit price constraints. When handling a 鈥渘ot held鈥 order, 斗牛棋牌在线 uses professional judgment to seek the best possible overall quality of execution under the circumstances in accordance with the order instructions. Please see the General Order Handling & Best Execution section above for the factors 斗牛棋牌在线 takes into consideration when handling a "not held" order.
斗牛棋牌在线 deems all received orders as "day" orders unless otherwise designated, and any unfilled portion of an order will expire at the end of the trading day (4:00 p.m. EST). 斗牛棋牌在线 accepts good-till-date ("GTD") orders and good-till-cancelled ("GTC") orders. GTD and GTC orders will remain open until executed, cancelled by the client that placed the order, cancelled by 斗牛棋牌在线, or for GTD orders upon expiration.
If a transaction is eligible for review under FINRA Rule 11890 and related equities and options exchange rules, 斗牛棋牌在线 will contact its client for the purpose of gathering information to confirm an obvious error for any term of the underlying order, such as price, number of shares or other unit of trading, or identification of security, prior to filing. 斗牛棋牌在线 will file a Clearly Erroneous petition where the Firm has a factual basis for believing the trade is clearly erroneous and the execution price is outside the clearly erroneous price bands.
FINRA Rule 5320 generally provides that a broker-dealer handling a customer order in an equity security is prohibited from trading that security on the same side of the market for its own account at a price that would satisfy the customer order, unless the firm immediately executes the customer's order up to the size of its own order at the same or better price. However, Rule 5320 also provides exemptions that permit broker-dealers to trade for their own account provided certain conditions are met. 斗牛棋牌在线 may trade for its own account while handling a customer's order without providing price protection where the order is from an "institutional account"4 or where the order is large-sized (i.e., 10,000 shares or more and greater than $100,000 in value). You may opt-in to Rule 5320 protections with respect to all or any portion of your order, or on an order-by-order basis, by providing 斗牛棋牌在线 with written notice outlining your dissent of 斗牛棋牌在线 trading while handling your orders.
Additionally, Rule 5320 permits 斗牛棋牌在线 to trade for its own account provided the principal trading desk has "no knowledge" of a customer order that would trigger price protection. Consistent with the "no knowledge" exemption under Rule 5320, 斗牛棋牌在线 has implemented internal controls, including information barriers, to prevent principal trading desks from obtaining knowledge of orders outside of their trading unit.
2Please note that "customer" under SEC Rule 606 means any person that is not a broker or dealer.
3斗牛棋牌在线 relies on a vendor to produce SEC Rule 606 statistics, which include transaction fees and rebates that are updated after month-end by national stock exchanges. 斗牛棋牌在线's rates for fees and rebates may not be readily available for the most recent month of your request period, in which case 斗牛棋牌在线 can instead provide an on-demand report for the previous six months that are available. See SEC Release No. 34-84528, FN 209.
FINRA Rule 5270 generally prohibits a broker-dealer from trading for its own account while possessing knowledge of an imminent customer block transaction. There are exceptions to this prohibition, one of which permits 斗牛棋牌在线 to trade for its own account for the purpose of fulfilling or facilitating the execution of a customer's block order. 斗牛棋牌在线鈥檚 trading activity in this regard could affect the market prices of the securities or financial instruments the customer is trying to buy or sell in block size; however, the Firm will endeavor to conduct its principal trading in a manner designed to limit the price/market impact and satisfy best execution requirements. If you object to 斗牛棋牌在线 acting in this manner when facilitating your block orders, please inform your 斗牛棋牌在线 sales representative in writing.
The Order Protection Rule requires trading centers to have procedures to prevent the execution of trades in NMS securities at prices inferior to protected quotes (i.e., "trade-throughs"), subject to certain exceptions. One exception allows firms to use an Intermarket Sweep Order ("ISO") to attempt to access better priced protected quotes when executing at a price that would trade through protected quotes. When 斗牛棋牌在线 sends ISOs in the course of handling client orders, 斗牛棋牌在线 will provide the client with the benefit of any better priced ISO executions 斗牛棋牌在线 receives.
