The new White Paper “How CCPs strengthen the safety and integrity of financial markets” - provides an overview on how CCPs reduce systemic risk in over-the-counter (OTC) derivatives markets.
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This document summarizes initial lessons from the financial crisis in three areas: regulation, macroeconomic policy, and the global financial system. Key failures included fragmented regulation that allowed regulatory arbitrage, a lack of coordination between macro and financial stability policies, and an inability within the global system to identify vulnerabilities. Lessons indicate regulation needs broader oversight of all systemically important financial activities, macro policies should consider financial stability risks, and greater international cooperation is required.
Lessons of the Financial Crisis for Future Regulation of Financial InstitutionsPeter Ho
The document summarizes lessons learned from the ongoing financial crisis for future regulation of financial institutions and markets. Key points include:
- The crisis exposed inadequacies in regulation, supervision, and risk management that failed to prevent excessive risk-taking. Reform is needed to address these issues.
- Priorities for reform include expanding regulation to new entities, addressing procyclicality of capital requirements, improving information sharing, resolving cross-border regulatory issues, and strengthening central bank liquidity management.
- International bodies like the FSF and G20 working groups are examining these issues and developing policy recommendations, but more work is still needed to implement reforms.
The document discusses operational risk and its importance in banking regulations like Basel III. Operational risk is defined as losses from failed internal processes, people, or systems or external events. The document advocates for strong operational risk management frameworks with three lines of defense: business management, an independent operational risk function, and independent review.
Financial stability refers to a situation where financial institutions and markets facilitate smooth flows of money between savers and investors, promoting economic growth. The Bank of Uganda monitors financial markets and institutions for risks, recommends policies, and conducts stress tests to ensure resilience. It formulates macroprudential policies, oversees payment systems, and supervises institutions like banks to maintain stability. Financial institutions connect borrowers and lenders; they are classified as depository, contractual, or investment based on their functions and include banks, insurers, and investment banks.
This document discusses commercial bank risk management based on interviews with various financial institutions. It finds that banks actively manage three types of risks: (1) risks that can be avoided through business practices, (2) risks that can be transferred to other parties, and (3) risks that must be managed internally. For risks in the third category, banks employ a four part risk management process involving (i) setting standards and reporting requirements, (ii) establishing position limits and rules, (iii) outlining investment guidelines and strategies, and (iv) implementing incentive-based compensation schemes. The document evaluates current industry practices and identifies areas for improvement in commercial bank risk management.
This document summarizes a Financial System Stability Assessment (FSSA) of Greece conducted by the International Monetary Fund (IMF). The Greek financial system has strengthened since EU integration, with profitable and well-capitalized banks, but also faces challenges from rapid credit growth exposing banks to new risks. Medium-term challenges include improving competitiveness and developing new funding sources. Supervision has been effective for banks but weaker for insurance. Key recommendations include monitoring credit risks from new lending, strengthening supervision across all sectors, and addressing structural issues hampering competitiveness.
The document outlines the Treasury's framework for regulatory reform, focusing first on containing systemic risk. It discusses establishing a single regulator for systemically important firms, higher capital and risk management standards for such firms, requiring registration of large hedge funds, regulating over-the-counter derivatives markets, strengthening money market fund regulation, and creating stronger resolution authority for failing complex institutions. The framework aims to modernize financial oversight and prevent future crises.
This document is a report from the Senior Supervisors Group assessing risk management practices at major global financial institutions during recent market turmoil. It finds that firms with concentrated exposure to subprime mortgage securitizations suffered major losses, while those with comprehensive firm-wide risk identification and independent valuation practices fared better. It also notes challenges in managing liquidity needs and leveraged loan commitments. The report recommends supervisors strengthen regulatory frameworks and firms improve risk management, including senior oversight, stress testing, and liquidity planning.
This document summarizes initial lessons from the financial crisis in three areas: regulation, macroeconomic policy, and the global financial system. Key failures included fragmented regulation that allowed regulatory arbitrage, a lack of coordination between macro and financial stability policies, and an inability within the global system to identify vulnerabilities. Lessons indicate regulation needs broader oversight of all systemically important financial activities, macro policies should consider financial stability risks, and greater international cooperation is required.
Lessons of the Financial Crisis for Future Regulation of Financial InstitutionsPeter Ho
The document summarizes lessons learned from the ongoing financial crisis for future regulation of financial institutions and markets. Key points include:
- The crisis exposed inadequacies in regulation, supervision, and risk management that failed to prevent excessive risk-taking. Reform is needed to address these issues.
- Priorities for reform include expanding regulation to new entities, addressing procyclicality of capital requirements, improving information sharing, resolving cross-border regulatory issues, and strengthening central bank liquidity management.
- International bodies like the FSF and G20 working groups are examining these issues and developing policy recommendations, but more work is still needed to implement reforms.
The document discusses operational risk and its importance in banking regulations like Basel III. Operational risk is defined as losses from failed internal processes, people, or systems or external events. The document advocates for strong operational risk management frameworks with three lines of defense: business management, an independent operational risk function, and independent review.
Financial stability refers to a situation where financial institutions and markets facilitate smooth flows of money between savers and investors, promoting economic growth. The Bank of Uganda monitors financial markets and institutions for risks, recommends policies, and conducts stress tests to ensure resilience. It formulates macroprudential policies, oversees payment systems, and supervises institutions like banks to maintain stability. Financial institutions connect borrowers and lenders; they are classified as depository, contractual, or investment based on their functions and include banks, insurers, and investment banks.
This document discusses commercial bank risk management based on interviews with various financial institutions. It finds that banks actively manage three types of risks: (1) risks that can be avoided through business practices, (2) risks that can be transferred to other parties, and (3) risks that must be managed internally. For risks in the third category, banks employ a four part risk management process involving (i) setting standards and reporting requirements, (ii) establishing position limits and rules, (iii) outlining investment guidelines and strategies, and (iv) implementing incentive-based compensation schemes. The document evaluates current industry practices and identifies areas for improvement in commercial bank risk management.
This document summarizes a Financial System Stability Assessment (FSSA) of Greece conducted by the International Monetary Fund (IMF). The Greek financial system has strengthened since EU integration, with profitable and well-capitalized banks, but also faces challenges from rapid credit growth exposing banks to new risks. Medium-term challenges include improving competitiveness and developing new funding sources. Supervision has been effective for banks but weaker for insurance. Key recommendations include monitoring credit risks from new lending, strengthening supervision across all sectors, and addressing structural issues hampering competitiveness.
The document outlines the Treasury's framework for regulatory reform, focusing first on containing systemic risk. It discusses establishing a single regulator for systemically important firms, higher capital and risk management standards for such firms, requiring registration of large hedge funds, regulating over-the-counter derivatives markets, strengthening money market fund regulation, and creating stronger resolution authority for failing complex institutions. The framework aims to modernize financial oversight and prevent future crises.
This document is a report from the Senior Supervisors Group assessing risk management practices at major global financial institutions during recent market turmoil. It finds that firms with concentrated exposure to subprime mortgage securitizations suffered major losses, while those with comprehensive firm-wide risk identification and independent valuation practices fared better. It also notes challenges in managing liquidity needs and leveraged loan commitments. The report recommends supervisors strengthen regulatory frameworks and firms improve risk management, including senior oversight, stress testing, and liquidity planning.
The document discusses several areas where restructuring of the IMF may be required in the current context of globalization. It suggests that the IMF should 1) make crisis prevention and resolution more integrated, 2) clarify its relationship and roles with the World Bank to avoid overlap, and 3) reduce extraneous roles like work on money laundering. It also recommends reforms to governance structures, surveillance and analysis procedures, lending programs, and financing sources.
1. Over the next ten years, risk management in banks will likely undergo a fundamental transformation driven by six key trends: continued expansion of regulation, changing customer expectations, evolving risk types, advances in technology and analytics, cost pressure, and the need for cultural change.
2. Regulations will broaden and deepen in scope in response to increasing public intolerance for bank failures and misconduct. Customer expectations will rise as technology adoption increases and new competitors emerge.
3. To prepare, banks need to start transforming their risk functions now through initiatives that balance short-term benefits with enabling the target vision for 2025, which may include automated processes, advanced analytics, and changes to recruiting and culture.
The Basel Committee on Banking Supervision was created in 1974 by central bank governors of Group of Ten nations. It meets four times a year at the Bank for International Settlements in Basel, Switzerland. The Basel I Accord of 1988 aimed to strengthen banking stability and consistency. It assigned risk weights to asset classes from 0% to 100%. Basel II, created in response to Basel I limitations, introduced three pillars: minimum capital requirements, supervisory review, and market discipline. Pillar 1 separates credit and operational risk. Pillar 2 covers banks' risk assessments and supervisory review. Pillar 3 mandates risk disclosures. The RBI implemented Basel I in 1993 and Basel II in 2007 for Indian banks, using standardized approaches
This document provides an overview of risk management concepts and frameworks. It defines key risk types such as credit risk, operational risk, market risk, and enterprise risk. It also discusses important risk management standards and regulations such as Basel II, Solvency II, Sarbanes-Oxley, and MIFID. Additionally, it outlines the risk management process and covers topics like risk assessment, analysis, handling, and important risk terms and approaches.
The document discusses operational risk and provides guidance on defining, identifying, measuring, monitoring, controlling, and mitigating operational risk according to the Basel Committee on Banking Supervision. It addresses issues with operational risk loss data and outlines principles for developing an appropriate operational risk management environment, process, and framework. The document also examines challenges with using internal and external loss data for quantifying operational risk capital requirements.
The document discusses the key components and participants in a financial system. It describes how a financial system bridges the gap between those who demand capital (borrowers) and those who have surplus capital (savers). The main participants are identified as households, non-financial corporations, governments, and financial corporations. Households and financial corporations are typically net savers, while non-financial corporations and governments are usually net borrowers. The financial system facilitates capital transfers between these groups through various financial institutions, services, instruments and markets. It also discusses the importance of safety, security and transparency in a financial system.
1) Operational risk management in the banking sector is important due to increased complexity from globalization, deregulation, technology advances and more. It involves identifying, assessing, measuring, monitoring and controlling risks from failures in internal processes, people, systems or external events.
2) Key types of operational risks for banks include internal and external fraud, employment practices, damage to assets, business disruptions, and errors in processes.
3) The operational risk management process involves identifying inherent risks, assessing vulnerabilities, measuring exposures, monitoring risk levels and indicators, and controlling risks through controls, mitigation efforts, and business continuity plans.
The financial system encompasses institutions, markets, participants, instruments, rules, and regulators that enable financial transactions and intermediation of funds. It collects savings from savers and distributes them to investors, stimulating capital formation and economic growth. This process involves savings, finance, and investment, with the volume of capital formation dependent on effective mobilization of savings, efficiency of the financial organization, and channeling of savings into desirable investments.
The document discusses operational risk and Basel II regulations. It defines operational risk as losses from internal failures or external events. It outlines the three pillars of Basel II which establish minimum capital requirements, supervisory review, and market discipline. It describes the different approaches for calculating operational risk capital charges, including the Basic Indicator Approach, Standardized Approach, and Advanced Measurement Approach.
BUSINESS CONTINUITY & DISASTER RECOVERY: LESSONS FROM PALESTINEIAEME Publication
Acts of terrorism and various widespread natural disasters have underlined the substantial risk of major operational disruptions to the financial system. Financial industry participants have common interest in promoting the resilience of the financial system to such disruptions1. The Palestine Monetary Authority2 (PMA) being the regulatory authority for the banking system in Palestine has paid great attention to this vital issue due to its importance to the stability of the Palestinian banking system especially in the light of the huge political risk in Palestine resulting from the Israeli occupation and the impact of occupation on all spheres of the Palestinians' life mainly the economic sector.
Financial Risk Management Framwork & Basel Ii Icmapjhsiddiqi2003
Javed H Siddiqi discusses risk management and the Basel Accords. The document covers:
1) An overview of risk management, including definitions of risk, the risk management process, and assessing risk tolerance.
2) A summary of the Basel I accord, including how it calculated regulatory capital requirements for credit and market risk.
3) An overview of the Basel II accord, which introduced approaches for calculating capital for operational risk and made capital requirements more risk sensitive.
Risk management in banks is important as banks are exposed to various risks in the changing Indian economy. The key risks include credit risk, market risk, operational risk, liquidity risk, and interest rate risk. Effective risk management involves identifying, measuring, monitoring, and controlling risks. Banks must have robust policies, strategies, organizational structures, and systems in place to properly manage risks like establishing risk limits, risk grading, and risk mitigation techniques. Proper risk management is essential for the long-term success of banks.
Basel III is a global regulatory standard that aims to strengthen bank capital requirements and introduce new regulatory requirements on bank liquidity and leverage. It seeks to improve bank capital standards, stress testing, and market liquidity risk. The goals are to minimize the probability of bank failures, ensure banks can absorb shocks from financial and economic stress, and improve risk management. Basel III introduces reforms to bank capital adequacy, stress testing, market liquidity risk, and implements additional capital buffers and leverage ratios. It aims to strengthen the banking sector's ability to absorb losses during periods of financial and economic stress.
Introduction to Operational Risk Management for Bank Junior Officers in Indiamlvenkat
This is an introductory, self-explanatory presentation on Operational Risk Management for Junior officers in Banks in India, illustrated with lots of interesting images to make the concepts easy to understand. Follow the link at the end of the slides to read interesting Op Risk stories compiled from day to day banking, which can be used for group exercise or better personal understanding. (Answers are not given! You have to generate them yourselves or from team members ! ).
(The story on Corporate Banking may appear similar to the recent Banking scam -Feb 2018- in India, but then, similar frauds have been repeatedly happening in one Bank or the other in the last 30 years in India. Neither Commercial Banks in India nor Reserve Bank of India have learnt the operational risk lessons).
You are free to use the slides and my stories for your work.
You can customise the stories to suit your banking environment and/or to add your own Bank stories to build up a library of Op Risk events.
I acknowledge and thank Internet and all original creators for providing cartoons, illustrations, photos, jokes and information which I have liberally used in the PPT.
