[Federal Register Volume 86, Number 41 (Thursday, March 4, 2021)]
[Notices]
[Pages 12735-12744]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2021-04423]


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SECURITIES AND EXCHANGE COMMISSION

[Release No. 34-91216; File No. SR-NYSEArca-2021-13]


Self-Regulatory Organizations; NYSE Arca, Inc.; Notice of Filing 
of Proposed Rule Change To Amend the Schedule of Wireless Connectivity 
Fees and Charges To Add Circuits for Connectivity Into and Out of the 
Data Center in Mahwah, New Jersey

February 26, 2021.
    Pursuant to Section 19(b)(1) \1\ of the Securities Exchange Act of 
1934 (``Act''),\2\ and Rule 19b-4 thereunder,\3\ notice is hereby given 
that on February 12, 2021, NYSE Arca, Inc. (``NYSE Arca'' or 
``Exchange'') filed with the Securities and Exchange Commission 
(``Commission'') the proposed rule change as described in Items I and 
II 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\ 15 U.S.C. 78a.
    \3\ 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

    The Exchange proposes to amend the schedule of Wireless 
Connectivity Fees and Charges (the ``Fee Schedule'') to (1) add 
circuits for connectivity into and out of the data center in Mahwah, 
New Jersey (the ``Mahwah Data Center''); (2) add services available to 
customers of the Mahwah Data Center that are not colocation Users; and 
(3) change the name of the Fee Schedule to ``Mahwah Wireless, Circuits, 
and Non-Colocation Connectivity Fee Schedule.'' The proposed rule 
change is available on the Exchange's website at www.nyse.com, at the 
principal office of the Exchange, 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 self-regulatory organization 
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 those 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 parts of such statements.

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

1. Purpose
    The Exchange proposes to amend the Fee Schedule to add services 
(``NCL Services'') and related fees available to customers of the 
Mahwah Data Center that are not colocation Users (``NCL 
Customers''),\4\ as well as circuits into and out of the Mahwah Data 
Center that are available to both colocation Users and NCL Customers. 
In addition, in a conforming change, because the Fee Schedule would no 
longer be limited to wireless services, the Exchange proposes to change 
the name of the Fee Schedule from ``Wireless Connectivity Fee 
Schedule'' to ``Mahwah Wireless, Circuits, and Non-Colocation 
Connectivity Fee Schedule.'' \5\
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    \4\ For purposes of the Exchange's colocation services, a 
``User'' means any market participant that requests to receive 
colocation services directly from the Exchange. See Securities 
Exchange Act Release No. 76010 (September 29, 2015), 80 FR 60197 
(October 5, 2015) (SR-NYSEArca-2015-82).
    \5\ Each of the Exchange's affiliates (New York Stock Exchange 
LLC, NYSE American LLC, NYSE Chicago, Inc., and NYSE National, Inc.) 
(the ``Affiliate SROs'') has submitted substantially the same 
proposed rule change to propose the changes described herein. See 
SR-NYSE-2021-14, SR-NYSEAMER-2021-10, SR-NYSECHX-2021-03, and SR-
NYSENAT-2021-04.
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    The Exchange makes the current proposal solely as a result of its 
determination that the Commission's recent interpretations of the Act's 
definitions of the terms ``exchange'' and ``facility,'' as expressed in 
the Wireless Approval Order,\6\ apply to connectivity services 
described herein that are offered by entities other than the Exchange. 
The Exchange disagrees with the Commission's interpretations, denies 
the services covered herein (and in the Wireless Approval Order) are 
offerings of an ``exchange'' or a ``facility'' thereof, and has sought 
review of the Commission's interpretations, as expressed in the 
Wireless Approval Order, in the Court of Appeals for the District of 
Columbia Circuit.\7\ Pending resolution of such appeal, however, the 
Exchange is making this proposal in recognition that the Commission's 
current interpretation brings certain offerings of the Exchange's 
affiliates into the scope of the terms ``exchange'' or ``facility.''
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    \6\ See Securities Exchange Act Release No. 90209 (October 15, 
2020), 85 FR 67044 (October 21, 2020) (SR-NYSE-2020-05, SR-NYSEAMER-
2020-05, SR-NYSEArca-2020-08, SR-NYSECHX-2020-02, SR-NYSENAT-2020-
03, SR-NYSE-2020-11, SR-NYSEAMER-2020-10, SR-NYSEArca-2020-15, SR-
NYSECHX-2020-05, SR-NYSENAT-2020-08) (``Wireless Approval Order'').
    \7\ Intercontinental Exchange, Inc. v. SEC, No. 20-1470 (D.C. 
Cir. 2020).
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    The Exchange expects the proposed change to be operative 60 days 
after the present filing becomes effective.
Mahwah Circuits
    Customers can connect into and out of the Mahwah Data Center using 
either wireless connections or wired fiber optic circuits. Both IDS and 
numerous third-party telecommunications service providers offer wired 
circuits into and out of the Mahwah Data Center. The circuits that IDS 
offers are described below. Such IDS circuits are available to all 
colocation Users and NCL Customers, but such customers are not 
obligated to use them; rather, both colocation Users and NCL Customers 
may instead choose to contract directly with third-party telecom 
carriers for circuits into and out of the Mahwah Data Center.
    The Exchange proposes to add to the Fee Schedule the circuit 
options offered by IDS to both colocation Users and NCL Customers to 
connect into and out of the Mahwah Data Center. Specifically, the 
Exchange proposes to amend the Fee Schedule to add two different types 
of circuits, each available in three different sizes, under the new 
heading ``C. Mahwah Circuits.''
    First, the Exchange proposes to amend the Fee Schedule to add 
``Optic Access'' circuits, which are circuits that IDS operates and 
that customers can use to connect between the Mahwah Data Center and 
IDS access centers at the following six third-party owned data centers: 
(1) 111 Eighth Avenue, New York, NY; (2) 32 Avenue of the Americas, New 
York, NY; (3) 165 Halsey, Newark, NJ; (4) Secaucus, NJ (the ``Secaucus 
Access Center''); (5) Carteret, NJ (the ``Carteret Access Center''); 
and (6) Weehawken, NJ. Optic Access circuits are available in 1 Gb, 10 
Gb, and 40 Gb sizes.
    Second, the Exchange proposes to amend the Fee Schedule to add 
lower-latency Optic Low Latency circuits that IDS operates and that 
customers can use to connect between the Mahwah Data Center and IDS's 
Secaucus Access Center or Carteret Access Center. Optic

