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This study, presented to the Board of Trustees of LACERS, delves into the emerging brokerage landscape in the United States. It aims to provide insights, support informed policy decisions, and create opportunities for firms in the market. The basis for this study is the role of commissions as trust assets and the fiduciary responsibility involved. Detailed profiles of emerging brokerage firms are outlined, emphasizing the concept of best execution and the methodologies for its measurement. By acknowledging and monitoring transaction costs, firms can enhance performance and establish best execution standards. The study also highlights the perspectives of investment managers, criteria for brokerage selection, and the search for emerging brokerage firms led by seasoned professionals. Through extensive research and in-depth reviews, this study sheds light on the evolving brokerage industry and the potential opportunities it offers.
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Emerging Brokerage Firms in the United States Presented to The Board of Trustees Los Angeles City Employees Retirement System October 6, 2005 Investment Management Consultants Architects of Financial Prosperity
About the Study: • Objectives • Gain sound understanding of emerging brokerage landscape • Identify emerging brokerage firms • Support the LACERS Board in • determining constructive and informed policy decisions • Moving ahead to provide access and opportunity to firms in the marketplace • Basis for the Study • Commissions as Trust Assets • There is ‘alpha’ at the point of trade • Backdrop • Fiduciary responsibility • The Concept of Best Execution • Content • In-depth review and analysis of the current landscape • Quality database • Detailed profiles of each firm • Review of other emerging brokerage programs
The Concept of Best Execution • Brokerage commissions are an asset of the Fund • Trustees can direct managers to employ certain brokerage firms as long as trustees honor fiduciary responsibility and managers obtain best execution. • Best execution: • SEC: “a duty to seek the most favorable execution terms reasonably available given the specific circumstances.” • AIMR: “the trading process firms apply that seeks to maximize the value of a client’s portfolio within the client’s stated investment objectives and constraints.” • Why put a name to the concept? • SEC: to ensure that brokers and managers trade in the client’s “best interest”. • Trading costs are not limited to commissions on trades. • Effective trading = cost containment plus value-added.
Best Execution • Components • Explicit • Commissions: price change associated with executing a trade: • Cents per share - Mark up/Mark down • Basis points on total value • Implicit • Market Impact or Liquidity Charge: caused by a trade entering the marketplace • Timing: price change due to information leakage or momentum • Opportunity Cost: cost of incomplete orders • Examples of Methodologies for Measurement • Volume weighted Average Price (VWAP) • Implementation Shortfall • Who measures? • Plexus - Quantitative Service Group • ITG - Others
Best Execution • Why measure? • Can affect performance • Can impair ability to generate “alpha” • Can be one of the largest erosions in investment value and a barrier to superior performance • A Pro-active Stance… • Acknowledges and establishes best execution standards • Monitors transaction costs of both managers and brokerage firms.
The Investment Manager’s Perspective • Stated Methods for Brokerage Selection • Traders and portfolio managers decide • Trading Oversight Committee • “Tiers” system • Tier I: Bulge bracket firms - Tier III: Client Mandated • Tier II: New firms, niche players • Separate category for sources of “street” research • Getting on the “Approved” List: Some Stated Criteria • Quality & quantity of proprietary research • Ability to execute different types of trades, like directed or programmed. • Legal & compliance profile 4. Financial Strength • Financial strength 5. Credit Risk 6. Regulatory violations
In Search of Emerging Brokerage Firms • Definition: • “Emerging Brokerage Firm” is typically used to refer to relatively “new” companies with a newly developing revenue model. • A firm is usually considered “emerging” based on its years of experience and its volume of business. • Such firms are usually established by seasoned professionals with an interest in developing certain working teams and strategies, and with a knack for or interest in executing specific trading strategies. • These firms seek to compete on equal terms with larger, traditional brokerage firms. • The term “emerging” is also used in reference to firms whose owners are women, ethnic minorities and/or the physically challenged. • Definition employees: • 51% ownership African American, Hispanic, Asian, Woman and/or Disabled Veterans • Members of the National Association of Securities Dealers
Preparing the list: • Conversations with LACERS • Conversations with LACERS investment managers (10) • Firms known to Consultiva • National Association of Securities Professionals • New America Alliance • Reaching out • In-depth, comprehensive RFI based on • Brokerage criteria and trading qualifications provided by managers • Existing programs across the US • Covers: 1. Organization and Firm Overview 6. General Trading Capabilities 2. Legal & compliance Issues 7. Equity Brokerage 3. Company Personnel 8. Fixed Income Brokerage 4. Research Capabilities 9. Emerging Brokerage Experience 5. Sales • 57 firms contacted, 31 responded. • Subsequent tele-conferences with each. • Profiles developed for each.