Aifmd level 2 measures december 2012 cummings finalCummings
The document summarizes key aspects of the Level 2 Measures implementing the Alternative Investment Fund Managers Directive (AIFMD). It describes how the Level 2 Measures provide details on calculating assets under management, leverage, additional capital requirements, general operating conditions, and delegation of functions for alternative investment fund managers (AIFMs) and their funds (AIFs). The Level 2 Measures aim to create a harmonized framework for regulating AIFMs across the EU and ensure high levels of investor protection.
Mifid II will require significant changes across the financial industry as it deepens regulations around market structure, transparency, investor protection, and internal controls. It expands rules for trading obligations, organized trading facilities, transparency requirements, suitability assessments, governance standards, and external reporting. Compliance will involve transforming business models, systems, data, personnel, and processes. The impact will be most significant for banks, broker-dealers, and trading venues, though other financial institutions like asset managers and custodians will also face substantial changes.
Basel 2 and 3 are international banking standards that establish capital reserve and liquidity requirements. Basel 2 was published in 2008 in response to bank failures, while Basel 3 was agreed in 2010-2011 to further strengthen regulations after the 2008 financial crisis. The goals are to reduce bank leverage and increase liquidity to minimize risks of future crises. Basel 2 and 3 implement three pillars - minimum capital requirements, supervisory review, and market discipline through disclosure. Basel 3 specifically focuses on bank reserves, risk sensitivity, and liquidity through ratios like the liquidity coverage ratio and net stable funding ratio.
This document provides instructions for uploading a presentation to the website www.slideshare.net. It outlines logging in with a username or email, uploading PowerPoint, PDF or other file formats, and then viewing and sharing the uploaded presentation. The presentation can be saved and continued uploading later.
Dave is a high school teacher responsible for advising 190 senior students on careers and life after school. However, he feels ill-equipped for this role due to a lack of clear guidelines on his responsibilities versus the careers advisor, no budget, and being overwhelmed by the large volume of information from various sources. The students also feel scared and confused by the transition process. The problem is that both teachers and students find it difficult to navigate the overwhelming amount of information needed to assist with the school to work transition.
Internet setting for tata docomo in edubossSim Bapora
To configure internet access in EduBOSS via a Netsetter device, you first need an internet connection through your Netsetter. Plug the Netsetter into your computer, then select the network connection icon in the bottom right corner to choose a new mobile broadband connection. Select your country, internet provider, and plan to apply the connection settings. Once applied, a pop-up screen will confirm the internet connection is active, allowing you to browse the web using the Iceweasel browser.
This document summarizes a new Mexican startup called PaginaDos that operates an online marketplace for used textbooks. It aims to save students money by allowing them to buy and sell used textbooks, with sellers keeping 45% of the sale price and PaginaDos earning a 5% commission. The startup sees a huge market potential, as Mexican students spend over $1.5 billion each semester on textbooks, money that could be saved through their platform. The founding team of three met while studying and have relevant experience in engineering, business, and design.
This document summarizes a social media marketing platform called SocialCompass. It listens to social media conversations in real time, engages users with targeted offers and content, and rewards referrals. Key features include listening across social networks and locations, engaging users with offers and content, and tracking referrals to measure results. The platform has seen success in industries like restaurants, fitness, and retail. It offers white label solutions and influencer marketing campaigns have generated thousands of sales and referrals. Customers have seen improved sales, traffic, and conversions through using SocialCompass.
The document discusses several areas where restructuring of the IMF may be required in the current context of globalization. It suggests that the IMF should 1) make crisis prevention and resolution more integrated, 2) clarify its relationship and roles with the World Bank to avoid overlap, and 3) reduce extraneous roles like work on money laundering. It also recommends reforms to governance structures, surveillance and analysis procedures, lending programs, and financing sources.
1. Over the next ten years, risk management in banks will likely undergo a fundamental transformation driven by six key trends: continued expansion of regulation, changing customer expectations, evolving risk types, advances in technology and analytics, cost pressure, and the need for cultural change.
2. Regulations will broaden and deepen in scope in response to increasing public intolerance for bank failures and misconduct. Customer expectations will rise as technology adoption increases and new competitors emerge.
3. To prepare, banks need to start transforming their risk functions now through initiatives that balance short-term benefits with enabling the target vision for 2025, which may include automated processes, advanced analytics, and changes to recruiting and culture.
The Basel Committee on Banking Supervision was created in 1974 by central bank governors of Group of Ten nations. It meets four times a year at the Bank for International Settlements in Basel, Switzerland. The Basel I Accord of 1988 aimed to strengthen banking stability and consistency. It assigned risk weights to asset classes from 0% to 100%. Basel II, created in response to Basel I limitations, introduced three pillars: minimum capital requirements, supervisory review, and market discipline. Pillar 1 separates credit and operational risk. Pillar 2 covers banks' risk assessments and supervisory review. Pillar 3 mandates risk disclosures. The RBI implemented Basel I in 1993 and Basel II in 2007 for Indian banks, using standardized approaches
This document provides an overview of risk management concepts and frameworks. It defines key risk types such as credit risk, operational risk, market risk, and enterprise risk. It also discusses important risk management standards and regulations such as Basel II, Solvency II, Sarbanes-Oxley, and MIFID. Additionally, it outlines the risk management process and covers topics like risk assessment, analysis, handling, and important risk terms and approaches.
The document discusses operational risk and provides guidance on defining, identifying, measuring, monitoring, controlling, and mitigating operational risk according to the Basel Committee on Banking Supervision. It addresses issues with operational risk loss data and outlines principles for developing an appropriate operational risk management environment, process, and framework. The document also examines challenges with using internal and external loss data for quantifying operational risk capital requirements.
The document discusses the key components and participants in a financial system. It describes how a financial system bridges the gap between those who demand capital (borrowers) and those who have surplus capital (savers). The main participants are identified as households, non-financial corporations, governments, and financial corporations. Households and financial corporations are typically net savers, while non-financial corporations and governments are usually net borrowers. The financial system facilitates capital transfers between these groups through various financial institutions, services, instruments and markets. It also discusses the importance of safety, security and transparency in a financial system.
1) Operational risk management in the banking sector is important due to increased complexity from globalization, deregulation, technology advances and more. It involves identifying, assessing, measuring, monitoring and controlling risks from failures in internal processes, people, systems or external events.
2) Key types of operational risks for banks include internal and external fraud, employment practices, damage to assets, business disruptions, and errors in processes.
3) The operational risk management process involves identifying inherent risks, assessing vulnerabilities, measuring exposures, monitoring risk levels and indicators, and controlling risks through controls, mitigation efforts, and business continuity plans.
The financial system encompasses institutions, markets, participants, instruments, rules, and regulators that enable financial transactions and intermediation of funds. It collects savings from savers and distributes them to investors, stimulating capital formation and economic growth. This process involves savings, finance, and investment, with the volume of capital formation dependent on effective mobilization of savings, efficiency of the financial organization, and channeling of savings into desirable investments.
The document discusses operational risk and Basel II regulations. It defines operational risk as losses from internal failures or external events. It outlines the three pillars of Basel II which establish minimum capital requirements, supervisory review, and market discipline. It describes the different approaches for calculating operational risk capital charges, including the Basic Indicator Approach, Standardized Approach, and Advanced Measurement Approach.
BUSINESS CONTINUITY & DISASTER RECOVERY: LESSONS FROM PALESTINEIAEME Publication
Acts of terrorism and various widespread natural disasters have underlined the substantial risk of major operational disruptions to the financial system. Financial industry participants have common interest in promoting the resilience of the financial system to such disruptions1. The Palestine Monetary Authority2 (PMA) being the regulatory authority for the banking system in Palestine has paid great attention to this vital issue due to its importance to the stability of the Palestinian banking system especially in the light of the huge political risk in Palestine resulting from the Israeli occupation and the impact of occupation on all spheres of the Palestinians' life mainly the economic sector.
Financial Risk Management Framwork & Basel Ii Icmapjhsiddiqi2003
Javed H Siddiqi discusses risk management and the Basel Accords. The document covers:
1) An overview of risk management, including definitions of risk, the risk management process, and assessing risk tolerance.
2) A summary of the Basel I accord, including how it calculated regulatory capital requirements for credit and market risk.
3) An overview of the Basel II accord, which introduced approaches for calculating capital for operational risk and made capital requirements more risk sensitive.
Risk management in banks is important as banks are exposed to various risks in the changing Indian economy. The key risks include credit risk, market risk, operational risk, liquidity risk, and interest rate risk. Effective risk management involves identifying, measuring, monitoring, and controlling risks. Banks must have robust policies, strategies, organizational structures, and systems in place to properly manage risks like establishing risk limits, risk grading, and risk mitigation techniques. Proper risk management is essential for the long-term success of banks.
Basel III is a global regulatory standard that aims to strengthen bank capital requirements and introduce new regulatory requirements on bank liquidity and leverage. It seeks to improve bank capital standards, stress testing, and market liquidity risk. The goals are to minimize the probability of bank failures, ensure banks can absorb shocks from financial and economic stress, and improve risk management. Basel III introduces reforms to bank capital adequacy, stress testing, market liquidity risk, and implements additional capital buffers and leverage ratios. It aims to strengthen the banking sector's ability to absorb losses during periods of financial and economic stress.
Introduction to Operational Risk Management for Bank Junior Officers in Indiamlvenkat
This is an introductory, self-explanatory presentation on Operational Risk Management for Junior officers in Banks in India, illustrated with lots of interesting images to make the concepts easy to understand. Follow the link at the end of the slides to read interesting Op Risk stories compiled from day to day banking, which can be used for group exercise or better personal understanding. (Answers are not given! You have to generate them yourselves or from team members ! ).
(The story on Corporate Banking may appear similar to the recent Banking scam -Feb 2018- in India, but then, similar frauds have been repeatedly happening in one Bank or the other in the last 30 years in India. Neither Commercial Banks in India nor Reserve Bank of India have learnt the operational risk lessons).
You are free to use the slides and my stories for your work.
You can customise the stories to suit your banking environment and/or to add your own Bank stories to build up a library of Op Risk events.
I acknowledge and thank Internet and all original creators for providing cartoons, illustrations, photos, jokes and information which I have liberally used in the PPT.
Aifmd level 2 measures december 2012 cummings finalCummings
The document summarizes key aspects of the Level 2 Measures implementing the Alternative Investment Fund Managers Directive (AIFMD). It describes how the Level 2 Measures provide details on calculating assets under management, leverage, additional capital requirements, general operating conditions, and delegation of functions for alternative investment fund managers (AIFMs) and their funds (AIFs). The Level 2 Measures aim to create a harmonized framework for regulating AIFMs across the EU and ensure high levels of investor protection.
Mifid II will require significant changes across the financial industry as it deepens regulations around market structure, transparency, investor protection, and internal controls. It expands rules for trading obligations, organized trading facilities, transparency requirements, suitability assessments, governance standards, and external reporting. Compliance will involve transforming business models, systems, data, personnel, and processes. The impact will be most significant for banks, broker-dealers, and trading venues, though other financial institutions like asset managers and custodians will also face substantial changes.
Basel 2 and 3 are international banking standards that establish capital reserve and liquidity requirements. Basel 2 was published in 2008 in response to bank failures, while Basel 3 was agreed in 2010-2011 to further strengthen regulations after the 2008 financial crisis. The goals are to reduce bank leverage and increase liquidity to minimize risks of future crises. Basel 2 and 3 implement three pillars - minimum capital requirements, supervisory review, and market discipline through disclosure. Basel 3 specifically focuses on bank reserves, risk sensitivity, and liquidity through ratios like the liquidity coverage ratio and net stable funding ratio.
This document provides instructions for uploading a presentation to the website www.slideshare.net. It outlines logging in with a username or email, uploading PowerPoint, PDF or other file formats, and then viewing and sharing the uploaded presentation. The presentation can be saved and continued uploading later.
Dave is a high school teacher responsible for advising 190 senior students on careers and life after school. However, he feels ill-equipped for this role due to a lack of clear guidelines on his responsibilities versus the careers advisor, no budget, and being overwhelmed by the large volume of information from various sources. The students also feel scared and confused by the transition process. The problem is that both teachers and students find it difficult to navigate the overwhelming amount of information needed to assist with the school to work transition.
Internet setting for tata docomo in edubossSim Bapora
To configure internet access in EduBOSS via a Netsetter device, you first need an internet connection through your Netsetter. Plug the Netsetter into your computer, then select the network connection icon in the bottom right corner to choose a new mobile broadband connection. Select your country, internet provider, and plan to apply the connection settings. Once applied, a pop-up screen will confirm the internet connection is active, allowing you to browse the web using the Iceweasel browser.
This document summarizes a new Mexican startup called PaginaDos that operates an online marketplace for used textbooks. It aims to save students money by allowing them to buy and sell used textbooks, with sellers keeping 45% of the sale price and PaginaDos earning a 5% commission. The startup sees a huge market potential, as Mexican students spend over $1.5 billion each semester on textbooks, money that could be saved through their platform. The founding team of three met while studying and have relevant experience in engineering, business, and design.
This document summarizes a social media marketing platform called SocialCompass. It listens to social media conversations in real time, engages users with targeted offers and content, and rewards referrals. Key features include listening across social networks and locations, engaging users with offers and content, and tracking referrals to measure results. The platform has seen success in industries like restaurants, fitness, and retail. It offers white label solutions and influencer marketing campaigns have generated thousands of sales and referrals. Customers have seen improved sales, traffic, and conversions through using SocialCompass.
This document provides instructions for uploading a presentation to the website www.slideshare.net. It outlines the steps to login with a username or email, upload PowerPoint, PDF or other file formats, and then view and save the uploaded presentation for others to see. The presentation will be publicly visible once processing is complete.
Lee-Anne Walker developed prototypes for two ideas to help senior high school students transition from school to work: 1) Workshops led by experts covering career exploration, CV/interview preparation, and mentorship; and 2) An online portal providing a one-stop resource for career guidance, simulations, and connections to employers. Both prototypes were demonstrated to and received positive feedback from the stakeholder, a teacher, though some questions were raised. Further refinement of the prototypes and testing with additional stakeholders was recommended before pursuing implementation.
