Changeflow GovPing Securities & Markets Statement on Options Market Structure Roundtable
Routine Notice Added Final

Statement on Options Market Structure Roundtable

Favicon for www.sec.gov SEC: Speeches & Statements
Published
Detected
Email

Summary

SEC Commissioner Mark T. Uyeda delivered remarks at an agency roundtable on options market structure, noting that data released by the Commission shows concerns long debated in equities exist to a greater degree in options markets. The Commissioner highlighted growth in retail participation, increasing fragmentation across 15 exchanges with over 1% market share, and institutional market maker dynamics as areas warranting reconsideration of existing regulations.

Published by SEC on sec.gov . Detected, standardized, and enriched by GovPing. Review our methodology and editorial standards .

What changed

Commissioner Uyeda addressed an SEC roundtable on options market structure, noting that equity market structure issues—fragmentation, concentration, data asymmetries, and uneven execution quality—exist to an even greater degree in options markets. The statement highlights dramatic transformation in the options landscape over ten years, with growth in retail participation reshaping order flow dynamics, execution pathways, and liquidity provision economics.

The remarks signal potential regulatory reform direction affecting broker-dealers, institutional market makers, and retail investors participating in options markets. The Commissioner specifically questioned whether current floor auction rules and market maker entitlements remain appropriate given market evolution, suggesting future rulemaking may modernize regulations to optimize execution quality and enhance competition.

Archived snapshot

Apr 17, 2026

GovPing captured this document from the original source. If the source has since changed or been removed, this is the text as it existed at that time.

More in this Section

Statement

Statement at the Roundtable on Options

Commissioner Mark T. Uyeda Washington D.C.

April 16, 2026

Good morning. Thank you to the Division of Trading and Markets (the “Division”) and other staff of the Commission for organizing this roundtable on options market structure. [1] Many thanks to our participants, who have taken the time to join us today. We look forward to hearing your thoughts.

For as long as I can remember, equity market structure – and to a lesser extent, fixed income market structure, has taken center stage in the Commission’s public and regulatory dialogue. In fact, over the years, we have convened advisory committees in both of those areas. Issues like fragmentation, concentration, data asymmetries, and uneven execution quality have been studied extensively on the equity side. But data recently released by the Commission makes clear that many of the concerns long debated in equities exist to an even greater degree in options. [2]

During the last ten years, the options landscape has transformed dramatically. Growth in retail participation, particularly in short‑dated and ultra‑short‑dated strategies, has reshaped order flow dynamics, execution pathways, and the economics of liquidity provision. These developments should cause us to reconsider the assumptions behind our existing regulations. For example, how does the increasing fragmentation—15 exchanges with >1% market share—affect the execution quality of retail marketable orders?

We should also consider issues in the institutional space—such as the practical effects of market maker entitlements, data asymmetries, and competitive barriers. Do today’s institutional market makers still require the types of incentives and entitlements that exist in current floor auction rules? Or has the market evolved to a point where those mechanisms should be revisited?

The Commission should optimize regulations for all types of market participants, including individuals who are often the beneficiaries of institutional investors. I look forward to public feedback on how our rules can be modernized to strengthen execution quality, enhance competition, and ensure the options market can effectively serve investors, institutions, and issuers alike. The data is clear—and the moment is right—for thoughtful, measured reform. I thank Chairman Atkins for convening this options market structure roundtable.

[1] My remarks today reflect my views as an individual Commissioner and not necessarily the views of the full Commission or my fellow Commissioners.

[2] See Division of Trading and Markets, Roundtable on Options Market Structure—Supporting Data (April 9, 2026), available at https://www.sec.gov/files/roundtable-options-market-structure.pdf.

Last Reviewed or Updated: April 16, 2026

Get daily alerts for SEC: Speeches & Statements

Daily digest delivered to your inbox.

Free. Unsubscribe anytime.

About this page

What is GovPing?

Every important government, regulator, and court update from around the world. One place. Real-time. Free. Our mission

What's from the agency?

Source document text, dates, docket IDs, and authority are extracted directly from SEC.

What's AI-generated?

The summary, classification, recommended actions, deadlines, and penalty information are AI-generated from the original text and may contain errors. Always verify against the source document.

Last updated

Classification

Agency
SEC
Published
April 16th, 2026
Instrument
Notice
Legal weight
Non-binding
Stage
Final
Change scope
Minor

Who this affects

Applies to
Broker-dealers Investors
Industry sector
5231 Securities & Investments
Activity scope
Options trading Market structure Retail investor participation
Geographic scope
United States US

Taxonomy

Primary area
Securities
Operational domain
Compliance
Compliance frameworks
Dodd-Frank
Topics
Banking Financial Services

Get alerts for this source

We'll email you when SEC: Speeches & Statements publishes new changes.

Free. Unsubscribe anytime.

You're subscribed!