FRB Chicago OTC Derivatives Symposium Panel: CCP Loss Allocation and End of Waterfall Scenarios

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1 FRB Chicago OTC Derivatives Symposium Panel: CCP Loss Allocation and End of Waterfall Scenarios Presented by: Marnie Rosenberg April 2014

2 This presentation was prepared exclusively for the benefit and internal use of the J.P. Morgan client to whom it is delivered and does not carry any right of publication or disclosure, in whole or in part, to any other party without the prior written consent of J.P. Morgan. This presentation includes summary information regarding the loss allocation provisions of certain publicly available clearing house rules and procedures. You should not rely on the information in this presentation. It is, by virtue of its summary nature, incomplete and does not constitute all the information necessary to adequately analyze the operation of such loss allocation provisions. In addition, the information herein is subject to change and may be inaccurate. J.P. Morgan makes no representations as to the accuracy or completeness of the information, and expressly disclaims responsibility for any error or omission or for the interpretation of any rule or regulation, in this presentation. Nothing in this presentation is intended as legal, regulatory, accounting, tax, investment or trading advice. You should review the rulebooks and other relevant documentation of the subject clearing houses, conduct such additional investigations as you deem necessary and consult with your own legal and other advisors in order to independently assess the loss allocation provisions described herein. This presentation is provided for discussion purposes only. J.P. Morgan is not soliciting any action on your part by means of this presentation, and nothing herein constitutes a solicitation, offer or commitment to enter into any financial transaction or trading strategy. J.P. Morgan is the marketing name for JPMorgan Chase & Co. and its subsidiaries and affiliates worldwide. JPMorgan Chase Bank, N.A. is a member of the FDIC. J.P. Morgan Securities LLC ("JPMS") and J.P. Morgan Clearing Corp. ( JPMCC ) are separately registered broker-dealer subsidiaries of JPMorgan Chase & Co. and are members of FINRA, NYSE and SIPC. JPMS and JPMCC are separately registered futures commission merchant subsidiaries of JPMorgan Chase & Co. and are members of the NFA. This presentation has been issued and approved for distribution in the European Economic Area by J.P. Morgan Securities Ltd. and J.P. Morgan plc, which together with J.P. Morgan Europe Limited and J.P. Morgan Markets Limited, are authorized and regulated by the Financial Services Authority. J.P. Morgan Securities Singapore Private Limited. (Co. Reg. No.: R) is regulated by the Monetary Authority of Singapore and the Singapore Exchange Derivatives Trading Limited. JPMorgan Securities Japan Co. Ltd. (Co. Reg. No.: K) is regulated by the Financial Services Agency in Japan, Tokyo Stock Exchange, Osaka Securities Exchange and Tokyo Financial Exchange. J.P. 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Morgan Securities (Taiwan) Limited is a market participant and a general clearing member of the Taiwan Futures Exchange Corporation. This presentation is issued and distributed in Thailand by JPMorgan Securities (Thailand) Limited, Member of the Thailand Futures Exchange. JPMorgan Securities (Malaysia) Sdn Bhd is regulated by the Malaysia Securities Commission and is a trading participant of the Malaysia Derivatives Exchange. J.P. Morgan Futures Co., Ltd. is a JPMorgan Chase & Co. China joint venture and is a member of the Shanghai Futures Exchange, Dalian Commodity Exchange, Zhengzhou Commodity Exchange and the China Financial Futures Exchange whose Futures and Options business is regulated by the State Council, China Futures Association, the Chinese Securities Regulatory Commission. You should contact your sales representative for clarification on the range of financial instruments available in the above-mentioned jurisdictions and should execute transactions through a J.P. Morgan entity in your home jurisdiction unless governing law permits otherwise. You are responsible for ensuring that you have the legal capacity to transact in various financial instruments in accordance with applicable law and regulation. This report has been issued in the U.K. only to persons of a kind described in Article 19 (5), 38, 47 and 49 of the Financial Services and Markets Act 2000 (Financial Promotion) Order 2001 (all such persons being referred to as "relevant persons"). This document must not be acted on or relied on by persons who are not relevant persons. Any investment or investment activity to which this document relates is only available to relevant persons and will be engaged in only with relevant persons. In other European Economic Area countries this report has been issued to persons regarded as professional investors (or equivalent) in their home jurisdiction. In Singapore, this report is distributed only to accredited or expert investors, purely as a resource and for general informational purposes only. Accordingly, this report does not take into account the specific investment objectives, financial situation or particular needs of any particular person and is exempted by regulation 34 of the Financial Advisers Regulations from the same (as required under section 27 of the Singapore Financial Advisers Act). Additional information is available upon request. CONFIDENTIAL Copyright 2014JPMorgan Chase & Co. All rights reserved worldwide. MORCOM and MORganCOMmunicationsTM are registered trademarks of JPMorgan Chase & Co.