The document appears to be a list of artwork by Michael Pivola including oil paintings using different techniques like wet on wet and palette knife. It also includes acrylic, watercolor, mixed media, and charcoal sketches with subjects like roses, forests, and landscapes. Many of the pieces are noted as being works in progress, details, or practice pieces.
This document discusses exponential functions and their applications to modeling compound interest, population growth, radioactive decay, and dating artifacts. It provides definitions of compound interest, continuous compounding, and exponential decay models. Examples are given to illustrate using these models to calculate amounts with compound interest over time, population sizes over generations, radioactive material half-life decay, and estimating the ages of artifacts based on their remaining radioactive carbon.
This document describes a location that is 45 minutes from downtown Chicago, 15 minutes from a shopping mall and Six Flags Great America, and just steps from Lake Michigan. It mentions turbulent times and increasing hostility against Christianity. It encourages the reader to plan, save, and go, and says "See you there!!!" before concluding with "Tapos na po!".
Three key learnings from applying design thinking: 1) The Empathy Map is an effective way to structure interviews and understand stakeholder needs. 2) Forcing a quota of ideas using constraints can result in more creative solutions. 3) Early prototyping helps refine ideas and test empathy. The document also provides suggestions on when and how to use design thinking techniques in various settings like meetings, training, and project initiation through tools like empathy mapping, idea generation, and early prototyping.
This wedding photography company in San Francisco provides more than just taking pictures at weddings. While their basic service is photographing weddings, they aim to exceed expectations by capturing meaningful moments. Visitors to their website can view sample wedding photo montages to see the quality and style of photography they provide.
Films from the Southern Mediterranean Brochure 2013Irene38
This document provides information about three films being screened as part of the Films from the Southern Mediterranean film tour across Ireland from October 6-21, 2013. The films being shown are The Attack, directed by Ziad Doueiri and based on a novel about a Palestinian surgeon whose wife is suspected of involvement in a suicide bombing; Zero, a crime thriller set in Casablanca and directed by Nour-Eddine Lakhmari; and Coming Forth by Day, Hala Lotfy's debut film about a woman caring for her sick father in Cairo. The screenings will take place at the Mermaid Arts Centre in Bray, the Galway Film Society at the Town Hall Theatre, and the Triskel Arts
Systemic Risk Safeguards for Central Clearing CounterpartiesHELIOSPADILLAMAYER
During the financial crisis, the advantages of exchange-traded and centrally cleared derivatives became visible and an increased use of central counterparties (CCPs) was advocated amid their market safety. CCPs were seen as mitigation agents of counterparty, liquidity and operational risk, entities that are able to address information asymmetries, reduce trading complexity and increase operational efficiency and transparency.
The CCP is designed to reduce and assist with managing credit risk, also known as counterparty risk, in the derivative clearing process through a series of financial safeguards or layers of protection (also referred to as the CCP risk waterfall), where each safeguard handles a particular set of risks the CCP faces during its normal clearing activity or when it faces a default event amid a failure of one or several clearing members. Safeguard measures are constructed in such a way that they prevent a negative spillover effect to other members and to the financial markets.
The aim of the paper is to show that the risk waterfall processes used by CCPs can withstand an extended period of stressed market conditions. We design a theoretical framework in order to simulate a CCP risk waterfall and create a hypothetical CCP to empirically test its ability to perform under crisis conditions.
Our empirical study includes a baseline with a 30-day period and scenario tests, which assume that CCP clearing members suffer capital shortfall due to the systemic risk. Results show that while in the baseline scenario all participating clearing members meet capital requirements, several members become undercapitalized in stress tests and are therefore excluded from trading. Furthermore, in situations in which the defaulter’s guaranty fund was not sufficient to cover a shortfall, the CCP first-loss capital and other financial resources are quickly used up and the default management process moves to a further step. This requires mutualization of the loss by non-defaulting clearing members. Another important observation is that CCPs need timely information about the history of a member’s trading behavior cleared by the CCP, their positions in international markets as well as their overall financial health in order to correctly handle vulnerabilities that arise from their undercapitalization.
Lecture held at the University of Trieste School of Law on the relationship between systemic risks and contractual arrangements. The views expressed are of the author only and do not represent in any way the views of the ESRB
This document discusses differences between risk management in corporations versus financial institutions. While financial institutions led the development of modern risk management practices, their risks focus on financial and market risks and are not directly transferable to corporations. Corporations face a wider variety of risks related to their operations. The nature of risks in corporations requires customized risk management practices rather than directly applying financial institution frameworks. Overall, corporations can benefit from certain financial institution practices but need to adapt them to their own business contexts and risk environments.
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This document summarizes a white paper published by DTCC that discusses systemic risks facing the global financial services industry. The paper identifies several emerging risks, including cyber attacks, new financial regulations, high frequency trading, counterparty risk, collateral issues, market quality concerns, liquidity risk, central counterparty concentration, interconnectedness, securities settlement challenges, business continuity risks, shadow banking, and Eurozone risks. It provides an overview of DTCC's role in mitigating systemic risk and the goal of promoting ongoing dialogue around further reducing risks to financial stability.
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The main purpose of this Dissertation is to discuss two fundamental pillars of the new European Market Infrastructure Regulation: the Central Clearing Regime for standardised OTC derivatives contracts, and the Risk Mitigation Techniques that participants must implement when trading non standardised derivatives products.
MSc in Law & Finance Dissertation
Year 2014
Tracking Variation in Systemic Risk-2 8-3edward kane
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Facing increased regulatory oversight, more banks are opting for an integrated collateral management system that facilitates collateral optimization in coordination with central clearing counterparties (CCPs).
Not Too Big To Fail – Systemic Risk, Regulation, and the Economics of Commodi...Trafigura
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About the author
Craig Pirrong is a professor of finance and the Energy Markets Director for the Global Energy Management Institute at the Bauer College of Business at the University of Houston. His research focuses on the economics of commodity markets. He has published over thirty articles in professional publications and is the author of four books. He has also consulted widely for clients including electric utilities, commodity traders, processors and consumers and commodity exchanges
(Trafigura, March 2015)
Watch the video: Professor Pirrong discusses white paper: “Not Too Big To Fail – Systemic Risk, Regulation, and the Economics of Commodity Trading Firms”
http://www.trafigura.com/research/not-too-big-to-fail-systemic-risk-regulation-and-the-economics-of-commodity-trading-firms/
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Financial reporting for financial instruments and institutions is undergoing significant changes as standards have been implemented to improve transparency. These standards require more fair value accounting and enhanced disclosures of risks. To fully analyze financial instruments, users must understand how fair value accounting describes instruments while also considering sensitivity analyses and risk disclosures. Financial institutions provide useful contexts for learning to analyze a variety of financial instrument transactions and histories.
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The document discusses ISDA's Standard Initial Margin Model (SIMM) methodology for calculating initial margin requirements for non-centrally cleared OTC derivatives. It describes how SIMM works by decomposing portfolios into risk factors and calculating sensitivities that are scaled and aggregated. Implementing SIMM requires financial institutions to consolidate trade data, choose a system to perform calculations, manage disputes, and import dynamic risk weights and correlations from ISDA. The changes require significant adjustments to businesses processes and systems.
CH&Cie Risk Regulation and Strategy Occasional Papers Number 1 - vfinale - 15...Alexandre Kateb
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With the balance in supply and demand in traditional financial market structure deteriorating, the buy side community is facing a variety of challenges. Increasing costs for the banks driven by new regulatory requirements translate into higher fees, wider spreads or even service reductions for the buy side not only for derivatives, but also for securities financing transactions. Additionally the concentration of banks offering client clearing creates challenges with regards to counterparty risk concerns and porting in case of a Clearing Member default.
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White Paper: "How central counterparties strengthen the safety and integrity of financial markets" | CCP | Eurex Clearing
1. How central counter-
parties strengthen the
safety and integrity of
financial markets
Published by Deutsche Börse Group and Eurex Clearing
FSX088_Report Deutsche Börse_140616HMB_02_Titel.indd 1 04.07.2014 08:59:44
2. The benchmark industry: an introduction and outlook2
Executive summary
Preface
1. Regulatory efforts addressing systemic risks
2. How CCPs reduce systemic risk in the financial system
2.1 CCPs as independent risk managers
2.2 Addressing interconnectedness
2.3 Protecting market participants from clearing member defaults
3. Ensuring the safety and integrity of CCPs
3.1 Setting highest quality standards for CCPs
3.2 Absorbing shocks in the financial system
3.3 Strengthening market structure in cleared markets
3.4 Recovery and resolution plans as last resort
4. Conclusion
Glossary
List of exhibits
References
List of abbreviations
3
4
5
9
10
12
14
17
18
22
24
26
29
30
32
33
36
FSX088_Report Deutsche Börse_140616HMB_02_Titel.indd 2 04.07.2014 08:59:44
3. How central counterparties strengthen the safety and integrity of financial markets 3
Executive summary
The financial crisis in 2008 unearthed three root
causes of systemic risk: excessive risk taking, inter-
connectedness of market participants, and insuffi-
cient collateralisation. Following the financial crisis,
regulators, policy makers and market participants
have put tremendous efforts in addressing systemic
risk in order to prevent future crisis and the associated
high costs for the public. The primary tool for doing
this is central clearing via central counterparties (CCPs),
focusing on a clearing obligation for over-the-counter
(OTC) derivatives, which will increase the importance
of CCPs.
In light of these developments, the time is right for
a fact-based review on CCPs and how they contrib-
ute to the safety and integrity of financial markets,
particularly with respect to reducing systemic risk.
Essentially, a CCP is a mechanism to handle coun-
terparty credit risk. By making the default manage-
ment and loss allocation explicit, a CCP creates the
system through which contagion and uncertainty can
be mitigated. Central clearing thus brings a market
together, and establishes both individual and mutual
incentives for its users to safeguard the market. If one
wants to address systemic risks, one needs CCPs.
CCPs are not risk takers or investors in the sense of
their members, but they do concentrate risk man-
agement. While it is highly desirable to do so in a
neutral party, it requires strenuous CCP governance
and prudent risk standards.
This white paper finds that central clearing signifi-
cantly reduces systemic risks and their amplifying
factors in financial markets in several ways: CCPs
serve the financial system in a unique way as trans-
parent independent risk managers. They prevent the
build-up of excessive risk. A centrally cleared market
structure reduces interconnectedness of market par-
ticipants. Because CCPs’ multiple lines of defence
are available to serve as loss absorbers, they miti-
gate defaults and protect the market against shocks
that would otherwise have devastating effects in an
un-cleared market with insufficient collateralisation.
This white paper also stresses the pre-requisites for
CCPs to perform their important function. CCPs must
adhere to the highest quality standards, as, for ex-
ample, set out by EMIR. These include governance
and incentive structures, prudent risk management
standards, high quality operational capabilities and
liquidity arrangements. Last but not least, CCPs must
continue to serve as trusted, stable counterparties by
providing transparency to their users and stakeholders.
To ensure that CCPs can respond appropriately if con-
fronted with unprecedented and unforeseen events,
mechanisms and tools shall be in place that enable
the recovery of viable CCPs and the resolution of un-
viable ones. These recovery and resolution plans will
ensure that in scenarios that overwhelm expectations,
CCPs are a mechanism to manage their impact and
mitigate uncertainty, as well as ensure positive ex
ante incentives for the CCP and its participants.
CCPs have proven their capabilities in the past finan-
cial crisis, and the extension of their use for previ-
ously lightly regulated and under-collateralised mar-
kets is underway. In anticipation of this, CCPs have
been refined and improved through various regula-
tions to enshrine their best features, and work is
underway to establish robust back-stop measures.
To conclude, the use of well-designed CCPs will create
a resilient financial market structure, suited to handle
crises in a controlled and effective manner.
4. How central counterparties strengthen the safety and integrity of financial markets4
Preface
This white paper is the third in a series from Deut-
sche Börse Group and Eurex Clearing on the global
derivatives market. “The Global Derivatives Market
– An Introduction” was published in 2008 and “The
Global Derivatives Market – A Blueprint for Market
Safety and Integrity” followed in 2009, which out-
lined the imperatives for the derivatives market struc-
ture. Together, these publications built a solid foun-
dation for understanding derivatives markets and
accompanying risks, as well as potential risk mitiga-
tion measures.
Since 2009, a new regulatory regime is being pro-
gressively introduced. Its overarching goals are in-
creasing the stability of financial markets, in particular
by reducing systemic risk. The implementation of
these regulations, especially the clearing obligation
for over-the-counter (OTC) derivatives, increases the
importance of central counterparties (CCPs) in finan-
cial markets. Based on the significant role of CCPs,
the time is right for an evidence-based discussion
concerning the role of CCPs in strengthening the safety
and integrity of financial markets, and specifically
their systemic risk mitigation.
Building on the previous white papers on the deriva-
tives markets, this white paper focuses on how cen-
trally cleared markets1)
and CCPs manage systemic
risk, with a focus on the OTC derivatives market and
the regulatory environment of EMIR.
1) „Clearing means the process of establishing positions, including the calculation of net obligations, and ensuring that financial instruments, cash, or both, are available
to secure the exposures arising from those positions“ (See EMIR Article 2, Paragraph 3). For a more detailed description of the derivatives value chain next to clearing
see Deutsche Börse Group 2008.
5. How central counterparties strengthen the safety and integrity of financial markets 5
1. Regulatory efforts addressing systemic risks
In recent years, tremendous energy has gone into
improving the resilience of the global financial system.
A prime objective of these efforts was to eliminate
systemic risk, which was widely seen as exacerbat-
ing the crisis, if not creating it. Systemic risk can be
defined to be the risk that the failure of one counter-
party has adverse effects on other market participants,
potentially threatening the functioning of an entire
market or of the financial system as a whole.2)
The financial crisis in 2008 has shown the devastat-
ing effects of systemic risk: market participants that
were considered “too big to fail” had to be recapital-
ised to avoid losses for their counterparties and preserve
critical services. As a consequence, tax payers were
confronted with high costs for the bail-out of financial
institutions and the overall economy suffered from
disruptions in the efficient allocation of capital.3)
Three root causes of systemic risk became apparent
in the financial crisis of 2008:
excessive risk taking
interconnectedness of market participants
insufficient collateralisation of market and credit risk
Excessive risk taking by market participants has been
a major problem during the financial crisis. Risk taking
is excessive if a counterparty is clearly unable to ab-
sorb the potential losses of its activities. Reasons for
excessive risk taking are not limited to misaligned incen-
tives, but also deficiencies in controlling and pricing
risk. Inadequate transparency on the magnitude and
location of risk hinder any attempts to control and value risk.
