[Federal Register Volume 84, Number 203 (Monday, October 21, 2019)]
[Notices]
[Pages 56240-56255]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2019-22838]


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SECURITIES AND EXCHANGE COMMISSION

[Release No. 34-87304; File No. SR-CBOE-2019-082]


Self-Regulatory Organizations; Cboe Exchange, Inc.; Notice of 
Filing and Immediate Effectiveness of a Proposed Rule Change To Amend 
its Fees Schedule in Connection With Migration

October 15, 2019.
    Pursuant to Section 19(b)(1) of the Securities Exchange Act of 1934 
(the ``Act''),\1\ and Rule 19b-4 thereunder,\2\ notice is hereby given 
that on October 2, 2019, Cboe Exchange, Inc. (the ``Exchange'' or 
``Cboe Options'') filed with the Securities and Exchange Commission 
(the ``Commission'') the proposed rule change as described in Items I, 
II, and III below, which Items have been prepared by the Exchange. The 
Commission is publishing this notice to solicit comments on the 
proposed rule change from interested persons.
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    \1\ 15 U.S.C. 78s(b)(1).
    \2\ 17 CFR 240.19b-4.
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I. Self-Regulatory Organization's Statement of the Terms of Substance 
of the Proposed Rule Change

    Cboe Exchange, Inc. (the ``Exchange'' or ``Cboe Options'') proposes 
to amend its Fees Schedule in connection with migration. The text of 
the proposed rule change is provided in Exhibit 5.
    The text of the proposed rule change is also available on the 
Exchange's website (http://www.cboe.com/AboutCBOE/CBOELegalRegulatoryHome.aspx), at the Exchange's Office of the 
Secretary, and at the Commission's Public Reference Room.

II. Self-Regulatory Organization's Statement of the Purpose of, and 
Statutory Basis for, the Proposed Rule Change

    In its filing with the Commission, the Exchange included statements 
concerning the purpose of and basis for the proposed rule change and 
discussed any comments it received on the proposed rule change. The 
text of these statements may be examined at the places specified in 
Item IV below. The Exchange has prepared summaries, set forth in 
sections A, B, and C below, of the most significant aspects of such 
statements.

A. Self-Regulatory Organization's Statement of the Purpose of, and the 
Statutory Basis for, the Proposed Rule Change

1. Purpose
    In 2016, the Exchange's parent company, Cboe Global Markets, Inc. 
(formerly named CBOE Holdings, Inc.) (``Cboe Global''), which is also 
the parent company of Cboe C2 Exchange, Inc. (``C2''), acquired Cboe 
EDGA Exchange, Inc. (``EDGA''), Cboe EDGX Exchange, Inc. (``EDGX'' or 
``EDGX Options''), Cboe BZX Exchange, Inc. (``BZX'' or ``BZX 
Options''), and Cboe BYX Exchange, Inc. (``BYX'' and, together with 
Cboe Options, C2, EDGX, EDGA, and BZX, the ``Cboe Affiliated 
Exchanges''). The Cboe Affiliated Exchanges are working to align 
certain system functionality, including with respect to connectivity, 
retaining only intended differences between the Cboe Affiliated 
Exchanges, in the context of a technology migration. The Exchange 
intends to migrate its trading platform to the same system used by the 
Cboe Affiliated Exchanges, which the Exchange expects to complete on 
October 7, 2019 (the ``migration''). As a result of this migration, the 
Exchange's current connectivity architecture will be rendered obsolete, 
and as such, the Exchange must offer new functionality, including new 
logical connectivity, and adopt corresponding fees.\3\ In determining 
the proposed fee changes, the Exchange assessed the impact on market 
participants to ensure that the proposed fees would not create a 
financial burden and have an undue impact on any market participants, 
including smaller market participants. Indeed, the Exchange notes that 
it anticipates its post-migration connectivity revenue to be 
approximately 1.75% lower than today. In addition to providing a 
consistent technology offering across the Cboe Affiliated Exchanges, 
the upcoming migration will also provide market participants a latency 
equalized infrastructure, improving trading performance, and increased 
sustained order and quote per second capacity, as discussed more fully 
below. Accordingly, in connection with the migration and in order to 
more closely align the Exchange's fee structure with that of its 
Affiliated Exchanges, the

[[Page 56241]]

Exchange intends to update and simplify its fee structure with respect 
to access and connectivity and adopt new access and connectivity fees, 
effective October 1, 2019 (or as otherwise stated herein).\4\
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    \3\ The Exchange notes that effective October 7, 2019, market 
participants will no longer have connectivity to the old Exchange 
architecture.
    \4\ The Exchange initially filed the proposed fee changes on 
October 1, 2019 (SR-CBOE-2019-077). On business date October 2, 
2019, the Exchange withdrew that filing and submitted this filing.
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Physical Connectivity
    A physical port is utilized by a Trading Permit Holder (``TPH'') or 
non-TPH to connect to the Exchange at the data centers where the 
Exchange's servers are located. The Exchange currently assesses fees 
for Network Access Ports for these physical connections to the 
Exchange. Specifically, TPHs and non-TPHs can elect to connect to Cboe 
Options' trading system via either a 1 gigabit per second (``Gb'') 
Network Access Port or a 10 Gb Network Access Port. The Exchange 
currently assesses a monthly fee of $1,500 per port for 1 Gb Network 
Access Ports and a monthly fee of $5,000 per port for 10 Gb Network 
Access Ports for access to Cboe Options primary system. Through January 
31, 2020, Cboe Options market participants will continue to have the 
ability to connect to Cboe Options' trading system via the current 
Network Access Ports. For the month of October 2019, the Exchange will 
continue to assess the current fee for any legacy Network Access Port a 
TPH or non-TPH uses during the month of October. Effective November 1, 
2019, the Exchange will assess the proposed fees described below for 
any physical port, regardless of whether the TPH or non-TPH connects 
via the current Network Access Ports or the new Physical Ports.
    Effective October 7, 2019, in connection with the migration, TPHs 
and non-TPHs may alternatively elect to connect to Cboe Options via new 
latency equalized Physical Ports.\5\ The new Physical Ports will 
similarly allow TPHs and non-TPHs the ability to connect to the 
Exchange at the data center where the Exchange's servers are located 
and TPHs and non-TPHs will have the option to connect via 1 Gb or 10 Gb 
Physical Ports. Effective November 1, 2019, the Exchange proposes to 
continue to assess a monthly fee of $1,500 per port for 1 Gb Physical 
Ports and increase the monthly fee for 10 Gb Physical Ports to $7,000 
per port. The new Physical Port fees will be prorated based on the 
remaining trading days in the calendar month. The proposed fee for 10 
Gb Physical Ports is in line with the amounts assessed by other 
exchanges for similar connections by its Affiliated Exchanges and other 
Exchanges.\6\
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    \5\ As previously noted, market participants will continue to 
have the option of connecting to Cboe Options via a 1 Gbps or 10 
Gbps Network Access Port and would be assessed current rates of 
$1,500 and $5,000 per port, respectively. If a TPH replaces a legacy 
Network Access Port with a new C1 latency equalized Physical Port in 
October 2019, the TPH will not be billed an additional fee for the 
new C1 platform physical connection until November 2019.
    \6\ See Cboe EDGA U.S. Equities Exchange Fee Schedule, Physical 
Connectivity Fees; Cboe EDGX U.S. Equities Exchange Fee Schedule, 
Physical Connectivity Fees; Cboe BZX U.S. Equities Exchange Fee 
Schedule, Physical Connectivity Fees; Cboe BYX U.S. Equities 
Exchange Fee Schedule, Physical Connectivity Fees; Cboe EDGX Options 
Exchange Fee Schedule, Physical Connectivity Fees; and Cboe BZX 
Options Exchange Fee Schedule, Physical Connectivity Fees 
(collectively, ``Affiliated Exchange Fee Schedules''). See e.g., 
Nasdaq PHLX and ISE Rules, General Equity and Options Rules, General 
8. Phlx and ISE each charge a monthly fee of $2,500 for each 1Gb 
connection, $10,000 for each 10Gb connection and $15,000 for each 
10Gb Ultra connection. See also Nasdaq Price List--Trading 
Connectivity. Nasdaq charges a monthly fee of $7,500 for each 10Gb 
direct connection to Nasdaq and $2,500 for each direct connection 
that supports up to 1Gb. See also NYSE American Fee Schedule, 
Section V.B, and Arca Fees and Charges, Co-Location Fees. NYSE 
American and Arca each charge a monthly fee of $5,000 for each 1Gb 
circuit, $14,000 for each 10Gb circuit and $22,000 for each 10Gb LX 
circuit.
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    In addition to the benefits resulting from the new Physical Ports 
being latency equalized (i.e., faster connectivity), TPHs and non-TPHs 
may be able to reduce their overall physical connectivity fees. 
Particularly, the Fees Schedule currently provides that Network Access 
Port fees are assessed for unicast (orders, quotes) and multicast 
(market data) connectivity separately. More specifically, Network 
Access Ports may only receive one type of connectivity each (thus 
requiring a market participant to maintain two ports if that market 
participant desires both types of connectivity). The new Physical Ports 
however, will all allow access to both unicast and multicast 
connectivity with a single physical connection to the Exchange. 
Therefore, TPHs and non-TPHs that currently purchase two legacy Network 
Access Ports for the purpose of receiving each type of connectivity 
will have the option upon migration to purchase only one new Physical 
Port to accommodate their connectivity needs, which may result in 
reduced costs for physical connectivity.\7\
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    \7\ The Exchange proposes to eliminate the current Cboe Command 
Connectivity Charges table in its entirety and create and relocate 
such fees in a new table in the Fees Schedule that addresses fees 
for physical connectivity, including fees for the current Network 
Access Ports, the new Physical Ports and Disaster Recovery (``DR'') 
Ports. The Exchange notes that it is not proposing any changes with 
respect to DR Ports other than renaming the DR ports from ``Network 
Access Ports'' to ``Physical Ports'' to conform to the new Physical 
Port terminology.
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Cboe Data Services--Port Fees
    The Exchange proposes to amend the ``Port Fee'' under the Cboe Data 
Services (``CDS'') Fees Schedule, effective October 1, 2019. Currently, 
the Port Fee is payable by any Customer that receives data through a 
direct connection to CDS (``direct connection'') or through a 
connection to CDS provided by an extranet service provider (``extranet 
connection''). The Port Fee applies to receipt of any Cboe Options data 
feed but is only assessed once per data port. The Exchange proposes to 
amend the monthly CDS Port Fee to provide that it is payable ``per 
source'' used to receive data, instead of ``per data port''. The 
Exchange also proposes to increase the fee from $500 per data port/
month to $1,000 per data source/month. In connection with the proposed 
change, the Exchange also proposes to rename the ``Port Fee'' to 
``Direct Data Access Fee''. As the fee will be payable ``per source'' 
used to receive data, instead of ``per data port'', the Exchange 
believes the proposed name is more appropriate and that eliminating the 
term ``port'' from the fee will eliminate confusion as to how the fee 
is assessed. The Exchange notes the proposed change in assessing the 
fee (i.e., per source vs per port), the proposed fee amount and the 
proposed name are the same as the corresponding fee on its affiliate 
C2.\8\
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    \8\ See Cboe C2 Options Exchange Fee Schedule, Cboe Data 
Services, LLC Fees, Section IV, Systems Fees.
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Logical Connectivity
    Next, the Exchange proposes to amend its login fees. By way of 
background, Cboe Options market participants may currently access Cboe 
Command via either a CMI or a FIX Port, depending on how their systems 
are configured. Effective October 7, 2019, market participants will no 
longer be able to use CMI and FIX Login IDs. Rather, the Exchange will 
utilize a variety of logical connectivity ports as further described 
below. Both a legacy CMI/FIX Login ID and proposed logical port 
represent a technical port established by the Exchange within the 
Exchange's trading system for the delivery and/or receipt of trading 
messages--i.e., orders, accepts, cancels, transactions, etc. Market 
participants that wish to connect directly to the Exchange can request 
a number of different types of ports, including ports that support 
order entry, customizable purge functionality, or the receipt of market 
data. Market participants can also choose to connect indirectly through 
a number of different third-party providers, such as another broker-

[[Page 56242]]

dealer or service bureau that the Exchange permits through specialized 
access to the Exchange's trading system and that may provide additional 
services or operate at a lower mutualized cost by providing access to 
multiple members. In light of the upcoming discontinuation of CMI and 
FIX Login IDs, the Exchange proposes to eliminate the fees associated 
with the CMI and FIX login IDs effective October 1, 2019 and adopt the 
below pricing for logical connectivity in its place.

