Clarus Financial Technology

SACCR vs CEM Comparisons

Welcome to my 250th blog for Clarus! That is quite a milestone – I’ve now inflicted nearly a quarter of a million words on our readers. I hope the vast majority have been useful.

To celebrate, you will have to suffer a bit of true geekiness. Today we’ll take a look at Regulatory Capital, which I fully admit is not everyone’s cup of tea….still, I will give you some easy to remember sound-bites at the end.

SACCR is Coming

If you need a refresher on SACCR and CEM, then please check out our comprehensive coverage below:

Suffice to say that we expect SACCR to be live by January 2022 at the very latest across all jurisdictions and even earlier for leverage ratio calculations:

SACCR for Rates Products

When we delved into the SACCR calculations, we found that it is necessary to start from the bottom-up when calculating Risk Weighted Assets under SACCR. However, I realise that not all of our readers want the absolute detail. Fortunately we provide a simple Excel add-in that calculates Exposure at Default under SACCR.

SACCR for Excel has free trials available here.

SACCR for Excel

I will use our SACCR for Excel tool to demonstrate some simple portfolios. Alongside the calculations I will do some manual comparisons to what the equivalent CEM number would have been.

SACCR for Rates

It is useful to use some simple examples in Interest Rate Swaps to illustrate the main parts of SACCR.

Let’s start with 3 interest rate swaps with 3 different counterparties. They are all uncleared but subject to the Uncleared Margin Rules. They therefore operate under a daily CSA with a zero threshold:

Uncleared USD IRS with a daily CSA

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  1. Is the trade cleared?
  2. If not, what are the details of the bilateral CSA?
  3. Does it have daily, weekly, monthly margining?
  4. Are there any disputes across the CSA?
  5. Are there any “difficult to replace” derivatives in the CSA?

The answer to those questions dictate the variable in SACCR known as the “Margin Period of Risk”. There is not an equivalent to compare to under the Current Exposure Methodology.

Margin Period of Risk

What we can do for SACCR is try to demystify what the Margin Period of Risk really does. If you think of a SACCR exposure as being approximately calculated as:

\( \tag {1} EAD = 1.4 \times NetNotional \times 0.005 \times \dfrac{3}{2}. \sqrt{ \dfrac{M POR}{250}} \)

where;

1.4 is the regulatory defined value of “alpha” (α). This multiplier was completely absent from CEM.
0.005 is the Supervisory Factor (“risk weighting”) for Rates of 0.5%. If we were looking at FX, this would be 0.04 (4%).
\( \sqrt{ \dfrac{3}{2}.\dfrac{M POR}{250}} \) is the “Maturity Factor” which can change depending on how the trade is margined/cleared.

To understand the implication, it is therefore useful to keep a handy reference of the Maturity Factors that can apply to your trades depending on the CSA in place. The values range from:

Range of Maturity Factors under SACCR

Optimising the terms of CSAs will therefore have a significant impact on regulatory capital. Disputes and “hard to replace” derivatives are bad, daily margining and clearing are good!

Clearing

Away from the intricacies of the margin period of risk, the biggest single difference for dealer banks will be the use of net notional when calculating SACCR exposures. Previously, CEM was always based on gross notional and only allowed for a limited amount of netting – up to 40% based on the mark to market of the derivative, not the direction (bizarre!).

The impact of netting is going to be most evident for cleared trades. If we take our 3 swaps above and move them to LCH SwapClear (other CCPs are available!) we see the following SACCR and CEM exposures:


Cleared USD IRS

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As an interesting note, “BCBS279” in 2014 set out the original parameters for SACCR. This originally included a Margin Period of Risk as short as five days for exposures to CCPs:

From BCBS279, Page 13 Paragraph 164

However, now that SACCR has been finalised and published in HTML on the BIS website as “CRE52“, I can no longer find this reference. So it looks like the floor on the MPOR is now indeed 10 business days.

With SACCR being rolled out for leverage ratio calculations already across a number of jurisdictions (see SACCR for US Banks) this means that dealers should be ever more motivated to move as much risk into clearing as possible. As well as benefiting from a substantial reduction in exposures for their current portfolios.

Directional Portfolios

What I find interesting under SACCR is the impact to directional portfolios. SACCR is intended to be a more risk-sensitive measure than CEM.

For our simple portfolio, let us assume that all swaps are now payers, and that we move them to clearing. We see the following exposures under SACCR and CEM:

A directional USD IRS portfolio in Clearing

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If you have a directional portfolio, it is likely that moving from CEM to SACCR will actually increase your exposures and hence result in an increase in regulatory capital requirements.

Collateral or Settlement, FX or Rates?

I am going to leave it there for now so that we do not get lost in too many intricacies today. However, if this was useful, please add comments below and tell us what else you would like to see. We can:

Let us know what you want to see next!

In Summary

Finally, I promised some SACCR soundbites. Here goes:

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