Key Terminology in Clearing and Sattelment Process NSE
Key Terminology in Clearing and Sattelment Process NSE
IS M R
Clearing Corporation: The clearing corporation is responsible for post-trade activities such as risk management and
clearing and settlement of trades executed on a stock exchange.
The rst clearing corporation to be established in the country and also the rst clearing corporation in the country
to introduce settlement guarantee is the National Securities Clearing Corporation Ltd. (NSCCL), a wholly owned
subsidiary of NSE. NSCCL was incorporated in August 1995. It was set up with the objectives of bringing and
sustaining condence in clearing and settlement of securities; promoting and maintaining short and consistent
settlement cycles; providing counter-party risk guarantee, and operating a tight risk containment system.
b. Clearing Members: Clearing Members are responsible for settling their obligations as determined by the clearing
corporation. They do so by making available funds and/or securities in the designated accounts with clearing bank/
depositories on the date of settlement.
c.
Custodians: Custodians are clearing members but not trading members. They settle trades on behalf of trading
members, when a particular trade is assigned to them for settlement. The custodian is required to conrm whether
he is going to settle that trade or not. If he conrms to settle that trade, then clearing corporation assigns that
particular obligation to him. As on date, there are 13 custodians empanelled with NSCCL. They are Deutsche Bank
A.G., HDFC Bank Ltd., Hongkong Shanghai Banking Corporation Ltd., Infrastructure leasing and Financial Services
Ltd., ICICI Bank Ltd., Standard Chartered Bank Ltd., Stock Holding Corporation of India Ltd. , Axis Bank Ltd., DBS
bank Ltd., JP Morgan Chase Bank N.A., Kotak Mahindra Bank Ltd. State Bank of India and Citibank N.A and Orbis
Financial Corporation Ltd.
d. Clearing Banks: Clearing banks are a key link between the clearing members and Clearing Corporation to effect
settlement of funds. Every clearing member is required to open a dedicated clearing account with one of the
designated clearing banks. Based on the clearing members obligation as determined through clearing, the clearing
member makes funds available in the clearing account for the pay-in and receives funds in case of a pay-out. There
are 13 clearing banks of NSE, viz., Axis Bank Ltd, Bank of India Ltd., Canara Bank Ltd., Citibank N.A, HSBC Ltd.,
HDFC Bank Ltd., ICICI Bank Ltd IDBI Bank Ltd., Indusind Bank Ltd., Kotak Mahindra Bank, Standard Chartered
Bank, State Bank of India and Union Bank of India
e.
Depositories: Depository holds securities in dematerialized form for the investors in their beneciary accounts.
Each clearing member is required to maintain a clearing pool account with the depositories. He is required to make
available the required securities in the designated account on settlement day. The depository runs an electronic le
to transfer the securities from accounts of the custodians/clearing member to that of NSCCL and visa-versa as per the
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schedule of allocation of securities. The two depositories in India are the National Securities Depository Ltd (NSDL)
and Central Depository Services (India) Ltd (CDSL).
f.
Professional Clearing Member: NSCCL admits special category of members known as professional clearing members
(PCMs). PCMs may clear and settle trades executed for their clients (individuals, institutions etc.). In such cases, the
functions and responsibilities of the PCM are similar to that of the custodians. PCMs also undertake clearing and
settlement responsibilities of the trading members. The PCM in this case has no trading rights, but has clearing rights
i.e. he clears the trades of his associate trading members and institutional clients.
1. Trade details from Exchange to NSCCL (real-time and end of day trade le).
2. NSCCL noties the consummated trade details to clearing members/custodians who afrm back. Based on the
afrmation, NSCCL applies multilateral netting and determines obligations.
