This Advisory Notice supersedes CME & CBOT Market Regulation Advisory Notice RA1004-3 from July 1, 2010, and is being issued to add 2-Year, 5-Year and 10-Year On-the-Run (“OTR”) Treasury Yield futures to the list of CBOT products eligible to be executed as All-or-None (“AON”) transactions pursuant to the requirements of Rule 523 (“All-or-None Transactions”). 2-, 5- and 10-Year OTR Treasury Yield futures are being launched for trading on Sunday, October 24, 2010, for trade date Monday, October 25, 2010. These products will be eligible to be executed as AON transactions with a minimum quantity threshold of 2,000 contracts.
A complete list of CME and CBOT products in which AON transactions are permitted begins on page 4 of this Advisory Notice.
Market participants are reminded of the following:
1) AON trades may not, under any circumstances, be prearranged or otherwise involve prohibited pre-execution communications.
Pursuant to Rule 539 (“Prearranged, Pre-negotiated and Noncompetitive Trades Prohibited”), the prearrangement of AON trades and pre-execution communications with respect to AON trades are strictly prohibited. As such, the only information that may be disclosed by any party with respect to an AON order is information that has been publicly exposed in the trading pit. Parties may not solicit potential counterparties to an AON order until the order has been openly bid or offered in the pit.
2) AON orders must be competitively and transparently executed in the open market by open outcry.
All AON trades must be executed openly and competitively, without prearrangement. Bidding and offering practices must at all times be conducive to the competitive execution of trades, and members must ensure that the request for an AON market or the bid or offer for an AON order is clearly and transparently announced to the pit. Additionally, all AON bids and offers must include both quantity and price.
Additionally, in circumstances where a broker has both buy and sell AON orders for accounts with different beneficial ownership, the broker may only cross the orders pursuant to the cross procedures set forth in Rule 533 (“Simultaneous Buy and Sell Orders for Different Beneficial Owners”). Rule 533 requires the broker in these circumstances to bid and offer by open outcry the price and quantity of the AON orders three times. If neither the bid nor offer is accepted, the orders may be matched in the presence, and with the approval, of a designated Exchange official and the member executing the trade must complete the appropriate cross trade form. It is incumbent upon a member handling simultaneous AON buy and sell orders to ensure that his bids and offers for the orders are announced clearly to the pit,
and, if executed opposite each other, that the approval of the Exchange official is obtained contemporaneous with the execution of the orders.
Failure to comply with the aforementioned requirements will result in disciplinary action.
Market participants are strongly encouraged to review the list of eligible products and quantity thresholds, as well as the FAQ, to ensure an accurate understanding of the requirements for executing AON orders. The text of Rule 523 appears below. The FAQ begins on page 4 of this Advisory Notice.
Rule 523 – (“ALL-OR-NONE TRANSACTIONS”)
The Exchange shall determine the minimum thresholds for and the commodities in which All-or-None transactions shall be permitted. The following shall govern All-or-None trading:
1. A member may request an All-or-None bid and/or offer for a specified quantity at or in excess of the applicable minimum threshold. Such request shall be made in the pit designated for the trading of the particular transaction.
2. A member may respond by quoting an All-or-None bid or offer price. A bid or offer in response to an All-or-None request shall be made only when it is the best bid or offer in response to such request, but such price need not be in line with the bids and offers currently being quoted in the regular market.
3. A member shall not execute any order by means of an All-or-None transaction unless the order includes specific instructions to execute an All-or-None transaction or the All-or-None bid or offer is the best price available to satisfy the terms of the order.
4. An All-or-None bid or offer may be accepted by one or more members provided that the entire quantity of the All-or-None order is executed at a single price and that each counterparty to the order accepts a quantity at or in excess of the designated minimum counterparty threshold. Each order executed opposite an All-or-None order must be for a quantity that meets or exceeds the minimum counterparty threshold. Separate orders may not be bunched to meet the minimum counterparty threshold.
5. All-or-None transactions shall not set off conditional orders (e.g., Stop Orders and MIT Orders) or otherwise affect orders in the regular market.
6. All-or-None transactions must be reported to a designated Exchange official who shall record and publish the quantity and prices separately from reports of transactions in the regular market. The brokers executing All-or-None transactions must maintain a record of said transaction in accordance with Rule 536.
All-or-None Transactions
A1: An AON order is an order that meets or exceeds an exchange-specified minimum quantity that can be executed only for its entire quantity and only at a single price. AON orders are permitted only in certain products and are exclusively executed in the open outcry market during regular trading hours.
Q2: What are the significant differences between AON transactions and other futures and options trades?
A2: 1. AON bids, offers and requests for a market must be for a quantity equal to or in excess of the specified minimum threshold level in an AON-eligible product as set forth in the tables beginning on page 4.
2. Partial fills for an AON order are not permitted.
3. The execution price of an AON order may be outside of the best bid/offer in the regular market.
4. The price at which an AON order is executed does not elect conditional orders (e.g., stop orders, limit orders, MIT orders, etc.) in the regular market or otherwise affect such orders.
5. AON transactions are reported separately from transactions in the regular market in the Time and Sales record.
Q3: May an AON order be executed opposite more than one counterparty?
A3: Yes. An AON order may be executed opposite multiple counterparties provided that the order is filled in its entirety at a single price and each opposing party to the order meets the designated minimum counterparty threshold. The minimum counterparty thresholds are listed in the tables beginning on page 4.