The Universe • A Seasoned Group: • At least 21 (72%) firms are more than 10 years old. • All founders with over 15 years experience. • Most have over 20 years experience
52% African American • 24% Hispanic • 10% Asian • 7% Disabled Veteran • 7% Woman-owned • Caucasian The Universe
Stated Trading Capabilities • Most have average trading experience of over 15 years. • All have electronic trading capability. • Nearly 40% provide either equity or fixed income liquidity. • Nearly 30% have proprietary trading desks, either equity or fixed income. • 75% have Transition Management capability, either through an alliance, or through their correspondent. • 13 firms execute trades for soft-dollar credit. • Commission rates are $0.01-$0.06.
Existing Emerging and Minority Brokerage Initiatives • Gathered information on 46 initiatives across 16 states • A three level progression Programs • List of “Approved Broker/Dealers” 34 • Goals or percentages of allocations of business 1 • Predefined goals, milestones, accountability and monitoring 11 • States with most comprehensive programs: Illinois and Ohio
Findings • Policies without goals, tracking or monitoring are tantamount to no policy at all. • Active communication between plan sponsors, broker/dealers and managers is essential. • Strategies should be developed to address the use of small firms versus larger ones. • Approved brokerage lists rest on will of managers. • “Caps” are counterproductive.
Recommendations • Create a formal Emerging Brokerage Program with a clear Statement of Purpose • “Support the development of new and innovative initiatives in securities brokerage that will enlarge the landscape of providers, while providing increased opportunities for new firms.” • “Support and promote competition among brokerage firms” • A clear description of Eligibility Criteria • the qualifications, registrations and certifications • Specific Implementation Suggestions: Some Best Practices • Develop and staff¹ a tracking or trade monitoring system; • Establish standards for scoring or grading, gradually awarding more business to best performing firms; • Standards for volume of trades by asset class, to be executed by the firms included in the program ; ¹ “Staff” refers to internal or external human resources
Statement and Process of Intent to Implement • Staffed mechanism to track: • Investment managers ongoing reporting on • volume of business executed with each emerging firm • verification of the manager’s attempts to trade • Actions and guidelines for investment managers who do not meet policy goals or failure to adequately document reporting requirements. • Incorporate emerging brokerage policy and guidelines into the investment manager mandates • Support with Governance • Staff the initiative! Assign accountability for success. • Sponsor communication forums between brokers and managers • Engage managers in developing fair trading structures for allocations, while mindful of managers regulatory circumstances
Protect the Integrity of your Intent • Ensure best execution capabilities: Conduct a study on trading costs and best execution • Implicit trading costs contribute more than commissions • Market Impact • Timing • Opportunity costs • Next Steps • Review best practices for LACERS program options • Develop program recommendations for Board consideration. • Conduct a study on trading practices and best execution. • Follow up with firms to set up formal communication and introduction with LACERS Managers.
Conclusions • A more level playing field today: technological advances • Today, best execution is indifferent to firm size and ownership structure • LACERS Database of Emerging Brokers encompasses firms with sound institutional capabilities to service the needs of investment managers. • Challenges for the emerging firms: • Concentrated skill: domestic equity • Concentrated source of flow: Directed Brokerage • Access to the business: Not being acknowledged by managers
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