[[Page 12736]]

Low Latency circuits are available in 1 Gb, 10 Gb, and 40 Gb sizes.
    The Exchange proposes to add the following chart to the Fee 
Schedule to include these circuits, as follows:

----------------------------------------------------------------------------------------------------------------
            Type of service                                          Amount of charge
----------------------------------------------------------------------------------------------------------------
Optic Access Circuit--1 Gb.............  $1,500 initial charge plus $1,500 monthly charge.
Optic Access Circuit--10 Gb............  $5,000 initial charge plus $2,500 monthly charge.
Optic Access Circuit--40 Gb............  $5,000 initial charge plus $6,000 monthly charge.
Optic Low Latency Circuit--1 Gb........  $1,500 initial charge plus $2,750 monthly charge.
Optic Low Latency Circuit--10 Gb.......  $5,000 initial charge plus $3,950 monthly charge.
Optic Low Latency Circuit--40 Gb.......  $5,000 initial charge plus $8,250 monthly charge.
----------------------------------------------------------------------------------------------------------------

Non-Colocation Services
    The Exchange proposes to amend the Fee Schedule to add several 
services available to NCL Customers as well as several notes, under the 
new heading ``D. Non-Colocation (``NCL'') Services.'' These are the 
services that IDS offers within the Mahwah Data Center that are not 
colocation services. The Exchange proposes to amend the Fee Schedule to 
add services that include ports to the IDS Network--a wide area network 
available in the Mahwah Data Center and other access centers--and ports 
to a dedicated network to access the NMS feeds for which the Securities 
Industry Automation Corporation is engaged as the securities 
information processor (the ``NMS Network'').\8\ The Fee Schedule would 
also specify the data products and data feeds to which an NCL Customer 
could connect via these ports. The Exchange also proposes to amend the 
Fee Schedule to enable NCL Customers to purchase cross connects and to 
request services subject to an ``Expedite Fee'' or ``Change Fee.''
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    \8\ See Securities Exchange Act Release Nos. 88837 (May 7, 
2020), 85 FR 28671 (May 13, 2020) (SR-NYSE-2019-46, SR-NYSEAMER-
2019-34, SR-NYSEArca-2019-61, SR-NYSENAT-2019-19) (``NMS Network 
Approval Order'') and 88972 (May 29, 2020), 85 FR 34472 (June 4, 
2020) (``NYSE Chicago NMS Network Approval Order'').
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1. IDS Network Ports
    The Exchange proposes to amend the Fee Schedule to add services 
that IDS offers enabling NCL Customers to connect to the IDS Network in 
the Mahwah Data Center.
    The Exchange proposes to add the following fees and language to the 
Fee Schedule:

                                               IDS Network Ports *
----------------------------------------------------------------------------------------------------------------
       Type of service            Description                            Amount of charge
----------------------------------------------------------------------------------------------------------------
NCL IDS Network Access--10 Gb  10 Gb IDS         $10,000 initial charge plus $15,250 monthly charge.
                                Network port.
NCL IDS Network Access--40 Gb  40 Gb IDS         $10,000 initial charge plus $19,750 monthly charge.
                                Network port.
----------------------------------------------------------------------------------------------------------------
* See Note 1.

    The Exchange also proposes to add to the Fee Schedule several notes 
regarding these services that are based on General Notes 4, 5, and 6 of 
the Exchange's Price List regarding colocation.
    Specifically, the Exchange proposes to add the heading ``NCL 
Notes'' after the tables in the proposed section of the Fee Schedule 
titled ``D. Non-Colocation (``NCL'') Services.'' Note 1 would establish 
that when an NCL Customer purchases access to the IDS Network, the NCL 
Customer would receive (a) the ability to access the trading and 
execution systems of the Exchange and Affiliate SROs (``Exchange 
Systems'') as well as of the Global OTC System (``Global OTC''), and 
(b) connectivity to any of the listed data products (``Included Data 
Products'') that it selects. References in the proposed Fee Schedule 
would refer customers to the applicable note.
    Proposed Note 1 would be titled ``Note 1: IDS Network'' and would 
provide:

    When an NCL Customer purchases access to the IDS Network, it 
receives the ability to access the trading and execution systems of 
the NYSE, NYSE American, NYSE Arca, NYSE Chicago, and NYSE National 
(together, the Exchange Systems) as well as of Global OTC (the 
Global OTC System), subject, in each case, to authorization by the 
NYSE, NYSE American, NYSE Arca, NYSE Chicago, NYSE National, or 
Global OTC, as applicable. Each Exchange listed above offers access 
to its Exchange Systems to its members and Global OTC offers access 
to the Global OTC System to its subscribers, such that an NCL 
Customer does not have to purchase a service that includes access to 
the IDS Network to obtain access to Exchange Systems or the Global 
OTC System.
    When an NCL Customer purchases access to the IDS Network, it 
receives connectivity to any of the Included Data Products that it 
selects, subject to any necessary technical provisioning 
requirements, authorization, and licensing by the provider of the 
Included Data Feed. Fees for the Included Data Products are charged 
by the provider of such Included Data Products. An NCL Customer can 
change the Included Data Products to which it receives connectivity 
at any time, subject to authorization from the provider of such 
Included Data Product. Because access to the IDS Network is not the 
exclusive method to connect to the Included Data Products, an NCL 
Customer does not have to purchase a service that includes access to 
the IDS Network to connect to such Included Data Products. The 
Included Data Products are as follows:

NMS feeds
    CTS
    CQS
    OPRA
NYSE
NYSE American
NYSE American Options
NYSE Arca
NYSE Arca Options
NYSE Best Quote and Trades (BQT)
NYSE Bonds
NYSE Chicago
NYSE National
2. NCL Connectivity to Third Party Systems, Data Feeds, Testing and 
Certification Feeds, and DTCC
    The Exchange also proposes to amend the Fee Schedule to provide for 
the connectivity services that IDS offers for NCL Customers to Third 
Party Systems, Third Party Data Feeds, third party testing and 
certification feeds, and DTCC. The Exchange proposes to adopt 
substantially similar services and fees as

