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Prof. dr. Enrico Perotti

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Prof. dr. Enrico Perotti. Duisenberg school of finance. University of Amsterdam. Oxford University ... We need to discourage systemic risk creation at the level ... – PowerPoint PPT presentation

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Title: Prof. dr. Enrico Perotti


1
Prof. dr. Enrico Perotti
Regulating Systemic Risk Creation
  • Duisenberg school of finance
  • University of Amsterdam
  • Oxford University

2
Systemic risk creation as an externality
  • We need to discourage systemic risk creation at
    the level of individual bank
  • Define systemic risk as vulnerability to extreme
    correlation
  • Associated with disruptive jumps in risk premia
  • Strategies which increase systemic risk create a
    negative externality on other banks
  • A Pigovian pollution tax can correct such an
    externality, improve incentives
  • So what is the externality ?

3
Lessons from the crisis
  • Regulatory arbitrage reduced bank capital and
    created opacity by slicing up assets
  • Securitization encouraged riskier lending
  • Once the first losses occurred, runs accelerated
    due to extreme maturity mismatch
  • long term opaque assets funded with short term
    wholesale borrowing

4
All systemic crises involve runs
  • In a crisis, whatever the source, investors
    escape risk, seek cash at all cost
  • As prices no longer adjust supply, access to
    credit, not its cost, becomes central
  • Maturity mismatch compounds any shock, spreads
    runs
  • Rapid withdrawals led to fire sales, rapid price
    drop, as repricing speed is high
  • More losses lead to margin calls and more fire
    sales
  • So runs are a cause of extreme correlation, not
    (only) their consequence
  • Crisis which do not spread to general credit (eg
    Internet bubble) do not qualify

5
How to measure systemic risk creation ?
  • Maturity mismatch produces rollover risk
  • Most of the time, rollover risk is just price
    risk, can be dealth with capital requirements in
    extreme events, it forces sales at any price
  • Then reliance on short term funding increases the
    risk of crisis propagation
  • As maturity mismatch amplifies co-movements in
    assets with little economic correlation, it may
    be taken as a proxy measure for marginal
    contribution to systemic volatility

6
Liquidity Charge
  • We propose a liquidity charge indexed to maturity
    mismatch, paid continuously to a supervisory
    institution able to supply liquidity (and some
    capital insurance) upon massive runs
  • Only activated by systemic runs (no single bank)
  • Insured deposits to be exempted (sluggish)
  • May be seen as insurance premia providers of
    liquidity by those who draw it
  • Aim is to affect incentives, discouraging
    rollover risk by flattening yield curve at short
    maturities

7
Insurance charges or taxes ?
  • Charges meant to correct an externality
  • Short term borrowing is too cheap as it bears
    little risk, does not price systemic rollover
    risk it causes
  • Charges best designed as a tax, to allow the
    central bank ex post discretion on volume and
    allocation of support
  • Main aim is to shape incentives by flattening the
    short term borrowing curve
  • Powerful ex ante prudential tool

8
Combine with capital requirements
  • Geneva report call for capital requirements
  • indexed to maturity mismatch, asset growth and
    leverage
  • No need for high capital in good times, only
    funding contingent on a crisis
  • May trigger specific intervention tools (limits
    on bank strategies)
  • More political support, as prepayment of
    intervention
  • Liquidity insurance is complementary to capital
    requirements, targets extreme rollover risk
    (which is not an asset price risk !)

9
Relying only on capital ratios causes incentive
problems
  • Capital levels to prevent a systemic crisis would
    need to be huge during normal times
  • Because of tax, information and agency issues,
    bank capital is expensive.
  • Or short term debt is deceivingly cheap.
  • Bank capital is legally owned by shareholders.
  • As an asset rather than a provision, it creates
    legal issues in rescues of bankrupt banks
  • Banks with excess capital will lever it up
    through riskier loans and strategies.

10
Combine with capital insurance
  • Capital insurance offers contingent capital,
    ideal for a rare event (Kashyap Rajan Stein 2008)
  • Private insurance no longer seem realistic after
    September
  • Contingent liquidity support can support a larger
    fraction of the balance sheet
  • Capital injections should be part of the scheme,
    perhaps event for contractual amount
  • Full capital insurance needed to stop runs would
    be large, best to combine with liqudiity
    insurance
  • In the fall, government purchases of bank equity
    worked at first but were clearly insufficient

11
How is it different ?
  • Why banks should pay a liquidity charge and still
    have to provide securities to ''obtain''
    liquidity ?
  • Right now this service is free of charge
  • Can be seen as payment for LLR services
  • Can it be justified in price terms ?
  • Yes, the market value of liquidity in a crisis is
    huge, and collateral is currently generously
    refinanced
  • Gives legitimacy to massive support on a crisis
  • Does it really add to crisis management tools ?
  • It adds more to ex ante tools.
  • But the trigger of insurance payment allows
    capital contributions (with no not state funds),
    associated with prudential restrictions

12
Powerful ex ante supervisory tool
  • Insurance charge to be based on asset weighted
    maturity mismatch. Should be large enough to
    discourage banks to grow simply by reusing cheap
    wholesale funding to buy market assets.
  • Potentially powerful tool to control risk.
  • Example, to slow down mismatch (or rapid
    leveraging), CB can increase charges for higher
    mismatch (eg very short term funding). An extreme
    level 1 day annual rate 1 year rate
  • Alternatively, insurance may have larger marginal
    than average rates.

13
Unintended consequences
  • Could this shift rollover risk to shadow banking
    ?
  • Not if charges apply to exposure to unregulated
    intermediaries with maturity mismatch
  • Critical to distinguish between intermediaries,
    firms
  • Regulating the boundary indispensable for any
    policy
  • How to treat credit lines ? Any contingent
    exposure should be fully charged as it would be
    drawn for sure in a run
  • If the pricing of bank contingent liabilities
    fully reflects exposure to mismatched
    intermediaries, it would ensure better pricing of
    bank liquidity to shadow sector
  • The IFRS demanded full recognition of
    bank-supported SIV on bank balance sheets.

14
Summary
  • A new regulatory tool to tax system risk creation
  • All systemic crises involve liquidity runs, force
    support by monetary authorities
  • Public liquidity charges realign incentives by
    taxing marginal liquidity risk creation as
    proxied by maturity mismatch
  • New prudential tool for monetary authorities,
    potentially enables to slow down asset growth
  • Requires an internationally coordinated effort to
    avoid regulatory arbitrage

15
Conclusions
  • Public liquidity insurance, combined with some
    capital insurance, offers better incentives than
    high capital requirements
  • no need for high capital in good times,
  • better intervention tools upon a crisis
  • may be better supported politically, as it may be
    seen as a prepayment of potential future support.
  • As prepayment of intervention costs, it would
    legitimize central bank support in a crisis

16
Prof. dr. Enrico Perotti
  • Duisenberg school of finance
  • University of Amsterdam
  • Oxford University
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