Central Bank Survey of Foreign Exchange and Derivatives Market Activity

Central Bank Survey of Foreign Exchange and Derivatives Market Activity

FR3036_20190430_i

Central Bank Survey of Foreign Exchange and Derivatives Market Activity

OMB: 7100-0285

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FR 3036
OMB No. 7100-0285
Hours per Response: 55.0
Approval expires: May 31, 2022

Instructions for the

Central Bank Survey of Foreign Exchange
and Derivatives Market Activity

Turnover Survey
April 2019

FR 3036
OMB No. 7100-0285

This report is authorized by law (12 U.S.C. §§ 225a and 263). Your voluntary cooperation in
submitting this report is needed to make the results comprehensive, accurate and timely. The Federal
Reserve may not conduct or sponsor, and an organization is not required to respond to, a collection of
information unless it displays a currently valid OMB control number. The Federal Reserve System
regards the individual institution information provided by each respondent as confidential [5
U.S.C. §552(b)(4)]. If it should be determine d that any information collected on this form must be
released, other than in the aggregate in ways that will not reveal the amounts reported by any one
institution, respondents will be notified.
Public reporting burden for this collection of information is estimated to be 55 hours per response,
including time to gather and maintain data in the proper form, to review instructions and to complete
the information collection. Send comments regarding this burden estimate to: Secretary, Board of
Governors of the Federal Reserve System, 20th and C Streets, NW, Washington, DC 20551; and to
the Office of Management and Budget, Paperwork Reduction Project, (7100-0285), Washington, DC
20503.

FR 3036
Instructions

Turnover Survey
April 2019

A.

Introduction

These instructions cover the turnover part of the survey. The turnover part of the survey will be
conducted on a locational basis. Turnover data should be collected over the entire month of April 2019.
The data should reflect all transactions entered into during the month, regardless of whether delivery or
settlement is made during that month.
In order to limit the reporting burden, the turnover part of the survey only covers spot transactions and
turnover in OTC foreign exchange and interest rate derivatives. No data are collected on turnover of
exchange-traded derivative instruments.
The Federal Reserve System treats information provided by each respondent as confidential. Aggregate
totals will be published by the Federal Reserve Bank of New York and the Bank for International
Settlements.

B.

Coverage

1.

Reporters

Reporting dealers are financial institutions that actively participate in local and global foreign exchange
and derivatives markets. These entities (1) participate in the interdealer market or (2) actively conduct
business with large customers, such as large corporate firms, and other financial institutions. That is,
reporting dealers are institutions that are actively buying and selling currency and entering into OTC
derivatives for their own account or in meeting customer demand. Reporting dealers also include the
U.S. branches and subsidiaries of foreign institutions that have trading desks or sales desks in the United
States.

2.

Risk Categories

The survey collects data on foreign exchange transactions and OTC derivative products according to the
following broad market classification:
•
•

foreign exchange contracts (Tables A1 to A6)
single-currency interest rate derivatives (Tables B1 and B2)

Foreign exchange contracts. Foreign exchange contracts cover spot, outright forwards, foreign exchange
swaps, currency swaps, currency options and other foreign exchange instrument transactions with
exposure to more than one currency.
Single-currency interest rate derivatives. Interest rate contracts are contracts related to an interestbearing financial instrument whose cash flows are determined by referencing interest rates or another
interest rate contract (e.g., an option on a futures contract to purchase a Treasury bill). Interest rate
contracts include forward rate agreements, single-currency interest rate swaps and interest rate options,
including caps, floors, collars, and corridors.
This category includes only those deals where all the legs are exposed to only one currency's interest
rate. Thus it excludes contracts involving the exchange of currencies (e.g., cross-currency swaps and
currency options) and other contracts whose predominant risk characteristic is foreign exchange risk,
which are to be reported as foreign exchange contracts.

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3.

Instrument Types

The survey covers spot foreign exchange transactions and data on turnover of OTC derivatives. For
OTC derivatives, the following instrument breakdown is reported:
•
•
•
•

forwards
swaps
OTC options
other products

Dealers should identify how much of their total turnover for each instrument and currency pair is attributed
to:
•

Of which prime brokered Prime brokers are defined as institutions (usually large and highly-rated
banks) facilitating trades for their clients (often institutional funds, hedge funds and other
proprietary trading firms). Prime brokers enable their clients to conduct trades, subject to credit
limits, with a group of predetermined third-party banks in the prime broker’s name. (both legs
should be included here).

