2015/16 Assessment of ASX Clearing and Settlement Facilities Appendix A2.2 Austraclear
A2.2 Austraclear
Austraclear is a wholly owned subsidiary of ASX Settlement Corporation Limited, itself a wholly owned subsidiary of ASX Limited (see ‘ASX Group Structure’ in Appendix A). It is an SSF that provides settlement and depository services for debt securities, and settlement services for derivatives traded on the ASX 24 market and for margin payments in ASX Clear and ASX Clear (Futures).
Summary of Ratings and Recommendations
The following table summarises the Bank's 2015/16 Assessment of Austraclear against the FSS using the rating system set out in the Principles for Financial Market Infrastructures: Disclosure framework and assessment methodology. The table includes the recommendations made by the Bank for Austraclear to observe or continue observing the requirements under the FSS, as well as recommendations to further strengthen Austraclear's observance of the FSS.
Standard | Rating | Recommendation |
---|---|---|
1. Legal basis | Observed | |
2. Governance | Observed | |
3. Framework for the comprehensive management of risks | Observed | Austraclear is encouraged to continue to refine the documentation of its recovery plans, including considering further elaborating: stress scenarios; communications procedures; the methodology for determining critical services; how structural weaknesses are identified and addressed; and links to other FMIs. |
4. Credit risk | Not applicable | |
5. Collateral | Not applicable | |
6. Liquidity risk | Observed | |
7. Settlement finality | Observed | |
8. Money settlements | Observed | |
9. Central securities depositories | Observed | |
10. Exchange-of-value settlement systems | Observed | |
11. Participant default rules and procedures | Observed | In order to continue to observe SSF Standard 11, Austraclear should carry out
further work to enhance its DMF documentation, including the documents that set
out the specific procedures to be followed in the event of default of an
Austraclear participant or Participating Bank. In particular, these documents
should provide guidance on the discretionary decisions that may need to be taken
by the PIRC and other relevant parties, including elaborating on relevant
factors for consideration in making these decisions. Austraclear should formalise the review of its default management procedures within ASX's broader framework for testing and review of the DMF. Austraclear should carry out its plans to enhance participant and client education and communication regarding its default management arrangements. As part of this, Austraclear should complete its planned updates of participant disclosures on the key aspects of its default management arrangements, including releasing a Guidance Note on the suspension and termination of Austraclear participants which explains the potential implications of the default of a participant or Participating Bank on other ASX CS facilities. Any disclosures should be easily accessible, preferably in a centralised location. Austraclear should continue enhancing its approach to the testing and review of its default management arrangements. Such enhancements should include increasing the complexity and scope of the ASX default management fire drills. Austraclear should also ensure that these fire drills involve all relevant internal stakeholders and committees, and test the interaction between all relevant stakeholders. As part of the annual ASX default management fire drills, consideration should be given to the implications of the default of an Austraclear participant or Participating Bank for other ASX CS facilities. Austraclear is encouraged to complete its review of the DMF and finalise planned enhancements to the relevant documents, including the SSF default procedures documents. |
12. General business risk | Observed | Austraclear is encouraged to review its assumptions in respect of the reliability and timeliness of payments under its insurance policies in calculating its general business risk capital. |
13. Custody and investment risks | Observed | |
14. Operational risk | Observed | In order to continue to observe SSF Standard 14, Austraclear should review its
cyber risk management arrangements in light of forthcoming CPMI-IOSCO guidance
on cyber resilience for FMIs. As part of this review, Austraclear should:
|
15. Access and participation requirements | Observed | |
16. Tiered participation arrangements | Observed | |
17. FMI links | Observed | |
18. Disclosure of rules, key policies and procedures, and market data | Observed | |
19. Regulatory reporting | Observed |
- Standard 1: Legal basis
- Standard 2: Governance
- Standard 3: Framework for the comprehensive management of risks
- Standard 4: Credit risk
- Standard 5: Collateral
- Standard 6: Liquidity risk
- Standard 7: Settlement finality
- Standard 8: Money settlements
- Standard 9: Central securities depositories
- Standard 10: Exchange-of-value settlement systems
- Standard 11: Participant default rules and procedures
- Standard 12: General business risk
- Standard 13: Custody and investment risks
- Standard 14: Operational risk
- Standard 15: Access and participation requirements
- Standard 16: Tiered participation arrangements
- Standard 17: FMI links
- Standard 18: Disclosure of rules, key policies and procedures, and market data
- Standard 19: Regulatory reporting