R.T. Leuchtkafer's Bibliography
R.T. Leuchtkafer's Bibliography
R.T. Leuchtkafer's Bibliography
Introduction This document is a bibliography of resources on the capital markets, particularly on some of the negative effects of high frequency trading (HFT). It contains a wide variety of evidence-based academic, government, and industry research. Research noted here also discusses how the most common business model employed by todays high frequency traders (unregulated market making or scalping) can be disruptive several of these studies even predate automation. Along with evidence-based research, this bibliography includes press editorials, op-eds, other commentary, and a variety of statements from government bodies and government officials from around the world about high frequency trading. - R. T. Leuchtkafer, December 2012
Contents
High frequency trading defined Evidence-based research papers Press editorials Op-eds and commentary Books and documentaries Government (central banks) Government (regulators) Government (legislators) Government (other) 2 4 15 16 19 20 21 22 23
1 December 2012
2 December 2012
Regulators "[H]F traders execute trades in matters of milliseconds on electronic order books and hold new equity positions possibly down to a sub-second. HFT generally involves getting in and out of positions throughout the day with a flat position at the end of the day." Committee of European Securities Regulators, "Micro-structural issues of the European equity markets" (2010) . "Trading activities that employ sophisticated, algorithmic technologies to interpret signals from the market and, in response, implement trading strategies that generally involve the high frequency generation of orders and a low latency transmission of these orders to the market. Related trading strategies mostly consist of either quasi market making or arbitraging within very short time horizons. They usually involve the execution of trades on own account (rather than for a client) and positions usually being closed out at the end of the day." European Securities and Markets Authority, "Final Report: Guidelines on systems and controls in an automated trading environment for trading platforms, investment firms and competent authorities." (2011) . "We generally characterise HFT as automatically generating large numbers of orders based on price movements and market information, holding positions for a very short time, and ending the day with a zero position." Greg Medcraft, Chairman, Australian Securities and Investments Commission (2012). "Other characteristics often attributed to proprietary firms engaged in HFT are...(3) very short time-frames for establishing and liquidating positions..." Mary L. Schapiro, Chairman, U.S. Securities and Exchange Commission, testimony before the Subcommittee on Securities, Insurance, and Investment of the United States Senate Committee on Banking, Housing, and Urban Affairs, May 20, 2010. "A number of common features and trading charcteristics related to HFT can be identified...It is characterized by a high daily portfolio turnover and order to trade ratio (i.e. a large number of orders are cancelled in comparison to trades executed); It usually involves flat or near flat positions at the end of the trading day...Positions are often held for as little as seconds or even fractions of a second." Technical Committee of the International Organization of Securities Commissions, "Regulatory Issues Raised by the Impact of Technological Changes on Market Integrity and Efficiency: Final Report" (2011) . "Other characteristics often attributed to proprietary firms engaged in HFT are...(3) very short timeframes for establishing and liquidating positions..." U.S. Securities and Exchange Commission, "Concept Release of Equity Market Structure" (2010) . "There is no widely accepted definition of HFT, but it typically exhibits some common characteristics, such as: (1) high volume of trades on a daily basis but low level of profits per trade; (2) extreme short stock holding period (I know of one HFT firm operated out of the west coast of the US that boasts its average holding period for US equities is 11 seconds); (3) submitting numerous orders; and (4) no significant open position overnight." Martin Wheatley, CEO of the Securities and Futures Commission in Hong Kong, and former deputy chief executive of the London Stock Exchange, (2010).