Trading Specific
Trading Specific
斗牛棋牌在线 may publish indications of interest ("IOIs") related to client orders, which generally include security name/symbol, size, price parameters and side. 斗牛棋牌在线 disseminates IOIs through certain service providers and will adhere to the guidelines issued by these service providers when labeling IOIs as "natural". Natural IOIs may represent customer agency orders or firm customer commitments to trade, 斗牛棋牌在线 interest established as the result of principally facilitating a customer order, and hedging activity in relation to customer order activity, among other scenarios. Regardless of the underlying type of trading interest, 斗牛棋牌在线 policy requires IOIs to be identified and tagged according to the relevant service provider guidelines. Please note that these service providers may modify the aforementioned IOI guidelines from time to time. Clients may opt out of having their order flow advertised by 斗牛棋牌在线 through IOIs by informing your sales representative in writing..听
Furthermore, IOIs are generally valid for a specified time period and the terms reflected in the IOI are subject to subsequent confirmation by the relevant 斗牛棋牌在线 trading desk if you respond to an IOI after it has expired. Similarly, if the interest represented by an IOI has already been satisfied by the time you respond (even if such response is received prior to the expiration of the IOI), 斗牛棋牌在线 cannot guarantee an execution with the terms reflected in such IOI.
斗牛棋牌在线 executed trading volume is generally advertised on a post-trade basis via Bloomberg, Autex and other service providers. 斗牛棋牌在线 adheres to the relevant guidelines issued by these service providers, and advertisements are non-directional and aggregated at the symbol level. Furthermore, these advertisements include client flows across 斗牛棋牌在线 business lines.听 Clients may opt out of having their executed order flow advertised by informing your 斗牛棋牌在线 sales representative in writing..听 Upon direction from clients, 斗牛棋牌在线 may distribute client data to client vendors for the purpose of broker reviews, execution analysis and related services.听 斗牛棋牌在线 provides aggregated data relating to client activities to industry ranking services like McLagan and Coalition.
4As defined in FINRA Rule 4512(c), the term 鈥渋nstitutional account鈥 means the account of: (1) a bank, savings and loan association, insurance company or registered investment company; (2) an investment adviser registered either with the SEC under Section 203 of the Investment Advisers Act of 1940 or with a state securities commission (or any agency or office performing like functions); or (3) any other person (whether a natural person, corporation, partnership, trust or otherwise) with total assets of at least $50 million.
Child orders generated by 斗牛棋牌在线 algorithms for High Touch client flows will be eligible for routing to 斗牛棋牌在线 Internalization (via the 斗牛棋牌在线 Smart Order Router) unless clients send a written opt-out preference to 斗牛棋牌在线 coverage personnel. 斗牛棋牌在线 Internalization offers eligible liquidity from the Central Risk Book ("CRB") to facilitate client child orders. CRB is a 斗牛棋牌在线 trading desk that acts as a market maker and trades for the principal account of 斗牛棋牌在线. CRB is separated from 斗牛棋牌在线 Internalization by a general information barrier. The 斗牛棋牌在线 Cash Equities Electronic Trading business oversees 斗牛棋牌在线 Internalization and applies the principles of best execution.
斗牛棋牌在线 Internalization decisions are informed by different sources of information, such as: parent order liquidity characteristics (including strategy, order size, order urgency, and participation rate), 斗牛棋牌在线 Platform wide liquidity, and trading interest expressed by CRB. Internalization parameters also may be defined at a client level to customize the liquidity profile associated with client orders eligible for internalization.
During official market hours, CRB will be made aware of basic factors at a child order level, such as: stock symbol, side, size, price, and internalization type, along with client identifiers associated with executed orders. Execution prices received through 斗牛棋牌在线 Internalization will be priced at or within the National Best Bid/Best Offer at the time of execution, and child orders targeting the Closing Auction will be executed at the official closing price established by the primary exchange.
斗牛棋牌在线 has identified certain categories of microcap and low-priced securities5听 to pose a higher risk of market manipulation and/or where the sale of such securities could result in an unregistered offering. 斗牛棋牌在线 has elected to systematically block and reject transactions in microcap securities that fall within "high risk" categories, such as:
1. OTC Pink securities (including Pink Current, Pink Limited Information, Pink No Information);
2.听"Caveat Emptor" securities, as defined by OTC Markets Group6听 which designates a symbol as such when there is a public interest concern associated with the company, security, or control person which may include but is not limited to a spam campaign, questionable stock promotion, investigation of fraudulent or other criminal activity, regulatory suspensions, or disruptive corporate actions;
3.听OTC securities issued by shell companies that have no or nominal operations that lack transparency and pose a higher risk for money laundering;
4. "Grey Market" securities for which broker-dealers are not willing or able to publicly quote because of a lack of investor interest, company information availability or regulatory compliance; and
5. Securities on the DTC's Deposit Chill or Global Locks lists and securities suspended by the SEC pursuant to Section 12(j) or 12(k) of the Securities and Exchange Act of 1934.
