* Your assessment is very important for improving the workof artificial intelligence, which forms the content of this project
Download Guidance Note
Moral hazard wikipedia , lookup
Private equity secondary market wikipedia , lookup
Beta (finance) wikipedia , lookup
History of pawnbroking wikipedia , lookup
Interest rate ceiling wikipedia , lookup
Short (finance) wikipedia , lookup
Interbank lending market wikipedia , lookup
Investment fund wikipedia , lookup
Present value wikipedia , lookup
Securitization wikipedia , lookup
Greeks (finance) wikipedia , lookup
Interest rate swap wikipedia , lookup
Interest rate wikipedia , lookup
Business valuation wikipedia , lookup
Corporate finance wikipedia , lookup
Financial economics wikipedia , lookup
Systemic risk wikipedia , lookup
Derivative (finance) wikipedia , lookup
Sept 2000 Guidance Note AGN 113.3 - The Standard Method 1. The standard method is comprised of five sections: traded debt securities and other interest rate related securities, traded equities and other equity instruments, foreign exchange, commodities and options on each of these asset classes. For each asset class, the method provides some alternative methodologies that allow ADIs to use a range of techniques to calculate the market risks arising from their trading activities. 2. ADIs which run global consolidated books should report short and long positions in exactly the same instrument on a net basis, no matter where they are booked. Positions taken in an offshore branch or subsidiary may be netted provided that the position taking of that site is monitored by the Australian office on a daily basis. Nonetheless, there will be circumstances in which individual positions should be taken into the measurement system without any offsetting or netting against positions in the remainder of the group. For example, positions should not be netted where there are obstacles to the quick repatriation of profits from a foreign subsidiary or branch or from offshore transactions taken by the ADI itself or where there are legal and procedural difficulties in carrying out the timely management of risks on a consolidated basis. Interest Rate Risk 3. 1 This section describes the standard method for measuring the risk of holding or taking positions in debt securities and other interest rate related instruments in the trading book. The instruments covered include all fixed-rate and floating-rate debt securities and instruments that behave like them, including non-convertible preference shares.1 Interest rate exposures arising from forward foreign exchange transactions and forward sales and purchases of equities and commodities must also be included. The rho interest rate exposure on foreign exchange, equity and commodity options may be included. Convertible bonds, ie debt issues or preference shares that are convertible into common shares of the issuer, will be treated as debt securities if they trade like debt securities and as A security which is the subject of a repurchase or securities lending agreement will be treated as if it were still owned by the lender of the security, ie it will be treated in the same manner as other security’s positions. AGN 113.3 – 1 Sept 2000 equities if they trade like equities. The basis for dealing with derivative products is considered in Paragraphs 22 to 25 below. 4. The minimum capital requirement is expressed in terms of two separately calculated charges, one applying to the “specific risk” of each instrument, irrespective of whether it is a short or a long position, and the other to the interest rate risk in the portfolio (termed “general market risk”) where long and short positions in different securities or instruments can be offset. An example of how general market risk is to be calculated is set out in AGN 113.5. Specific risk 5. The capital charge for specific risk is designed to protect against an adverse movement in the price of an individual security owing to factors related to the individual issuer. In measuring the risk, an ADI may offset matched long and short positions in an identical issue (including positions in derivatives). Even if the issuer is the same, no offsetting will be permitted between different issues since differences in coupon rates, liquidity, call features, etc, mean that prices may diverge in the short run. 6. The specific risk charge is graduated in five broad categories as follows: government 0.00% qualifying 0.25% residual term to final maturity 6 months or less 1.00% residual term to final maturity greater than 6 months and up to and including 24 months 1.60% residual term to final maturity exceeding 24 months other 7. 8.00%. The category “government” includes all forms of government paper including bonds, Treasury notes and other short-term instruments. Such debt instruments are given a zero specific risk charge if: AGN 113.3 – 2 Sept 2000 8. (a) they are issued by, fully guaranteed by, or fully collateralised2 by securities issued by, the Australian Commonwealth Government, State (including Territories) governments or the Reserve Bank of Australia; or (b) they are issued by, fully guaranteed by, or fully collateralised by securities issued by, central governments or central banks within the OECD; or (c) they are issued by, or fully guaranteed by non-OECD country central governments and central banks, and have a residual maturity of one year or less and are denominated in local currency and the ADI’s holdings of such paper are funded by liabilities in the same currency. The “qualifying” category includes securities that are: (a) (b) 9. rated investment-grade by at least two of the credit rating agencies listed in Table 1 at the end of this section (this list may be amended periodically); or rated investment-grade by one rating agency or unrated, but deemed to be of comparable investment quality by the reporting ADI (subject to approval by APRA), and the issuer has its equity included in a recognised market index (listed in Table 5 in the Section “Equity Position Risk”). Each ADI must agree a policy statement with APRA concerning those securities that it considers to be of comparable investment quality. In addition, debt securities will be treated as qualifying if any of the following conditions apply: (a) they are issued by, or guaranteed by, Australian local governments or Australian public sector entities (except those which have corporate status and operate on a commercial basis)3; (b) they are issued by, or fully guaranteed by, non-OECD country central governments and central banks and have a residual maturity of over one year and are denominated in local currency and the 2 Refer to APS 112 – Capital Adequacy: Credit Risk (Collateral and Guarantees) for acceptable collateral and guarantee arrangements. In the case that the guarantee or collateral value is at least as large as the debt instrument's market value the arrangement will be regarded as fully guaranteed or collateralised. 3 Refer to APS 112 – Capital Adequacy: Credit Risk. AGN 113.3 – 3 Sept 2000 ADI’s holdings of such paper are funded by liabilities in the same currency; (c) they are issued by, or fully collateralised by claims on, an international agency or regional development bank, including the International Monetary Fund, the International Bank for Reconstruction and Development, the Bank for International Settlements and the Asian Development Bank; (d) they are issued, guaranteed, endorsed4 or accepted by an Australian ADI5 or a bank incorporated in other OECD6 countries, provided that such instruments do not qualify as capital of the issuing institution7; (e) they are issued, guaranteed, endorsed or accepted by a non-OECD bank and have a residual maturity of one year or less, provided that such instruments do not qualify as capital of the issuing institution8; (f) they are issued by, or guaranteed by, OECD state and regional governments or OECD public-sector entities; (g) they are issued by, or guaranteed by, an entity that is subject to a capital adequacy regime (covering both credit and market risk) which is equivalent to APRA’s requirements. The Australian Stock Exchange and the European Economic Community’s Capital Adequacy Directive are deemed to have equivalent regimes as are the regulators of investment firms from the following countries: Canada, Hong Kong, Japan, Switzerland and the USA. ADIs may apply to APRA to have other countries or other regulators added to this list. 10. Appropriately rated asset-backed securities (for example, mortgagebacked securities) are eligible for the qualifying specific risk charge. 4 Only where the ADI is the first endorser. 5 As defined in APS 112 – Capital Adequacy: Credit Risk. 6 This includes banks in non-OECD countries of the Asia-Pacific areas that are accorded the same credit risk weight as OECD banks under APS 112 – Capital Adequacy: Credit Risk. 7 Instruments that are regarded as capital of the issuing institution should be assessed on the basis of the rating of the issue rather than the issuer; only those issues satisfying the requirements of Paragraph 8 may be regarded as qualifying. 