3 Industry & Regulatory Objectives: CCP Resolution and Recovery 1. Reduce likelihood that a CCP fails following a severe stress event, such as the default of multiple members in a short period of time 2. Reduce likelihood of market contagion following a CCP failure; reduce the probability that the failure of a CCP destabilizes other SIFI market participants that are members of the CCP and other FMIs 3. Reduce likelihood of liquidity runs following CCP stress or failure; avoid strong and sudden loss of market confidence in the solvency or liquidity of other CCPs and thus liquidity runs from CCPs, resulting in severe stress or failure of multiple infrastructures 4. Reduce likelihood that public money is used to address CCP failure 5. Preserve the operation of the systemically important functions of a CCP following failure. Current State - Drivers of CCP Distress and Suggested Recovery Methods Non Default loss investment loss or operational risk such as fraud 1. UK CCPs proposing loss allocation model to comply with May 1 requirement to cover investment losses 2. CCP regulatory capital limited to cover other non default losses Default loss - after use of member default fund\assessments, the following have been discussed as possible recovery methods: 1. Full loss allocation to members beyond default fund\assessment contributions 2. IM Haircutting - incompatible with EMIR, creates the wrong incentives, pro-cyclical, conflicts with IM segregation regimes) 3. Reduction of Unpaid Payment Obligations (VMHC) incentivizes participation in default management process, and satisfies accounting criteria for Basel III - but does NOT effectively address the basic remaining structural flaws with central counterparties that remain these are fairly fundamental and straightforward 1

4 Recommendations to Promote CCP Resiliency It is known and widely discussed that CCPs commonly suffer from: Lack transparency to their members and other participants Lack a consistent stress framework amongst their peers; Insufficient skin in the game resulting in inappropriately aligned incentives with for-profit model; and Dependency upon unfunded member commitments for a portion of loss absorbency, recovery and resiliency, which creates uncertainty as to whether money will be available when it is most needed Addressing above would preserve CCP resiliency and reduce the likelihood of a CCP failure. To this point, I would agree with some of Blackrock s key recommendations described in its very thoughtful paper released this week: CCPs should be subject to a standard, publicly-disclosed stress test framework; results of which would be used to size aggregate resources Entire financial safeguard waterfall should be fully pre-funded CCPs contribution should be risk based and should be lower of either a fixed percentage of the fund (approx. 10%) or the largest single clearing member contribution. 2

5 Potential Approaches to CCP Resolution 1. Liquidation of CCP and cessation of clearing activities, including those viewed as systemically important: a) Rush to exit and closing of positions will lead to contagion b) Alternative CCP will need have sufficient capacity to take on new trades as members look to reestablish positions given clearing mandate 2. Pre-funded recapitalization resolution strategy BlackRock s paper suggesting that a CCP could be recapitalized post-failure through fully pre-funded recapitalization resources is extremely thoughtful and should be fully explored: a. Regulators would determine point of non-viability, at which time resolution and recapitalization utilizing fully pre-funded resources would be triggered b. Would promote and preserve market confidence, avoid pro-cyclicality, and ensure continued operations to allow opening on the business day following failure 3

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