Greenspan
- the Wizard of Bubbleland
By
Henry C.K. Liu
Part I: Greenspan - the
Wizard of Bubbleland
Part 2: The Repo Time Bomb
This article appeared in AToL
on September 29, 2005
The repo market is the biggest financial market today.
Domestic and international repo markets have grown dramatically over
the last
few years due to increasing need by market participants to take and
hedge short
positions in the capital and derivatives markets; a growing concern
over
counterparty credit risk; and the favorable capital adequacy treatment
given to
repos by the market. Most important of all is a growing awareness among
market
participants of the flexibility of repos and the wide range of markets
and
circumstances in which they can benefit from using repos. The use of
repos in
financing and leveraging market positions and short-selling, as well as
in
enhancing returns and mitigating risk, is indispensable for full
participation
in today’s financial markets.
A repurchase agreement (repo) is a loan, often
for as short
as overnight, typically backed by top-rated US Treasury, agency, or
mortgage-backed securities. Repos are
contracts for
the sale and future repurchase of a top-rated financial asset.
On
termination date, the seller must repurchase the asset at the same
price at
which he sold it, pay interest for the use of the funds, and if the
asset was
borrowed, the borrowed assets will be returned to the lending owner who
also
receives a fee for lending. If the repoed security pays a dividend,
coupon or
partial redemptions during the repo, this is returned to the original
owner.
Institutions with excess assets routinely avoid holding unproductive
idle
assets by lending them for a fee to institutions in need of more assets. A well defined legal framework has
developed
to facilitate repo transactions.
A key distinguishing feature of repos is that they can be
used either to obtain funds or to obtain securities. The former feature
is
useful to market participant who wish to acquire other assets that
provide
arbitrage opportunities against the collateralized assets. The latter
feature
is useful to market participants because it allows them to obtain the
securities they need to meet other contractual obligations, such as to
make
delivery for a futures contract. In addition, repos can be used for
leverage,
to fund long positions in securities and to fund short positions for
hedging
interest rate risks. As repos are short-maturity collateralized
instruments,
repo markets have strong linkages with securities markets, derivatives
markets
and other short-term markets such as interbank and money markets.
Securities
dealers use repos to finance their securities inventories.
Counterparties may
be institutions, such as money market funds which have funds to invest
short-term. Or they may be parties who wish to briefly obtain the use
of a
particular security by doing a reverse repo. For example, a party may
want to
sell the security short, or they may need to deliver the security to
settle a
trade with a third party. Accordingly, there are two possible motives
for
entering into a reverse repo:
1) short-term investment of funds, or GC (general
collateral) repos; and
2) to obtain temporary use of a particular security, or
special repos.
Interest rates on special repos tend to be lower than those
on GC repos. This is because a party doing a reverse repo on a special
security
will accept a reduced interest rate on its funds in exchange for
receiving the
special security it requires. Economically, the transaction is no
different
from cash collateralized security lending. Pricing of either type of
contract
depends upon demand for the desired security.
Because repos are essentially secured loans, their interest
rates do not depend upon the respective counterparties’ credit ratings.
For GC
repos, the same rates apply for all counterparties. Accordingly, GC
repo rates,
or simply repo rates,
are benchmark short-term interest rates that are
widely quoted in the
marketplace. They differ from LIBOR (London Interbank offered rate) in
that
repo rates are for secured loans whereas LIBOR are for unsecured loans
based on
the credit worthiness of the borrower.
Dealers
sell securities short to profit from, or hedge against, rising interest
rates.
If interest rates rise, the price of a fixed-rate security falls
correspondingly to reflect prevalent market rate. A dealer that sells a
security whose value he expects to fall stands to profit by purchasing
the security
later at a lower price. If that dealer has holdings that will lose
value when
interest rates rise, the move to sell short and buy later will offset
this
exposure. By countering potential losses with potential gains, the
dealer
hedges its balance sheet against any changes in interest rates. Dealers
use the
repo market to finance their cash market positions. The key advantage
of the
repo market as a funding mechanism is its flexibility: dealers that are
uncertain how long they will need to maintain a position or a hedge can
borrow
securities for a short period or, if necessary, extend the loan
indefinitely at
a relatively low cost.
Unless
the repo market is disrupted by seizure, repos can be rolled over
easily and
indefinitely. What changes is the repo rate, not the availability of
funds. If
the repo rate rises above the rate of return of the security financed
by a repo,
the interest rate spread will turn negative against the borrower,
producing a
cash-flow loss. Even if the long-term rate rises to keep the interest
rate
spread positive for the borrower, the market value of the security will
fall as
long-term rate rises, producing a capital loss. Because of the
interconnectivity of repo contracts, a systemic crisis can quickly
surface from
a break in any of the weak links within the market.
Repos
are useful to central banks both as a monetary policy instrument and as
a
source of information on market expectations. Repos are attractive as a
monetary
policy instrument because they carry a low credit risk while serving as
a
flexible instrument for liquidity management. In addition, they can
serve as an
effective mechanism for signaling the stance of monetary policy. Repos
have
also been widely used as a monetary policy instrument among European
central
banks and with the start of EMU (European Monetary Union) in January
1999, the
Eurosystem adopted repos as a key instrument. Repo markets can also
provide
central banks with information on very short-term interest rate
expectations
that is relatively accurate since the credit risk premium in repo rates
is
typically small. In this respect, they complement information on
expectations
over a longer horizon derived from securities with longer maturities.
The secondary credit market is where Fannie Mae and Freddie
Mac, so-called GSEs (government sponsored enterprices, or agencies)
which were
founded with government help decades ago to make home ownership easier
by
purchasing loans that commercial lenders make, then either hold them in
their
portfolios or bundle them with other loans into mortgage-backed
securities for
sale in the credit market. Mortgage-backed securities are sold to
mutual funds,
pension funds, Wall Street firms and other financial investors who
trade them
the same way they trade Treasury securities and other bonds. Many participants in this market source their
funds in the repo market.
In this mortgage market, investors, rather than banks, set
mortgage rates by setting the repo rate. Whenever the economy is
expanding
faster than the money supply growth, investors demand higher yields
from
mortgage lenders. However, the Fed is a key participant in the repo
market as
it has unlimited funds with which to buy repo or reverse repo
agreements to set
the repo rate. Investors will be reluctant to buy low-yield bonds if
the Fed is
expected to raise short-term rates higher. Conversely, prices of
high-yeild
bonds will rise (therefore lowering yields) if the Fed is expected to
lower
short-term rates. In a rising-rate environment, usually when the
economy is
viewed by the Fed as overheating, securitized loans can only be sold in
the
credit market if yields also rise. The reverse happens when the economy
slows.
But since the Fed can only affect the repo rate directly, the long-term
rate
does not always follow the short-term rate because of a range of
factors, such
as a time-lag, market expectation of future Fed monetary policy and
other macro
events. This divergence from historical correlation creates profit
opportunities for hedge funds.
The “term structure” of interest rates defines the
relationship between short-term and long-term interest rates. Historical data suggest that a 100-basis-point
increase in Fed funds rate has been associated with 32-basis-point
change in
the 10-year bond rate in the same direction. Many convergence trading
models
based on this ratio are used by hedge funds. The failure of long-term
rates to
increase as short-term rates has risen since late winter 2003 can be
explained
by the expectation theory of the term structure which links market
expectation
of the future path of short-term rates to changes in long-term rates,
as St
Louis Fed President William Poole said in a speech to the Money
Marketeers in
New York on June 14, 2005. The market
simply does not expect the Fed to keep short-term rate high for
extended
periods under current conditions. The
upward trend of short-term rates is expected by the market to moderate
or
reverse direction as soon as the economy slows.
Investors buy bonds to lock in high yields if they expect
the Fed to cut short-term rates in the future to stimulate the economy.
When
bond investor demand is strong, mortgage lenders can offer lower
mortgage rates
for consumers because high bond prices lead to lower bond yields. But lower interest rates leads to inflation
which discourages bond investment. Lower interest rates also lower the
exchange
value of the dollar, allowing non-dollar investors to bid up dollar
asset prices.
Non-dollar investors are not necessarily foreigners. They are anyone
with
non-dollar revenue, such as US transnational companies that sell
overseas or
mutual funds that invest in non-dollar economies. Unlike investors,
hedge funds
do not buy bonds to hold, but to speculate on the effect of interest
rate
trends on bond prices by going long or short on bonds of different
maturity,
financed by repos.
