Monday, 7 December 2009

Basel II: Banking on commodity derivatives
V Shunmugam and Prasad
It is an established fact that as an economy develops, it moves in to specialising in manufacturing from agriculture and later in to services including banking and other financial services.

In fact, India is passing through this transition phase accompanied with development of the financial sector thanks to the MNC banks that have entered the country. A recently released report on banking industry by PricewaterhouseCoopers (PwC) indicated that foreign banks are bullish about the Indian market.

The industry got wider attention as the report indicated that the banking sector is likely to grow significantly faster than the GDP of the E7 (India, China, Brazil, Russia, Indonesia, Turkey, and Mexico) countries as they develop. The report estimates that the total domestic advances in the E7 economies is likely to overtake total domestic credit offtake in the G7 economies within the next 40 years.

Significantly, the report states that India is likely to emerge as the third largest domestic banking market in the world by 2040 and could grow faster than China in the long run. Even before this was revealed by the above recently released report, many of the foreign banks have set up shops in India and in the process bringing in global business practices and domesticated global financial products. That was a wake up alarm for the domestic banks to spruce up themselves.

The report identified demographics, the economic cycle, politics, regulation and reporting, and technology as the five principal drivers of growth of banking industry in these countries. With the industry is in the transition stage, let us focus on regulatory issues that would decide its future growth prospects.

Tougher competition, stricter regulations, continued privatization, slow infusion of global norms and high profile business failures have put traditionally conservative public sector banks under constant pressure to perform better while effectively managing their business risk.

To sustain in the business, it is essential that they are aware of various risks such as credit, interest rate, foreign exchange, and liquidity risks along with appropriate avenues to mitigate them.

Risk management is often a highly complex process requiring sophisticated tools and techniques to operate within the existing regulatory requirements. Basel II norms have come into existence, in an effort to implement global banking norms to facilitate the globalization of the industry in line with the major role of central banks to infuse global economic stability.

What is Basel II? Simply put, Basel II is the new international capital regulation, which seeks to promote banking and financial sector to avoid financial disaster and thereby providing economic stability.

Basel II provides various guidelines with regard to credit, market and operational risk measurement in the banking industry and a bank in compliance with Basel II norms would be in a position to better understand, monitor and manage its credit risk exposure.
Though in India, as per the regulatory requirements, only banks receiving more than 20 per cent of their businesses from abroad would have to implement Basel II norms, most other banks have shown interests in implementing Basel II norms in a phased manner.

The three pillars of Basel II are minimum capital requirement, supervisory review process, and market discipline requirements (improved transparency, effective risk management, sound financial system, etc.)

One of the critical success factors for a bank under Basel II would remain risk identification/ measurement/mitigation and minimum capital allocation. Typically, a bank would face three types of risks; operational risk, credit risk and market risk.

The advent of derivatives trading in India has thrown doors open enormous opportunities to manage some of these risks. Commodity derivatives are another such avenue that banks could tap in an attempt to adhere to Basel II norms.

But, the path for the banks to comply with Basel II norms is being made arduous by the increasing customer base, growing product profiles, lack of effective risk management tools, impending regulatory reforms, etc. For example, existing regulatory norms allow aggregate exposure of any given bank to capital markets not exceeding 40 per cent of its net worth.

To mitigate the risks involved in capital markets, it would be a best practice on the part of the commercial banks to avail various opportunities and derivative instruments in a systematic way to mitigate their risk within their own constraints and regulatory norms.

In the same way, if banks are allowed to operate in commodity derivatives market within a set of regulations, it would lend more balance and would help in propping up its portfolio of investments and spread its risk various asset classes.

In fact, extensive use of derivatives by banks as an evolving phenomenon has recently been reported in the international media, of which a larger part has been held by them to manage their own risk.

For instance, available statistics suggest that participation by banks in derivative markets had increased dramatically during the past decade, rising from notional amounts of $7.34 trillion as on December 31, 1991, to about $ 84.18 trillion by September 30, 2004.

By the very nature of the operation of the Indian banks it is inevitable that they are exposed to several risks such as interest rate risk, foreign exchange risk, commodity price risk and the resultant credit default risk. All these risks in one way or the other are manageable by sharing it across the ecosystem by way of participation in the derivative markets with varied underlying.

An analysis of outstanding operating credit of Indian banks to different industries had revealed that on the average banks might tend to loose 23 percent of their aggregate lending based on the annualized volatility in the commodities of importance to these industries.

Further, it has been found out that in select stocks of companies with intense exposure to primary commodities, which are traded on the commodity exchange platform there is an inverse relationship in their price movement indicating an opportunity for the banks who had invested on those stocks to hedge their exposure on the related commodity derivatives.

An analysis of the relationship between the select stocks and the related commodity prices on the commodity markets reveal a high degree of relationship between their basic raw material prices and stock prices.

This high correlation between equity prices and the prices of the underlying commodities (in which they primarily deal with) such as the MCX platform as shown in the table provides an opportunity for the equity market players including banks and funds to hedge their risk by taking relevant positions simultaneously in both the equity and commodity futures market.

Banks apart from funds with their connectivity to customers shall also act as market access providers to the common man and small producers in the commodity derivatives market which would not only provide a business opportunity but also contribute to the central banks basic role of infusing economic stability.

Further, a comparative analysis of the average daily volatility of MCX comdex and NSE S&P Nifty (as provided in Table II), MCX Comdex (indicative commodity futures prices) is much more stable than NSE Nifty (equity market).

