Clarus Financial Technology

10 CCP Policy Proposals to make markets better

TLDR;

For anyone interested in the BCBS paper/consultation on “Transparency and responsiveness of initial margin in centrally cleared markets – review and policy proposals” (and with a title like that who wouldn’t be interested in it?!) I will try to summarise the 64 pages in 1,200-odd words.

Some of the thoughts that I have on the proposals may be a little surprising….

The original proposals can be found here

Policies One & Two

As a reminder, Clarus CHARM calculates Initial Margin and provides analytics to forecast potential liquidity requirements.

This policy could almost have been written by Clarus themselves…BUT…

My personal take is that most CCPs already provide margin simulation tools. Most of the time, the issue is not the availability, and sometimes not even the functionality, of these tools. It is a question of large Clearing Members having to maintain connections to over 30 CCP margin tools without any standard messaging, functionality or formats.

CCPs, largely as a result of the Clearing Mandates, have been able to enforce their own standards on their members. There is no standardisation across CCPs.

I would therefore recast this policy as “CCPs should create a single standardised messaging format/protocol so that Clearing Members can access margin simulation and portfolio positions in an identical manner across different CCPs”.

Comment below if you agree/disagree….

Policies Three & Four

Will the level of detail in the proposed disclosures be sufficient for Clearing Members to replicate margin calculations themselves? This is a very conservative approach for a clearing member to take (which is probably a good thing) and is certainly necessary if you are going to dispute a CCP’s calls. But are you? Should you? Can you?

A Taylor series expansion of where the IM call is generated (change in risk, change in tail scenarios, change in add-ons) should be sufficient to sanity check the IM call.

There is surely room for someone, somewhere to check the validity of the CCP IM calls. When I traded, I never left the office if I had more than £25k of “unexplained” PnL (positive or negative) after closing my book. That may say more about me than about risk management practices, but you can imagine a process whereby a CCP has to manually check any IM call that has more than “X” variation from the predicted Taylor Series calculation.

(I assume that readers are familiar with Taylor Series: change in market rates * risk at start of day + value of new trades booked today = expected PnL + time decay of portfolio from T-1 to T). 

Policy Five

This could have been Policy One as it is simple, easy to implement and highly achievable (and would fit nicely into CCPView Disclosures). A big “yes please” from us.

Policy Six

This sounds like some very interesting academic work here. Again, this is “Taylor Series”-like to me. What is the “gamma” of the IM model (how does it change with a change in underlying rates)? This policy isn’t about Clearing Members replicating CCP margins, but better understanding how the margin model reacts/has reacted.

Policy Seven

I imagine all CCPs have these “frameworks” already in place as part of their own internal governance/risk monitoring. They probably also already communicate these to their lead-regulators.

Policy Eight

When can a CCP break from “BAU” and manually intervene? There are probably stringent reasons for this in each of the CCP Rulebooks, so maybe this is trying to take some of the discretion/wriggle room away?

Policy Nine

We now move away from CCP-focused policies and turn attentions to Clearing Members (and their relationships with their clients).

This all sounds very reasonable in light of what the CCPs are potentially being asked to do…

Policy Ten

Does Policy Ten teach us that market participants cannot just ask, ask, ask of CCPs without there being some type of comeback? Will Clearing Members really report to CCPs their positions at other CCPs? Would CCPs even know what to do with this data? This sounds a bit like policy over-reach to me, despite the fact it would indeed be fascinating information!

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