[[Page 12737]]

set forth in the Exchange's Price List regarding colocation.\9\
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    \9\ See Securities Exchange Act Release No. 80310 (March 24, 
2017), 82 FR 15763 (March 30, 2017) (SR-NYSEArca-2016-89).
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    Connectivity to Third Party Systems: The Exchange proposes to 
specify in the Fee Schedule services that IDS offers NCL Customers to 
access the trading and execution services of Third Party markets and 
other content service providers (``Third Party Systems'') for a fee. 
NCL Customers connect to Third Party Systems over the IDS Network.
    In order to obtain access to a Third Party System, an NCL Customer 
enters into an agreement with the relevant third-party content service 
provider, pursuant to which the third-party content service provider 
charges the NCL Customer for access to the Third Party System. When 
such services are requested, IDS establishes a connection between the 
NCL Customer and the relevant third party content service provider over 
the IDS Network. IDS charges the NCL Customer for the connectivity to 
the Third Party System. An NCL Customer only receives, and is only 
charged by IDS for, connectivity to each Third Party System for which 
the customer enters into an agreement with the third-party content 
service provider.
    Neither the Exchange nor IDS has an affiliation with the providers 
of the Third Party Systems. Establishing an NCL Customer's access to a 
Third Party System does not give either IDS or the Exchange any right 
to use the Third Party Systems. Connectivity to a Third Party System 
does not provide access or order entry to the Exchange's execution 
system, and an NCL Customer's connection to a Third Party System is not 
through the Exchange's execution system.
    IDS charges a monthly recurring fee for connectivity to a Third 
Party System, which the Exchange proposes to add to its Fee Schedule. 
Specifically, when an NCL Customer requests access to a Third Party 
System, IDS identifies the applicable third-party market or other 
content service provider and the bandwidth connection it requires.
    The Exchange proposes to add the following fees and language to the 
Fee Schedule:

                             Connectivity to Third Party Systems Over IDS Network *
----------------------------------------------------------------------------------------------------------------
                 Description                                           Amount of charge
----------------------------------------------------------------------------------------------------------------
1Mb.........................................  $200 per connection monthly charge.
3Mb.........................................  $400 per connection monthly charge.
5Mb.........................................  $500 per connection monthly charge.
10Mb........................................  $800 per connection monthly charge.
25Mb........................................  $1,200 per connection monthly charge.
50Mb........................................  $1,800 per connection monthly charge.
100Mb.......................................  $2,500 per connection monthly charge.
200Mb.......................................  $3,000 per connection monthly charge.
1Gb.........................................  $3,500 per connection monthly charge.
----------------------------------------------------------------------------------------------------------------
* See Note 2.

    The Exchange proposes to add Note 2 to the section of the Fee 
Schedule titled ``D. Non-Colocation (``NCL'') Services.'' Proposed Note 
2 would be titled ``Note 2: Third Party Systems'' and would provide:

    When an NCL Customer purchases a connection that includes access 
to Third Party Systems, it receives access to Third Party Systems it 
selects subject to any technical provisioning requirements, 
authorization, and licensing from such Third Party System. Fees for 
the Third Party Systems are charged by the provider of such Third 
Party System. The Exchange is not the exclusive method to connect to 
Third Party Systems. The Third Party Systems are as follows:

Third Party Systems

Americas Trading Group (ATG)
BM&F Bovespa
Boston Options Exchange (BOX)
Canadian Securities Exchange (CSE)
Cboe BYX Exchange (CboeBYX), Cboe BZX Exchange (CboeBZX), Cboe EDGA 
Exchange (CboeEDGA), and Cboe EDGX Exchange (CboeEDGX)
Cboe Exchange (Cboe) and Cboe C2 Exchange (C2)
Chicago Mercantile Exchange (CME Group)
Credit Suisse
Euronext Optiq Cash and Derivatives Unicast (EUA)
Euronext Optiq Cash and Derivatives Unicast (Production)
Investors Exchange (IEX)
ITG TriAct Matchnow
Long Term Stock Exchange (LTSE)
Members Exchange (MEMX)
MIAX Options, MIAX PEARL Options, MIAX PEARL Equities, and MIAX 
Emerald
Morgan Stanley
Nasdaq
NASDAQ Canada (CXC, CXD, CX2)
NASDAQ ISE
Neo Aequitas
NYFIX Marketplace
Omega
OneChicago
OTC Markets Group
TD Ameritrade
TMX Group
    Connectivity to Third Party Data Feeds: The Exchange proposes to 
specify in the Fee Schedule connectivity services that IDS offers NCL 
Customers to connect to data feeds from third-party markets and other 
content service providers (``Third Party Data Feeds'') for a fee. IDS 
receives Third Party Data Feeds from multiple national securities 
exchanges and other content service providers at the Mahwah Data 
Center. IDS provides connectivity to that data to NCL Customers for a 
fee. NCL Customers connect to Third Party Data Feeds over the IDS 
Network.
    In order to connect to a Third Party Data Feed, an NCL Customer 
enters into a contract with the relevant third-party market or other 
content service provider, pursuant to which the content service 
provider charges the NCL Customer for the Third Party Data Feed. IDS 
receives the Third Party Data Feed over its fiber optic network and, 
after the data provider and NCL Customer enter into an agreement and 
IDS receives authorization from the data provider, IDS retransmits the 
data to the NCL Customer over the NCL Customer's IDS Network port. IDS 
charges the NCL Customer for the connectivity to the Third Party Data 
Feed. An NCL Customer only receives, and is only charged for, 
connectivity to the Third Party Data Feeds for which it entered into 
contracts.
    With the exception of the ICE Data Services, ICE, and Global OTC 
feeds, neither the Exchange nor IDS has any affiliation with the 
sellers of the Third Party Data Feeds. The Exchange and IDS