As with other financial markets, repo markets are also
subject to credit risk, operational risk and liquidity risk. However,
what
distinguishes the credit risk on repos from that associated with
uncollateralized instruments is that repo credit exposures arise from
volatility (or market risk) in the value of collateral. For example, a
decline
in the price of securities serving as collateral can result in an
under-collateralization of the repo. Liquidity risk arises from the
possibility
that a loss of liquidity in collateralized markets will force
liquidation of
collateral at a discount in the event of a counterparty default, or
even a fire
sale in the event of systemic panic. Leverage that is built up using
repos can
exponentially increase these risks when the market turns. While
leverage
facilitates the efficient operation of financial markets, rigorous risk
management by market participants using leverage is important to
maintain these
risks at prudent levels. In general, the art of risk management has
been
trailing the decline of risk aversion.
Up to a point, repo markets have offsetting
effects on systemic risk.
They can be more resilient than uncollateralized markets to shocks that
increase uncertainty about the credit standing of counterparties,
limiting the
transmission of shocks. However, this benefit can be neutralized by the
fact
that the use of collateral in repos withdraws securities from the pool
of
assets that would otherwise be available to unsecured creditors in the
event of
a bankruptcy. Another concern is that the close linkage of repo markets
to
securities markets means they can transmit shocks originating from this
source.
Finally, repos allow institutions to use leverage to take larger
positions in
financial markets, which adds to systemic risk.
Global Savings Glut
caused by Dollar Hegemony
Fed Governor Ben Bernanke argued in a speech on March 29,
2005 that a “global savings glut” has depressed US interest rates since
2000. Greenspan testified before
Congress on July 20 that this glut is one of the factors behind the
so-called
interest rate conundrum, i.e., declining long-term rates despite rising
short-term rates. Bernanke noted that in
2004, US external deficit stood at $666 billion, or about 5.75% of US
gross
domestic product (GDP). Corresponding to that deficit, US citizens,
businesses,
and governments on net had to raise $666 billion from international
capital
markets. As US capital outflows in 2004 totaled $818 billion, gross
financing
needs exceeded $1.4 trillion. He argued that over the past decade a
combination
of diverse forces has created a significant increase in the global
supply of
savings, in fact a global savings glut, which helps to explain both the
increase in the US current account deficit and the relatively low level
of
long-term real interest rates in the world today. He asserted that an
important
source of the global savings glut has been a remarkable reversal in the
previous flows of credit to developing and emerging-market economies, a
shift
that has transformed those economies from borrowers on international
capital
markets to large net lenders.
Beranke observed that US national saving is currently dangerously low
and
falls considerably short of US capital investment. Of necessity, this
shortfall
is made up by net borrowing from foreign sources, essentially by making
use of
foreigners’ savings to finance part of domestic investment. The current
account
deficit equals the net amount that the US borrows abroad, and US net
foreign
borrowing equals the excess of US capital investment over US national
saving.
Bernanke reasoned that the country’s current account deficit equals the
excess
of its investment over saving. In 1985,
US gross national saving was 18% of GDP; in 1995, 16%; and in 2004,
less than
14%. Yet
18% of 1985 GDP of $4.22 trillion is $757 billion and 14% of 2004 GDP
of $11.71 trillion is $1.64 trillion. Norminaslly, the US saved
$883 billion more in 2004 than in 1985, more than double. Common sense
suggests that as a person's income increases, the need for saving as a
percentage of income can safely decrease. It seems obvious that despite
Bernanke’s predisposed observation, the current account deficit equals
the
excess of US consumption, not investment, over savings.
Theoretically, investment cannot, as a matter of definition,
exceed savings, a concept aptly expressed by the formula I = S (total
investment equals total savings) framed by economist Irving Fischer (Nature
of Capital and Income - 1906) that every economist learns in the
first day
of class in neoclassical macroeconomics.
For total investment to be equal to total
savings, the demand for
loanable funds must equal the supply for loanable funds and this is only
possible if the rate of interest is appropriately defined. If the
interest rate
was such that the demand for loanable funds was not equal to the supply
of it,
then we would also not have investment equal to savings. Thus
the Fed
interest rate policy is responsible for over- or under-investment in
the
economy.
Foreign countries with dollar trade surpluses from the US
increase reserves by issuing local currency debts to withdraw the trade
surplus dollars held by their citizens, thereby, according to Bernanke,
mobilizing domestic saving, and then using the dollar proceeds to buy
US
Treasury securities and other assets. In effect, foreign governments
have
acted as financial intermediaries, channeling domestic saving away from
local
uses and into international capital markets. A related strategy has
focused on
reducing the burden of external debt by attempting to pay down those
obligations, with the funds coming from a combination of reduced fiscal
deficits and increased domestic debt issuance. Of necessity, this
strategy also
pushed emerging-market economies toward current account surpluses.
Again, the
shifts in current accounts in East Asia and Latin America are evident
in the
data for the regions and for individual countries.
Bernanke also asserted that the sharp rise in oil prices has
contributed to the swing toward current-account surplus among the
non-industrialized nations in the past few years. The current account
surpluses
of oil exporters, notably in the Middle East but also in countries such
as
Russia, Nigeria, and Venezuela, have risen as oil revenues have surged.
The
aggregate current account surplus of the Middle East and Africa rose
more than
$115 billion between 1996 and 2004. In short, events since the
mid-1990s have
led to a large change in the aggregate current account position of the
developing world, implying that many developing and emerging-market
countries
are now large net lenders rather than net borrowers on international
financial
markets. In practice, these countries increase foreign exchange
reserves
through the expedient of issuing debt to their citizens, thereby
mobilizing
domestic saving, and then using the dollar proceeds to buy US Treasury
securities and other dollar assets.
While Bernanke accurately describes the conditions, he
obscures the causal dynamics. The
so-called global savings glut is hardly the result of voluntary
behavior on the
part of foreign central banks. It is the coercive effect of dollar
hegemony
which has left the trading partners of the US without a choice. The US
trade
deficit is denominated in dollars which can only be recycled into
dollar
assets. Local currency debts are issued by foreign treasuries to soak
up the
current account surplus dollars so that foreign central banks end up
holding
larger dollar reserves that can hardly be viewed as national savings.
The exporting economies ship real wealth to the US in
exchange for fiat dollars which cannot be spend in their own economies
without
first being converted into local currencies. If the local central banks
exchange the trade surplus dollars with local currencies, local
inflation will
result from an expansion of the money supply while the wealth behind
the new
money has been shipped to the US. Thus when most foreign governments
issue sovereign
debts in local currencies to soak up the dollars and turn them over to
their central
banks as foreign exchange reserves, the local sovereign debt is equal
to the
loss of real wealth from export to the US.
A Dollar Glut that
Impoverishes
The glut is only a dollar glut that in fact impoverishes the
exporting economies. There is no global savings glut at all. While the
exporting economies continue to suffer from shortage of capital, having
shipped
real wealth to the US in exchange for paper that cannot be used at
home, their
central banks are creditors holding huge amounts of dollar debt
instruments. It
is not a global savings glut. It is a
global dollar glut caused by the Fed printing money to feed the
gargantuan US
appetite for debt.
The US has become the world's biggest debtor nation. Japan
and China have become the world's biggest creditor nations. The US owes
Japan
over US$2 trillion. At the end of third quarter 1998, 33% of US
Treasury securities were held by foreigners,
up from just 10% in 1991. Some 30% of foreign-held assets were US
government
bonds ($1.5 trillion), and 12% corporate bonds. By June 30, 2005, over
50% of
outstanding US Treasuries ($2 trillion) were held by foreigners. Total
US
Federal debt exceeds $7.6 trillion. Yet Japan needs US investment and
credit. The US economy has been booming
for more than a decade with only two brief recessions each bailed out
by the
Fed injecting massive liquidity into the banking system, while during
the same
time the Japanese economy have been sliding downhill and its sovereign
debt
receiving junk ratings.
While there are many well-known factors behind this strange
inversion of basic economic logic, one factor that seems to have
escaped the
attention of neo-liberal economists is the US private sector’s ability
to use
debt to generates returns that not only can comfortably carry the cost
of debt
service but also to conflate asset values with astronomical p/e ratios.
Japan
has been cursed with an opposite problem.
Japan’s long-term national debt exceeded its
GDP in 2004, and the ratio
of its long-term national debt to GDP was double that of the US. It has
been
unable to further utilize sovereign credit to back the investment needs
of its
private sector. As a result, Japan looks
to international capital (mostly from the US), money (over $2 trillion)
that
really belongs to Japan. The moves
towards zero interest rates temporarily helped the Tokyo equity market
but
whether it represents a sustainable recovery is still very much in
doubt.
