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9/23/2022

Remarks by Under Secretary for Domestic Finance Nellie Liang at the Securities Industry and Financial Markets Associa…

U.S. DEPARTMENT OF THE TREASURY
Remarks by Under Secretary for Domestic Finance Nellie Liang
at the Securities Industry and Financial Markets Association’s
Prudential and Capital Board Subcommittee
September 22, 2022

Let me begin by thanking SIFMA for inviting me to speak at todayʼs meeting. In my remarks, I
will focus on the progress made by the o icial sector towards enhancing the resilience of the
Treasury market.[i]
The Treasury market plays a critical role in financing the federal government, supporting the
broader financial system, and implementing monetary policy. To ensure the Treasury market
continues to fulfill these vital purposes, the o icial sector needs to seek continual
improvements that strengthen the Treasury market and keep pace with changing technology
and trading patterns.
In addition, amid the increase in economic and market volatility since the beginning of the
year, reduced market liquidity has served as a daily reminder that we need to be vigilant in
monitoring market risks. While the Treasury market continues to operate through todayʼs
macro uncertainties, episodes of market stress, for example in March 2020, September 2019,
and October 2014, underline the importance of understanding market vulnerabilities and
exploring ways to enhance Treasury market resilience.
Last November, Treasury, in conjunction with the Inter-Agency Working Group on Treasury
Market Surveillance (IAWG), released a sta progress report to update the public on its work.
[ii]

Although each agency has distinct roles and authorities with regard to the Treasury

market, the agencies are collaborating to better understand the issues and work together
toward shared goals.
In the ten months since the publication of the sta progress report, we have already made
significant progress. Before highlighting the key elements of progress, I want to be clear
about our objectives. These actions, or any o icial sector actions for that matter, are not
meant to eliminate volatility or completely insulate the market from periods of stress.
Instead, the aim is to increase the ability of the Treasury market to absorb, rather than
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Remarks by Under Secretary for Domestic Finance Nellie Liang at the Securities Industry and Financial Markets Associa…

amplify, potential adverse shocks and disruptions. At the same time, we recognize that some
shocks can be extreme, such as the COVID pandemic, and o icial interventions may still be
necessary even with substantive reforms.
The report highlighted five workstreams the IAWG has prioritized.[iii] Today, I plan to focus
primarily on progress made on the workstreams related to data transparency and changes in
Treasury market liquidity demand, areas where Treasury can and has played a more active
role.

IMPROVING DATA QUALIT Y AND AVAILAB ILIT Y

Turning to data transparency, access to high quality data on a timely basis is critical for
market functioning. For the o icial sector, data enable analysis of the e ects of current and
potential policies, as well as prompt and e ective responses if stresses emerge. For market
participants, data provide confidence in the marketʼs fairness and e iciency, and inform
trading decisions.
The o icial sector already collects substantial data on the Treasury market, including data on
most cash market transactions through TRACE, as well as most centrally cleared or triparty
repo transactions. These data have proven invaluable in policymaking and have been
improved incrementally over the years. Just this month, TRACE began to include data on
transactions by certain depository institutions, closing an important data gap.
One of the largest remaining data gaps is in the market for non-centrally-cleared bilateral
repo transactions. The Treasury Departmentʼs O ice of Financial Research has met recently
with various industry participants to better understand current practices in this market and
conducted a pilot data collection with a limited number of market participants. The pilot
collection was designed to prepare for a rulemaking that would establish a permanent data
collection covering the broader market.
Treasury also is considering providing additional data to the public on secondary market
transactions of Treasury securities. Previous incremental increases in transparency appear to
have benefited markets, and there may be room to do more, though it is important to avoid
creating disincentives for intermediaries to provide liquidity.
In June, Treasury published a request for information to solicit public feedback on additional
transparency for secondary market transactions of Treasury securities. The comment period
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Remarks by Under Secretary for Domestic Finance Nellie Liang at the Securities Industry and Financial Markets Associa…

recently closed, and we received 28 comments from a broad range of market participants.
The comments include diverse opinions on the potential benefits and costs of additional
transparency, but were overall supportive of the o icial sectorʼs objective to enhance Treasury
market resilience. Di erences focused on the pace and extent of transparency that should be
provided. We plan to provide an update on our initial findings at the upcoming Treasury
market conference on November 16.
Also, the SEC recently approved two proposed amendments from the Financial Industry
Regulatory Authority regarding TRACE for Treasuries: First, an amendment to shorten the
reporting timeframe to 60 minutes and increase the granularity of transaction details
reported. And, second, an amendment to publish the aggregated Treasury security
transaction statistics on a more frequent basis, such as moving from weekly to daily
publication.