As part of 斗牛棋牌在线' due diligence review of client orders in microcap or low-priced securities, the Firm may reach out to the client for more information about the client's transaction, the client's relationship with the issuer (e.g., insider/affiliate), as well as how and when the client acquired the security. The "high risk" categories above are not exhaustive. 斗牛棋牌在线 may at its discretion block transactions in microcap and low-priced securities that do not fall within the categories identified above but display other factors that indicate the transaction and/or the security may be higher risk.
A 鈥渘et鈥 transaction is one in which 斗牛棋牌在线, after receiving a client order to buy (sell) a security, buys (sells) the security at one price from (to) another party and then sells to (buys from) the client at a different price, with the difference representing the Firm鈥檚 compensation for executing the transaction.听The client must consent to any trade executed by 斗牛棋牌在线 as a net transaction. A 鈥済uaranteed order鈥 is one in which 斗牛棋牌在线 has agreed to execute, as principal, a trade with a client in a specified or unknown security at a price based on an agreed-upon benchmark or other pricing formula, such as the closing price or volume-weighted average price of the security. When 斗牛棋牌在线 accepts a guaranteed order, 斗牛棋牌在线 may also engage in hedging, facilitation, or other risk-mitigating trading activity, which could potentially impact the market for the security involved in the transaction. As noted above in the section discussing FINRA Rule 5270 and the Firm's practices thereunder, 斗牛棋牌在线 endeavors to conduct its hedging activity in a manner designed to limit market impact and consistent with its best execution obligations.
Additionally, in connection with guaranteed price commitments for customer sell orders, 斗牛棋牌在线 will generally treat such transaction as an unconditional and binding contract to purchase the underlying equity securities for purposes of Rule 200(b)(2) of Regulation SHO.
斗牛棋牌在线 does not accept held market orders for the purchase of shares issued in an initial public offering ("IPO") of a security until secondary market trading in that security has commenced. Clients may submit to 斗牛棋牌在线 "held" limit orders and "not held" orders before and after secondary trading has commenced.
In order to employ reasonable efforts to minimize potential market impact arising from the handling of market orders, 斗牛棋牌在线 will apply marketable limit prices to client's directed market orders. The Firm seeks to balance its best execution obligations while ensuring orders do not disrupt price formation or create undue market impact. Directed orders to the Broker Booth Support System ("BBSS") utilized by NYSE, including Discretionary Orders (D-Orders), are sent as market orders.
If a client requests 斗牛棋牌在线 to bid on a basket or program of securities, and such bid is accepted, the Firm will execute the basket based on the agreed upon terms. In anticipation of winning a bid and in order to minimize the Firm's risk, 斗牛棋牌在线 may engage in bona fide hedging or positioning activity prior to execution of the order. Prior to 斗牛棋牌在线 engaging in such hedging or positioning activity, 斗牛棋牌在线 will obtain the client's consent. 斗牛棋牌在线 may attempt to hedge its anticipated position in the basket by trading in the same security or related derivatives product on the same side of the market as the basket. While 斗牛棋牌在线 will make all efforts to minimize the market impact of its hedge, the underlying agreed-upon benchmark price may be affected by the Firm鈥檚 trading activity. Furthermore, even if 斗牛棋牌在线 does not win the bid, a hedge placed in anticipation of winning the bid might affect the price the client receives from the broker-dealer selected to execute the order.
Please note that 斗牛棋牌在线 treats accepted risk bids on baskets or programs of securities as guaranteed orders and will handle them in the manner described in the "Net Transactions/Guaranteed Orders" section above.
5"Microcap securities" is a term used to describe securities issued by companies with low or "micro" market capitalizations, meaning the aggregate market value of such companies' publicly held stock is small. 听Typically, these companies have a total market capitalization of less than $250 or $300 million, and in some cases it may be as low as $50 million (i.e., "nanocap" securities). "Low-priced" securities or "penny stocks" are securities that trade below $5 per share. A microcap security can also be a low-priced security; a low-priced security, however, may not necessarily qualify as a microcap. For purposes of 斗牛棋牌在线 policy, both are referred to as "Microcap Securities."
