Brexit Impact on Sell Side Firms in the UK

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Brexit Impact on Sell Side Firms in the UK Abstract The UK s decision to leave the European Union (EU) has far-reaching impact on the nancial services sector in both the EU and the UK. The impact of Brexit will be felt across the industry spanning rms offering services in retail banking, lending, insurance, capital markets and so on. This paper covers the possible Brexit scenarios, and speci cally focuses on the impact of a hard Brexit scenario on sell side rms.

What Brexit Means for UK s Financial Services Industry The UK government triggered Article 50 to initiate formal withdrawal of the UK from the European Union (EU) following UK s vote to leave the EU in a referendum. The EU and the UK have concluded the rst stage of negotiations covering the exit principles. The EU and the UK have concluded the second stage of negotiations with a draft withdrawal agreement that clearly states that the transition period will end on December 31, 2020, thereby avoiding a cliff-edge situation. The next stage of negotiations will cover the future relationship between the EU and the UK. Brexit, as the event is popularly known, will have signi cant impact on the capital market participants including sell side rms, buy side rms, and market infrastructure rms operating in both the EU and the UK. Given the uncertainty on the outcome of the negotiations and the future relationship between the EU and the UK, rms are evaluating possible Brexit scenarios and putting in place contingency plans to prepare for the worst. Many rms based in the UK use passporting rights to offer services to EU-based clients and counter parties. Similarly, EU-based rms use passporting rights to offer services in the UK. Let us examine the three possible Brexit scenarios. Scenario 1: EEA membership (Soft Brexit) The UK becomes member of the European Economic Area (EEA), which enables the UK to retain EU passporting rights and single market access. This scenario is unlikely as the Government of UK has stated that it will not seek EEA 1 membership. Scenario 2: Third country with equivalence Equivalence will enable UK-based investment banks to continue to offer cross-border services to EU institutional clients and eligible counterparties. The European Commission (EC) grants equivalence after ensuring that the UK has an equivalent regulatory regime. The UK grants similar equivalence to the EU on a reciprocal basis. However, since equivalence determination is a discretionary exercise, it will most likely be time-consuming and subject to withdrawal at short notice, which makes this scenario a relatively risky proposition.

Scenario 3: Third country without equivalence (Hard Brexit) The UK becomes a third country and no equivalence is granted. UK rms lose passporting rights and single market access, necessitating business model changes. This scenario will require UK rms to establish subsidiaries in the EU and obtain authorization to provide services to EU clients. Alternatively, they may choose to restructure their business model and cease services to EU clients. How a Hard Brexit will Impact the Region s Sell Side rms The objective of sell side rms is to continue to service their existing clients in compliance with appropriate regulations and with as little disruption as possible post Brexit. Banks are putting in place contingency plans based on the assumption that Scenario 3 (Hard Brexit) will apply. Legal entity restructuring and relocation of the business to the EU will result in increased liquidity requirements and regulatory complexity, besides necessitating technology and infrastructure changes to accommodate operating model changes leading to higher costs. The impact of Brexit on cross-border services varies across banks, and depends on individual banks legal entity structure, geographic footprint, and the services offered to the clients. UK-based banks can be categorized into three based on their current legal entity structure and operating model. The impact would be pretty much similar for EU-based banks providing services to UK clients. UK-based banks with no branches in the EU UK-based banks that do not have a branch in the EU, but offer cross-border services to clients using passporting rights must evaluate the nature of the cross-border services offered, and the nancial viability of continuing the practice. Banks with sustainable business models will have to set up a subsidiary in the EU and obtain authorization to continue to provide crossborder services. UK-based banks having branches in the EU UK-based banks that have branches in the EU, and offer crossborder services to clients using passporting rights must de ne a target operating model with clear delineation of target

markets between the UK and EU based entities. In this case, banks have two options: n n Set up a new subsidiary in EU and obtain authorization to get passporting rights. Obtain the authorization for the branches in the EU, and take other remedial steps for the loss of passporting rights. UK-based banks with EU subsidiaries UK-based banks with subsidiaries in the EU can leverage the passporting rights of their EU subsidiary to continue to offer cross-border services. These banks have to relocate the clientfacing functions to the EU and may also have to transfer assets, business, and people from the UK to the EU subsidiary incurring signi cant cost. Moreover, these banks will be required to de ne target operating model with clear delineation of target markets between the UK and the EU based entities. What Must Banks Do to Deal with the Impact Banks would do well to plan well in advance for potential Brexit outcomes. Waiting until the two-year Article 50 process gets completed could adversely impact business. Let us look at some of the operational changes that a Hard Brexit scenario will entail. Accessing market infrastructure in EU markets Currently, most global investment banks access market infrastructure in the UK and the EU through a single UK-based entity with passporting rights. Post Brexit, banks will access the market infrastructure in EU markets through a newly established subsidiary or an existing subsidiary in the EU. The existing UK-based entity will continue to access market infrastructure in the UK and other non-eu countries. The new entity will need to obtain membership at trading venues in EU markets, make suitable arrangements to participate in clearing houses across the EU, and open custody and cash accounts with suitable entities as applicable. In addition, banks internal systems, associated reference data setups, and business processes must be appropriately modi ed. Banks will also need to migrate customer accounts, reference data, and contracts from the old entity to the new entity and realign security positions at the CSD or settlement agent.

