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Target 2 Securities: An Introduction
Background
In the last decade, the European financial services industry has made considerable
progress in reducing costs and risk, as well as in promoting competition within the
Single Market. The payments industry in Europe has a core, borderless infrastructure
for real - time settlement in central bank money (i.e. TARGET2) provided by
Eurosystem that supports the banking industry in delivering pan-European payment
instruments and infrastructures (i.e. SEPA). But due to differences both in market
practices and in legal, regulatory and fiscal regimes, there has been less progress in
integrating national securities markets.

Europe being comparable to the US, in terms of economic size, but firms in the
United States can operate in a single, large domestic market. However, Europe’s post-
trading sector is fragmented into numerous national markets leading to higher costs of
doing so. Hence, Europe lags a long way behind the United States in terms of both the
volume of transactions and the cost of those transactions, due to lack of integration.

The Markets in Financial Instruments Directive (MiFID) is stimulating competition
between trading platforms (traditional stock exchanges or new multilateral trading
facilities), thereby forcefully addressing the gap in trading.

The cost gap is particularly large for cross-border securities settlement. Al though
there have been successful mergers between CSDs in the past – and there may be
more in the future – it seems that this process of consolidation by merger is unlikely
to deliver an integrated market infrastructure for Europe in the near future.

In order to remove the “Giovannini barriers” to achieve harmonising practices,
legislation, regulation and tax, two significant measures are underway:

    • EMIR: The European Commission is finalising a draft proposal on market
      infrastructures dealing with central counterparties, clearing, derivative
      contracts and trade repositories (known as the European Market Infrastructure
      Regulation).

    • T2S: It will foster the required transformation in intermediation between
      issuers and investors by stimulating the development by financial market
      participants of a competitive and efficient European market.

Target 2 Securities
Unlike Target 2, which is an initiative in Europe where cash settlement in Central
Bank Money is done in a single platform, securities settlement in the region is highly
fragmented with multiple CSDs involved. T2S (Target 2 Securities) will be a single
technical platform for core, neutral borderless securities settlement with DvP in
CeBM (Central Bank Money) having multi currency dimension. The current trade life
cycle scenario in Europe looks to be highly fragmented as compared to US:



Copyright@ 2012 Prithviraj P Choudhury
No of MI Entities             Europe                           US
Involved
Trading                       9                                3
Clearing                      7                                2
Settlement and Asset          8                                2
Servicing
Cash settlement               5                                1




                    Fig 1: Trade Lifecycle- Europe vs US (Source: ECB)

T2S is not a CSD but a service offered to CSDs for settlement only that will range
from Custody and Asset servicing like Corporate Actions and Settlement functions
like change of Ownership among investors. Currently 30 CSDs have committed
to work towards T2S for settlement in Euro and 3 Scandinavian currencies. T2S
will now be based on an integrated model by Eurosystem where a single technical
platform will hold both Central bank cash accounts and securities accounts to settle
securities in central bank money (shown below).




                       Fig 2: Types of Accounts in T2S (Source: ECB)


Copyright@ 2012 Prithviraj P Choudhury
Features in T2S
The main features of T2S can be categorised as follows:

   •   Optimised settlement model
          o CSD securities
          o CeBM cash
   •   RTGS combined with
          o Auto-collateralisation
          o Continuous optimization
          o Recycling mechanisms
   •   Other services
          o Matching services
          o Single account repository etc.

Based on the economies of scale principle, by pooling more securities settlement
together in the same place, market participants will achieve lower transaction costs
and unimpeded access to an even wider range of securities. Much of the growth will
be in cash trading and in collateral markets, which contribute greatly to liquidity but
are low margin activities.

T2S will provide DvP settlement in real time with auto-collateralisation and
optimisation procedures, irrespective of which CSD and national central bank (NCB)
provides the respective underlying securities and central bank money accounts. To
facilitate safe cross- CSD settlement, it will provide realignment in real time when
securities issued in one CSD are settled in another CSD. CSDs joining T2S will thus
be able to offer their clients crossborder settlement in central bank money at the same
cost as domestic services – a service that is not available today. Thus all settlements in
T2S become “European domestic”.

T2S will provide harmonised and commoditised delivery-versus-payment (DVP)
settlement in central bank money in euro as well as other European currencies in
virtually all securities circulating in Europe. Settlement in T2S will be very safe
because it will involve payment in only central bank money. The platform will be
highly reliable, scalable and robust.