•

Of which retail-driven Retail-driven transactions are defined as reporting dealers’ (a) transactions
with “wholesale” financial counterparties that cater to retail investors (i.e., electronic retail trading
platforms and retail margin brokerage firms), and (b) direct transactions with “non-wholesale”
investors (i.e., private individuals) executed online or by other means (e.g., phone)

Spot transactions. Spot transactions are single outright transactions involving the exchange of two
currencies at a rate agreed on the date of the contract for value or delivery (cash settlement) within two
business days. The spot legs of swaps should not be reported even when they are due for settlement
within two days (i.e., spot transactions should exclude overnight swaps and “tomorrow/next day”
transactions).
Forward contracts. Forward contracts are agreements for delayed delivery of financial instruments or
commodities in which the buyer agrees to purchase and the seller agrees to deliver, at a specified future
date, a specified instrument or commodity at a specified price or yield. Forward contracts are generally
not traded on organised exchanges and their contractual terms are not standardised. Transactions
where only the difference between the contracted forward outright rate and the prevailing spot rate is
settled at maturity, such as non-deliverable forwards (i.e., forwards which do not require physical delivery
of a non-convertible currency) and other contracts for differences, should be reported. In addition
reporting dealers should report non-deliverable forwards (NDF) under Of which non-deliverable forwards,
to show volumes for six emerging market currency pairs with significant NDF volumes: USD/BRL,
USD/CNY, USD/INR, USD/KRW, USD/RUB and USD/TWD. The NDF turnover of other less well-traded
pairs will also be captured but in aggregate only.
Swaps: Swaps are transactions in which two parties agree to exchange payment streams based on a
specified notional amount for a specified period. Foreign exchange swaps involve the exchange of two
currencies and the reverse exchange of the same currencies at a date further in the future. Forwardstarting swap contracts should be reported as swaps.
For swaps executed on a forward/forward basis or as spot/forward transactions, both types of swaps
should be reported only once. The unsettled portion of a foreign exchange swap transaction should be
excluded as only the long leg of the swap is reportable.
OTC options. Option contracts convey either the right or the obligation, depending upon whether the
reporting institution is the purchaser or the writer, respectively, to buy or sell a financial instrument or
commodity at a specified price up to a specified future date. OTC option contracts include all option
contracts not traded on an organised exchange. Swaptions, whch are options to enter into a swap
contract, caps, floors, collars, corridors and other plain vanilla contracts should be reported as options.
Options such as call feature embedded in loans, securities and other on-balance-sheet assets do not fall
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April 2019

within the scope of this survey and are therefore not to be reported unless they are a derivative
instrument that must be treated separately under U.S. GAAP
Report both sold and bought options on a combined basis Sold options are OTC options contracts in
which the reporter has, for compensation (such as a fee or premium), obligated itself to either purchase
or sell financial instruments or commodities. Also include turnover for written caps, floors and swaptions
and for the written portion only of collars and corridors. Bought options are OTC option contracts in which
the reporter has, for a fee or premium, acquired the right to either purchase or sell financial instruments or
commodities. Also include turnover for purchased caps, floors and swaptions and for the purchased
portion only of collars and corridors.
Other products. Other derivative products are instruments where decomposition into individual plain
vanilla instruments such as forwards, swaps or options is impractical. Examples of "other" products are
swaps with underlying notional principal in one currency and fixed or floating interest rate payments
based on interest rates in currencies other than the notional (differential swaps or diff swaps).
Further instrument definitions and reporting categorisations are provided in Section G below.

4.

Types of Data Requested

To gauge the size of the foreign exchange and OTC derivatives markets, the survey collects turnover
data for both proprietary and commissioned business of the reporting institution. Commissioned business
refers to reporting institutions’ transactions as a result of deals as an agent or trustee in their own name,
but on behalf of third parties.
Turnover is defined as the gross value of all new deals entered into during a given period, and is
measured in terms of the notional amount of the contracts. In addition to spot foreign exchange
transactions, turnover data are requested for foreign exchange and interest rate derivatives.
No distinction should be made between sales and purchases (for example, a purchase of $5 million
against sterling and a sale of $7 million against sterling would amount to a gross turnover of $12 million).
Direct cross-currency transactions should be counted as single transactions; however, cross-currency
transactions passing through a vehicle currency should be recorded as two separate deals against the
vehicle currency (for example, if a bank sells Swiss francs $5 million against euro first and then uses the
euro to purchase krona, the reported turnover should be $10 million). The gross amount of each
transaction should be recorded once and netting arrangements and offsets should be ignored. In this
context, reporting institutions are reminded that CLS pay-in data is on a net basis, and so should not be
used as a source for completing the survey, which is on a gross basis.