3 December 2012
Baron, Brogaard, Kirilenko, The Trading Profits of High Frequency Traders (2012)
Benos, Sagade, Highfrequency trading behaviour and its impact on market quality: evidence from the UK equity market (2012)
4 December 2012
Bichetti, Maystre, "The synchronized and longlasting structural change on commodity markets: evidence from high frequency data" (2012)
"This paper documented striking similarities in the evolution of the rolling correlations between the returns on several commodity futures and the ones on the US stock market, computed at high frequencies...we think that HFT strategies, in particular the trend-following ones, are playing a key role...commodity markets are more and more prone to events in global financial markets and likely to deviate from their fundamentals." Overall, our results show that algorithmic trading often improves liquidity, but this effect is smaller when market making is difficult and for low-priced or high-volatility stocks. It reverses for small cap stocks, where AT is associated with a decrease in liquidity. AT usually improves efficiency. The main costs associated with AT appear to be elevated levels of volatility. This effect prevails even for large market cap, high price, or low volatility stocks, but it is more pronounced in smaller, low price, or high volatility stocks. "Our findings suggest that the activity of algorithmic traders can have impact beyond the immediate trading environment and potentially affect the more fundamental functions of capital markets, such as the allocation of capital to firms."; "We find that greater AT intensity is, on average, associated with declines in equity capital in the next year. This result is only partly driven by a decline in new securities issues; rather, greater AT intensity is associated with an increase in repurchase activity. These results control for market capitalization, bookto-market, volatility, liquidity, and information asymmetry at the firm level, and for secular trends at the market level..." Excluding HFT from a market center results in lower volatility, less front-running, and higher execution quality for institutional traders. "We show that the flash crash was not just a 20 minute glitch as it has been described in [the] popular press. Overall, the flash crash is a significant event that affected shareholder wealth, trading costs, and volatility of stocks."; "Our results suggest that seemingly fleeting events, such as the flash crash, can have dramatic and lingering effects on shareholder wealth and market quality." The results from this study suggest that if a majority of trading in a given stock takes place in undisplayed venues, spreads
Boehmer, Fong, Wu, "Algorithmic Trading and Changes in Firms' Equity Capital" (2012)
Boulton, Braga-Alves, Kulchania, "The Flash Crash: Effects on Shareholder Wealth and Market Quality" (2012)
CFA Institute, Dark Pools, Internalization, and Equity Market Quality (2012)
5 December 2012
will likely increase and market quality will deteriorate. If the majority of order flow is filled away from pre-trade transparent markets, investors could withdraw quotes because of the reduced likelihood of those orders being filled. As investors become disincentivized from displaying orders, bid offer spreads are likely to widen. Therefore, competition should be maintained to encourage aggressive quoting in displayed order books and a predominance of dark trading should be avoided. Chae, Wang, "Determinants of Trading Profits: The Liquidity Provision Decision" (2009) Taiwanese equities, 1997-2002 Absent mandatory obligations, market maker privileges dont induce market makers to provide liquidity; privileged but unconstrained market makers make profits when demanding liquidity in their own informed trades; unconstrained market makers are informed traders rather than liquidity providers in most scenarios. Based on this result, we conjecture that higher volatility in asset prices and larger fluctuations in liquidity in recent years may be due, at least in part, to the reduced role of [traditional, regulated] market makers and the increased role of high-frequency traders who do not have the affirmative obligation of the traditional market makers. These findings should prove useful to market regulators who are interested in devising a more robust market structure. "Our main finding is that, controlling for other factors, there is a reliable and economically substantial positive relation between volume of trading and stock volatility. The conclusion is that stock trading produces its own volatility above and beyond that based on fundamentals..."; "The combined impression from these results is that stock trading injects an economically substantial layer of volatility above and beyond that based on fundamentals, especially at high levels of trading." Unregulated or unconstrained HFT market makers can exacerbate price volatility when they dump inventory and withdraw, flash crashes will recur because of structural issues. We find that quote stuffing is pervasive with several hundred events occurring each trading day and that quote stuffing impacts over 74% of US listed equities during our sample period. Our results show that, in periods of intense quoting activity, stocks
Easley, Lopez del Prado, OHara, "The Microstructure of the Flash Crash" (2011)
6 December 2012
experience decreased liquidity, higher trading costs, and increased short-term volatility. Our results suggest that the HFT strategy of quote stuffing may exhibit some features that are criticized in the media. Ferguson, Mann, "Execution Costs and Their Intraday Variation in Futures Markets" (2001) U.S. futures, 1992 Unregulated or unconstrained market makers in the futures market have much more rapid inventory cycles than (regulated) equity market makers, are active rather than passive traders, and "actively trade for their own accounts, profiting from their privileged access..." Unregulated or unconstrained market makers are not passive liquidity providers, they behave aggressively like informed traders.