8 Refer Footnote 7. AGN 113.3 – 4 Sept 2000 11. Fund raising instruments issued, guaranteed or accepted by the ADI and included in the trading book only attract capital requirements for general market risk, not specific risk.9 General market risk 12. The capital requirements for general market risk are designed to capture the risk of loss arising from changes in market interest rates. Within the standard approach, a choice between two principal methods of measuring the risk is permitted, a “maturity” method and a “duration” method. In each method, positions are allocated across a maturity ladder, and the capital charge is then calculated as the sum of four components: (a) the net short or long weighted position across the whole trading book; (b) a small proportion of the matched positions in each time band (the “vertical disallowance”); (c) a larger proportion of the matched positions across different time bands (the “horizontal disallowance”); and (d) a net charge for positions in options, where appropriate (refer Section “Treatment of Options”). 13. Separate maturity ladders must be used for positions in each currency. Capital charges should be calculated for each currency separately and then summed with no offsetting between positions of different currencies. In the case of those currencies in which business is insignificant (residual currencies), separate maturity ladders for each currency are not required. Rather, the ADI may construct a single maturity ladder and record, within each appropriate time band, the net long or short position in each currency. However, the absolute value of these individual net positions must be summed within each time band, irrespective of whether they are long or short positions, to produce a gross position figure. 14. In the maturity method, long or short positions in debt securities and other sources of interest rate exposures, including derivative instruments, are entered into a maturity ladder comprising thirteen time bands (or fifteen time bands in the case of low-coupon instruments). These time bands are specified in Table 2 at the end of this section. Fixed-rate instruments should be allocated according to the residual term to maturity and 9 Where the ADI has guaranteed or accepted the instrument, capital must also be held against the credit risk of the issuer (refer APS 112 – Capital Adequacy: Credit Risk). AGN 113.3 – 5 Sept 2000 floating-rate instruments according to the residual term to the next repricing date. Opposite positions of the same amount in the same issue (but not different issues by the same issuer) can be omitted from the interest rate maturity framework (refer Paragraph 32) as can closely matched swaps, forwards, futures and FRAs which meet the conditions set out in Paragraphs 32 to 35. 15. The first step in the calculation of the capital charge is to weight the positions in each time band by a factor designed to reflect the price sensitivity of those positions to assumed changes in interest rates. The risk weights for each time band are set out in Table 2. Zero-coupon bonds and low-coupon bonds (defined as bonds with a coupon of less than 3 per cent) should be entered according to the time bands set out in the second column of Table 2. 16. The next step in the calculation is to offset the weighted longs and shorts within each time band. Weighted positions arising from low-coupon instruments should be combined with other weighted positions, across corresponding time bands, at this stage. 17. Since each band would include different instruments and different maturities, a 10 per cent capital charge to reflect basis risk and gap risk should be levied on the smaller of the offsetting positions (ie the matched position), be it long or short, in each time band. Thus, if the sum of the weighted longs in a time band is $100 million and the sum of the weighted shorts is $90 million, the so-called “vertical disallowance” for that time band would be 10 per cent of $90 million (ie $9.0 million). 18. The result of the above calculations is to produce a net weighted position, long or short, in each time band and a set of vertical disallowances. The maturity ladder is then divided into three zones defined as zero and up to one year, over one year and up to 4 years and over 4 years.10 ADIs must then conduct two rounds of offsetting, first between the net time band positions within each zone and subsequently between the net positions across the three different zones (that is, between adjacent zones and non-adjacent zones). The offsetting will be subject to a scale of disallowances expressed as a fraction of the matched positions, as set out in Table 3 at the end of this section. The residual net position in each zone may be carried over and offset against opposite positions in other zones. 10 The zones for coupons less than 3 per cent are 0 and up to one year, over one and up to 3.6 years, and over 3.6 years. AGN 113.3 – 6 Sept 2000 19. The general market risk capital requirement will be the sum of: Net position 100% Vertical 11 disallowances Net short or long weighted positions Matched weighted positions in all maturity bands 10% 40% Matched weighted positions within zone 1 Matched weighted positions within zone 2 Horizontal 30% Matched weighted positions within zone 3 30% disallowances Matched weighted positions between zones 1 & 2 40% Matched weighted positions between zones 2 & 3 40% Matched weighted positions between zones 1 & 3 100% 20. Under the alternative duration method, ADIs with the necessary capability may, with APRA’s consent, use a more accurate method of measuring all of their general market risk by calculating the price sensitivity of each position separately. ADIs that elect to use the method must do so on a continuing basis (unless a change in method is approved by APRA) and will be subject to monitoring by APRA of the systems used. The mechanics of this method are as follows: (a) 11 calculate the price sensitivity of each instrument in terms of a change in interest rates of between 0.6 and 1.0 percentage points (refer Table 2) depending on the modified duration of the instrument (based on the time bands in the second column of Table 2); (b) enter the resulting sensitivity measures into a duration-based ladder in the fifteen time bands set out in the second column of Table 2; (c) subject long and short positions in each time band to a 5 per cent vertical disallowance to capture basis risk; and (d) carry forward the net positions in each time band for horizontal offsetting subject to the disallowances set out in Table 3. The smaller of the absolute value of the short and long positions within each time band. AGN 113.3 – 7 Sept 2000 21. In the case of residual currencies (refer Paragraph 13 above) the gross positions in each time band will be subject to either the risk weightings set out in Table 2, if positions are reported using the maturity method, or the assumed changes in yield set out in Table 2, if positions are reported using the duration method, with no further offsets. Interest rate derivatives 22. The measurement system should include all interest rate derivatives and off-balance sheet instruments in the trading book which react to changes in interest rates (eg forward rate agreements (FRAs), other forward contracts, bond futures, interest rate and cross-currency swaps and forward foreign exchange positions). Options can be treated in a variety of ways as described in the Section “Treatment of Options”. A summary of the rules for dealing with interest rate derivatives is set out in Table 4 at the end of this section. Calculation of positions 23. Derivatives must be converted into positions in the relevant underlying and become subject to specific and general market risk charges. In order to determine the capital charge under the standard method, the amounts reported should be the market value of the principal amount of the underlying or of the notional underlying. Futures and forward contracts, including forward rate agreements 24. These instruments are treated as a combination of a long and a short position in a notional government security or, in the case of futures or forwards on bank or corporate debt, as a combination of a long and a short position in the underlying debt security. The maturity of a future or a FRA will be the period until delivery or exercise of the contract, plus the life of the underlying or notional underlying instrument. For example, a long position in a June three-year government bond future (taken in April) is to be reported as a long position in a government security with a maturity of three years and two months and a short position in a government security with a maturity of two months. The long and short positions should be reported at the market value of the underlying or notional underlying security or portfolio of securities. Where a range of deliverable instruments may be delivered to fulfil the contract, the ADI has flexibility to elect which deliverable security goes into the maturity or AGN 113.3 – 8 Sept 2000 duration ladder but should take account of any conversion factor defined by the exchange.12 Swaps 25. Swaps should be treated as two notional positions in government securities with relevant maturities. For example, an interest rate swap under which an ADI is receiving floating-rate interest and paying fixed will be treated as a long position in a floating-rate instrument of maturity equivalent to the period until the next interest fixing and a short position in a fixed-rate instrument of maturity equivalent to the residual life of the swap. Both legs of the swap are to be reported at their market values. For swaps that pay or receive a fixed or floating interest rate against some other reference price, eg a stock index, the interest rate component should be entered into the appropriate repricing maturity category, with the equity component being included in the equity framework. The separate legs of cross-currency swaps are to be reported in the relevant maturity ladders for the currencies concerned and any foreign exchange risk included in the Section “Foreign Exchange Risk”. Pre-processing techniques 26. ADIs will be permitted to use alternative methods to calculate the positions to be included in the maturity or duration ladder. Such formulae may be applied to all interest rate sensitive positions, arising from both physical and derivative instruments, including swaps, FRAs, option deltaequivalents and forward foreign exchange. One method would be to first convert the cash flows required under each transaction into their present values. For that purpose, each cash flow should be discounted using zerocoupon yields. A single net present value (NPV) for each time band would be calculated using procedures that apply to zero-coupon bonds (the cash flows should be entered into the general market risk framework as set out earlier using the time bands specified in the second column of Table 2). To determine price sensitivity, the NPV in each time band would be weighted by the risk weights given in Table 2. An alternative method would be to calculate the sensitivity of the NPV in each time band using the changes in yield given in Table 2 (again, the cash flows would be allocated using the time bands set out in the second column of Table 2). 