The actual turnover of all new contracts initiated during the period of review, which are not cancelled
during this period, should be reported. In case of cancellation during the period of review, for example if
the original deal is incorrect, the transaction should be excluded from reporting unless it is rebooked
during the period of review. In this case, the specifications of the new transaction should be used for
reporting.

For turnover of transactions with variable nominal or notional principal amounts, the basis for reporting
should be the nominal or notional principal amounts on the transaction date. The data collected for the
survey should reflect all transactions entered into during the calendar month of April 2019, regardless of
whether delivery or settlement is made during that month.

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5.

Reporting Basis

For turnover data, the basis for reporting any trade should be the location of the sales desk, even if the
trade was booked in another location. Transactions conducted by offices located in the United States
should be reported to the Federal Reserve Bank of New York, even if these trades were booked at an
office in another country. Where no sales desk is involved in a deal, the trading desk should be used to
determine the location of deals. (Please see the list of illustrative examples of how to report trades by
location of deals in the Attachment to these guidelines.)
Internal and related party trades. Reporting institutions should include “related-party” trades between
desks and offices, and trades with their own branches and subsidiaries and between affiliated firms, in
their reported aggregates, and identify them as a separate “of which” memorandum item, under related
party trades. These trades should be included regardless of whether the counterparty is resident in the
same country as the reporting dealer or in another country. However, trades that are conducted back-toback with related institutions and trades to facilitate internal bookkeeping and internal risk management
within a reporting institution should be excluded from the survey. Other trades between separate
affiliated entities within the same organization should be reported regardless of location. The reported
trades with own branches and subsidiaries and between affiliated firms should be allocated to the
category of reporting dealers or other financial institutions depending on whether the counterparty is a
reporting dealer or not. In the event of an inter-desk deal within the same reporting entity, that trade
should be reported twice in the reporting dealer local category. If the trade was with an affiliate overseas,
which is also a reporting dealer; the two reporting dealers should report the transaction once in the
reporting dealer cross-border category. The totals of such related party trades are reported separately as
an Of Which memo item following Total Contracts (Table A5 and B2).
Large financial groups operating in a range of centers should ensure that the agreed definitions of the
guidelines are followed, as consistently as possible, by all their reporting units. The guiding principle
should be that each trade is reported once.

6.

Novation and Central Clearing

OTC derivatives transactions that are centrally cleared via central counterparties (CCPs) should be
reported on a pre-novation basis in the turnover part of the survey (i.e., with the original execution
counterpart as counterparty). Any post-trade transaction records that arise from central clearing via
CCPs (e.g., through novation) should not be reported as additional transactions.
7.

Currency of reporting and currency conversion

Transactions are to be reported in US dollar equivalents. Non-dollar amounts should be converted into
US dollars using the exchange rates prevailing on the transaction date. However, if this is impractical,
turnover data may be reported using average or end-of-period exchange rates.
When exchange rates other than those of the day of the transaction are used, the order of precedence of
currencies' dollar exchange rates for purposes of conversion in deals which involve currencies other than
the US dollar should be the same as listed in the foreign exchange turnover section of the survey forms
(e.g., EUR, JPY, and GBP).
Transactions which involve the direct exchange of two currencies other than the US dollar should be
measured by totalling the US dollar equivalent of only one side (preferably the purchase side) of the
transaction.

8.

Rounding

All data entered on the report form should be rounded to the nearest million US dollars (do not use
decimals). Rounding should occur only when reporting the monthly totals for each category.
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9.

Reporting Deadline

The survey should be submitted to the Federal Reserve Bank of New York by June 3, 2019 using the
Reporting Central application. Additional information on Reporting Central can be found here:
https://www.frbservices.org/central-bank/reporting-central/index.html

C.