------------------------------------------------------------------------
                Service                           Cost per month
------------------------------------------------------------------------
Logical Ports (BOE, FIX) 1 to 5........  $750 per port.
Logical Ports (BOE, FIX) >5............  $800 per port.
Logical Ports (Drop)...................  $750 per port.
BOE Bulk Ports 1 to 5..................  $1,500 per port.
BOE Bulk Ports 6 to 30.................  $2,500 per port.
BOE Bulk Ports >30.....................  $3,000 per port.
Purge ports............................  $850 per port.
GRP Ports..............................  $750/primary (A or C Feed).
Multicast PITCH/Top Spin Server Ports..  $750/set of primary (A or C
                                          feed).
------------------------------------------------------------------------

    The Exchange proposes to provide for each of the logical 
connectivity fees that new requests will be prorated for the first 
month of service. Cancellation requests are billed in full month 
increments as firms are required to pay for the service for the 
remainder of the month, unless the session is terminated within the 
first month of service. The Exchange notes that the proration policy is 
the same on its Affiliated Exchanges.\9\ The Exchange also proposes to 
make clear in the Fees Schedule that port fees for BOE, FIX, BOE Bulk 
and Drop ports will be assessed the full month rates for October for 
ports available for use on the new trading platform beginning October 
7, 2019. The port fees for BOE, FIX, Drop and BOE Bulk ports added on 
or after October 8, 2019, will be pro-rated. The Exchange notes that 
BOE, FIX, Drop and BOE Bulk ports offer similar functionality as 
current CMI and FIX Login Ids. As such, in lieu of assessing the 
current CMI and FIX Login Id fees for the month of October, the 
Exchange proposes to assess the proposed Logical Ports and BOE Bulk 
Port fees at the full rate for the month of October for any of these 
ports subscribed to on the date of the migration (October 7, 2019). 
Fees for Purge, Spin Server and GRP will be pro-rated beginning October 
7, as these ports can only be used within the new platform.
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    \9\ See Affiliated Exchange Fee Schedules, Logical Port Fees.
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    Logical Ports (BOE, FIX, Drop): The new Logical Ports represent 
ports established by the Exchange within the Exchange's system for 
trading purposes. Each Logical Port established is specific to a TPH or 
non-TPH and grants that TPH or non-TPH the ability to operate a 
specific application, such as order/quote \10\ entry (FIX and BOE 
Logical Ports) or drop copies (Drop Logical Ports). Similar to CMI and 
FIX Login IDs, each Logical Port will entitle a firm to submit message 
traffic of up to specified number of orders per second.\11\ The 
Exchange proposes to assess $750 per port per month for all Drop 
Logical Ports and also assess $750 per port per month (which is the 
same amount currently assessed per CMI/FIX Login ID per month), for the 
first 5 FIX/BOE Logical Ports and thereafter assess $800 per port, per 
month for each additional FIX/BOE Logical Port. While the proposed 
ports will be assessed the same monthly fees as current CMI/FIX Login 
IDs (for the first five logical ports), the proposed logical ports 
provide for significantly more message traffic as shown below:
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    \10\ Effective October 7, 2019, the definition of quote in Cboe 
Options Rule 1.1 shall mean a firm bid or offer a Market-Maker (a) 
submits electronically as an order or bulk message (including to 
update any bid or offer submitted in a previous order or bulk 
message) or (b) represents in open outcry on the trading floor.
    \11\ Login Ids restrict the maximum number of orders and quotes 
per second in the same way logical ports do, and Users may similarly 
have multiple logical ports as they may have Trading Permits and/or 
bandwidth packets to accommodate their order and quote entry needs.

----------------------------------------------------------------------------------------------------------------
                                                    CMI/FIX Login Ids                     BOE/FIX Logical Ports
                                  ------------------------------------------------------------------------------
                                             Quotes                    Orders                 Quotes/Orders
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Bandwidth Limit per login........  5,000 quotes/3 sec \12\..  30 orders/sec...........  15,000 quotes/orders/3
                                                                                         sec.
Cost.............................  $750 each................  $750 each...............  $750/$800 each.
Cost per Quote/Order Sent @Limit.  $0.15 per quote/3 sec....  $25.00 per order/sec....  $0.05/$0.053 per quote/
                                                                                         order/3 sec.
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    Logical Port fees will be limited to Logical Ports in the 
Exchange's primary data center and no Logical Port fees will be 
assessed for redundant secondary data center ports. Each BOE or FIX 
Logical Port will incur the logical port fee indicated in the table 
above when used to enter up to 70,000 orders per trading day per 
logical port as measured on average in a single month. Each incremental 
usage of up to 70,000 per day per logical port will incur an additional 
logical port fee of $800 per month. Incremental usage will be 
determined on a monthly basis based on the average orders per day 
entered in a single month across all of a market participant's 
subscribed BOE and FIX Logical Ports.\13\ The Exchange believes that 
the pricing implications of going beyond 70,000 orders per trading day 
per Logical Port encourage users to mitigate message traffic as 
necessary. The Exchange notes that the proposed

[[Page 56243]]

fee of $750 per port is the same amount assessed not only for current 
CMI and FIX Login Ids, but also similar ports available on its 
affiliate exchange.\14\
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    \12\ Each Login ID has a bandwidth limit of 80,000 quotes per 3 
seconds. However, in order to place such bandwidth onto a single 
Login ID, a TPH or non-TPH would need to purchase a minimum of 15 
Market-Maker Permits or Bandwidth Packets (each Market-Maker Permit 
and Bandwidth Packet provides 5,000 quotes/3 sec). For purposes of 
comparing ``quote'' bandwidth, the provided example assumes only 1 
Market-Maker Permit or Bandwidth Packet has been purchased.
    \13\ For October 2019, average daily order quantities used to 
determine incremental usage will be determined based on the number 
of trading days between October 7th and October 31st.
    \14\ See Cboe BZX Options Exchange Fee Schedule, Options Logical 
Port Fees.
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    The Exchange also proposes to provide that the fee for one FIX 
Logical Port connection to PULSe and one FIX Logical Port connection to 
Cboe Silexx (for FLEX trading purposes) will be waived per TPH. The 
Exchange notes that only one FIX Logical Port connection is required to 
support a firm's access through each of PULSe and Cboe Silexx FLEX.
    BOE Bulk Logical Ports: Post-migration, the Exchange will also 
offer BOE Bulk Logical Ports, which provide users with the ability to 
submit single and bulk order messages to enter, modify, or cancel 
orders designated as Post Only Orders with a Time-in-Force of Day or 
GTD with an expiration time on that trading day. While BOE Bulk Ports 
will be available to all market participants, the Exchange anticipates 
they will be used primarily by Market-Makers or firms that conduct 
similar business activity, as the primary purpose of the proposed bulk 
message functionality is to encourage market-maker quoting on 
exchanges. As indicated above, BOE Bulk Logical Ports are assessed 
$1,500 per port, per month for the first 5 BOE Bulk Logical Ports, 
assessed $2,500 per port, per month thereafter up to 30 ports and 
thereafter assessed $3,000 per port, per month for each additional BOE 
Bulk Logical Port. Like CMI and FIX Login IDs, and FIX/BOX Logical 
Ports, BOE Bulk Ports will also entitle a firm to submit message 
traffic of up to specified number of quotes/orders per second.\15\ The 
proposed BOE Bulk ports also provide for significantly more message 
traffic as compared to current CMI/FIX Login IDs, as shown below:
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    \15\ The Exchange notes that while technically there is no 
bandwidth limit per BOE Bulk Port, there may be possible performance 
degradation at 15,000 messages per second (which is the equivalent 
of 225,000 quotes/orders per 3 seconds). As such, the Exchange uses 
the number at which performance may be degraded for purposes of 
comparison.

------------------------------------------------------------------------
                                CMI/FIX Login Ids      BOE bulk ports
                             -------------------------------------------
                                     Quotes              Quotes \16\
------------------------------------------------------------------------
Bandwidth Limit.............  5,000 quotes/3 sec    225,000 quotes 3
                               \17\.                 sec.
Cost........................  $750 each...........  $1,500/$2,500/$3,000
                                                     each.
Cost per Quote/Order Sent     $0.15 per quote/3     $0.006/$0.011/$0.013
 @Limit.                       sec.                  per quote/3 sec.
------------------------------------------------------------------------

    Each BOE Bulk Logical Port will incur the logical port fee 
indicated in the table above when used to enter up to 30,000,000 orders 
per trading day per logical port as measured on average in a single 
month. Each incremental usage of up to 30,000,000 orders per day per 
BOE Bulk Logical Port will incur an additional logical port fee of 
$3,000 per month. Incremental usage will be determined on a monthly 
basis based on the average orders per day entered in a single month 
across all of a market participant's subscribed BOE Bulk Logical 
Ports.\18\ The Exchange believes that the pricing implications of going 
beyond 30,000,000 orders per trading day per BOE Bulk Logical Port 
encourage users to mitigate message traffic as necessary. The Exchange 
notes that the proposed BOE Bulk Logical Port fees are similar to the 
fees assessed for these ports by BZX Options.\19\
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    \16\ See Cboe Options Rule 1.1.
    \17\ Each Login ID has a bandwidth limit of 80,000 quotes per 3 
seconds. However, in order to place such bandwidth onto a single 
Login ID, a TPH or non-TPH would need to purchase a minimum of 15 
Market-Maker Permits or Bandwidth Packets (each Market-Maker Permit 
and Bandwidth Packet provides 5,000 quotes/3 sec). For purposes of 
comparing ``quote'' bandwidth, the provided example assumes only 1 
Market-Maker Permit or Bandwidth Packet has been purchased.
    \18\ For October 2019, average daily order quantities used to 
determine incremental usage will be determined based on the number 
of trading days between October 7th and October 31st.
    \19\ See Cboe BZX Options Exchange Fee Schedule, Options Logical 
Port Fees.
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    Purge Ports: As part of the migration, the Exchange will be 
introducing Purge Ports to provide TPHs additional risk management and 
open order control functionality. The proposed ports are designed to 
assist TPHs, in the management of, and risk control over, their quotes, 
particularly if the TPH is dealing with a large number of options. 
Particularly, Purge Ports will allow TPHs to submit a cancelation for 
all open orders, or a subset thereof, across multiple sessions under 
the same Executing Firm ID (``EFID''). This would allow TPHs to 
seamlessly avoid unintended executions, while continuing to evaluate 
the direction of the market. While Purge Ports will be available to all 
market participants, the Exchange anticipates they will be used 
primarily by Market-Makers or firms that conduct similar business 
activity and are therefore exposed to a large amount of risk across a 
number securities. The Exchange notes that market participants will 
also be able to cancel orders through the proposed FIX/BOE Logical 
Ports and as such a dedicated Purge Port is not required nor necessary. 
Rather, Purge Ports were specially developed as an optional service to 
further assist firms in effectively managing risk. As indicated in the 
table above, the Exchange proposes to assess a monthly charge of $850 
per Purge Port. The Exchange notes that the proposed fee is in line 
with the fee assessed by other exchanges, including its Affiliated 
Exchanges, for Purge Ports.\20\
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    \20\ See e.g., Nasdaq ISE Options Pricing Schedule, Section 
7(C), Ports and Other Services. See also Cboe EDGX Options Exchange 
Fee Schedule, Options Logical Port Fees; Cboe C2 Options Exchange 
Fee Schedule, Options Logical Port Fees and Cboe BZX Options 
Exchange Fee Schedule, Options Logical Port Fees.
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    Multicast PITCH/Top Spin Server and GRP Ports: In connection with 
the migration, the Exchange will also offer optional Multicast PITCH/
Top Spin Server (``Spin'') and GRP ports and proposes to assess $750 
per month, per port. Spin Ports and GRP Ports are used to request and 
receive a retransmission of data from the Exchange's Multicast PITCH/
Top data feeds. The Exchange's Multicast PITCH/Top data feeds are 
available from two primary feeds, identified as the ``A feed'' and the 
``C feed'', which contain the same information but differ only in the 
way such feeds are received. The Exchange also offers two redundant 
feeds, identified as the ``B feed'' and the ``D feed.'' All secondary 
feed Spin and GRP Ports will be provided for redundancy at no 
additional cost. The Exchange notes a dedicated Spin and GRP Port is 
not required nor necessary. Rather, Spin ports enable a market 
participant to receive a snapshot of the current book quickly in the 
middle of the trading session without worry of gap request limits and 
GRP Ports were specially developed to request and receive 
retransmission of data in the event of missed or dropped message. The 
Exchange notes that the proposed fee is

[[Page 56244]]

in line with the fee assessed for the same ports on BZX Options.\21\
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    \21\ See Cboe BZX Options Exchange Fee Schedule, Options Logical 
Port Fees.
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Access Credits
    The Exchange next proposes to amend its Affiliate Volume Program 
(``AVP'') to provide Market-Makers an opportunity to obtain credits on 
their monthly BOE Bulk Port Fees.\22\ By way of background, under AVP, 
if a TPH Affiliate \23\ or Appointed OFP \24\ of a Market-Maker 
qualifies under the Volume Incentive Program (``VIP''), that Market-
Maker will also qualify for a discount on that Market-Maker's Liquidity 
Provider (``LP'') Sliding Scale transaction fees and Trading Permit 
fees. The Exchange proposes to amend AVP to provide that qualifying 
Market-Makers will receive a discount on Bulk Port fees (instead of 
Trading Permits). As discussed more fully below, the Exchange is 
amending its Trading Permit structure, such that off-floor Market-
Makers no longer need to hold more than one Market-Maker Trading 
Permit. As such, in place of credits for Trading Permits, the Exchange 
will provide credits for BOE Bulk Ports.\25\ The proposed credits are 
as follows:
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    \22\ As noted above, while BOE Bulk Ports will be available to 
all market participants, the Exchange anticipates they will be used 
primarily by Market Makers or firms that conduct similar business 
activity.
    \23\ For purposes of AVP, ``Affiliate'' is defined as having at 
least 75% common ownership between the two entities as reflected on 
each entity's Form BD, Schedule A.
    \24\ See Cboe Options Fees Schedule Footnote 23. Particularly, a 
Market-Maker may designate an Order Flow Provider (``OFP'') as its 
``Appointed OFP'' and an OFP may designate a Market-Maker to be its 
``Appointed Market-Maker'' for purposes of qualifying for credits 
under AVP.
    \25\ The Exchange notes that Trading Permits currently each 
include a set bandwidth allowance and 3 logins. Current logins and 
bandwidth are akin to the proposed logical ports, including BOE Bulk 
Ports which will primarily be used by Market-Makers.