Interconnectedness of market participants means
the threat of a domino effect among market participants.
The failure or suspected failure of a single counterpar-
ty impacts other market participants, threatening, in
turn, their own viability. Threats from interconnected-
ness are compounded if the exposures and loss
transmission between counterparts are opaque. During
the recent crisis, uncertainty and loss of confidence
was in particular amplified by OTC derivatives, and
the lack of organised and readily available information
on the actual counterparty credit risk exposure exac-
erbated concerns about the major counterparties’ poten-
tial defaults on each other.
Last but not least, insufficient collateralisation of
market and credit risk drives systemic risk in a mar-
ket.4)
A key concern is if risk models are adequately
considering potential worst case scenarios. Is the risk
protection consisting of capital and liquidity sufficient
to buffer financial market shocks? In the financial cri-
sis many risk models proved to be inadequate.
Regulators, policy makers and market participants
alike are addressing these concerns about both market
structure and risk management in order to prevent
systemic risk build up ex ante, and mechanisms to
handle it in times of crisis. Regulatory reforms are in
particular focusing on the OTC derivatives market, as
this only lightly regulated market took centre stage as
a weak point during the crisis.
A review of the functioning of OTC derivatives markets
during the financial crisis revealed severe weaknesses
in risk mitigation and bilateral clearing.5)
These issues,
coupled with general opacity and operational short-
comings, made the OTC markets a source of uncer-
tainty and compounded the crisis.
2) See Bank of England 2014 and European Commission 2012
3) See European Commission 2012
4) See European Commission 2009 b
5) See European Commission 2009 a
6. How central counterparties strengthen the safety and integrity of financial markets6
To address these shortcomings, CCPs have been ad-
vocated around the world, because they had proven
their contribution to increasing safety of financial
markets by providing assurance to their members
and enabling trading to continue without equivalent
counterparty credit risk concerns. Along these lines,
the G20 leaders stated after their summit in Pitts-
burgh in 2009 that they want to improve the OTC
derivatives market by central clearing with regulatory
implementation aiming to “improve transparency in
the derivatives markets, mitigate systemic risk, and
protect against market abuse”.6)
The implementation
of several regulations to improve the resilience of fi-
nancial markets has started since then (Exhibit 1).
Following the progressive implementation of the new
regulatory regime, the market structure of the deriva-
tives market has already begun to change. The share
of central clearing has substantially increased since
Deutsche Börse Group has first addressed the topic of
risks involved in the derivatives market in its white
paper „The Global Derivatives Market – A Blueprint for
Market Safety and Integrity“ 2009.
6) G20 Information Centre, 2009
1) Expected starting date of progressive implementation
International regulation/principles Major regional regulation/principles
2012 2013 2014 2015 2016 2017
Dodd-Frank Act
Clearing obligation
of standardised
OTC derivatives
CPSS-IOSCO
Principles for
financial market
infrastructures
CPSS-IOSCO1)
Recovery and
resolution of
financial market
infrastructures
BCBS-IOSCO1)
Margin require-
ments for non-
centrally cleared
OTC derivatives
EMIR
I.a. risk manage-
ment require-
ments for CCPs
CRD IV
I.a. higher capital
requirements for
OTC derivatives
EMIR1)
Clearing obligation
of standardised
OTC derivatives
MiFID II/MiFIR
Higher trans-
parency of OTC
derivatives market
Exhibit 1: Start dates of progressively implemented OTC derivatives market regulations
7. How central counterparties strengthen the safety and integrity of financial markets 7
By mid-2013, OTC derivatives still constituted the
largest fraction of the derivatives market, although
a greater portion of OTC derivatives were centrally
cleared. Furthermore, the collateralised exposure
was larger than the uncollateralised exposure (Exhibit 2 a).
As the reforms are further implemented, the share of
centrally cleared OTC derivatives is expected to grow
(Exhibit 2 b).
Risks remain in the non-centrally cleared OTC derivatives market
Approximately $170 trillion of notional value in OTC derivatives would remain in the non-centrally cleared market, assuming that
central clearing had already realised its full potential by mid-2013, i.e. that 75 per cent of all OTC derivatives were centrally cleared.
With the conservative assumption that the relation of exposure to notional outstanding remains constant, netted counterparty
credit exposure in the non-centrally cleared market would amount to approximately $2 trillion.7)
These large exposures show that
risks remain in the non-centrally cleared market with banks and shadow banks. This is critical in the light of potential failures of
financial institutions, particularly with regards to the shadow banking space.
7) Ratio of exposure to notional outstanding is calculated with BIS 2013, ISDA 2013, ISDA 2014 b and FSB 2013 a data.
Global
derivatives
market
Notional outstanding Exposure
OTC
derivatives
Exhibit 2a: The derivatives market today
June 2013
Non-centrally
cleared OTC
derivatives
80%
20%
Collater-
alised
Under
collater-
alised
$4 tn
91%
9%
OTC
Exchange-
traded
= 100 %$762 tn
40%
60%
Non-
centrally
cleared
Centrally
cleared
$693 tn
Source: BIS 2013, FSB 2013 a, ISDA 2013, ISDA 2014 a, ISDA 2014 b
Exhibit 2 b: Outlook of central clearing of OTC
derivatives
Extent of central clearing of OTC derivatives in terms of notional
outstanding
Centrally cleared
60%
75%
69%
Non-centrally cleared
40%
25%
31%
Expected1)
June 2013 Potential
1) Expected level of central clearing once the clearing obligation is implemented.
Source: FSB 2013 a, ISDA 2013, ISDA 2014 b, Macroeconomic Assessment Group
on Derivatives 2013
8. How central counterparties strengthen the safety and integrity of financial markets8
In light of the regulatory efforts and public concerns
about systemic risk of derivatives markets, this white
paper reviews how CCPs reduce systemic risks in finan-
cial markets and the resilience of CCPs themselves.
The following chapter discusses in detail how CCPs
mitigate systemic risk. Ensuring that CCPs and their
risk mitigants are prudently structured, managed
and operated, in order to fulfil their tasks effectively
is core to Chapter 3. The final chapter presents the
key conclusions.
8) See Bernanke, B. 2011
9) See CPSS 2013, CCP12 2013, ESMA 2014 a, ESMA 2014 b, FSB 2013, FOA 2013 and CCP websites
10) See ESMA 2014 a
11) See Deutsche Börse Group 2009. The white paper provides an overview of the financial instruments universe.
12) See Macroeconomic Assessment Group on Derivatives 2013
13) See FSB 2013 b
Establishes, records and ensures
the processing of its users’
obligations
Exhibit 3: Differences between clearing houses, CCPs and qualifying CCPs
Clearing house CCP Qualifying CCP
Description Interposes itself legally between
the counterparties of a trade
Ensures the future performance
of positions through counterparty
credit risk management
Registers with regulators to operate as
a qualified CCP
Complies with CPSS - IOSCO principles
for financial market infrastructures
Capital requirements
for trade exposures
History
1) Based on the standardised approach to credit risk
Source: BCBS 2006, BCBS 2014, Bank of England – Rehlon, A./Nixon D. 2013, EACH 2009, Norman, P. 2011
Additional characteristics
Depending on the credit rating of
the CCP
Risk weights range between 20 %
and 150 % of trade exposure1)
Depending on the credit rating of
the counterparty
Risk weights range between 20 %
and 150 % of trade exposure1)
Since the early 20th century Since the 19th century
Risk weight of 2 % of trade exposure
Currently being introduced
+
+
+
Central clearing and the CCP landscape
Central clearing is not a recent innovation. Its long-standing tradition dates back to the late 19th century, in the form of commodity
clearing houses. Ben Bernanke, former chairman of the U.S. Federal Reserve, stresses that “[for] more than a century, financial
stability has depended on the resilience under stress of clearing houses and other parts of the financial infrastructure.”8)
The evolu-
tion of financial market infrastructures (FMIs) involved in central clearing started with clearing houses and has advanced to CCPs
and, most recently, qualified CCPs. These forms of FMIs are different with regards to their legal position in the clearing market, the
risk management standards they have to fulfil and the capital requirements their counterparties face (Exhibit 3).
The CCP landscape is global, with a large share of derivatives traded and cleared in Europe and North America. Globally there are
around 100 CCPs, of which 28 are based in Europe and 20 in North America.9)
Prominent CCPs are, for example, CME Clearing,
Eurex Clearing, ICE Clear and LCH.Clearnet. Of all global CCPs, 32 CCPs from outside of Europe have applied for recognition under
EMIR.10)
Some CCPs are focused on a single country or region, while others cover multiple geographies. Likewise, CCPs can focus
on a single product category or many different ones.11)
The variety of CCP set-ups has implications for comparisons of centrally and
non-centrally cleared markets. For example, large multi-product CCPs are more likely to achieve higher netting efficiencies.12)
Following
the recent drive to clear more OTC derivatives centrally, 25 CCPs had built up the capabilities to clear OTC derivatives by mid-2013.13)
9. How central counterparties strengthen the safety and integrity of financial markets 9
2. How CCPs reduce systemic risk
in the financial system
Systemic events evolve differently in centrally and
non-centrally cleared markets, because of the dis-
tinct characteristics of CCPs and market participants,
as well as the underlying market structures. These
differences determine how effectively systemic events
can be mitigated.
The following chapter details how CCPs mitigate the
three root causes of systemic risk as shown in Exhibit 4.
Firstly, it is shown how CCPs prevent excessive risk
taking by being independent risk managers. Sec-
ondly, it is described how the effect of a CCP’s cen-
tral position in the market reduces interconnected-
ness of market participants. Thirdly, it is explained
how CCPs work as shock absorbers and thus avoid
domino effects and uncertainty that are caused by
counterparty defaults.
Exhibit 4: How CCPs reduce systemic risk in the financial system
Mitigation of systemic risk by central counterparty clearing
CCPs as independent risk managers
Neutral valuation of risk exposure at current market prices
Enforcement of independently determined collateralisation levels
Addressing interconnectedness with central clearing
Novation of contracts to reduce interconnectedness
Reducing risk exposure by multilateral netting
Protecting market participants from clearing member defaults
Insuring against tail risks by robust lines of defence
Reducing the impact of default by a transparent default management process
Root causes of systemic risk
… prevents …
… lowers …
… mitigates …
Excessive risk taking
Interconnectedness of market
participants
Insufficient collateralisation of
market and credit risk
10. How central counterparties strengthen the safety and integrity of financial markets10
14) Eurex Clearing‘s intra-day margining provides real-time position and price updates based on an intra-day risk valuation which uses current prices and volatilities.
CCPs are independent risk managers, because they
only step into a trade concluded between two of their
members, but do not trade on their own. By interpos-
ing themselves as the legal counterpart to both the
original buyer and seller, the CCP assumes the perfor-
mance of the transaction should one of the original
trading parties fail. The original trading parties enjoy
or suffer the normal profits and losses of the trades,
passed between them through the CCP. The CCP‘s
main source of income is fees based on these transac-
tions, supplemented with various other services such
as collateral management charges. Hence, the CCP is
neutral to the profits and losses from the contract, but
it bears the risk of losses while ensuring the surviving
member’s trade in the event of a counterparty default.
To guard against such possible losses, CCPs charge
“margin” collateral from the original trading parties.
The essential construction of a CCP is that it charges
clearing members collateral regardless of their counter-
party risk. The collateral reflects the CCP‘s expected
worst-case losses required to guarantee fulfilment of
the side of the trade towards the non-defaulter. As
such, the CCP is a guarantor of contracts towards its
non-defaulting members, and must ensure it can
manage any default(s).
Neutral valuation at current market prices
The independent position of CCPs is reflected in the
transparency of their valuation of all positions, includ-
ing OTC derivatives. The pricing methodology CCPs
use are the same for any participants with the same
trade, and are included in the CCP reporting to the
parties. No counterparty is favoured over another.
Accurate pricing is essential to ensure that CCPs correctly
collateralise the trades, so that affected members
pay and receive the correct sums in the variation
margin process. The profits and losses, or “variation
margin”, is exchanged at least daily between the two
sides of the trade through the CCP to ensure that losses
do not accumulate. In centrally cleared markets, all
members and clients with the same trade exchange
variation margin based on the same transparent valua-
tion. If the valuation were incorrect, systemic risk
would build up because the risk exposure would not
be accurately reflected in the collateralisation of the
transactions.
Enforcement of independently determined collater-
alisation
In addition to the variation margin process to cover
the current valuation of the contracts of their mem-
bers, CCPs also charge collateral, called “initial mar-
gin”, to reflect possible future changes in the value
of the contracts. Its level reflects possible close-out
costs of a position and ensures that the CCP is able
to fulfil its guarantee towards its non-defaulting clear-
ing members. Position and price changes are consid-
ered continuously, preferably on a real-time basis.14)
This means that any clearing member must have
sufficient collateral placed at the CCP at all times for
the risk inherent in their open positions, as determined
by the CCP. As the CCP faces possible losses in case of
default of a clearing member, it is strongly incentivised
to set margin requirements conservatively.
2.1 CCPs as independent risk managers
11. How central counterparties strengthen the safety and integrity of financial markets 11
While there is a funding cost to clearing members
related to margining of trades, prudent levels of collater-
alisation benefit them since it provides insurance against
the impact of the default of a clearing member. This
substantially reduces the counterparty credit risk, which
the CCP transforms into margin requirements towards
its members. This has the positive effect of ensuring
that members cannot undertake risks which they cannot
afford to collateralise.