[[Page 12738]]

have no right to use the Third Party Data Feeds other than as a 
redistributor of the data. The Third Party Data Feeds do not provide 
access or order entry to the Exchange's execution system. With the 
exception of the ICE feed, the Third Party Data Feeds do not provide 
access or order entry to the execution systems of the third party 
generating the feed. IDS receives Third Party Data Feeds via arms-
length agreements and has no inherent advantage over any other 
distributor of such data.
    IDS charges a monthly recurring fee for connectivity to each Third 
Party Data Feed. The monthly recurring fee is per Third Party Data 
Feed, with the exception that the monthly recurring fee for the ICE 
Data Services Consolidated Feeds (including the ICE Data Services 
Consolidated Feed Shared Farm feeds), Vela--SuperFeeds, and MSCI feeds 
vary by the bandwidth of the connection. Depending on its needs and 
bandwidth, an NCL Customer may opt to receive all or some of the Third 
Party Data Feeds.
    Third Party Data Feed providers may charge redistribution fees. The 
Exchange proposes that, when IDS is charged a redistribution fee by the 
Third Party Data Feed provider, IDS would pass through the charge to 
the NCL Customer, without change to the fee. The fee would be labeled 
as a pass-through of a redistribution fee on the NCL Customer's 
invoice.
    The Exchange proposes that it would not charge NCL Customers that 
are third-party markets or content providers for connectivity to their 
own feeds, as it understands that such parties generally receive their 
own feeds for purposes of diagnostics and testing.
    The Exchange proposes to add the following fees and language to the 
Fee Schedule:

      Connectivity to Third Party Data Feeds Over the IDS Network *
------------------------------------------------------------------------
                      Description                        Monthly charge
------------------------------------------------------------------------
BM&F Bovespa..........................................            $3,000
Boston Options Exchange (BOX).........................             1,000
Canadian Securities Exchange (CSE)....................             1,000
Cboe BZX Exchange (CboeBZX) and Cboe BYX Exchange                  2,000
 (CboeBYX)............................................
Cboe EDGX Exchange (CboeEDGX) and Cboe EDGA Exchange               2,000
 (CboeEDGA)...........................................
Cboe Exchange (Cboe) and Cboe C2 Exchange (C2)........             2,000
CME Group.............................................             3,000
Euronext Optiq Compressed Cash........................               900
Euronext Optiq Compressed Derivatives.................               600
Euronext Optiq Shaped Cash............................             1,200
Euronext Optiq Shaped Derivatives.....................               900
Financial Industry Regulatory Authority (FINRA).......               500
Global OTC............................................               100
ICE Data Services Consolidated Feed <=100 Mb..........               200
ICE Data Services Consolidated Feed >100 Mb to <=1 Gb.               500
ICE Data Services Consolidated Feed >1 Gb.............             1,000
ICE Data Services Consolidated Feed Shared Farm                      200
 <=100Mb..............................................
ICE Data Services Consolidated Feed Shared Farm >100                 500
 Mb to <=1 Gb.........................................
ICE Data Services Consolidated Feed Shared Farm >1 Gb.             1,000
ICE Data Services--ICE TMC............................               200
ICE Data Services PRD.................................               200
ICE Data Services PRD CEP.............................               400
Intercontinental Exchange (ICE).......................             1,500
Investors Exchange (IEX)..............................             1,000
ITG TriAct Matchnow...................................             1,000
Members Exchange (MEMX)...............................             3,000
MIAX Emerald..........................................             3,500
MIAX Options/MIAX PEARL Options.......................             2,000
MIAX PEARL Equities...................................             2,500
Montr[eacute]al Exchange (MX).........................             1,000
MSCI 5 Mb.............................................               500
MSCI 25 Mb............................................             1,200
NASDAQ Stock Market...................................             2,000
NASDAQ OMX Global Index Data Service..................               100
NASDAQ UQDF & UTDF....................................               500
NASDAQ Canada (CXC, CXD, CX2).........................             1,500
NASDAQ ISE............................................             1,000
Neo Aequitas..........................................             1,200
Omega.................................................             1,000
OneChicago............................................             1,000
OTC Markets Group.....................................             1,000
Vela--SuperFeed <500 Mb...............................               250
Vela--SuperFeed >500 Mb to <1.25 Gb...................               800
Vela--SuperFeed >1.25 Gb..............................             1,000
TMX Group.............................................             2,500
------------------------------------------------------------------------
* See Note 3.

    The Exchange proposes to add Note 3 to the section of the Fee 
Schedule titled ``D. Non-Colocation (``NCL'') Services.'' Proposed Note 
3 would be titled ``Note 3: Third Party Systems'' and would provide:

    Pricing for data feeds from third party markets and other 
service providers (Third Party Data Feeds) is for connectivity only. 
Connectivity to Third Party Data Feeds is subject to any technical 
provisioning requirements, authorization, and licensing

[[Page 12739]]

from the provider of the data feed. Connectivity to Third Party Data 
Feeds is over the IDS Network. Fees for Third Party Data Feeds are 
charged by the provider of such data feeds. Third Party Data Feed 
providers may charge redistribution fees. When IDS is charged a 
redistribution fee, IDS passes the charge through to the customer, 
without change to the fee. The fee is labeled as a pass-through of a 
redistribution fee on the customer's invoice. IDS does not charge 
third party markets or content providers for connectivity to their 
own feeds. IDS is not the exclusive method to connect to Third Party 
Data Feeds.

    Connectivity to Third Party Data Testing and Certification Feeds: 
The Exchange proposes to specify in the Fee Schedule that NCL Customers 
may obtain connectivity to third-party testing and certification feeds. 
Certification feeds are used to certify that an NCL Customer conforms 
to any of the relevant content service provider's requirements for 
accessing Third Party Systems or receiving Third Party Data Feeds, 
while testing feeds would provide NCL Customers an environment in which 
to conduct tests with non-live data. Such feeds, which are solely used 
for certification and testing and do not carry live production data, 
are available over the IDS Network.
    Connectivity to third party testing and certification feeds would 
be subject to any technical provisioning requirements, authorization, 
and licensing from the provider of the data feed. Fees for such feeds 
are charged by the provider of the feed. The Exchange is not the 
exclusive method to connect to third-party testing and certification 
feeds.
    The Exchange proposes to add the following fees and language to the 
Fee Schedule:

 
 
 
Connectivity to Third Party Testing and  $100 monthly recurring charge
 Certification Feeds.                     per feed.
 

