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3/19/2020

Remarks of Deputy Secretary Justin Muzinich at the 2019 US Treasury Market Structure Conference | U.S. Department of the Treasury

Remarks of Deputy Secretary Justin Muzinich at the 2019 US
Treasury Market Structure Conference
September 23, 2019

INTRODUCTION
Good morning. It is great to be here to speak on behalf of the U.S. Treasury. I would first like to
thank the Federal Reserve Bank of New York for co-hosting the conference with us. They have
put a lot of work into organizing an excellent event. The conference has become one of the key
venues for Treasury to engage with the broader financial community, and I am glad to see so
many senior market professionals and policy o icials in the audience.
I would like to break my remarks today into two parts. The first will briefly cover a few of the
Treasury Department’s broad priorities within domestic and international finance, including
housing finance reform, CFIUS reform, digital taxation, and cryptocurrency. The second part
will focus on our latest thinking on the market for U.S. Treasury securities.
A FEW BROAD PRIORITIES
To begin with Treasury’s priorities, we have taken significant steps in two key policy areas this
month. On September 5th, we released our Housing Finance Reform Plan. Fannie Mae and
Freddie Mac remain a critical part of the economy and have not been fully addressed since the
financial crisis. The continued conservatorships give the FHFA far-reaching influence over a
significant portion of the economy, and Treasury’s continued financial support leaves taxpayers
exposed to future bailouts. Treasury is committed to reforms that will protect taxpayers,
promote competition, and support a ordable housing. Our plan includes nearly 50
recommended legislative and administrative reforms that are incremental, realistic, and
balanced, and aim to preserve widespread and a ordable access to the 30-year fixed-rate
mortgage.
This month we also published new regulations relating to the Committee on Foreign Investment
in the United States, which evaluates foreign investments for national security risks. Last year
Congress passed a law enhancing CFIUS’s authorities, and the regulations published this month
accompany that law. Without getting into too many details, we addressed issues like what types
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of personal data we worry about foreign entities acquiring, and the types of sales of real estate
around sensitive sites that CFIUS should review. We encourage those interested in these issues
to provide comments on our proposed regulations.
I would also like to emphasize that along with strengthening CFIUS, we have been running the
review process more e iciently, to help ensure that safe investments can be made easily and
expeditiously in the United States. The best proof of this is in the data. Treasury does not
routinely release aggregate case data, but given CFIUS’s important role in protecting the United
States’ longstanding open investment policy, the investment community should know that
twice as many cases are clearing during the first stage of review as compared to a year ago.
Where there are no national security risks, we are letting the parties know quickly, so that they
can proceed with their transactions. The United States remains very much open to foreign
investment.
Another area we are focused on is the international tax system. A few countries have adopted
“digital taxes,” which impose tax on the revenue of digital business. These unilateral taxes fall
disproportionately on U.S. firms and upset the long-standing multilateral approach to
international taxation. We are actively engaging with the OECD on this issue. We are also
conducting listening sessions with U.S. industry and other stakeholders to have the benefit of
multiple perspectives. There is very strong bipartisan support to respond to unilateral e orts,
and to seek a multilateral solution.
Cryptocurrency is a fourth topic that has our attention. Treasury welcomes responsible
innovation in the financial sector, including new technologies that improve e iciency, expand
access, and lower the cost of domestic and international payments. However, as evidenced by
the statement released a er the last G7 Finance Ministers meeting, cryptocurrencies have
encountered significant skepticism because of the concerns they raise. I’d like to di erentiate
between two types of concerns: those the private sector can address, and those that
government must consider.
Regarding the former, there is concern that cryptocurrency will be used to evade existing legal
frameworks – like those governing taxation, anti-money laundering and countering the
financing of terrorism. These frameworks apply to digital assets in no uncertain terms.
Treasury’s O ice of Foreign Assets Control has clarified that the obligation to comply with U.S.
sanctions is the same regardless of whether a transaction is denominated in traditional fiat
currency or digital currency. Treasury’s Financial Crimes Enforcement Network also issued

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further guidance and an advisory this year. There should be no doubt about the private sector’s
compliance obligations.
But even if we are assured that the private sector is complying with existing legal requirements,
there are important remaining concerns that government must consider. These include
questions such as cryptocurrencies’ e ects on financial stability, the monetary base, consumer
protection, and privacy.
Internationally, Treasury and U.S. regulators are discussing these issues in the G7, the Financial
Stability Board, and other forums. Domestically, the Financial Stability Oversight Council, or
“FSOC,” which Secretary Mnuchin chairs, established a working group to take a crossgovernment look at these public policy issues. Digital currencies are not simply a means of
payment, but, depending on their structure, can shi some functions traditionally performed by
government to the private sector. Those engaged in digital currency markets should therefore
expect that regulators, in pursuing the public interest, will take a very hard look at these issues.
TREASURY SECURITIES MARKET
Now let me turn in some detail to the Treasury market, where we finance the Federal
government through more than $10 trillion of auctions a year. This conference was started five
years ago in large part as a response to the flash rally and retracement that occurred in the
Treasury market on October 15, 2014. It quickly became obvious that regulators were not able
to su iciently understand the event because they were missing comprehensive transaction data
for the Treasury market.
Fortunately for Treasury, there was existing precedent for collecting fixed income transaction
data. FINRA had been collecting data from its members through its Trade Reporting and
Compliance Engine, or “TRACE,” in other fixed income markets for many years. Working with us
and the SEC, FINRA agreed to also collect this data for Treasuries starting in 2017.
While the collection of the data was intended first and foremost to inform the o icial sector,
there has also been great interest in the data from the private sector. Indeed, for other markets
covered by TRACE, such as corporate bonds and mortgage-backed securities, select transaction
data is publicly disseminated. Therefore, a natural question has been whether some form of
Treasury transaction data will be publicly released as well.
Against this backdrop, Secretary Mnuchin spoke at this conference in 2017 and noted that any
release of this data must be guided by the principle to “do no harm”.