3. Download of obligation and pay-in advice of funds/securities.
4. Instructions to clearing banks to make funds available by pay-in time.
5. Instructions to depositories to make securities available by pay-in-time.
6. Pay-in of securities (NSCCL advises depository to debit pool account of custodians/CMs and credit its account and
depository does it)
7. Pay-in of funds(NSCCL advises Clearing Banks to debit account of custodians/CMs and credit its account and
clearing bank does it)
8. Pay-out of securities (NSCCL advises depository to credit pool account of custodians/CMs and debit its account
and depository does it)
9. Pay-out of funds (NSCCL advises Clearing Banks to credit account of custodians/CMs and debit its account and
clearing bank does it)
10. Depository informs custodians/CMs through DPs.
11. Clearing Banks inform custodians/CMs.
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IS M R
Trade Recording: The key details about the trades are recorded to provide basis for settlement. These details are
automatically recorded in the electronic trading system of the exchanges.
b. Trade Conrmation: The parties to a trade agree upon the terms of trade like security, quantity, price, and settlement
date, but not the counterparty which is the NSCCL. The electronic system automatically generates conrmation by
direct participants.
c.
Determination of Obligation: The next step is determination of what counter-parties owe, and what counterparties are due to receive on the settlement date. The NSCCL interposes itself as a central counterparty between
the counterparties to trades and nets the positions so that a member has security wise net obligation to receive or
deliver a security and has to either pay or receive funds.
The settlement process begins as soon as members obligations are determined through the clearing process. The
settlement process is carried out by the Clearing Corporation with the help of clearing banks and depositories. The
Clearing Corporation provides a major link between the clearing banks and the depositories. This link ensures
actual movement of funds as well as securities on the prescribed pay-in and pay-out day.
d. Pay-in of Funds and Securities: This requires members to bring in their funds/securities to the clearing corporation.
The CMs make the securities available in designated accounts with the two depositories (CM pool account in
the case of NSDL and designated settlement accounts in the case of CDSL). The depositories move the securities
available in the pool accounts to the pool account of the clearing corporation. Likewise CMs with funds obligations
make funds available in the designated accounts with clearing banks. The clearing corporation sends electronic
instructions to the clearing banks to debit designated CMs accounts to the extent of payment obligations. The banks
process these instructions, debit accounts of CMs and credit accounts of the clearing corporation. This constitutes
pay-in of funds and of securities.
e.
Pay-out of Funds and Securities: After processing for shortages of funds/securities and arranging for movement of
funds from surplus banks to decit banks through RBI clearing, the clearing corporation sends electronic instructions
to the depositories/clearing banks to release pay-out of securities/funds. The depositories and clearing banks debit
accounts of the Clearing Corporation and credit accounts of CMs. This constitutes pay-out of funds and securities.
Settlement is deemed to be complete upon declaration and release of pay-out of funds and securities.
Settlement Cycle
NSCCL clears and settles trades as per the well-dened settlement cycles (Table 5-1). All the securities are being traded
and settled under T+2 rolling settlement. The NSCCL noties the relevant trade details to clearing members/custodians
on the trade day (T), which are afrmed on T+1 to NSCCL. Based on it, NSCCL nets the positions of counterparties to
determine their obligations. A clearing member has to pay-in/pay-out funds and/or securities. The obligations are netted
for a member across all securities to determine his fund obligations and he has to either pay or receive funds. Members
pay-in/pay-out obligations are determined latest by T+1 and are forwarded to them on the same day, so that they can
settle their obligations on T+2. The securities/funds are paid-in/paid-out on T+2 day to the members clients and the
settlement is complete in 2 days from the end of the trading day. The settlement cycle for the CM segment are presented
in Table 5-1.
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Custodial Conrmation
T+1
Delivery generation
T+1
Securities/Funds Pay-in
T+2
Securities/Funds Pay-out
T+2
Valuation Debit
T+2.
Auction
T+3
T+4
Auction Pay-in/Pay-out
T+5
Close Out
T+5
T+6
T+8
T+9
T+1 means one working day after the trade day. Other T+ terms have similar meanings.
Source:NSE
Dematerialised Settlement
NSE along with leading nancial institutions established the National Securities Depository Ltd. (NSDL), the rst
depository in the country, with the objective to reduce the menace of fake/forged and stolen securities and thereby
enhance the efciency of the settlement systems. This has ushered in an era of dematerialized trading and settlement.
SEBI, too, has been progressively promoting dematerialisation by mandating settlement only through dematerialized
form for more and more securities. The share of demat delivery in total delivery at NSE was 100% in terms of value
during 2008-09.
Settlement Statistics
The details of settlement of trades on CM segment of NSE are provided in Annexure 5.1. There has been a substantial
reduction in short and bad deliveries. Short deliveries averaged around 0.21% of total delivery in 2008-09.