Counterparties

Reporting dealers should provide for each instrument in the foreign exchange and interest rate
derivatives categories a breakdown of contracts by counterparty as follows: reporting dealers, other
financial institutions and non-financial customers. For these three basic counterparty categories,
reporting dealers should also provide separate information on local and cross-border transactions. The
determination of local and cross-border should be determined according to the location of the
counterparty and not its nationality. Local transactions are transactions with counterparties resident in
the U.S. Cross-border transactions are with counterparties outside of the U.S. In addition, reporting
dealers should provide a more detailed level of identification for “other financial institutions” in the
counterparty breakdown. This additional breakdown is only used in the foreign exchange part of the
survey. As some counterparties may potentially fall into more than one category, some judgement may
be required on the part of reporting dealers to assign a specific counterparty to a category that best fits
this entity. The primary business activity of the counterparty should serve as the criterion.
Transactions conducted under prime brokerage arrangements should be reported by the executing dealer
with the prime broker as the counterparty (not the customer of the prime broker). The executing dealer
should classify the prime broker as “reporting dealer” or “other financial institution” as appropriate.
Similarly, the prime broker, if a reporting dealer, should report two trades, one for the executing dealer
and a second trade for the customer.

•

Reporting dealers

Reporting dealers are institutions throughout the world that are submitting this report to their local central
bank. In order to allow the accurate elimination of double counting of inter-reporter transactions,
reporting institutions should identify transactions with "reporting dealers" to the best of their ability. A list
of reporting dealers is available at http://www.newyorkfed.org/banking/reportingforms/FR_3036.html.
•

Other financial institutions

This category covers the financial institutions that are not classified as reporting dealers. It covers all
non-reporting depository institutions and other financial institutions and intermediaries whose primary
business is to extend credit for business purposes or for financing personal expenditures, such as
investment banks and securities firms, mutual funds, pension funds, hedge funds, currency funds, money
market funds, thrifts, leasing companies, insurance companies, and financial subsidiaries of non-financial
companies. It also includes central banks. For foreign exchange turnover only, Other financial
institutions is further broken down into five reportable sub-categories:
• Of which non-reporting banks Smaller or regional commercial banks, publicly owned banks,
securities firms or investment banks, not directly participating as reporting dealers.
• Of which institutional investors Institutional investors such as mutual funds, pension funds,
insurance and reinsurance companies and endowments. “real money investors”.
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• Of which hedge funds and proprietary trading firms (a) Investment funds and various types of
money managers, including commodity trading advisers (CTAs) (b) Proprietary trading firms
that invest, hedge or speculate for their own account. This category may include, for
example, specialised “high frequency trading” (HFT) firms that employ high-speed algorithmic
trading strategies characterised by numerous frequent trades and very short holding periods.
• Of which official sector financial institutions Central banks, sovereign wealth funds, international
financial institutions of the public sector (BIS, IMF etc), development banks and agencies.
• Of which other All remaining financial institutions (e.g., retail-aggregators) that cannot be
classified as any of the sub-categories above.
• undistributed captures the amount of "other financial institutions" turnover that fails to be
allocated into one of the sub-categories above
•

Non-financial customers

This category covers any counterparty other than those describe above, i.e., mainly non-financial endusers, such as corporate and non-financial government entities.

D.

Currency and other risk factor breakdowns

In order to obtain consistent data on turnover in principal currency segments of the foreign exchange
market, reporting institutions are asked to report turnover data on foreign exchange contracts by currency
pairs. Data should be provided separately for trading in the US dollar against the following individual
currencies:
EUR: Euro
JPY: Japanese yen
GBP: Pound sterling
CHF: Swiss franc
CAD: Canadian dollar
AUD: Australian dollar
SEK: Swedish krona
BRL: Brazilian real
CNY: Chinese Yuan renminbi
HKD: Hong Kong dollar
INR: Indian rupee
KRW: Korean won
MXN: Mexican peso
NOK: Norwegian krone
NZD: New Zealand dollar
PLN: Polish Zloty
RUB: Russian ruble
SGD: Singapore dollar
TRY: Turkish lira
TWD: Taiwan dollar
ZAR: South African rand
Other currencies