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Clients may designate whether their stop and/or stop limit orders are triggered off the quote or the last sale ("stop price"). When the stop price triggers the stop order, it will be treated as a market order and executed at the current market price. The price at which a stop order is executed may be very different from a client's specified stop price. When the stop price triggers the stop limit order, it will be treated as a limit order and executed at the limit or better.听
While a client may receive a prompt execution of a stop order, during volatile market conditions, the execution may be at a significantly different price from the stop price if the market is moving rapidly. The price of a stock can also move significantly in a short period of time during volatile market conditions and trigger the execution of a stop order. Clients should understand that if their stop orders are triggered under these circumstances, they may sell at an undesirable price even though the price of the stock may stabilize during the same trading day.
The activation of sell stop orders may add downward price pressure on a security. If triggered during a precipitous price decline, a sell stop order also is more likely to result in an execution well below the stop price.
Placing a limit price on a stop order may help mitigate some of these risks. By using a stop limit order instead of a regular stop order, a client may receive additional certainty with respect to the price received for the stock if the stop is triggered. However, clients should be aware, because 斗牛棋牌在线 cannot sell for a price that is lower (or buy for a price that is higher) than the limit price selected, there is a possibility that the stop limit orders will not be executed at all.
If a client transacts in a foreign equity security and chooses to settle the transaction in a currency different than the currency in which the transaction was executed, 斗牛棋牌在线 will听affect a foreign currency transaction for that client's account to facilitate settlement of the transaction unless instructed otherwise. The foreign currency transaction is generally executed by a 斗牛棋牌在线 affiliate on a principal basis and the affiliate stands to earn a profit from the foreign currency transaction in the form of a spread.
斗牛棋牌在线 is typically assessed a fee by a depositary bank or cross book broker where 斗牛棋牌在线 creates or converts a depositary receipt in the course of facilitating an order for a client. This fee will be passed through to the client as part of the transaction when a client order for depositary receipts is facilitated by trading the underlying local shares.
鈥淓xtended hours鈥 are hours before and after the official market hours of the primary listing exchange (typically 4:00 a.m. to 9:30 a.m. EST and 4:00 p.m. to 8:00 p.m. EST). Clients who would like their orders executed during this time period must specifically designate the order as eligible for extended hours trading. Clients should contact their 斗牛棋牌在线 Salesperson to ensure they are set up to transact in the extended session, and for information on the times 斗牛棋牌在线 systems are operational during these sessions. Additionally, clients should be aware of the following risks associated with extended hours trading:
- Risk of Lower Liquidity.听Liquidity refers to market participants' ability to buy and sell securities. Generally, the more orders and quotes that are available in a market, the greater the liquidity. Liquidity is important because with greater liquidity, it is easier for investors to buy or sell securities. As a result, investors are more likely to pay or receive a competitive price for securities purchased or sold. There may be lower liquidity in extended hours trading as compared to regular market hours, including fewer market makers quoting during extended hours trading. As a result, client orders may only be partially executed, or not at all.
- Risk of Higher Volatility. Volatility refers to the changes in price that securities undergo when trading. Generally, the higher the volatility of a security, the greater its price swings. There may be greater volatility in extended hours trading than in regular market hours. As a result, a client's order may only be partially executed, receive no execution, or may receive an inferior price during extended trading hours as compared to regular trading hours.
- Risk of Changing Prices. The price of securities traded in extended hours trading may not reflect the prices either at the end of regular market hours, or upon the opening of regular trading hours the next morning. As a result, a client may receive an inferior price, or a price that is inferior to the price during extended trading hours as compared to regular trading hours.
- Risk of Unlinked Markets. Depending on the extended hours trading system or the time of day, the prices displayed on a particular extended hours system may not reflect the prices in other concurrently operating extended hours trading systems dealing in the same securities. Accordingly, a client may receive an inferior price in one extended hours trading system than the client would in another extended hours trading system.
- Risk of News Announcements. Normally, issuers make news announcements that may affect the price of their securities after regular trading hours. Similarly, important financial information is frequently announced outside of regular market hours. 听In extended hours trading, these announcements may occur during trading, and if combined with lower liquidity and higher volatility, may cause an exaggerated and unsustainable effect on the price of a security.
- Risk of Wider Spreads. The spread refers to the difference between the price for which a client can buy a security and the price for which a client can sell it. Lower liquidity and higher volatility in extended hours trading may result in wider than normal spreads for a particular security.