Closing out concentrated positions, or large market
shares, is generally harder. Typically, CCPs scale their
initial margins for concentrated positions, demanding
higher margins for positions with more difficult close-
outs. These proven measures have also been incorpo-
rated in the latest CCP legislation.15)
In contrast, monitor-
ing and managing concentration risk in non-centrally
cleared markets is much more difficult, as informa-
tion on true market share and positions are not visible
even to direct counterparties and no central function
exists for this.
AIG case study: Excessive risk taking and lack of risk management skills
The history of American International Group (AIG) demonstrates the potentially devastating effect of insufficient risk management
due to diverging incentives and lack of skills within a risk-taking financial institution. AIG, the largest industrial and commercial
insurer in the US in 2007, was brought to the edge of collapse by inadequate risk management of a credit default swap (CDS)-
issuing subsidiary.16)
This subsidiary built up a derivatives portfolio with a notional value of $2.7 trillion, including around $440 billion
of CDS, without properly managing the risk of the portfolio internally or being required to put up sufficient collateral.17)
In other
words, AIG’s subsidiary effectively sold insurance without the ability to absorb losses.
Next to diverging incentives, AIG suffered from a lack of risk management skills: In August 2007, Joseph J. Cassano, Head of AIG
Financial Products Division, stated that “it is hard for us, without being flippant, to even see a scenario within any kind of realm of
reason that would see us losing one dollar in any of those transactions.”18)
Eventually, the US government had to bail out AIG with
$182 billion in 2008 to avoid a collapse of this systemic institution.19)
This experience demonstrates that financial institutions are
inclined to take on risks and how misalignment of incentives between business units and the risk management function can lead
to high systemic risk in the market.
However, the excessive risk of the CDS portfolio of AIG was not only caused by failure of internal risk management. The bilateral
counterparties of AIG’s subsidiary did not require appropriate collateralisation of CDS transactions, given AIG’s AAA credit rating.
In contrast, a CCP would have initially demanded collateralisation to cover the risk exposure despite AIG’s exemplary credit rating.20)
Accordingly, the International Monetary Fund (IMF) noted in 2010 that AIG’s uncollateralised exposures would not have grown
systemically critical had there been appropriate collateralisation, as demanded by CCPs.21)
15) See EMIR Technical Standards 2013 Article 52
16) CDS are derivatives that insure against the default of a market participant and may thus be linked to the business of an insurance company.
17) See Norman, P. 2011
18) See New York Times 2008
19) See U.S. Treasury 2012
20) See Norman, P. 2011
21) See IMF 2010
12. How central counterparties strengthen the safety and integrity of financial markets12
In the event of one or several member defaults, a
CCP protects other market participants by reducing
interconnectedness, one root cause of systemic risk,
in two ways: firstly, with a CCP stepping into their
trades, market participants face a smaller number of
“pure” risk managers. The CCP which replaced their
original counterpart is known to transparently keep
collateral from the original trading counterparties to
secure the trades; secondly, they reduce risk exposure
of market participants via multilateral netting.
Novation of contracts
CCPs legally step into the trades of market partici-
pants in a process called novation and replace the
original counterparties’ exposure to each other with
that of the CCP. Consequently, for cleared deriva-
tives, market participants face a smaller number of
counterparties, given the limited number of CCPs.
This reduces interconnectedness amongst trading
participants.
In case of a default, only the CCP is directly affected,
while other market participants remain uninvolved
(Exhibit 5). The CCP and non-defaulting members’
mutual contributions are affected if the CCP’s default
management process and margin from defaulting
member did not suffice. The desire to minimize con-
tagion from a defaulter by CCP and its members,
once its effect is made transparent, is one of the
built-in incentive and governance structures that has
historically maintained high risk standards in centrally
cleared markets. Of course, the transparency of the
CCP, in particular in terms of their risk management,
mitigates any panic from counterparty uncertainty as
to the safety of their trades.
2.2 Addressing interconnectedness
Exhibit 5: Effect of a counterparty default in a non-centrally and centrally cleared market
Default in a non-centrally cleared market Default in a centrally cleared market
CCP
Unaffected counterpartyAffected counterparty Defaulting counterparty
13. How central counterparties strengthen the safety and integrity of financial markets 13
Interconnectedness is further mitigated by CCPs as
they also protect the clients of their members from
losses in a default. So-called client asset segregation
protects clients as it segregates the clients’ assets and
accounts, which are separated and shielded off from
their clearing members.22)
These clients are typically
smaller banks and financial institutions, which are
not directly linked to a CCP but rely on its services via
an intermediary – the clearing member. If a clearing
member defaults, its clients’ segregated positions and
collateral will not bear losses since their collateral will
not be part of the insolvency estate. A defaulting clear-
ing member is consequently “ring-fenced” in centrally
cleared markets so that its clients are not directly affected.
Reducing risk exposure by multilateral netting
In addition to directly reducing interconnectedness,
central clearing allows for multilateral netting. Multi-
lateral netting means that a clearing member’s con-
tracts can be netted with all its counterparties via the
CCP. Without a CCP as an intermediary, two counter-
parties would only be able to net their mutual out-
standing claims (bilateral netting). CCPs thus reduce
the overall risk exposure for derivative market partic-
ipants.23)
Netting efficiency increases with the number and vol-
ume of contracts that can be netted against one an-
other. Therefore, netting efficiency increases in line
with the increasing use of CCPs in the derivatives
market. Netting efficiency can be further enhanced if
CCPs clear multiple asset classes.
Together, fewer, better connections and reduced total
risk exposure lowers the interconnectedness of mar-
ket participants, fostering stability and clarity during
market turmoil.
22) EMIR Article 39 obliges CCPs to keep segregated records and accounts for each client of a clearing member. Clients have a contractual relationship with a clearing
member of a CCP enabling the client to clear its transactions with that CCP. The CCP collects the required collateral via the clearing member.
23) See Bernanke, B. 2011
Protection of client accounts by asset segregation
Client asset segregation protects the collateral of its clients if a clearing member defaults. In addition, positions and collateral are
portable, meaning that they can be transferred from the defaulting to a non-defaulting clearing member so that they do not need
to be closed out after a clearing member’s default. This system thus extends security to the clearing member’s clients. The ease
of portability depends on the choice of the asset segregation model. Individual client asset segregation fosters portability because
each client can choose its own new clearing member. A second approach is omnibus client asset segregation. In that case, all
clients agree to be ported to a single clearing member who accepts the pool of clients.
14. How central counterparties strengthen the safety and integrity of financial markets14
CCPs can mitigate the build-up of excessive risk and
reduce interconnectedness for the markets cleared
through them, but market participants can and do still
default. If a clearing member defaults, CCPs protect
non-defaulting clearing members and serve as shock
absorbers for them. To provide a secure guarantee of
the contracts towards the non-defaulting parties, CCPs
employ the margins of the defaulter and its lines of
defence – additional funds from the CCP and its members
to protect against extreme tail events. To rebalance the
CCP, a robust default management process is undertaken.
Insuring against tail risks by robust lines of
defence
CCPs are designed to effectively protect clearing
members and their clients against the effects of a
member default (and its clients). In case the collateral
of the defaulting clearing member is insufficient to
cover losses, CCPs and their clearing members use
mutual funds. Jointly covering tail risk scenarios is
more effective than covering these scenarios individu-
ally, which increases the safety of clearing members
and the CCP. These substantial funds make a CCP far
safer than simply charging members margin. Stated
differently, contrary to non-centrally cleared markets,
clearing members are additionally protected against
market and credit risk by CCP‘s multiple lines of defence
that absorb the impact of a default (Exhibit 6).
Absorbing shocks by the defaulting member’s
margins
Any losses caused by the closing of a position are
first covered by margins of the defaulter. CCPs charge
2.3 Protecting market participants from clearing
member defaults
Position closing
Initial margin
Default fund contribution of defaulting member
Dedicated CCP resources
Default fund contribution of all members
Replenishment of default fund by all members
Additional CCP resources
Recovery and resolution plan
Variation margin
Exhibit 6: A CCP’s lines of defence
Loss allocation to reduce the impact of a clearing member default
Losses covered
by the defaulting
clearing member
Losses covered
by the CCP and
by all clearing
members
conservative initial margins and cover the expected
market exposure with a minimum of 99.5 per cent
confidence for OTC derivatives in line with EMIR,
although the actual confidence levels are often more
conservative in practice. The losses of recent defaults,
such as Lehman Brothers and MF Global, were cov-
ered by initial margin and thus did not affect other
clearing members or CCPs.24)
Clearing members are also obliged to contribute to the
CCP’s default fund. This contribution usually consists
of a standard minimum plus an amount proportional
to the risk exposure. If a clearing member defaults, its
contribution mitigates losses not covered by its margin
before the CCP’s dedicated resources are touched.
24) MF Global was a major global financial derivatives broker which defaulted in 2011 after running out of liquidity. Reasons for illiquidity included an aggressive trading
strategy and inadequate risk management. See Financial Times 2011
15. How central counterparties strengthen the safety and integrity of financial markets 15
25) See EMIR Article 45 for an example of relevant regulation
26) See EMIR Article 42 and Article 43 for default coverage requirements
27) For example, replenishment can be based on the initial default fund contribution of the respective clearing member, whereby the obligation typically ranges between
100 per cent and 275 per cent of the initial contribution. The obligation can also rely on other criterion, such as stress-testing scenarios. See Bank of England –
Elliot, D. 2013 a
28) Based on Eurex Clearing, CME Clearing, ICE Clear Europe, LCH.Clearnet (retrieved from company website)
Absorbing shocks by loss mutualisation
If the defaulting clearing member’s margins and con-
tribution to the default fund are insufficient to cover
losses, the CCP’s resources and loss mutualisation
via the default fund prevent losses from spreading
in an uncontrolled manner.
CCPs must inject a substantial share of their reserves
to mitigate the losses before mutualising them among
clearing members. The CCP has “skin in the game” –
not only an additional line of defence, but also a strong
incentive for prudent risk management.25)
The next line of defence is the remaining default fund
of all clearing members. The default fund and other
pre-funded resources of the CCP are calibrated so as
to withstand at least the default of the worst two mem-
bers in extreme but plausible scenarios.26)
A CCP’s
default fund shares the losses across all clearing mem-
bers and thus acts like an insurance scheme for tail
risk in financial markets. CCPs may request clearing
members to replenish the default fund, though typi-
cally to a capped amount.27)
Such lines of defence are a robust mechanism to
absorb a default of clearing members. They ensure
that for all except the most extreme scenarios, non-
defaulters are unaffected. If the defaulter’s collateral
was exhausted in a severe tail event, then the mu-
tualisation provides a deep pot by spreading the im-
pact to a wide range of members in small chunks.
Reducing the impact of default by a transparent
default management process
A crucial feature of the CCP risk mitigation tools is
the default management process. This process must
be, as with the other components of CCPs, transparent
and have a strong legal basis. While flexibility to re-
spond to crisis is highly desirable, CCPs and their
members have an established default management
process that follows a clear structure – as opposed
to the disorderly wind-down in non-centrally cleared
markets. This transparency limits uncertainty and
fosters confidence in reliable default handling.
The first step in the default management process is
to begin the transfer process of the defaulting clear-
ing members’ clients. This includes separating client
assets and thus assuring all market participants that
the default will not directly lead to domino effects.
By offering segregated accounts in line with EMIR,
CCPs protect non-defaulting clearing members and
clients from the impact of default of another clearing
member (see box on client asset segregation). Posi-
tions and the corresponding collateral of clients of
the defaulting clearing member are transferred – or
Replenishment of a default fund
The following example illustrates the extent of a clearing member’s potential replenishment exposure. In 2012, the average de-
fault fund for a leading CCP was roughly €2.8 billion.28)
Conservatively assuming that the largest clearing member accounts for
10 per cent of this exposure and a capped default fund can be replenished twice, the maximum replenishment obligation of the
largest non-defaulting clearing member is roughly €560 million.
16. How central counterparties strengthen the safety and integrity of financial markets16
“ported” – to stable clearing members.29)
By contrast,
in non-centrally cleared markets, the positions of a
defaulting institution and its clients are not subject
to a standard default process defined by a central in-
stitution, but are subject to individual and bilateral legal
arrangements among the involved parties. The insol-
vency of a broker in non-centrally cleared markets
typically results in clients facing restricted access to
their accounts, which poses a significant risk for
market stability.30)
The second step for the CCP is to rebalance its books,
after the side of a trade between the CCP and the de-
faulting member is terminated. This termination is im-
mediate for CCPs, based on its rulebook which outlines
the triggers. Once such a trigger is ascertained, the CCP
will re-establish identical contracts with other mar-
ket participants. This process is generally completed
between two to five days, with the CCP hedging the main
market risks before holding auctions for sub-portfolios.
In comparison, for bilateral markets, each counter-
party of the defaulter must conduct its own termina-
tion. Exhibit 7 illustrates with the example of Lehman
how long the process to settle non-centrally cleared
derivatives can take. Such a delay can lead to signif-
icant uncertainty and increase the risk of contagion,
as counterparties do not have access to potential claims
which proceeds they might need to fulfil their own
obligations.
Under the ISDA Master Agreement, which is the legal
basis for most non-centrally cleared OTC derivatives,
contracts are only automatically terminated in case of
default if they include an automatic early-termination
clause.31)
Otherwise, non-defaulting counterparties
have the right to individually determine a termination
date and hence valuation date for settlement within a
certain timeframe.32)
If the defaulter has an unrealised
gain in the transaction, non-defaulting counterparties
can also choose not to terminate the contract for a cer-
tain time period while withholding periodic payments.
This flexibility unfortunately leads to legal disputes and
lengthy settlement periods as seen after the default of
Lehman Brothers, when the settlement of non-centrally
cleared contracts took several years.33)
In summary, the structural advantages of centrally
cleared markets combined with the effective mitigation
of the impact of systemic events by CCPs outlined
above explain why CCPs can be regarded as “systemic
risk managers”.34)
29) Portability might not be feasible due to, e.g., different jurisdictions and client requirements of clearing members. If portability is not feasible or desired, the clients‘
contracts go through the same process as the positions of the defaulting clearing member.