Copyright@ 2012 Prithviraj P Choudhury
Stakeholders in T2S
The post T2S trading network will look like the following:




       Fig 3: Post T2S Trading Network (Source: Market impact of T2S by Claudio Anfossi)

CSDs will represent the only gateways through which market participants can access
T2S services and it will be the CSDs that contract with the Eurosystem for T2S
services. There will be network effect on other market participants as well involved in
custody or settlement business lines:




Fig 4: T2S Participants in different business lines (Source: Market impact of T2S by Claudio Anfossi)

CSDs’ clients, central clearing counterparties (CCPs) and trading platforms can
choose to have a direct or technical connection to T2S. A market participant’s
decision on direct or indirect connectivity will depend, inter alia, on the willingness of
the CSD to offer the service, the participant’s technical competence and the pricing of
such services by the CSDs.

Direct connectivity will have the following benefits:


Copyright@ 2012 Prithviraj P Choudhury
• Participants be able to input settlement instructions directly into T2S and
      supply and receive information relevant to processing and status.
   • Participants will operate direct memberships of multiple CSDs
    • CSDs to reach a wider set of international securities, counterparties and
      clients.

However, the market participants’ legal relationship, however, will remain with
the CSD(s) in which they choose to keep their accounts, regardless of the kind of
connectivity the participants have chosen.




                       Fig 4: T2S Participant connection (Source: ECB)

A CSD offering both direct and indirect options provides maximum flexibility for
financial market participants, entails no significant additional cost for T2S and may
well both require and be a driver towards harmonisation.

A CSD that adapts efficiently so that T2S becomes an integral part of its IT
architecture, rather than simply adding it as another layer on top of its existing
systems, will be in the best position to offer high-quality services at the lowest prices
in the future T2S world. By fully relying on T2S and minimising the replication of
data and systems, CSDs and their users will benefit the most from T2S. Such a route
will, of course, not be easy and will require a certain amount of initial investment by
CSDs to reshape their existing systems.




Copyright@ 2012 Prithviraj P Choudhury
Key phases in the T2S Programme Plan
There are four key phases in the project – specification, development, testing and
migration.

Specification phase: July 2008 to January 2010
The specification phase started in July 2008 and finished in January 2010 with
the publication of version 5.0 of the URD. This phase was devoted to drafting the
technical documentation that will be used for programming the T2S software. The
most important documents produced in this phase were the General Functional
Specifications (GFS v4.0) and the General Technical Design.

Development phase: February 2010 to December 2013
The development phase started in early 2010 after the technical documentation was
finalised. During this phase, the User Detailed Functional Specifications has been
drafted, the software for the T2S platform will be developed (70% complete until
now) and tested by the 4CB and non-functional testing will get underway. Towards
the end of the third quarter of 2013, the internal acceptance testing by the whole
Eurosystem will begin. The development phase will be completed, apart from bug
fixing, at the end of 2013, when the platform will be ready for user testing.




                       Fig 4: T2S Development Phase (Source: ECB)

User testing phase: January 2014 to September 2015
At the start of 2014, T2S will be open for a period of multilateral testing by all
external parties – CSDs, NCBs and banks which intend to be directly connected to
T2S. The testing activities will comprise interoperability tests, community tests with
banks and business-day tests. Testing will be completed after the full migration of the
last group of CSDs, which is expected by September 2015.




Copyright@ 2012 Prithviraj P Choudhury
Fig 4: T2S Future Stages (Source: ECB)

Start of operations/migration phase: September 2014 to September
2015
T2S will begin operations in September 2014, when the first group of CSDs join
T2S. The migration of CSDs to T2S will take place gradually over the following
year, in principle, in three migration waves. A comprehensive planning and reporting
framework has been established to ensure that all key stakeholders can monitor the
progress of the Eurosystem against the plan and synchronise their own plans with
the T2S plan. With regard to internal project management information, the T2S
project team reports on a monthly basis to the T2S Programme Board, and on a
quarterly basis to the Governing Council. With regard to external project management
information, the Eurosystem will report on a monthly basis to the CSDs and non-euro
area central banks, and on a quarterly basis to the T2S Advisory Group.

Coordination within markets:
For a smooth adaptation to T2S, there is a crucial need for coordination between
the Eurosystem and CSDs/NCBs, and between the CSDs/NCBs and their market
users and infrastructures. The T2S project plan will therefore indicate the relevant
dates and milestones when CSDs/NCBs and market participant s need to be prepared
for a specific activity and/or ready to make a financial investment (so-called
“synchronisation points”). The synchronisation points ensure that the Eurosystem,
NCBs and CSDs are progressing at the same pace during the lifecycle of the project.
The precise timing of the synchronisation point s will be discussed and agreed with
the market during the autumn of 2010.




