Less than 12 months now remain before the continuation of panel-based LIBOR can no longer be guaranteed.
The UK authorities have stated that it is “in the interests of
financial markets and their customers that the pool of contracts
referencing LIBOR is
shrunk to an irreducible core[1]
ahead of LIBOR’s expected cessation, leaving behind only those
contracts that genuinely have no or inappropriate alternatives and no
realistic ability to be renegotiated or amended.”
[2] Such contracts are commonly referred to as “tough legacy” transactions.
AFME calls on all market participants to join us in actively
transitioning as many transactions as possible to identify and reduce
the stock of “tough legacy” securitisations to this “irreducible core”
well in advance of the end of 2021.
If not already done, we urge issuers and investors to contact each
other via established channels (set out in transaction documentation) in
order to identify and implement the required practical next steps for
the bonds affected.
AFME (and other trade associations) have been engaged in this subject
for some time and stand ready to help facilitate cross-market
discussions where required.
While draft legislation has been laid before Parliament to assist in
the resolution of “tough legacy” transactions, the UK authorities have
made clear that “Parties who rely on regulatory action … will not have
control over the economic terms of that action. Moreover, regulatory
action may not be able to address all issues or be practicable in all
circumstances …”.[3]
The FCA has further pointed out that although it may be given the
powers to facilitate a “synthetic” LIBOR to be developed and used, it
will not be bound to use such powers.
In view of the potential deterioration in liquidity in LIBOR-based
instruments and other financial and non-financial risks associated with
inaction, including the loss of control over economic terms, if
there is any solution for such transactions that enables active
transition to the relevant risk-free rate to be effected then AFME urges
that that solution should be considered as a matter of urgency
in line with the FCA’s expectation that market participants should
effect a material reduction in the stock of outstanding LIBOR-based FRNs
by the end of Q1 2021.
AFME will continue to work with its members, other trade associations
and all market participants to further this goal and we welcome
engagement from the broadest set of stakeholders.
AFME
© AFME
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