The 2007-09 Great Financial Crisis exposed structural weaknesses in the over-the-counter (OTC) derivatives market. This led the Group of Twenty (G20) to initiate a reform programme to reduce the systemic risk posed by OTC derivatives.
In response, for OTC derivatives that are not cleared through central
counterparties (CCPs), the Basel Committee on Banking Supervision
(BCBS) and the International Organization of Securities Commissions
(IOSCO) jointly issued global minimum standards on margin requirements
in September 2013. These requirements are designed to reduce
counterparty credit risk and limit contagion by ensuring that collateral
is available to offset losses caused by the default of a derivatives
counterparty. They are also intended to promote central clearing.
Scope of coverage - instruments and entities
The BCBS-IOSCO margin requirements apply to all non-centrally cleared OTC derivatives1 (NCCDs) contracts entered into by financial firms and systemically important non-financial entities2
(collectively "covered entities"). The precise definition of covered
entities is left to national regulation but explicitly excludes
sovereigns, central banks, multilateral development banks and the Bank
for International Settlements.
All covered entities that engage in NCCDs must exchange margin, ie
both counterparties need to be covered entities for a transaction to be
within scope. A separate treatment may apply to transactions between a
covered entity and any other entities in the group to which it belongs
(ie inter-affiliate transactions). For these transactions, the
BCBS-IOSCO standard asks national supervisors to review their legal
frameworks and market conditions and put in place margin requirements as
appropriate.
Margin requirements
There are two types of margin - variation margin (VM) and initial
margin (IM). The methodologies for calculating the amounts of margin
that covered entities need to exchange should ensure that all
counterparty risk exposures are covered with a high degree of
confidence.
Variation margin
VM is collateral that protects the parties to NCCDs from the current
exposure - from changes in the mark-to-market value of the derivatives -
that has been incurred by one of the parties after the transaction has
been executed. The amount of VM that covered entities need to exchange
regularly (eg daily) should reflect the size of this current exposure.
The exchange is one-way, ie one party makes a transfer to the other.
For example, if counterparty B has entered into an interest rate swap
(IRS) with counterparty A, and if A is out of the money (ie A owes
money to B), then A needs to make a transfer to B (ie A posts VM and B
collects VM). If A is in the money, then B needs to transfer the
appropriate amount of VM to A.
Initial margin
IM is collateral that protects the parties to NCCDs from the
potential future exposure that could arise from future changes in the
mark-to-market value of NCCDs during the time it takes to close out and
replace the positions in the event of a counterparty default. The amount
of IM that covered entities need to exchange should reflect the size of
this potential future exposure.3
Unlike VM, the exchange of IM is two-way, ie each party has to make a
transfer to the other without netting of the amounts collected by each
party. To ensure that the IM collected is sufficiently protected in the
event of bankruptcy, it needs to be subject to arrangements that protect
the posting party to the extent possible in the event that the
collecting party enters insolvency. This could be achieved, for example,
by using third-party custodians.
By way of illustration, counterparties A and B have exchanged IM upon
entering into an IRS. After some time, B defaults. On that day, because
A and B have just exchanged VM, they have no exposure from that IRS to
each other. In the days following B's default, A seeks to close out and
replace the IRS, but this takes a bit of time. Meanwhile, the IRS gains
in value for A (and loses in value for B). Luckily, A has collected IM,
which it now can use to cover this exposure.
Eligible assets and haircuts
Assets collected as margin should be highly liquid and able to hold
their value in a time of financial stress. They should also be
reasonably diversified; not be subject to wrong-way risk4;
and not be exposed to excessive credit, market and foreign exchange
risk. Covered entities need to apply haircuts to the market value of
eligible assets to ensure that pledged collateral is sufficient to cover
margin needs. Haircuts may be determined either on the basis of
risk-sensitive quantitative models (subject to approval) or a
standardised haircut schedule.
Phase-in schedule
The requirement to exchange margin is subject to a phase-in schedule.
From 1 September 2016, the largest market participants have had to
start exchanging margin. From 1 March 2017, all covered entities were
required to exchange VM. For IM, the final implementation phase will
take place on 1 September 2022.
1
Except for physically settled foreign exchange (FX) forwards and
swaps. Margin requirements for these instruments are covered by the BCBS supervisory guidance for managing settlement risk in FX transactions.
2 For example, systemically important non-financial entities could include firms with sizeable positions in NCCDs.
3
To calculate the required IM amount to be exchanged, a covered
entity may use a quantitative portfolio margin model (subject to
supervisory approval) or a standardised margin schedule. Regarding the
former approach, it has become market practice to use a common
industry-wide model developed by the International Swaps and Derivatives
Association (ISDA), the so-called Standard Initial Margin Model
(ISDA SIMM). The full IM amount needs to be exchanged, unless it is
below EUR 50 million on the basis of the consolidated group.
4
Securities are subject to wrong-way risk if their value exhibits a
significant positive correlation with the creditworthiness of the
counterparty or the value of the underlying NCCD portfolio.
PDF full text (124kb)
BIS
© BIS - Bank for International Settlements
Key
Hover over the blue highlighted
text to view the acronym meaning
Hover
over these icons for more information
Comments:
No Comments for this Article