30) See Federal Reserve Bank of New York - Fleming, M./Sarkar, A. 2014
31) See ISDA 2002 Master Agreement Section 6 (a)
32) See Jackson, T.H./Scott, K.E./Summe, K.A./Taylor, J.B. 2011
33) See Federal Reserve Bank of New York - Fleming, M./Sarkar, A. 2014
34) See Tucker, P. 2014
Exhibit 7: Settlement of Lehman Brothers’
non-centrally cleared OTC derivative claims
Settlement in terms of number of contracts
Source: Federal Reserve Bank of New York – Fleming, M./Sarkar, A. 2014
Contracts not
finally settled
Contracts
finally settled
89%
11%
Sep 09
100%
Sep 08
54%
46%
Sep 10
16%
84%
Dec 12
17. How central counterparties strengthen the safety and integrity of financial markets 17
The previous chapter explained the risk reducing ef-
fect of central clearing on markets. For suitable prod-
ucts, a CCP mitigates the systemic risks and brings
substantial benefits for market participants. However,
due to their central role, CCPs themselves become a
systemic element of market structure. This chapter
analyses how to ensure the safety and integrity of
the CCP’s model in the new regulatory framework.
Addressing this question has three aspects:
1. A micro-prudential perspective: the resilience of
CCPs themselves
2. A macro-prudential perspective: the stability of
the market structure in cleared markets
3. The recovery and resolution toolkit: preventing
CCPs from being “too big to fail”, and how to handle
disruptions in an appropriate manner
The first point combines both the safety of the CCP
as an entity in itself, and the risks it may face as a
regular company, as well as the level of calibration
set for its risk management to cover potential defaults.
The second point concerns the overall market struc-
ture to balance the consequences of central clearing.
The final point requires the distinction between the
failures of a particular CCP versus a market failure.
This enables a “CCP problem” or a “market problem”
to be addressed in the appropriate way, preventing
CCPs from being “too big to fail” and providing a toolkit
to continue or close down a market as desired.
Accordingly this chapter first describes essential quali-
ty standards, which all CCPs should meet so that they
do not create risks themselves. It then elaborates on
the requirements CCPs need to fulfil to cope with ex-
ternal risks from a stressed market environment, ana-
lysing how CCPs have fared in past crises of the finan-
cial system. From here, the market structure of centrally
cleared markets is discussed. Finally the chapter
describes recovery and resolution plans for CCPs as a
last resort in worst-case scenarios.
3. Ensuring the safety and integrity of CCPs
18. How central counterparties strengthen the safety and integrity of financial markets18
CCPs need to adhere to the highest quality standards,
so that they can effectively and efficiently manage
risks.This has been a focus of regulation in Europe
and the US. These standards should prevent disrup-
tions of CCPs themselves and ensure the continua-
tion of the operations of the CCP at any time. They
comprise the governance and incentives of CCPs,
their risk management, liquidity management and
operations.
Quality standards for CCPs
Governance and incentives. CCPs need to have a clear
and highly effective governance structure to quickly
identify potential risks and resolve disruptions which
might occur. The governance structure also needs to
be transparent to build trust among a CCP’s clearing
members.35)
One key component is a transparent risk
management process which should be monitored by
the CCP’s key stakeholders, i.e. its clearing members,
clients and regulators. The governance structure should
also include committees36)
of CCP participants, so they
have transparency on the CCP’s key processes and
risk management capabilities and can contribute to
their continuous enhancement.
In addition to a clear, highly effective and transparent
governance structure, CCPs must retain their incentives
for conservative risk management which served them
well during the crisis.
A natural concern is that CCPs may “compete on risk”,
by lowering their standards to attract customers with
lower collateralisation levels, and to spare themselves
costs for operational effort of delivering a fit-for-purpose
solution. Historically, CCPs have been, even without
regulation as attentive as post-crisis, extremely conser-
vative for two primary reasons.
The first is the mutualisation aspect across the member-
ship. While Initial Margin is a funding cost to the
participants, lowering these values natural increases
the likelihood instead of to a shared tail-loss through
the Clearing Fund. The members of a CCP are typically
extremely sensitive to possible losses deriving from
the default of other members, and adverse to the benefits
of an implicit higher mutualisation. The knowledge
that CCPs treat the counterparties with strong risk
management standards is a key selling point to a CCP’s
users, and CCPs which attempt to compete in such
a way have extremely limited appeal. Transparency
and governance enable the members of a CCP to address
any such concerns, and this positive feature is one
of the critical risk mitigation tools that must be kept
going forward.
The second aspect is the incentives, or rather disin-
centives of CCPs themselves. A private for-profit CCP
makes its revenue from fees for the trade processing.
These are a very small fraction of the overall profit and
loss that the trades may bear the participants of a
CCP. However, the CCP has its own capital included
in the Lines of Defence, and as such faces dispropor-
tionate losses should it understate the collateralisa-
tion requirements. Exposing CCP capital to losses from
defaults, while returning any surplus from successful
ones, is one of the strongest incentives possible to
ensure that risks are covered most prudently. There
is a considerable asymmetry between possible fee
revenue increases by lowering risk standards and the
potential losses in case of a member default. This
difference is most pronounced in private CCPs, as it
is their own capital at stake.
Furthermore regulation of CCPs should ensure that
the prudent incentives for the members and CCP are
not distorted, and to intervene if they appear to be
failing.
3.1 Setting highest quality standards for CCPs
35) See EMIR article 26
36) See EMIR article 28
19. How central counterparties strengthen the safety and integrity of financial markets 19
al is a very useful backstop for a CCP, especially to
mitigate pro-cyclical effects. CCPs which have access to
central bank liquidity do not have to rely on market
participants that are likely to be affected themselves by
the severe market conditions surrounding the default of
a clearing member. This is especially pertinent to remove
further links which may either be broken or create
inter-linkages during a crisis, in particular since the
members of CCPs are usually the very firms it obtains its
commercial liquidity lines from.
Operations. Another key quality standard CCPs have
to meet is that they need to be capable of monitoring
and prudently managing risk arising from their opera-
tions. This is important in order to minimise any
negative impact that disruptions could have on their
clearing members. Business continuity plans need to
be in place that address sources of risk for CCPs’
operations, in particular related to the workforce and
IT infrastructure. The objective of these plans is to
prevent potential failures and minimise the downtime
of a CCP’s operations in case of operational disrup-
tions. These plans require clear allocation of responsi-
bilities and escalation procedures.
Lessons learned from past defaults
In case the above described quality standards are
not enforced properly, CCPs can actually experience
disruptions and hence cease to be a stabilising factor
for the markets and their clearing members. Past
defaults of CCPs and other financial market infra-
structures can serve as show cases to highlight what
can happen and how to avoid future disruptions
(Exhibit 8).
Risk management. A core element of a CCP’s busi-
ness is to protect its clearing members from losses
resulting from the default of any others. As risk manag-
ers CCPs need to have a state-of-the-art risk man-
agement in place. Firstly, the CCP has to correctly
price the latent exposure arising from a clearing mem-
ber’s portfolio. Then, the exposure must be collateralised
by prudent margin levels. In order to mitigate the
pro-cyclicality of margining, CCPs need to integrate
stressed market situations into their margining calcula-
tion. They need to apply appropriate haircuts to the
collateral, and account for concentrations therein, to
cover losses even under stressed market conditions.
Moreover, CCPs need to be able to ensure that they
can enforce margin calls under all market conditions
and at a speed appropriate for the asset class.
Finally, all CCPs should have a prudent investment
policy in place for the cash collateral they collect.
Liquidity management. While the primary function of
a CCP is the counterparty credit risk management,
robust liquidity reserves and sources are necessary for
the orderly operation of the former. CCPs need suffi-
cient liquidity reserves in case of a clearing member
default to cover the member’s variation margin payments
and settlements to its counterparties. The CCP’s
liquidity reserves and lines ensure the smooth opera-
tion of the market while the positions of the defaulting
member(s) are being closed. EMIR requires CCPs to
consider, as with the Lines of Defence, the “worst
two” Clearing Members’ defaults in terms of liquidity
requirements. The liquidity lines, and the liquidation
of collateral, even with conservative haircuts, are
expected to be challenging during a member default.
In addition to diverse commercial liquidity sources,
access to central bank liquidity in exchange of collater-
20. How central counterparties strengthen the safety and integrity of financial markets20
All these past disruptions and defaults highlight the
importance of highest quality standards for CCPs.
These standards should be incorporated in jurisdic-
tions globally to ensure the safety and integrity of the
global financial markets and to discourage regulatory
arbitrage. The basis for common global standards should
be CPSS-IOSCO‘s principles for financial market infra-
structures, which adequately reflect lessons learned
from the addressed past disruptions and defaults.
The implementation of standards in the current
regulatory framework
EMIR is one example of how these standards are
converted into law. EMIR, which was adopted in
2012, sets minimum standards for CCP’s operating
within the European Economic Area. Exhibit 9 provides
an overview of relevant EMIR articles along the four
components outlined above.
Exhibit 8: Lessons learned from FMI defaults in centrally cleared markets
Source: Davison, I. H. 1988, Norman, P. 2011, Government of India – Forward Markets Commission 2013
Case study
Hong Kong
Futures
Exchange
Caisse de
Liquidation
Kuala Lumpur
Commodity
Clearing House
National Spot
Exchange
Country
and year
Hong Kong,
1987
France,
1974
Malaysia,
1983
India,
2013
Learnings and today’s mitigation mechanism
Issues in governance and incentives Issues in risk management Issues in operations
Adequate regulation and audits of clearing members
State-of-the-art margining algorithms
Need for recovery and resolution plans
State-of-the-art risk management
Rules regarding qualification of management
Include market concentration measure in margin
calculation
Regular audits
Need for membership criteria
State-of-the-art risk management
Reason for default
Flawed governance structure: no incentive for
adquate risk management
Insufficient margin and default fund requirements
Accumulation of uncovered selling positions by
one trader
Management’s inaction: lack of coordination with
regulator and a FMI
Insufficient or missing commodities collateral as
advertised: fraud
No physical backing of commodities required
Entering derivative contracts despite prohibition
of regulator
“skin-in-the-game”: equity before loss mutualisation
State-of-the-art margining algorithms
Regular stress testing of default fund
Unauthorised trading by clearing members
Insufficient margin requirements
21. How central counterparties strengthen the safety and integrity of financial markets 21
Standards
EMIR article (incl.
technical standards)
Governance and incentives
Robust and transparent governance with clear organisational structure
Experienced senior management
External risk committee to advise CCP on risk management
Suitable shareholder structure to ensure sound and prudent management
Risk management
Non-discriminatory and transparent membership criteria for clearing members with sufficient financial resources and
operational capacity
Lines of defence (default waterfall) including
– Margin requirements covering potential losses of OTC derivatives with 99.5% confidence over a 5 business day
period and losses of other financial instruments with 99% confidence over a 2 business day period
– Stress period in initial margin calculation, weighted by at least 25%
– Default fund covering largest or combined second and third largest losses in extreme but plausible market conditions
– CCP dedicated resources covering losses exceeding the margins and the default fund
Highly liquid collateral with minimal credit and market risk to cover exposures, taking into account liquidity and
concentration risk on certain assets
Detailed and actionable default procedures, enabling prompt action to safeguard the CCP and the wider market
Article 26
Article 27
Article 28
Article 30
Article 37
Article 45
– Article 41
– Article 41
– Article 42
– Article 43
Article 46
Article 48
Exhibit 9: EMIR sets minimum standards for CCPs
Article 44
Article 44
Article 34
Article 34
Liquidity management
Maximum 25% of the credit lines from the same clearing member and associated institutions
Daily measurement of liquidity needs in case the two clearing members with the largest exposure default
Operations
Clearly defined business continuity plan to ensure minimum service level of critical functions (e.g. 2 hours maximum
recovery time for critical functions)
Maintaining secondary processing and business sites for business continuity
Source: EMIR 2012, EMIR technical standards 2013
22. How central counterparties strengthen the safety and integrity of financial markets22
Even if CCPs follow the highest standards and internally
arising risks are prevented, they still have to be prepared
to cope with disruptions in the financial system. CCPs
therefore need to have sufficient risk absorption capaci-
ties in place, which have to be updated on an on-going
basis.
This section analyses how CCPs are set up to withstand
stressed market environments. It starts by showing how
CCPs fared during the latest financial crisis in 2008.
Past market disruptions, including the crisis of 2008,
are compared to a stress test of the robustness of the
lines of defence which illustrates the safety of a state-of-
the-art CCP under EMIR during market turmoil.
Resilience of CCPs during the financial crisis
in 2008
CCPs handled recent defaults of systemically import-
ant market participants and adverse market move-
ments without serious complications. In 2008, for
example, CCPs were able to withstand disruptions
and protect their clearing members from the default of
Lehman Brothers.37)
Losses resulting from the default
were covered by the variation and initial margin of
Lehman Brothers. This means that the CCPs and
therefore also the non-defaulting clearing members
did not experience any losses for the centrally cleared
markets, and contagion was prevented. Further improved
risk management supported by an adequate governance
structure and stable liquidity access helped the relevant
CCPs to cope even better with Lehman Brothers than
CCPs facing significant adverse market movements
during earlier crises, such as Black Monday in 1987.
Since regulating authorities adopted CPSS-IOSCO’s
standards and EMIR was introduced, CCPs in Europe
have improved their risk management capabilities
even further and strengthened their lines of defence.
Stress testing of CCPs’ robust lines of defence
One component of the risk management standards is
the risk absorption capacity of the lines of defence of
CCPs. These need to be robust in all extreme but
plausible market scenarios according to EMIR. In
order to guarantee robustness, CCPs constantly conduct
stress testing analyses based on current and past
market movements and take historic and hypothetical
extreme market events into account.
To simulate the robustness of a CCP’s lines of defence
in market environments even more extreme than the
financial crisis of 2008 or Black Monday in 1987, the
following analysis assumes a drop in the equity markets
by 30 per cent within a single day. As Exhibit 10 shows,
a stress scenario involving such a large one-day drop
is an unprecedented event.
