About a-team Marketing Services
The knowledge platform for the financial technology industry
The knowledge platform for the financial technology industry

A-Team Insight Blogs

SEC CAT Hits Another Hurdle

Subscribe to our newsletter

The US Consolidated Audit Trail (CAT) has hit another hurdle with the CAT National Market System (NMS) confirming that it is ‘transitioning the CAT project to a new plan processer’. This suggests Thesys Technologies, which was rather surprisingly selected as the plan processor by the self-regulatory organisations (SROs) that operate the CAT NMS in May 2017, has been dropped from the initiative, most likely due to missed deadlines in building the CAT and preparing for reporting.

The Financial Industry Regulatory Authority (FINRA), which missed out on the contract first time around and operates the CAT predecessor, the Order Audit Trail System (OATS), is likely to be interested in taking over the plan processor role, although large data vendors such as Bloomberg and Refinitiv cannot be ruled out.

In a statement on February 1st, 2019, the CAT NMS notes: “In transitioning the project to a new plan processor, the participants are evaluating the impact the transition will have on current industry member implementation plans. While certain dates may change, there are no material changes planned for the industry member technical specifications. The participants will continue to work with industry participants to finalize the industry member reporting specification.”

The CAT (aka SEC Rule 613) has had a chequered history since the Securities and Exchange Committee (SEC) approved the CAT NMS plan in November 2016. Troubles have included complaints about the burden the CAT puts on broker dealers, its funding model, and the proposed collection of client data that creates risk in the event of a breach.

There have also been numerous implementation delays, despite early SEC efforts to hold to the original time plan that required, but did not realise, first reporting in November 2017. The latest proposals on timing were presented by the SROs to the SEC in May 2018. They called for first phase reporting by SROs to start on November 15, 2018, second phase reporting for large broker-dealers to start on November 15, 2019, and all phases of small broker-dealer reporting to be complete by November 15, 2022. While a flurry of attempts to report to the CAT was made in late 2018, reporting appears to have stalled.

According to the CAT NMS statement: “As an initial matter, the participants anticipate the initial test period for data ingestion will move from August 2019 to late 2019 and plan to announce a more fulsome implementation schedule shortly.”

Subscribe to our newsletter

Related content

WEBINAR

Recorded Webinar: Best approaches for trade and transaction reporting

Compliance practitioners and technology leaders in capital markets face mounting pressure to ensure that reporting processes are efficient, accurate, and aligned with global standards. Market developments and jurisdictional nuances in regulatory frameworks like MiFID II, EMIR, SFTR and MAS create a continual challenge for compliance teams. This webinar brings together senior RegTech executives and seasoned...

BLOG

8 Best Practices for Regulatory Data Management and Reporting – Upcoming Webinar

Over the past three years, regulatory data management and reporting have presented financial institutions globally with an escalating set challenges. Amongst these, the inadequacy of data governance frameworks has seen significant enforcement actions against tier-1 firms. In a joint OCC/Federal Reserve action in 2024, Citigroup faced a $135.6 million fine for persistent deficiencies in risk...

EVENT

RegTech Summit New York

Now in its 9th year, the RegTech Summit in New York will bring together the RegTech ecosystem to explore how the North American capital markets financial industry can leverage technology to drive innovation, cut costs and support regulatory change.

GUIDE

The DORA Implementation Playbook: A Practitioner’s Guide to Demonstrating Resilience Beyond the Deadline

The Digital Operational Resilience Act (DORA) has fundamentally reshaped the European Union’s financial regulatory landscape, with its full application beginning on January 17, 2025. This regulation goes beyond traditional risk management, explicitly acknowledging that digital incidents can threaten the stability of the entire financial system. As the deadline has passed, the focus is now shifting...