27. Other methods which produce similar results could also be used. Use of any such alternative treatments will, however, only be allowed if: 12 In some cases in permitting delivery of a security against a futures contract the full value of the contract is not recognised, but rather some pre-specified fraction of the value is recognised that fraction is termed the “conversion factor”. AGN 113.3 – 9 Sept 2000 (a) APRA is satisfied with the accuracy of the systems being used; (b) the positions calculated fully reflect the sensitivity of the cash flows to interest rate changes and are entered into the appropriate time bands; and (c) the positions allocated to a single maturity ladder are denominated in the same currency. 28. Positions calculated using the pre-processing method may not be offset against weighted positions calculated using the maturity method. That is, pre-processing positions must be allocated to separate maturity ladders and separate general market risk charges must be calculated. Preprocessing positions may, however, be combined with any weighted positions obtained using the duration method. Calculation of capital charges for derivatives methodology under the standard Specific risk 29. Interest rate and cross-currency swaps, FRAs, forward foreign exchange contracts and interest rate futures will not be subject to a specific risk charge (they are, however, subject to the credit risk provisions set out in APS 112 – Capital Adequacy: Credit Risk). This exemption also applies to futures on an interest rate index (eg BBSW). In the case of contracts where the underlying is a specific debt security, or an index representing a basket of debt securities, a specific risk charge will apply as set out in Paragraphs 5 to 11.13 30. When a future or forward comprises a range of deliverable instruments with different issuers then a specific risk charge will only apply to long positions in the future or forward, not short positions. The reason for this is that the holder of a short futures position will be able to select the most favourable security to deliver against the futures contract, and thereby avoid issuer specific price risk. An ADI holding a long position is not able to dictate which security it will receive and therefore remains exposed to the issuer specific risk. The one exception to this requirement is a long position in a bank bill futures contract traded on the Sydney Futures Exchange, which is exempt from a specific risk capital charge. 13 Consistent with APS 112 – Capital Adequacy: Credit Risk, forward and futures contracts where the ADI has a right to substitute cash settlement for physical delivery and the price on settlement is calculated with reference to a general market price indicator will be exempt from specific risk charges. AGN 113.3 – 10 Sept 2000 General market risk 31. General market risk applies to positions in all derivative products in the same manner as for cash positions, subject only to an exemption for fully or very closely matched positions in identical instruments as defined in Paragraph 35 below. The various categories of instruments should be entered into the maturity ladder and treated according to the rules identified earlier. Allowable offsetting of matched positions (specific and general market risk) 32. ADIs may exclude from the interest rate maturity framework altogether (for both specific and general market risk) long and short positions (both actual and notional) in identical instruments with exactly the same issuer, coupon, currency and maturity. A matched position in a future or forward and its corresponding underlying may also be fully offset14 and thus excluded from the calculation.15 33. When the future or the forward comprises a range of deliverable instruments, offsetting of positions in the future or forward contract and the corresponding underlying is only permissible in cases where there is a readily identifiable underlying security which is most profitable for the ADI with a short position to deliver. The price of this security, sometimes called the “cheapest-to-deliver”, and the price of the future or forward contract should in such cases move in close alignment. 34. No offsetting will be allowed between positions in different currencies; the separate legs of cross-currency swaps or forward foreign exchange deals are to be treated as notional positions in the relevant instruments and included in the appropriate calculation for each currency. 14 The leg representing the time to expiry of the future (that is, the net exposure from the combination of the future and the underlying) should, however, be reported. For example, consider an ADI holding a long position in a government bond maturing in ten years and three months time and a short position in a 10-year bond futures contract expiring in three months time. The long 10-year bond holding and the short 10-year position arising from the futures contract offset each other, leaving a long position in the 1 to 3 months time band which must be included. 15 Consistent with APS 112 – Capital Adequacy: Credit Risk, forward and futures contracts where the ADI has a right to substitute cash settlement for physical delivery and the price on settlement is calculated with reference to a general market price indicator (such as the average bank bill rate) cannot be offset against specific securities (including those securities making up the market index). AGN 113.3 – 11 Sept 2000 35. Opposite positions within and across product groups16 can in certain circumstances also be regarded as matched and allowed to offset fully. To qualify for this treatment the positions must relate to the same underlying instruments, be of the same nominal value and be denominated in the same currency.17 In addition: (a) For futures, offsetting positions in the notional or underlying instruments to which the futures contract relates must be for identical products and mature within seven days of each other; (b) For swaps, FRAs and forwards18 the reference rate (for floating-rate positions) must be identical and the coupon closely matched (ie within 15 basis points). Also, the next interest fixing date or, for fixed coupon positions or forwards, the residual maturity, must correspond within the following limits: (i) if either of the instruments which are candidates for offsetting have an interest fixing date or residual maturity up to and including one month then those dates or residual maturities must be the same for both instruments; (ii) if either of the instruments which are candidates for offsetting have an interest fixing date or residual maturity greater than one month and up to and including one year then those dates or residual maturities must be within seven days of each other; or (iii) if either of the instruments which are candidates for offsetting have an interest fixing date or residual maturity over one year then those dates or residual maturities must be within thirty days of each other. Index 16 This excludes offsetting between a matched position in a future or forward and its underlying, which is governed by Paragraphs 32 and 33. It does include the delta-equivalent value of options. The delta-equivalent of the legs arising out of the treatment of caps and floors as set out in Paragraph 94 of the Section “Treatment of Options” can also be offset against each other under the rules laid down in this paragraph. 17 The separate legs of different swaps may also be “matched” subject to the same conditions. 