Q4: May a broker bunch separate orders to meet the counterparty minimum?
A4: No. Each order executed opposite an AON order must be for a quantity that meets or exceeds the minimum counterparty threshold.
Q5: What is the proper procedure for initiating an AON transaction in the pit?
A5: The initiator of the AON order may request an AON market for a specific quantity or make an AON bid/offer for a specific quantity and price. Any requests for an AON market and all AON bids and offers must be made openly and clearly announced in the pit.
A member may respond by quoting an AON bid and/or offer price and the quantity, at or above the designated counterparty minimum, that he is willing to trade. Brokers who have orders that independently meet the minimum counterparty quantity threshold may also bid/offer in response to a request for an AON market.
The individual representing the AON order must determine if the total quantity bid/offered is sufficient to satisfy the entire quantity of the AON order at a single price. If so, he will consummate the AON trade with the opposing market participants. Just as in the regular market, it is the broker’s responsibility to allocate quantities if there is more than one opposing party.
Q6: May two AON orders be crossed?
Additionally, a broker executing an AON order may not take the opposite side of the order, or any portion of the order, into his own account (or an account in which he has a direct or indirect financial interest or an account over which he has discretionary trading authority) unless the customer has provided prior written consent to waive the application of Rule 531.A. (“General Prohibition”) and the broker complies with the cross trade procedures set forth in Rule 533.
A7: Yes, provided that the order meets the minimum quantity requirements set forth in the tables below. For products in the tables which do not specify minimum spread quantity requirements, AON intra-commodity spreads may be executed provided that each leg of the spread meets the AON threshold for that contract.
AON-Eligible Products and Minimum Quantity Thresholds - CME
Product |
AON Minimum |
Counterparty Minimum |
Quarterly Eurodollar futures (years 1-5) and Serial Eurodollar futures |
2,000 contracts – Per leg for calendar, butterfly and condor spreads |
10% of order |
Quarterly Eurodollar futures (years 6-10) |
1,000 contracts Per leg for calendar, butterfly and condor spreads |
10% of order |
Eurodollar and Eurodollar MidCurve options* |
4,000 contracts – Per leg for spreads and combinations |
10% of order |
Regular and rolling Eurodollar packs (years 1-5) |
2,000 contracts per pack |
10% of order |
Regular and rolling Eurodollar packs (years 6-10) |
1,000 contracts per pack |
10% of order |
Regular and rolling Eurodollar bundles |
2,000 contracts per bundle |
10% of order |
Regular and rolling Eurodollar bundles (all legs fall in years 6-10, i.e., contracts 21-40) |
1,000 contracts per bundle |
10% of order |
Three-Month Overnight Index Swap (“OIS”) futures |
2,000 contracts |
10% of order |
Product |
AON Minimum |
Counterparty Minimum |
One-Month Eurodollar futures |
500 contracts |
10% of order |
13-Week T-Bill futures |
50 contracts |
10% of order |
Euroyen futures |
100 contracts |
10% of order |
All foreign currency futures and options excluding cross rates, Israeli shekel, Chinese renminbi, Korean won, Czech koruna, Hungarian forint and Polish zloty futures and options and Turkish lira, Norwegian krone, Swedish krona and E-micro futures* |
20 contracts |
10% of order |
Norwegian krone and Swedish krona futures, Czech koruna, Hungarian forint and Polish zloty futures and options and all foreign currency cross rate futures and options excluding Chinese renminbi/Euro FX and Chinese renminbi/Japanese yen futures and options* |
5 contracts; 5 contracts per leg in calendar spreads |
5 contracts; 5 contracts per leg in calendar spreads |
* AON spreads involving Eurodollar, foreign currency and foreign currency cross rate options vs futures may be executed provided that at least one option leg of the spread order meets the designated AON minimum order quantity for the option and the quantity of the futures leg is the appropriate delta equivalent.
AON-Eligible Products and Minimum Quantity Thresholds - CBOT
Product |
AON Minimum |
Counterparty Minimum |
Interest Rate Swap futures |
1,000 contracts Per leg for inter- and intra-market commodity spreads |
10% of order |
Interest Rate Swap futures/ Treasury futures spread |
1,000 contracts Per leg for spreads |
10% of order |
Interest Rate Swap options* |
1,000 contracts At least one leg must be ≥ 1,000 |
10% of order |
Product |
AON Minimum |
Counterparty Minimum |
Treasury futures |
2,000 contracts Per leg for inter- and intra-market spreads |
10% of order |
OTR Treasury Yield futures |
2,000 contracts Per leg for inter- and intra-market Spreads |
10% of order |
30-Day Fed Funds futures |
2,000 contracts Per leg for spreads |
10% of order |
Treasury and 30-Day Fed Fund options (including flexible Treasury options)* |
2,500 contracts At least one leg must be ≥ 2,500 |
10% of order |
* AON spreads involving Treasury, 30-Day Fed Fund and Interest Rate Swap options vs futures may be executed provided that at least one option leg of the spread order meets the designated AON minimum order quantity for the option and the quantity of the futures leg is the appropriate delta equivalent.
Questions regarding this advisory may be directed to the following individuals in Market Regulation:
Greg Benbrook, Associate Director, Investigations, at 312.341.7619
Robert Sniegowski, Associate Director, Rules & Regulatory Outreach, at 312.341.5991
For media inquiries concerning this Advisory Notice, please contact CME Group Corporate Communications at 312.930.3434 or news@cmegroup.com.