Copyright@ 2012 Prithviraj P Choudhury

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T2S: An Introduction

  • 1. Target 2 Securities: An Introduction Background In the last decade, the European financial services industry has made considerable progress in reducing costs and risk, as well as in promoting competition within the Single Market. The payments industry in Europe has a core, borderless infrastructure for real - time settlement in central bank money (i.e. TARGET2) provided by Eurosystem that supports the banking industry in delivering pan-European payment instruments and infrastructures (i.e. SEPA). But due to differences both in market practices and in legal, regulatory and fiscal regimes, there has been less progress in integrating national securities markets. Europe being comparable to the US, in terms of economic size, but firms in the United States can operate in a single, large domestic market. However, Europe’s post- trading sector is fragmented into numerous national markets leading to higher costs of doing so. Hence, Europe lags a long way behind the United States in terms of both the volume of transactions and the cost of those transactions, due to lack of integration. The Markets in Financial Instruments Directive (MiFID) is stimulating competition between trading platforms (traditional stock exchanges or new multilateral trading facilities), thereby forcefully addressing the gap in trading. The cost gap is particularly large for cross-border securities settlement. Al though there have been successful mergers between CSDs in the past – and there may be more in the future – it seems that this process of consolidation by merger is unlikely to deliver an integrated market infrastructure for Europe in the near future. In order to remove the “Giovannini barriers” to achieve harmonising practices, legislation, regulation and tax, two significant measures are underway: • EMIR: The European Commission is finalising a draft proposal on market infrastructures dealing with central counterparties, clearing, derivative contracts and trade repositories (known as the European Market Infrastructure Regulation). • T2S: It will foster the required transformation in intermediation between issuers and investors by stimulating the development by financial market participants of a competitive and efficient European market. Target 2 Securities Unlike Target 2, which is an initiative in Europe where cash settlement in Central Bank Money is done in a single platform, securities settlement in the region is highly fragmented with multiple CSDs involved. T2S (Target 2 Securities) will be a single technical platform for core, neutral borderless securities settlement with DvP in CeBM (Central Bank Money) having multi currency dimension. The current trade life cycle scenario in Europe looks to be highly fragmented as compared to US: Copyright@ 2012 Prithviraj P Choudhury
  • 2. No of MI Entities Europe US Involved Trading 9 3 Clearing 7 2 Settlement and Asset 8 2 Servicing Cash settlement 5 1 Fig 1: Trade Lifecycle- Europe vs US (Source: ECB) T2S is not a CSD but a service offered to CSDs for settlement only that will range from Custody and Asset servicing like Corporate Actions and Settlement functions like change of Ownership among investors. Currently 30 CSDs have committed to work towards T2S for settlement in Euro and 3 Scandinavian currencies. T2S will now be based on an integrated model by Eurosystem where a single technical platform will hold both Central bank cash accounts and securities accounts to settle securities in central bank money (shown below). Fig 2: Types of Accounts in T2S (Source: ECB) Copyright@ 2012 Prithviraj P Choudhury
  • 3. Features in T2S The main features of T2S can be categorised as follows: • Optimised settlement model o CSD securities o CeBM cash • RTGS combined with o Auto-collateralisation o Continuous optimization o Recycling mechanisms • Other services o Matching services o Single account repository etc. Based on the economies of scale principle, by pooling more securities settlement together in the same place, market participants will achieve lower transaction costs and unimpeded access to an even wider range of securities. Much of the growth will be in cash trading and in collateral markets, which contribute greatly to liquidity but are low margin activities. T2S will provide DvP settlement in real time with auto-collateralisation and optimisation procedures, irrespective of which CSD and national central bank (NCB) provides the respective underlying securities and central bank money accounts. To facilitate safe cross- CSD settlement, it will provide realignment in real time when securities issued in one CSD are settled in another CSD. CSDs joining T2S will thus be able to offer their clients crossborder settlement in central bank money at the same cost as domestic services – a service that is not available today. Thus all settlements in T2S become “European domestic”. T2S will provide harmonised and commoditised delivery-versus-payment (DVP) settlement in central bank money in euro as well as other European currencies in virtually all securities circulating in Europe. Settlement in T2S will be very safe because it will involve payment in only central bank money. The platform will be highly reliable, scalable and robust. Copyright@ 2012 Prithviraj P Choudhury