18 Spot, or cash, positions in the same currency may be offset subject to these same conditions. AGN 113.3 – 12 Sept 2000 Table 1 Credit rating agencies and investment grade ratings Minimum Ratings Securities Money Market Obligations For all issuers Moody’s Investor Services Standard & Poors Corporation Baa3 BBB- P3 A3 Fitch IBCA (Aust.) Ltd BBB- F-3 For all ADIs and subsidiaries of ADIs (not otherwise eligible as qualifying securities) Thomson Financial BankWatch BBB- TBW-3 For Canadian Issuers Canadian Bond Rating Service Dominion Bond Rating Service B++low BBB low A-3 R-2 For Japanese Issuers Japan Credit Rating Agency Ltd BBB- J-2 Nippon Investor Services Inc The Japan Bond Research Institute Mikuni & Co Fitch Investors Services Inc BBBBBBBBB BBB- a-3 A-2 M-3 F-3 For United States Issuers Duff & Phelps Inc Fitch Investors Services Inc BBBBBB- 3 F-3 AGN 113.3 – 13 Sept 2000 Table 2 Time bands and risk weights Coupon 3% or more Coupon less than 3% or the duration method Risk weight (%) Assumed changes in yield (%) 1 month or less 1 month or less 0.00 1.00 over 1 and up to 3 months Over 1 and up to 3 months 0.20 1.00 over 3 and up to 6 months Over 3 and up to 6 months 0.40 1.00 over 6 and up to 12 months Over 6 and up to 12 months 0.70 1.00 over 1 and up to 2 years Over 1.0 and up to 1.9 years 1.25 0.90 over 2 and up to 3 years Over 1.9 and up to 2.8 years 1.75 0.80 over 3 and up to 4 years Over 2.8 and up to 3.6 years 2.25 0.75 over 4 and up to 5 years Over 3.6 and up to 4.3 years 2.75 0.75 over 5 and up to 7 years Over 4.3 and up to 5.7 years 3.25 0.70 over 7 and up to 10 years Over 5.7 and up to 7.3 years 3.75 0.65 over 10 and up to 15 years Over 7.3 and up to 9.3 years 4.50 0.60 over 15 and up to 20 years Over 9.3 and up to 10.6 years 5.25 0.60 over 20 years Over 10.6 and up to 12 years 6.00 0.60 Over 12 and up to 20 years 8.00 0.60 Over 20 years 12.50 0.60 AGN 113.3 – 14 Sept 2000 Table 3 Horizontal disallowances Zones19 Time band Within the zone Between adjacent zones Between zones 1 and 3 0 – 1 month 1 – 3 months Zone 1 3 – 6 months 40% 40% 6 – 12 months 1 – 2 years Zone 2 2 – 3 years 100% 30% 3 – 4 years 40% 4 – 5 years 5 – 7 years 7 – 10 years Zone 3 10 – 15 years 30% 15 – 20 years over 20 years 19 The zones for coupons less than 3% are 0 to 1 year, over 1 to 3.6 years, and over 3.6 years. AGN 113.3 – 15 Sept 2000 Table 4 Summary of treatment of interest rate derivatives Instrument Specific General market risk risk20 Exchange-traded futures - Government debt security No Yes, as two positions - Corporate debt security Yes Yes, as two positions - Index on interest rates No Yes, as two positions - Government debt security No Yes, as two positions - Corporate debt security Yes Yes, as two positions - Index on interest rates No Yes, as two positions FRAs, swaps No Yes, as two positions Forward foreign exchange No Yes, as one position in each currency OTC forwards Options (refer Section “Treatment of Options”) Either (a) - Government debt security No - Corporate debt security Yes - Index on interest rates No - FRAs, swaps No - simplified approach - contingent loss analysis or (b) 20 Carve out together with the associated hedging positions: Apply the delta-plus method (gamma and vega should each receive a separate capital charge) This is the specific risk charge relating to the issuer of the instrument. Under APS 112 – Capital Adequacy: Credit Risk there remains a separate capital charge for counterparty risk. AGN 113.3 – 16 Sept 2000 Equity Position Risk 36. This section sets out a minimum capital standard to cover the risk of positions in equities in the trading book. It applies to long and short positions in all instruments that exhibit market behaviour similar to equities. The instruments covered include ordinary shares, whether voting or non-voting, convertible securities that behave like equities, and commitments to buy or sell equity securities. Non-convertible preference shares are to be excluded from these calculations. They are covered by the interest rate risk requirements described in the Section “Interest Rate Risk”. Long and short positions in instruments relating to the same issuer may be reported on a net basis. The treatment of derivative products, share indices and index arbitrage is described in the section below on equity derivatives. Specific and general market risk 37. As with debt securities, the minimum capital standard for equities is expressed in terms of two separately calculated charges for the “specific risk” of holding a long or short individual equity position and for the “general market risk” of holding a long or short position in the market as a whole. The long or short position in the market must be calculated on a market-by-market basis. A separate calculation has to be carried out for each national market in which the ADI holds equities. 38. Specific risk is defined as a proportion of the ADI’s gross equity positions (ie the sum of the absolute value of all long equity positions and of all short equity positions).21 The capital charge for specific risk will be 8 per cent, unless the portfolio is both liquid and well diversified, in which case the charge will be 4 per cent. 39. Individual equities included in the indices listed in Table 5 at the end of this section are considered to be liquid (this list may be amended periodically). 40. A portfolio of liquid equities will be regarded as well diversified provided that the following requirements are met: (a) 21 no individual liquid equity position comprises more than 10 per cent of the gross value of the ADI’s portfolio of equities traded on the markets in each particular country (the “country portfolio”); and An “equity position” is the net of short and long exposures to an individual company. Hence, specific risk is assessed on the gross position across companies rather than individual transactions. AGN 113.3 – 17 Sept 2000 (b) the sum of the gross value of liquid equity positions which individually comprise more than 5 and up to 10 per cent of the gross value of the country portfolio does not exceed 50 per cent of the gross value of the ADI's portfolio in that country. 41. If a liquid country portfolio can be split into two sub-portfolios such that one of the sub-portfolios would meet the diversification requirements, the lower specific risk charge may be applied to the diversified sub-portfolio. Individual positions may be divided between sub-portfolios. Portfolios or sub-portfolios that do not meet the diversification requirements will continue to attract the 8 per cent specific risk weight. 42. General market risk will be assessed on the difference between the sum of the longs and the sum of the shorts (ie the overall net position in an equity market). The general market risk charge will be 8 per cent of the net position. Again, a separate capital charge calculation must be carried out for each national market in which the ADI holds equities. Equity derivatives 43. Except for options, which are dealt with in the Section “Treatment of Options”, equity derivatives and off-balance sheet positions which are affected by changes in equity prices, should be included in the measurement system.22 This includes futures and swaps on both individual equities and on stock indices. The derivatives are to be converted into positions in the relevant underlying. The treatment of equity derivatives is summarised in Table 6 at the end of this section. Calculation of positions 44. In order to calculate the specific and general market risk capital charges using the standard method, positions in derivatives should be converted into notional equity positions: 22 (a) futures and forward contracts relating to individual equities should be reported at current market prices; (b) futures relating to stock indices should be reported as the mark-to-market value of the notional underlying equity portfolio; Where equities form one leg of a forward or futures contract (the quantity of equities to be received or to be delivered), any interest rate or foreign currency exposure from the other leg of the contract should be reported as set out in the Sections “Interest Rate Risk” and “Foreign Exchange Risk” respectively. AGN 113.3 – 18 Sept 2000 (c) equity swaps are to be treated as two notional positions; 23 and (d) equity options and stock index options must either be “carved out” together with the associated underlying assets (that is, the options and their associated hedges are excluded from the calculations performed for all other equity positions and a separate risk charge is obtained using the simplified approach or contingent loss method set out in the Section “Treatment of Options”) or be incorporated in the measurement of specific and general market risk described in this section using the delta-plus method (refer Section “Treatment of Options”). 45. If an ADI takes a position in depository receipts against an opposite position in the underlying equity or the same equity listed in a different country, it may offset the position (ie bear no capital charge) but only on condition that any costs on conversion are fully taken into account. Calculation of capital charges Measurement of specific and general market risk 46. Matched positions in each identical equity or stock index in each market may be fully offset, resulting in a single net short or long position to which the specific and general market risk charges will apply. For example, a future in a given equity may be offset against an opposite physical position in the same equity.24 Risk in relation to an index 47. Besides general market risk, a specific risk capital charge of 2 per cent will apply to the net long or short position in an index contract listed in Table 5 at the end of this section. 48. Positions in indices not listed in Table 5 must either be decomposed into their component shares, or be treated as a single position based on the sum of current market values of the underlying instruments; if treated as a 23 For example, an equity swap in which an ADI is receiving an amount based on the change in value of one particular equity or stock index and paying a different index will be treated as a long position in the former and a short position in the latter. Where one of the legs involves receiving/paying a fixed or floating interest rate, that exposure should be entered into the appropriate repricing time band for interest rate related instruments as set out in the Section “Interest Rate Risk”. The stock index should be covered by the equity treatment detailed in Paragraphs 47 and 48. 