As communicated in the last publication of InSync, there is currently an industry-wide effort underway in Canada to shorten the securities settlement cycle from the current timeline of three days after the trade date (T+3) to two days after the trade date (T+2).
On April 2, 2015, The Canadian Securities Administrators (CSA) published Staff
Notice 24-213 Preparing for the Implementation of T+2 Settlement (the ”Notice”). In the Notice, the CSA advised that the Ontario Securities (OSC) obtained feedback from industry participants and reached the conclusion that Canada must implement T+2 settlement concurrently with the United States due to the number of inter-listed securities and high volume and value of cross-border transactions. The current timeline is:
- Q2 2015 – ISC recommends rule changes to regulators
- Q3 2015 – Regulators provide regulatory support and priority for the move to T+2
- Q4 2015 – Regulators publish proposed rule change
- Q2 2016 – Regulators publish final rule changes and implementation dates
- Q3 2017 – Implementation of T+2
- identify all areas (system development, procedure, process, etc.) that need to be addressed,
- identify the solution(s) to the above,
- gain industry agreement on required standards,
- identify rule changes, if any,
- agree on timelines,
- coordinate activities to complete the tasks,
- educate those in need of education,
- be a spokesperson for the T+2 initiative,
- plan the industrywide testing that will be needed to ensure overall industry readiness, and
- coordinate with the US to ensure a lock-step approach with regards to implementation.
Three working groups have also been established by the CCMA and have started meeting.
1. The Legal and Regulatory Working Group (LRWG) has the responsibility of identifying any areas where rule changes may be required and are responsible for coordinating the process to have any required rule changes approved by the appropriate governing bodies.
2. The Communication and Education Working Group (CEWG) is charged with ensuring that any information about T+2 is circulated to all industry representatives and then made available to the public. They will also manage the information to be posted on the CCMA website, or any other method of public dissemination.
3. The Operational Working Group (OWG) will be accountable for identifying any processes, procedures or areas of conflict that may prevent T+2 from being successfully implemented.