  • 4. Stakeholders in T2S The post T2S trading network will look like the following: Fig 3: Post T2S Trading Network (Source: Market impact of T2S by Claudio Anfossi) CSDs will represent the only gateways through which market participants can access T2S services and it will be the CSDs that contract with the Eurosystem for T2S services. There will be network effect on other market participants as well involved in custody or settlement business lines: Fig 4: T2S Participants in different business lines (Source: Market impact of T2S by Claudio Anfossi) CSDs’ clients, central clearing counterparties (CCPs) and trading platforms can choose to have a direct or technical connection to T2S. A market participant’s decision on direct or indirect connectivity will depend, inter alia, on the willingness of the CSD to offer the service, the participant’s technical competence and the pricing of such services by the CSDs. Direct connectivity will have the following benefits: Copyright@ 2012 Prithviraj P Choudhury
  • 5. • Participants be able to input settlement instructions directly into T2S and supply and receive information relevant to processing and status. • Participants will operate direct memberships of multiple CSDs • CSDs to reach a wider set of international securities, counterparties and clients. However, the market participants’ legal relationship, however, will remain with the CSD(s) in which they choose to keep their accounts, regardless of the kind of connectivity the participants have chosen. Fig 4: T2S Participant connection (Source: ECB) A CSD offering both direct and indirect options provides maximum flexibility for financial market participants, entails no significant additional cost for T2S and may well both require and be a driver towards harmonisation. A CSD that adapts efficiently so that T2S becomes an integral part of its IT architecture, rather than simply adding it as another layer on top of its existing systems, will be in the best position to offer high-quality services at the lowest prices in the future T2S world. By fully relying on T2S and minimising the replication of data and systems, CSDs and their users will benefit the most from T2S. Such a route will, of course, not be easy and will require a certain amount of initial investment by CSDs to reshape their existing systems. Copyright@ 2012 Prithviraj P Choudhury
  • 6. Key phases in the T2S Programme Plan There are four key phases in the project – specification, development, testing and migration. Specification phase: July 2008 to January 2010 The specification phase started in July 2008 and finished in January 2010 with the publication of version 5.0 of the URD. This phase was devoted to drafting the technical documentation that will be used for programming the T2S software. The most important documents produced in this phase were the General Functional Specifications (GFS v4.0) and the General Technical Design. Development phase: February 2010 to December 2013 The development phase started in early 2010 after the technical documentation was finalised. During this phase, the User Detailed Functional Specifications has been drafted, the software for the T2S platform will be developed (70% complete until now) and tested by the 4CB and non-functional testing will get underway. Towards the end of the third quarter of 2013, the internal acceptance testing by the whole Eurosystem will begin. The development phase will be completed, apart from bug fixing, at the end of 2013, when the platform will be ready for user testing. Fig 4: T2S Development Phase (Source: ECB) User testing phase: January 2014 to September 2015 At the start of 2014, T2S will be open for a period of multilateral testing by all external parties – CSDs, NCBs and banks which intend to be directly connected to T2S. The testing activities will comprise interoperability tests, community tests with banks and business-day tests. Testing will be completed after the full migration of the last group of CSDs, which is expected by September 2015. Copyright@ 2012 Prithviraj P Choudhury
  • 7. Fig 4: T2S Future Stages (Source: ECB) Start of operations/migration phase: September 2014 to September 2015 T2S will begin operations in September 2014, when the first group of CSDs join T2S. The migration of CSDs to T2S will take place gradually over the following year, in principle, in three migration waves. A comprehensive planning and reporting framework has been established to ensure that all key stakeholders can monitor the progress of the Eurosystem against the plan and synchronise their own plans with the T2S plan. With regard to internal project management information, the T2S project team reports on a monthly basis to the T2S Programme Board, and on a quarterly basis to the Governing Council. With regard to external project management information, the Eurosystem will report on a monthly basis to the CSDs and non-euro area central banks, and on a quarterly basis to the T2S Advisory Group. Coordination within markets: For a smooth adaptation to T2S, there is a crucial need for coordination between the Eurosystem and CSDs/NCBs, and between the CSDs/NCBs and their market users and infrastructures. The T2S project plan will therefore indicate the relevant dates and milestones when CSDs/NCBs and market participant s need to be prepared for a specific activity and/or ready to make a financial investment (so-called “synchronisation points”). The synchronisation points ensure that the Eurosystem, NCBs and CSDs are progressing at the same pace during the lifecycle of the project. The precise timing of the synchronisation point s will be discussed and agreed with the market during the autumn of 2010. Copyright@ 2012 Prithviraj P Choudhury