24 The interest rate risk arising out of the futures contract, however, should be reported as set out in the Section “Interest Rate Risk”. AGN 113.3 – 19 Sept 2000 single position, the specific risk requirement is the highest specific risk charge which would apply to any of the index’s constituent shares. Arbitrage 49. In the case of the futures-related arbitrage strategies described below, the additional 2 per cent capital charge described in Paragraph 47 may be applied to only one index with the opposite position exempt from a capital charge for both specific risk and general market risk. The strategies are: (a) when the ADI takes an opposite position in exactly the same index at different dates or in different market centres; or (b) when the ADI has an opposite position in contracts at the same date in different but similar indices, subject to APRA’s agreement that the two indices contain sufficient common components to justify offsetting. 50. Where an ADI engages in a deliberate arbitrage strategy, in which a futures contract on a broadly-based index matches a basket of shares, it may decompose the index position into notional positions in each of the constituent stocks and include these notional positions and the disaggregated physical basket in the country portfolio, netting the physical positions against the index-equivalent positions in each stock. Alternatively, an ADI may choose to apply the capital charge set out in Paragraph 52 provided that: (a) the trade has been deliberately entered into and separately controlled; and (b) the composition of the basket of shares represents at least 90 per cent of the index when broken down into its notional components, or a minimum correlation between the basket of shares and the index of 0.9 can be clearly established over a minimum period of one year;25 Where these conditions are not met, the arbitrage must be dealt with using the approach set out in Paragraph 53. 51. To determine whether a basket of shares represents at least 90 per cent of the index, the relative weight of each stock in the physical basket should be compared to the weight of each stock in the index to calculate a 25 An ADI wishing to rely on the correlation based criteria will need to satisfy APRA of the accuracy of the method chosen. AGN 113.3 – 20 Sept 2000 percentage slippage from the index weights. For example, where a stock represents 5 per cent of the index, but the holding of that stock in the basket only represents 4.5 per cent of the total basket value, the percentage slippage of that stock is 0.5 per cent. Stocks which comprise the index but which are not held in the physical basket have a slippage equal to their percentage weight in the index. The sum of these differences across each stock in the index represents the total level of slippage from the index. In summing the percentage differences, no netting should be applied between under market-weight and over marketweight holdings (ie the absolute values of the percentage slippages should be summed). Deducting the total slippage from 100 gives the percentage coverage of the index which should be compared to the required minimum of 90 per cent. An example of this calculation is presented in AGN 113.5. 52. In such cases as described in Paragraph 50, where the values of the physical and futures positions are matched, the capital charge must be assessed as 2 per cent of the gross value of the positions on each side (ie a total of 4 per cent). Any excess value of the shares comprising the basket over the value of the futures contract, or excess value of the futures contract over the value of the basket, is to be treated as an open long or short position and dealt with using the approach described in Paragraph 53. 53. In the case of an arbitrage that does not satisfy the requirements of Paragraph 50, the index position should be treated according to either Paragraph 47 or Paragraph 48 as appropriate. The physical basket of shares should then be disaggregated into individual positions and included in the country portfolio for calculation of the capital charge. Index AGN 113.3 – 21 Sept 2000 Table 5 Market indices Australia S&P/ASX 200 Japan Nikkei 225 Australia XPI Netherlands AEX Austria ATX Spain IBEX 35 Belgium BEL20 Sweden OMX Canada TSE 35 Switzerland SMI France CAC 40 UK FTSE 100 Germany DAX UK FTSE mid-250 Hong Kong Hang Seng USA S&P 500 Italy MIB 30 Table 6 Summary of treatment of equity derivatives Instrument Specific risk26 General market risk Exchange-traded or OTC futures Individual equity Yes Yes, as underlying Index 2% Yes, as underlying Options (refer Section “Treatment of Options”) Individual equity Index Either Yes 2% (a) Carve out together with the associated hedging positions - simplified approach - contingent loss analysis or (b) General market risk charge according to the delta-plus method (gamma and vega should each receive a separate capital charge) Rho risk may be included with other interest rate exposures as described in the Section “Interest Rate Risk”. 26 This is the specific risk charge relating to the issuer of the instrument. Under APS 112 – Capital Adequacy: Credit Risk, there remains a separate capital charge for counterparty credit risk. AGN 113.3 – 22 Sept 2000 Foreign Exchange Risk 54. This section sets out a minimum capital standard to cover the risk of holding or taking positions in foreign currencies and gold. 27 55. Taking on foreign exchange positions may expose an ADI to interest rate exposure (for example, in forward foreign exchange contracts). In such a case the relevant interest rate positions should be included in the calculation of interest rate risk described in the Section “Interest Rate Risk”. 56. Two processes are needed to calculate the capital requirement for foreign exchange risk. The first is to measure the exposure in a single currency position. The second is to measure the risks inherent in an ADI’s mix of long and short positions in different currencies. The capital charge will be 8 per cent of the foreign exchange net open position plus 8 per cent of the net position in gold. Measuring the exposure in a single currency 57. The ADI’s net open position in each currency must be calculated by summing: (a) 27 the net spot position (ie all asset items less all liability items, including accrued interest, denominated in the currency in question); (b) the net forward position (ie all amounts to be received less all amounts to be paid under forward foreign exchange transactions, including currency futures, the principal on currency swaps not included in the spot position, and interest rate transactions such as futures, swaps, etc denominated in a foreign currency); (c) guarantees (and similar instruments) that are certain to be called and likely to be irrecoverable; (d) net future income/expenses not yet accrued but already fully hedged (at the discretion of the reporting ADI); (e) any other item representing a profit or loss in foreign currencies; and Gold must be dealt with as a foreign exchange position rather than as a commodity position because its volatility is more in line with foreign currencies and it is typically managed in a similar manner to foreign currencies. AGN 113.3 – 23 Sept 2000 (f) the net delta-equivalent of the total book of foreign currency options.28 58. Positions in composite currencies need to be separately reported but, for measuring ADIs’ open positions, may be either treated as a currency in their own right or split into their component parts on a consistent basis. 59. Currency pairs subject to a binding inter-governmental agreement linking the two currencies may be treated as the one currency. 60. Several aspects call for more specific comment: the treatment of interest and other income and expenses; the treatment of gold; the measurement of forward currency and gold positions; and the treatment of “structural” positions. The treatment of interest, other income and expenses 61. Interest and other income accrued (ie earned but not yet received) should be included as a position. Accrued expenses should also be included. Unearned but expected future interest and anticipated expenses may be excluded unless the amounts are certain and ADIs have taken the opportunity to hedge them. If ADIs include future income/expenses, they should do so on a consistent basis and will not be permitted to select only those expected future flows which reduce their position. The treatment of gold positions 62. Positions in gold should be measured in the same manner as described in Paragraph 76 of the Section “Commodities Risk”.29 Since the interbank market price for gold is effectively denominated in US dollars, any ADI with an open gold position takes on exposure to movements in both the gold price and the US dollar/Australian dollar exchange rate. In recognition of this, ADIs may double count gold in Australian dollar equivalent amounts, firstly as a gold exposure and secondly as a US dollar exposure. That is, a long position in gold may be recorded both as a long gold exposure and a long US dollar exposure. The US dollar exposure can then be netted against US dollar exposures arising from other activities. Examples of this are presented in AGN 113.5. 28 Subject to separately calculated capital charges for gamma risk and vega risk as described in the Section “Treatment of Options”. Alternatively, options and their associated underlying assets may be subject to one of the other methods described in the Section “Treatment of Options”. 