Data should be provided separately for trading in the Euro against the following individual currencies:
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JPY: Japanese yen
GBP: Pound sterling
CHF: Swiss franc
CAD: Canadian dollar
AUD: Australian dollar
SEK: Swedish krona
CNY: Chinese Yuan Renminbi
DKK: Danish Krone
HUF: Hungarian Forint
NOK: Norwegian Kroner
PLN: Polish Zloty
TRY: Turkish Lira
Other currencies

Data should be provided separately for trading in the Japanese yen against the following individual
currencies:
AUD: Australian dollar
NZD: New Zealand dollar
BRL: Brazilian Real
CAD: Canadian Dollar
TRY: Turkish Lira
ZAR: South African Rand
Other currencies.
For emerging market currencies, reporters should provide supplementary information on total turnover for
the following currencies, which also have to be included in the above columns for “other” currencies in the
breakdown by currency pairs:
ARS: Argentine peso
CLP: Chilean peso
CZK: Czech koruna
DKK: Danish krone
HUF: Hungarian forint
IDR: Indonesian rupiah
ILS: Israeli new shekel
MXN: Mexican Peso
MYR: Malaysian ringgit
NOK: Norwegian krone
NZD: New Zealand dollar
PHP: Philippine peso
PLN: Polish Zloty
RUB: Russian ruble
SAR: Saudi riyal
SGD: Singapore dollar
THB: Thai baht
TRY: Turkish lira
TWD: new Taiwan dollar
Reporters should also report total turnover data in the additional blank columns provided on Tables A3
and A6 for other emerging market currencies included in the above columns for “other” and “residual”
currencies but not individually listed on Tables A3 or A6, for which they have total monthly turnover of at
least $10 million. Respondents should enter the appropriate 3-letter currency code in the space provided
at the top of the column. Currencies to include are:
BHD: Bahraini dinar
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BGN: Bulgarian lev
EEK: Estonian kroon
LTL: Lithuanian litas
LVL: Latvian lats
PEN: Peruvian nuevo sol
RON: Romanian new leu
For turnover of single-currency interest rate contracts, include:
USD, EUR, JPY, GBP, CHF, CAD, AUD, CNY, DKK, HKD, MXN, NOK, NZD, SEK, SGD, THB, and ZAR.

E.

Maturities

In the turnover part of the survey, transactions in outright forwards and foreign exchange swaps should
be reported according to the following (original) maturity bands:
•
•
•
•
•

seven calendar days or less
over seven calendar days and up to one month
over one month and up to three months
over three months and up to six months
over six months.

The maturity of an outright forward contract is the difference between the delivery date and the date of
initiation of the contract. For both spot/forward and forward/forward swaps, the maturity of a contract is
the difference between the due date of the long leg of the contract and the date of initiation of the
contract. A forward/forward swap should only be reported once as one single deal.

F.

Categorization of derivatives involving more than one risk category

Individual derivatives transactions are to be categorised into two risk classes: foreign exchange and
single-currency interest rate. Transactions should be reported in only one risk category, the category of
the predominant risk. The allocation of such products with multiple exposures should be determined by
the underlying risk component that is most significant.

G.

Detailed instrument definitions and categorization

In each risk category OTC derivatives are in principle to be broken down into three types of plain vanilla
instrument (forwards, swaps and options). Plain vanilla instruments are those traded in generally liquid
markets using standardized contracts and market conventions. If a transaction is composed of several
plain vanilla components, each part should in principle be reported separately. Foreign exchange spot
and OTC derivatives transactions should be defined and categorized as follows:

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1.

Foreign exchange transactions

Spot transaction:

Single outright transaction involving the exchange of two currencies at a
rate agreed on the date of the contract for value or delivery (cash
settlement) within two business days. The spot legs of swaps do not
belong to spot transactions but are to be reported as swap transactions
even when they are for settlement within two days (i.e. spot transactions
should exclude overnight swaps and “tomorrow/next day” transactions).
Cash/same day transactions (T + 0 settlement) should be reported under
spot.

Outright forward:

Transaction involving the exchange of two currencies at a rate agreed on
the date of the contract for value or delivery (cash settlement) at some
time in the future (more than two business days later). This category also
includes forward foreign exchange agreement transactions (FXA), nondeliverable forwards and other forward contracts for differences.

