Resilience of OTC Derivatives Market: Regulatory Initiatives 11/16/2009 1

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Resilience of OTC Derivatives Market: Regulatory Initiatives and Policy Recommendations A Paper Presented at the Conference on South Asian Financial Systems at Cross-roads: roads: Promoting Stability and Growth November 11th, 2009 Professor Dayanand Arora (HTW Berlin, Germany) Francis Xavier Rathinam (ICRIER, New Delhi, India) 11/16/2009 1

Agenda for the Presentation 1. Why OTC Derivatives Are Important? 2. Some Stylized Facts On Global OTC Derivatives 3. Regulatory Framework For OTC Derivative Markets: Recent Global Initiatives 4. Regulatory Measures on OTC Derivatives initiated by the Reserve Bank of India (RBI): A Case Study 5. Some Policy Recommendations For Emerging Economies 11/16/2009 2

1. Why OTC Derivatives Are Important 1. The global l OTC derivatives i market isvery large, larger than exchange traded derivatives or exchange traded cash equities 2. OTC derivatives markets have grown very fast. The information on OTC derivatives market is deemed crucial for financial market stability and macroprudential policy 3. OTC derivatives markets are viewed as an amplifier of stress in the present global financial crisis 11/16/2009 3

2. Some Stylized Facts about Global OTC Derivatives (I) 1. The OTC derivatives can be divided into four main categories: i. Financial Derivatives (including interest rate and credit default derivatives) ii. Foreign Exchange Derivatives iii. Equity-linked Derivatives iv. Commodity Derivatives 11/16/2009 4

2. Some Stylized Facts about Global OTC Derivatives (II) 2. Gross market value (cost of replacing all existing i contracts) isa better measure of market risk than notional value of contracts 3. Gross credit exposure (after accounting for legally enforceable bilateral netting arrangements) represents the aggregated td gross market values and shows the payment flows at risk 11/16/2009 5

2. Some Stylized Facts about Global OTC Derivatives (III) 4. About two-third of the global OTC derivatives i exposures are estimated to be collaterized 5. Most of the collateral used takes the form of cash, implying a conspicuous absence of securities as collateral! l! 6. The uncollaterilzed segment of the global OTC contains high risk potential!! 11/16/2009 6

2. Some Stylized Facts about Global OTC Derivatives (IV) 7. US dollar is the dominant currency in most OTC derivative markets on notional value, whereas Euro roleads in terms of gross market value. 8. Largest proportion of OTC derivatives business is done in the Eurpean Union, with London as the leading derivative centre 9. Though global is nature, cross-border OTC derivatives i are concentrated mostly in G-10. 11/16/2009 7

2. Some Stylized Facts about Global OTC Derivatives (V) 10. Estimated exposure to the residents of emerging markets has increased over time 11. The majority of transactions in the OTC derivatives market are still traded, cleared and settled bilaterally, adding to calls for more transparency 12. Most of the OTC derivatives markets are wholesale in nature 11/16/2009 8

3. Regulatory Framework For OTC Derivative Markets: Recent Global Initiatives 1. Most of the initiatives in the US and European Union focus on the post-trading infrastuctures and market arrangements 2. Use of centralized clearing through a CCP (Centralized CounterParties) is the most common initiative iti today for lowering the counterparty risk and transparency 11/16/2009 9

3. Regulatory Framework For OTC Derivative Markets: Recent Global Initiatives (contd..) 3. National supervisors and international committees have undertaken steps to mitigate the risks inherent in OTC markets 4. The Basel Committee on Banking Supervision has issued guidelines on revisions ii to the Basel lii market ktrisk ik framework and guidelines for computing capital for incremental risk in the trading book. 11/16/2009 10

4. Regulatory Measures on OTC Derivatives initiated by the Reserve Bank of India (RBI): A Case Study 1. Since RBI regulates the money, government securities ii and foreign exchange markets,, by default it regulates the derivatives thereon. 2. Whereas the exchange traded derivatives are regulated by the respective stock exchanges and overseen by Securities and Exchange Board of India (SEBI), OTC derivatives market is completely within the purview of RBI 11/16/2009 11

