Notices
Notice No20200320-70Notice Date20 Mar 2020
CategorySettlement/RMSSegmentEquity
SubjectRegulatory measures taken by SEBI in view of ongoing market volatility
Content

To

All Members/Participants,

SEBI has issue press release vide PR No. 18/2020 on the captioned subject. All market participants are requested to take note of the contents of the aforesaid press release and effective dates of the respective revisions.

1.      Stocks in derivatives segment (F&O stocks)

 

           i.      Revision of Market Wide Position Limit (MWPL)

For stocks in F&O segment meeting the following criteria, MWPL may be revised to 50% of the existing levels:

a)           Average Daily Price High Low variation percentage (during last 5 trading days) should be more than or equal to 15%,

OR

b)           Average MWPL utilization percentage (during last 5 trading days) should be more than or equal to 40%

 

The aforesaid revised MWPL shall be for the purpose of introducing ban period on fresh positions and not for determining the enhanced eligibility criteria for derivatives stocks as mentioned in the SEBI circular SEBI/HO/MRD/DP/CIR/P/2018/67 dated April 11 , 2018.

 

End-of-day positions, as on the date of issuance of the circulars by the stock exchanges / clearing corporations in this regard, would not be impacted.

 

In the event MWPL utilization in a security crosses 95%, derivative contracts enter into a ban period, wherein, all clients / trading members are required to trade in the derivative contracts of said scrips only to decrease their positions through offsetting positions. Any increase in open positions would attract appropriate penal and/or disciplinary action of the stock exchanges / clearing corporations.

 

Accordingly, stock exchanges / clearing corporations shall put in place effective mechanism to monitor whether the market wide open interest for scrips meeting the aforesaid criteria exceeds 95% of the reduced market wide position limit as arrived at above. Further, the stock exchanges / clearing corporations shall check on an intra-day basis (monitoring of Peak intraday OI or periodic intraday monitoring of OI) whether any member or client has exceeded his existing positions or has created a new position in the scrips in the new ban period.

 

In addition, the current penalty structure adopted by the stock exchanges / clearing corporations may be enhanced to 10 times of the minimum and 5 times of the maximum penalties specified by the stock exchanges / clearing corporations, to function as an effective deterrent in the current market context.

 

The above framework may be applicable w.e.f. March 23, 2020 for a period of 1 month.

 

         ii.      Increase in margin for stocks meeting the aforesaid criteria (as mentioned at Sr. No. 1(i))

 

·            For such stocks, margin rate in Cash Market shall be increased to minimum 40% in a phased manner as follows:

o   Minimum 20% to be effective from March 23, 2020

o   Minimum 30% to be effective from March 26, 2020

o   Minimum 40% to be effective from March 30, 2020

 

·            Proposed margins would only be applied in Cash Market (i.e., derivatives contracts on these stocks will continue to be charged margins as per the extant framework).

 

·            Proposed margins rate may be applicable for a period of 1 month.

 

 

2.      Increase in margin for Non-F&O Stocks in Cash Market

 

            i.      For stocks with price band of 20% and witnessing an intraday (high-low) price movement of more than 10% for 3 or more days in last 1 month, minimum margin rate shall be increased in a phased manner as follows:

·            30% to be effective from March 23, 2020

·            40% to be effective from March 26, 2020

·            40% or Max intraday high-low variation (during last 1 month), whichever is higher, to be effective from March 30, 2020

 

          ii.      The above margin rates may be applicable for a period of 1 month.

 

3.      Index Derivatives

 

Revised position limits in equity index derivatives (futures and options)

            i.      Mutual Funds / FPIs / Trading Members (Proprietary) / Clients may take exposure in equity index derivatives subject to the following limits:

a.         Short positions in index derivatives (short futures, short calls and long puts) shall not exceed (in notional value) the Mutual Funds’ / FPIs’ / Trading Members’ (Proprietary) / Clients’ holding of stocks.

b.         Long positions in index derivatives (long futures, long calls and short puts) shall not exceed (in notional value) the Mutual Funds’ / FPIs’ holding of cash, government securities, T-Bills and similar instruments.

 

          ii.      Further to 3(i) above, additional position limits mentioned hereunder shall be available to Trading Members (Proprietary) / FPIs / Mutual Funds / Clients:

a.         Equity Index Futures Contracts: Rs. 500 Crores.

b.         Equity Index Options Contracts: Rs. 500 Crores.

 

        iii.      If any of the aforesaid entities exceed the respective limits prescribed at 3(i) and 3(ii) above, an additional deposit shall be payable by the entity equivalent to double the amount of margin chargeable on excess position beyond the limits prescribed at 3(i) and 3(ii) above and the same shall be retained by stock exchanges / clearing corporations for a period of 3 months.

 

        iv.      The existing positions as on the date of issuance of the circulars by the stock exchanges / clearing corporations would not be impacted (i.e., the positions shall be permitted to be held till expiry or close-out, whichever is earlier). However, if a fresh position is taken, then the entire positions (including the grandfathered positions) shall be subject to limits mentioned above.

 

          v.      The above framework may be applicable for a period of 1 month, w.e.f. March 23, 2020 for institutions and trading members (proprietary). For others, the applicability will begin w.e.f. March 27, 2020.

 

 

 

 

For and on behalf of BSE Ltd                                                     For and on behalf of ICCL        

 

 

Usha Sharma                                                                                            Piyush Chourasia   

General Manager                                                                                    Chief Risk Officer & Head – Strategy

Surveillance