MAT Summary: CFTC Swap Exchange-trading Mandates and Effective Dates | Practical Law

MAT Summary: CFTC Swap Exchange-trading Mandates and Effective Dates | Practical Law

The CFTC certified further trade execution mandates under Title VII of the Dodd-Frank Act requiring that certain CDS and additional interest rate swaps be entered into only on a CFTC-registered SEF or DCM beginning in February 2014. This Update provides a detailed summary of all CFTC swaps exchange-trading mandates issued to date under Title VII's made-available-to-trade (MAT) determination process, including a breakdown of effective dates for all swaps that must be exchange traded.

MAT Summary: CFTC Swap Exchange-trading Mandates and Effective Dates

Practical Law Legal Update 3-555-9185 (Approx. 12 pages)

MAT Summary: CFTC Swap Exchange-trading Mandates and Effective Dates

by Practical Law Finance
Published on 30 Jan 2014USA (National/Federal)
The CFTC certified further trade execution mandates under Title VII of the Dodd-Frank Act requiring that certain CDS and additional interest rate swaps be entered into only on a CFTC-registered SEF or DCM beginning in February 2014. This Update provides a detailed summary of all CFTC swaps exchange-trading mandates issued to date under Title VII's made-available-to-trade (MAT) determination process, including a breakdown of effective dates for all swaps that must be exchange traded.
On January 28, 2014, the CFTC and its division of Market Oversight announced its third trade execution mandate under Title VII of the Dodd-Frank Act and Section 2(h)(8) of the Commodity Exchange ACT (CEA) in response to the made-available-to-trade (MAT) determinations for certain credit default swaps (CDS) and interest rate swaps (IRS) submitted by TW SEF LLC’s (Tradeweb). These swaps must be entered into only on a CFTC-registered SEF or DCM as of February 26, 2014 (see CDS MAT Summary and IRS That Must Be Exchange Traded As of February 26, 2014). (On January 30, 2014, the CFTC announced its fourth trade execution mandate, submitted by MarketAxess SEF Corporation, covering the same CDS as the Tradeweb MAT.)
While these are the first CDS trade execution mandates, the Tradeweb MAT determination is the third covering IRS. The Tradeweb MAT determination included certain IRS contracts that had not previously been the subject of a MAT determination, as well as certain IRS contracts that are already subject to the following previously issued CFTC IRS trade execution mandates:
See IRS MAT Compliance Breakdown for a complete summary of all CFTC IRS trade execution mandates and compliance dates.

How the MAT Rules Operate

The CFTC issued final rules on the MAT process on June 4, 2013. Under these rules and pursuant to CFTC Regulation 40.6, SEFs and DCMs may make an initial determination that certain types of swaps may be made available to trade (MAT) on their exchange or platform. The infrastructure's MAT determination, if not objected to or stayed by the CFTC, self-certifies and becomes effective 10 days after submission. However, under CFTC Regulations 40.6(c) and 40.7(a)(2)(iii), the CFTC has the authority to stay MAT submissions in order to request comment and gain additional time to analyze the submissions, after which, absent CFTC objection, the MAT determination self-certifies. Exchange trading of the swap or swaps described by each MAT determination is required 30 days after self-certification occurs. The Javelin and trueEX MAT determinations had been stayed by the CFTC. The stay expired without the CFTC objecting, so they automatically self-certified, becoming effective 30 days after the expiration of the stay. Determinations are not infrastructure-specific, meaning that if one determination is certified, then all swaps covered by that determination must be exchange traded but are not required to be traded on the infrastructure that sought the determination.
For further information on mandatory swap clearing and exchange trading under Title VII and related rulemaking, see Practice Note, Summary of the Dodd-Frank Act: Swaps and Derivatives: Swap Clearing and Exchange Trading under Title VII.

CDS MAT Summary

The following CDS are subject to mandatory exchange trading under Title VII of the Dodd-Frank Act as of February 26, 2014, pursuant to the Tradeweb (TW) and MarketAxess MAT determinations, and may only be entered into on a CFTC-registered SEF or DCM as of that date:
Untranched Credit Default Swap Indices
(this excludes certain "packaged" swaps which must be exchange traded as of May 16, 2014 (see CFTC No-action Letter 14-12))
Reference Entities
Corporate
Corporate
Region
North America
Europe
Indices
CDX.NA.IG  
CDX.NA.HY
iTraxx Europe  
iTraxx Europe Crossover
Tenor
CDX.NA.IG 5Y  
CDX.NA.HY 5Y
iTraxx Europe 5Y  
iTraxx Europe Crossover 5Y
Applicable Series
At any time, the then-current on-the-run series and the preceding series that was replaced by the current one

