With the deadline now fast-approaching, there remains a significant number of outstanding LIBOR-linked bonds which have not yet transitioned to a new rate.
Investment managers are today calling on companies to step up their efforts to transition away from LIBOR-linked bonds.
In a letter to companies issuing LIBOR-linked sterling bonds,
including those within the FTSE 350, the Investment Association (IA) has
warned of the risk of significant market disruption and harm to
investors if bonds continue to reference a non-representative rate after
the December 31st 2021 transition deadline.
With the deadline now fast-approaching, there remains a significant
number of outstanding LIBOR-linked bonds which have not yet transitioned
to a new rate. Estimates place the value of these outstanding bonds at
£108 billion*.
Investment managers have therefore written to companies to encourage
them to put their LIBOR transition plans into immediate effect and have
offered their support to complete the process.
Investment managers have already successfully worked with many
companies to agree a fair transition for their LIBOR-linked bonds, and
welcome engagement from those still looking to do so. The IA’s members
are also willing to consider alternative arrangements with companies,
such as buybacks.
Galina Dimitrova, Director for Investments and Capital Markets at the Investment Association said: “Time
is running out for companies to transition their LIBOR-linked bonds.
Companies that have yet to do so must now take urgent action to ensure
their bonds are LIBOR free by the end of 2021. We stand ready to help
both companies and investors as they complete the process.”
Edwin Schooling Latter, Director Markets and Wholesale Policy at the FCA, said: “The
FCA welcomes the IA’s initiative to help issuers of LIBOR securities
reach out to IA members who hold their bonds to agree conversion through
consent solicitation. Mutually agreed conversion from LIBOR to risk
free rates plus spreads consistent with industry recommendations on fair
transition arrangements can enable both the bond’s issuer and holders
to avoid the uncertainty they will face upon LIBOR’s proposed cessation.
It also allows conversion to the market standard of the RFR compounded
in arrears that has now developed in bond markets – an advantage which
synthetic LIBOR cannot provide.”
IA
© Investment Association
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