Frino, Forrest, Duffy, "Life in the pits: competitive market making and inventory control-further Australian evidence" (1999) Frino, Jarnecic, "An empirical analysis of the supply of liquidity by locals in futures markets: Evidence from the Sydney Futures Exchange" (2000) Frino, Jarnecic, Feletto, "Local Trader Profitability in Futures Markets: Liquidity and Position Taking Profits" (2009) Golub, Keane, Mini Flash Crashes (2011)
Unregulated or unconstrained market makers demand liquidity to profit from information advantages of privileged access, less likely to supply liquidity in volatile markets, almost as likely to demand as to supply liquidity.
"As soon as the [HFT] market maker's risk management limits are breached...the market maker has to stop providing liquidity and start to aggressively take liquidity, by selling back the shares bought moments earlier. This way they push the price further down and thus exaggerate the downward movement." We find strong evidence that Mini Flash Crashes have an adverse impact on market liquidity and are associated with Fleeting Liquidity.; Given the speed and the magnitude of the crashes, it appears likely that Mini Flash Crashes are caused by HFT activity. "A key message: despite commonly held negative perceptions, the available evidence indicates that high frequency trading (HFT) and algorithmic trading (AT) may have several beneficial effects on markets. However, HFT/AT may cause instabilities in financial markets in specific circumstances."
Golub, Keane, Poon, High Frequency Trading and Mini Flash Crashes (2012)
Government Office for Science, "Foresight: The Future of Computer Trading in Financial Markets, Final Project Report: Executive Summary" (2012)
7 December 2012
Hautsch, Huang, "On the Dark Side of the Market: Identifying and Analyzing Hidden Order Placements" (2012)
A frequent criticism of the proprietary data feeds exchanges sell to HFT firms is that the feeds reveal information investors reasonably believe is confidential; Using data from the NASDAQ TotalView message stream allows us to retrieve information on hidden depth from one of the largest equity markets in the world. "HFTs' aggressive purchases predict future aggressive buying by non-HFTs, and their aggressive sales predict future aggressive selling by non-HFTs"; "These findings suggest HFTs trade on forecasted price changes caused by buying and selling pressure from traditional asset managers." Note that while the author writes that On net, it is probable HFTs have a positive impact on market quality because of tighter spreads, investment managers might disagree.
Johnson, Zhao, Hunsader, Meng, Ravindar, Carran, Tivnan, Financial black swans driven by ultrafast machine ecology (2012)
The authors study "18,520 ultrafast black swan events that we have uncovered in stock-price movements between 2006 and 2011" and find "an abrupt systemwide transition from a mixed humanmachine phase to a new all-machine phase characterized by frequent black swan events with ultrafast durations." In the present environment, where high frequency and algorithmic trading predominate and where exchange competition has essentially eliminated rulebased market maker obligations, liquidity problems are an inherent difficulty that must be addressed. Indeed, even in the absence of extraordinary market events, limit order books can quickly empty and prices can crash simply due to the speed and numbers of orders flowing into the market and due to the ability to instantly cancel orders. "We find that when high frequency traders make use of fleeting orders actively, the level of informativeness in the limit order book declines. This evidence suggests, albeit indirectly, that massive use of limit orders including revision and cancellation by high frequency traders may potentially have negative effects on the market." Traditional market microstructure models have significantly underestimated market spreads in recent years. This is because of how trade sizes have decreased with the recent dominance of high frequency trading. When the authors correct for this they find
Joint CFTC-SEC Advisory Committee on Emerging Regulatory Issues, Recommendations Regarding Regulatory Responses to the Market Events of May 6, 2010 (2011)
Kang, Shin, "The Role of High Frequency Traders in Electronic Limit Order Markets" (2012)
Kim, Murphy, The Impact of High-Frequency Trading on Stock Market Liquidity Measures (2011)
8 December 2012
that spreads have not decreased as much as HFT proponents believe. Kirilenko, Samadi, Kyle, Tuzun, "The Flash Crash: The Impact of High Frequency Trading on an Electronic Market" (2010) U.S. futures, 2010 Unregulated or unconstrained HFT market makers exacerbated price volatility in the Flash Crash, hot potato trading, two minute market maker inventory half-life; [H]igh Frequency Traders exhibit trading patterns inconsistent with the traditional definition of market making. Specifically, High Frequency Traders aggressively trade in the direction of price changes...when rebalancing their positions, High Frequency Traders may compete for liquidity and amplify price volatility. Unregulated or unconstrained market makers demand liquidity to profit from information advantages of privileged access.
