ICMA warns of eurozone repo “dysfunction”

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UK omnishambles; the BoJ’s “broken” monetary policy; a creaking Treasury market; China’s economic woes; EM debt crises. It was about time that we had an ominous European headline to gather the complete set.

The Worldwide Capital Markets Affiliation has at present despatched this open letter to the European Central Financial institution to precise finance trade fears over “rising dysfunction” within the eurozone repo and cash markets.

. . . The circumstances can largely be attributed to a disequilibrium scenario of extra liquidity within the Euro banking system and a shortage of high-quality, liquid collateral. The ensuing dangers are accentuated by constraints on financial institution intermediation.

Whereas the setting of extra reserves and collateral shortage has been the norm for quite a lot of years, it has led to main market dislocations solely on a restricted variety of events, notably sure year-end reporting intervals and the COVID-induced turmoil of March-April 2020. Nonetheless, as we enter a brand new part of the financial coverage cycle, with the normalization of rates of interest and related market volatility, the potential for each the size and frequency of such dislocations is more likely to enhance.

The market focus and related pricing for 2022 year-end is already indicating such considerations, as is the persistent widening of asset swap spreads of short-dated high-quality euro securities. For instance, we’ve got noticed the 3-month Bubill-EURIBOR unfold invert to round 60bp (reaching 100bp in early September), whereas the swap unfold for the on-the-run Shatz has develop into ever extra deeply inverted to round 110bp (having reached 120bp final month). In the meantime, German Common Collateral over year-end is implying a price for the “flip” of between -10% and 12%, whereas the USDEUR FX Foundation Swap can also be implying a price of round -14%. The current September 2022 quarter-end, which noticed the widest quarter-end dislocation between collateralized and uncollateralized charges because the introduction of the euro, has solely added to those considerations.

These pressures on short-term markets and collateral shortage may very well be additional accentuated by much less beneficial charges for the Focused Lengthy-Time period Refinancing Operations or the introduction of reverse tiering to the ECB deposit facility. This excessive sensitivity to any modifications within the liquidity-collateral equilibrium was highlighted at first of the September 14 upkeep interval when regardless of the ECB deposit price being 75bp greater, repo charges really tightened, with euro Common Collateral buying and selling round -0.30%.

Principally, if we’ve received this proper, the ECB’s QE programme created reserves to purchase eurozone bonds, however banks are actually swimming in reserves whereas the European monetary system is combating a scarcity of high-grade eurozone bonds to make use of as collateral.

That is now gumming up monetary plumbing in a worrying means — really impeding the ECB’s makes an attempt at tightening financial coverage in a agency however cautious means — and the year-end might develop into a crunch level.

ICMA needs the ECB to contemplate two measures launched by the Federal Reserve and the Swiss Nationwide Financial institution as a solution to ameliorate the “disequilibrium of extra liquidity and collateral shortage”. These are:

1) The Fed’s Overnight Reserve Repurchase Facility, via which the New York Fed repos a few of its Treasury holdings (promoting them and agreeing to repurchase quickly afterwards) to supply the system with additional collateral, absorb extra reserves and set a flooring beneath short-term rates of interest.

2) The SNB’s recent announcement that it will situation tradable Treasury payments. After all, beginning a eurozone invoice issuance programme may very well be politically sensitive, however ICMA reckons it will be much less advanced than a reverse repo programme and would additionally not additional clog up financial institution stability sheets in the identical means.

Since ICMA is a finance trade lobbying physique, the letter additionally contains some extra normal lobbying on behalf of banks to loosen their regulatory straitjacket — regardless that that is past the purview of the ECB.

An additional, and presumably complementary, consideration pertains to the capability for banks to intermediate within the euro repo and cash markets (and doubtlessly the bond and derivatives markets extra broadly). Whereas the euro repo and cash markets operate comparatively properly on the entire, there are clearly identifiable strain factors round financial institution reporting dates (primarily quarter-ends and year-ends), in addition to throughout instances of heightened volatility, each of which have direct impacts on financial institution stability sheets and accessible threat capital to assist market intermediation. A focused recalibration of the Leverage Ratio (akin to for sure transactions counterparty sorts) or the power to re-allocate capital buffers to supporting liquidity provision, significantly at such instances, might contribute to each market stability and resilience. Whereas such refinements to the regulatory capital framework are past the present of the ECB, it might be one thing the place its assist and steering may very well be useful.

FTAV has to confess that we hadn’t cottoned on to a few of the points raised by the letter, however we’re unsurprised that’s inflicting issues.

It’s really been shocking how little breakage there was from the abrupt shift in financial coverage, and the year-end is a standard time for mulled wine, household and monetary plumbing points.

However what do our readers assume? Is that this simply trade moaning, or a brand new factor we should always begin to freak out about?

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