- Risk of Lack of Calculation or Dissemination of Underlying Index Value or Intraday Indicative Value ("IIV") and Lack of Regular Trading in Securities Underlying Indexes. For certain products, an updated underlying index or portfolio value or IIV will not be calculated or publicly disseminated during extended trading hours. Since the underlying index pr portfolio value and IIV may not be calculated or widely disseminated during the extending trading hours, an investor who is unable to calculate implied values for products during extended hours trading may be at a disadvantage to market professionals. Additionally, securities underlying the indexes or portfolios will not be regularly trading as they are during regular trading hours or may not be trading at all. This may cause prices during extended hours trading to not reflect the prices of those securities when they open for trading.
Regulation M prohibits a person from purchasing securities in a registered offering if that person has sold short the same securities during the five (5) business day period before pricing of the offering (i.e., the restricted period) or the period of time between the initial filing of the related registration statement and ending with the pricing of the distribution, whichever is shorter. Therefore, a client must not request an allocation from 斗牛棋牌在线 in an offering if the client is subject to this prohibition under Regulation M.
- Order Marking. Rule 200 of SEC Regulation SHO requires every sell order must be marked as "long," "short" or "short exempt." It is the client's responsibility to properly mark sell orders sent to 斗牛棋牌在线 to comply with Rule 200. In accordance with Reg SHO, sell orders may only be marked "long" to the extent of the seller's net long position. Furthermore, when placing sell long orders with 斗牛棋牌在线, the client represents that the client owns the security and can be reasonably expected to deliver that security no later than the settlement date.
- Locate Requirement. Rule 203 of SEC Regulation SHO prohibits 斗牛棋牌在线 from accepting a short sale order in any US equity security unless it has been documented that there are reasonable grounds to believe that the full quantity of the security can be borrowed by settlement date to make delivery (i.e., a "Locate"). For short sale orders sent to 斗牛棋牌在线, the client must obtain and indicate in their order instructions a Locate source for the full order quantity. Where deemed necessary, 斗牛棋牌在线 may require additional information regarding the client's Locate source. A Locate provided by 斗牛棋牌在线 is not a confirmation or guarantee that 斗牛棋牌在线 has borrowed or will be able to borrow the security to make delivery on the required settlement date.
- Mandatory Buy-In.听Under Regulation SHO Rule 204, 斗牛棋牌在线 may be required to affect a buy-in of any short or long sale transaction that results in a fail to deliver on settlement date. Should 斗牛棋牌在线 execute a buy-in on a client's short or long sale, the client's trading activity in the subject security either executed or cleared through 斗牛棋牌在线 on that trade date must end the day either net flat or net long.
Clients seeking to sell stock originally issued pursuant to an exemption from registration (sometimes referred to as "restricted stock") or that could be deemed "control stock" based on the client's relationship with the issuer must notify their sales coverage and receive 斗牛棋牌在线' approval before placing the order with 斗牛棋牌在线. 斗牛棋牌在线 must conduct certain due diligence on a pre-trade basis prior to executing an order to sell securities that are subject to resale restrictions.
As part of the Firm's due diligence process, 斗牛棋牌在线 may ask for information regarding your relationship to the issuer, details pertaining to any restrictive legends, the methodology through which the shares were acquired, the period of time you have held the shares, and other information pertaining to the status of the shares. Furthermore, 斗牛棋牌在线 will likely require you to sign a representation letter that confirms the same. If 斗牛棋牌在线 is unable to perform this diligence process, it will not execute your order to resell restricted securities. This due diligence process requires your timely cooperation, and a lack of responsiveness will delay the proposed transaction.
Furthermore, the manner in which restricted securities are sold and the trading venues used will vary depending upon the nature of the restrictions and the applicable resale limitations. As a result, the price at which your order is executed may be impacted.
If you place an order to sell restricted securities and fail to notify your 斗牛棋牌在线 coverage representative prior to doing so, you have breached our protocol, and the timely settlement of your transaction may be disrupted. Moreover, given our ongoing regulatory obligations, 斗牛棋牌在线 may not be able to accommodate subsequent requests to provide the Broker's Representation Letters that are generally required for the settlement of restricted stock resales. Consequently, you may be forced to cover any sale of restricted securities to prevent settlement fails and the commencement of a buy-in.