Kurov, Lasser, "Price Dynamics in the Regular and E-Mini Futures Markets" (2004) Linton, O'Hara, "The impact of computer trading on liquidity, price efficiency/ discovery and transaction costs" (2011)
"The nature of market making has changed, shifting from designated providers to opportunistic traders. High frequency traders now provide the bulk of liquidity, but their use of limited capital combined with ultrafast speed creates the potential for periodic illiquidity"; in "regular market conditions," liquidity has improved and transaction costs are lower. Unregulated or unconstrained market makers demand liquidity to manage inventories.
Locke, Sarajoti, "Interdealer Trading in Futures Markets" (2004) Lyons, "A Simultaneous Trade Model of the Foreign Exchange Hot Potato" (1997)
Model derived from empirical studies of 1992 U.S. foreign exchange market.
Demonstrates hot potato trading among unregulated or unconstrained market makers. "Hot potato trading" means cascading inventory imbalances from market maker to market maker in response to a large order. Hot potato trading explains most of the volume in foreign exchange markets. Hot potato trading is not innocuous - it makes prices less informative.
9 December 2012
trading begotten is relatively uninformative, arising from repeated passage of inventory imbalances among dealers...this could not arise under a specialist microstructure."
McInish, Upson "Strategic Liquidity Supply in a Market with Fast and Slow Traders" (2012)
Nanex has prepared some of the most compelling - and disturbing - evidence-driven analyses of U.S. capital market dislocations publicly available.
10 December 2012
Nasdaq, "Self-Regulatory Organizations; The NASDAQ Stock Market LLC; Notice of Filing of Proposed Rules Change to Amend Rule 4758(a)(1) (A) to Reflect a Change in Nasdaq's Routing Functionality" (2012)
U.S. equities
A remarkable statement by an exchange that quotes posted on US exchanges are often fleeting and inaccessible, resulting in inferior prices for investors; "NASDAQ has observed that upon partial execution of a routable order at NASDAQ...market participants often react to the order by cancelling their orders on other markets and entering new orders at inferior prices. This occurs because the current process directs the order to NASDAQ before attempting to access available liquidity at other markets and thereby allows market participants to react to the execution (an effect known as 'market impact' or 'information leakage'). As a consequence, the available shares at the away market are no longer available, resulting in a lower likelihood of successfully accessing liquidity on away markets (i.e., the 'fill rate') and an increased likelihood of ultimately receiving an execution at an inferior price." See also Van Kervel, "Liquidity: What You See is What You Get?"
Panayides, "Affirmative obligations and market making with inventory" (2007) Pragma Securities, "HFT and the Hidden Cost of Deep Liquidity" (2012)
"In this essay we present evidence that highfrequency traders' ('HFTs') profits come at the expense of investors. In competing to earn spreads and exchange rebates by posting passive orders, HFTs crowd out directional traders' passive orders, force them to cross the spread more often, and result in higher trading costs for investors." Changes in the microstructure of equity markets and the emergence of HFT competitors have changed the nature and magnitude of transaction costs. Sophisticated pattern recognition algorithms now present a real return burden to active equity managers.; Order anticipation strategies have long been a feature of equity markets. What have changed are the technology-fueled enhancements for improved pattern recognition, speed of execution and breadth of coverage...The complexity of these interrelationships and their close proximity to legitimate market making activities will be a challenge for regulators to grapple with.
Quantitative Services Group, Liquidity Change and Price Reversals: Is High Frequency Trading Adding Insult to Injury? (2010)
11 December 2012
Schroder Investment Management Limited, "High frequency trading: Credible research tells the story" (2011)
Literature review
"As standards in research continue to improve, simple default commentary such as HFT are 'liquidity providers,' HFT 'dampens volatility' and HFT 'decreases bid-ask spreads' have suffered something of a credibility anorexia despite their continued use by some." Unregulated or unconstrained market makers profit from the information advantages of privileged access, two minute inventory cycles.