During 2008-09, taking all stock exchanges together, 23.15% of securities accounting for 21.83 % turnover were settled
by delivery and the balance were squared up/netted out (Table 5-2). In the preceding year, 29.54 % of shares accounting
for 28.21 % of turnover was settled by delivery. This indicates preference for non-delivery-based trades.
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IS M R
Exchange
2007-08
Quantity
2008-09
Value
Quantity
Value
NSE
24.77
27.33
21.38
22.18
BSE
36.68
30.16
26.55
20.94
Calcutta
110.37
91.03
93.19
94.66
Delhi
0.00
0.00
0.00
0.00
Ahmedabad
0.00
0.00
0.00
0.00
Uttar Pradesh
7.40
0.10
1.26
0.19
Bangalore
0.00
0.00
0.00
0.00
Ludhiana
0.00
0.00
0.00
0.00
Pune
0.00
0.00
0.00
0.00
10
OTCEI
0.00
0.00
0.00
0.00
11
ISE
0.00
0.00
0.00
0.00
12
Madras
0.00
0.00
0.00
0.00
13
Vadodara
0.00
0.00
0.00
0.00
14
Bhubaneshwar
0.00
0.00
0.00
0.00
15
Coimbatore
0.00
0.00
0.00
0.00
16
Madhya Pradesh
0.00
0.00
0.00
0.00
17
Jaipur
0.00
0.00
0.00
0.00
18
Gauhati
0.00
0.00
0.00
0.00
19
Jaipur
0.00
0.00
0.00
0.00
Total
29.54
28.21
23.15
21.83
Source: SEBI.
* Delivery ratio represents percentage of delivery to turnover of a Stock Exchange
Quantity = qnty shares delivered as a % of no. of shares traded
Value = value of shares delivered as a % of turnover
Stock Exchanges with 0 qnty and value, indicates no turnover on these stock exchanges.
Risk Management:
A sound risk management system is integral to an efcient settlement system. The NSCCL ensures that trading members
obligations are commensurate with their net worth. It has put in place a comprehensive risk management system, which
is constantly monitored and upgraded to pre-empt market failures. It monitors the track record and performance of
members and their net worth; undertakes on-line monitoring of members positions and exposure in the market, collects
margins from members and automatically disables members if the limits are breached. The risk management methods
adopted by NSE have brought the Indian stock market in line with the international markets.
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Capital Adequacy
The capital adequacy requirements stipulated by the NSE are substantially in excess of the minimum statutory requirements
as also in comparison to those stipulated by other stock exchanges. Corporates seeking membership in the CM and
F&O segment are required to have a net worth of Rs. 100 lakh, and keep an interest free security deposit of Rs. 125 lakh
and collateral security deposit of Rs. 25 lakh with the Exchange/NSCCL. The deposits kept with the Exchange as part
of the membership requirement may be used towards the margin requirement of the member. Additional capital may
be provided by the member for taking additional exposure. The capital adequacy norms for Corporates, Individuals/
partnership rms are presented in details in Chapter 4 Table 4-1 Eligibility Criteria for Trading Membership.
On-Line Monitoring
NSCCL has put in place an on-line monitoring and surveillance system, whereby exposure of the members is monitored
on a real time basis. A system of alerts has been built in so that both the member and the NSCCL are alerted as per
pre-set levels (reaching 70%, 85%, 90%, 95% and 100%) as and when the members approach these limits. The system
enables NSSCL to further check the micro-details of members positions, if required and take pro-active action.
The on-line surveillance mechanism also generates alerts/reports on any price/volume movement of securities not in
line with past trends/patterns. Open positions of securities are also analyzed. For this purpose the exchange maintains
various databases to generate alerts. These alerts are scrutinized and if necessary taken up for follow up action. Besides
this, rumors in the print media are tracked and where they are found to be price sensitive, companies are approached
to verify the same. This is then informed to the members and the public.
Margin Requirements
NSCCL imposes stringent margin requirements as a part of its risk containment measures. The categorization of stocks
for imposition of margins has the structure as given below;
The Stocks which have traded atleast 80% of the days for the previous six months constitute the Group I and
Group II.