------------------------------------------------------------------------
                                                            % Credit on
  Market Maker Affiliate Access Credit       VIP tier       monthly BOE
                                                          bulk port fees
------------------------------------------------------------------------
Credit Tier.............................               1               0
                                                       2               0
                                                       3               0
                                                       4              15
                                                       5              25
------------------------------------------------------------------------

    The Exchange believes the proposed change to AVP continues to allow 
the Exchange to provide TPHs that have both Market-Maker and agency 
operations reduced Market-Maker costs via the credits, albeit credits 
on BOE Bulk Port fees instead of Trading Permit fees.
    In addition to the opportunity to receive credits via AVP, the 
Exchange proposes to provide an opportunity for Market-Makers to obtain 
credits on their monthly BOE Bulk Port fees based on the previous 
month's make rate percentage. By way of background, the Liquidity 
Provider Sliding Scale Adjustment Table provides that Taker fees be 
applied to electronic ``Taker'' volume and a Maker rebate be applied to 
electronic ``Maker'' volume, in addition to the transaction fees 
assessed under the Liquidity Provider Sliding Scale.\26\ The amount of 
the Taker fee (or Maker rebate) is determined by the Liquidity 
Provider's percentage of volume from the previous month that was Maker 
(``Make Rate'').\27\ Market-Makers are given a Performance Tier based 
on their Make Rate percentage which currently provides adjustments to 
transaction fees. Thus, the program is designed to attract liquidity 
from traditional Market-Makers. The Exchange proposes to additionally 
provide that the Performance Tier earned will determine the percentage 
credit applied to a Market-Maker's monthly BOE Bulk Port fees.
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    \26\ See Cboe Options Exchange Fees Schedule, Liquidity Provider 
Sliding Scale Adjustment Table.
    \27\ More specifically, the Make Rate is derived from a 
Liquidity Provider's electronic volume the previous month in all 
symbols excluding Underlying Symbol List A using the following 
formula: (i) The Liquidity Provider's total electronic automatic 
execution (``auto-ex'') volume (i.e., volume resulting from that 
Liquidity Provider's resting quotes or single sided quotes/orders 
that were executed by an incoming order or quote), divided by (ii) 
the Liquidity Provider's total auto-ex volume (i.e., volume that 
resulted from the Liquidity Provider's resting quotes/orders and 
volume that resulted from that LP's quotes/orders that removed 
liquidity). For example, a TPH's electronic Make volume in September 
2019 is 2,500,000 contracts and its total electronic auto-ex volume 
is 3,000,000 contracts, resulting in a Make Rate of 83% (Performance 
Tier 4). As such, the TPH would receive a 40% credit on its monthly 
Bulk Port fees for the month of October 2019. For the month of 
October 2019, the Exchange will be billing certain incentive 
programs separately, including the Liquidity Provider Sliding Scale 
Adjustment Table, for the periods of October 1-October 4 and October 
7-October 31 in light of the migration of its billing system. As 
such, a Market-Maker's Performance Tier for November 2019 will be 
determined by the Market-Maker's percentage of volume that was Maker 
from the period of October 7-October 31, 2019.

----------------------------------------------------------------------------------------------------------------
                                                 Liquidity
                                                 provider
                                               sliding scale                                        % Credit on
         Market maker access credit             adjustment    Make rate (% based on prior month)    monthly BOE
                                                performance                                       bulk port fees
                                                   tier
----------------------------------------------------------------------------------------------------------------
Credit Tier.................................               1  0-50..............................               0
                                                           2  Above 50-60.......................               0
                                                           3  Above 60-75.......................               0
                                                           4  Above 75-90.......................              40
                                                           5  Above 90%.........................              40
----------------------------------------------------------------------------------------------------------------

    The Exchange believes the proposal mitigates costs incurred by 
traditional Market-Makers that focus on adding liquidity to the 
Exchange (as opposed to those that provide and take, or just take). The 
Exchange lastly notes that both the Market-Maker Affiliate Access 
Credit and Market-Maker Access Credit both can be earned by a TPH, and 
these credits will each apply to the total monthly BOE Bulk Port Fees 
including any incremental BOE Bulk Port fees

[[Page 56245]]

incurred, before any credits/adjustments have been applied (i.e. an 
electronic MM can earn a credit from 15% to 65%).
Bandwidth Packets
    As described above, post-migration, the Exchange will utilize a 
variety of logical ports. Part of this functionality is similar to 
bandwidth packets currently available on the Exchange. Bandwidth 
packets restrict the maximum number of orders and quotes per second. 
Post-migration, market participants may similarly have multiple Logical 
Ports and/or BOE Bulk Ports as they may have bandwidth packets to 
accommodate their order and quote entry needs. As such, the Exchange 
proposes to eliminate all of the current Bandwidth Packet fees, 
effective October 1, 2019.\28\ The Exchange believes that the proposed 
pricing implications of going beyond specified bandwidth described 
above in the logical connectivity fees section will be able to 
otherwise mitigate message traffic as necessary.
---------------------------------------------------------------------------

    \28\ See Cboe Options Fees Schedule, Bandwidth Packet Fees.
---------------------------------------------------------------------------

CAS Servers
    By way of background, in order to connect to Cboe Command, which 
allows a TPH to trade on the Cboe Options System, a TPH must connect 
via either a CMI or FIX interface (depending on the configuration of 
the TPH's own systems). For TPHs that connect via a CMI interface, they 
must use CMI CAS Servers. In order to ensure that a CAS Server is not 
overburdened by quoting activity for Market-Makers, the Exchange 
currently allots each Market-Maker a certain number of CASs (in 
addition to the shared backups) based on the amount of quoting 
bandwidth that they have. Post-migration, the Exchange will no longer 
use CAS Servers. In light of the upcoming elimination of CAS Servers, 
the Exchange proposes to eliminate the CAS Server allotment table and 
extra CAS Server fee, effective October 1, 2019.
Trading Permit Fees
    By way of background, the Exchange may issue different types of 
Trading Permits and determine the fees for those Trading Permits.\29\ 
The Exchange currently issues the following three types of Trading 
Permits: (1) Market-Maker Trading Permits, which are assessed a monthly 
fee of $5,000 per permit; (2) Floor Broker Trading Permits, which are 
assessed a monthly fee of $9,000 per permit; and (3) Electronic Access 
Permits (``EAPs''), which are assessed a monthly fee of $1,600 per. The 
Exchange also offers separate Market-Maker and Electronic Access Permit 
for the Global Trading Hours (``GTH'') session, which are assessed a 
monthly fee of $1,000 per permit and $500 per permit respectively.\30\ 
For further color, a Market-Maker Trading Permit currently entitles the 
holder to act as a Market-Maker, including a Market-Maker trading 
remotely, DPM, eDPM, or LMM, and also provides an appointment credit of 
1.0, a quoting and order entry bandwidth allowance, up to three logins, 
trading floor access and TPH status.\31\ A Floor Broker Trading Permit 
entitles the holder to act as a Floor Broker, provides an order entry 
bandwidth allowance, up to 3 logins, trading floor access and TPH 
status.\32\ Lastly, an EAP entitles the holder to electronic access to 
the Exchange. Holders of EAPs must be broker-dealers registered with 
the Exchange in one or more of the following capacities: (a) Clearing 
TPH, (b) TPH organization approved to transact business with the 
public, (c) Proprietary TPHs and (d) order service firms. The permit 
does not provide access to the trading floor. An EAP also provides an 
order entry bandwidth allowance, up to 3 logins and TPH status.\33\ The 
Exchange also provides an opportunity for TPHs to pay reduced rates for 
Trading Permits via the Market Maker and Floor Broker Trading Permit 
Sliding Scale Programs (``TP Sliding Scales''). Particularly, the TP 
Sliding Scales allow Market-Makers and Floor Brokers to pay reduced 
rates for their Trading Permits if they commit in advance to a specific 
tier that includes a minimum number of eligible Market-Maker and Floor 
Broker Trading Permits, respectively, for each calendar year.\34\
---------------------------------------------------------------------------

    \29\ See Cboe Options Rules 3.1(a)(iv)-(v).
    \30\ The fees are currently waived through September 2019 for 
the first Market-Maker and Electronic Access GTH Trading Permits.
    \31\ See Cboe Options Fees Schedule.
    \32\ Id.
    \33\ Id.
    \34\ Due to the October 7 migration, the amended the TP Sliding 
Scale Programs to provide that any commitment to Trading Permits 
under the TP Sliding Scales shall be in place through September 
2019, instead of the calendar year. See Cboe Options Fees Schedule, 
Footnotes 24 and 25.
---------------------------------------------------------------------------

    As noted above, Trading Permits are currently tied to bandwidth 
allocation, logins and appointment costs, and as such, TPH 
organizations may hold multiple Trading Permits of the same type in 
order to meet their connectivity and appointment cost needs. Post-
Migration, bandwidth allocation, logins and appointment costs will no 
longer be tied to a Trading Permit, and as such, the Exchange proposes 
to modify its Trading Permit structure. Particularly, effective October 
7, 2019, the Exchange will adopt separate on-floor and off-floor 
Trading Permits for Market-Makers and Floor Brokers, adopt a new 
Clearing TPH Permit, and modify the corresponding fees and discounts. 
As is the case today, the proposed access fees discussed below will 
continue to be non-refundable and will be assessed through the 
integrated billing system during the first week of the following month. 
If a Trading Permit is issued during a calendar month after the first 
trading day of the month, the access fee for the Trading Permit for 
that calendar month is prorated based on the remaining trading days in 
the calendar month. Trading Permits will be renewed automatically for 
the next month unless the Trading Permit Holder submits written 
notification to the Membership Services Department by 4 p.m. CT on the 
second-to-last business day of the prior month to cancel the Trading 
Permit effective at or prior to the end of the applicable month. 
Trading Permit Holders will only be assessed a single monthly fee for 
each type of electronic Trading Permit it holds. All Trading Permits 
will be assessed the full proposed monthly rates, as described below, 
based on the quantity of Trading Permits a TPH maintains from October 
7-October 31, 2019.\35\
---------------------------------------------------------------------------

    \35\ The Exchange proposes to eliminate the current Trading 
Permit fees, effective October 1, 2019 and for the month of October 
2019 will instead assess the full proposed rates for the Trading 
Permits held by a TPH from October 7, 2019-October 31, 2019.
---------------------------------------------------------------------------

    First, as proposed, TPHs will no longer need to hold multiple 
permits for each type of electronic Trading Permit (i.e., electronic 
Market-Maker Trading Permits and/or and Electronic Access Permits). 
Rather, the Exchange proposes to provide that for electronic access to 
the Exchange, a TPH need only purchase one of the following permit 
types for each trading function the TPH intends to perform: Market-
Maker Electronic Access Permit (``MM EAP'') in order to act as an off-
floor Market-Maker and which will continue to be assessed a monthly fee 
of $5,000, Electronic Access Permit (``EAP'') in order to submit orders 
electronically to the Exchange \36\ and which will be assessed a 
monthly fee of $3,000, and a Clearing TPH Permit, for TPHs acting 
solely as a Clearing TPH, which will be assessed a monthly fee of 
$2,000 (and is more fully described below). For example, a TPH 
organization that wishes to act as a Market-Maker and