NYSE rules permit Designated Market Makers (鈥淒MM鈥) establishing or increasing their positions to trade on parity (i.e., to 鈥渟plit prints鈥) with orders in the trading crowd, provided the DMM announces their intention to do so and no objection is made by brokers representing orders in the crowd. When executing clients' orders on the NYSE floor, 斗牛棋牌在线 floor brokers will generally permit a DMM to trade on parity with a client's order for some or all the executions associated with filling that order, as long as such permission is consistent with its duty of best execution and the DMM鈥檚 request is made in accordance with NYSE Rule 108. If you object to 斗牛棋牌在线 permitting a DMM to trade on parity with your order(s) represented on the NYSE floor, please advise your 斗牛棋牌在线 Salesperson in writing.
A Large Trader is an entity having discretionary control over transactions in NMS securities equal to or exceeding: (1) 2 million shares or US $20 million during any calendar day; or (2) 20 million shares or US $200 million during any calendar month. If a client is a Large Trader, the client must provide 斗牛棋牌在线 with its Large Trader Identification Number(s) ("LTID(s)") and identify its related accounts. 斗牛棋牌在线 is required to assign its client an Unidentified LTID if 斗牛棋牌在线 determines that the client qualifies as a Large Trader based on trading activity effected through 斗牛棋牌在线 but has not provided the firm with an LTID.
The following topics are specific to option orders.
- Option Orders Executed Using Tied Hedge Procedure.听When handling an option order of 500 contracts or more on a client's behalf, 斗牛棋牌在线 may buy or sell a hedging stock, security futures or futures position following receipt of the option order but prior to announcing the option order to the trading crowd. The option order may thereafter be executed using the tied hedge procedures of the exchange on which the order is executed. These procedures permit the option order and hedging position to be presented for execution as a net-priced package subject to certain requirements. For further details on the operation of the procedures, please refer to Cboe Rule 5.87 interp .07, or equivalent rule on other exchanges.
- Execution Service Provider. 斗牛棋牌在线 uses Wolverine Execution Services LLC (WEX) as an execution service provider when accessing all US equity options exchanges. WEX is a US registered broker-dealer that offers an options trading platform with connectivity to all options exchanges, as well as a suite of execution algorithms. 斗牛棋牌在线 pays WEX for use of their trading platform and execution algorithms, and for WEX providing access to options markets.
- Solicited Order Mechanisms on ISE and Cboe. When handling an order of 500 options contracts or more on a client's behalf, 斗牛棋牌在线 may solicit other parties to execute against the client's order and may thereafter execute the order using the ISE Solicited Order Mechanism and/or the Cboe Solicitation Auction Mechanism. This functionality provides a single-price execution only, so that the entire order may receive a better price after being exposed to the exchange鈥檚 participants but will not receive partial price improvement. For further details on the operation of these mechanisms, please refer to NASDAQ ISE Rule Options 3, Section 11(d) available and CBOE Rule 5.39 available .
- Account Origin Codes. Option exchange rules require all option orders to be marked with the appropriate account origin code, such as Customer, Broker-Dealer, Professional Customer, or Firm. Therefore, you must ensure your option orders are marked with the correct account origin code when routing option orders electronically or telephonically to the Firm, please notify your 斗牛棋牌在线 Salesperson of any applicable changes.
- Professional Customer Designation. A Professional customer is any person or entity that is not a broker or dealer in securities and who places more than 390 options orders per day on average during a calendar month. "Professional" customer orders are not treated with the same marketplace advantages given to public customer orders. 斗牛棋牌在线 will designate your options orders as "Professional" orders if the Firm determines you meet the requirements of a "Professional" customer. Once you meet the standard for a Professional customer, all your options orders will be marked as Professional for the quarter following the month in which the threshold was exceeded. Furthermore, if by your own determination, you are to be deemed a Professional customer, you must notify your 斗牛棋牌在线 Salesperson in writing so that 斗牛棋牌在线 can properly document your designation and appropriately mark your options orders as "Professional."
- Opening or Closing Transaction. Option exchange rules require all option orders to be marked as either opening (buy/sell to open) or closing (buy/sell to close) transactions. Therefore, you must ensure your option orders are marked appropriately when routing option orders electronically or telephonically to the Firm.
- Statement of Risk. Options, structured derivative products and futures are not suitable for all investors, and trading in these instruments is considered risky and may be appropriate only for sophisticated investors. Past performance is not necessarily indicative of future results. Prior to buying or selling an option, and for a thorough description of risks relating to options, US investors must receive a copy of "The Characteristics and Risks of Standardized Options." You may read the document at or ask your 斗牛棋牌在线 Salesperson for a copy.
