T+1 is going to touch every point in the trade lifecycle and will require asset management operations teams, both within fund management firms and their service providers, to be at a high state of readiness ahead of these changes.

A move to T+1 is in many ways a bigger operational challenge than, say, T+2, because it removes the only business day between trading and settlement. For non-US fund managers who are trading US securities outside US trading hours, these new deadlines will present a challenge.

According to data from the Association for Financial Markets in Europe, back offices will have only two hours to carry out all post-trade work in equities. Currently they have 12 hours. The SEC estimates that as of 2023 only 68% of US equity trades completed their Confirmation Process on trade date. It is therefore important for fund managers to ensure they have all the processes in place to continue to operate North American securities settlement effectively.


Be aware of the risks T+1 presents

Time zone differences can affect same day matching processes, meaning fund managers will have less time to communicate and resolve breaks and exceptions. Funds outside the US engaged in securities lending will have a narrower window in which to identify and recall securities. This could lead to breaks in the process and potential settlement fails.

The shortened settlement cycle will also impact the FX lifecycle and the need to fund settlement. Managers operating funds without a USD base currency and especially those in the Asia Pacific region, where the time zone is a larger issue for staff, will need to ensure they have the staffing and operational procedures in place to monitor the trade cycle effectively.


What fund managers need to do

Fund managers outside the US should be working closely with service providers to minimise the impact of T+1 on daily operations. Close liaison with service providers will ensure you have a cohesive operational plan in place to support trading activities in the new environment.

It is essential for fund managers to liaise as closely as possible with their service providers at this stage. This includes co-ordination with any broker-dealer counterparties and finding out what service providers will be expecting when T+1 deadlines approach.

Service providers will be pushing ahead with their own plans, and fund COOs will need to be fully appraised of what is going to be different and how far along service providers are with their objectives.

Connectivity and the fund manager’s tech stack should be checked to ensure readiness levels. Trusted service providers will be in a position support trade cycles within US trading hours without the need for fund management teams to be working unsociable hours, but at the same time, any additional demands on staff should be addressed immediately.

Batch and manual processes should also be reviewed, and COOs should be aware of any impact on shareholder redemptions and subscription processes. Trade confirmations, allocations and affirmation processes are also important areas of scrutiny.

For fund managers engaged in securities lending, lending models should be reviewed to ensure timely recall and return of loaned securities.

Time zones will be a big factor here: fund managers will need to consult closely with service providers to make sure that crucial post-North America close window is covered.

Follow the money – attention must be paid to the cash flow and cash positioning to ensure funding requirements are met and that there are no mis-matches or unaddressed FX needs.


Benefits to the industry of T+1

Shortening the trade cycle should help to reduce counterparty exposure and provide for faster and smoother interaction between assets and cash. Overall, asset managers should see a reduction in risk exposure and less need for expensive risk mitigation procedures.

The market should also see a boost in STP usage, helping to accelerate settlement times. T+1 is intended to deliver a more efficient, robust and cost-effective marketplace.


What about T+0?

There has been a lot of discussion about the prospects for a T+0 settlement regime in the near future, but the reality is likely to be further out.

At this point the UK’s plans for T+1, as recommended by the UK Accelerated Settlement Task Force are for no later than the end of 2027. In the EU, ESMA is expected to produce a report on the EU transition in Q3 2024.

For North American markets, there remain a number of operational obstacles for T+0, e.g. multi-lateral netting and transaction funding, that will need to be resolved before this becomes a reality. But for fund managers outside North America, being prepared for T+1 will be an important step towards eventual T+0 compliance.


About Prescient Fund Services

Prescient Fund Services (Pty) Ltd (PFS) is an established global fund administration, platform and management company solutions provider with operations in Dublin, Ireland and Cape Town, South Africa. With its roots stemming from the Prescient Group’s investment management business as far back as 2004, PFS formalised its fund administration offering and was incorporated in 2010. Today, with clients' assets under administration (AUA) of more than R1 trillion/$54 billion (as at end August 2023) for a diverse array of clients, PFS is a leading fund administration services provider in South Africa. PFSI Ireland is a separate business with $5 billion (R95.1 billion in assets under management (AUM)) and through its expertise provides a gateway for investors into the UK and European asset management environments. Prescient Fund Services (Pty) Ltd is an Authorised Financial Services Provider (FSP 43191)