Foreign exchange
swap:

Transaction which involves the actual exchange of two currencies
(principal amount only) on a specific date at a rate agreed at the time of
the conclusion of the contract (the short leg), and a reverse exchange of
the same two currencies at a date further in the future at a rate (generally
different from the rate applied to the short leg) agreed at the time of the
contract (the long leg). Both spot/forward and forward/forward swaps
should be included, as well as overnight swaps, spot/next swaps, and
other tomorrow/next day transactions. For turnover, only the forward leg
should be reported as such. The spot leg should not be reported at all,
i.e., neither as spot nor as foreign exchange swap transactions. CLS
Bank “in/out swaps,” used to facilitate settlement among CLS members
should be excluded from the survey.

Currency swap:

Contract which commits two counterparties to exchange streams of
interest payments in different currencies for an agreed period of time
and/or to exchange principal amounts in different currencies at a
pre-agreed exchange rate at maturity.

OTC option:

Option contract that gives the right to buy or sell a currency with another
currency at a specified exchange rate during a specified period. This
category also includes exotic foreign exchange options such as average
rate options and barrier options. Each portion of an option strategy that
involves the simultaneous purchase or sale of calls and puts, such as
straddles, strangles, and butterflies should be reported separately.

Currency swaption:

OTC option to enter into a currency swap contract. Report under OTC
options.

Currency warrant:

OTC option; long-dated (over one year). Report under OTC option.

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2.

Single-currency interest rate derivatives

Forward rate agreement
(FRA):

Interest rate forward contract in which the rate to be paid or received on
a specific obligation for a set period of time, beginning at some time in
the future, is determined at contract initiation.

Overnight indexed swap

Contract to exchange periodic payments related to interest rates on a
single currency, fixed for floating where the periodic floating payment is
based on a designated overnight rate or overnight index rate

Other interest rate
swap:

Contract to exchange periodic payments related to interest rates on a
single currency; can be fixed for floating, or floating for floating based on
different indices. This group excludes OIS. It includes those swaps
whose notional principal is amortised according to a fixed schedule
independent of interest rates.

OTC option:

Option contract that gives the right to pay or receive a specific interest
rate on a predetermined principal for a set period of time. OTC options
include:

Interest rate cap:

OTC option that pays the difference between a floating interest rate and
the cap rate.

Interest rate floor:

OTC option that pays the difference between the floor rate and a floating
interest rate.

Interest rate collar:

Combination of cap and floor.

Interest rate corridor:

1) A combination of two caps, one purchased by a borrower at a set
strike and the other sold by the borrower at a higher strike to, in effect,
offset part of the premium of the first cap. 2) A collar on a swap created
with two swaptions – the structure and participation interval is
determined by the strikes and types of the swaptions. 3) A digital
knockout option with two barriers bracketing the current level of a longterm interest rate.

Interest rate swaption:

OTC option to enter into an interest rate swap contract, purchasing the
right to pay or receive a certain fixed rate. Report under interest rate
options.

Interest rate warrant:

OTC option; long-dated (over one year) interest rate option.

Each portion of an option strategy should be reported separately.

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a)

I.

Execution Method

Table C collects additional information on the execution method in millions of US dollars (notional
amounts) used to settle foreign exchange turnover transactions. The execution method has to be
separately identified for foreign exchange spot, outright forwards, FX swaps, and options reported in
Tables A1-A6. There are four basic categories: Voice-Direct, Voice-Indirect, Electronic-Direct, and
Electronic-Indirect. The two “Electronic” categories are further broken down into specific types of
electronic trading platforms: single-bank proprietary trading systems, other direct electronic means,
anonymous venues, and disclosed venues.

Voice-Direct

Trades originated in person, by phone, by telefax, or through general
messaging systems (e.g., Outlook, Hotmail, Gmail, or Yahoo mail)
regardless of how they are subsequently matched, not intermediated by a
third party.

Voice–Indirect

Executed over the phone, intermediated by a third party (e.g., via a voice
broker).

Electronic–Direct

Trades executed over an electronic trading system, not intermediated by a third
party. These include transactions originated through specific messaging systems
that are part of trading platforms.

of which:
Single-bank proprietary
trading system

Electronic trading systems owned and operated by a bank for both inhouse use and other banks and non-bank clients on a “white label”/prime
brokerage basis (e.g., Autobahn, BARX, Velocity, FX Trader Plus, etc).

