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Published: December 11, 2024
A change within the landscape of U.S Securities Lending is underway, bringing increased transparency to a traditionally opaque part of the market. SEC Rule 10c-1a, adopted in October 2023, mandates that equities and fixed income securities must be reported to a Registered National Securities Association (RNSA), such as FINRA, who will then make the aggregated data publicly available. The Final Rule is primarily aimed at reducing information asymmetry and enhancing market oversight within the U.S. financial system, while utilising the new Securities Lending and Transparency Engine (SLATE) for submission and reporting.
Oct 13 2023:
The SEC adopted the final rule
Nov 3 2023:
The Federal Register officially published the rule
Jan 2 2024:
The regulation will go live
Apr 2 2026:
FINRA will begin publicly reporting data
Key Element | SEC Rule 10c-1 | SFTR |
Region | U.S. | E.U. |
Product Scope | Securities lending for equities and fixed income | Securities lending, Repos, Buy-sell back transactions, Margin lending |
Reporting Obligations | Single-sided Reporting | Dual-sided Reporting |
Reporting Deadline | Broker: Same-day reporting (T) Client: Next-day reporting (T+1) |
Next-day reporting (T+1) |
Public Data Access | Public Dissemination: Next Day: Aggregated Loan Data 20 Days: Detailed Loan Data |
No Public Dissemination |
Data Format | JSON | XML ISO20022 |
Unique Key | Client Trade ID’s | Universal Trade Identifier (UTI) |
Data Fields | 48 (28 overlap with SFTR) | 153 |
As we dig deeper into the specifics of SEC10c-1, it is important to consider how it stands in contrast to other international regulatory frameworks, particularly the Securities Financing Transactions Regulation (SFTR) in Europe. While both regulations aim to enhance market transparency and oversight, they do so in a different way as reflected in their respective jurisdictions.
For firms already compliant with SFTR, these new changes offer an opportunity to leverage existing reporting infrastructure to meet SEC 10c-1 requirements, providing a solid foundation for a smoother, cost-effective transition.
SEC Rule 10c-1 brings additional transparency to U.S securities lending, closely mirroring the objectives of SFTR but with distinct differences in scope and reporting requirements. The use of client trade ID’s as unique keys rather than UTI and the JSON format over the globally harmonization of XML ISO20022 show further divergences from other global regimes. This new rule underscores a broader global trend towards increased regulatory oversight. Firms must adapt to these new requirements, ensuring compliance while capitalising on the advantages of improved market insight.
First Derivative’s team offers tailored guidance to help you navigate the complexities of SEC Rule 10c-1a, with expertise spanning regulatory interpretation, implementation, and ongoing compliance support. Our subject matter experts cover critical areas, from operating model design and project management to testing and quality assurance, ensuring seamless support at every stage. Through strategic partnerships with leading regulatory reporting and RegTech providers, we make compliance more efficient and streamlined.
Start your regulatory journey with confidence. Reach out to First Derivative today for tailored support with SEC and beyond!
Kent Devolin
Managing Consultant – Regulatory Solutions
First Derivative LinkedIn profile
Jamie Lavery
Managing Consultant – Business Services – Regulatory Solutions
First Derivative LinkedIn profile
Provides capital markets, programme management expertise to our industry-leading banking clients: MiFID II, SFTR, FATCA, SEC SBSD and CFTC.
Currently managing the SFTR Remediation at US Tier 1 IB.
Brings 20+ years’ experience and knowledge in Financial Services focused on regulatory change in capital markets. Trade and Transaction Reporting SME in EMIR and MiFID.
10+ years’ experience as a Developer and Business Analyst in the Financial Technology and Capital Markets space, delivering high quality business solutions.
Capital markets consultant with over 10 of experience leading large-scale transformations and regulatory initiatives for both buy-side and sell-side institution, spanning EMIR, CFTC, MiFID, and more.
Regulation and Change lead, delivering large programs of work and oversight with a primary focus on Data.