    Connectivity to DTCC: The Exchange proposes to specify in the Fee 
Schedule services that IDS provides to connect NCL Customers to 
Depository Trust & Clearing Corporation (``DTCC'') for clearing, fund 
transfer, insurance, and settlement services.
    In order to connect to DTCC, an NCL Customer enters into a contract 
with DTCC, pursuant to which DTCC charges the NCL Customer for the 
services provided. IDS receives the DTCC feed over its fiber optic 
network and, after DTCC and the NCL Customer entered into the services 
contract and IDS received authorization from DTCC, IDS provides 
connectivity to DTCC to the NCL Customer over the NCL Customer's IDS 
Network port. IDS charges the NCL Customer for the connectivity to 
DTCC.
    Connectivity to DTCC does not provide access or order entry to the 
Exchange's execution system, and an NCL Customer's connection to DTCC 
is not through the Exchange's execution system.
    Connectivity to DTCC is subject to any technical provisioning 
requirements, authorization, and licensing from DTCC. Fees for such 
feeds are charged by DTCC. IDS is not the exclusive provider to connect 
to DTCC feeds.
    The Exchange proposes to add the following fees and language to the 
Fee Schedule:

                          Connectivity to DTCC
------------------------------------------------------------------------
              Description                        Amount of charge
------------------------------------------------------------------------
5 Mb connection to DTCC................  $500 monthly recurring charge.
50 Mb connection to DTCC...............  $2,500 monthly recurring
                                          charge.
------------------------------------------------------------------------

3. NCL NMS Network Ports
    The Exchange proposes to amend the Fee Schedule to add services 
that IDS currently offers enabling NCL Customers to connect to the NMS 
Network in the Mahwah Data Center.
    The Exchange proposes to add the following fees and language to the 
Fee Schedule:

                         NCL NMS Network Ports *
------------------------------------------------------------------------
       Type of service             Description        Amount of charge
------------------------------------------------------------------------
NCL NMS Network Access--10    10 Gb NCL NMS         $10,000 initial
 Gb.                           Network port.         charge plus $11,000
                                                     monthly charge.
NCL NMS Network Access--40    40 Gb NCL NMS         $10,000 initial
 Gb.                           Network port.         charge plus $18,000
                                                     monthly charge.
------------------------------------------------------------------------
* See Note 4.

    The Exchange also proposes to add Note 4 to the section of the Fee 
Schedule titled ``D. Non-Colocation (``NCL'') Services,'' to establish 
that, when an NCL Customer purchases an NMS Network port, it has the 
option of receiving the NMS feeds over the NMS Network.
    Proposed Note 4 would be titled ``Note 4: NMS Network'' and would 
provide:

    When an NCL Customer purchases access to the NMS Network, upon 
its request, it will receive connectivity to any of the NMS feeds 
that it selects, subject to any necessary technical provisioning 
requirements, authorization, and licensing from the provider of such 
NMS feed. Fees for the NMS feeds are charged by the provider of such 
NMS feed. The NMS feeds are as follows:

NMS feeds
    CTS
    CQS
    OPRA
4. NCL Cross Connect
    The Exchange proposes to amend the Fee Schedule to specify fiber 
cross connect services that IDS offers NCL Customers for an initial and 
monthly charge.\10\ A cross connect is used to connect a circuit to a 
port. NCL Customers use such cross connects to connect from the IDS 
Network or NMS Network to a circuit connecting outside the Mahwah Data 
Center. The Exchange

[[Page 12740]]

proposes that the fees for this service would be identical to the fees 
for the corresponding service in colocation.
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    \10\ Because NCL Customers do not co-locate any equipment in the 
Mahwah Data Center, they generally require fewer fiber cross 
connects than colocation Users. Accordingly, the Exchange does not 
propose amending the Fee Schedule to include bundles of 6, 12, 18, 
or 24 cross connects as are available to colocation Users.
---------------------------------------------------------------------------

    The Exchange proposes to add the following fees and language to the 
Fee Schedule:

------------------------------------------------------------------------
       Type of service             Description        Amount of charge
------------------------------------------------------------------------
NCL Cross Connect...........  Furnish and install   $500 initial charge
                               one cross-connect.    plus $600 monthly
                                                     charge.
------------------------------------------------------------------------

5. NCL Expedite Fee
    The Exchange proposes to amend the Fee Schedule to specify optional 
services that IDS offers NCL Customers to expedite the completion of 
services purchased or ordered by the NCL Customer, for which IDS 
charges an ``Expedite Fee.'' Similar to the ``Expedite Fee'' applicable 
to Users in colocation,\11\ if an NCL Customer wishes to obtain NCL 
Services earlier than the expected completion date, the NCL Customer 
may pay the Expedite Fee. The time saved would vary depending on the 
type(s) of service(s) ordered, but the Expedite Fee would always be a 
flat $4,000, allowing the NCL Customer to determine if the expected 
time savings warrants payment of the fee.
---------------------------------------------------------------------------

    \11\ See Securities Exchange Act Release No. 67669 (August 15, 
2012), 77 FR 50746 (August 22, 2012) (SR-NYSEArca-2012-62) and No. 
67667 (August 15, 2012), 77 FR 50743 (August 22, 2012) (SR-NYSEArca-
2012-63).
---------------------------------------------------------------------------

    The Exchange proposes to add the following fees and language to the 
Fee Schedule:

------------------------------------------------------------------------
       Type of service             Description        Amount of charge
------------------------------------------------------------------------
NCL Expedite Fee............  Expedited             $4,000 per request.
                               installation/
                               completion of a
                               customer's NCL
                               service.
------------------------------------------------------------------------

6. NCL Change Fee
    The Exchange proposes to amend the Fee Schedule to specify the 
``Change Fee'' that IDS charges an NCL Customer if the NCL Customer 
requests a change to one or more existing NCL Services that IDS has 
already established or completed for the NCL Customer.
    In this regard, the Exchange notes that several of the proposed 
services that would be added to the Fee Schedule include an initial fee 
in addition to an ongoing monthly fee. These initial fees are related 
to IDS's initial cost of establishing or installing a particular 
service for the NCL Customer. Similar to the ``Change Fee'' applicable 
to Users in colocation,\12\ IDS charges a fee of $950 per order if the 
NCL Customer requests a change to one or more existing NCL Services 
that IDS has already established or completed for the NCL Customer. For 
example, the initial installation of an IDS Network connection would 
include establishing and configuring market data services requested by 
the NCL Customer, which would be covered by the initial install fee. 
However, if the NCL Customer requests that IDS establish and configure 
additional market data services for its IDS Network connection, the NCL 
Customer would be charged a one-time Change Fee of $950 for that 
request. If an NCL Customer orders two or more services at one time 
(for example, through submitting an order form requesting multiple 
services), the NCL Customer would be charged a one-time Change Fee of 
$950, which would cover the multiple services.
---------------------------------------------------------------------------

    \12\ See id.
---------------------------------------------------------------------------

    The Exchange proposes to add the following fees and language to the 
Fee Schedule:

------------------------------------------------------------------------
       Type of service             Description        Amount of charge
------------------------------------------------------------------------
NCL Change Fee..............  Change to an NCL      $950 per request.
                               service that has
                               already been
                               installed/completed
                               for a customer.
------------------------------------------------------------------------

Fee Schedule Name
    In addition, the Exchange proposes to change the name of the 
``Wireless Connectivity Fee Schedule'' to ``Connectivity Fee 
Schedule.'' [sic] Because the Fee Schedule will no longer be limited to 
wireless services, the Exchange proposes to change the name of the Fee 
Schedule from ``Wireless Connectivity Fee Schedule'' [sic] to ``Mahwah 
Wireless, Circuits, and Non-Colocation Connectivity Fee Schedule.''
Application and Impact of the Proposed Changes
    There are currently few NCL Customers. Accordingly, the Exchange 
expects that the impact of the proposed change would be minimal.
    The proposed change is not targeted at, or expected to be limited 
in applicability to, a specific segment of market participant. The 
Mahwah Circuits are available for purchase for any potential customer 
requiring a circuit between the Mahwah Data Center and a remote 
location. The NCL Services are available for purchase by any customer. 
The proposed changes do not apply differently to distinct types or 
sizes of customers. Rather, they apply to all customers equally.
    Use of the services proposed in this filing are completely 
voluntary and available to all market participants on a non-
discriminatory basis.
Competitive Environment
    IDS operates in a highly competitive market in which exchanges, 
third party telecommunications providers, Hosting Users,\13\ and other 
third-party vendors offer connectivity services as a means to 
facilitate the trading and other market activities of market 
participants. The Commission has repeatedly expressed its preference 
for competition over regulatory intervention in determining prices, 
products, and services in the securities markets. Specifically, in 
Regulation NMS, the Commission

[[Page 12741]]

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.'' \14\
---------------------------------------------------------------------------

    \13\ ``Hosting'' is a service offered by a User to another 
entity In the User's space within the Mahwah Data Center. The 
Exchange allows Users to act as Hosting Users for a monthly fee. See 
Securities Exchange Act Release No. 76010 (September 29, 2015), 80 
FR 60197 (October 5, 2015) (SR-NYSEArca-2015-82).
    \14\ See Securities Exchange Act Release No. 51808 (June 9, 
2005), 70 FR 37496, 37499 (June 29, 2005) (``Regulation NMS Adopting 
Release'').
---------------------------------------------------------------------------

    The proposed changes are not otherwise intended to address any 
other issues relating to services related to the Mahwah Data Center 
and/or related fees, and the Exchange is not aware of any problems that 
market participants would have in complying with the proposed change.
2. Statutory Basis
    The Exchange believes that the proposed rule change is consistent 
with Section 6(b) of the Act,\15\ in general, and furthers the 
objectives of Section 6(b)(5) of the Act,\16\ in particular, because it 
is 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 
and because it is not designed to permit unfair discrimination between 
customers, issuers, brokers, or dealers. The Exchange further believes 
that the proposed rule change is consistent with Section 6(b)(4) of the 
Act,\17\ because it provides for the equitable allocation of reasonable 
dues, fees, and other charges among its members and issuers and other 
persons using its facilities and does not unfairly discriminate between 
customers, issuers, brokers, or dealers.
---------------------------------------------------------------------------

    \15\ 15 U.S.C. 78f(b).
    \16\ 15 U.S.C. 78f(b)(5).
    \17\ 15 U.S.C. 78f(b)(4).
---------------------------------------------------------------------------

The Proposed Change Is Reasonable
    The Exchange believes that the proposed rule change is reasonable 
and would perfect the mechanisms of a free and open market and a 
national market system and, in general, protect investors and the 
public interest, for the following reasons.
    General: Only the market participants that voluntarily select to 
receive the IDS services described herein are charged for them, and 
those services are available to all market participants. Furthermore, 
the IDS services described in this filing are available to all market 
participants on an equal basis (i.e., the same products and services 
are available to all market participants). All market participants that 
voluntarily select a specific proposed IDS service would be charged the 
same amount for that service as all other market participants 
purchasing that service.
    In addition, the Exchange believes that the proposed rule change is 
reasonable because the IDS services described herein are offered as a 
convenience to market participants, but offering them requires the 
provision, maintenance, and operation of the Mahwah Data Center, 
including the installation, monitoring, support, and maintenance of the 
services.
    Mahwah Circuits: The Exchange believes the fees proposed herein for 
IDS's Mahwah Circuits are reasonable. The market for circuits into and 
out of the Mahwah Data Center is competitive, and the proposed IDS 
offerings are merely one of several options from which market 
participants can choose. Each of the third-party telecommunications 
providers that has a presence in the Mahwah Data Center's ``Meet Me 
Rooms'' offers similar circuits to market participants, in competition 
with the IDS offerings proposed here. Each market participant 
considering whether to purchase a circuit directly can weigh that 
option against similar circuits offered by those third-party carriers, 
and can choose which circuit to purchase based on which combination of 
latency, bandwidth, price, and other factors best meets its business 
needs. Indeed, the Exchange understands that most of the third-party 
telecommunications providers that provide circuits do so at fees lower 
than those proposed herein, and that most NCL Customers and colocation 
Users use such third party telecommunication circuits into and out of 
the Mahwah Data Center.
    IDS Network Ports: The Exchange believes that the IDS Network ports 
proposed herein are reasonable. The market for connecting with the 
Exchange's trading and execution systems is competitive, and the 
proposed IDS Network ports that IDS provides are merely one of several 
options that market participants may choose. As alternatives to the IDS 
Network ports, a market participant would be able to access or connect 
to Exchange Systems, Third Party Systems, Included Data Products, Third 
Party Data Feeds, third party testing and certification feeds, and DTCC 
through (a) a connection to an IDS access center outside of the Mahwah 
Data Center, (b) a third-party access center, (c) a third-party vendor, 
(d) a Hosting User, or (e) colocation.
    Market participants consider various factors in determining which 
connectivity options to choose, including latency; bandwidth size; 
amount of network uptime; the equipment that the network uses; the cost 
of the connection; and the applicable contractual provisions. IDS's 
offering of connectivity services via IDS Network ports gives market 
participants another service to evaluate and consider, thereby 
broadening their options for connectivity to the Exchange Systems and 
allowing them to tailor their connectivity options to their specific 
needs.
    The Exchange further believes that the proposed fees for IDS 
Network ports for NCL Customers are reasonable because such prices are 
constrained by competition with the numerous other providers that offer 
connectivity to the Exchange Systems. If IDS were to attempt to offer 
such ports at a supra-competitive price, potential customers would 
likely respond by seeking out less expensive substitutes from other 
providers.
    NCL NMS Network Ports: The Exchange believes that the proposed fees 
for NMS Network ports for NCL Customers are reasonable to recoup the 
costs of building the NMS Network. Until 2019, SIAC was required to 
provide connectivity to the NMS feeds only via the IP network. Although 
the operating committees for the CTA/CQ Plans authorized SIAC to offer 
connectivity to the NMS feeds in the Mahwah Data Center via an 
alternate, dedicated, low-latency NMS Network, the operating committee 
did not assume the costs of creating such a network; instead, the 
Exchange and the Affiliate SROs funded the capital and operational 
expenses to build and operate the NMS Network. The implementation costs 
of approximately $3.8 million are applicable only to the NMS Network, 
which is used for the sole purpose of providing access to the NMS 
feeds. None of the implementation costs are applicable to any other 
Exchange services. As of the date of this filing, only one customer has 
contracted with IDS for an NCL NMS Network port, and the Exchange 
expects that demand for NMS Network ports outside of colocation will be 
very low. The service is nevertheless available, and so the Exchange 
proposes to add it to the Fee Schedule.
    NCL Notes: With respect to proposed NCL Notes 1, 2, 3, and 4, the 
Exchange believes they are reasonable because they provide detailed 
descriptions of the access and connectivity that NCL