[[Page 56246]]

also submit orders electronically in a non-Market Maker capacity would 
have to purchase one MM EAP and one EAP. TPHs will be assessed the 
monthly fee for each type of Permit once per electronic access 
capacity.
---------------------------------------------------------------------------

    \36\ EAPs may be purchased by TPHs that both clear transactions 
for other TPHs (i.e., a ``Clearing TPH'') and submit orders 
electronically.
---------------------------------------------------------------------------

    Next, the Exchange proposes to adopt a new Trading Permit, 
exclusively for Clearing TPHs that are approved to act solely as a 
Clearing TPH (as opposed to those that are also approved in a capacity 
that allows them to submit orders electronically). Currently any TPH 
that is registered to act as a Clearing TPH must purchase an EAP, 
whether or not that Clearing TPH acts solely as a Clearing TPH or acts 
as a Clearing TPH and submits orders electronically. The Exchange 
proposes to adopt a new Trading Permit, for any TPH that is registered 
to act solely as Clearing TPH at a discounted rate of $2,000 per 
month.\37\
---------------------------------------------------------------------------

    \37\ Cboe Option Rules provides the Exchange authority to issue 
different types of Trading Permits which allows holders, among other 
things, to act in one or more trading functions authorized by the 
Rules. See Cboe Options Rule 3.1(a)(iv). The Exchange notes that 
currently 4 out of 38 Clearing TPHs are approved to act solely as a 
Clearing TPH.
---------------------------------------------------------------------------

    Additionally, the Exchange proposes to eliminate its fees for 
Global Trading Hours Trading Permits. Particularly, the Exchange 
proposes to provide that any Market-Maker EAP, EAP and Clearing TPH 
Permit provides access (at no additional cost) to the GTH session.\38\ 
Additionally, the Exchange proposes to amend Footnote 37 of the Fees 
Schedule regarding GTH in connection with the migration. Currently 
Footnote 37 provides that separate access permits and connectivity is 
needed for the GTH session. The Exchange proposes to eliminate this 
language as that will no longer be the case upon migration (i.e., an 
electronic Trading Permits will grant access to both sessions and 
physical and logical ports may be used in both sessions, eliminating 
the need to purchase separate connectivity). The Exchange also notes 
that upon migration, the Book used during Regular Trading Hours 
(``RTH'') will be the same Book used during GTH (as compared to today 
where the Exchange maintains separate Books for each session). The 
Exchange therefore also proposes to eliminate language in Footnote 37 
stating that GTH is a segregated trading session and that there is no 
market interaction between the two sessions.
---------------------------------------------------------------------------

    \38\ The Exchange notes that Clearing TPHs must be properly 
authorized by the Options Clearing Corporation (``OCC'') to operate 
during the Global Trading Hours session and all TPHs must have a 
Letter of Guarantee to participate in the GTH session (as is the 
case today).
---------------------------------------------------------------------------

    The Exchange next proposes to adopt MM EAP Appointment fees. By way 
of background, a registered Market-Maker may currently create a Virtual 
Trading Crowd (``VTC'') Appointment, which confers the right to quote 
electronically in an appropriate number of classes selected from 
``tiers'' that have been structured according to trading volume 
statistics, except for the AA tier.\39\ Each Trading Permit currently 
held by a Market-Maker has an appointment credit of 1.0. A Market-Maker 
may select for each Trading Permit the Market-Maker holds any 
combination of classes whose aggregate appointment cost does not exceed 
1.0. A Market-Maker may not hold a combination of appointments whose 
aggregate appointment cost is greater than the number of Trading 
Permits that Market-Maker holds.\40\
---------------------------------------------------------------------------

    \39\ See proposed Cboe Options Rule 5.50 (Appointment of Market-
Makers), which rule will be effective October 7, 2019.
    \40\ For example, if a Market-Maker selects a combination of 
appointments that has an aggregate appointment cost of 2.5, that 
Market-Maker must hold at least 3 Market-Maker Trading Permits.
---------------------------------------------------------------------------

    As discussed, post-migration, bandwidth allocation, logins and 
appointment costs will no longer be tied to a single Trading Permit and 
therefore the Exchange is proposing to provide that TPHs no longer need 
to have multiple permits for each type of electronic Trading Permit. As 
proposed however, upon migration, Market-Makers must still select class 
appointments in the classes they seek to make markets 
electronically.\41\ Particularly, a Market-Maker firm will only be 
required to have one permit and will thereafter be charged for one or 
more ``Appointment Units'' (which will scale from 1 ``unit'' to more 
than 5 ``units''), depending on which classes they elect appointments 
in. Appointment Units will replace the standard 1.0 appointment cost, 
but function in the same manner. Appointment weights (formerly known as 
``appointment costs'') for each appointed class will be set forth in 
proposed Cboe Options Rule 5.50(g) and will be summed for each Market-
Maker in order to determine the total appointment units, to which fees 
will be assessed. This is the current manner in which the tier costs 
per class appointment are summed to meet the 1.0 appointment cost, the 
only difference will be that if a Market-Maker exceeds this ``unit'' 
then their fees will be assessed under the ``unit'' that corresponds to 
the total of their appointment weights, as opposed to holding another 
Trading Permit because it exceeded the 1.0 ``unit''. Particularly, the 
Exchange proposes to adopt a new MM EAP Appointment Sliding Scale. 
Appointment Units for each assigned class will be aggregated for each 
Market-Maker and Market-Maker affiliate. If the sum of appointments is 
a fractional amount, the total will be rounded up to the next highest 
whole Appointment Unit. The following lists the progressive monthly 
fees for Appointment Units: \42\
---------------------------------------------------------------------------

    \41\ See Proposed Cboe Options Rule 5.50(a), which rule will be 
effective October 7, 2019.
    \42\ For example, if a Market-Maker's total appointment costs 
amount to 3.5 unites, the Market-Maker will be assessed a total 
monthly fee of $14,000 (1 appointment unit at $0, 1 appointment unit 
at $6,000 and 2 appointment units at $4,000) as and for appointment 
fees and $5,000 for a Market-Maker Trading Permit, for a total 
monthly sum of $19,000, where a Market-Maker currently (i.e., prior 
to migration) with a total appointment cost of 3.5 would need to 
hold 4 Trading Permits and would therefore be assessed a monthly fee 
of $20,000.

------------------------------------------------------------------------
                                                           Monthly fees
      Market-maker EAP appointments          Quantity       (per unit)
------------------------------------------------------------------------
Appointment Units.......................               1              $0
                                                       2           6,000
                                                  3 to 5           4,000
                                                      >5           3,100
------------------------------------------------------------------------

    As noted above, upon migration the Exchange will have separate 
Trading Permits for on-floor and off-floor activity. As such, the 
Exchange proposes to maintain a Floor Broker Trading Permit and adopt a 
new Market-Maker Floor Permit for on-floor Market-Makers. In addition, 
RUT, SPX, and VIX Tier Appointment fees will be charged separately for 
Permit, as discussed more fully below.
    As briefly described above, the Exchange currently maintains TP 
Sliding Scales, which allow Market-Makers and Floor Brokers to pay 
reduced rates for their Trading Permits if they commit in advance to a 
specific

[[Page 56247]]

tier that includes a minimum number of eligible Market-Maker and Floor 
Broker Trading Permits, respectively, for each calendar year. The 
Exchange proposes to eliminate the current TP Sliding Scales, including 
the requirement to commit to a specific tier, and replace it with new 
TP Sliding Scales as follows: \43\
---------------------------------------------------------------------------

    \43\ In light of the proposed change to eliminate the TP Sliding 
Scale, the Exchange proposes to eliminate Footnote 24 in its 
entirety.

----------------------------------------------------------------------------------------------------------------
                                                                      Current                        Proposed
           Floor TPH permits               Current permit qty       monthly fee      Proposed       monthly fee
                                                                   (per permit)     permit qty     (per permit)
----------------------------------------------------------------------------------------------------------------
Market-Maker Floor Permit.............  1-10....................          $5,000               1          $6,000
                                        11-20...................           3,700          2 to 5           4,500
                                        21 or more..............           1,800         6 to 10           3,500
                                                                                             >10           2,000
Floor Broker Permit...................  1.......................           9,000               1           7,500
                                        2-5.....................           5,000          2 to 3           5,700
                                        6 or more...............           3,000          4 to 5           4,500
                                                                                              >5           3,200
----------------------------------------------------------------------------------------------------------------

Floor Broker ADV Discount
    Footnote 25, which governs rebates on Floor Broker Trading Permits, 
currently provides that any Floor Broker that executes a certain 
average of customer or professional customer/voluntary customer 
(collectively ``customer'') open-outcry contracts per day over the 
course of a calendar month in all underlying symbols excluding 
Underlying Symbol List A (except RLG, RLV, RUI, and UKXM), DJX, XSP, 
and subcabinet trades (``Qualifying Symbols''), will receive a rebate 
on that TPH's Floor Broker Trading Permit Fees. Specifically, any Floor 
Broker Trading Permit Holder that executes an average of 15,000 
customer (``C'' origin code) and/or professional customer and voluntary 
customer (``W'' origin code) open-outcry contracts per day over the 
course of a calendar month in Qualifying Symbols will receive a rebate 
of $9,000 on that TPH's Floor Broker Trading Permit fees. Additionally, 
any Floor Broker that executes an average of 25,000 customer open-
outcry contracts per day over the course of a calendar month in 
Qualifying Symbols will receive a rebate of $14,000 on that TPH's Floor 
Broker Trading Permit fees. The Exchange proposes to maintain, but 
modify, its discount for Floor Broker Trading Permit fees. First, the 
measurement criteria to qualify for a rebate will be modified to only 
include customer (``C'' origin code) open-outcry contracts executed per 
day over the course of a calendar month in all underlying symbols, 
while the rebate amount will be modified to be a percentage of the 
TPH's Floor Broker Permit total costs, instead of a straight 
rebate.\44\ The criteria and corresponding percentage rebates are noted 
below.\45\
---------------------------------------------------------------------------

    \44\ As is the case today, the Floor Broker ADV Discount will be 
available for all Floor Broker Trading Permits held by affiliated 
Trading Permit Holders and TPH organizations.
    \45\ In light of the proposal to eliminate the TP Sliding Scales 
and the Floor Broker rebates currently set forth under Footnote 25, 
the Exchange proposes to eliminate Footnote 25 in its entirety.

------------------------------------------------------------------------
                                                           Floor broker
 Floor broker ADV discount tier            ADV             permit rebate
                                                             (percent)
------------------------------------------------------------------------
1..............................              0 to 99,999               0
2..............................       100,000 to 174,999              15
3..............................                 >174,999              25
------------------------------------------------------------------------

    Next, the Exchange proposes to modify its SPX, VIX and RUT Tier 
Appointment Fees. Currently, these fees are assessed to any Market-
Maker TPH that either (i) has the respective SPX, VIX or RUT 
appointment at any time during a calendar month and trades a specified 
number of contracts or (ii) trades a specified number of contracts in 
open outcry during a calendar month. More specifically, the $3,000 per 
month SPX Tier Appointment is assessed to any Market-Maker Trading 
Permit Holder that either (i) has an SPX Tier Appointment at any time 
during a calendar month and trades at least 100 SPX contracts while 
that appointment is active or (ii) conducts any open outcry transaction 
in SPX or SPX Weeklys at any time during the month. The $2,000 per 
month VIX Tier Appointment is assessed to any Market-Maker Trading 
Permit Holder that either (i) has an SPX Tier Appointment at any time 
during a calendar month and trades at least 100 VIX contracts while 
that appointment is active or (ii) conducts at least 1000 open outcry 
transaction in VIX at any time during the month. Lastly, the $1,000 RUT 
Tier Appointment is assessed to any Market-Maker Trading Permit Holder 
that either (i) has an RUT Tier Appointment at any time during a 
calendar month and trades at least 100 RUT contracts while that 
appointment is active or (ii) conducts at least 1000 open outcry 
transaction in RUT at any time during the month. Because the Exchange 
is separating Market-Making Trading Permits for electronic and open-
outcry market-making, the Exchange will be assessing separate Tier 
Appointment Fees for each type of Market-Making Trading Permit. The 
Exchange proposes, effective October 1, 2019, a MM EAP will be assessed 
the Tier Appointment Fee whenever the Market-Maker executes the 
corresponding specified number of contracts. The Exchange also proposes 
to modify the threshold number of contracts a Market-Maker must execute 
in a month to trigger the fee for VIX and RUT. Particularly, for the 
VIX and RUT Tier appointments, the Exchange proposes to increase the 
threshold from 100 contracts a month to 1,000 contracts a month. The 
Exchange notes the Tier Appointment Fee amounts are not changing.\46\ 
In connection with the