Silber, "Marketmaker Behavior in an Auction Market: An Analysis of Scalpers in Futures Markets", (1984) Smidt, "Trading Floor Practices on Futures and Securities Exchanges: Economics, Regulation, and Policy Issues" (1985) United States Commodity Futures Trading Commission and Securities and Exchange Commission, "Findings Regarding the Market Events of May 6, 2010" (2010) United States Federal Trade Commission, "Report of the Federal Trade Commission on the Grain Trade," Volume 7 (1926)
On futures exchanges, inventory imbalances among unregulated or unconstrained market makers create "potentially unstable" markets and price overreactions during "scalper inventory liquidation." Unregulated or unconstrained HFT market makers exacerbated price volatility in the Flash Crash, hot potato trading. See also Kirilenko, Samadi, Kyle, Tuzun, "The Flash Crash: The Impact of High Frequency Trading on an Electronic Market"
Unregulated or unconstrained market makers both cause and exacerbate price volatility; The scalpers who operate with reference to fractional changes within the day may have a stabilizing effect on prices so far as such changes with the day are concerned, but when the market turns they run with it, and they may accentuate an upward or downward movement that is already considerable. Unregulated or unconstrained market makers demand liquidity for a substantial part of the day and are active and informed speculators.
Van der Wel, Menkveld, Sarkar, "Are Market Makers Uninformed and Passive? Signing Trades in the Absence of Quotes" (2009)
12 December 2012
Van Kervel, "Liquidity: What You See is What You Get?" (2012)
We show that a specific type of highfrequency traders, those who operate like modern day market makers, might in fact cause a strong overestimation of liquidity aggregated across trading venues. The reason is that these market makers place duplicate limit orders on several venues, and after execution of one limit order they quickly cancel their outstanding limit orders on competing venues. As a result, a single trade on one venue is followed by reductions in liquidity on all other venues. See also Nasdaq, "Self-Regulatory Organizations; The NASDAQ Stock Market LLC; Notice of Filing of Proposed Rules Change to Amend Rule 4758(a)(1)(A) to Reflect a Change in Nasdaq's Routing Functionality"
Venkataraman, Waisburd, "The Value of the Designated Market Maker" (2006) Wang, Chae, "Who Makes Markets? Do Dealers Provide or Take Liquidity?" (2003)
Designated market makers with affirmative obligations improve market quality, increase market valuation.
Absent mandatory obligations, market maker privileges dont induce market makers to provide liquidity; they derive profits from their own informed trades; While dealers may be meant to perform the socially beneficial function of liquidity provision, the institutional advantages granted to them also give the ability to act as super-efficient proprietary traders if they choose to. "Rather than supporting long-term company growth by bringing research, sales and capital to investors, high-frequency traders seek to make a quick profit by identifying short-term price discrepancies." Unregulated or unconstrained market makers are also trend traders, profiting from the information advantages of privileged access; they can trade aggressively, especially when the market goes against the firm; inventory cycles of "minutes"; trend trading accelerates price changes (but the author believes may moderate extremes).
Weild, Kim, Newport "The Trouble with Small Tick Sizes" (2012)
13 December 2012
"We find that stocks randomly grouped into the same channel have an abnormal correlation in message flow, which is consistent with the quote stuffing hypothesis."; "We also find that fleeting orders, or orders with a life less than 50 milliseconds, have trivial contributions to liquidity and no contributions to price efficiency." "[H]igh-frequency trading may potentially have some harmful effects" because "highfrequency trading is positively correlated with stock price volatility." Self-reinforcing feedback loops in computerbased trading can lead to significant instability in financial markets; market participants become inured to excessive volatility in a cultural "normalization of deviance" until a large-scale failure occurs; research to date has not shown a persistent increase in market volatility, but HFT research is nascent.