IRS MAT Compliance Breakdown

IRS That Must Be Exchange Traded As of February 15, 2014

The following IRS are subject to mandatory exchange trading under Title VII of the Dodd-Frank Act as of February 15, 2014, pursuant to the Javelin MAT determination, and may only be entered into on a CFTC registered SEF or DCM as of that date (see Legal Update, Mandatory Exchange Trading of Interest Rate Swaps to Begin on February 15, 2014):
Fixed-to-Floating Interest Rate Swaps 
(this excludes certain "packaged" swaps which must be exchange traded as of May 16, 2014 (see CFTC No-action Letter 14-12))
Currency
US Dollar (USD)
US Dollar (USD)
Euro (EUR)
Floating Rate Indexes
USD LIBOR
USD LIBOR
EURIBOR
Trade Start Type
Spot Starting (T+2)
IMM Start Date  (next two quarterly IMM start dates)
Spot Starting (T+2)
Optionality 
No
No
No
Dual Currencies
No
No
No
Notional
Fixed Notional
Fixed Notional
Fixed Notional
Tenors
2, 3, 5, 7, 10, 12, 15, 20, 30 years
2, 3, 5, 7, 10, 12, 15, 20, 30 years
2, 3, 5, 7, 10, 15, 20, 30 years   

IRS That Must Be Exchange Traded As of February 21, 2014

The following IRS are subject to mandatory exchange trading under Title VII of the Dodd-Frank Act as of February 21, 2014, pursuant to the trueEX MAT determination, and may only be entered into on a CFTC registered SEF or DCM as of that date:
Fixed-to-Floating Interest Rate Swaps
(this excludes certain "packaged" swaps which must be exchange traded as of May 16, 2014 (see CFTC No-action Letter 14-12))
Currency
US Dollar (USD)
Floating Rate Indexes
USD LIBOR
Trade Start Type
IMM Start Date (next two IMM dates)
Optionality 
No
Fixed Leg
Payment Frequency
Semi-Annual
Day Count Convention
30/360
Floating Leg
Reset Frequency
Quarterly (3 month)
Day Count Convention
Actual/360
Dual Currencies
No
Notional
Fixed Notional
Fixed Rate
Standard Coupon*
Tenors
1, 2, 3, 5, 7, 10, 15, 20, 30 years   
*Standard Coupon refers to the then-current fixed coupon rates for Market Agreed Coupon (MAC) contracts (see Legal Update, Standard Market Agreed Coupon (MAC) Interest Rate Swap Confirmation Introduced by ISDA).

IRS That Must Be Exchange Traded As of February 26, 2014

The following IRS are subject to mandatory exchange trading under Title VII of the Dodd-Frank Act as of February 26, 2014, pursuant to the TW MAT determination, and may only be entered into on a CFTC registered SEF or DCM as of that date:
Fixed-to-Floating Interest Rate Swaps (USD)
(this excludes certain "packaged" swaps which must be exchange traded as of May 16, 2014 (see CFTC No-action Letter 14-12))
Currency
US Dollar (USD)
US Dollar (USD)
US Dollar (USD)
Floating Rate Indexes
USD LIBOR
USD LIBOR
USD LIBOR
Trade Start Type
Spot Starting (T+2)
IMM Start Date (next two IMM dates)
IMM Start Date (next two IMM dates)
Optionality 
No
No
No
Fixed Leg
Payment Frequency
Semi-Annual, Annual
Semi-Annual, Annual
Semi-Annual
Day Count Convention
30/360, Actual/360
30/360, Actual/360
30/360
Floating Leg
Reset Frequency
Quarterly, Semi-Annually
Quarterly, Semi-Annually
Quarterly
Day Count Convention
Actual/360
Actual/360
Actual/360
Dual Currencies
No
No
No
Notional
Fixed Notional
Fixed Notional
Fixed Notional
Fixed Rate
Par
Par
Standard Coupon*
Tenors**
4 and 6 years
4 and 6 years
4 years
*Standard Coupon refers to the then-current fixed coupon rates for Market Agreed Coupon (MAC) contracts (see Legal Update, Standard Market Agreed Coupon (MAC) Interest Rate Swap Confirmation Introduced by ISDA).
**Par coupon swaps with a tenor of 4 or 6 years that are made available to trade are limited to the 3M USD LIBOR floating rate index; Quarterly Reset Frequency; and the following fixed leg conventions: (1) Semi-Annual and 30/360; or (2) Annual and Actual/360.
Fixed-to-Floating Interest Rate Swaps (Non-USD)
(this excludes certain "packaged" swaps which must be exchange traded as of May 16, 2014 (see CFTC No-action Letter 14-12))
Currency
Euro (EUR)
Sterling (GBP)
Floating Rate Indexes
EURIBOR
GBP LIBOR
Trade Start Type
Spot Starting (T+2)
Spot Starting (T+2)
Optionality 
No
No
Fixed Leg
Payment Frequency
Semi-Annual, Annual
Quarterly, Semi-Annual
Day Count Convention
30/360, Actual/360
Actual/365F
Floating Leg
Reset Frequency
Quarterly, Semi-Annually
Quarterly, Semi-Annual   
Day Count Convention
Actual/360
Actual/360F
Dual Currencies
No
No
Notional
Fixed Notional
Fixed Notional
Fixed Rate
Par
Par
Tenors***
4 and 6 years
2, 3, 4, 5, 6, 7, 10, 15, 20, 30 years
***Euro (EUR)-denominated, par coupon swaps with a tenor of 4 or 6 years that are made available to trade are limited to the following fixed leg conventions: Annual and 30/360