Out of the scrips identied for Group I & II category, the scrips having mean impact cost of less than or equal
to 1% are categorized under Group I and the scrips where the impact cost is more than 1, are categorized
under Group II.
The impact cost is calculated on the 15th of each month on a rolling basis considering the order book snapshots of
the previous six months. On the basis of the impact cost so calculated, the scrips move from one group to another
group from the 1st of the next month.
For securities that have been listed for less than six months, the trading frequency and the impact cost is computed
using the entire trading history of the security
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123
IS M R
In case any corporate action results in a change in ISIN, then the securities bearing the new ISIN shall be treated as
newly listed security for group categorization.
Daily margin, comprises of VaR margin, Extreme Loss margin and Mark to Market margin.
1) Value at Risk Margin :
All securities are classied into three groups for the purpose of VaR margin
For the securities listed in Group I, scrip wise daily volatility calculated using the exponentially weighted
moving average methodology is applied to daily returns in the same manner as in the derivatives market.
The scrip wise daily VaR would be 3.5 times the volatility so calculated subject to a minimum of 7.5%.
For the securities listed in Group II, the VaR margin is higher of scrip VaR (3.5 sigma) or three times the index VaR, and
it is scaled up by root 3.
For the securities listed in Group III, the VaR margin is equal to ve times the index VaR and scaled up by root 3.
The index VaR, for the purpose, would be the higher of the daily Index VaR based on NSE Nifty 50 or BSE Sensex. The
index VaR would be subject to a minimum of 5%.
Security specic Margin: NSCCL may stipulate security specic margins for the securities from time to time.
The VaR margin rate computed as mentioned above will be charged on the net outstanding position (buy value-sell
value) of the respective clients on the respective securities across all open settlements. There would be no netting off
of positions across different settlements. The VaR margin shall be collected on an upfront basis by adjusting against the
total liquid assets of the member at the time of trade. The VaR margin so collected shall be released on completion of
pay-in of the settlement
The VaR numbers are recomputed six times during the day taking into account price and volatilities at various time
intervals and are provided on the website of the Exchange.
2) Extreme Loss Margin
The Extreme Loss Margin for any security is be higher of 5%, or 1.5 times the standard deviation of daily logarithmic
returns of the security price in the last six months. The Extreme Loss Margin is be collected/ adjusted against the total
liquid assets of the member on a real time basis
3) Mark to Market Margin
Mark to market loss is calculated by marking each transaction in security to the closing price of the security at the end
of trading. In case the security has not been traded on a particular day, the latest available closing price at the NSE is
considered as the closing price. In case the net outstanding position in any security is nil, the difference between the
buy and sell values is considered as notional loss for the purpose of calculating the mark to market margin payable.
The mark to market margin (MTM) is collected from the member before the start of the trading of the next day. The MTM margin is
also collected/adjusted from/against the cash/cash equivalent component of the liquid net worth deposited with the Exchange.
The MTM margin so collected is be released on completion of pay-in of the settlement.
Close Out Facility
An online facility to closeout open positions of members in the capital market segment whose trading facility is
withdrawn for any reason, has been provided with effect from June 13, 2007.
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124
On disablement, the trading members will be allowed to place close-out orders through this facility. Only orders which
result in reduction of existing open positions at the client level would be accepted through the close-out facility in the
normal market. Members would not be allowed to create any fresh position when in the close-out mode, to place close
out orders with custodial participant code and to close out open positions of securities in trade for trade segment.
In case of a 10% movement in either of these indices, there would be a one-hour market halt if the movement takes
place before 1:00 p.m. In case the movement takes place at or after 1:00 p.m. but before 2:30 p.m. there would be
trading halt for hour. In case movement takes place at or after 2:30 p.m. there will be no trading halt at the 10%
level and market would continue trading.
In case of a 15% movement of either index, there should be a two-hour halt if the movement takes place before 1
p.m. If the 15% trigger is reached on or after 1:00 p.m. but before 2:00 p.m., there should be a one-hour halt. If the
15% trigger is reached on or after 2:00 p.m. the trading should halt for remainder of the day.
In case of a 20% movement of the index, trading should be halted for the remainder of the day.