29 Where gold is part of a forward contract (the quantity of gold to be received or to be delivered), the interest rate and foreign exchange exposure from the other leg of the contract should be reported as set out in the Section “Interest Rate Risk” and in Paragraph 57 above. AGN 113.3 – 24 Sept 2000 The measurement of forward currency and gold positions 63. Forward currency and gold positions will normally be valued at current spot market exchange rates. ADIs which base their normal management accounting on net present values are expected to use the net present values of each forward position, discounted using current interest rates and translated at current spot rates, for measuring their forward currency and gold positions. Using forward exchange rates would be inappropriate since it would result in the measured positions reflecting current interest rate differentials only and not the absolute level of interest rates in each currency. The treatment of structural positions 64. A matched currency position will protect an ADI against loss from movements in exchange rates, but will not necessarily protect its capital adequacy ratio. If an ADI has its capital denominated in Australian dollars and has a portfolio of foreign currency assets and liabilities that is completely matched, its capital/asset ratio will fall if the domestic currency depreciates. By running a short position in the domestic currency the ADI can protect its capital adequacy ratio, although the position would lead to a loss if the domestic currency were to appreciate. 65. Any positions which an ADI has deliberately taken in order to hedge partially or totally against the adverse effect of the exchange rate on its capital ratio may be excluded from the calculation of net open currency positions, subject to each of the following conditions being met: (a) such positions need to be of a “structural”, ie of a non-trading, nature; (b) the “structural” position excluded does no more than protect the ADI’s capital adequacy ratio (that is, these positions cannot be manipulated for speculative or profit driven purposes); and (c) any exclusion of the position needs to be applied consistently, with the treatment of the hedge remaining the same for the life of the assets or other items. 66. Structural positions include: (a) any position arising from an instrument which qualifies as capital of the ADI (refer APS 111 – Capital Adequacy: Measurement of Capital); AGN 113.3 – 25 Sept 2000 (b) (c) any position entered into in relation to the net investment in a self-sustaining subsidiary, the accounting consequence of which is to reduce or eliminate what would otherwise be a movement in the foreign currency translation reserve; or investments in overseas subsidiaries or associates which are fully deducted from an institution’s capital for capital adequacy purposes (refer APS 111 – Capital Adequacy: Measurement of Capital). 67. Individual ADIs will be required to submit their definition of structural positions, and policies concerning identification and management of those positions, to APRA for approval and inclusion in ADIs’ management systems descriptions (refer AGN 113.1). Measuring the foreign exchange risk in a portfolio of foreign currency positions and gold 68. Under the standard method, the nominal amount (or net present value) of the net position in each foreign currency and in gold is converted at spot rates into the reporting currency.30 The overall net open position is measured by aggregating: (a) the sum of the net short positions or the sum of the net long positions, whichever is the greater; plus (b) the net position (short or long) in gold, regardless of sign. 69. The capital charge will be 8 per cent of the overall net open position (an example of the calculation is provided in AGN 113.5) Index Commodities Risk 70. This section establishes a minimum capital requirement to cover the risk of holding positions in commodities, including precious metals, but excluding gold (which is treated as a foreign currency according to the 30 Where the ADI is assessing its foreign exchange risk on a consolidated basis, it may be technically impractical in the case of some marginal operations to include the currency positions of a foreign branch or subsidiary of the ADI. In such cases the internal limit in each currency applied to such entities may be used as a proxy for the positions. Provided there is adequate ex post monitoring of actual positions against such limits, the limits should be added, without regard to sign, to the net open position in each currency. AGN 113.3 – 26 Sept 2000 methodology set out in the Section “Foreign Exchange Risk”). A commodity is defined as a tradeable physical product, eg agricultural products, minerals (including oil) and precious and base metals. 71. For spot or physical trading, the risk arising from a change in the spot price (directional risk) is the most important risk. However, ADIs using portfolio strategies involving forward and derivative contracts are exposed to a variety of additional risks, which may well be larger than the risk of a change in spot prices. These include: (a) basis risk (the risk that the relationship between the prices of similar commodities alters through time); (b) interest rate risk (the risk of a change in the cost of carry for forward positions and options); and (c) forward gap risk (the risk that the forward price may change for reasons other than a change in interest rates). 72. The funding of commodities positions may well expose an ADI to interest rate or foreign exchange risk and if this is so the relevant positions should be included in the measures of interest rate and foreign exchange risk described in the Sections “Interest Rate Risk” and “Foreign Exchange Risk”.31 73. Commodities risk can be measured in a standardised manner, using either a measurement system which captures forward gap and interest rate risk separately by basing the methodology on a maturity ladder of seven time bands, or a simplified approach. 74. For the maturity ladder approach and the simplified approach, long and short positions in each commodity may be reported on a net basis for the purposes of calculating open positions. Positions in different commodities may not, as a general rule, be offset. Netting between different commodities of the same sub-group32 in cases where the commodities are deliverable against each other will, however, be permitted. Commodities may also be considered as offsettable if they are close substitutes for each other and a minimum correlation between price movements of 0.9 can be clearly established over a minimum period of one year. An ADI wishing 31 Where a commodity is part of a forward contract (a quantity of commodities is to be received or to be delivered), any interest rate, equity or foreign currency exposure from the other leg of the contract should be reported as set out in the Sections “Interest Rate Risk”, “Equity Position Risk” and “Foreign Exchange Risk” respectively. 32 Commodities can be grouped into sub-groups. For example, West Texas Intermediate, Arabian Light and Brent are individual commodities within the Crude Oil sub-group. AGN 113.3 – 27 Sept 2000 to use correlation-based offsetting will need to satisfy APRA of the accuracy of the method chosen. 75. As is the case with gold (refer Paragraph 62) the interbank market for many commodities is effectively denominated in a foreign currency (usually US dollars). Hence, subject to prior approval from APRA, ADIs may double count foreign currency denominated commodities once as a commodity exposure and secondly as a foreign currency exposure. Examples of this treatment are given in AGN 113.5. Maturity ladder approach 76. In calculating the capital charges under the maturity ladder approach, ADIs will first have to express each commodity position (spot plus forward) in terms of the standard unit of measurement (barrels, kilos, grams, etc). The net position in each commodity will then be converted at current rates into Australian dollars. 77. In order to capture forward gap and interest rate risk within a time band (which together are sometimes referred to as curvature/spread risk), matched long and short positions in each time band will also carry a capital charge. The methodology is similar to that used for interest rate related instruments as set out in the Section “Interest Rate Risk”. Positions in each separate commodity (expressed in Australian dollar terms) should be entered into a maturity ladder (shown in Table 7 at the end of this section). Physical stocks should be allocated to the first time band. A separate maturity ladder must be used for each commodity as defined in Paragraph 74 above.33 78. Within each time band, a capital charge for spread risk of 3 per cent of the matched position (the smaller of the absolute value of the short and long positions within a time band) is to be applied. 79. The residual net positions from nearer time bands may then be carried forward to offset exposures in time bands that are further out. However, recognising that such hedging of positions among different time bands is imprecise, a capital charge equal to 0.6 per cent of the net position carried forward will be applied each time a position is carried forward to the next time band. The capital charge for each matched amount created by carrying net positions forward will be calculated as in Paragraph 78. 