Post-trading

As one of the two international central securities depositories, Deutsche Börse Group's role is highly valued. While global policies are continuously adapted, we ensure that our services are adapted accordingly in order to keep organizing safe and efficient markets. To this end, the following regulatory packages are of particular importance for Deutsche Börse Group:

Central Securities Depositories Regulation (CSDR)

A central securities depository (CSD) is a post-trade infrastructure which provides a central point for depositing financial instruments (e.g. shares and bonds). CSDs enable securities transactions to be processed and settled by book entry, provide custodial services (e.g. the administration of corporate actions and redemptions) and play an active role in ensuring the integrity of securities issues.

Due to their relevance, CSDs were highly regulated entities on the national level but the cross-border dimension and passporting rules were scarce due to the lack of harmonization at the European level. Addressing this issue, the European Central Securities Depositories Regulation (CSDR) was adopted and entered into force in September 2014 as one of the key regulations in the aftermath of the 2008 financial crisis.

The new regime ensured that the settlement is carried out in a safer and more efficient manner in Europe. It also includes a section applicable to the entire market, relating to the measures to avoid settlement fails in the market, also known as the Settlement Discipline Regime (SDR).

In 2022, the Commission initiated a proposal to amend CSDR with the aim of enhancing the efficiency of the EU’s settlement markets. Following an agreement reached between the co-legislators, the CSDR Refit entered into force in January 2024, with level 2 & 3 acts pending contributions from ESMA.

Deutsche Börse Group supports the harmonizing of securities settlement and prudential rules for CSDs across Europe, as well as the SDR, in order to enhance market safety and create a level playing field.

For further information on Deutsche Börse Group’s positioning on the matter, find our statements and position papers under Publications.

T+1 Settlement Cycle

The EU, alongside the UK and Switzerland, is currently in the process of shortening its settlement cycle from T+2 days to T+1 day. This means that the official transfer of securities to the buyer's account and cash to the seller's account would occur on one business day after the transaction date instead of two. This shift is part of a global trend initiated in February 2023 when the U.S. Securities and Exchange Commission (SEC) announced rule changes to shorten the settlement cycle for most broker-dealer transactions from T+2 to T+1. The new U.S. regulations came into force on May 28, 2024, with Canada and Mexico also joining the transition. 

A shorter settlement cycle offers several benefits, including reduced margin requirements for CCPs, risk mitigation, and cost savings. This move has proven to be technically feasible and could lead to greater automation and standardization of key back-office and post-trade processes, increasing market efficiency. However, it also carries an increased risk of settlement failures and a reduction in settlement efficiency if markets are not well prepared.

In November 2024, ESMA recommended a transition to T+1 in the EU by October 11, 2027.  EU authorities have been actively working on the transition to provide legal certainty and coordination for industry stakeholders across Member States. Alongside its transition date announcement, ESMA also published an extensive report containing valuable industry feedback and outlining the rationale for the EU's shift to T+1. The report included suggestions to amend the Central Securities Depository Regulation (CSDR).

Following these recommendations, the European Commission launched a legislative proposal in February 2025 to amend the CSDR. The European Parliament and Council of the European Union have since agreed upon the details of this legislative file, clarifying the exemption of securities financing transactions (SFTs) from the T+1 requirement, establishing regular reporting on settlement efficiency, and paving the way for the European Commission to consider a temporary suspension of cash penalties for failed settlement if necessary at a later stage. 

Furthermore, to address the fragmented nature of EU markets and ensure readiness for the T+1 requirement by the October 11, 2027 deadline, EU authorities and industry players established the EU T+1 Industry Committee in January 2025. This Committee is responsible for identifying major roadblocks in preparing for T+1 in the EU. Deutsche Börse participated and contributed extensively to these discussions, which resulted in the publication of a high-level roadmap in June 2025 that includes, amongst other topics, key aspects on the future operational timetable under the reduced T+1 cycle. 

Deutsche Börse Group supports all “T+n” settlement cycles and encourages market participants (such as custodians, banks, brokers) to assess their processes and ensure operational readiness for T+1 by the ESMA-proposed deadline. We stand ready to provide any support and guidance necessary for market participants to navigate this transition. We believe this transformation will not only foster greater market alignment but also strengthen Europe’s position as a leading global investment hub while advancing the objectives of the Savings and Investment Union (SIU).

Further information on Deutsche Börse Group's position on this topic can be found in our statements and position papers under Publications. Regular updates on T+1 are also available on Clearstream’s dedicated webpage.