US investors and lenders require a US-style transparency and
a degree of control that is incompatible with Japanese traditional
social
norms. US managed "Japanese"
funds want only to make investments based on financial rationale rather
than on
Japan’s keiretsu relationships. The
intrusion of US-managed capital would
cause the very social chaos that Japanese politicians badly want to
avoid.
This problem holds true throughout much of Asia, including
China. Asia is unable to attract
sufficient global capital to sustain its growth/recovery targets,
unable to
restructure its economies away from export to generate that capital
domestically, and unwilling to allow an uncontrolled influx of US
managed
global capital on American terms. Politically, Asian leaders are
trapped
between the economic demands of a neo-liberal global system and
indigenous social
traditions. They face a policy paralysis
resulting from conflicting pressures.
Inefficiencies continue, recovery aborted by
externally imposed economic
realities, and social tensions reach boiling points.
An Asian solution will come from creating Asian institutions
to supplant the unresponsive global institutions within which Asian
economies
are increasingly put at a competitive disadvantage even as they pile up
trade
surpluses. Grass-root resistance to US demands for trade liberalization
will
force Asian leaders to seek Asian regional solutions, perhaps an Asian
common
market with its own currency regime supported by an Asian Monetary Fund
to free
itself from dollar hegemony.
The Dollar a
Non-convertible Currency
Under dollar hegemony, the dollar has become a de facto
non-convertible currency in a deregulated global financial free market.
What
pushes long-term dollar interest rates down is the inflationary effect
on
dollar assets caused by too many dollars chasing increasingly hollow
dollar
assets of dwindling productive content.
Global trade is now a game in which the US
produces dollars and the rest
of the world produces real goods dollars can buy. This game hollows out
the
real value of dollar assets as they appreciate in nominal value with
thinning
substance or declining yields. When prices of dollar assets are bid up
by
speculation, their real yields fall. Foreign-held dollars are invested
in
dollar asset not to capture high interest or dividend payments, but to
hope for
continuing price appreciation. But increasingly-hollowed,
non-performing assets
will eventually require sky-rocketing yields to attract or hold
investors.
There will come a time when the gap between speculative price
appreciation and
high yield becomes too wide to be reconcilable, as companies in the New
Economy
discovered in 2000. Bernanke, a very astute economist, no doubt is
familiar
with the iron law governing the inverse relationship between rising
bond prices
and falling bond yields, yet on the need to keep yields high to attract
bond
buyers, he remains curiously silent, even when key market participants
such as
Bill Gross of Pimco, the nation’s largest bond dealer, has repeatedly
warned.
This is the inescapable trap in which Greenspan finds
himself when he attempts to deflate a debt bubble approaching bursting
point
with his measured-paced interest rate policy.
The Fed cannot raise short-term interest rates
above long-term rates
because an inverted rate curve will lead to a recession. Yet he must
raise
short-term rates to hold down inflation, this time not wage-pushed
because
outsourcing has kept wages low, but from a speculative frenzy fueled by
debt
recycling. Yet long-term rates remain low because of the coerced global
capital
flow effects of dollar hegemony. As Bernanke accurately observes,
foreign
central banks have been reduced to playing the role of funding
intermediaries
to permit the US to finance its capital account surplus with its
current
account deficit. It is a game of financing US consumer debt with US
capital debt,
with the Fed printing more money everyday to keep the Ponzi scheme
going, to
the tune of over $1.4 trillion a year in 2004 or $5.4 billion every
trading
day.
But the outcome of this game is stagflation - recession with
inflation - as President Carter found out from the Fed’s reckless
easing under
Arthur Burns during the Nixon/Ford years. The Carter stagflation will
be merely
a minor storm involving billions compared to the coming financial
tsunami where
the stakes have been exponentially inflated to trillions. Just like
little
naïve Dorothy finally drew the curtain open to expose the trickery
of the
Wizard of Oz, the foreign exporting economies will soon catch on to the
monetary smoke and mirrors of the Wizard of Bubbleland in support of
neo-liberal trade.
The Repo Market now
Big and Dangerous
Created to raise funds to pay for the flood of
securities
sold by the US government to finance growing budget deficits in the
1970's, the
repo market has grown into the largest financial market in the world,
surpassing
stocks, bonds, and even foreign-exchange.
At a time around 1998 when the world’s biggest government
bond market was shrinking because of a temporary US fiscal surplus, the
market
where investors financed their long bond purchases with short-term
loans
continued to grow by leaps and bounds.
The $2 trillion daily repo market in 1998
became the place where bond
firms and investors raise cash to buy securities, and where
corporations and
money market funds park trillions of electronic dollars daily to lock
in
risk-free attractive returns. That market has since grown to over $5
trillion a
day, almost 50% of GDP.
The repo market grew exponentially as it came to be used to
raise short-term money at lower rates for financing long-term
investments such as
bonds and equities with higher returns. The derivatives markets also
require a
thriving financing market, and repos are an easy way to raise
low-interest funds
to pay for securities needed for arbitrage plays. It
used to be that the purchase of securities
could not be financed by repos, but those restrictions have long been
relaxed
along with finance deregulation. Repos were used first to raise money
to finance
only government bonds, then corporate bonds and later to finance
equities. The
risk of such financing plays lies in the unexpected sudden rise in
short-term
rates above the fixed returns of long-term assets. For equities, rising
short-term rates can directly push equity prices drastically down,
reflecting
the effect of interest rates on corporate profits.
Hard figures on the size of the repo market in the US or
Europe are not easy to come by. The Bond Market Association, a trade
group
representing US bond dealers, provides estimates of US market size
based on
surveys taken by the New York Federal Reserve Bank on daily financing
transactions made by its primary dealers that do business directly with
the
Fed. By Fed statistics, the US repo market command average trading
volume of
about $5 trillion per day in 2004, up from $2 trillion in 1998, and the
European one now passed 5 trillion euros in outstandings. Both have
been
growing at double-digit pace. That jump occurred even as the face value
of US
government bonds outstanding declined to $3.3 trillion from $3.5
trillion
between 1999 and 1997 -- the first drop since the Treasury began
selling
30-year bonds regularly in 1977. Total Federal government debt
outstanding at
the end of 2004 was $7.6 trillion, nearly 70% of GDP.
In its February 2, 2005 Report to the
Secretary of the Treasury, the Bond Market Association Treasury
Borrowing
Advisory Committee notes that the stock of Treasury debt currently held
by
foreigners is just over 50%, and that “with higher short rates would
come
greater risks of chronic or intractable fails if foreign participation
in repo
markets was not assured.” The St Louis
Fed reports that as of June 30, 2005, Federal debt held by foreigner
amounted
to over $2 trillion.
The runaway repo market is another indication that the Fed
is increasingly operating to support a speculative money market rather
than following
a monetary policy ordained by the Full Employment and Balanced Growth
Act of
1978, known as the Humphrey-Hawkins Act.
Under the Federal Reserve Act as amended by
Humphrey-Hawkins, the
Federal Reserve and the Fed Open Market Committee (FOMC) are charged
with the
job of seeking “to promote effectively the goals of maximum employment,
stable
prices, and moderate long-term interest rates.” Humphrey-Hawkins
mandates that, in the pursuit
of these goals, the Federal Reserve and the FOMC establish annual
objectives
for growth in money and credit, taking account of past and prospective
economic
developments to support full employment. The act introduces the term
"full
employment" as a policy goal, although the content of the bill had been
watered down before passage by snake-oil economics to consider 4%
unemployment
as structural. Unemployment near or below the structural level is
deemed structurally
inconsistent due to its impact on inflation (causing wages to rise! - a
big
no-no for die-hard monetarists), thus only increasing unemployment down
the
road. Structural unemployment is now theoretically set at 6%.
Unfortunately, aside from being morally offensive, this
definition of full employment is not even good economics. It distorts
real
deflation as nominal low inflation and widens the gap between nominal
interest
rate and real interest rate, allowing demand constantly to fall behind
supply.
Humphrey-Hawkins has been described as the last legislative gasp of
Keynesianism’s doomed effort by liberal senator Hubert Humphrey to
refocus on
an official policy against unemployment. Alas, most of the progressive
content
of the law had been thoroughly vacated even before passage. Full
employment has
not been a national policy for the US since the New Deal. Yet few have
bothered
to ask what kind of economic system is it that the richest country in
the world
cannot afford employment for all its citizens.