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Remarks of Deputy Secretary Justin Muzinich at the 2019 US Treasury Market Structure Conference | U.S. Department of the Treasury

Since the Secretary’s remarks, Treasury has sought to better understand the potential benefits
of releasing transaction data to the public. We therefore gathered views from market
participants through an extensive outreach e ort over the course of 2018.
The typical motivation for making transaction data public in other fixed income securities has
been the need for greater price transparency. However, based both on the feedback from
market participants, and on the observation that Treasury securities already trade with very
tight bid-o er spreads, price transparency largely exists in the Treasury market. It should
therefore not be the sole basis for releasing transaction data.
However, while prices are transparent, our outreach confirmed that market volume data is not.
I am pleased to announce today that Treasury has been working with FINRA to release
aggregated data on Treasury volumes for public dissemination. The details are still being
worked out, but our recommendation is for FINRA to release the data weekly, with the first
publication early next year. We greatly appreciate the support of FINRA and the SEC in this
endeavor, as well as feedback from our other o icial sector partners.
We believe the release of aggregate market volumes will be beneficial for three reasons:
First, we think the market will find it very useful to understand how volumes fluctuate,
whether as a result of seasonal flows or in response to significant events.
Second, the data will ensure a more level playing field. Currently, market participants have
access to various amounts of data, depending on what services they subscribe to and what
parts of the market they operate in. The new release will allow all market participants to
have access to the same comprehensive data.
Third, the release of aggregate market volumes will be consistent with one of our key
principles, in that it should have no negative impact on market behavior or liquidity. In fact,
Treasury believes that a better understanding of how much volume is passing through the
market, particularly in o -the-runs, should encourage even greater interest in those
securities.
Slide 1 – Example Weekly Volumes
To make this more concrete, the first slide has a table with a sample of the information intended
for public dissemination. As you can see, the data includes a breakdown between the two
major venues where Treasury securities trade:
First, the interdealer market, which supports flows directly between dealers and all trading on
interdealer broker (IDB) platforms, which includes principal trading firms (PTF)s.
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Second, the dealer-to-customer (DtC) market, which is still the dominant place where dealers
intermediate trades with customers, particularly in o -the-run securities.
Within each venue, the volumes will be further broken down into Treasury’s di erent security
types and maturities, including on- versus o -the-run for coupons and TIPS.
Treasury Weekly Volumes
Week of August 30, 2019; $Billion

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Notes
This example includes actual data for trades from August 24th to August 30th.
Interdealer includes dealer-to-dealer and trades executed on an Alternative Trading System
(ATS).
Dealer-to-Customer includes a iliate trades.
STRIPS are included in Nominal Coupon and TIPS o -the-runs based on years-to-maturity.
When issued trades through the end of the auction day are excluded.
Slide 2 – All Securities by Venue
The next slide shows overall volumes by venue over the last 12 months, to give you a sense for
how weekly reports can be combined over time to better understand market dynamics. There
are a couple of interesting takeaways. First, average daily volumes ranged between roughly
$500 billion and $1 trillion. Second, despite the significant focus in recent years on algorithmic
trading and PTFs, it is important to remember how large and significant the more traditional
DtC segment still is.
All Securities by Venue

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Remarks of Deputy Secretary Justin Muzinich at the 2019 US Treasury Market Structure Conference | U.S. Department of the Treasury

Slide 3 – Share of Volumes in the Interdealer Venue
Slide 3 looks at the relationship between security type, volume, and trading venue. The
question we are trying to answer here is whether the composition of trading looks di erent for
low-volume weeks compared to high-volume weeks. For instance, do low-volume weeks reflect
a disproportionate pullback in the interdealer segment where PTFs trade, or in particular
securities in that segment?
Generally speaking, what the data show is that the share of trading in the interdealer segment
versus the DtC segment does not change dramatically as total volumes increase or decrease,
and the same is true for the various types of securities traded. Based on a large sample of data,
there seems to be a healthy stability to the market structure across volume levels.
Share of Volumes in the Interdealer Venue

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Remarks of Deputy Secretary Justin Muzinich at the 2019 US Treasury Market Structure Conference | U.S. Department of the Treasury

