MiFID Trade Reporting Specification
FPL is creating a recommended MiFID Trade Reporting Specification for the industry to follow. This working group will serve the development of that specification.
|What is MiFID? |
What is MiFID.htm • 18KB •
A high-level description and background on MiFID.
|Benefits of FIX for MiFID |
Benefits of FIX for MiFID.htm • 20KB •
Description of why and how FIX can help with the regulations that are in place with MiFID.
|Changes to FIX for MiFID - Summary |
Summary of Changes to FIX for MiFID.htm • 147KB •
High-level mapping of changes to FIX for MiFID.
|Detailed Changes to FIX for MiFID |
MiFID_FPL_Gap2.0.pdf • 287KB •
A link to the gap analysis - Changes to FIX for MiFID.
|Regulations and Directives |
Regulations and Directives.htm • 27KB •
Information and references to the regulations and directives released by the EU.
|Links to Resources |
Links to Resources.htm • 19KB •
Provides links to various MiFID resources.
|MiFID - FIX Discussion Forum |
This forum is to be utilized for any questions related to FIX for MiFID. To start a new thread, click the Subscribe button at the top and then click ‘Start a New Thread.
|MiFID Presentation conducted at FOW London, June 2006 |
MiFID.ppt • 118KB •
This is a presentation that was presented by Kevin Houstoun, Simon Leighton-Porter and Anthony Kirby focused on why FIX is the solution to MiFID.
|MiFID Presentation conducted at the FPL EMEA Quarterly Meeting, March 2007 |
FIX for MiFID.pdf • 55KB •
This is a presentation that was presented by Simon Leighton-Porter, Director, Rapid Addition, Co-Chair of the Standard Protocols Subject Group within the MiFID Joint Working Group on March 6th 2007. The presentation focuses on explaining the business rational for FIX as a solution to MiFID.
|MiFID Regulatory Guide |
MiFID Regulatory Guide 20070301.doc • 193KB •
A document which consolidates all the information from this MiFID section.
|Response from FPL to CESR |
FPL agrees that messages should have a continuity of structure, but any recommendation that CESR may make should ensure that it does not restrict or forbid the use of modern approaches to messaging and information transfer. This is the full response from FPL to CESR - a publication and consolidation of MiFID Market Transparency.