This makes a strong case for banks to be allowed in commodity markets when they are allowed in equity markets, as commodities are less risk prone and are tightly regulated despite the high leverage.

A comparison of the regulatory tools and principles, business practices, and rules and regulations of the domestic stock and commodity exchanges vindicates that both commodity and stock exchanges are regulated professionally with the same set of principles and under the same spirit.

Hence, there are no reasons for the banks to be kept away from an existing opportunity to effectively mitigate direct or indirect risks associated with commodity price volatility. An early action to allow domestic banks to participate in the commodity markets would not only help in improving their competency but would also help in develop their trading and product development skills in commodity derivatives in line with the international banks operating in India but would also enable them to effectively adhere to the Basel II norms by managing their risks effectively.

Authors are Chief Economist and Economist, Multi Commodity Exchange of India Limited (MCX).

Wednesday, 2 December 2009

Markets can help slow down global warming

http://www.financialexpress.com/news/markets-can-help-slow-down-global-warming/347097/0

V Shunmugam
Posted: Monday, Aug 11, 2008 at 0033 hrs IST
Updated: Monday, Aug 11, 2008 at 0033 hrs IST

Unlike the markets for other technologies where the value of technology arises from the resource/cost savings it can contribute only, the market for clean technology is driven by yet another factor, which is the return on savings on greenhouse gas (GHG) emissions to which it can contribute. However, the earnings from GHG savings measured in terms of certified emission reductions (CERs) issued by the United Nations Framework Convention on Climate Change (UNFCCC) emanate from a market that has been created with a scientifically felt need in mind. A tangible economic justification is yet to be done.

In an ever-changing world, the long-term valuation of clean technology would have to be measured by both the savings and returns to emissions reductions that it can contribute to. However, the returns on CERs that clean technology buyers may look for have so far been highly volatile as the regulator (UNFCCC) had left the choice of deciding rules of the game to the buyers themselves in the long-term interest. In addition, the buyers are concentrated in non-Annexure I countries whose IPR protection regime is not yet proven. It contributes to an additional risk when it comes to transferring the technology.

And in such a case, the long-term potential of clean technology becomes blurred. It could lead to evaluation of the technology based on medium-term cost savings that it can contribute to. As a result, most technologies that could contribute larger emission controls stay only within the confines of design rooms, much to the disillusionment of the objective behind creation of the markets for emissions reduction. So, it is necessary that we have markets that not only decide returns on the existing technology but also provide a fair valuation on it. Additionally, this would also bring in sustainability to these markets by providing adequate signals to the policymakers on how to sustainably develop this market regime.

The emission markets today face two sets of risks that are closely related to each other. The origin of these risks lies in the policy regime that directs these markets and their own supply and demand. While it would take time for these markets to structurally mature before the policy regime stabilises, there are several other factors that would contribute to the price risk that exists in these markets for CERs. Most of these risk factors could ideally be mitigated by the implementers of CDM projects in India through strategies in the physical markets or by hedging it on the respective commodities that may contribute to price risks in CERs or in the CER futures such as the one recently introduced by MCX. Such risks include the risk related to prices of natural gas, crude oil and power from other sources that may lead to large emitters such as power generators or the transportation sector to switch their consumption in order to remain competitive. It would lead to demand volatility in buyers’ markets (Annexure I countries) leading to price volatility.

As the implementation of CDM projects might involve additional costs on technology or other accompanying inputs, its success would revolve around the savings in costs it could generate and the potential revenue it could earn out of additional business opportunity the implementation would entail or the revenue accruing from the CERs. Most of the CDM projects implemented in India largely rely upon the revenues from CERs rather than the other two factors. And in such a situation, there is a dire need for markets that could give long-term price signals, taking into account the demand (managed from the policy side and the fundamentals) and the supply factors (affected by fundamentals). In short, this needs vibrant futures markets that are indulged in green trading. Green trading would include trading on emission reductions, renewable energy and energy efficiency that are interrelated. It would help in generating market-based incentives to meet the goals of deployment of new, cleaner technology to meet rising demand for energy, which is the major culprit behind the process of climate change that has attracted the attention of the world through IPCC’s path-breaking techno-economic research report.

After the failure in achieving the process of slowing down the climate change through commands and controls and fiscal instruments, it has widely been accepted that markets would remain the ultimate saviours as evidenced through the wider acceptance of the Kyoto Protocol. However, with the rules of the game left to the players in the market, the EU-ETS trading mechanism as it existed two years ago was much unsettled compared with the current conditions due to the policy risk arising out of allocating allowances. It took almost about three years for the EU-ETS markets to come to a position where they are now. Though the stability of the current CER prices in the EU-ETS markets falls short of the players’ expectations, it might have given a fair understanding of the markets to the players in the physical markets. If not for the futures exchanges such as the European Climate Exchange (ECX) and others such as EEX and Nordpool, and the transparency created by them, this understanding and policy stabilisation would not have happened in largely opaque markets.

If we were to achieve the objective of creating efficient markets to mitigate the process of climate change through the CDM mechanism and ultimately through development and transfer of clean technology, the opportunities for participation in the markets should be extended for Indian participants as has been the effort of MCX through the launch of CER and CFI contracts on its platform. In addition, the technology developers shall hedge their interests if their implementers fail to do the same. Efficient futures markets could not only facilitate technology development but also help CDM developers get the best of technology valuation during transfer negotiations.

The writer is chief economist, Multi-Commodity Exchange of India. These are his personal views