Slides 4 – 6 – Volumes by Security Type
The next few slides provide a closer look at volumes by security type and venue.
Slide 4 shows that coupon volumes are higher in the interdealer venue – an unsurprising result
given the prevalence of electronic trading on IDBs, where on-the-run coupons trade in large
volumes, at higher frequency, and in smaller trade sizes.
It also shows that volumes are more balanced between on-the-runs and o -the-runs in the DtC
venue, with o -the-runs trading more heavily around quarter-ends. More generally, there is
more trading in o -the-runs than expected by many we spoke to during our outreach e orts.
Nominal Coupon Volumes

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Remarks of Deputy Secretary Justin Muzinich at the 2019 US Treasury Market Structure Conference | U.S. Department of the Treasury

Slide 5 shows that for TIPS, there is a far greater share of trading in the DtC venue, and that o the-runs actually exceed on-the-runs in terms of volume.
TIPS Volumes

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Remarks of Deputy Secretary Justin Muzinich at the 2019 US Treasury Market Structure Conference | U.S. Department of the Treasury

Slide 6 shows that bills and floating rate notes mostly trade in the DtC venue, and generally in
larger transaction sizes. This is in part due to the prevalent use of these securities by the largest
financial institutions for daily liquidity. The trend toward high frequency trading by PTFs that
has been important in coupons has not had the same e ect in these markets.
Bill and FRN Volumes

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Remarks of Deputy Secretary Justin Muzinich at the 2019 US Treasury Market Structure Conference | U.S. Department of the Treasury

Treasury’s Analysis of Historical Data
All of the analysis shared so far is based on data that we plan to share with the public. In
addition to this data, in April Treasury started collecting data for o icial sector use to better
understand Principal Trading Firm activity. We have long known that PTFs represent a di erent
type of participant in the Treasury market. For instance, they trade for their own account, do
not have traditional customers, and typically employ algorithmic and high-frequency trading
strategies. They also trade large total volumes, in small individual trade sizes, and generally do
not hold sizable risk positions overnight.
To build a better understanding of PTF activity, FINRA made two enhancements to the Treasury
transaction data it collects through TRACE.
The first was the collection of more detailed transaction reporting on IDB platforms in cases
where a series of transactions occur in a brief trading session at a single price, which is o en
referred to as a “workup.” These brief sessions last just a few seconds and can result in
hundreds of millions of dollars traded at a single price among numerous counterparties. Until
the change was made, it was impossible to understand the exact timing and sequence of these
trades. We knew who the buyers and sellers were, but we weren’t sure which buyers were

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matched with which sellers. The enhancement now allows us to match trades, bringing
increased transparency to a previously opaque part of the market.
The other data enhancement was the requirement for large alternative trading systems (ATSs),
which are the major IDB trading platforms, to identify the counterparty to every trade.
Previously, ATSs only identified FINRA-members by name, with all other counterparties listed as
a generic “customer.” PTFs, which are typically not FINRA-members, are now for the first time
explicitly identified when trading on these platforms.
I would like to share a few findings from the internal analysis we have run using these data
enhancements.
Slide 7 – PTF Volumes
Slide 7 shows an initial look at the PTF volumes. Starting in April 2019, PTF volumes are
observed to average about $140 billion per day, or 20 percent of overall volumes. The relative
share of PTF trading is fairly consistent across weeks and across fluctuations in overall volumes.
Volumes for Principal Trading Firms (PTF)

Note
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PTFs can be identified following an April 1 rule change by FINRA that requires large
Alternative Trading Systems to identify all counterparties by name.
Slide 8 – Counterparties on Electronic IDB Platforms
Slide 8 narrows in on electronic IDB venues, where PTFs predominantly trade. This data shows
PTFs account for around 60 percent of electronic IDB volumes.
The recent data enhancements allow us to break these volumes down based on whether the
PTFs are trading with other PTFs or with dealers and other investment funds. One third of
trading on electronic IDB platforms has only PTFs on both sides (as marked in blue). However,
an additional 55 percent of trades are between PTFs and Non-PTFs (as marked in grey).
These findings suggest that PTFs are consistently providing liquidity at the top of the order
book. They are therefore serving an important role in the price discovery process.
Counterparties on Electronic Interdealer Platforms

Note
Non-PTF includes dealers and other investment funds.

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Remarks of Deputy Secretary Justin Muzinich at the 2019 US Treasury Market Structure Conference | U.S. Department of the Treasury

CONCLUSION
To conclude, I again want to thank FINRA and our o icial sector partners, as well as all of the
market participants, who provided valuable input during our outreach. Though we have not
again had a flash rally of the magnitude of October 15, 2014, the new transaction data allows us
to be better prepared to study one, should one occur, and to evaluate any potential response.
Overall, the data confirms the robustness and resiliency of the Treasury market, which
maintains exceptional liquidity, diverse participation, and remarkably e icient price discovery.
There is plenty of opportunity for further inquiry, and we are glad that the private sector will
have the opportunity to study the new data going forward. The Treasury market is of incredible
importance to all of us, and we hope that this data will help bring additional understanding to
the deepest and most liquid market in the world. Thank you.

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