Clarus Financial Technology

FVA for Cleared Swaps

Price Adjustments

MVA is concerned with Initial Margin pricing adjustments. What about pricing impacts from Variation Margin? This is where FVA, a Funding Valuation Adjustment, comes into play.

Consider an at-market swap between a client and dealer. The client does not want to post daily margin against this position, therefore there is no CSA in place. The dealer will still have to hedge this trade with a cleared swap (due to liquidity), requiring daily margin posted against it. The swap dealer is now posting collateral every day against the mark-to-market to the Clearing House.

Today’s blog is concerned with looking at the pricing implications from this.

The Clearing House will pay PAI (Price Alignment Interest) at OIS on this collateral. So are we okay to also price the client trade at the risk-neutral discount rate – typically OIS? The answer is – it depends!

If we consider the cleared swap, what will the swap dealer do with the collateral paid/received each day? Typically on a swaps desk, this will be funded with an internal Treasury desk (who will then amalgamate all of the firm’s positions and actually receive/post the collateral for the firm). Will the Treasury desk fund the swaps desk at OIS or OIS plus/minus a spread? Sadly, the Treasury desk does not provide their services for free, so they will charge a spread. Essentially, the swap dealer has committed to the following:

Receiving/paying overnight collateral for the life of the swap on a variable mark-to-market amount. This will be funded with the Treasury desk at a (variable) spread to OIS.

That doesn’t sound like a great trade, right? Those are two large unknowns – how much collateral will the swap dealer fund as the mark to market of the swap varies, and what rate will the internal desk charge to manage this collateral.

So, should that cost be passed onto the client? That’s a tricky one, and one that we’ll revisit at the end of today’s blog.

Cleared At-Market Swaps

Taking this concept even further, we can look at FVA for any type of swap. The fundamentals are as follows:

Taking these funding spreads into account for a swap raises some interesting questions. Take for example an at-market swap with zero mark to market. If we calculate a “vanilla” FVA amount for this swap in CHARM, we see a zero value, as expected:

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What happens if we now roll our curve forward to annual points in time? By realising the forwards on the curve, we can simulate where interest rates are expected to be in the future and hence calculate the expected mark to market of the swap at different points in time:

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It may not be intuitive why the mark-to-market of an at-market swap is changing like this. But when we drill-down into the cash-flows of the swap, we can see that this is due to the timing difference of the cash-flows:

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Funding Value Adjustment

Due to this inherent variability of the mark-to-market (caused by cash-flow timing), any swap therefore imparts a funding obligation on the two counterparties. Because I don’t necessarily receive the same rate of interest on my realised cash-flows as I am charged to raise collateral, this friction may need to be added to my calculation of fair value for any swap. We therefore use CHARM to project the forward profile of the mark-to-market to calculate the theoretical FVA given a funding spread (expressed in basis points to the underlying OIS curve).

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It is important to note that I will still receive PAI, Price Alignment Interest, from the CCP on this collateral amount that I post or receive. However, this will be (typically) at OIS flat. FVA arises due to the difference between this theoretical OIS flat funding rate and the one that I am actually able to achieve in the market (OIS +/- a spread).

Should this be applied to all swaps?

There are many reasons why we refer to the above as a theoretical FVA:

But there are just as many reasons why this is a practical number as well:

In Summary

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