Changes in market infrastructure rms and impact on investment banks Legal entity restructuring and relocation of the business to the EU will signi cantly impact the operating model and necessitate technology and infrastructure changes leading to higher costs for banks. Brexit will impact the market infrastructure rms that operate in the UK and provide services for Euro denominated products. These rms may have to relocate to the EU or set up subsidiaries in the EU to continue to provide services; banks will have to enter into membership agreements with the relocated entities or subsidiaries. Post Brexit, EU regulators are looking at moving the clearing of Euro derivatives to the EU, which will require UK-based market infrastructure rms to make changes. The impact on IT IT applications supporting compliance and those interfacing with market infrastructure rms will be signi cantly impacted. Even if IT applications are con gurable with minimal entity hardcoding, several functions of investment banks will be impacted by a Hard Brexit scenario (see Figure 1), necessitating considerable changes to IT systems and processes. However, the impact of Brexit will be much more where applications have a greater degree of entity hardcoding and a lower degree of exibility and con gurability. High-level changes to IT systems include inserting new entity code or name across applications, connectivity with new entities of market infrastructure rms, changes in the applications that interface with market infrastructure rms, and risk management model de nition and EU regulatory compliance requirements for the new entity. End-to-end Figure 1: Hard Brexit Impact on the Various Functions of Sell Side Firms

testing, and migration of clients obligations, reference data, and banks positions from the old to the new entity will also have to be done. Looking Ahead Although the outcome of Brexit negotiations remains unpredictable, banks are preparing for a Hard Brexit scenario to ensure business continuity post Brexit. With the submission of contingency plans to regulatory agencies, focus has shifted to execution. But the plans will require tweaking to align with the outcomes of the Brexit negotiations. Post Brexit, the emergence of alternative financial hubs could fragment the investment banking business. This would result in increased costs and operational inefficiencies necessitating further modifications to banks post Brexit strategies. References 1 Statement on a New Partnership with the EU, Oral Statement to UK Parliament, Jan 2017. https://www.gov.uk/government/speeches/statement-on-a-new-partnership-with-the-eu

About The Author Kiran Kumar Komma Kiran Kumar Komma is a Domain Consultant with the Clearing and Settlements group of TCS Banking and Financial Services (BFS) business unit. He has over 19 years of experience in the capital markets space, and has worked with leading Wall Street firms and depositories. Komma has been involved in consulting engagements and strategic transformation programs for TCS s banking clients the world over. He holds a Master s degree in Metallurgical Engineering from the Indian Institute of Technology, Kharagpur, India. Contact Visit the Banking & Financial Services page on Email: bfs.marketing@tcs.com Blog: Drive Governance www.tcs.com Subscribe to TCS White Papers TCS.com RSS: http://www.tcs.com/rss_feeds/pages/feed.aspx?f=w Feedburner: http://feeds2.feedburner.com/tcswhitepapers About Tata Consultancy Services Ltd (TCS) Tata Consultancy Services is an IT services, consulting and business solutions organization that delivers real results to global business, ensuring a level of certainty no other firm can match. TCS offers a consulting-led, integrated portfolio of IT and IT-enabled, infrastructure, engineering and assurance services. This is TM delivered through its unique Global Network Delivery Model, recognized as the benchmark of excellence in software development. A part of the Tata Group, India s largest industrial conglomerate, TCS has a global footprint and is listed on the National Stock Exchange and Bombay Stock Exchange in India. For more information, visit us at www.tcs.com All content / information present here is the exclusive property of Tata Consultancy Services Limited (TCS). The content / information contained here is correct at the time of publishing. No material from here may be copied, modified, reproduced, republished, uploaded, transmitted, posted or distributed in any form without prior written permission from TCS. Unauthorized use of the content / information appearing here may violate copyright, trademark and other applicable laws, and could result in criminal or civil penalties. Copyright 2018 Tata Consultancy Services Limited TCS Design Services I M I 02 I 18