The role of market makers in the U.S. options market is generally well known and understood. What’s less well known is that in exchange for shouldering heavier quoting burdens, some market makers receive special privileges.
Directed market makers (DMMs), like specialists, take on special liquidity obligations. For instance, they must provide two-sided quotes at least 90% of the time in classes for which they’ve been appointed DMMs. And like specialists, they receive benefits for doing so. But, also like specialists, DMMs contribute to a system that perpetuates lack of competition and encourages internalization of retail options orders. In this brief paper, we aim to shine a light on their role.
Key to understanding the role of DMMs is an appreciation of the wider U.S. options market structure. As we’ve outlined in
In exchange for heightened quoting obligations, DMMs receive at least 40% of orders (or 60% if only one other market maker joins the bid/offer) in a name for which they are quoting and present at the national best bid offer (NBBO). Wholesalers thus have the ability to route orders to exchanges where they are DMMs and in turn receive larger allocations of those orders.
An added benefit that DMMs enjoy is discretion over the disbursement of fees generated by
We believe in principle that there is a role for market participants who provide heightened liquidity in exchange for additional benefits. But the DMM model is yet another mechanism of the U.S. options market that encourages internalization and discourages attempts at price improvement. In light of this, market participants should strongly consider whether the DMM model still makes sense.