Still, this simulated extreme market disruption would
deplete only less than half of the lines of defence of a
CCP regulated by EMIR, based on an analysis with a
representative portfolio (Exhibit 11). The analysis
3.2 Absorbing shocks in the financial system
37) See Coeuré, B. 2014
Exhibit 10: Potential stress scenarios for CCPs
Daily percentage losses in equity markets
1) Based on Dow Jones Industrial Average
Source: Bloomberg
8%
13%
23%
30%
Market
crash of
19291)
Financial
crisis
20081)
Black
Monday
19871)
Extreme case
for stress
calculation
23. How central counterparties strengthen the safety and integrity of financial markets 23
shows two default scenarios38)
combined with an
assumed equity market drop of about 30 per cent.
As described in chapter 2, the lines of defence consist
of margins of the defaulted clearing member, the
CCP’s own dedicated resources and default fund
contributions of all clearing members, including the
option to require replenishments of the default fund
from all non-defaulting clearing members, to a level
typical across CCPs.
The left-hand chart of Exhibit 11 shows the losses
arising from the clearing member whose default
would cause the largest loss in excess of its posted
margins. In this severe stress scenario, about 60 per
cent of the CCP’s total protection would remain
available. The right-hand chart shows the combined
losses from the clearing members whose default would
cause the second and third largest losses in excess
of their posted margins. In this situation, about 56 per
cent of the CCP’s protection remains intact.39)
Moreover, a CCP usually engages in hedging and
other loss-minimising measures as part of its default
management process. This analysis does not reflect
such active measures.40)
So, even without consider-
ing these active measures, the analysis indicates that
a CCP with prudent lines of defence is prepared to
withstand severe defaults of multiple clearing members,
thereby not only ensuring its own safety, but also the
safety of its clearing members.
38) EMIR requires the default fund „to withstand, under extreme but plausible market conditions, the default of the clearing member to which it has the largest exposures
or of the second and third largest clearing members, if the sum of their exposures is larger“ (see article 42), and, together with the resources of CCPs, the default fund
needs to withstand the losses of the two largest exposures combined (see article 43).
39) These scenarios are similar to stress tests as required by EMIR.
40) Viewed over four consecutive days, equity markets have experienced larger drops than the one depicted in Exhibit 11. The market decreased by 17 per cent in 2008,
25 per cent in 1929 and 31 per cent around Black Monday in 1987. The 30 per cent drop is therefore in line with the maximum losses observed over a four-day period,
which is roughly the time period in which all open positions are closed. However, many positions will be closed or hedged right after the default.
Exhibit 11: Extreme stress case: CCP’s lines of defence withstand an equity market drop of 30 per cent
Utilisation rate of an EMIR compliant CCP’s lines of defence based on two default scenarios (values indexed to amount of protection before default)
Default of the one clearing member with largest loss Default of the two clearing members with the second and third
largest losses (combined)
Source: Eurex Clearing, own calculation
100 100
22
16
18 28
60
56
Defaulted
member
specific
margins
Coverage of losses Coverage of losses
Defaulted
member
specific
margins
Protec-
tion before
default
Protec-
tion before
default
Default
fund
Default
fund
Remaining
protection
Additional
resources
of the CCP
Additional
resources
of the CCP
+
+
Remaining
protection
24. How central counterparties strengthen the safety and integrity of financial markets24
While the existing laws and regulations have primarily
addressed the micro-prudential safety of CCPs, going
forward the macro-prudential side will grow in impor-
tance. The move to broaden the use of central clearing
was chosen because of its beneficial macro-prudential
aspects. It enables the distinction of risk taker and risk
manager, separates their incentive structures and creates
a mechanism to address the mutual value and interest
of the market participants.
As described in Chapter 2, a CCP externalises and
concentrates the counterparty credit risk manage-
ment between its members for the markets it clears.
The key benefits that central clearing brings in terms
of settlement and process efficiency or risk manage-
ment are higher when a larger share of the market
operates through a small number of CCPs. The degree
to which these benefits vary depends on the asset
class, for instance cash equity markets tend to focus
on the operational efficiency aspect given the short
settlement periods, whereas derivatives markets CCPs’
key feature is risk management in terms of margining
and Lines of Defence.
This chapter reviews the critical determinants of a
crisis resilient market structure in centrally cleared
markets considering the role of intermediaries and CCPs.
Role of intermediaries
One type of concentration that must be considered in
centrally cleared markets is in terms of its member-
ship, who may have both proprietary and client
business at CCPs. For those with client business, the
role of the intermediary, typically a bank, has the ben-
efit of bringing a diverse group of clients to the market
and shielding the CCP from client defaults.41)
Interme-
diaries play an important function in this respect as
they transform diverse credit risks from a wide array
of clients to the lower credit risk of the bank towards
3.3 Strengthening market structure in cleared markets
the CCP with its own risk management safeguards.
However, it is in the interest of the CCP, its members
in general, and their clients to avoid overly concentra-
tion on a limited number of intermediaries. This is
both for the stability of the intermediaries themselves,
and to limit the impact on large client groups should
their Clearing Member default. Therefore CCPs charge
further margins to reflect the possible latent concentra-
tion they could face for cascades of defaults for such
intermediaries. Another possible tool is to set limits on
the overall size a member can have across the CCP.
Over time, centrally cleared markets benefit from less
concentration amongst their members acting as inter-
mediaries. A broad and diverse direct membership to a
CCP is more robust given their heterogeneous business
models. Thus regulators and policy makers should ensure
that the intermediaries are able to establish sustain-
able and profitable business models and are able to
perform their important function in the new regulatory
environment.
Risk concentration in cleared markets
Central clearing includes by definition a concentra-
tion of functions into a CCP, and this is desirable from
a risk, default and crisis management point of view,
and has positive externalities for a market structure.
Whereas concentration is undesirable in risk taking,
it is altogether desirable for risk management.
The larger the share a CCP has of a market, the better
their overview of the risk situation, the easier to charge
commensurate margins, the greater the efficiency in
terms of tail-risk management and sizing of the lines of
defence and the larger are the multilateral netting
benefits. Only central clearing and central risk manage-
ment reduces the overall exposure and risk in the market
to a maximum extent.
41) Clearing members are responsible for defaults of their clients, for which the CCP‘s lines of defence are not used.
25. How central counterparties strengthen the safety and integrity of financial markets 25
In addition, many of the preeminent CCPs offer their
services to multiple markets and asset classes, enabling
additional economies of scale and scope. Such multi-
asset CCPs benefit also from mutualisation of tail risks
across their various markets, and have the additional
positive feature that their members are all incentivised
to ensure each segment is prudently managed.
However, while the CCP serves as a shock absorber
between its members, a failure of the CCP itself will
affect them all. To address this very unlikely but large
impact event of a CCP’s failure, several points need to
be considered: the number of CCPs, the CCPs’ internal
ring-fencing of losses, the governance and transparency
of CCPs and their recovery or resolution.
Multiple CCPs clearing a particular market limit the
effect of a failure at any particular one to its share of
the cleared market. Also, multiple CCPs satisfy the
desire for choice from members and promote innova-
tion in risk management. However, if the number of
CCPs increases substantially, their beneficial features
are degraded and the informational benefit and effective
crisis management through them becomes limited.
To address this balance, a minimum requirement of
two CCPs to mandate central clearing is prudent, since it
prevents a single point of failure. Hence a market-driven
structure with more than one CCP capable of clearing a
market albeit a small number avoiding fragmentation
in the main time zones per asset class is optimal from
a systemic risk perspective.
Within a multi-asset class CCP it is advisable to limit
the spill-over of losses per market. Most CCPs have
therefore adopted ring-fencing in their mutual lines of
defense. A particularly critical point will be the relation
of CCPs to each other through various links, as well as
to other FMIs. Minimizing the contagion and intercon-
nectedness of CCPs is also in the interest of the CCPs’
members to ensure the CCP landscape is prudently
organized.
Independence of CCPs minimizes moral hazard and
must necessarily be coupled with a strong gover-
nance structure bringing all the CCPs’ stakeholders
together to reflect the mutualisation of tail-risks. For
the benefits of CCP market structure to be realized,
especially in terms of accounting for concentration in
the participants or the members acting as intermedi-
aries, as well as the CCPs themselves, transparency
is a pre-requisite. To this end, the industry and
authorities are currently working on CCP disclosure
requirements.
To minimize the likelihood and impact of possible
failures from such concentrated risk managers, ex
ante incentives should failure arise, and the orderly
ways for it to occur must be addressed. This topic is
currently in active development in the primary jurisdic-
tions in terms of recovery and resolution plans (RRPs)
for CCPs.
A key distinction recovery and resolution plans must
make is whether the problem was specific to a particular
CCP, or whether it is a “market problem”. If a particu-
lar CCP has failed, then the RRPs must describe how
losses are borne by the entity while the market can
continue. If on the other hand the market has experi-
enced a severe event surpassing previous levels of safety
provided for, the CCP construction enables stakeholders
to jointly address the problem by managing one central
mechanism. Specifically, CCPs enable their partici-
pants and authorities to decide on whether, and what
amount of, further funds should be contributed in
proportion to activity in the markets to recover from
a crisis. It also enables the participants to limit their
exposure to the committed mutualized amounts, and
should the disruption be severe enough to discourage
continuing the service, to wind it down in an orderly way.
26. How central counterparties strengthen the safety and integrity of financial markets26
42) See Draghi, M. 2013
A centrally cleared market structure has one salient
point that needs to be addressed: the inter-linkage
of a market and the CCPs that clear it. While the
analysis above illustrates that a CCP can withstand
market disruptions that are more severe than histori-
cal worst case scenarios, nevertheless, there might
be unprecedented and unforeseen events that affect
a CCP and its operations. CCPs, market participants
and regulatory authorities should be prepared for this
scenario, irrespective of its likelihood, by drafting recovery
and resolutions plans (RRPs).
While certain recovery and resolution mechanisms
are included in CCP rules today, in future all FMIs
must have RRPs in place to ensure appropriate actions
should overwhelming circumstances arise. The value
of RRPs was proven during past defaults addressed in
section 3.1. While HKFE was successfully recovered
since it was a viable market, Caisse de Liquidation
demonstrates the advantages of orderly wind-down
for unviable markets.
Principles for recovery and resolution plans
Recovery and resolution plans should be reviewed in
light of how well they serve their purpose. Therefore,
the following key principles should be regarded
(Exhibit 12).
RRPs are designed to achieve two objects: to enable
and facilitate the recovery of troubled institutions and
to permit an orderly wind-down if recovery is impossi-
ble or undesirable. These plans go beyond regular
insolvency laws as they have the aim of fostering stability,
maintaining service continuity, and minimising possible
impact to other market participants from disruptions.42)
Recovery is the assumed path, and the lines of defence
of a CCP can be considered to be prefunded and have
access to committed reserves to enable this. If their
depletion is threatened, the CCP and its stakeholders
will come to a decision on whether further recovery
measures are desired or not.
3.4 Recovery and resolution plans as last resort
Following this decision, two major questions need to
be answered: First, how to ensure the continuity of
service for the cleared products for market partici-
pants and second, how to deal with loss allocation,
including the isolation of healthy markets from the
unviable one, i.e., by ring-fencing the troubled asset
classes if this is applicable.
To ensure that the recovery and resolution plans are
comprehensive and effective, the loss allocation must
be well defined. In particular, to prevent moral hazard
and ensure a level playing field, the RRPs must ensure
that public funds are not relied on. This has further
beneficial features in terms of transparency towards
participants and ex ante risk management incentives.
To ensure the continuity of the CCP’s services, the CCP
landscape should encompass a market structure where
every product can be cleared by at least two CCPs if it
is subject to a clearing obligation. This type of market
structure is important so that market participants have
at least one alternative if a CCP gets into trouble.
Recovery and resolution plans must also distinguish
between CCP-specific problems, and marketwide
problems, the former being typically a non-default loss.
Given that such RRPs would only be utilised in situations
wildly different than those assumed even in extreme
tail cases, the plans should contain a variety of tools,
and the flexibility to use them, as appropriate for what-
ever situation may be at hand. To this end, it is expected
Exhibit 12: Principles for recovery and
resolution plans
Support recovery of CCP if viable or facilitate resolution
Ensure continuity of CCP’s services to market participants
Contain impact of disruption by ring-fencing
Ensure loss allocation without need for public money
Provide effective tools that allow flexibility
Clearly define resolution authorities
27. How central counterparties strengthen the safety and integrity of financial markets 27
that CCPs’ RRPs contain a menu of mechanisms for
recovery and/or resolution that enable reacting as
required to events.
To deliver desired outcomes in such cases, a specified
resolution authority familiar with the CCP and prepa-
rations for the recovery and resolution plan should be
in charge so that decision making is swift and appropriate.
Besides these overarching principles RRPs should follow,
there are different options for how stakeholders might
be involved in recovery plans and different ways how
resolution might work, which are discussed in the
following.
Recovery plan
Recovery plans are already drawn up by many CCPs.
They ensure that CCPs continue to operate orderly
and recover from losses which exceed the pre-funded
contributions of clearing members. They are the preferred
option for viable markets and asset classes and include
various options for recapitalisation and restructuring.
The CCPs and regulating authorities need to make
sure that any additional capital provision by stakeholders
does not increase systemic risk, in particular by consider-
ing that non-defaulting clearing members already
contributed to the replenishment of the default fund.43)
Capital provision by shareholders and bondholders.
Equity injections are included as part of the loss
allocation process prior to recovery and resolution.
However, further capital injections in line with loss
allocation may be needed. The obligation to inject
more capital should fall to shareholders before debt
holders must absorb further losses. CCPs also have
fewer outstanding bonds, which reduces the room
for bail-in by bondholders. Possible financing options
for this route include asset sales, future dividends,
levies, or loans taken on by the CCP.
43) See ISDA/ IIF/ TCH 2013
44) See CPSS-IOSCO 2013
Capital provision by non-defaulting clearing mem-
bers. In cases of recovery, non-defaulting clearing
members could be approached for additional capital,
as they have a central interest in the continuation
of the CCP. CCPs currently have different rules for
replenishing default funds. These CCP-specific rules
need to be considered when creating standards for
potential further involvement of clearing members.