[[Page 56248]]

proposed changes, the Exchange proposes to relocate the Tier 
Appointment Fees to a new table and eliminate the language in the 
current respective notes sections of each Tier Appointment Fee as it is 
no longer necessary.
---------------------------------------------------------------------------

    \46\ Floor Broker Trading Surcharges for SPX/SPXW and VIX are 
also not changing. The Exchange however, is creating a new table for 
Floor Broker Trading Surcharges and relocating such fees in the Fees 
Schedule in connection with the proposal to eliminate fees currently 
set forth in the ``Trading Permit and Tier Appointment Fees'' Table.
---------------------------------------------------------------------------

Trading Permit Holder Regulatory Fee
    The Exchange currently assesses a Trading Permit Holder Regulatory 
Fee of $90 per month, per RTH Trading Permit, applicable to all TPHs, 
which fee helps more closely cover the costs of regulating all TPHs and 
performing regulatory responsibilities. In light of the proposed 
changes to the Exchange's Trading Permit structure, the Exchange 
proposes to eliminate the TPH Regulatory Fee. The Exchange notes that 
there is no regulatory requirement to maintain this fee.
2. Statutory Basis
    The Exchange believes the proposed rule change is consistent with 
the Securities Exchange Act of 1934 (the ``Act'') and the rules and 
regulations thereunder applicable to the Exchange and, in particular, 
the requirements of Section 6(b) of the Act.\47\ Specifically, the 
Exchange believes the proposed rule change is consistent with the 
Section 6(b)(5) \48\ requirements that the rules of an exchange be 
designed to prevent fraudulent and manipulative acts and practices, to 
promote just and equitable principles of trade, to foster cooperation 
and coordination with persons engaged in regulating, clearing, 
settling, processing information with respect to, and facilitating 
transactions in securities, to remove impediments to and perfect the 
mechanism of a free and open market and a national market system, and, 
in general, to protect investors and the public interest. Additionally, 
the Exchange believes the proposed rule change is consistent with 
Section 6(b)(4) of the Act,\49\ which requires that Exchange rules 
provide for the equitable allocation of reasonable dues, fees, and 
other charges among its Trading Permit Holders and other persons using 
its facilities. Additionally, the Exchange believes the proposed rule 
change is consistent with the Section 6(b)(5) \50\ requirement that the 
rules of an exchange not be designed to permit unfair discrimination 
between customers, issuers, brokers, or dealers.
---------------------------------------------------------------------------

    \47\ 15 U.S.C. 78f(b).
    \48\ 15 U.S.C. 78f(b)(5).
    \49\ 15 U.S.C. 78f(b)(4).
    \50\ 15 U.S.C. 78f(b)(5).
---------------------------------------------------------------------------

    The Exchange first notes that it operates in a highly competitive 
environment. Indeed, there are currently 16 registered options 
exchanges that trade options. There is also no regulatory requirement 
that any market participant connect to any one options exchange, or 
that any market participant connect at a particular connection speed or 
act in a particular capacity on the Exchange. Moreover, membership is 
not a requirement to participate on the Exchange. Indeed, the Exchange 
is unaware of any one options exchange whose membership includes every 
registered broker-dealer. Even the number of members between the 
Exchange and its 3 other options exchange affiliates vary. Indeed, a 
number of firms currently do not participate on the Exchange, or 
participate on the Exchange though sponsored access arrangements rather 
than by becoming a member. Particularly, the Exchange notes that as of 
August 2019, the Exchange had 97 members (TPH organizations), of which 
only 45 directly connected to the Exchange. In addition, of those 
market participants that do connect to the Exchange, it is the 
individual needs of each market participant that determine the amount 
and type of Trading Permits and physical and logical connections to the 
Exchange.\51\
---------------------------------------------------------------------------

    \51\ To assist market participants that are connected or 
considering connecting to the Exchange, the Exchange provides 
detailed information and specifications about its available 
connectivity alternatives in the Cboe C1 Options Exchange 
Connectivity Manual, as well as the various technical 
specifications. See http://markets.cboe.com/us/options/support/technical/.
---------------------------------------------------------------------------

    Moreover, the Commission has repeatedly expressed its preference 
for competition over regulatory intervention in determining prices, 
products, and services in the securities markets. Particularly, in 
Regulation NMS, the Commission highlighted the importance of market 
forces in determining prices and SRO revenues and, also, recognized 
that current regulation of the market system ``has been remarkably 
successful in promoting market competition in its broader forms that 
are most important to investors and listed companies.'' \52\ The number 
of available exchanges to connect to ensures increased competition in 
the marketplace, and constrains the ability of exchanges to charge 
supracompetitive fees for access to its market. Additionally, the 
Exchange notes that non-TPHs such as Service Bureaus and Extranets 
resell Cboe Options connectivity.\53\ This indirect connectivity is 
another viable alternative that is already being used by non-TPHs, 
further constraining the price that the Exchange is able to charge for 
connectivity to its Exchange. Accordingly, in the event that a market 
participant views one exchange's direct connectivity and access fees as 
more or less attractive than the competition they can choose to connect 
to that exchange indirectly or may choose not to connect to that 
exchange and connect instead to one or more of the other 15 options 
markets. Moreover, the Commission has recognized that while some 
exchanges may have a unique business model that is not currently 
offered by competitors, it believes a competitor could create similar 
business models if demand were adequate, and if they did not do so, the 
Commission believes it would be likely that new entrants would do so if 
the exchange with that unique business model was otherwise 
profitable.\54\ The proposed fees therefore reflect a competitive 
environment, as the Exchange seeks to amend its access fees in 
connection with the upcoming migration of its technology platform, 
while still attracting market participants to continue to be, or 
become, connected to the Exchange.
---------------------------------------------------------------------------

    \52\ See Securities Exchange Act Release No. 51808 (June 9, 
2005), 70 FR 37496, 37499 (June 29, 2005) (``Regulation NMS Adopting 
Release'').
    \53\ Currently, there are 13 firms that resell Cboe Options 
connectivity. Post-migration, the Exchange anticipates that there 
will be 19 firms that resell Cboe Options connectivity (both 
physical and logical). The Exchange does not receive any 
connectivity revenue when connectivity is resold by a third-party, 
which often is resold to multiple customers, some of whom are agency 
broker-dealers that have numerous customers of their own.
    \54\ See Securities Exchange Act Release No. 86901 (September 9, 
2019), 84 FR 48458 (September 13, 2019) (File No. S7-13-19).
---------------------------------------------------------------------------

    In determining the proposed fee changes discussed above, the 
Exchange reviewed the current competitive landscape, considered the 
fees historically paid by market participants for connectivity to the 
current system, and also assessed the impact on market participants to 
ensure that the proposed fees would not create a financial burden and 
have an undue impact on any market participants, including smaller 
market participants. The proposed connectivity structure and 
corresponding fees, like the current connectivity structure and fees, 
provide market participants flexibility with respect to how to connect 
to the Exchange based on each market participants' respective business 
needs. For example, the amount and type of physical and logical ports 
are determined by factors relevant and specific to each market 
participant, including its business model, costs of connectivity, how 
its business is segmented and allocated and volume of messages sent to 
the Exchange. Moreover, the proposed connectivity

[[Page 56249]]

structure is designed to encourage market participants to be efficient 
with their physical and logical port usage. While the Exchange has no 
way of predicting with certainty the amount or type of connections 
market participants will in fact purchase, if any, the Exchange 
anticipates that like today, some market participants will continue to 
decline to connect and participate on the Exchange, some will 
participate on the Exchange via indirect connectivity, some will only 
purchase one physical connection and/or logical port connection, and 
others will purchase multiple connections. The Exchange lastly notes 
that market participants were provided advanced notice of the proposed 
fee changes in August 2019 via Exchange Notice.\55\
---------------------------------------------------------------------------

    \55\ See Exchange Notice ``Cboe Options Exchange Access and 
Capacity Fee Schedule Changes Effective October 1, 2019 and November 
1, 2019'' Reference ID C2019081900.
---------------------------------------------------------------------------

Physical Ports
    The Exchange believes increasing the fee for the new 10 Gb Physical 
Port is reasonable because unlike, the current 10 Gb Network Access 
Ports, the new Physical Ports provides a connection through a latency 
equalized infrastructure and also allows access to both unicast order 
entry and multicast market data with a single physical connection. As 
discussed above, legacy Network Access Ports do not permit market 
participants to receive unicast and multicast connectivity. As such, in 
order to receive both connectivity types, a market participant 
currently needs to purchase and maintain at least two 10 Gb Network 
Access Ports. The proposed Physical Ports not only provide a latency 
reduction as compared to the legacy ports, improving trading 
performance, but also alleviate the need to pay for two physical ports 
as a result of needing unicast and multicast connectivity. Accordingly, 
market participants who historically had to use two separate ports for 
each of multicast and unicast activity, will be able to purchase only 
one port, and consequently pay lower fees overall. For example, if a 
TPH has two 10 Gb legacy Network Access Ports, one of which receives 
unicast traffic and the other of which receives multicast traffic, that 
TPH is currently assessed $10,000 per month ($5,000 per port). Using 
the new Physical Ports, that TPH has the option of utilizing one single 
port, instead of two ports, to receive both unicast and multicast 
traffic, therefore paying only $7,000 per month for a port that 
provides both connectivity types. The Exchange notes that currently, 
approximately 50% of TPHs maintain two or more 10 Gb Network Access 
Ports. While the Exchange has no way of predicting with certainty the 
amount or type of connections market participants will in fact purchase 
post-migration, the Exchange anticipates approximately 50% of the TPHs 
with two or more 10 Gb Network Access Ports to reduce the number of 10 
Gb Physical Ports that they purchase. The Exchange also expects the 
remaining 50% of TPHs to maintain their current 10 Gb Physical Ports, 
but reduce the number of 1 Gb Physical Ports. Particularly, a number of 
TPHs currently maintain two 10 Gb Network Access Ports to receive 
multicast data and two 1 Gb Network Access Ports for order entry 
(unicast connectivity). As the new 10 Gb Physical Ports are able to 
accommodate unicast connectivity (order entry), TPHs may choose to 
eliminate their 1 Gb Network Access Ports and utilize the new 10 Gb 
Physical Ports for both multicast and unicast connectivity.
    As discussed above, if a TPH deems a particular exchange as 
charging excessive fees for connectivity, such market participants may 
opt to terminate their connectivity arrangements with that exchange, 
and adopt a possible range of alternative strategies, including routing 
to the applicable exchange through another participant or market center 
or taking that exchange's data indirectly. Accordingly, if the Exchange 
charges excessive fees, it would stand to lose not only connectivity 
revenues but also revenues associated with the execution of orders 
routed to it, and, to the extent applicable, market data revenues. The 
Exchange believes that this competitive dynamic imposes powerful 
restraints on the ability of any exchange to charge unreasonable fees 
for physical connectivity. The Exchange also notes that the proposal 
represents an equitable allocation of reasonable dues, fees and other 
charges as its fees for physical connectivity are reasonably 
constrained by competitive alternatives. The proposed amounts are in 
line with, and in some cases lower than, the costs of physical 
connectivity at other Exchanges,\56\ including the Exchange's 
Affiliated Exchanges which will have the same connectivity 
infrastructure once the Exchange has migrated.\57\ The Exchange 
believes the proposed Physical Port fees are equitable and not 
unreasonably discriminatory as the connectivity pricing is associated 
with relative usage of the various market participants and does not 
impose a barrier to entry to smaller participants.
---------------------------------------------------------------------------

    \56\ See e.g., Nasdaq PHLX and ISE Rules, General Equity and 
Options Rules, General 8. Phlx and ISE each charge a monthly fee of 
$2,500 for each 1Gb connection, $10,000 for each 10Gb connection and 
$15,000 for each 10Gb Ultra connection. See also Nasdaq Price List--
Trading Connectivity. Nasdaq charges a monthly fee of $7,500 for 
each 10Gb direct connection to Nasdaq and $2,500 for each direct 
connection that supports up to 1Gb. See also NYSE American Fee 
Schedule, Section V.B, and Arca Fees and Charges, Co-Location Fees. 
NYSE American and Arca each charge a monthly fee of $5,000 for each 
1Gb circuit, $14,000 for each 10Gb circuit and $22,000 for each 10Gb 
LX circuit.
    \57\ See e.g., Affiliated Exchange Fee Schedules, Physical 
Connectivity Fees. For example, Cboe BZX, Cboe EDGX and C2 each 
charge a monthly fee of $2,500 for each 1Gb connection and $7,500 
for each 10Gb connection.
---------------------------------------------------------------------------