[[Page 12742]]

Customers receive when they purchase IDS Network or NMS Network ports. 
Such detailed descriptions remove impediments to, and perfect the 
mechanisms of, a free and open market and a national market system and, 
in general, protect investors and the public interest because they 
provide market participants with transparency and clarity as to what 
connectivity is included in the purchase of IDS Network or NMS Network 
ports by NCL Customers.\18\ The notes would also make clear that all 
NCL Customers that voluntarily select to access the IDS Network or NMS 
Network receive the same access and connectivity, and are not subject 
to a charge above and beyond the fee paid for the relevant IDS Network 
or NMS Network ports. The notes further make clear that NCL Customers 
are not required to use any of their bandwidth to access Exchange 
systems or connect to an Included Data Product unless they wish to do 
so; rather, an NCL Customer only receives the access and connectivity 
that it selects, and can change what access or connectivity it receives 
at any time, subject to authorization from the data provider or the 
relevant Exchange or Affiliate SRO.\19\ Notes 1, 2, 3, and 4 are all 
based on similar provisions in the Exchange's Price List for 
colocation.
---------------------------------------------------------------------------

    \18\ See Securities Exchange Act Release Nos. 79730 (January 4, 
2017), 82 FR 3045 (January 10, 2017) (SR-NYSE-2016-92); 79728 
(January 4, 2017), 82 FR 3035 (January 10, 2017) (SR-NYSEMKT-2016-
126); 79729 (January 4, 2017), 82 FR 3061 (January 10, 2017) (SR-
NYSEArca-2016-172).
    \19\ The General Note on page 1 of the Fee Schedule would also 
apply to all of the services proposed herein. A market participant 
that incurs fees for NCL connectivity or other NCL Services from the 
Exchange or one of the Affiliate SROs would not be subject to fees 
for the same service charged by the other Affiliate SROs.
---------------------------------------------------------------------------

    Other NCL Services: The Exchange believes it is reasonable to 
specify in the Fee Schedule NCL Services that IDS offers including NCL 
cross connects, the NCL Expedite Fee, the NCL Change Fee, and NCL 
connectivity to Third Party Systems, Third Party Data Feeds, third-
party testing and certification feeds, and DTCC.
    The Exchange believes that the specific fees it has proposed for 
NCL cross connects, the NCL Expedite Fee, and the NCL Change Fee are 
reasonable. As noted above, IDS faces competition in the market for 
connectivity from Hosting Users, IDS access centers outside of the 
Mahwah Data Center, third-party access centers, and third-party 
vendors. Market participants can consider IDS's proposed fees for the 
specific services listed above in the context of this competition, and 
choose the connectivity provider that offers the services the market 
participant needs at the optimal cost. As such, the proposed fees for 
these IDS services are constrained by competition.
    The Exchange believes that charging distinct fees for different NCL 
Services is reasonable because not all market participants need or wish 
to utilize the same NCL Services. The proposed choice of services 
allows market participants to select which NCL Services to use, based 
on their business needs, and market participants are only charged for 
the services that they select. By charging only those market 
participants that utilize an NCL Service the related fee, those market 
participants that directly benefit from a service support its cost.
    In addition, the Exchange believes that the proposed fees are 
reasonable because they allow the costs associated with offering 
different NCL Services to be defrayed or covered while providing market 
participants the benefit of such services. The Exchange believes that 
the proposed charges are reasonable because IDS offers NCL Services as 
conveniences to market participants, but in order to do so must 
provide, maintain, and operate the Mahwah Data Center facility hardware 
and technology infrastructure. IDS needs to provide network 
infrastructure that keeps pace with the number of services available to 
NCL Customers, including any increasing demand for bandwidth, and 
handle the installation, administration, monitoring, support, and 
maintenance of such services, including by responding to any production 
issues. In addition, in order to provide connectivity to Third Party 
Data Feeds, Third Party Systems, third party testing and certification 
feeds, and DTCC, IDS must establish and maintain multiple connections 
to each Third Party Data Feed, Third Party System, and DTCC, allowing 
IDS to provide resilient and redundant connections, adapt to any 
changes made by the relevant third party, and cover any applicable fees 
(other than redistribution fees) charged by the relevant third party, 
such as port fees.
    The Exchange believes it is reasonable for redistribution fees 
charged by providers of Third Party Data Feeds to be passed through to 
NCL Customers, without change to the fee. If not passed through, the 
cost of the redistribution fees would be factored into the proposed 
fees for connectivity to Third Party Data Feeds. The Exchange believes 
that passing through the fees makes them more transparent to the NCL 
Customer, allowing the NCL Customer to better assess the cost of the 
connectivity to a Third Party Data Feed by seeing the individual 
components of the cost, i.e., IDS's fee and redistribution fee.
    The Exchange believes that it is reasonable to not charge third-
party markets or content providers for connectivity to their own Third 
Party Data Feeds, as the Exchange understands that such parties 
generally receive their own feeds for purposes of diagnostics and 
testing. The Exchange believes that facilitating such diagnostics and 
testing removes impediments to, and perfects the mechanisms of, a free 
and open market and a national market system and, in general, protects 
investors and the public interest.
    Finally, the Exchange believes it is reasonable to make available 
third party testing and certification feeds to enable customers to test 
and certify their connections to third party data feeds.
The Proposed Change Is Equitable
    The Exchange believes that its proposal equitably allocates its 
fees among market participants.
    The Exchange believes that the proposed change is equitable because 
it would not apply differently to distinct types or sizes of market 
participants. Rather, it would apply to all NCL Customers equally.
    In addition, the Exchange believes that the proposal is equitable 
because only the market participants that voluntarily select to receive 
the services described herein would be charged for them. The services 
described in this filing are available to all market participants on an 
equal basis (i.e., the same products and services are available to all 
market participants), and all market participants that voluntarily 
select a specific proposed service are charged the same amount for that 
service as all other market participants purchasing that service.
    IDS faces competition from numerous other providers that offer 
market participants choices for connectivity to the Mahwah Data Center, 
Exchange Systems, Third Party Systems, Included Data Products, Third 
Party Data Feeds, third party testing and certification feeds, and 
DTCC. Without this proposed rule change, market participants seeking 
such connectivity would have fewer options. With this proposal, market 
participants would have more choices with respect to the form and price 
of the services they use, allowing market participants to select the 
services and connectivity options that better suit their needs, thereby 
helping them tailor their connectivity operations to the requirements 
of their businesses.