The extent to which clearing members are willing to
contribute further capital serves as a check of the
CCP’s viability.
Capital provision by the clients of clearing members.
Alongside non-defaulting clearing members, a CCP
or its direct members could involve their clients and
end users in the recovery process, as they have an
interest in the functioning of the markets. Clients are
not directly linked to the CCP, but they benefit from
the CCP. The participation of clients in loss alloca-
tion could significantly increase the funds available
to cover remaining losses and hence the likelihood
that orderly CCP operations continue. At the same
time, involving clients increases complexity because
there is no direct legal relationship between clients
and the CCP, and any potentially affected participants
must be involved in designing implementable rules.
Resolution plan
In cases of extreme stress, the CCP may not remain
viable as a going concern. Losses may exceed the
contractual limits stated in the CCP’s rules, and there
may be no appetite amongst stakeholders for continu-
ing the CCP. Under such circumstances, a CCP with
finite resources would ultimately default. Because
such an event would affect the members of the CCP
and the markets it serves, CCP resolution plans –
like those for banks – ensure that a wind-down or
transfer is orderly and equitable, and promotes financial
stability.44)
Resolution plans have to be credible in
order to promote market discipline and incentivise
28. How central counterparties strengthen the safety and integrity of financial markets28
market-based solutions.45)
Hence, a resolution plan
should be a mandatory requirement for any FMI.
Under such a plan, resolution authorities are respon-
sible for ensuring an optimal outcome under the
circumstances, as well as other possible actions,
such as replacing the management.
Continuation of contracts by transfer. It is also possible
to continue a CCP’s operations without saving the CCP
itself. This approach involves separating stable contracts
from the open positions of defaulting members. The
separation is feasible at the asset class level and could
be achieved by transferring the stable contracts and
functioning operations to a bridge institution. In general,
the CCP in question could also be bought with all its
infrastructure and operations intact, and continue to
serve its clearing members with a new ownership
structure.
Wind-down. If it is not possible for a different entity
to continue a CCP’s operations or the market is deemed
unviable, a mechanism for the orderly settlement of con-
tracts is needed. The last resort is a general tear-up, in
which the contracts of the CCP are terminated and any
future liabilities cease to exist. The resolution authori-
ty terminates all contracts at the same time and for
the same settlement prices across all members. The
resulting process is far simpler and cleaner than those
involving bilateral contracts, which may be broken or
45) See FSB 2011
46) See European Commission 2012
terminated at different times and prices. A multi-asset
class CCP could also be wound down for only one
dysfunctional segment and not the entire CCP, if this
were desirable. Even though recovery and resolution
plans are designed as a backstop for events that
overwhelm the safety standards and lines of defence
of CCPs, they have very beneficial effects ex ante.
Stakeholders involved with the CCP have the incen-
tive to thoroughly oversee the CCP’s adherence to
standards, as RRPs might request the participation
of stakeholders in the recovery or resolution. CCPs
themselves have the incentive to act with integrity
and enforce prudent risk management standards, as
they face the possibility of resolution.
RRPs thus do not only mitigate systemic risk once it
materialises, but reduce its likelihood ex ante46)
and
make systemic risks in combination with the market
structure of CCPs manageable. Hence, the drafting
and review of such plans is a very positive develop-
ment given the role of CCPs in systemic risk manage-
ment, in particular in their imminent broader use for
OTC derivatives. Today, RRP development for CCPs
and other FMIs is at different stages, depending on
the jurisdiction. The European Commission is expected
to bring forward a legislative proposal once CPSS-
IOSCO has finalised their supplemental guidance for
their Principles for Financial Market Infrastructures
regarding recovery and resolution.
29. How central counterparties strengthen the safety and integrity of financial markets 29
In recent years, regulating authorities around the
world have tackled the root causes of instability and
systemic risk in financial markets. Introducing the
clearing obligation for standardised OTC derivatives
forms a pivotal element in the resulting regulatory
regime. The annual net benefit of the reforms advo-
cating central clearing is estimated to be around
0.12 per cent of global GDP.47)
Former US President
Bill Clinton recently stated that failure to reform OTC
derivatives markets earlier, especially in regard to
transparency and collateralisation, was a “real mis-
take”.48)
However, regulators and policy makers have
taken many actions since the financial crisis to im-
prove the stability of financial markets, including the
centrally and non-centrally cleared OTC derivatives
markets.
This white paper lays out how systemic risk is miti-
gated in centrally compared to non-centrally cleared
markets.
CCPs reduce systemic risk in three ways. First, a CCP
as independent risk manager does not take on propri-
etary risk and reflects the risk exposure by neutral val-
uation and prudent collateralisation. Prudent levels of
collateralisation in turn align market participants’
risk-related incentives up front, preventing excessive
risk taking. Second, interconnectedness in the market
is reduced by both the structure of centrally cleared
markets, i.e. novation by the CCP, and by multilateral
netting. Third, a CCP is better able to absorb shocks
by its multiple lines of defence and its default man-
agement process. These advantages decrease the un-
certainty in financial markets and thus mitigate domi-
no effects and spill-overs to the whole market.
These advantages of CCPs lead to greater safety and
integrity in the financial system. The explicit and
transparent rule sets for losses in defaults create positive
incentives to manage various concentration risks ex
ante. Systemic events become less likely and their
impact can be mitigated more effectively. In other
words, CCPs serve as shock absorbers for the market
and act as systemic risk managers.49)
To sustainably and effectively fulfil their role as systemic
risk managers, it needs to be ensured that CCPs them-
selves are resilient. Therefore, CCPs need to comply
with high standards regarding their governance and
incentives, risk management, liquidity management,
and operations, as for example EMIR sets out high-
est standards globally. CCPs might still face unprec-
edented and unforeseen events that overwhelm their
quality standards and lines of defence. Even in such
extreme scenarios, a CCP has advantages over an
interconnected bilateral structure since it allows more
effective central decision making on recovery and res-
olution tools under the supervision of a competent au-
thority. To ensure that problems of a single CCP or dra-
matic market-wide shocks do not negatively affect the
whole financial system, CCPs need to have recovery
and resolution mechanisms in place as a last resort.
However, since the scenarios in which CCPs can fail
are very rare, these plans should be flexible to allow
the respective CCP and the resolution authority to adopt
measures suited for each individual case.
Overall, CCPs reduce systemic risks substantially
compared to non-centrally cleared markets. They ef-
fectively address major root causes of the financial
crisis by preventing excessive risk taking, reducing
interconnectedness, absorbing losses and related
shocks in the financial system, and facilitating cen-
tral decision making based on predefined rules. By
mitigating systemic risk, CCPs prevent costs for the
public comparable to the financial crisis.
4. Conclusion
47) See Macroeconomic Assessment Group on Derivatives 2013
48) See Risk.net – Rennison, J. 2013
49) See Bank of England – Rehlon, A./Nixon, D. 2013b; Bänziger, H. 2009
30. How central counterparties strengthen the safety and integrity of financial markets30
Glossary
Central clearing
An intermediary steps into the bilateral agreement of two
counterparties and acts as buyer to seller and vice versa. The
intermediary assumes the clearing responsibility of the
trading parties. The intermediaries which conduct central
clearing are CCP.
Central counterparty (CCP)
Legal entity that acts as an intermediary between the parties
to a securities or derivatives trade and is the seller to every
buyer and the buyer to every seller, replacing the default risk
of the original counterparty with its own and facilitating
netting. Many CCPs also provide various other benefits, includ-
ing post-trade anonymity, reporting and risk management tools
to their members.
Clearing
In the case of derivatives, the management of open derivatives
positions including their netting. Termination of derivatives
contracts is also part of derivatives clearing involving the estab-
lishment of final positions for settlement. Mitigating the
counterparty risks on open derivatives positions is the most
important aspect of derivatives clearing. As derivatives contracts
can have long maturities, clearing plays a crucial role in the
derivatives value chain and is considerably more complex than,
for example, the clearing of cash equities.
Clearing member
Market participant holding a clearing license at a
CCP.
Client of clearing member
Clients of clearing members can access centrally cleared
financial instruments via their clearing members.
Client asset segregation
A CCP keeps separate records and accounts for the assets
and positions of clearing members’ clients. In case of a
clearing member default, the clients’ assets and positions
are protected and can be transferred to another clearing member.
Collateralisation
The use of collateral to secure a transaction. In the derivatives
market, collateralisation plays an important role to manage
counterparty risk.
Concentration risk
Potential to bear losses due to a large exposure with respect
to only a few market participants. The concentration risk
for CCPs or market participants is high if they interact
with only a few market players.
Contagion
A shock, which only affects one or a few market partici-
pants, spreads to entire market. For example, the default of a
bank can lead to losses for other market participants which
can initiate a chain of further defaults (see systemic risk).
Counterparty risk
The risk that a counterparty to a contract defaults and cannot
fulfil its contractual obligations.
Credit default swap (CDS)
A derivatives contract to transfer the credit risk of underly-
ing debt instruments (mostly bonds or loans). A CDS buyer
receives credit protection. In the case of default, the buyer will
be compensated by the CDS seller. In return for the credit protec-
tion, the seller receives periodic payments from the CDS buyer.
Default fund
One of the lines of defence of a CCP, also referred to
as clearing or guarantee fund. The default fund is a communal
pot of collateral provided by all clearing members of the
CCP to provide further loss coverage for extreme events. De-
fault funds are an efficient way to provide substantial financial
firepower to protect the CCP. Typically, default funds are col-
lected from members based on their relative size in the markets
of the CCP in question.
Financial market infrastructure (FMI)
Multilateral system among participating institutions, including
the operator of the system, used for the purposes of clearing,
settling, or recording payments, securities, derivatives, or other
financial transactions.
Initial margin
Collateral (cash or pledged security) deposited by the
clearing member to cover the risk exposure of the
CCP arising from potential future market fluctuation.
Interconnectedness
Degree to which market participants are linked to each other.
31. How central counterparties strengthen the safety and integrity of financial markets 31
Lines of defence
The multiple risk mitigation layers of a CCP, often referred
to as the CCP risk waterfall. The Lines of defence of CCPs are
prudently scaled to meet severe stress scenarios and ensure
confidence that CCPs can guarantee contracts.
Liquidity risk
Liquidity risk can mean either A) market or B) funding liquidity
risk. A) Market liquidity risk materialises when financial assets
cannot be sold rapidly at the presumed market value. B) Fund-
ing liquidity risk is the risk that a counterparty has insufficient
funds to meet its financial obligations when they are due.
Loss mutualisation
The distribution of losses across the parties active in a market
segment. CCP members agree to mutualise losses amongst them-
selves should the losses exceed the collateral provided by the
defaulting member and the CCPs own contributions. This
is a stabilising factor equivalent to an insurance scheme since
a large amount of security is available at a marginal cost to the
affected non-defaulting members.
Market participant
In the context of this white paper, a market participant is a
company which actively engages in financial market trans-
actions, e.g. investors and banks.
Multilateral netting
Netting of three or more market participants’ positions via
financial market infrastructures, e.g., CCPs.
Netting
Offsetting buy and sell positions over a given period of time so
that market participants only have to settle the balance. If
two parties agree to net their positions, this is called bilateral
netting. Central counterparties even allow the netting of
three or more parties’ positions, which is called multilateral netting.
Netting efficiency
Degree to which opposite positions or obligations are offset
among trading partners to reduce risk exposure, the re-
quired settlements or payments.
Non-central clearing
The clearing of the financial asset is not done via a central inter-
mediary (see CCP).
Operational risk
Temporary or permanent disruption of a market partici-
pant’s or a CCP’s operations. Central aspects of the
CCP’s operations are its IT infrastructure, facilities and workforce.
Recovery plan
A plan that aims to recover the existing entity in case it faces
imminent default. Recovery plans describe various ways of
raising new resources and maintaining service continuity.
Resolution plan
A resolution plan describes ex ante how an entity can be
wound down in an orderly fashion to minimise any disruptions
that could result from an uncontrolled insolvency. The resolu-
tion plan kicks in if recovery is not viable.
Risk exposure
Potential maximum loss. In derivatives transactions, risk expo-
sure can be broken down into two components: A) the current
market value of the derivative, i.e. the amount that a counter-
party would lose if the other counterparty defaulted today, and
B) an add-on for potential future exposure to capture the risk
of market value fluctuation.
Settlement
In the case of derivatives, the sole payment of cash to fulfil the
obligation arising from a derivatives contract (cash settlement)
or the payment of cash for an underlying and the delivery of
the underlying in return (physical delivery).
Systemic event
Event during which systemic risk materialises. This event
can destabilise the market as a whole.
Systemic risk
The risk that the failure of one market participant has ad-
verse effects on other market participants, destabilising the
market as a whole.
Variation margin
Cash paid or received by the holder of derivatives to cover the
current exposure. This is typically exchanged on a daily basis,
to prevent losses from accumulating and is a form of mark-to-
market. CCPs charge collateral intraday to their members to
ensure any due variation margin can be covered.
32. How central counterparties strengthen the safety and integrity of financial markets32
List of exhibits
Exhibit 1:
Start dates of progressively implemented OTC derivatives
market regulations
Exhibit 2a:
The derivatives market today
Exhibit 2b:
Outlook of central clearing of OTC derivatives
Exhibit 3:
Differences between clearing houses, CCPs and
qualifying CCPs
Exhibit 4:
How CCPs reduce systemic risk in the financial system
Exhibit 5:
Effect of a counterparty default in a non-centrally and
centrally cleared market
Exhibit 6:
A CCP’s lines of defence
Exhibit 7:
Settlement of Lehman Brothers’ non-centrally cleared
OTC derivative claims
Exhibit 8:
Lessons learned from FMI defaults in centrally cleared
markets
Exhibit 9:
EMIR sets minimum standards for CCPs
Exhibit 10:
Potential stress scenarios for CCPs
Exhibit 11:
Extreme stress case: CCP’s lines of defence withstand
an equity market drop of 30 per cent
Exhibit 12:
Principles for recovery and resolution plans
6
7
7
8
9
12
14
16
20
21
22
23
26
33. How central counterparties strengthen the safety and integrity of financial markets 33
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