33 For markets which have daily delivery dates, any contracts maturing within ten days of one another may be offset. AGN 113.3 – 28 Sept 2000 80. Finally, a capital charge of 15 per cent of the net open position in the commodity is to apply. An example of the maturity ladder approach is set out in AGN 113.5. 81. All commodity derivatives and off-balance sheet positions which are affected by changes in commodity prices should be included in this measurement framework. This includes commodity futures, commodity swaps, and options where the “delta plus” method is used34 (refer Section “Treatment of Options”). In order to calculate the risk, commodity derivatives should be converted into notional commodities positions and assigned to maturities as follows: (a) futures and forward contracts relating to individual commodities should be incorporated in the measurement system as notional amounts in terms of the standard units of measurement (eg barrels, kilos) multiplied by the spot price of the commodity and should be assigned a maturity based on the contract's expiry date; (b) commodity swaps where one leg is a fixed price and the other is the current market price should be incorporated as a series of positions equal to the notional amount of the contract, with one position corresponding with each payment on the swap and entered into the maturity ladder accordingly. The positions would be long positions if the ADI is paying fixed and receiving floating, and short positions if the ADI is receiving fixed and paying floating;35 (c) commodity swaps where the legs are in different commodities are to be incorporated in the relevant maturity ladder. No offsetting will be allowed in this regard except where the commodities belong to the same sub-group as defined in Paragraph 74. Simplified approach 82. In calculating the capital charge for directional risk, the same procedure should be adopted as in the maturity ladder approach above (refer Paragraphs 76 and 81). The capital charge is equal to 15 per cent of the overall net position, long or short, in each commodity. 34 For ADIs using other approaches to measure option price risk, all options and the associated underlyings should be excluded from both the maturity ladder approach and the simplified approach. 35 If one of the legs involves receiving/paying a fixed or floating interest rate, that exposure should be slotted into the appropriate repricing maturity band in the maturity ladder covering interest rate related instruments. AGN 113.3 – 29 Sept 2000 83. In order to protect the ADI against basis risk, interest rate risk and forward gap risk, the capital charge for each commodity position as described in Paragraphs 76 and 81 above is subject to an additional capital charge equivalent to 3 per cent of the ADI’s gross positions (the absolute value of all long positions plus the absolute value of all short positions regardless of maturity), in that particular commodity. In valuing the gross positions in commodity derivatives for this purpose, ADIs should use the current spot price. Table 7 Commodity time bands Time band 1 month or less over 1 month and up to 3 months over 3 months and up to 6 months over 6 months and up to 12 months over 1 year and up to 2 years over 2 years and up to 3 years over 3 years Index Treatment of Options 84. In recognition of the diversity of ADIs’ activities in options several alternative approaches will be permissible: 36 (a) those ADIs which solely use purchased options36 will be free to use the simplified approach described below; (b) those ADIs which also write options will be expected to use one of the intermediate approaches (the delta-plus or contingent loss methods) as set out below or the internal model approach detailed in AGN 113.2. The more significant its trading, the more sophisticated approach the ADI will be expected to use. Where all the written option positions are hedged by perfectly matched long positions in exactly the same options, no capital charge for market risk is required. AGN 113.3 – 30 Sept 2000 85. Each individual ADI will be required to obtain prior approval from APRA for the approach it wishes to take in the treatment of options.37 86. In the simplified approach, the positions for the options and the associated underlying assets, cash or forward, are not subject to the standard methodology but rather are “carved-out” and subject to separately calculated capital charges that incorporate both general market risk and specific risk. The risk numbers thus generated are then added to the capital charges for the relevant category, ie interest rate related instruments, equities, foreign exchange and commodities as described in Sections above. 87. The delta-plus method uses the sensitivity parameters or “greeks” associated with options to measure their market risk capital requirements. Under this method, the delta-equivalent position of each option becomes part of the standard methodology set out in Sections above with the delta-equivalent amount subject to the applicable general market risk charges. Separate capital charges are then applied to the gamma and vega risks of the option positions. 88. The contingent loss approach uses simulation techniques to calculate changes in the value of an options portfolio for changes in the level and volatility of the prices of its associated underlyings. Under this approach, the general market risk charge is determined by the largest loss produced by a scenario “matrix” (ie a specified combination of underlying asset price and volatility changes). 89. For the delta-plus method and the contingent loss approach the specific risk capital charges are determined separately by multiplying the deltaequivalent amount of each option by the specific risk weights set out in the Sections “Interest Rate Risk” and “Equity Position Risk”. 90. In addition to these market risk charges, purchased options remain subject to the credit risk capital requirements specified in APS 112 – Capital Adequacy: Credit Risk. Simplified approach 91. ADIs which handle a limited range of purchased options only may use the simplified approach set out in Table 8 below for particular trades. 37 ADIs doing business in certain classes of exotic options (e.g. barriers, digitals) may be required to use the contingent loss approach (described below) or the internal models alternative (AGN 113.2), which can accommodate more detailed revaluation approaches. AGN 113.3 – 31 Sept 2000 Table 8 Simplified approach: capital charges Position Long cash and long put or Short cash and long call Treatment The capital charge will be the market value of underlying security38 multiplied by the sum specific and general market risk charges39 for underlying less the amount the option is in money (if any) bounded at zero.40 the of the the The capital charge will be the lesser of: Long call or Long put (i) the market value of the underlying security multiplied by the sum of specific and general market risk charges for the underlying; and (ii) the market value of the option. 41 92. As an example of how the calculation would work, if a holder of 100 shares currently valued at $10 each holds an equivalent put option with a strike price of $11, the capital charge would be: $1,000 x 16% (ie 8% specific plus 8% general market risk) = $160, less the amount the option is in the money ($11 - $10) x 100 = $100, ie the capital charge would be $60. A similar methodology applies for options whose underlying is a foreign currency, an interest rate related instrument or a commodity. 38 In some cases, such as foreign exchange, it may be unclear which side is the “underlying security”; this should be taken to be the asset which would be received if the option were exercised. In addition, the nominal value should be used for items where the market value of the underlying instrument could be zero, eg caps and floors, swaptions, etc. 39 Some options (eg where the underlying is an interest rate, a currency or a commodity) bear no specific risk but specific risk will be present in the case of options on certain interest rate related instruments (eg options on a corporate debt security or corporate bond index; see Section “Interest Rate Risk” for the relevant capital charges) and for options on equities and stock indices (see Section “Equity Position Risk”). The charge under this measure for currency options will be 8% and for options on commodities 15%. 40 For options with a residual maturity of more than six months the strike price should be compared with the forward, not current, price. An ADI unable to do this must take the in-the-money amount to be zero. For options with a residual maturity of less than six months ADIs, if able, should use the forward price rather than the spot price. 