The one substantive reform provision: requiring the Fed to
make public its annual target range for growth in the three monetary
aggregates: the three Ms, namely M1 = currency in circulation,
commercial bank
demand deposits, NOW (negotiable order of withdrawal) and ATS (auto
transfer
from savings), credit-union share drafts, mutual-savings-bank demand
deposits,
non-bank traveler's checks; M2 = M1 plus overnight repurchase
agreements issued
by commercial banks, overnight eurodollars, savings accounts, time
deposits
under $100,000, money market mutual shares; and M3 = M2 plus time
deposits over
$100,000 and term repo agreements. A fourth category, known a L,
measures M3
plus all other liquid assets such as Treasury bills, savings bonds,
commercial
paper, bankers’ acceptances and Eurodollar holdings of US residents
(non-bank). Changes in the financial
system, particularly since the deregulation of banking and financial
markets in
the 1980s, have contributed to controversy among economists about the
precise
definition of the money supply. M1, M2 and M3 now measure money and
near-money
while L measures long-term liquid funds.
There is no agreement on the amount of L. The
controversy is further
complicated by the financing of long-term instruments with short-term
repos
which while being a money creation venue, can be mercuric in
outstanding
volume.
The persistent expansion in the money supply has been
accompanied by a decline in the efficiency of money to generate GDP. In
1981,
two dollars in the money supply (M3 - $2 trillion) yielded three
dollars of GDP
($3 trillion), a ratio of two to three. In 2005, ten dollars in the
money
supply (M3 – $10 trillion) yields twelve dollars of GDP ($12 trillion),
a ratio
of two-and-a-half to three. It now takes 25% more money to produce the
same GDP
than 25 years ago. That 25% is the
unproductiveness of debt that has infested the economy, not even
counting the
unknown quantity of virtual money that structured finance creates.
In 2000, when the Humphrey-Hawkins legislation requiring the
Fed to set target ranges for money-supply growth expired, the Fed
announced that
it was no longer setting such targets, because it no longer considered
money-supply growth as providing a useful benchmark for the conduct of
monetary
policy. It is a reasonable position since no one knows what the money
supply
and its growth rate really are. However, the Fed said that “the FOMC
believes
that the behavior of money and credit will continue to have value for
gauging
economic and financial conditions. Moreover, M2, adjusted for changes
in the
price level, remains a component of the Index of Leading Indicators,
which some
market analysts use to forecast economic recessions and recoveries.” Non-useful data yield non-useful forecasts.
Commercial banks profit from using low-interest-rate repo
proceeds to finance high-interest-rate “sub-prime” lending - credit
cards, home
equity loans, auto loans etc. - to borrowers of high credit risks at
double
digit interest rates compounded monthly.
To reduce their capital requirement, banks
then remove their loans from
their balance sheets by selling the CMOs (collateralized mortgage
obligations)
with unbundled risks to a wide range of investors seeking higher
returns
commensurate with higher risk. In
another era, such high-risk/high-interest loan activities were known as
loan
sharking. Yet Greenspan is on record for
having said that systemic risk is a good trade-off for unprecedented
economic
expansion.
Repos are now one of the largest
and most active sectors in the US money market. More
specifically,
banks appear to be actively managing their inventories, to respond to
changes
in customer demand and the opportunity costs
of holding
cash, using innovative ways to by-pass reserve requirements.
Rising
customer demand for new loans is fueled by and in turn drives further
down falling
credit standards and widens interest rate spread in a vicious circle of
unrestrained credit expansion.
Repos are widely used for
investing surplus funds short-term, or for borrowing short-term against
quality
collateral. When the FOMC sells government securities to
withdraw
cash from the banking system, the banks can take the same securities to
the
repo market to get the cash back, neutralizing the Fed attempt to
tighten the
money supply in the banking system, even as the total money supply in
the
economy is theoretically tightened. And this tightening can also be
neutralized
by an increase of money velocity.
Although legally a sequential pair
of transactions, in effect a repo
is a short-term interest-bearing loan against solid collateral.
The annualized rate of
interest paid on the loan is
known as the repo rate. Repos can be of any duration but most
commonly
are overnight loans. Repos for longer than overnight are known as
term
repos. There are also open repos that can be terminated by either
side on
a day’s notice. In trade parlance, the seller of securities does
a repos
and the lender of funds does a reverse. Because cash is the most
liquid
asset, the lender normally receives a margin on the collateral, meaning
it is
priced below market value, usually by 2 to 5% depending on maturity.
It
is improbable that top-rated securities can have a drop in market value
of more
than 5% overnight, but not impossible. The repo interest rate is
usually slightly
lower than the Fed funds rate, which banks charge each other for
overnight loans.
This is because a repo
transaction is a secured loan,
whereas the issuing of Fed funds is the release of sovereign credit
into the
money supply. Also, only the Fed can issue Fed funds while anyone
with surplus
cash can lend money through a repo collateralized by top-rated security.
Even though the return is modest,
overnight lending in the repo market offers several advantages to
investors. By rolling overnight repos, investors can keep surplus
funds
invested without losing liquidity or incurring price risk. They
also
incur very little credit risk because the collateral is always
highest-grade
paper. The repos market is not opened to small investors. The largest users of repos and reverses are
primary dealers
in government securities. As of August 2005, there are 23 primary
dealers
recognized by the Fed, authorized to bid on newly-issued Treasury
securities
for resale in the market. Primary dealers must be
well-capitalized, and
often deal in hundred-million-dollar chunks. In addition, there
are several
hundred dealers who buy and sell Treasury securities in the secondary
market
and do repos and reverses in at least one-million- dollar chunks.
The balance sheet of a
government securities dealer is
highly leveraged, with assets typically 50 to 100 times its own
capital.
To finance the inventory, there is a need to obtain repo money in large
amounts
on a continuing basis. Big suppliers of repo money are money
funds, large
corporations, state and local governments, and foreign central
banks.
Generally the alternative of investing in securities that mature in a
few
months is not attractive by comparison. Even 3-month Treasury
bills
normally yield less than overnight repos.
A dealer who holds a large
position in securities takes a risk in the value of his portfolio from
changes
in interest rates. Position plays are where the largest profits
can be
made. However conservative dealers run a nearly matched book to
minimize
market risk. This involves creating offsetting positions in repos
and
reverses by “reversing in” securities and at the same time “hanging
out”
identical securities with repos. The dealer earns a profit from
the
bid-ask spread. Profits can be improved by mismatching maturities
between
the asset and liability side, but at increasing risk. As dealers move from simply using repos to
finance their
positions to using them in running matched books, they become de facto
financial intermediaries. By borrowing funds at one rate and
re-lending
them at a higher rate, a dealer is operating like a finance company,
doing
for-profit intermediation. This form of carry trade in massive
amounts
can hit with unmanageably destructive force should interest rate
spreads turn
against it.
Dealers
hedging activities create a link between the repo market and the
auction cycle
for newly issued
(on-the-run) Treasury securities. In particular, there is a close
relation
between the liquidity premium for an on-the-run security and the
expected future
overnight repo spreads for that security (the spread between the
general
collateral rate and the repo rate specific to the on-the-run security).
Dealers
sell short on-the-run Treasuries in order to hedge the interest rate
risk in
other securities. Having sold short, the dealers must acquire the
securities
via reverse repurchase agreements and deliver them to the purchasers.
Thus, an
increase in hedging demand by dealers translates into an increase in
the demand
to acquire the on-the-run security (that is, specific collateral) in
the repo
market. The supply of specific collateral to the repo market is not
perfectly
elastic; consequently, as the demand for the collateral increases, the
repo
rate falls to induce additional supply and equilibrate the market. The
lower
repo rate constitutes a rent (in the form of lower financing costs),
which is
capitalized into the value of the on-the-run security. The price of the
on-the-run
security increases so that the equilibrium return is unchanged. The
rent can be
captured by reinvesting the borrowed funds at the higher general
collateral
repo rate, thereby earning a repo dividend. When an on-the-run security
is
first issued, all of the expected earnings from repo dividends are
capitalized into
the security’s price, producing the liquidity premium. Over the course
of the
auction cycle, the repo
dividends are “paid” and the liquidity premium declines; by the end of
the
cycle, when the security goes off-the-run (and the potential for
additional
repo dividend earnings is substantially reduced), the premium has
largely
disappeared. A repo squeeze
occurs when the holder of a substantial position in a bond finances a
portion
directly in the repo market and the remainder with “unfriendly
financing” such
as in a tri-party repo. Such squeezes
can be highly destabilizing to the credit market.
The direct dependence of derivatives financing on the repo
market is worth serious focus. According
to Greenspan, “by far the most significant event in finance during the
past
decade has been the extraordinary development and expansion of
financial derivatives.”