    The Exchange also believes increasing the fee for 10 Gb Physical 
Ports and charging a higher fee as compared to the 1 Gb Physical Port 
is equitable as the 1 Gb Physical Port is 1/10th the size of the 10 Gb 
Physical Port and therefore does not offer access to many of the 
products and services offered by the Exchange (e.g., ability to receive 
certain market data products). Thus the value of the 1 Gb alternative 
is lower than the value of the 10 Gb alternative, when measured based 
on the type of Exchange access it offers. Moreover, market participants 
that purchase 10 Gb Physical Ports utilize the most bandwidth and 
therefore consume the most resources from the network. As such, the 
Exchange believes the proposed fees for the 1 and 10 Gb Physical Ports, 
respectively are reasonably and appropriately allocated.
Data Port Fees
    The Exchange believes assessing the data port fee per data source, 
instead of per port, is reasonable because it may allow for market 
participants to maintain more ports at a lower cost and applies 
uniformly to all market participants. The Exchange believes the 
proposed increase is reasonable because, as noted above, market 
participants will likely still pay lower fees as a result of charging 
per data source and not per data port. Indeed, while the Exchange has 
no way of predicting with certainty the impact of the proposed changes, 
the Exchange anticipates approximately 76% of the 51 market 
participants who currently pay data port fees to pay lower fees upon 
implementation of the proposed change. The Exchange anticipates that 
19% of TPHs who currently pay data port fees will pay a modest increase 
of only $500 per month. Additionally as discussed above, the Exchange's 
affiliate C2 has the same fee which is also assessed at the proposed 
rate and assessed by data source instead of per port. The proposed name 
change is also appropriate in light

[[Page 56250]]

of the Exchange's proposed changes and may alleviate potential 
confusion.
Logical Connectivity
Port Fees
    The Exchange believes it's reasonable to eliminate certain fees 
associated with legacy options for connecting to the Exchange and to 
replace them with fees associated with new options for connecting to 
the Exchange that are similar to those offered at its Affiliated 
Exchanges. In particular, the Exchange believes it's reasonable to no 
longer assess fees for CMI and FIX Login IDs because the Login IDs will 
be retired and obsolete upon migration and because the Exchange is 
proposing to replace them with fees associated with the new logical 
connectivity options. The Exchange believes that it is reasonable to 
harmonize the Exchange's logical connectivity options and corresponding 
connectivity fees once the Exchange is on a common platform as its 
Affiliated Exchanges. Additionally, the Exchange notes the proposed 
fees are the same as, or in line with, the fees assessed on its 
Affiliated Exchanges for similar connectivity.\58\ The proposed logical 
connectivity fees are also equitable and not unfairly discriminatory 
because the Exchange will apply the same fees to all market 
participants that use the same respective connectivity options.
---------------------------------------------------------------------------

    \58\ See Affiliated Exchange Fee Schedules, Logical Port Fees.
---------------------------------------------------------------------------

    The Exchange believes the proposed Logical Port fees are reasonable 
as it is the same fee for Drop Ports and the first five BOE/FIX Ports 
that is assessed for CMI and FIX Logins, which the Exchange is 
eliminating in lieu of logical ports. Additionally, while the proposed 
ports will be assessed the same monthly fees as current CMI/FIX Login 
IDs, the proposed logical ports provide for significantly more message 
traffic. Specifically, the proposed BOE/FIX Logical Ports will provide 
for 3 times the amount of quoting \59\ capacity and approximately 165 
times order entry capacity. Similarly, the Exchange believes the 
proposed BOE Bulk Port fees are reasonable because while the fees are 
higher than the current CMI and FIX Login Id fees and the proposed 
Logical Port fees, BOE Bulk Ports offer significantly more bandwidth 
capacity than both CMI and FIX Login Ids and Logical Ports. 
Particularly, a single BOE Bulk Port offers 45 times the amount of 
quoting bandwidth than CMI/FIX Login Ids \60\ and 5 times the amount of 
quoting bandwidth than Logical Ports will offer. Additionally, the 
Exchange believes that its fees for logical connectivity are 
reasonable, equitable, and not unfairly discriminatory as they are 
designed to ensure that firms that use the most capacity pay for that 
capacity, rather than placing that burden on market participants that 
have more modest needs. Although the Exchange charges a ``per port'' 
fee for logical connectivity, it notes that this fee is in effect a 
capacity fee as each FIX, BOE or BOE Bulk port used for order/quote 
entry supports a specified capacity (i.e., messages per second) in the 
matching engine, and firms purchase additional logical ports when they 
require more capacity due to their business needs.
---------------------------------------------------------------------------

    \59\ Based on the purchase of a single Market-Maker Trading 
Permit or Bandwidth Packet.
    \60\ Based on the purchase of a single Market-Maker Trading 
Permit or Bandwidth Packet.
---------------------------------------------------------------------------

    An obvious driver for a market participant's decision to purchase 
multiple ports will be their desire to send or receive additional 
levels of message traffic in some manner, either by increasing their 
total amount of message capacity available, or by segregating order 
flow for different trading desks and clients to avoid latency sensitive 
applications from competing for a single thread of resources. For 
example, a TPH may purchase one or more ports for its market making 
business based on the amount of message traffic needed to support that 
business, and then purchase separate ports for proprietary trading or 
customer facing businesses so that those businesses have their own 
distinct connection, allowing the firm to send multiple messages into 
the Exchange's trading system in parallel rather than sequentially. 
Some TPHs that provide direct market access to their customers may also 
choose to purchase separate ports for different clients as a service 
for latency sensitive customers that desire the lowest possible latency 
to improve trading performance. Thus, while a smaller TPH that demands 
more limited message traffic may connect through a service bureau or 
other service provider, or may choose to purchase one or two logical 
ports that are billed at a rate of $750 per month each, a larger market 
participant with a substantial and diversified U.S. options business 
may opt to purchase additional ports to support both the volume and 
types of activity that they conduct on the Exchange. While the Exchange 
has no way of predicting with certainty the amount or type of logical 
ports market participants will in fact purchase post-migration, the 
Exchange anticipates approximately 16% of TPHs to purchase one to two 
logical ports, and approximately 22% of TPHs to not purchase any 
logical ports. At the same time, market participants that desire more 
total capacity due to their business needs, or that wish to segregate 
order flow by purchasing separate capacity allocations to reduce 
latency or for other operational reasons, would be permitted to choose 
to purchase such additional capacity at the same marginal cost. The 
Exchange believes the proposal to assess an additional Logical and BOE 
Bulk port fee for incremental usage per logical port is reasonable 
because the proposed fees are modestly higher than the proposed Logical 
Port and BOE Bulk fees and encourage users to mitigate message traffic 
as necessary. The Exchange notes one of its Affiliated Exchanges has 
similar implied port fees.\61\
---------------------------------------------------------------------------

    \61\ See e.g., Cboe C2 Options Exchange Fees Schedule, Logical 
Connectivity Fees.
---------------------------------------------------------------------------

    In sum, the Exchange believes that the proposed BOE/FIX Logical 
Port and BOE Bulk Port fees are appropriate as these fees would ensure 
that market participants continue to pay for the amount of capacity 
that they request, and the market participants that pay the most are 
the ones that demand the most resources from the Exchange. The Exchange 
also believes that its logical connectivity fees are aligned with the 
goals of the Commission in facilitating a competitive market for all 
firms that trade on the Exchange and of ensuring that critical market 
infrastructure has ``levels of capacity, integrity, resiliency, 
availability, and security adequate to maintain their operational 
capability and promote the maintenance of fair and orderly markets.'' 
\62\
---------------------------------------------------------------------------

    \62\ See Securities Exchange Act Release No. 73639 (November 19, 
2014), 79 FR 72251 (December 5, 2014) (File No. S7-01-13) 
(Regulation SCI Adopting Release).
---------------------------------------------------------------------------

    The Exchange believes waiving the FIX/BOE Logical Port fee for one 
FIX Logical Port used to access PULSe and Silexx (for FLEX Trading) is 
reasonable because it will allow all TPHs using PULSe and Silexx to 
avoid having to pay a fee that they would otherwise have to pay. The 
waiver is equitable and not unfairly discriminatory because TPHs using 
PULSe are already subject to a monthly fee for the PULSe Workstation, 
which the Exchange views as inclusive of fees to access the Exchange. 
Moreover, while PULSe users today do not require a FIX/CMI Login Id, 
post-migration, due to changes to the connectivity infrastructure, 
PULSe users will be required to maintain a FIX Logical Port and as such 
incur a fee they previously would not have been subject to. Similarly, 
the Exchange believes that

[[Page 56251]]

the waiver for Silexx (for FLEX trading) will encourage TPHs to 
transact business using FLEX Options using the new Silexx System and 
encourage trading of FLEX Options. Additionally, the Exchange notes 
that it currently waives the Login Id fees for Login IDs used to access 
the CFLEX system.
    The Exchange believes its proposed fee for Purge Ports is 
reasonable as it is also in line with the amount assessed for similar 
ports by both its Affiliated Exchanges and other exchanges.\63\ 
Moreover, the Exchange believes that offering Purge Port functionality 
at the Exchange level promotes robust risk management across the 
industry, and thereby facilitates investor protection. Some market 
participants, and, in particular, larger firms, could build similar 
risk functionality on their trading systems that permit the flexible 
cancellation of orders entered on the Exchange. Offering Exchange level 
protections however, ensures that such functionality is widely 
available to all firms, including smaller firms that may otherwise not 
be willing to incur the costs and development work necessary to support 
their own customized mass cancel functionality. The Exchange operates 
in a highly competitive market in which exchanges offer connectivity 
and related services as a means to facilitate the trading activities of 
TPHs and other participants. As the proposed Purge Ports provide 
voluntary risk management functionality, excessive fees would simply 
serve to reduce demand for this optional product. The Exchange also 
believes that the proposed Purge Port fees are not unfairly 
discriminatory because they will apply uniformly to all TPHs that 
choose to use dedicated Purge Ports. The proposed Purge Ports are 
completely voluntary and, as they relate solely to optional risk 
management functionality, no TPH is required or under any regulatory 
obligation to utilize them. The Exchange believes that adopting 
separate fees for these ports ensures that the associated costs are 
borne exclusively by TPHs that determine to use them based on their 
business needs, including Market-Makers or similarly situated market 
participants. Similar to Purge Ports, Spin and GRP Ports are optional 
products that provide an alternative means for market participants to 
receive multicast data and request and receive a retransmission of such 
data. As such excessive fees would simply serve to reduce demand for 
these products, which TPHs are under no regulatory obligation to 
utilize. All TPHs that voluntarily select these service options (i.e., 
Purge Ports, Spin Ports or GRP Ports) will be charged the same amount 
for the same respective services. All TPHs have the option to select 
any connectivity option, and there is no differentiation among TPHs 
with regard to the fees charged for the services offered by the 
Exchange.
---------------------------------------------------------------------------

    \63\ See Affiliated Exchange Fee Schedules, Logical Port Fees. 
See also, Nasdaq ISE Pricing Schedule, Section 7(C). ISE charges a 
fee of $1,100 per month for SQF Purge Ports.
---------------------------------------------------------------------------