NSE may suo moto cancel the orders in the absence of any immediate conrmation from the members that these orders
are genuine or for any other reason as it may deem t. The Exchange views entries of non-genuine orders with utmost
seriousness as this has market wide repercussion. As an additional measure of safety, individual scrip-wise price bands
have been xed as below:
Price bands of 20% (either way) on all the remaining securities (including debentures, warrants, preference shares
etc. which are traded on CM segment of NSE),
No price bands are applicable on scrip on which derivative products are available or scrips included in indices on
which derivative products are available. However in order to prevent members from entering orders at non-genuine
prices in such securities, the Exchange has xed operating range of 20% for such securities.
The price bands for the securities in the Limited Physical Market are the same as those applicable for the securities in
the Normal Market. For Auction market the price bands of 20% are applicable.
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1,165
107
108
112
133
108
105
123
112
129
121
100
106
1,364
126
144
182
452
Apr-08
May-08
Jun-08
Jul-08
Aug-08
Sep-08
Oct-08
Nov-08
Dec-08
Jan-09
Feb-09
Mar-09
2008-09
Apr-09
May-09
Jun-09
Apr 09 to
June 09
67,953
28,112
21,907
17,934
141,894
12,464
11,690
14,196
14,229
10,997
11,116
9,556
10,691
13,200
11,069
11,550
11,136
148,123
No. of Traded
Trades Quantity
(mn.)
(mn.)
2007-08
Month/
Year
13,307
5,311
4,555
3,441
30,391
2,658
2,180
2,764
2,815
2,472
2,865
2,407
2,282
2,531
2,387
2,538
2,492
36,797
Turnover
(Rs. mn.)
1,973,955
1,526,254
1,873,931
2,133,872
1,782,080
2,301,925
2,471,885
2,382,790
2,906,990
2,726,970
2,789,621
2,624,229
387,056
302,599
365,292
408,544
368,801
546,895
610,387
544,472
614,056
643,302
689,028
634,920
38,743
29,956
36,780
41,882
34,977
45,180
48,516
46,767
57,056
53,522
54,752
51,506
7,597
5,939
7,170
8,019
7,238
10,734
11,980
10,686
12,052
12,626
13,524
12,462
4,965,891
3,579,318
2,613,099
74,772
54,587
988,893 103,737
744,359
481,486
18.89
20.79
19.19
46,266
20,658
15,550
10,058
21.33
18.65
19.47
19.78
22.48
25.77
25.19
21.35
19.17
21.57
21.97
22.38
22,033
386,169
302,077
364,639
408,005
368,111
545,846
609,341
543,690
613,105
642,172
687,993
633,829
987,606
743,169
480,717
19.85 2,211,492
19.91
20.80
18.43
22.24 6,104,977
19.61
19.83
19.49
19.15
20.69
23.76
24.69
22.85
21.12
23.59
24.70
24.19
27.64 9,706,179
26.21
8.11
11.27
6.83
62.52
7.49
4.23
4.79
4.72
3.99
6.71
4.40
4.32
5.48
5.53
5.36
5.52
99.65
0.20
0.15
0.25
0.20
0.21
0.28
0.19
0.17
0.17
0.16
0.23
0.18
0.19
0.22
0.23
0.21
0.22
0.27
Funds
Pay-in
(Rs. mn.)
133,325
105,249
127,262
150,751
147,717
258,886
262,078
178,619
210,147
222,160
217,454
193,395
711,197
296,316
252,195
162,686
0 2,207,040
0 3,095,432
Value of
Turn- Value of % of Securities
Short
% of Unrecti- % of UnShares De- over (US Shares DelivPay-in
Delivery Short ed Bad rectied
liverable $. mn.) Deliver- erable Rs. mn.)
(AucDeliv- Delivery
Bad
(Rs. mn.)
able
to
tioned
ery to
(Auc- Delivery
(US$.
Value
quantity) Deliver- tioned
to
mn.)
of
(mn.)
able
quan- Delivery
Shares
(quantity)
Traded
tity)
(mn.)
Quan- % of
tity of Shares
Shares DelivDeliver- erable
able
to
(mn.)
Total
Shares
Traded
125
Capital Market - Clearing and Settlement
IS M R