EXAMINING EF F ECTS OF LEVERAGE AND F UND LIQUIDIT Y
RISK MANAGEMENT PRACT ICES
Let me turn next to the growing size and influence of certain investor positions and trading
flows on Treasury market liquidity. Since the global financial crisis, open-end corporate bond
funds have grown substantially as a share of corporate bonds and as a share of Treasury
securities. However, the daily liquidity o ered to shareholders does not reflect that the
fundsʼ underlying assets can be significantly less liquid, creating a first-mover advantage.
This first-mover advantage can create a surge in demand for bond market liquidity in stress
periods when investors want to flee to cash-like assets. While Treasury securities are an
important liquidity risk management tool, they can be the first securities sold in a stress
period – given their higher liquidity relative to other bonds – possibly amplifying stresses in
markets. In such periods, highly-leveraged hedge funds may also need to liquidate assets,
including Treasury securities. These scenarios played out in the “dash for cash” in March 2020,
when hedge funds and open-ended bond mutual funds were two of the largest participants in
the broad selling of Treasury securities.
In 2021, the Financial Stability Oversight Council made it a priority to evaluate and address the
risks to U.S. financial stability posed by these funds and established working groups to bring
together the agencies to share information and expertise. On the international front, the
Financial Stability Board will make a set of recommendations to mitigate issues of structural
liquidity mismatch in some open-end funds. SEC Chair Gensler has asked the SEC sta to
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Remarks by Under Secretary for Domestic Finance Nellie Liang at the Securities Industry and Financial Markets Associa…

consider changes to rules for open-end funds, including related to fund liquidity, pricing, and
resilience in stress periods. In addition, for hedge funds, the SEC and CFTC jointly proposed
additional amendments to enhance reporting by large hedge funds, which should improve the
ability to monitor systemic risk. This includes refining the reporting of investment exposures
and leverage as well as better di erentiating between positions in the cash versus derivatives
markets for Treasury securities.

OT HER W ORKST REAMS
As you know, the IAWG highlighted three other workstreams – improving resilience of market
intermediation; evaluating expanded central clearing; and enhancing trading venue
transparency and oversight – and there has also been progress made by the agencies.
The Federal Open Market Committee announced the establishment of a domestic
standing repo facility and a repo facility for foreign and international monetary
authorities.
The SEC proposed rules outlining specific qualitative and quantitative criteria for
determining whether a market participant must register as a dealer or government
securities dealer and comply with the associated rules.
Also, the SEC re-proposed regulations for oversight of and public disclosures by Treasury
trading platforms, including removing the prior government securities exemption and
expanding the definition of exchange to include a broader set of trading venues, such as
request-for-quote platforms.
And, just last week, the SEC proposed rule changes that would enhance risk management
practices for central counterparties in the Treasury market and facilitate additional
clearing of Treasury securities transactions.
We have compiled a list of all the progress the IAWG has made, which we will be posting, and
plan to discuss more at the November conference.
To conclude, we have taken important steps forward on enhancing the Treasury marketʼs
resilience and have a strong roadmap for continued improvements. We will continue to
engage with market participants and seek public comments, and greatly appreciate the
feedback we have already received on this important project.

[i] See the fact sheet

released today on the o icial sectorʼs progress in enhancing the resilience of Treasury markets.

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Remarks by Under Secretary for Domestic Finance Nellie Liang at the Securities Industry and Financial Markets Associa…

[ii] The Inter-Agency Working Group on Treasury Market Surveillance (IAWG) is comprised of sta from the U.S. Department of
Treasury, the Board of Governors of the Federal Reserve System, the Federal Reserve Bank of New York, the U.S. Securities and
Exchange Commission, and the U.S. Commodity Futures Trading Commission.
[iii] The five workstreams are: improving resilience of market intermediation;
improving data quality and availability; evaluating expanded central clearing; enhancing trading
venue transparency and oversight; and examining e ects of leverage and fund liquidity risk
management practices.

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