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30 July 2013
Exchange Rate Perspectives: FX and the Financial Transaction Tax
The FIT would apply to all financial institutions. Financial institutions are defined as
investment firms, trading platforms or exchanges, insurance companies, pension
funds, alternative investment funds, special purpose entities (SPEs) and special
purpose vehicles (SPVs) and any other entity for which the average annual value of
financial transactions constitute more than fifty percent of overall net turnover.'
There are limited exceptions. Non-financial entities are not required to pay, but
financial institutions transacting with non-financial entities are. Moreover, non-
financial entities would be held jointly and severally liable if a financial institution
fails to pay. Transactions with Central Counter Parties (CCPs), Central Security
Depositories (CSDs) and International Central Securities Depositories (ICSDs),
national debt management offices, member state central banks, the ECB and other
international organizations do not fall under the FTT. The Fr would also not be
charged on primary market transactions, or underwriting.
The proposal envisages a broad territorial reach of the FTT. It would apply to all
financial entities established in participating states. It would also apply to all
financial entities transacting with a counterpany based in the participating states.
Transactions involving securities issued within a participating member state will
also be caught, irrespective of where the counterparties to the deal are based. This
'issuance principle' is designed to strengthen anti-relocation provisions of the FR
by making less desirable for entities established in participating states to move
trading activities abroad. The issuance principle would apply to instruments like
bonds and stocks. It is uncertain as to whether it would apply to the euro currency.
Euros are issued by the ECB. an EU-established entity. It is not clear whether euro-
denominated derivative contracts traded on an organized platform will be subject.
The proposal anticipates that the broker or settlement agent would be liable for the
calculation for the FTT. For electronic transactions, collection and payment is
assumed to be immediate. For other types of transactions, the proposal suggests
that a period of three working days is an appropriate time period within which the
FTT should be paid. The proposal does not state which counterpany should be
held responsible for paying the FTT, but that in the event the tax is not paid, both
counterparties would be held jointly and severally liable.
Headline versus Effective Costs
The headline rates established by the European Commission are 10bp for
securities transactions and lbp for derivatives. However, the effective rates for
financial transactions are higher. This is because the Fri is levied on a gross basis,
at every stage of the transaction. This approach would cause a 'cascade effect,'
whereby the effective tax rate increases in a linear fashion with the amount of
intermediation in the deal.
The draft proposal distinguishes between financial institutions that are a 'party' to a
financial transaction and those that act on an 'agency' basis. 'Parties' are required
to pay the FTT, while those acting on an 'agency' basis will not be caught. There is
still a lack of clarity over which entities would fall under each definition (for
example, whether the tax would capture a prime broker executing a 'give up,'
since the prime broker bears credit risk for the transaction). The FT would,
however, appear to capture entities acting independently that facilitate a single
European Commission, Proposal for a Coxed Directive, implementing Enhanced Cooperation in the area
of Financed Transaction Tax, 14" February 2013
Page 8 Deutsche Bank Securities Inc.
CONFIDENTIAL - PURSUANT TO FED. R. CRIM. P. 6(e) DB-SDNY-0104664
CONFIDENTIAL SDNY_GM_00250848
EFTA01449313
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