You are viewing all posts by, Dr. Christopher Marshall

product director, SunGard’s capital markets business

5
Apr
2010

Central counterparty risk management – Not a universal solution to counterparty credit risk for OTC derivatives and securities financing

Contributor:

The credit crisis has pushed OTC derivatives and securities financing across the world to move to a centralized counterparty (CCP) approach where a single counterparty assumes the settlement and pre-settlement risks of its members. Recent changes to the Basel II accord, namely capital reductions for transactions with CCPs, are fueling this trend. But beware – there is a catch. Moving to a CCP only makes sense if the CCP has a higher credit rating and superior risk management capabilities than the counterparties it is servicing.... read more

product director, SunGard’s capital markets business

25
Mar
2010

On the value of historians as risk managers?

Contributor:

One of the casualties of the recent crash has been the decline in the credibility of the "quant". This may be no bad thing. Although, I certainly do not advocate giving up on quantitative methods, which are here to stay in a world of derivatives, electronic trading and algorithmic trading. I do believe that other disciplines have much to add to the analysis and management of risk. ... read more

product director, SunGard’s capital markets business

18
Mar
2010

Basel II – A loss of integrity?

Contributor:

One of the fundamental precepts of Basel II was simple and yet inspired. It argued that as banks adopt more sophisticated (and probably superior) approaches to measuring risk, their regulatory capital charges should decrease. For market risk, capital charges for standardized approaches were greater than those for internal models approaches. For credit risk, internal ratings based approaches required less capital than standardized approaches, and for operational risk, AMA and standardized approaches require less capital than Basic Indicator approaches. But enter crisis driven regulatory changes. Suddenly, capital requirements for market risk within a trading book for internal models approaches are likely to more than triple, as modifications to the basic IMA approach such as stress var, removal of tier 3 capital, and the potential introduction of Incremental Risk Capital dramatically increase the capital required. Add to this the further complication of leverage ratios and liquidity ratio further distancing the capital of the institution from its risk and its ability to manage this risk. It seems to me that these changes destroy the fundamental incentive for institutions to move towards more sophisticated (presumably better) risk models. It’s not simply that regulators finally have acknowledged that they no longer fully trust quantitative risk measures, it’s also that they trust simpler more approximate models more than more sophisticated ones. Why is this? Is it that greater model sophistication means greater model risk and the greater opportunity for banks to bamboozle regulators with apparent accuracy and precision? Or is it just a knee jerk political reaction against quantification of risk and the mathematical finance that underpins it?... read more