- Uncovered Options Writers. FINRA Rule 2360(b)(16)(E) requires 斗牛棋牌在线 to develop, implement and maintain specific written procedures governing the conduct of such business which include establishing the following minimum client account standards:
a. Total Estimated Annual Income: $250,000
b. Net Liquid Assets: $1,000,000
c. Prior Investment Experience: At least 1 year of options trading
d. Investment Objective: Speculation
e. Minimum Net Equity in account: $50,000
Generally, clients have the option to receive a venue's Market Identifier Code (鈥淢IC鈥), where registered and available; if the MIC is unknown, 斗牛棋牌在线 sends "XOFF."
Venue | Scenario | MIC | Description | ||||
External | Known MIC | Venue MIC | Any order executed in an external venue that has a registered MIC; includes exchanges, external ATSs, and ELPS | ||||
Unknown MIC | XOFF | Any order executed at a venue that does not have a registered MIC or where the MIC is unknown | |||||
Internal | ATS Fill | 斗牛棋牌在线A/斗牛棋牌在线P | Any order executed in the ATS | ||||
Internalization other than ATS | XOFF by default; can be configured to 斗牛棋牌在线 upon request | Anything executed by 斗牛棋牌在线 regardless of capacity other than an ATS fill; includes: CRB, LOD, and any facilitation by 斗牛棋牌在线 |
Upon receipt of a client order in a security dually listed on a Canadian and US exchange, we will seek out the best market and provide execution at that best available market price. Execution prices may reflect a commission and currency conversion charge, if applicable.
As part of the trading services offered by 斗牛棋牌在线, we provide access to liquidity in US Exchange Traded Funds (ETFs) through various Request For Quote (RFQ) platforms, such as the Bloomberg RFQ platform. When executing transactions through the Bloomberg RFQ platform, 斗牛棋牌在线 is systemically prevented from passing back multiple fills on a single client order.听 For example, when 斗牛棋牌在线 performs an ISO sweep, 斗牛棋牌在线 is not permitted to pass back an agency fill for the ISO sweep and a principal fill for the remaining quantity.听 As an alternative under these circumstances, 斗牛棋牌在线 will provide clients with a single, average price, mixed execution capacity fill when transacting through the Bloomberg RFQ platform. Please take note that a single, aggregated fill could potentially represent two or more executions from multiple venues where 斗牛棋牌在线 possibly acted in a mixed execution capacity (agent and principal).听 Additionally, the relevant execution venue, Market Identifier Code (MIC), and liquidity values may not be passed through on a single fill message. The final terms of each transaction, including 斗牛棋牌在线鈥檚 execution capacity and the execution venue, will be communicated to clients of 斗牛棋牌在线 Securities LLC in the official 10b-10 confirmation as part of the normal trade confirmation process. If you have questions or would like further details, please reach out to your 斗牛棋牌在线 coverage representative.
Miscellaneous
Miscellaneous
As part of our efforts to continuously improve our algorithmic trading offering, 斗牛棋牌在线 utilizes a Trading Scenario framework (also known as 'A / B scenarios') for evaluating enhancements to our algorithmic trading product. The framework allows 斗牛棋牌在线 to assess new features in a live production environment by separately allocating to scenario A and scenario B a percentage of client order flow using a pre-defined weighting. While 斗牛棋牌在线 intends for the new features听to be implemented and analyzed to improve execution quality, success is not guaranteed and will be determined by actual results.听 By the very nature of this process, scenario A and scenario B results will be different, and one scenario may generate execution quality results worse or better than its companion scenario.听
斗牛棋牌在线 operating procedures have been updated to address situations where A / B scenarios are in use for a platform enhancement. The 斗牛棋牌在线 Trading Scenario framework is subject to the same oversight, analysis and governance forums that presently operate in the Electronic Trading business. These include the Best Execution Committee, the Regional Liquidity Meeting, and the Electronic Trading Approval Committee. For more information, please contact your 斗牛棋牌在线 Salesperson. 听听
滨惭笔翱搁罢础狈罢:听By default, ALL client algorithmic orders will be included in the 斗牛棋牌在线 Trading Scenario framework and subject to A / B scenarios. Clients may opt out of the Trading Scenario framework by sending a written e-mail request to:听OL-TradingScenarios@ubs.com
斗牛棋牌在线 regularly seeks to improve its execution services through the use of technology such as machine learning and statistical techniques generally considered to be artificial intelligence (鈥淎I鈥). For example, we use AI to support and enhance our order handling processes, including our algorithms and Smart Order Router. 斗牛棋牌在线鈥檚 use of AI for these purposes is subject to internal oversight designed to protect clients鈥 interests and fulfill our regulatory obligations, such as our duty of best execution. This also means your orders and data may be used to train or re-train our AI models (including Reinforcement-Learning approaches) to improve their capabilities.
