News | 2026-05-14 | Quality Score: 93/100
Market moves detected, alerts fired in seconds. Custom monitoring for your specific stocks, sectors, and conditions so you never miss an opportunity. Stay on top of what matters most to your strategy. India’s markets regulator, the Securities and Exchange Board of India (Sebi), has proposed removing the ‘close-to-the-money’ category from commodity options contracts. The regulator stated that the current mechanism complicates exercise procedures for market participants and introduces uncertainty for option sellers, potentially paving the way for a streamlined derivatives framework.
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In a recent consultation paper, Sebi called for public feedback on its proposal to scrap the ‘close-to-the-money’ classification in commodity options. The regulator argued that maintaining this category adds unnecessary complexity to the exercise process—particularly during contract expiry—and creates ambiguity for sellers regarding their obligations.
Under existing rules, commodity options can be classified as ‘in-the-money’, ‘out-of-the-money’, or ‘close-to-the-money’, with the latter triggering automatic exercise under certain conditions. Sebi noted that this three-tier structure often leads to confusion among market participants, as the precise boundaries of the ‘close-to-the-money’ range are not always clear. The proposal suggests moving to a simpler binary framework that would rely solely on in-the-money versus out-of-the-money determinations at expiry.
The regulator emphasised that the change could enhance transparency and reduce operational risks for clearing corporations and members. Sebi is currently seeking comments from stakeholders, including exchanges, clearing houses, brokers, and investors, before finalising any rule amendments. The consultation period is expected to close in the coming weeks.
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Key Highlights
- Simplification of expiry procedures: Scrapping the ‘close-to-the-money’ category would align commodity options with equity options, which already use a binary classification system. This could reduce the administrative burden on clearing houses during settlement.
- Reduced uncertainty for option sellers: Sellers currently face uncertainty about whether a position will be automatically exercised when the underlying price hovers near the strike price. A simpler definition may lower this ambiguity.
- Potential improvement in market efficiency: Market participants would likely benefit from clearer rules, which could encourage greater participation in commodity derivatives. The move may also reduce disputes over exercise decisions.
- Regulatory alignment: The proposal reflects a broader trend by Sebi to standardise derivatives market practices. Similar clarifications have been applied to equity options in recent years.
- Stakeholder feedback critical: The final outcome will depend on responses from exchanges and market intermediaries. Changes, if implemented, would require updates to exchange trading and clearing systems.
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Expert Insights
Market observers view Sebi’s proposal as a pragmatic step towards harmonising commodity option regulations with other asset classes. By eliminating a layer of complexity, the regulator could foster a more predictable environment for derivatives trading, particularly for hedgers and commercial users of commodities.
However, some analysts caution that the transition may temporarily require adjustments from market infrastructure participants. Clearing houses would need to revise their automated exercise logic, and brokers may need to update client disclosures. The regulatory timeline suggests that any changes would be implemented only after thorough consultation, minimising operational disruptions.
From an investment perspective, the proposal could indirectly support liquidity in commodity options by making rules more intuitive. Option sellers, in particular, may welcome the reduced risk of surprise assignments. Nonetheless, the full impact will depend on how participants adapt and whether any unintended consequences—such as a decrease in hedging precision—emerge. As with all regulatory reforms, careful monitoring of market behaviour post-implementation will be essential.
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