About a-team Marketing Services
The knowledge platform for the financial technology industry
The knowledge platform for the financial technology industry

A-Team Insight Blogs

CCP Principles Can be Applied to Bilateral World of OTC Derivatives, Says Adsatis

Subscribe to our newsletter

Following on from its white paper last month, London-based consultancy Adsatis has published another report looking into the clearing counterparty (CCP) approach in comparison to bilateral agreements with regards to OTC derivatives. Adsatis consultant and author of the white paper, Bill Hodgson, reckons firms can apply aspects of the CCP approach to a non-CCP environment.

“Commentators, politicians and regulators have variously suggested hugely complex solutions to the worlds credit exposure crisis, such as a global trade registration system, clearing every single OTC product through a massive CCP, or abolishing OTC products altogether. Our contention is that the framework is already in place to handle the measurement and mitigation processes, but perhaps the market could learn from the CCP approach in how protection layers are constructed,” explains Hodgson.

The white paper, entitled “Comparing the ISDA bilateral exposure management model with a CCP”, like the title suggests, compares the way credit risk is managed using the bilateral ISDA Credit Support Annex (CSA) versus the risk management approach of a CCP. It highlights areas of difference such as membership criteria, quality of protection from credit risk and operational and timing issues.

Hodgson suggests that it may now be time for “CSA 2.0” in order to provide a more “meaningful link between risk and protection” in light of the current financial climate. Principles such as agreed data formats for publishing reconciliation data and the publication of the date on which the last valuation was calculated for a trade, both of which are used in the CCP version, could be adopted in the new version of the CSA, suggests the paper.

Although many OTC products will never be suitable for a CCP, this does not mean CCP principles cannot be applied to the area, Hodgson suggests. He concludes: “Isn’t it time to blend the experience of both markets and upgrade the financial technology to give firms a higher level of protection and a positive feedback loop to associate higher margin levels with illiquid products and to balance banks enthusiasm for such risky trading?”

Subscribe to our newsletter

Related content

WEBINAR

Recorded Webinar: Perpetual KYC: compliance as the source of better business

Perpetual KYC (pKYC) opens the door for financial institutions and corporations to improve customer onboarding & monitoring processes, reduce operational costs, ensure regulatory compliance, and better understand risk exposures in real time. Unlike traditional or periodic KYC, pKYC continually reviews and updates client data in near real-time providing ongoing data accuracy and accurate risk management....

BLOG

Navigating the Complex New Sanctions Landscape: Webinar Preview

The criticality of sanctions to the armoury of international relations has been amplified over the past decade as geopolitical and trade tensions have intensified. Since Russia’s annexation of Crimea in 2014 and its attempted full-scale invasion of Ukraine in 2022, governments around the world have increased sanctions on nations and entities by 700%, according to...

EVENT

Buy AND Build: The Future of Capital Markets Technology

Buy AND Build: The Future of Capital Markets Technology London examines the latest changes and innovations in trading technology and explores how technology is being deployed to create an edge in sell side and buy side capital markets financial institutions.

GUIDE

FATCA – The Time to Act is Now

The US Foreign Account Tax Compliance Act – aka FATCA – raised eyebrows when its final regulations requiring foreign financial institutions (FFIs) to report US accounts to US tax authorities were published last year. But with the exception of a few modifications, the legislation remains in place and starts to comes into force in earnest...