Access Credits
    The Exchange believes the proposal to adopt credits for BOE Bulk 
Ports is reasonable, equitable and not unfairly discriminatory because 
it provides an opportunity for TPHs to pay lower fees for logical 
connectivity. The Exchange notes that the proposed credits are in lieu 
of the current credits that Market-Makers are eligible to receive today 
for Trading Permits fees. Although only Market-Makers may receive the 
proposed BOE Bulk Port credits, Market-Makers are valuable market 
participants that provide liquidity in the marketplace and incur costs 
that other market participants do not incur. For example, Market-Makers 
have a number of obligations, including quoting obligations and fees 
associated with appointments that other market participants do not 
have.
    The Exchange believes the proposed BOE Bulk Port fee credits 
provided under AVP will incentivize the routing of orders to the 
Exchange by TPHs that have both Market-Maker and agency operations, as 
well as incent Market-Makers to tighten market widths due to the 
reduced costs the incentives will provide. In the options industry, 
many options orders are routed by consolidators, which are firms that 
have both order router and Market-Maker operations. The Exchange is 
aware not only of the importance of providing credits on the order 
routing side in order to encourage the submission of orders, but also 
of the operations costs on the Market-Maker side. The Exchange believes 
the proposed change to AVP continues to allow the Exchange to provide 
relief to the Market-Maker side via the credits, albeit credits on BOE 
Bulk Port fees instead of Trading Permit fees. Additionally, the 
proposed credits may incentivize and attract more volume and liquidity 
to the Exchange, which will benefit all Exchange participants through 
increased opportunities to trade as well as enhancing price discovery. 
While the Exchange has no way of predicting with certainty how many and 
which TPHs will satisfy the required criteria to receive the credits, 
the Exchange anticipates approximately two TPHs (out of approximately 5 
TPHs that are eligible for AVP) to reach VIP Tiers 4 or 5 and 
consequently earn the BOE Bulk Port fee credits for their respective 
Market-Maker affiliate.
    The Exchange believes the proposed BOE Bulk Port fee credits 
available for TPHs that reach certain Performance Tiers under the 
Liquidity Provider Sliding Scale Adjustment Table is reasonable as the 
credits provide for reduced connectivity costs for those Market-Makers 
that reach the required thresholds. The Exchange believe it's 
reasonable, equitable and not unfairly discriminatory to provide 
credits to those Market-Makers that primarily provide and post 
liquidity to the Exchange, as the Exchange wants to continue to 
encourage Market-Makers with significant Make Rates to continue to 
participate on the Exchange and add liquidity. Greater liquidity 
benefits all market participants by providing more trading 
opportunities and tighter spreads.
    Moreover, the Exchange notes that Market-Makers with a high Make 
Rate percentage generally require higher amounts of capacity than other 
Market-Makers. Particularly, Market-Makers with high Make Rates are 
generally streaming significantly more quotes than those with lower 
Make Rates. As such, Market-Makers with high Make Rates may incur more 
costs than other Market-Makers as they may need to purchase multiple 
BOE Bulk Ports in order to accommodate their capacity needs. The 
Exchange believes the proposed credits for BOE Bulk Ports encourages 
Market-Makers to continue to provide liquidity for the Exchange, 
notwithstanding the costs incurred by purchasing multiple ports. 
Particularly, the proposal is intended to mitigate the costs incurred 
by traditional Market-Makers that focus on adding liquidity to the 
Exchange (as opposed to those that provide and take, or just take). 
While the Exchange cannot predict with certain which Market-Makers will 
reach Performance Tiers 4 and 5 each month, based on historical 
performance it anticipates approximately 10 Market-Makers to achieve 
Tiers 4 or 5. Lastly, the Exchange notes that it is common practice 
among options exchanges to differentiate fees for adding liquidity and 
fees for removing liquidity.\64\
---------------------------------------------------------------------------

    \64\ See e.g., MIAX Options Fees Schedule, Section 1(a), Market 
Maker Transaction Fees.
---------------------------------------------------------------------------

Bandwidth Packets and CMI CAS Server Fees
    The Exchange believes it's reasonable to eliminate Bandwidth Packet 
fees and

[[Page 56252]]

the CMI CAS Server fee because TPHs will not pay fees for these 
connectivity options and because Bandwidth Packets and CAS Servers will 
be retired and obsolete upon the upcoming migration. The Exchange 
believes that even though it will be discontinuing Bandwidth Packets, 
the proposed incremental pricing for Logical Ports and BOE Bulk Ports 
will continue to encourage users to mitigate message traffic. The 
proposed change is equitable and not unfairly discriminatory because it 
will apply uniformly to all TPHs.
Access Fees
    The Exchange believes its proposed restructuring of its Trading 
Permits is reasonable in light of the changes to the Exchange's 
connectivity infrastructure in connection with the migration and the 
resulting separation of bandwidth allowance, logins and appointment 
costs from each Trading Permit. The Exchange also believes that it is 
reasonable to harmonize the Exchange's Trading Permit structure and 
corresponding connectivity options to more closely align with the 
structures offered at its Affiliated Exchanges once the Exchange is on 
a common platform as its Affiliated Exchanges.\65\ The proposed Trading 
Permit structure and corresponding fees are also in line with the 
structure and fees provided by other exchanges. The proposed Trading 
Permit fees are also equitable and not unfairly discriminatory because 
the Exchange will apply the same fees to all market participants that 
use the same type and number of Trading Permits.
---------------------------------------------------------------------------

    \65\ For example, the Exchange's affiliate, C2, similarly 
provides for Trading Permits that are not tied to connectivity, and 
similar physical and logical port options at similar pricings. See 
Cboe C2 Options Exchange Fees Schedule. Physical connectivity and 
logical connectivity are also not tied to any type of permits on the 
Exchange's other options exchange affiliates.
---------------------------------------------------------------------------

    With respect to electronic Trading Permits, the Exchange notes that 
TPHs currently request multiple Trading Permits because of bandwidth, 
login or appointment cost needs. As described above, upon migration, 
bandwidth, logins and appointment costs will no longer be tied to 
Trading Permits or Bandwidth Packets and as such, the need to hold 
multiple permits and/or Bandwidth Packets will be obsolete. As such, 
the Exchange believes the proposed structure to require only one of 
each type of applicable electronic Trading Permit is appropriate. 
Moreover, the Exchange believes offering separate marketing making 
permits for off-floor and on-floor Market-Makers provides for a 
cleaner, more streamlined approach to trading permits and corresponding 
fees. Other exchanges similarly provide separate and distinct fees for 
Market-Makers that operate on-floor vs off-floor and their 
corresponding fees are similar to those proposed by the Exchange.\66\
---------------------------------------------------------------------------

    \66\ See e.g., PHLX Section 8A, Permit and Registration Fees. 
See also, BOX Options Fee Schedule, Section IX Participant Fees; 
NYSE American Options Fees Schedule, Section III(A) Monthly ATP Fees 
and NYSE Arca Options Fees and Charges, OTP Trading Participant 
Rights. For similar Trading Floor Permits for Floor Market Makers, 
Nasdaq PHLX charges $6,000; BOX charges up to $5,500 for 3 
registered permits in addition to a $1,500 Participant Fee, NYSE 
Arca charges up to $6,000; and NYSE American charges up to $8,000.
---------------------------------------------------------------------------

    The Exchange believes the proposed fee for its MM EAP Trading 
Permits is reasonable as it is the same fee it assess today for Market-
Maker Trading Permits (i.e., $5,000 per month per permit). 
Additionally, the proposed fee is in line with, and in some cases even 
lower than, the amounts assessed for similar access fees at other 
exchanges, including its affiliate C2.\67\ The Exchange believes the 
proposed EAP fee is also reasonable, and in line with the fees assessed 
by other Exchanges for non-Market-Maker electronic access.\68\ The 
Exchange notes that while the Trading Permit fee is increasing, TPHs 
overall cost to access the Exchange may be reduced in light of the fact 
that a TPH no longer must purchase multiple Trading Permits, Bandwidth 
Packets and Login Ids in order to receive sufficient bandwidth and 
logins to meet their respective business needs. To illustrate the value 
of the new connectivity infrastructure, the Exchange notes that the 
cost that would be incurred by a TPH today in order to receive the same 
amount of order capacity that will be provided by a single Logical Port 
post-migration (i.e., 5,000 orders per second), is approximately 98% 
higher than the cost for the same capacity post-migration. The 
following examples further demonstrate potential cost savings/value 
added for an EAP holder with modest capacity needs and an EAP holder 
with larger capacity needs:
---------------------------------------------------------------------------

    \67\ See e.g., Cboe C2 Options Exchange Fees Schedule. See also, 
NYSE Arca Options Fees and Charges, General Options and Trading 
Permit (OTP) Fees, which assesses up to $6,000 per Market Maker OTP 
and NYSE American Options Fee Schedule, Section III. Monthly ATP 
Fees, which assess up to $8,000 per Market Maker ATP. See also, PHLX 
Section 8A, Permit and Registration Fees, which assesses up to 
$4,000 per Market Maker Permit.
    \68\ See e.g., PHLX Section 8A, Permit and Registration Fees, 
which assesses up to $4,000 per Permit for all member and member 
organizations other than Floor Specialists and Market Makers.

                           TPH That Holds 1 EAP, No Bandwidth Packets and 1 CMI Login
----------------------------------------------------------------------------------------------------------------
                                            Current fee structure               Post-migration fee structure
----------------------------------------------------------------------------------------------------------------
EAP..............................  $1,600................................  $3,000.
CMI Login/Logical Port...........  $750..................................  $750.
Bandwidth Packets................  0.....................................  N/A.
Total Bandwidth Available........  30 orders/sec.........................  5,000 orders/sec.
Total Cost.......................  $2,350................................  $3,750.
Total Cost per message...........  $78.33/order/sec......................  $0.75/order/sec.
----------------------------------------------------------------------------------------------------------------


                           TPH That Holds 1 EAP, 4 Bandwidth Packets and 15 CMI Logins
----------------------------------------------------------------------------------------------------------------
                                            Current fee structure               Post-migration fee structure
----------------------------------------------------------------------------------------------------------------
EAP..............................  $1,600................................  $3,000.
CMI Login/Logical Port...........  $11,250 ([email protected])......................  $750.
Bandwidth Packets................  $6,400 ([email protected]$1,600).....................  N/A.
Total Bandwidth Available........  150 orders/sec........................  5,000 orders/sec.
Total Cost.......................  $19,250...............................  $3,750.
Total Cost per message...........  $128.33/order/sec.....................  $0.75/order/sec.
----------------------------------------------------------------------------------------------------------------


[[Page 56253]]

    The Exchange believes the proposal to adopt a new Clearing TPH 
Permit is reasonable because it offers TPHs that only clear 
transactions of TPHs a discount. Particularly, Clearing TPHs that also 
submit orders electronically to the Exchange would purchase the 
proposed EAP at $3,000 per permit. The Exchange believe it's reasonable 
to provide a discount to Clearing TPHs that only clear transactions and 
do not otherwise submit electronic orders to the Exchange. The Exchange 
notes that another exchange similarly charges a separate fee for 
clearing firms.\69\
---------------------------------------------------------------------------

    \69\ See e.g., NYSE Arca Options Fees and Charges, General 
Options and Trading Permit (OTP) Fees and NYSE American Options Fee 
Schedule, Section III. Monthly ATP Fees.
---------------------------------------------------------------------------

    The Exchange believes the proposed fee structure for on-floor 
Market-Makers is reasonable as the fees are in line with those offered 
at other Exchanges.\70\ The Exchange believes that the proposed fee for 
MM Floor Permits as compared to MM EAPs is reasonable because it is 
only modestly higher than MM EAPs and Floor MMs don't have other costs 
that MM EAP holders have, such as MM EAP Appointment fees.
---------------------------------------------------------------------------

    \70\ See e.g., PHLX Section 8A, Permit and Registration Fees, 
which assesses $6,000 per permit for Floor Specialists and Market 
Makers.
---------------------------------------------------------------------------

    The Exchange believes its proposed fees for Floor Broker Permits 
are reasonable because the fees are similar to, and in some cases lower 
than, the fees the Exchange currently assesses for such permits. 
Specifically, 60% of TPHs that hold Floor Broker Trading Permits will 
be pay lower Trading Permit fees. Particularly, any Floor Broker 
holding ten or less Floor Broker Trading Permits will pay lower fees 
under the proposed tiers as compared to what they pay today. While the 
remaining 40% of TPHs holding Floor Broker Trading Permits (who each 
hold between 12-21 Floor Broker Trading Permits) will pay higher fees, 
the Exchange notes the monthly increase is de minimis, ranging from an 
increase of 0.6%--2.72%.\71\
---------------------------------------------------------------------------

    \71\ The Floor Brokers whose fees are increasing have each 
committed to a minimum number of permits and therefore currently 
receive the rates set forth in the current Floor Broker TP Sliding 
Scale.
---------------------------------------------------------------------------

    The Exchange believes the proposed ADV Discount is reasonable 
because it provides an opportunity for Floor Brokers to pay lower FB 
Trading Permit fees, similar to the current rebate program offered to 
Floor Brokers. The Exchange notes that while the new ADV Discount 
program includes only customer volume (``C'' origin code) as compared 
to Customer and Professional Customer/Voluntary Professional, the 
amount of Professional Customer/Voluntary Professional volume was de 
minimis and the Exchange does not believe the absence of such volume 
will have a significant impact.\72\ Additionally, the Exchange notes 
that while the ADV requirements under the proposed ADV Discount program 
are higher than are required under the current rebate program, the 
proposed ADV Discount counts volume from all products towards the 
thresholds as compared to the current rebate program which excludes 
volume from Underlying Symbol List A (except RLG, RLV, RUI, and UKXM), 
DJX, XSP, and subcabinet trades. Moreover, the ADV Discount is designed 
to encourage the execution of orders in all classes via open outcry, 
which may increase volume, which would benefit all market participants 
(including Floor Brokers who do not hit the ADV thresholds) trading via 
open outcry (and indeed, this increased volume could make it possible 
for some Floor Brokers to hit the ADV thresholds). The Exchange 
believes the proposed discounts are equitable and not unfairly 
discriminatory because all Floor Brokers are eligible. While the 
Exchange has no way of predicting with certainty how many and which 
TPHs will satisfy the various thresholds under the ADV Discount, the 
Exchange anticipates approximately 3 Floor Brokers to receive a rebate 
under the program.
---------------------------------------------------------------------------