The Office of the
Controller of Currency (OCC) Bank Derivative Report (First Quarter 2005)
on bank derivatives activities and trading revenues is based on call report information provided by US
insured commercial banks. During the first quarter, the notional amount
of derivatives in insured commercial
bank portfolios increased by $3.2 trillion to $91.1
trillion. The notional amount of interest rate contracts
increased (by $2.5 trillion) to $78 trillion. The notional value of
foreign
exchange contracts decreased (by $94 billion) to $8.5 trillion. This
figure
excludes spot foreign exchange contracts, which increased (by $319
billion) to
$738 billion. Credit derivatives increased (by $777 billion) to $3.1
trillion.
Equity, commodity and other contracts increased (by $87 billion) to
$1.5
trillion. The number of commercial banks holding derivatives increased
(by 18)
to 695. Eighty-six percent of the
notional amount of derivative positions consists of interest rate
contracts,
with foreign exchange accounting for an additional 9%. Equity,
commodity and
credit derivatives accounted for the remaining 5% of the total notional
amount.
Holdings of derivatives continue to be concentrated in the largest
banks. Five
commercial banks account for 96% of the total notional amount of
derivatives in
the commercial banking system, with more than 99% held by the largest
25 banks.
Over-the-counter (OTC) contracts comprised 91% and
exchange-traded contracts comprised 9% of the notional holdings as of
first
quarter of 2005. An OTC
instrument is traded not on organized exchanges (like futures contracts), but by dealers (typically
banks) trading directly with one another
or with their counterparties (hedge funds) using electronic means that link counterparties. OTC
contracts tend to be more popular with banks and bank customers because
they
can be tailored to meet firm-specific risk-management needs. However,
OTC
contracts expose participants to greater credit risk, particularly
counter-party risk, and tend to be less liquid than exchange-traded
contracts,
which are standardized and fungible.
At year-end 1998, US commercial banks reported outstanding
derivatives contracts with a notional value of only $33 trillion, less
than a
third of today’s value, a measure that had been growing at a compound
annual
rate of around 20% since 1990. Of the $33 trillion outstanding at
year-end
1998, only $4 trillion were exchange-traded derivatives; the remainder
were
off-exchange or over-the-counter (OTC) derivatives.
Most of the funds came from the exploding
repo market.
The 1987 crash was a stock market bubble burst. The newly
appointed Greenspan as Fed Chairman, merely nine
weeks in the powerful post, flooded the banking
system with new reserves by having the FOMC (Fed Open Market Committee)
buy
massive quantities of government securities from the market, and
announced the
next day that the Fed would “serve as liquidity to support the economic
and
financial system.” He created US$12 billion of new bank reserves
by
buying up government securities. The $12 billion injection of
high-power money
in one day caused the Fed Funds rate to fall by three-quarters of a
point and
halted the financial panic. The abrupt
monetary ease led to a subsequent real property bubble burst that in
turn
caused the Savings and Loan (S&L) crisis two years later. The
Financial
Institutions Reform Recovery and Enforcement Act (FIRREA) was enacted
by the US
Congress in August, 1989, to bail out the thrift industry in the
S&L crisis
by creating the Resolution Trust Corporation (RTC) to take over failed
savings
banks and dispose of their distressed assets. The Federal Reserve
reacted to
the S&L crisis with a further massive injection of liquidity into
the
commercial banking system, lowering the Fed funds rate target from its
high of
10.75% reached on April 19, 1989 to below the 3% inflation rate, making
the
real rate near zero until January 31, 1994.
Since there were few assets worth investing in a down
market, most of the Fed’s newly created money went into bonds. This
resulted in
a bond bubble by 1993, which then burst with a bang in February 1994
when the
Fed started raising rates, going further and faster than market
participants
had expected: seven hikes in 12 months, doubling the Fed funds rate
target to
6%. As short-term rates caught up with long, the yield curve flattened
out.
Liquidity evaporated, punishing “carry traders” who had borrowed
short-term at
low rates to invest longer-term in higher-yield assets, such as
long-dated
bonds and more adventurous higher-yielding emerging-market bonds. The
rate
increases set off a bond-market crash that bankrupted Wall Street giant
Kidder
Peabody & Co, California's Orange County and the Mexican economy,
all
casualties of wrong interest rate bets. In the case of Orange county, a triple-legged repo strategy brought it
extraordinary returns for a few years, but the risk of the portfolio
was such
that over time, it could lose as much as $1.6 billion in excess of
value at
risk estimates in 1 case out of 20. And it did in 1994.
By 1994, Greenspan was already riding on the back of the
debt tiger from which he could not dismount without being devoured by
it. The
Dow was below 4,000 in 1994 and rose steadily to a bubble of near
12,000, while
Greenspan raised the Fed funds rate target seven times from 3% to 6%
between
February 4, 1994 and February 1, 1995, to try to curb “irrational
exuberance.”
Greenspan kept the Fed funds rate target above 5% until October 15,
1998 when
he was forced to ease after contagion from the 1997 Asian financial
crisis hit
US markets. The rise in Fed funds rate target in 1994 did not stop the
equity
bubble, but it punctured the bond bubble and brought down many hedge
funds.
Despite the Lourve Accord of 1987 to slow the Plaza-Accord-induced fall
of the
dollar, which fell to 94 yen and 1.43 marks by 1995. The low dollar
laid the
ground for the Asian finance crisis of 1997 by fueling financial
bubbles in the
Asian economies that pegged their currencies to the dollar.
Stan Jonas, a minor legend on Wall Street in the early
1990s, explained the hedge funds/derivative world in an interview by
DerivativeStrategy.com in November 1995. The low interest rate policy
of the
Fed in 1993 turned the market into a speculative free-for-all. With the
banking
system in precarious shape, the Fed kept the yield curve very steep,
meaning a
wide spread between short-term and long-term rates, and kept short-term
rates
low in order to give banks a chance to rebuild their capital. Bankers
acting on
the signal that the Fed was going to hand out a free put, bought
two-year notes
and profited on the capital gain as well as the profitable carry trade,
lending
the low-cost funds to borrowers at higher rates. All through 1993, and
particularly towards the end, there was a huge bond rally. When bonds
broke at
the end of 1993, most market participants were long on bonds. As the
Fed
tightened, the market recognized how closely concentrated liquidity had
been.
Everybody was on the same side of the trade, long on US bonds, German
bunds
etc. And nobody imagined that so many traders could be long in such
huge size.
Jonas detailed how it worked. In 1992, a hedge fund manager
with $3 billion in stocks hearing the Fed signal to the banking system,
decided
to go long on bonds, meaning to bet on bond prices rising. Quantitative
analysis suggested that bonds were one third as volatile as stocks. The
manager
went long on $10 billion of 10-year bonds.
When the yield curve steepened, meaning
10-year-bond prices were rising
slower than 2-year-bond prices, he decided to be long two-year notes.
On a
duration weighted basis, quant analysis told him he should be long
about seven
times as much, or $70 billion in two-year notes, which exceeded the
amount of
2-year notes outstanding. In 1992, value-at-risk analysis which, based
by
probabilities and correlations and volatility, told a trader how much
he could
lose in his entire portfolio with a particular trading plan, looking at
past
correlations and volatilities, concluded that French bonds and two-year
notes
were a comparable exposure to his current US fixed income positions.
The
manager went to the European market where the easing cycle had not yet
caught
up to that in the US. Many of the hedge funds made the same kind of
decision
with electronic speed. All the equity managers jumped into fixed income
with
leverage of 100 to 1, and made a lot of money. The Fed eased 24 times
and kept
on easing. The traders became real-life versions of Sherman McCoy,
master-of-the-universe bond trader in Tom Wolfe’s Bonfire
of the Vanities.
When the Fed began to ease aggressively in 1992, the
financial world was opening up by deregulation. With derivatives, a
trader
could make bets that were impossible to make three or four years
earlier. One
could buy French bonds at the MATIF, or gilts at LIFFE or do structured
products with pay-offs based on the difference between Spanish and
German
rates. The whole world essentially became a futures market grouped
under the
benign name of structured finance. Many of these hedge fund managers
and
traders were interrelated by blood, by background, by tastes, by
lifestyle and
by education. It was a very small elite group, fearless and confident,
competing with and checking on what the others were doing.
They had a firm sophisticate command on the
virtual world of financial values and relationships, but were
unwittingly naïve
about the complexity of the real world. In all, a few thousand young
Turks ran
the whole market and spoke a language that their supervisors could
hardly
follow and were embarrassed to admit they were clueless. That was one
of the
factors why all the bets tended to be on the same side.
And when it came time to unwind, there was
hardly anyone to sell to. All of the statistical notions of
diversification
failed because there was no wide divergence of views in a broad market.
1994
was a year when all global bond markets moved in the same direction.
When it
came time to liquidate, the market froze for lack of buyers.
