Fundamental Review of The Trading Book: Briefing Notes
Fundamental Review of The Trading Book: Briefing Notes
Fundamental Review of The Trading Book: Briefing Notes
Briefing Notes
ISDA believes
a further QIS
is necessary
to fully test all
aspects of the
FTRB rules.
This would
extend the
completion
date beyond
the end-2015
target, but
would not alter
the scheduled
2018
implementation
date
OVERVIEW
Timing: ISDA believes a further QIS is necessary to fully test aspects of the rules that were not
considered in earlier studies. The first QIS was based on a hypothetical portfolio, and the second
and third experienced a number of operational and specification issues that led to significant
variation in the results across banks. (ISDA raised more than 130 FAQs on behalf of members to
clarify areas of uncertainty in the most recent QIS.) In addition, the third QIS lacked the required
granularity to properly assess the impact to individual business segments.
A further, more granular QIS would capture and test every component of the framework, including
the impact of potential changes to non-modellable risk factors and back-testing requirements,
which otherwise would not be taken into account. A new QIS would extend the time needed to
finalise the rules beyond the intended completion date of end-2015, at the expense of part of the
calibration period. However, this would not affect the scheduled implementation date of 2018.
Economic Impact: Although the affect on overall capital levels is not clear, and is subject to
final calibration, it is likely to lead to punitive capital increases in certain business lines, and will
potentially cause some key markets, such as securitisation, to become uneconomic. Certain credit
products could see capital requirements increase by up to six times, while a sovereign downgrade
could increase capital charges by 73%. This could lead to lower liquidity and increased financing
costs for borrowers. It is therefore important that the cumulative impact of the rules is fully
understood through a holistic QIS.
Regulatory Inconsistency: Policy-makers are increasingly focused on initiatives to generate and
sustain global economic growth. In Europe, for instance, efforts are under way to develop a capital
markets union, and well-functioning securitisation markets are considered to be an important
element underlying that growth. The FRTBs current treatment of securitisations could threaten this
market and negatively affect the economic growth agendas of policy-makers.
FRTB at a Glance
New rules determining the scope of
instruments eligible for inclusion in
the trading book, and more stringent
requirements governing internal risk
transfers between the banking and trading
book.
A revised standardised approach for
market risk based on price sensitivities,
which is intended to be more risk sensitive
compared to the existing standard
approach, and therefore reduce the gap
between internal models and standard
rules.
The substitution of value at risk and stressed
value at risk with an expected shortfall risk
measure to capitalise for loss events in the
tail of the P&L distribution.
Securitisations: Capital requirements for all securitisation exposures must be calculated using
the standardised approach (internal models are not allowed), which entails adding together a
credit spread risk charge and a default risk charge. However, there is a high degree of overlap
between the two measures, resulting in double counting. Combined with extremely high risk
weights for securitisation products (ranging from 800 basis points to 5,000bp) and a lack of
granularity in risk buckets, this is likely to lead to unjustifiably high capital requirements. The
end result is likely to be lower liquidity and a higher liquidity premium demanded by investors,
putting upwards pressure on financing costs for borrowers. ISDA believes an alternative approach
should be developed based on recalibrated credit spread stresses and the elimination of double
counting.
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Since 1985, ISDA has worked to
make the global over-the-counter
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