Composite IRS MAT Summary

The following tables summarize all IRS MATs that have been deemed certified to date by the CFTC and which must be executed on a CFTC-registered SEF or DCM no later than February 26, 2014. Certain of the IRS listed in the table below must be exchange traded as of February 15, 2014 or February 21, 2014 (see IRS MAT Compliance Breakdown). These tables are a composite of all of the IRS MAT tables listed above under IRS MAT Compliance Breakdown.
Fixed-to-Floating Interest Rate Swaps (USD)
(this excludes certain "packaged" swaps which must be exchange traded as of May 16, 2014 (see CFTC No-action Letter 14-12))
Currency
US Dollar (USD)
US Dollar (USD)
US Dollar (USD)
Floating Rate Indexes
USD LIBOR
USD LIBOR
USD LIBOR
Trade Start Type
Spot Starting (T+2)
IMM Start Date (next two IMM dates)
IMM Start Date (next two IMM dates)
Optionality 
No
No
No
Fixed Leg
Payment Frequency
Semi-Annual, Annual
Semi-Annual, Annual
Semi-Annual
Day Count Convention
30/360, Actual/360
30/360, Actual/360
30/360
Floating Leg
Reset Frequency
Quarterly, Semi-Annually
Quarterly, Semi-Annually
Quarterly
Day Count Convention
Actual/360
Actual/360
Actual/360
Dual Currencies
No
No
No
Notional
Fixed Notional
Fixed Notional
Fixed Notional
Fixed Rate
Par
Par
Standard Coupon*
Tenors**
2, 3, 4, 5, 6, 7, 10, 12, 15, 20, 30 years
2, 3, 4, 5, 6, 7, 10, 12, 15, 20, 30 years
1, 2, 3, 4, 5, 7, 10, 15, 20, 30 years   
*Standard Coupon refers to the then-current fixed coupon rates for Market Agreed Coupon (MAC) contracts (see Legal Update, Standard Market Agreed Coupon (MAC) Interest Rate Swap Confirmation Introduced by ISDA).
**Par coupon swaps with a tenor of 4 or 6 years that are made available to trade are limited to the 3M USD LIBOR floating rate index; Quarterly Reset Frequency; and the following fixed leg conventions: (1) Semi-Annual and 30/360; or (2) Annual and Actual/360.
Fixed-to-Floating Interest Rate Swaps (Non-USD)
(this excludes certain "packaged" swaps which must be exchange traded as of May 16, 2014 (see CFTC No-action Letter 14-12))
Currency
Euro (EUR)
Sterling (GBP)
Floating Rate Indexes
EURIBOR
GBP LIBOR
Trade Start Type
Spot Starting (T+2)
Spot Starting (T+2)
Optionality 
No
No
Fixed Leg
Payment Frequency
Semi-Annual, Annual
Quarterly, Semi-Annual
Day Count Convention
30/360, Actual/360
Actual/365F
Floating Leg
Reset Frequency
Quarterly, Semi-Annual
Quarterly, Semi-Annual   
Day Count Convention
Actual/360
Actual/365F
Dual Currencies
No
No
Notional
Fixed Notional
Fixed Notional
Fixed Rate
Par
Par
Tenors***
2, 3, 4, 5, 6, 7, 10, 15, 20, 30 years
2, 3, 4, 5, 6, 7, 10, 15, 20, 30 years
***Euro (EUR)-denominated, par coupon swaps with a tenor of 4 or 6 years that are made available to trade are limited to the following fixed leg conventions: Annual and 30/360