Other

Other direct electronic systems (e.g., Bloomberg FXGO, Thomson Reuters
Conversational Dealing, direct API price streams, etc.

Electronic–Indirect

Trades executed over an electronic medium, intermediated by a third party
electronic platform (e.g., via a matching system).

of which:
Anonymous Venues

Disclosed Venues

Electronic trading platforms that have historically been geared
towards the non-disclosed inter-dealer market; plus any other
central limit order book (CLOB) venues that do not allow partitioning
of liquidity via the use of customised tags (e.g., Reuters Matching,
EBS Spot, EBS Hedge Ai, HotspotFX ECN,BGC mid, FXall
MidBook).
Multi-bank dealing systems that facilitate trading on a disclosed
basis or that allow for price discrimination, in the form of liquidity
partitioning via the use of customised tags (e.g., FXall OrderBook,
EBS Direct, Currenex FXTrades, Hotspot Link, Bloomberg FXGO,
Tradebook, 360T).

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Quality control. To prepare for the possibility that some reporting dealers may be technically incapable of
properly allocating all their transactions to the new execution methods, an entry called “unallocated” is
available in the survey template. This entry captures the amount of turnover for each instrument and
counterparty that fails to be allocated into one of the execution method categories above.

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FR 3036
Instructions

Illustrative examples of how to report trades by location of deals
in the context of the next triennial survey
The basic principle for determining the location of trades is as follows: For turnover data, the basis for reporting should be, if
possible, the location of the sales desk of any trade. Where no sales desk is involved in a deal, the trading desk should be used to
determine the location of deals.
Consider the transactions carried out in three countries C, X and M by a banking group with its Head Office and trading desk
located in country C. It has a sales team in its Head Office (sales desk 1) in country C, as well as a sales desk 2 in country X. Both
the offices in countries C & X are recognised as reporting dealers by the relevant central bank. The group has no representation in
country M. Then the table below illustrates how trades should be reported:

Originator and
function

Originator location

Counterparty
location

Reported as

To Central Bank in

1. Sales desk 1

C

C

Local

C

2. Sales desk 1

C

M

Cross border

C

3. Sales desk 2

X

X

Local

X

4. Sales desk 2

X

M

Cross border

X

5. Trading desk

C

X

Cross border

C

6. Trading desk

C

C

Local

C

7. Trading desk

C

M

Cross border

C

Note: Examples 5-7 do not involve a sales desk in the transaction.
It is assumed that sales desk 1 in country C will not deal with clients in country X (sales desk 2 would transact such business).
Equally, it is assumed that sales desk 2 in country X will not deal with customers in country C (the Head Office - sales desk 1 would be expected to transact such business). If such trades did occur, they would be reported as in Examples 2 & 4,
respectively. But, it is possible that the trading desk in country C could deal directly with another trading desk located in country
X, even though there is a sales desk located there (Example 5).

Take the above example, but assume under this scenario that the institution also has a third sales desk in country Y, but is not
recognised in that country as a reporting dealer. It is assumed that if the sales desk is not recognised as a reporting dealer, its
levels of business will be relatively low and will not be material in terms of the global results. Hence, trades through that sales desk
should not be reported, and for completeness the matrix can be extended as shown below:

Originator and
function

Originator location

Counterparty
location

Reported as

8. Sales desk 3

Y

Y

Not reported

9. Sales desk 3

Y

M

Not reported

a)
b)
c)

d)

To Central Bank in

Other Points of clarification: Trades conducted by sales offices in countries that do not participate in the survey, or by
offices that are not recognised as reporting dealers by their host central bank, should not be reported. (Examples 8 & 9)
Any trades by trading desk C with third parties, to cover or offset positions arising from the activities of its sales desks,
should be reported in the normal manner (Examples 5-7 above).
A “leave” order is considered as a trade, regardless of location or timing of ultimate execution. The office accepting the
order should report the trade, assuming that it is recognised by its host central bank as a reporting dealer (any of
Examples 1-7).
Both parties should report trades between two reporting dealers, as trades with other reporting dealers, regardless of
whether they are considered as sales or trading desks (any of Examples 1-7). This is essential to permit accurate
elimination of double counting during the production of the final data. The only exception to this rule is internal trades
between desks where, as noted in Section B.4 of the Guidelines, neither party should report the trade.

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