Most model builders assume reality to be rational and
orderly. In fact, life is full of misinformation, errors of judgment,
miscalculations, communication breakdowns, ill will, legalized fraud,
unwarranted optimism, prematurely throwing in the towel, etc. One view
of the
business world is that it is a snake pit. Very few economic/financial
models
reflect that perspective.
Most hedge funds make money as trend followers. The key to
trend following is that if the market goes up you keep buying more.
There was a
built-in tendency for a herd instinct that quickly turned into a
stampede.
Those who turned out right ended up as superstars. Normally, if a
trader makes
money, he is supposed to take profits when the going is still good
because
everyone knows pigs lose money. Gamblers who overstay at the tables in
Las
Vegas will end up as losers. But the 1990s were the age of unabashed
greed.
When managers got on a track that made money, they developed a sense of
invincibility and effectively doubled up on their positions, so on any
big move
down, they faced big losses that would wipe out all their previous
gains.
Many of the biggest hedge funds promised their investors
that they would never lose serious amounts of money because of
brute-force
stop-loss breaks, so that no matter what happened they would never lose
more
than say 3-5% of their capital in any one month in trading strategies
that
could yield average returns of up to 70%. But the stop-loss strategy
unwittingly destroyed their hedge. As a fund experienced losses in one
marketplace, it started shrinking its positions in every marketplace to
prevent
its portfolios to lose more than 5%. So after the Fed tightened in the
US
market, the funds sold in the European market. When the European market
fell,
they sold in the Latin American markets to shrink their overall
position. It
becomes a “global triage.” The position was pared of the most liquid
securities
first, leaving the fund with the most difficult positions, the "toxic
waste" to the detriment of their shareholders. The global market was
hit
by contagion when good markets were sold down to save bad markets.
Strange
corollaries appeared. One day the market was down in Germany and the
next day
it spilled over to Mexico and the Turkish markets in rhythms tied to
investor
preferences and risk aversion, not to macroeconomic events in the
economies.
The fundamentals were good but the markets kept falling. This asset was
cheap
relative to that asset; Mexico was cheap relative to Spain, and so on.
This
shrinkage quickly became self-exacerbating and a global melt down took
place.
The lesson from the banking side was that static notions of
risk and implied volatility were meaningless. Infinite liquidity in the
marketplace might work on theoretical models, but the mathematics was
valid
only a very controlled scale. In the real world, the complexity always
overwhelms the model.
The big hedge funds knew that every time it bought more, it
set off signals for others to buy more.
Assets became Giffen goods, the demand for
which increases when the
price goes up. It's a positive feedback loop. The big funds could
control the
market trend to make other participants buy more because they knew the
participants’ recipe for replicating the options. As Nassim Taleb,
celebrated
author of Dynamic Hedging and Fooled by
Randomness, formulates his 5th
rule on risk management, “The market will follow the path to thwart the
highest
number of possible hedgers.” Taleb
cautions that financial models, unlike engineering models, are based
more on
assumptions that are not verifiable. “In finance, you are not as
confident about
the parameters. The more you expand your model by adding parameters,
the more
you become trapped in an inextricable apparatus of relationships. It is
called
overfitting,” he said in an interview by DerivativeStrategy.com.
The market is difficult to model because there are vast
arrays of variables that are indeterminate and the externalities are
not
isolatable. Still, even engineering models have similar
characteristics.
Engineers overcome such problems by legally requiring a safety factor
of 3 in most
building codes and strength of materials standards.
In other words, every engineered structure is
over-designed by a factor of at least three. The problem with financial
models
is that profitability is derived from shaving the safety factor to near
zero. Financial models are designed to
allow the
user to skate on the thinnest ice possible, rather than the safest ice
necessary. Risk management has been
misused to allow traders to take more risk rather than to protect him
from the
dangers of un-calculable risk.
Dealers provide hedge funds with the opportunity to track a
new type of risk embedded in the marketplace: correlation risk. The
pricing is
based on relative movements of previously stable historical
relationships. All
the hedging technologies based on those ideas would break down in a
crisis. The
most vulnerable weakness of a value-at-risk (VaR) or any statisitical
model is
its assumed stable correlation matrix. Taleb warns that when potential
loss
distributions are fat-tailed (a term implying a more than nominal
probability
of losses at the far end of the distribution - that is, high degree of
probability of several defaults in the pool), simulation based critical
value
estimates show significant biases and have standard errors of
substantial magnitude.
This is particularly significant when a portfolio’s positions contain
options.
These distributions are a mixture of different distributions, and it
becomes
virtually impossible to verify with any accuracy the potential losses
associated with extremely rare events.
Updated assumptions are irrelevant because history
progresses in a disjointed pace. By definition, if every market
participant
trades with the same assumptions, historical correlation will be
inoperative.
If large numbers of market participants are trying to exit at the same
time,
the market turns finite and the historical parallels becomes so dynamic
that
risks becomes unquantifiable. Ironically, it's the worst sort of
empiricism.
Jonas thinks the worst sort of technical trading is typified by the
refrain of
the lazy technician, and it's been carried forward by many risk
modelers, “I
don't have to know anything about the fundamentals, the charts tell me
all I
need to know.”
What gives the market a false sense of safety now is that
more asset positions are getting “marked to market” at the end of every
trading
day, moving the marketplace dramatically toward risk management as the
savior,
rather than book value of long-term instruments which returns its
principle at
maturity, making intermediate risk irrelevant. This actually increases
overall
risk since temporary losses are the basis of longer-term gains.
Greenspan Opposed
Regulation for Derivatives
Most of the time, if the words “interest rates” do not
appear in Greenspan's utterances, little attention is paid to them. Yet
in detached
language and calm tone, Greenspan has been saying that he does not
intend to
exercise his responsibility as Fed Board Chairman to regulate OTC
financial
derivatives intermediated by banks, even though he recognizes such
instruments
as being certain to produce unpredictable but highly-damaging systemic
risks. The justification for
no-regulation is: if we don't smoke at home, someone else offshore
will.
Moreover, risk is a price we must accept for a growth economy. It sounds like that the Fed expects that each
market participant or even non-participant individually to take
measures of
self-protection: either miss out on the boom, or risk being wiped out
by the
bust. It is unpatriotic, not to mention
dumb, not to participate in the great American game of downhill racing
risk-taking.
With the rise of monetarism, the Fed, together with the
Treasury Department, have evolved from traditionally quiet functions of
insuring the long-term value and credibility of the nation’s currency,
to
activist promotions of speculative boom fueled by run-away debt,
replacing the
Keynesian approach of fiscal spending to manage demand by sustaining
board-based income to moderate the downside of the business cycle.
Never
before, until Greenspan, has any central banker advocated and
celebrated to
such a degree the institutionalization and socialization of risk as an
economic
policy. As Anthony Giddens, director of the London School of Economics,
explains in his The Third Way that so
influenced Bill Clinton, the New Economy president, and Blair, the
self-proclaimed neo-liberal market socialist: “nothing is more
dissolving of
tradition than the permanent revolution of market forces.” What the
Third Way
revolution did in reality was to restore financial feudalism in the
name of
progress. Debt has enslaved a whole generation of mindless risk-takers
with the
encouragement of the wizard of bubbleland.
In a speech on Financial Derivatives before the Futures
Industry Association in Boca Raton, Florida on March 19, 1999,
Greenspan
said: “By far the most significant event
in finance during the past decade has been the extraordinary
development and
expansion of financial derivatives... ... the fact that the OTC markets
function quite effectively without the benefits of the Commodity
Exchange Act
provides a strong argument for development of a less burdensome regime
for
exchange-traded financial derivatives. On a loan equivalent basis, a
reasonably
good measure of such credit exposures, US banks’ counterparty exposures
on such
contracts are estimated to have totaled about $325 billion last
December. This
amounted to less than 6 percent of banks’ total assets. Still, these
credit
exposures have been growing rapidly, more or less in line with the
growth of
the notional amounts... ... a Bank of International Settlements survey
for last
June .... estimated the size of the global OTC market at an aggregate
notional
value of $70 trillion, a figure that doubtless is closer to $80
trillion today.
Once allowance is made for the double-counting of transactions between
dealers,
U.S. commercial banks’ share of this global market was about 25%, and
US
investment banks accounted for another 15%.
While US firms’ 40% share exceeded that of
dealers from any other country,
the OTC markets are truly global markets, with significant market
shares held
by dealers in Canada, France, Germany, Japan, Switzerland, and the
United
Kingdom. Despite the world financial trauma of the past eighteen
months, there
is as yet no evidence of an overall slowdown in the pre-crisis
derivative
growth rates, either on or off exchanges. Indeed, the notional value of
derivatives contracts outstanding at US commercial banks grew more than
30%
last year, the most rapid annual growth since 1994... ... during panic
periods
the usual assumption that potential future exposures are uncorrelated
with
default probabilities becomes invalid. For example, the collapse of
emerging
market currencies can greatly increase the probability of defaults by
residents
of those countries at the same time that exposures on swaps in which
those
residents are obligated to pay foreign currency are increasing
dramatically.”
