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WFE Unveils Critical Framework for 24/7 Trading Revolution - What Institutions Can’t Afford to Ignore

WFE Unveils Critical Framework for 24/7 Trading Revolution - What Institutions Can’t Afford to Ignore

Published:
2025-09-11 08:11:22
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Round-the-clock markets demand round-the-clock vigilance—and the World Federation of Exchanges just dropped the playbook.

Operational Resilience: No More Banking Hours

Forget closing bells. Continuous trading cycles require infrastructure that never sleeps—liquidity protocols, automated risk controls, and cybersecurity shields that operate beyond human shifts. One glitch could vaporize positions faster than a meme coin crash.

Liquidity in Perpetual Motion

Dark pools and algorithmic market makers must now dance without intermission. The WFE warns: shallow overnight order books amplify volatility, inviting predatory trades that feast on thin spreads. It’s the financial equivalent of leaving your vault unlocked with a ‘rob me’ sign.

Regulatory Whack-a-Mole

Watchdogs scramble to supervise sunless markets. Cross-jurisdictional arbitrage loopholes? Wider than ever. The report hints at harmonized oversight—but let’s be real, regulators can’t even agree on lunch orders, much less global crypto rules.

Human Factor: Burnout or Bailout?

Traders staring at screens at 3 a.m.? Compliance teams tracking transactions across time zones? The WFE pushes for AI augmentation—because nothing says ‘progress’ like replacing expensive humans with cheaper code.

Bottom line: 24/7 trading isn’t a feature—it’s a fundamental rewrite of market mechanics. Embrace it or get steamrolled by algorithms that don’t need coffee breaks. (And if your exchange still runs on Excel macros? Godspeed.)

Clock Synchronization: A Matter of Timing

The World Federation of Exchanges (WFE), the global industry group for exchanges and clearing houses, has published a paper analysing the implications of lengthening equity market hours. It assesses both the opportunities and the operational, technological, and regulatory challenges this shift requires, especially as you get closer to round-the-clock trading.

The paper, titled “Policy and Market Impacts of Extended Trading”, traces the evolution of trading hours and presents NEAR round-the-clock trading as a whole new model, with several issues to consider. Extended trading hours – typically 22/5 or 23/5 as opposed to 24/7 – is technologically feasible and in some cases aligns with investor demand. Nevertheless, its adoption must be carefully calibrated to preserve market integrity, investor protection, and systemic stability.

  • Investor demand: Local and overseas investors are seeking access beyond traditional hours. The greatest demand is currently for major US stocks during Asian hours.
  • Market considerations: Extended trading may affect liquidity which should be disclosed to retail investors. Market operators should consider how to maintain market controls overnight. Markets will still likely require a closing or reference price for benchmarks, settlements, and corporate actions.
  • Operational demands: Exchanges, clearing houses, and brokers must adapt systems for high availability, real-time risk controls, and continuous surveillance.
  • Post-trade requirements: Market participants must adapt systems to handle 24/7 data feeds and post trade processing, strengthen supervisory frameworks, and manage risks associated with low-liquidity periods. Real-time margin recalculation and funding access outside normal banking hours are required.

  • Extended trading is not inevitable nor universally desirable. Different markets will adopt different models depending on their liquidity, structure, and participant needs.
  • It is important to consider something that is too easily forgotten: the needs and wishes of issuers of securities. 22/5 or 23/5 models offer a pragmatic path forward. They allow exchanges to meet rising demand while testing operational readiness before moving toward continuous markets.
  • True 24/7 trading would represent a system-wide transformation. It requires the re-engineering of post-trade processes, governance frameworks, and supervisory oversight.
  • Inaction carries risks. Regulatory inertia could cause investors to migrate to less transparent, unregulated venues, undermining market integrity and investor confidence.

 said, “This paper is not a prescription for 24/7 markets, but a blueprint for how to get there if markets choose to. The shift to extended trading is technologically feasible and already aligned with investor behaviour in other asset classes. The real question is how markets evolve in a way that protects investors, supports integrity, and strengthens global competitiveness. Any shift must be ecosystem-wide, coordinated across custodians, settlement banks, brokers, and regulators.”

 said, “Flexibility and diversity in trading models should be encouraged, with trading hours remaining the responsibility of market infrastructures. Regulators should focus on enabling innovation while maintaining the fundamental principles of fairness, transparency, and systemic stability.”

The full paper can be read here. The WFE continues to work further on this topic and will soon be publishing a research paper.

Source: WFE

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