Zhang, High-Frequency Trading, Stock Volatility, and Price Discovery (2010) Zigrand, Cliff, Hendershott, "Financial stability and computer based trading" (2011)
14 December 2012
Press editorials
"Wall Street Trades at Speed of Light Need Traffic Cops: View" Bloomberg, January 3, 2012 "At this point, its beyond doubt that high-frequency trading contributes to volatility, fueling perceptions among retail investors that insiders have the game rigged." See also "U.S. Leads in High-Frequency Trading, Trails in Rules". "Asia takes on algos" Financial Times, August 14, 2012 "Two years after the 'flash crash' exposed the risks of automated trading systems running amok, this months Knight Capital fiasco shows that the US Securities and Exchanges Commission has done too little to control the ever evolving technology traders now rely on to navigate fragmented markets." See also "Taming Trading" and "Calmer markets. "Wait a second: The latest cock-up on Wall Street shows that more safeguards are needed" Economist, August 11, 2012 "This newspaper seldom finds itself on the side of restraining either technology or markets. But in this case there is a doubt whether the returns justify the risk. Society needs a stockmarket to allocate capital efficiently, rewarding the best companies with higher share prices. But high-frequency traders are not making decisions based on a companys future prospects; they are seeking to profit from tiny changes in price. They might as well be trading baseball cards. The liquidity benefits of such trading are all very well, but that liquidity can evaporate at times of stress. And although high-frequency trading may make markets less volatile in normal times, it may add to the turbulence at the worst possible moment." "When Speed Kills" The Japan Times, August 14, 2012 "Market officials and regulators are increasingly skeptical of the notion that faster is by definition better." "High-frequency trading insanity" USA Today, September 26, 2012 "Slap a small transaction tax on rapid trades, impeding the practice and returning markets to their core purpose." See also "Flash-crash analysis leaves investors reason to worry and "Time to put the brakes on highfrequency stock trades" "The Dark of Knight" Wall Street Journal, August 2, 2012 "From the 2010 'flash crash' to trading snafus at Facebook's initial public offering in May, the basic plumbing of the equity markets has never seemed so troubled."
15 December 2012
16 December 2012
"High frequency trading needs severe regulation" Anthony Hilton, London Evening Standard, October 23, 2012 "HFT is now so dominant it overwhelms everyone so there is no countervailing force to the direction taken by the computers." "Preventing the Next Flash Crash" Edward E. Kaufman Jr and Carl M. Levin, New York Times, May 5, 2011 "Americas capital markets, once the envy of the world, have been transformed in the name of competition that was said to benefit investors. Instead, this has produced an almost lawless high-speed maze where prices can spiral out of control, spooking average investors and start-up entrepreneurs alike." Testimony on Computerized Trading: What Should the Rules of the Road Be? David Lauer testimony before the U.S. Senate Committee on Banking, Housing, and Urban Affairs Subcommittee on Securities, Insurance and Investment, September 20, 2012 US equity markets are in dire straits. We are truly in a crisis. "Public Comment on Consultation Report" R. T. Leuchtkafer, August 12, 2011 "A basic function of any market is to produce a quote. Todays HFT quotes are toxic, a hoax on equities markets." See also No more hot potatoes please and http://www.sec.gov/comments/s7-02-10/s70210-107.htm. "High-frequency trading - split seconds" Lex, Financial Times, September 26, 2012 "Constraining the relentless advance of technology is rarely easy. But that is no excuse for not trying when its potential effects may be damaging." "A Speed Limit for the Stock Market" Roger Lowenstein, New York Times, October 1, 2012 "The 'liquidity' H.F.T. provides is long past the point of being helpful." "Why High-Frequency Trading Doesn't Compute" Jim McTague, Barrons, August 11, 2012 "Markets have been jarred by four major computer mishaps this year, including the recent one at Knight Capital. It's time to rein in the Street's speed demons: trading bots." "The Rise of the HFT Machines" Nanex, LLC "The following animated GIF chronicles the rise of the HFT Algo Machines from January 2007 through January 2012." See also http://www.nanex.net/FlashCrash/OngoingResearch.html "Dennis Kelleher on PBS Discussing High Frequency Trading" National Business Report interviews Dennis Kelleher, September 20, 2012 "There's been shockingly little done regarding our capital markets since the flash crash." See also www.bettermarkets.com.