Whole speech:
http://www.bog.frb.fed.us/BoardDocs/Speeches/Current/19990319.htm
Greenspan testified on the collapse of Long Term Capital
Management (LTCM) before the Committee on Banking and Financial
Services, US
House of Representatives on October 1, 1998, a month after the collapse
of the
huge hedge fund: “While their financial clout may be large, hedge
funds’
physical presence is small. Given the amazing communication
capabilities
available virtually around the globe, trades can be initiated from
almost any
location. Indeed, most hedge funds are only a short step from
cyberspace. Any
direct US regulations restricting their flexibility will doubtless
induce the
more aggressive funds to emigrate from under our jurisdiction. The best
we can
do in my judgment is what we do today: Regulate them indirectly through
the
regulation of the sources of their funds. We are thus able to monitor
far
better hedge funds’ activity, especially as they influence US financial
markets. If the funds move abroad, our oversight will diminish. We have nonetheless built up significant
capabilities in evaluating the complex lending practices in OTC
derivatives
markets and hedge funds. If, somehow, hedge funds were barred
worldwide, the
American financial system would lose the benefits conveyed by their
efforts,
including arbitraging price differentials away. The resulting loss in
efficiency and contribution to financial value added and the nation’s
standard
of living would be a high price to pay--to my mind, too high a price… …
we
should note that were banks required by the market, or their regulator,
to hold
40 percent capital against assets as they did after the Civil War,
there would,
of course, be far less moral hazard and far fewer instances of
fire-sale market
disruptions. At the same time, far fewer banks would be profitable, the
degree
of financial intermediation less, capital would be more costly, and the
level
of output and standards of living decidedly lower. Our current economy,
with
its wide financial safety net, fiat money, and highly leveraged
financial
institutions, has been a conscious choice of the American people since
the
1930s. We do not have the choice of accepting the benefits of the
current
system without its costs.”
Whole testimony:http://www.bog.frb.fed.us/boarddocs/testimony/1998/19981001.htm
Central banks in desperate times would look to
hyper-inflation to “provide what essentially amounts to catastrophic
financial
insurance coverage,” as Greenspan suggested in a November 19, 2002
address on International Financial Risk Management
to the Council on Foreign Relations (CFR) in Washington.
Greenspan noted that since February 2000, the
draining impact of a loss of US$8 trillion of stock-market wealth (80%
of gross
domestic product, or GDP), and of the financial losses associated with
September 11, 2001, has had a highly destabilizing effect on the
aggregate
debt-equity ratio in the US financial system, and has pushed the ratio
below
levels conventionally required for sound finance. This private debt in
2000 of
$22 trillion was backed by $8 trillion less equity, an amount in excess
of
one-third of the debt. Greenspan attributed the system’s ability to
sustain
such a sudden rise of debt-to-equity ratio to debt securitization and
the
hedging effect of financial derivatives, which transfer risk throughout
the
entire system. “Obviously, this market is still too new to have been
tested in
a widespread down-cycle for credit,” Greenspan allowed.
Total debt in the US economy now runs to $40 trillion as of
March 2005, of which $31 trillion is private-sector debt, 66% ($21
trillion) of
which has been added since 1990 under Greenspan’s watch. That is 20% of
2004
GDP. This figure is consistent with the
fact that it now takes 25% more money in the money supply to support a
given
GDP than 25 years ago.
In recent years, the rapidly growing use of more complex and less
transparent
instruments such as credit-default swaps, collateralized debt
obligations, and
credit-linked notes has had a net effect of transferring individual
risks to
systemic risk. The impact of the costs of hurricane Katrina to the
credit
market is yet to be fully felt, but nervousness about sudden changes in
the
systemic risk profile is mounting across the market.
Structured finance is a two-sided blade. It spreads the risk throughout the system to
create resilience; but as structured finance un-bundles risk to
maximize returns,
it concentrates distress on the high-risk takers, such as hedge funds
which are
the leading players in the credit market.
Securitization
seeks to substitute capital market-based finance for credit finance by
sponsoring financial relationships without the lending and
deposit-taking
capabilities of banks (disintermediation). Generally, securitization
represents
a structured finance transaction, where receivables from a designated
asset
portfolio are sold as contingent claims on cash flows from repayment in
the bid
to increase the issuer’s liquidity position and to support a broadening
of lending
business (refinancing) without increasing the capital base (funding
motive).
Aside from being a funding instrument, securitization also serves to
reduce
both economic cost of capital and regulatory minimum capital
requirements as a
balance sheet restructuring tool (regulatory and economic motive) and
to
diversify asset exposures (especially interest rate risk and currency
risk) as
issuers repackage receivables into securitizable asset pools
(collateral) underlying
the so-called asset-backed securitization (ABS) transactions (hedging
motive). Also the generation of securitized cash flows from a
diversified
asset portfolio represents an effective method of redistributing credit
risks
to investors and broader capital markets. These issuer incentives
correspond to
a certain investment appetites in ABS. As opposed to ordinary creditor
claims
in lending relationships, the liquidity of a securitized contingent
claim on a promised
portfolio performance in a structured transaction affords investors at
low transaction
costs to quickly adjust their investment holdings due to changes in
personal
risk sensitivity, market sentiment and/or consumption preferences.
Asset-backed
securitization (ABS) represents a growing segment of structured
finance.
Efficient risk and asset allocation through seasoned trading in this
relatively
young fixed income market requires both investors and issuers to
thoroughly
understand the longitudinal properties of spread prices (over benchmark
risk-free market interest rate) of traded securities, which reflect
various
risk factors of a transaction. Spreads are closely watched by investors
and
issuers alike, and by doing so, they create an efficient primary and
secondary
markets of informed investment.
The
flexible security design of asset-backed securitization allows for a
variety of
asset types to be used in securitized reference portfolios. Mortgage-backed
securities (MBS), real estate and non-real estate
asset-backed
securities (ABS) and collateralized debt obligations (CDO)
represent
the three main strands of asset-backed securitization in a broader
sense. All
ABS structures engross different criteria of legal and economic
considerations,
which all converge upon a basic distinction of security design: traditional
vs.
synthetic securitization. Traditional
securitization involves the legal
transfer of assets or obligations to a third party that issues bonds as
asset-backed
securities (ABS) to investors via private placement or public
offering.
This transfer of title can take various forms (novation – substitute
of a
new legal obligation for an old one, assignment, declaration
of
trust or subparticipation), which ensures that the
securitization
process involves a “clean break” (true sale, bankruptcy remoteness or
“credit
de-linkage” in loan securitization) between the sponsoring bank (which
originated the securitized assets) and the securitization transaction
itself.
In most cases, however, the sponsor retains the servicing function of
the
securitized assets. Traditional securitization mitigates regulatory
bank capital
requirements by trimming the balance sheet volume. In synthetic
securitization
only asset risk (e.g. credit default risk, trading risk, operational
risk) is
transferred to a third party by means of derivatives without change of
legal
ownership, i.e. no legal transfer of the designated reference portfolio
of
assets. Hence, any resulting regulatory capital relief does not stem
from the
actual transfer of assets off the balance sheet but the acquisition of
credit
protection against the default of the underlying assets through asset
diversification and hedging. Commonly, sponsors of synthetic
securitization
issue debt securities supported by credit derivative structures, such
as credit-linked
notes (CLNs), whose default tolerance amounts
to total expected loan
losses in the underlying reference portfolio. Hence, investors in credit-linked obligations (CLOs) are not
only exposed to inherent credit risk of the reference portfolio but
also
operational risk of the issuer.
Systemic stability cannot be enhanced when the system is
decapitated, as exemplified by the 1998 collapse of Long Term Capital
Management (LTCM) which required Fed intervention to prevent systemic
instability. With world financial
markets already suffering from heightened risk aversion and illiquidity
from
the 1997 Asian financial crisis, officials of the Federal Reserve Bank
of New
York judged that the precipitous unwinding of LTCM’s portfolio that
would
follow the firm’s default would significantly add to market problems,
distort
market prices, and could impose large losses, not just on LTCM’s
creditors and
counterparties, but also on other market participants not directly
involved
with LTCM. In an effort to avoid these difficulties, the Federal
Reserve Bank of
New York (FRBNY) intervened with the major creditors and counterparties
of LTCM
to seek an alternative to forcing LTCM into bankruptcy.