41 Where the position does not fall within the trading book (ie options on certain foreign exchange or commodities positions), it may be acceptable to use the book value instead. AGN 113.3 – 32 Sept 2000 Delta-plus method 93. ADIs which write options may be allowed to include delta-weighted options positions within the standard method set out in Sections above.42 Such options should be reported as a position equal to the sum of the market values of the underlying multiplied by the sum of the absolute values of the deltas. However, since delta does not cover all risks associated with options positions, ADIs will also be required to measure gamma (which measures the rate of change of delta) and vega (which measures the sensitivity of the value of an option with respect to a change in volatility) in order to calculate the total capital charge. These sensitivities should be calculated using an approved Exchange model43 or the ADI’s proprietary options pricing model subject to approval by APRA. 94. For general market risk purposes, delta-weighted positions with debt securities or interest rates as the underlying should be slotted into the interest rate time bands, as set out in the Section “Interest Rate Risk”, under the following procedure. A two-legged approach should be used, as for other derivatives, requiring one entry at the time the underlying contract takes effect and a second at the time the underlying contract matures.44 For instance, in the case of a bought call option on a June three-month bill future, the option will, in April, be considered on the basis of its delta-equivalent value, to be a long position with a maturity of five months and a short position with a maturity of two months.45 The written option will be similarly entered as a long position with a maturity of two months and a short position with a maturity of five months. Caps and floors will be treated as a series of European-style options. For example, the buyer of a two-year cap with semi-annual resets and a cap rate of 15 per cent should treat the cap as a series of three bought call options on a FRA with a reference rate of 15 per cent, each with a negative sign at the maturity date of the underlying FRA and a positive sign at the settlement date of the underlying FRA. 42 Delta measures the sensitivity of an option’s value to a change in the price of the underlying asset. 43 For example, the pricing models used by the Sydney Futures Exchange and the Australian Stock Exchange Options Market. 44 In the case of options on futures or forwards the relevant underlying is that on which the future or forward is based (eg for a bought call option on a June three-month bill future the relevant underlying is the three-month bill). 45 A two-month call option on a 10 year bond future where delivery of the bond takes place in September would be considered in April as a long bond position with a maturity of 10 years 5 months and a short five months deposit, both positions being delta-weighted. AGN 113.3 – 33 Sept 2000 95. For options with debt securities as the underlying, a specific risk charge is also applied to the delta-weighted position on the basis of the issuer of the underlying security, as detailed in the Section “Interest Rate Risk”. 96. The capital charge for options with equities as the underlying will also be based on the delta-weighted positions which will be incorporated in the measure of market risk (both specific and general market risk) described in the Section “Equity Position Risk”. The capital charge for options on foreign exchange and gold positions will be based on the method set out in the Section “Foreign Exchange Risk”. For delta risk, the net delta-based equivalent of the foreign currency and gold options will be incorporated into the measurement of the exposure for the respective currency (or gold) position. The capital charge for options on commodities will be based on the incorporation of delta-weighted positions into either the maturity ladder or simplified approach set out in the Section “Commodities Risk”. 97. In addition to the above capital charge arising from delta risk, there will be further capital charges for gamma risk and for vega risk. ADIs using the delta-plus method will be required to calculate the gamma and vega capital charges for each option position separately. 98. The capital charges for gamma risk should be calculated in the following way: Gamma impact = ½ gamma (VU)2 where VU denotes the variation in the price of the underlying of the option. VU must be calculated as follows: (a) for interest rate options, if the underlying is a bond, the market value of the underlying should be multiplied by the risk weights set out in Table 2 of the Section “Interest Rate Risk”. An equivalent calculation should be carried out where the underlying is an interest rate, based on the assumed changes in yield in Table 2; (b) for options on equities and equity indices, the market value of the underlying should be multiplied by 8 per cent; (c) for options on foreign exchange and gold, the market value of the underlying should be multiplied by 8 per cent; and (d) for options on commodities, the market value of the underlying should be multiplied by 15 per cent. AGN 113.3 – 34 Sept 2000 99. For the purpose of calculating the gamma impact, the following should be treated as the same underlying: (a) for interest rates,46 each time band as set out in Table 2 of the Section “Interest Rate Risk”, for ADIs using the maturity method. ADIs using the duration method should use the time bands as set out in the second column of Table 2; (b) for equities and stock indices, each national market; (c) for foreign currencies and gold, each currency pair and gold; and (d) for commodities, each individual commodity as defined in Paragraph 74 of the Section “Commodities Risk”. 100. Each option on the same underlying will have a gamma impact that is either positive or negative. These individual gamma impacts will be summed, resulting in a net gamma impact for each underlying which is either positive or negative. Only those gamma impacts that are negative will be included in the capital calculation. 101. The total gamma capital charge will be the sum of the absolute value of the net gamma impacts as calculated above. 102. To calculate vega risk ADIs must multiply the vega for each option by a 25 per cent proportional shift in the option's current volatility. The results of this are then summed across each underlying. 103. The total capital charge for vega risk is calculated as the sum of the absolute value of vega across each underlying. Contingent loss approach 104. ADIs will also have the right to base the market risk capital charge for options portfolios and associated hedging positions on contingent loss matrix analysis. This will be accomplished by specifying a fixed range of changes in the option portfolio’s risk factors (ie underlying price and volatility) and calculating changes in the value of the option portfolio at various points along this matrix. For the purpose of calculating the capital charge, the ADI must revalue the option portfolio using matrices for simultaneous changes in the option’s underlying rate or price and in the volatility of that rate or price. A different matrix should be set up for each 46 Positions must be slotted into separate maturity ladders by currency. AGN 113.3 – 35 Sept 2000 individual underlying as defined in Paragraph 99 above. As an alternative, ADIs that are significant traders in options will, for interest rate options, be permitted to base the calculation on a minimum of six sets of time bands. When using this method, not more than three of the time bands (as defined in column 1 of Table 2 of the Section “Interest Rate Risk”) should be combined into any one set. 105. The options and related hedging positions will be evaluated over a specified range above and below the current value of the underlying – this defines the first dimension of the matrix. The range for interest rates is consistent with the assumed changes in yield in Table 2 of the Section “Interest Rate Risk”. Those ADIs using the alternative method for interest rate options set out in the previous paragraph should use, for each set of time bands, the highest of the assumed changes in yield applicable to the group to which the time bands belong.47 The other ranges are ±8 per cent for equities, ± 8 per cent for foreign exchange and gold, and ±15 per cent for commodities. For all risk categories, at least seven price shifts (including the current observation) must be used to divide the range into equally spaced intervals. 106. The second dimension of the matrix entails a change in the volatility of the underlying rate or price. A single change in the volatility of the underlying rate or price equal to a proportional shift in volatility of ±25 per cent is expected to be sufficient in most cases. As circumstances warrant, however, APRA may require that a different change in volatility be used and/or that intermediate points on the matrix be calculated. 107. After calculating the matrix, each cell will contain the net profit or loss of the option and the underlying hedge instrument. The capital charge for each underlying should then be calculated as the largest loss contained in the matrix. 108. The application of the contingent loss method by any specific ADI will be subject to supervisory consent, particularly as regards the precise way that the analysis is constructed. ADIs’ use of this method as part of the standard method will also be subject to validation by APRA. ADIs will be expected to comply with those qualitative standards listed in AGN 113.2 that are appropriate given the nature of the ADI’s business. 109. Besides the options risks mentioned above, APRA is conscious of the other risks associated with options, eg rho (rate of change of the value of the option with respect to the interest rate). While not proposing a 47 If, for example, the time-bands 3 to 4 years, 4 to 5 years and 5 to 7 years are combined the highest assumed change in yield of these three bands would be 0.75. AGN 113.3 – 36 Sept 2000 measurement system for those risks at present, it is expected that ADIs undertaking significant options business at the very least monitor such risks closely. Additionally, ADIs may incorporate rho into their capital calculations for interest rate risk. Index AGN 113.3 – 37