17 December 2012
"Cuban, Cooperman: Curb High-Frequency Trading" Bruno J. Navarro, CNBC, October 2, 2012 (Includes CNBC interviews of Mark Cuban and Leon Cooperman) There is no value to HFT, period. End of story." "Frankenstein Takes Over the Market" Joe Nocera, New York Times, August 4, 2012 "This week, yet another Wall Street firm most people have never heard of, relying on a computerized trading program that they cant possibly understand, shook investors faith in the market." "Strong and Fast Markets, but No Time to Think" Floyd Norris, New York Times, August 3, 2012 "The same computerization and increased competition that provided the benefits also weeded out people who had the obligation to step up in times of stress, and virtually eliminated the ability of people and institutions to slow or halt markets when something goes badly wrong." "Long-term investors would benefit from Tobin tax" John Plender, Financial Times, September 28, 2011 "It is a paradoxical result of increased competition from off-exchange trading platforms and from regulatory developments such as Europes Markets In Financial Instruments Directive that long-term investors are being disadvantaged. A financial transactions tax might help redress the balance." "The problem with high frequency trading" Felix Salmon, BBC Radio, October 6, 2012 "But if you look at whats happened over the past five years, since 2007, the benefits of high-frequency trading have pretty much plateaued. And the downsides are becoming more and more obvious." "Cramer Slams High-Speed Trading" Drew Sandholm, CNBC, September 18, 2012 (Includes excerpts from "Mad Money with Jim Cramer") To me, right now, the high-speed traders are this generations equivalent of the German machine guns that mowed down British soldiers by the thousands and the people being annihilated by the traders? Thats you, the average investor, just trying to using stocks to save some money as generations have before you. "A Tax to Kill High Frequency Trading" Lee Sheppard, Forbes.com, October 16, 2012 "The United States should adopt a financial transactions tax (FTT) to kill high frequency trading (HFT) by removing the juice from this pernicious practice." "Hurrying Into the Next Panic?" Paul Wilmott, New York Times, July 28, 2009 "Thus the problem with the sudden popularity of high-frequency trading is that it may increasingly destabilize the market." "When Will Retail Investors Call It Quits?" Jason Zweig, Wall Street Journal, August 2, 2012
18 December 2012
"So much for the reassurances from regulators and stock-exchange officials that a repeat of the 'flash crash' is impossible."
19 December 2012
20 December 2012
Government (regulators)
"New Species: How Market Participants Have Evolved in Financial Ecosystems" Bart Chilton, Commissioner, U.S. Commodities Futures Trading Commission, February 1, 2011 "Mini-flash crashes occur all the time, too. More than once last year in futures markets and several times in stocks, runaway robotic programs disrupted markets and cost people money. One company lost a million dollars in the oil market in less than a second when an algo ran wild." "OSC head leans to the negative about high-frequency trading" Boyd Erman, The Globe and Mail, August 20, 2012 Interview of Howard Wetston, Chairman, Ontario Securities Commission (Canada) "'We ask ourselves the fundamental question: Is this type of trading actually consistent with what we expect of financial services and financial markets?'" New rules for high-frequency trading Federal Financial Supervisory Authority (Germany), November 22, 2012 High-frequency trading has increased the speed and complexity of trading. This is associated with risks: for example, large order volumes may place a heavy burden on trading systems. Algorithms may also react to market events and trigger additional algorithms as a result, which may in turn trigger even more algorithms (cascade effect), leading to an increase in volatility. "Speed limit for high-frequency trading - Federal Government adopts legislation to avoid risks and prevent abuse in high-frequency trading" Federal Ministry of Finance (Germany), September 26, 2012 "Computer-based high-frequency trading using algorithms poses multiple risks of extreme and irrational price fluctuations, overloaded trading systems and new opportunities for abuse." "France wants tougher HFT regulation" Jeremy Grant and Philip Stafford, Financial Times, December 19, 2011 Press conference of Thierry Francq, secretary-general of Autorit des Marchs Financiers (France) "Mr Francq called for the creation of a 'preventive framework' of new market rules to 'minimise the risk of HFT, and that means probably a rather harsh slowdown of this technique.'" See also Issues related to MiFID II . "Keynote speech by Jean-Pierre Jouyet" Jean-Pierre Jouyet, Chairman of the Autorit Des Marchs Financiers (France), February 13, 2012 "More generally, high-frequency algorithmic trading can aggravate the instability of a market by provoking unfounded price oscillations or anomalies arising from the interaction of two algorithms, as we saw with the Wall Street flash crash of May 6th 2010." See also Issues related to MiFID II . "ASIC Chairman's address to FINSIA Conference 2012" Greg Medcraft, Chairman, Australian Securities and Investments Commission, October 10, 2012 "And while some say high-frequency trading provides liquidity, I know some very senior bankers that privately describe it as providing only 'phantom liquidity.'" "Remarks Before the Investment Company Institute's General Membership Meeting Mary L. Schapiro, Chairman, U.S. Securities and Exchange Commission, May 6, 2011
21 December 2012
"High frequency traders turned what was a very down day for many investors into a very profitable one for themselves by taking liquidity rather than providing it." "We need rules to limit the risks of superfast trades" Martin Wheatley, CEO, Hong Kong Securities and Futures Commission Financial Times, September 20, 2010 "When a single strategy becomes as dominant as HFT appears to have become - as happened in 1987 with 'portfolio insurance' and as is happening now with HFT - markets become fragile. And this fragility will lead to more shock events such as the 'flash-crash'."