The hedge fund industry has since grown with
an increased number of funds, which will make the dispersed risk crisis
more
complex for future Fed intervention by virtue of the large number of
interested
parties that need to be satisfied.
Greenspan acknowledged that derivatives, by construction,
are highly leveraged, a condition that is both a large benefit and an
oversized
Achilles’ heel. It appeared that the benefit had been reaped in the
past
decade, leading to a wishful declaration of the end of the business
cycle. Now
we are faced with the oversized Achilles’ heel, with “the possibility
of a
chain reaction, a cascading sequence of defaults that will culminate in
financial implosion if it proceeds unchecked.” According
to Greenspan, “only a central bank,
with its unlimited power to create money, can with a high probability
thwart
such a process before it becomes destructive. Hence, central banks
have, of
necessity, been drawn into becoming lenders of last resort.”
Greenspan asserted that such “catastrophic financial insurance
coverage” by the
central bank should be reserved for only the rarest of occasions to
avoid moral
hazard. He observed correctly that in competitive financial markets,
the
greater the leverage, the higher must be the rate of return on the
invested
capital before adjustment for higher risk. Yet there is no evidence
that higher
risk in financial manipulation leads to higher return for investment in
the
real economy, as recent defaults by Enron, Global Crossing, WorldCom,
Tyco and
Conseco have shown. Higher risks in finance engineering merely provided
higher
returns from speculation temporarily, until the day of reckoning, at
which
point the high returns can suddenly turn in equally high losses.
The Politics of
Upward Redistribution
With the support of the supposedly independent Fed under Greenspan, the
Bush
Administration’s economic policy is consistent with its War on
Terrorism.
Taking care of business is the core of the supply-side ideology of
market
fundamentalism. It is consistent with the strategic thrust of the Bush
Administration’s geo-political war on global terrorism through an
international
coalition of state power, notwithstanding that, terrorists of all
different
stripes generally identify social injustice with failed state power,
both
domestically and internationally. Radical or extremist Islam
fundamentalism
considers both the secular Islam states as well as the theocratic Islam
states
part of the regime of nation states that has given birth to the
political and
socio-economic-cultural imperialism that acts as the midwife of
insurgent
political terrorism. In this respect, Islamic fundamentalism is not
much
different from other forms of religious fundamentalism. The Church of
Rome went
through the conflict between Church and State with much blood and
violence,
finally reaching a compromise of separating the two conflicting
institutions into spiritual and political spheres. Religious
fundamentalism has yet to
completely accept this separation, even in the US, where the intrusion
of
religion into state supported education remains active. God is
omnipresent in
the US political system. Printed in all its money are the words; “In
God we
trust.” Fundamentalist Christians in the US are aggressively working to
recapture the state and its foreign policy through renewed alignments
of the
national interest with Christian values.
Islam fundamentalism, insulated from Western
liberalism, also continues
to reject secularism in politics and culture.
A key part of the US War on Terrorism is the protection of
the governments of “moderate” oil states from grass-root Islamic
fundamentalism. A new network neo-colonialism made necessary by the
existence
of alleged “failed” states is at the center of the US geo-political War
on
Terrorism. On the economic front, the Administration’s strategy of
sustaining
normalcy and domestic security is built on keeping big business from
failing,
either from terrorist disruptions or from market excesses. Selective
government
intervention into markets to relieve business of external costs will be
the
cornerstone of the new normalcy. “Too big to fail” becomes a dogma for
believers
of the free market. Corporate strategy quickly adjusts to this game by
getting
bigger through mergers and acquisition to secure the added protection
from
government based on its size. Would the
government allow Citigroup to fail? No
one expects Fannie Mai to fail.
Eight weeks into the 1997 Asian financial crisis, Gary H.
Stern, President of the Minneapolis Fed, wrote about: The
Too-Big-to-Fail Problem in which he warned that “interstate
banking restrictions have been lifted and the barriers between
commercial and
investment banking are starting to fall; US banks are consolidating in
record
numbers and the size and complexity of our largest banks are growing.
While
this consolidation and growth may not, in and of itself, be bad, one
thing is
clear: The loss of just one of these banks will pose an even greater
systemic
risk than before… The moral hazard problem is particularly severe in
banking
because of the lack of deductibles. Governments often provide 100%
depositor
protection, especially at large banks where a loss could have industry
wide
repercussions (a practice known as too-big-to-fail—TBTF)… In 1991, the
US
Congress created an explicit and more stringent TBTF policy [Federal
Deposit
Insurance Corp. Improvement Act- FDICA]. Prior to 1991, there was an
unwritten
TBTF policy, and the government was much freer to rescue large banks
and
protect uninsured depositors. Under FDICIA, uninsured depositors cannot
receive
protection if it raises costs to the FDIC. There is an exception,
however, if
the failure of the bank poses a systemic risk. The emergency bailout
can go
forward with the approval of the Secretary of the Treasury (who must
consult
with the President), the Federal Reserve Board of Governors and the
FDIC's
board of directors. Therein lies the problem: FDICIA still leaves the
door open
for moral hazard in the extreme. Uninsured depositors at the very
largest US
banks still know they are likely to be fully protected and have little
reason
to monitor how their deposits are invested. And, as a result, large
banks have
an incentive to take on more risk than they would otherwise.”
There is also the “too-important-to-fail” dogma. The selection of
Lockheed over
Boeing as contractor of the new $200 billion JSF (Joint Strike Fighter)
program
was reportedly based on the consideration that Lookheed could not
survive a
disappointment, while Boeing could. Thus the sustenance of two military
suppliers is not based on issues of merit or competition, but on the
need for
security redundancy - a standby defense manufacturer.
Enron, which lost 80% of its market capitalization value in 12 months,
wiping
out $50 billion of wealth (share prices dropped from $89.63 on
9/18/2000 to
$15.4 on 10/26/2001), finally and suddenly attracting much attention in
the
media. It faced serious cash-flow problems not from the fall of energy
prices
alone, but from its role as a major trader of energy futures, leading
to a $618
million third quarter loss, not to mention SEC investigation on
creative
accounting and financial reporting that resulted in a $1.2 billion
equity
dilution. If Enron should go under, and all the smart money was betting
on it
if market forces were allowed to govern, the counterparty risk fallout
threatens to dwarf the LTCM crisis. Enron received $250 million from
Congress’s
stimulative package that failed to save it from its multi-billions debt
exposure and trading losses. Enron then bought back $2 billion of its
commercial papers, depleting its $3.3 billion bank credit, because
commercial
papers were traded in the open credit market and Enron might not be
able to
roll them over. Its bank loans were only tradable in the private debt
market.
Corporate credit lines were generally not expected to be drawn down
without
signaling to the market that the borrower was in serious trouble. The
higher
resultant cost of higher interest payments from this desperate move
only added
to Enron's cash-flow problem. The press reported that the company was
negotiating with its banks for additional $2 billion new credit.
Enron's
connection to Texas and the Bush political network was well known.
Enron was
hoping to be bailed out by the “too big to fail” principle, until
criminal
indictments foreclosed the option. No doubt there was criminality in
the Enron
affair, but whether the criminality was the cause of its collapse or
merely
convenient cover for a flawed market is another question.
See: Capitalism's
bad apples: It's the barrel that's rotten
The equity markets since the 9:11 terrorist attacks are no
longer free markets. They are now a scam operated in the name of
patriotism to
transfer through managed volatility by the Plunge Prevention Team, of
which the
Fed is a charter member, the losses that have already occurred but yet
hidden
to unsuspecting small investors who were too patriotic to sell
immediately. The
new financial normalcy is a totally new system. The US has entered a
new phase
of state capitalism with the government deciding who survives and who
fails.
The American system is being attacked by both Terrorism and the War on
Terrorism.
The individual management of risk, however sophisticated, does not
eliminate
risk in the system. It merely passes on the risk to other parties for a
fee. In
any risk play, the winners must match the losers by definition. The
fact that a
systemic payment-default catastrophe has not yet surfaced only means
that the
probability of its occurrence will increase with every passing day. It
is an
iron law of an accident waiting to happen understood by every risk
manager. By
socializing their risks and privatizing their speculative profits, risk
speculators hold hostage the general public, whose welfare the Fed now
uses as
a pretext to justify printing money to perpetuate these speculators’
reckless joyride.
What kind of logic supports the Fed’s acceptance of a 6% natural rate
of
unemployment to combat phantom inflation while it prints money without
reserve,
thus creating systemic inflation to bail out reckless private
speculators to
fight deflation created by a speculative crash?
Next: How the US Money
Market Really Works
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