[[Page 12743]]

    The Exchange believes that the proposed NCL Notes 1 and 4 are 
equitable because they specify that NCL Customers that voluntarily 
select to access the IDS Network or NMS Network would not be subject to 
charges above and beyond the fee paid for the relevant IDS Network or 
NMS Network port. Further, Notes 1, 2, 3, and 4 specify that NCL 
Customers will not be charged for any access or connectivity that they 
had not selected.
The Proposed Change Is Not Unfairly Discriminatory
    The Exchange believes its proposal is not unfairly discriminatory. 
The proposed change does not apply differently to distinct types or 
sizes of market participants. Rather, it applies to all market 
participants equally. The purchase of any proposed service is 
completely voluntarily and the Fee Schedule will be applied uniformly 
to all market participants.
    IDS faces competition from numerous other providers that offer 
market participants choices for connectivity to the Mahwah Data Center, 
Exchange Systems, Third Party Systems, Included Data Products, Third 
Party Data Feeds, third party testing and certification feeds, and 
DTCC. Without this proposed rule change, market participants seeking 
such connectivity would have fewer options. With this proposal, market 
participants would have more choices with respect to the form and price 
of the services they use, allowing market participants to select the 
services and connectivity options that better suit their needs, thereby 
helping them tailor their connectivity operations to the requirements 
of their businesses.
    The Exchange believes that the proposed NCL Notes 1 and 4 are not 
be unfairly discriminatory because they specify that NCL Customers that 
voluntarily select to access the IDS Network or NMS Network are not be 
subject to charges above and beyond the fee paid for the relevant IDS 
Network or NMS Network port. Further, Notes 1, 2, 3, and 4 specify that 
NCL Customers will not be charged for any access or connectivity that 
they had not selected.\20\
---------------------------------------------------------------------------

    \20\ In addition, the General Note on page 1 of the Fee Schedule 
would apply to all of the services proposed herein. See supra note 
19.
---------------------------------------------------------------------------

    For these reasons, the Exchange believes that the proposal is 
consistent with the Act.

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

    The proposed change does not affect competition among national 
securities exchanges or among members of the Exchange, but rather 
between IDS and its commercial competitors.
    As noted above, the Exchange is making the current proposal solely 
as a result of the Commission's recent interpretation of the 
definitions of ``exchange'' and ``facility'' in the Wireless Approval 
Order, which the Exchange is presently challenging on appeal to the 
Court of Appeals for the District of Columbia Circuit.\21\ The Exchange 
has nevertheless proposed this rule change in order to preserve the 
ability of IDS to offer the services at issue herein. If IDS were 
compelled to stop offering such services, consumers would have fewer 
service providers to choose from for their connectivity needs, which 
would be a detriment to competition overall.
---------------------------------------------------------------------------

    \21\ Intercontinental Exchange, Inc. v. SEC, No. 20-1470 (D.C. 
Cir. 2020).
---------------------------------------------------------------------------

    Notwithstanding the foregoing, the Exchange notes that there are 
numerous other third parties that provide circuits and connectivity at 
the Mahwah Data Center, and that IDS competes with those third parties 
for the provision of such services to customers. None of these third 
parties have been compelled to file their services or fees with the 
Commission, and requiring IDS to do so puts IDS at a competitive 
disadvantage vis-[agrave]-vis its competitors. Requiring the Exchange 
to file IDS services and fees herein is therefore a burden on 
competition.
    The Exchange believes competition would be best served by allowing 
IDS to freely compete with the other providers of connectivity 
services, without the additional burden on IDS alone to file any 
proposed changes to services and fees with the Commission.

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

    No written comments were solicited or received with respect to the 
proposed rule change.

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

    Within 45 days of the date of publication of this notice in the 
Federal Register, or such longer period up to 90 days (i) as the 
Commission may designate if it finds such longer period to be 
appropriate and publishes its reasons for so finding or (ii) as to 
which the self-regulatory organization consents, the Commission will:
    (A) By order approve or disapprove the proposed rule change, or
    (B) institute proceedings to determine whether the proposed rule 
change should be disapproved.

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-NYSEArca-2021-13 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-NYSEArca-2021-13. 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-NYSEArca-2021-13, and should be 
submitted on or before March 25, 2021.


[[Page 12744]]


    For the Commission, by the Division of Trading and Markets, 
pursuant to delegated authority.\22\
---------------------------------------------------------------------------

    \22\ 17 CFR 200.30-3(a)(12).
---------------------------------------------------------------------------

J. Matthew DeLesDernier,
Assistant Secretary.
[FR Doc. 2021-04423 Filed 3-3-21; 8:45 am]
BILLING CODE 8011-01-P