4. Regulatory Measures on OTC Derivatives initiated by the Reserve Bank of India (RBI): A Case Study 3. The RBI (Amendment) Bill 2006 has legalizedli all OTC derivatives, i where at least one of the parties in transaction in a RBI regulated entity (either a scheduled commerical bank or a primary dealer or a financial institution). 4. The comprehensive guidelines (2007-08) lay down general principles for derivative trading and sound governance requirements 11/16/2009 12

4. Regulatory Measures on OTC Derivatives initiated by the Reserve Bank of India (RBI): A Case Study 5. Only Interest Rate Derivatives (such as Interest Rate Swaps and Forward Rate Agreement) and Foreign Currency Derivatives (such as Foreign Currency Forward, Currency Swaps and Currency Options) are allowed 6. OTC Credit Derivatives (such as Credit Default Swaps and Credit Default Obligations) and OTC equity-linked derivatives are not permitted in India 11/16/2009 13

4. Regulatory Measures on OTC Derivatives initiated by the Reserve Bank of India (RBI): A Case Study 7. Interest Rate Swaps and Currency Forwards account for about 85% of the OTC derivative trading in India. 8. The present outstanding volume of the interest rate swaps is about $700 billion (controlled by 20 major players) and that of currency forwards is about $500 billion 9. The market is estimated to beexpanding at about 35% annually (CCIL estimates) 11/16/2009 14

4. Regulatory Measures on OTC Derivatives initiated by the Reserve Bank of India (RBI): A Case Study 10. With the Clearing Corporation of India Limited (CCIL), India was a pioneer in embarking on the path of Centralized Counter Party. It provides a clearing and settlement arrangement on a non- guaranteed basis for the OTC interest rate derivatives since November, 2008. 11. Based on the concept of multilateral netting by a central counterparty, the process has reduced the liquidity risk, enhanced the efficiency of the payment system in Idi Indiaandd reduced dsettlement t costs associated with growing volume of market activity 11/16/2009 15

Regulatory Framework for Indian OTC Derivatives: CCP Approach Reporting (provides transparency in the market) SCBs / PDs RBI Reporting (systemic risk could be measured) Central Counter Party Assumptions: 1. RBI regulatory model i.e. at least one of entity is regulated 2. Implicit guarantee for CCP User 11/16/2009 16

4. Regulatory Measures on OTC Derivatives initiated by the Reserve Bank of India (RBI): A Case Study 12. RBI has asked all banks and primary dealers to report all their interest rate derivatives trades on the reporting platform within 30 minutes from the deal time. At the end of March 2009, 63 members have joined the segment for reporting IRS/FRA trades 13. As of July 2009, the CCIL reported that it will soon offer guarantees on IRS and Currency Forwards. This will help banks save on capital requirements, reduce settlement and operational risks in OTC transactions. 11/16/2009 17

5. Some Policy Recommendations For Emerging Economies Three major goals of our policy recommendations are to: 1. Achieve greater transparency, 2. Increased disclosure, and 3. More Standardization. We are neither e proposing more oeregulations in the OTC derivatives market nor ignoring the functional value of OTC markets 11/16/2009 18

5. Some Policy Recommendations For Emerging Economies (contd..) A Our first policy suggestion relates to strengthening the post-tradetrade infrasturuture through CCP approach: 1. Greater competition amongst institutions performing the role of CCP 2. Supporting CCP institutions with adequate financial resources, and 3. Scenario planning and clear procedures for default manangment in case of run on CCP institutions 11/16/2009 19

5. Some Policy Recommendations For Emerging Economies (contd..) B. Our second policy suggestion relates to more disclosure from the market participants: 1. Participants should be asked to reveal the risk profile of each transaction, 2. The valuation of the OTC products should be marked-to-marketfor e o accounting purposes poses 3. The buyer of the OTC products may be asked to reveal his funding source! 11/16/2009 20

5. Some Policy Recommendations For Emerging Economies (contd..) C. Our third policy suggestion relates to greater standardization in the market: 1. Participants in the market may be encouraged to use standard documentation 2. CCP institutions could insist on ISDA documentationfor o o more oeuniformity in reporting 3. ISDA`s Master Agreement may be used for introducing international standards of reporting 11/16/2009 21

Thank you for your attention 11/16/2009 22