Government (legislators)
"Tougher rules to protect investors and curb high-frequency trading" European Parliament, October 26, 2012 "MEPs also tightened up proposed rules on high-frequency trading." "MiFID: European Parliament wants safer financial markets" EPP Group in the European Parliament, September 27, 2012 "The new EU Directive on Markets for Financial Instruments (MiFID) ought to ban destructive speculation on financial markets." Harkin: Tax high-speed traders to fill budget hole U.S. Senator Tom Harkin interviewed by Ronald D. Orol of MarketWatch, November 29, 2012 I really dont see any evidence that these high-speed traders add anything to the economy, but they do also create some aberrations in the market that have led to some disturbances. "Ongoing Market Structure Review" U.S. Senator Edward E. Kaufman, August 5, 2010 "For example, while speed and efficiency can produce certain benefits, they have also created a microarms race that is being waged in our public marketplace by high frequency traders and others." "Kaufman Delivers Final Senate Floor Speech on Market Structure Issues, High Frequency Trading" U.S. Senator Edward E. Kaufman, September 28, 2010 "Simply put, technological developments must operate within a framework that ensures integrity and fairness." See also Archived Web Site (captured November 2010) of Ted Kaufman (U.S. Senate, 2009-2010). "Request for Comments Regarding Findings and Recommendations of the Joint CFTC-SEC Advisory Committee on Emerging Regulatory Issues" U.S. Senator Carl Levin. April 8, 2011 "Regulations designed to ensure the stability and integrity of our markets must be coordinated across all of the markets, and while the recent coordination by the SEC and CFTC is a useful step, I believe much more needs to be done." See also "Statement of Sen. Carl Levin - Subcommittee on Securities, Insurance and Investment". Letter to U.S. Commodity Futures Trading Commision Chairman Gary Gensler U.S. Congressman Edward J. Markey, September 19, 2012
22 December 2012
"The 2010 Flash Crash in equity markets severely damaged confidence and sent a signal to ordinary investors that they are at a disadvantage. If high-frequency traders are now causing similar crashes in the commodity markets, both the investment community and the general public will lose confidence that the markets are working properly." "Senator Jack Reed: Market Disruptions Are 'Wake Up Call' on HFT" U.S. Senator Jack Reed interviewed by Lee Pacchia, Bloomberg, September 20, 2012 "I think we need much more emphasis on what's going on. I think we have to look very carefully. We've had some wake up calls - the flash crash, the situation with the Facebook public offering - and so we've been put on notice we have to look." "SCHUMER TO SEC: IMPOSE TOUGHER RULES ON HIGH-FREQUENCY TRADERS TO CURB STOCK PRICE VOLATILITY AND PREVENT ANOTHER FLASH CRASH" U.S. Senator Charles E. Schumer, August 11, 2010 "This disappearance of high frequency traders and their withdrawal of liquidity reveal a serious problem with our market regulation." See also "SCHUMER TO SEC: SLOW DOWN HIGH-FREQUENCY TRADERS WHEN MARKETS GET VOLATILE; SENATOR ALSO CALLS FOR PROBE INTO 'QUOTE STUFFING,' POSSIBLE BAN ON SUB-PENNY BIDS"
Government (other)
"ESRB response to the ESMA Consultation Paper" European Systemic Risk Board, September 21, 2011 "There is also a growing concern that the expansion of HFT might undermine investor confidence and their willingness to participate in the markets." "Position Paper" Securities and Markets Stakeholder Group, European Securities and Markets Authority (ESMA), October 26, 2011 "On one hand, studies demonstrate that HFT firms are also active during times of crises, but on the other hand, they also found that when volatility is rising, HFTs increase their demand for liquidity, while decreasing their supply of liquidity."
23 December 2012