    \72\ Furthermore, post-migration the Exchange will not have 
Voluntary Professionals.
---------------------------------------------------------------------------

    The Exchange believes its proposed MM EAP Appointment fees are 
reasonable in light of the Exchange's elimination of appointment costs 
tied to Trading Permits. Other exchanges also offer a similar structure 
with respect to fees for appointment classes.\73\ Additionally, the 
proposed MM EAP Appointment fee structure results in approximately 36% 
electronic MMs paying lower fees for trading permit and appointment 
costs. For example, in order to have the ability to make electronic 
markets in every class on the Exchange, a Market-Maker would need 1 
Market-Maker Trading Permit and 37 Appointment Units post-migration. 
Under, the current pricing structure, in order for a Market-Maker to 
quote the entire universe of available classes, a Market-Maker would 
need 33 Appointment Credits, thus necessitating 33 Market-Maker Trading 
Permits. With respect to fees for Trading Permits and Appointment Unit 
Fees, under the proposed pricing structure, the cost for a TPH wishing 
to quote the entire universe of available classes is approximately 29% 
less (if they are not eligible for the MM TP Sliding Scale) or 
approximately 2% less (if they are eligible for the MM TP Sliding 
Scale). To further demonstrate the potential cost savings/value added, 
the Exchange is providing the following examples comparing current 
Market-Maker connectivity and access fees to projected connectivity and 
access fees for different scenarios. The Exchange notes that the below 
examples not only compare Trading Permit and Appointment Unit costs, 
but also the cost incurred for logical connectivity and bandwidth. 
Particularly, the first example demonstrates the total minimum cost 
that would be incurred today in order for a Market-Maker to have the 
same amount of capacity as a Market-Maker post-migration that would 
have only 1 MM EAP and 1 Logical Port (i.e., 15,000 quotes/3 sec). The 
Exchange is also providing examples that demonstrate the costs of (i) a 
Market-Maker with small capacity needs and appointment unit of 1.0 and 
(ii) a Market-Maker with large capacity needs and appointment cost/unit 
of 30.0:
---------------------------------------------------------------------------

    \73\ See e.g., PHLX Section 8. Membership Fees, B, Streaming 
Quote Trader (``SQT'') Fees and C. Remote Market Maker Organization 
(RMO) Fee.

       Market-Maker That Needs Capacity of 15,000/Quotes/3 Seconds
------------------------------------------------------------------------
                                   Current fee       Post-migration fee
                                    structure             structure
------------------------------------------------------------------------
MM Permit/MM EAP............  $5,000..............  $5,000.
Appointment Unit Cost.......  N/A (1 appointment    $0 (1 appointment
                               cost).                unit).
CMI Login/Logical Port......  $750\74\............  $750.
Bandwidth Packets...........  $5,500 ([email protected]$2,750)...  N/A.
Total Bandwidth Available...  15,000 quotes/3 sec.  15,000 quotes/3 sec.
Total Cost..................  $11,250.............  $5,750.

[[Page 56254]]

 
Total Cost per message        $0.75/quote/3 sec...  $0.38/quote/3 sec.
 allowed.
------------------------------------------------------------------------


  Market Maker That Needs Capacity of no More Than 5,000 Quotes/3 secs
------------------------------------------------------------------------
                                   Current fee       Post-migration fee
                                    structure             structure
------------------------------------------------------------------------
MM Permit/MM EAP............  $5,000..............  $5,000.
Appointment Unit Cost.......  N/A (1 appointment    $0 (1 appointment
                               cost).                unit).
CMI Login/Logical Port......  $750................  $750.
Bandwidth Packets...........  0...................  N/A.
Total Bandwidth Available...  5,000 quotes/3 sec..  15,000 quotes/3 sec.
Total Cost..................  $5,750..............  $5,750.
Total Cost per message        $1.15/quote/3 sec...  $0.38/quote/3 sec.
 allowed.
------------------------------------------------------------------------


  Market-Maker That Needs 30 Appointment Units and Capacity of 300,000
                              Quotes/3 sec
------------------------------------------------------------------------
                                   Current fee       Post-migration fee
                                    structure             structure
------------------------------------------------------------------------
MM Permits/MM EAP...........  $105,000 (30 MM       $5,000.
                               Permits assumes
                               eligible for MM TP
                               Sliding Scale)\75\.
Appointment Units Cost......  N/A (30 appointment   $95,500 (30
                               costs).               appointment units).
CMI Logins/BOE Bulk Port....  $3,000 ([email protected]$750) \76\  $3,000 (2 BOE
                                                     [email protected]$1,500).
Bandwidth Packets...........  $82,500([email protected]$2750)...  N/A.
Total Bandwidth Available...  300,000 quotes/3 sec  \*\450,000 quotes/3
                                                     sec.
Total Cost..................  $190,500............  $103,500.
Total Cost per message        $0.63/quotes/3 sec..  $0.23/quote/3 sec.
 allowed.
------------------------------------------------------------------------
* possible performance degradation at 15,000 messages per second.

    The Exchange believes its proposal to provide separate fees for 
Tier Appointments for MM EAPs and MM Floor Permits as the Exchange will 
be issuing separate Trading Permits for on-floor and off-floor market 
making as discussed above. The proposal to increase the electronic 
volume thresholds for VIX and RUT are reasonable as those that do not 
regularly trade VIX or RUT in open-outcry will continue to not be 
assessed the fee. In fact, any TPH that executes more than 100 
contracts but less than 1,000 in the respective classes will no longer 
have to pay the proposed Tier Appointment fee. As noted above, the 
Exchange is not proposing to change the amounts assessed for each Tier 
Appointment Fee. The proposed change is equitable and not unfairly 
discriminatory because it will apply uniformly to all TPHs.
---------------------------------------------------------------------------

    \74\ The maximum quoting bandwidth that may be applied to a 
single Login Id is 80,000 quotes/3 sec.
    \75\ For simplicity of the comparison, this assumes no 
appointments in SPX, VIX, RUT, XEO or OEX (which are not included in 
the TP Sliding Scale).
    \76\ Given the bandwidth limit per Login Id of 80,000 quotes/3 
sec, example assumes Market-Maker purchases minimum amount of Login 
IDs to accommodate 300,000 quotes/3 sec.
---------------------------------------------------------------------------

Trading Permit Holder Regulatory Fee
    The Exchange believes it's reasonable to eliminate the Trading 
Permit Holder Regulatory fee because TPHs will not pay this fee and 
because the Exchange is restructuring its Trading Permit structure. The 
Exchange notes that although it will less closely be covering the costs 
of regulating all TPHs and performing its regulatory responsibilities, 
it still has sufficient funds to do so. The proposed change is 
equitable and not unfairly discriminatory because it will apply 
uniformly to all TPHs.
    The Exchange believes corresponding changes to eliminate obsolete 
language in connection with the proposed changes described above and to 
relocate and reorganize its fees in connection with the proposed 
changes maintain clarity in the Fees Schedule and alleviate potential 
confusion, thereby removing impediments to and perfecting the mechanism 
of a free and open market and a national market system, and, in 
general, protecting investors and the public interest.

B. Self-Regulatory Organization's Statement on Burden on Competition

    The Exchange does not believe that the proposed rule change will 
impose any burden on competition that is not necessary or appropriate 
in furtherance of the purposes of the Act.
    With respect to intra-market competition, the Exchange does not 
believe that the proposed rule change would place certain market 
participants at the Exchange at a relative disadvantage compared to 
other market participants or affect the ability of such market 
participants to compete. As stated above, the Exchange does not believe 
its proposed pricing will impose a barrier to entry to smaller 
participants and notes that its proposed connectivity pricing is 
associated with relative usage of the various market participants. For 
example, market participants with modest capacity needs can buy the 
less expensive 1 Gb Physical Port and utilize only one Logical Port. 
Moreover, the pricing for 1 Gb Physical Ports and FIX/BOE Logical Ports 
are no different than are assessed today (i.e., $1,500 and $750 per 
port, respectively), yet the capacity and access associated with each 
is greatly increasing. While pricing may be increased for larger 
capacity physical and logical ports, such options provide far more 
capacity and are purchased by those that consume more resources from 
the network. Accordingly, the proposed connectivity fees do not favor 
certain categories of market participants in a manner that would impose 
a burden on competition; rather, the allocation reflects the network 
resources consumed by the various size of market participants--lowest 
bandwidth consuming members pay the least, and highest bandwidth 
consuming members pays the most, particularly since higher bandwidth 
consumption translates to higher costs to the Exchange.

[[Page 56255]]

    The Exchange also does not believe that the proposed rule change 
will result in any burden on inter-market competition that is not 
necessary or appropriate in furtherance of the purposes of the Act. As 
discussed in the Statutory Basis section above, options market 
participants are not forced to connect to (or purchase market data 
from) all options exchanges, as shown by the number of TPHs at Cboe and 
shown by the fact that there are varying number of members across each 
of Cboe's Affiliated Exchanges. The Exchange operates in a highly 
competitive environment, and its ability to price access and 
connectivity is constrained by competition among exchanges and third 
parties. As discussed, there are other options markets of which market 
participants may connect to trade options. There is also a possible 
range of alternative strategies, including routing to the exchange 
through another participant or market center or taking the exchange's 
data indirectly. For example, there are 15 other U.S. options 
exchanges, which the Exchange must consider in its pricing discipline 
in order to compete for market participants. In this competitive 
environment, market participants are free to choose which competing 
exchange or reseller to use to satisfy their business needs. As a 
result, the Exchange believes this proposed rule change permits fair 
competition among national securities exchanges. Accordingly, the 
Exchange does not believe its proposed fee change imposes any burden on 
competition that is not necessary or appropriate in furtherance of the 
purposes of the Act.

C. Self-Regulatory Organization's Statement on Comments on the Proposed 
Rule Change Received From Members, Participants, or Others

    The Exchange neither solicited nor received comments on the 
proposed rule change.

III. Date of Effectiveness of the Proposed Rule Change and Timing for 
Commission Action

    The foregoing rule change has become effective pursuant to Section 
19(b)(3)(A) of the Act \77\ and paragraph (f) of Rule 19b-4 \78\ 
thereunder. At any time within 60 days of the filing of the proposed 
rule change, the Commission summarily may temporarily suspend such rule 
change if it appears to the Commission that such action is necessary or 
appropriate in the public interest, for the protection of investors, or 
otherwise in furtherance of the purposes of the Act. If the Commission 
takes such action, the Commission will institute proceedings to 
determine whether the proposed rule change should be approved or 
disapproved.
---------------------------------------------------------------------------

    \77\ 15 U.S.C. 78s(b)(3)(A).
    \78\ 17 CFR 240.19b-4(f).
---------------------------------------------------------------------------

IV. Solicitation of Comments

    Interested persons are invited to submit written data, views, and 
arguments concerning the foregoing, including whether the proposed rule 
change is consistent with the Act. Comments may be submitted by any of 
the following methods:

Electronic Comments

     Use the Commission's internet comment form (http://www.sec.gov/rules/sro.shtml); or
     Send an email to rule-comments@sec.gov. Please include 
File Number SR-CBOE-2019-082 on the subject line.

Paper Comments

     Send paper comments in triplicate to Secretary, Securities 
and Exchange Commission, 100 F Street NE, Washington, DC 20549-1090.

All submissions should refer to File Number SR-CBOE-2019-082. This file 
number should be included on the subject line if email is used. To help 
the Commission process and review your comments more efficiently, 
please use only one method. The Commission will post all comments on 
the Commission's internet website (http://www.sec.gov/rules/sro.shtml). 
Copies of the submission, all subsequent amendments, all written 
statements with respect to the proposed rule change that are filed with 
the Commission, and all written communications relating to the proposed 
rule change between the Commission and any person, other than those 
that may be withheld from the public in accordance with the provisions 
of 5 U.S.C. 552, will be available for website viewing and printing in 
the Commission's Public Reference Room, 100 F Street NE, Washington, DC 
20549, on official business days between the hours of 10:00 a.m. and 
3:00 p.m. Copies of the filing also will be available for inspection 
and copying at the principal office of the Exchange. All comments 
received will be posted without change. Persons submitting comments are 
cautioned that we do not redact or edit personal identifying 
information from comment submissions. You should submit only 
information that you wish to make available publicly. All submissions 
should refer to File Number SR-CBOE-2019-082 and should be submitted on 
or before November 12, 2019.
---------------------------------------------------------------------------

    \79\ 17 CFR 200.30-3(a)(12).

    For the Commission, by the Division of Trading and Markets, 
pursuant to delegated authority.\79\
Jill M. Peterson,
Assistant Secretary.
[FR Doc. 2019-22838 Filed 10-18-19; 8:45 am]
 BILLING CODE 8011-01-P


