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Dealer Member Rule 17.15 permits the IIROC Board of Directors to exempt a Dealer Member from any provision of the Dealer Member Rules where it is satisfied that to do so would not be prejudicial to the interests of Dealer Members, their clients or the public. In granting an exemption, the Board may impose such terms and conditions as are considered necessary.
At its meeting of September 26th, the Board granted relief to 5 Dealer Members to permit individuals identified by those Dealer Members and located in the offices of their identified foreign affiliates to accept and enter orders on the Montréal Exchange (“MX”) from clients of the Dealer Members during the period of 2 am to 6 am Eastern Standard Time (“extended trading hours”). Accordingly, with respect to such designated individuals, the Dealer Members are exempt from the following requirements:
The exemptions are subject to the applicants receiving exemptions from registration by relevant securities regulators under National Instrument 31-103 paragraph 2.1(1)(a) in respect of the relevant individuals who would otherwise require registration as a Dealing Representative. The exemptions are also subject to several additional conditions including:
The exemption is also subject to IIROC’s right to refuse to exempt certain individuals at any time, based on a fit and proper assessment conducted by IIROC Registration staff.
The relief does not apply to individuals who enter orders outside of the MX extended trading hours.
The Board determined that this exemption is not prejudicial to the interests of Dealer Members, their clients or the public.
Access to extended trading hours is of potential benefit to clients. In terms of mitigating potential risks, the entry of orders during the MX extended trading hours will be subject to supervision, and the Dealer Members will retain all responsibility for the relevant client accounts, including responsibility for the relevant activities under IIROC rules. The Dealer Members will be required to disclose the arrangements to clients.
IIROC will rely on the supervisory structure and processes required in the conditions, as well as ongoing IIROC access to the audit trail of trades related to the activities of the foreign affiliates to ensure that IIROC’s ability to regulate the relevant Dealer Members is not negatively impacted.
Dealer Members seeking similar relief should contact IIROC at exemptions@iiroc.ca or dispenses@iiroc.ca.
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