斗牛棋牌在线 clients must not:
- Employ any device, scheme, or artifice to defraud;
- Make any untrue statement of a material fact or to omit to state a material fact; or
- Engage in any act, practice, or course of business which operates or would operate as a fraud or deceit upon any person in connection with the purchase or sale of any security.
Activities prohibited by the anti-fraud statutes and regulations include, but are not limited to: wash sales, "naked" short selling, self-trades, illegal prearranged trades, marking the close, marking the open, non-bona fide activities to induce others to trade, painting the tape, spoofing, layering, index manipulation, and disseminating fictitious quotations.
Consistent with 斗牛棋牌在线' regulatory obligations, 斗牛棋牌在线 records phone conversations of certain personnel, including personnel who may be handling client orders. Please note that your participation in these calls constitutes consent to recording where consent is required under applicable law.
Written commentary prepared and distributed by 斗牛棋牌在线 Sales and Trading Personnel is not a product of the 斗牛棋牌在线 Research Department and is not subject to Research review. Written commentary is provided solely for informational purposes and is not intended to serve as a basis for any investment decisions made by customers. Written commentary is intended for institutional investors only and may not be onward forwarded without consent from 斗牛棋牌在线.
Our Global Markets personnel prepare and disseminate trading desk commentaries, alpha capture trade ideas, and similar materials oriented toward individual securities.听 We endeavor to disseminate these materials to intended client recipients in a prompt and fair manner, but simultaneous delivery to each client is not always possible given different communication channels and inherent latencies.听 Please note 斗牛棋牌在线 principal trading desks that interact with clients receive access听to the same materials, and the desks may initiate, adjust or close securities positions or otherwise act as a market maker based on the materials, in a manner that is consistent with applicable laws, rules and regulations.听 As a result of unintended transmission latencies and clients鈥 varied data intake configurations, a client may receive the materials after they have already been received by other clients and by our principal trading desks.听
In accordance with the Dodd-Frank Wall Street Reform and Consumer Protection Act ("Dodd- Frank"), prior to entering into a swap transaction, a Swap Dealer must provide several disclosures to a counterparty who is not a Swap Dealer, Major Swap Participant, Security Based Swap Dealer or Major Security Based Swap Participant. Rule 23.431 of the Commodity Futures Trading Commission (鈥淐FTC鈥) under the Business Conduct Standards for Swap Dealers and Major Swap Participants, 77 Fed. Reg. 9734, requires a Swap Dealer to disclose the material risks of the particular swap, which may include market, credit, liquidity, foreign currency, legal, operational, and any other applicable risks. In the U.S., 斗牛棋牌在线 operates as a registered swap dealer. In addition, a Swap Dealer must disclose the material characteristics of the particular swap, including the Material Economic Terms (METs) of the swap, the terms relating to the operation of the swap and the rights and obligations of the parties during the terms of the swap.
BrokerCheck provides investors with the ability to research the professional backgrounds, business practices and conduct of FINRA-registered brokerage firms and brokers. In connection with this program, investors may call the BrokerCheck Hotline at (800) 289-9999 or visit the website. An investor brochure that includes information describing the FINRA BrokerCheck program is available from either of these sources.
For more details on specific disclosures required to be provided under Dodd-Frank, please visit:
www.ubs.com/global/en/investment-bank/dodd-frank-risk-disclosures.html.
斗牛棋牌在线 reserves the right at its sole discretion to modify, suspend, or cancel any of its order handling protocols, without notice, when adverse market conditions exist, as determined by 斗牛棋牌在线.
斗牛棋牌在线 greatly appreciates the support and the trust our clients have placed in the Firm with their business. Please contact your 斗牛棋牌在线 Salesperson promptly in writing if you have questions regarding this notice about our Order Handling Procedures or if the notice does not accurately represent your understanding of the manner in which you authorize 斗牛棋牌在线 to execute your equity securities orders.
Sincerely,
斗牛棋牌在线 Investment Bank