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Money Market Mutual Fund Reforms
Kevin KingManager, Treasury & Credit
Credit Working GroupMarch 29, 2016
Overview
• On July 23, 2014, the U.S. Securities and Exchange Commission (SEC) issued new rules for further regulation of money market mutual funds - building on reform rules adopted in March 2010– Institutional Prime and Municipal money market mutual funds must
price and transact based on a floating net asset value (NAV)– Institutional and Retail Prime and Municipal money market mutual
funds will be subject to liquidity fees and redemption gates• Implementation of these rules must be completed by October 14, 2016
I’m not an investment advisor and nothing in this presentation should be taken as investment advice. The information presented here is readily available from public sources and will hopefully enable you to initiate a dialog within your own companies about potential treasury and/or credit implications of these new rules.
Page 2
Why should this matter to me?
• These new rules are not California ISO rules or rules that only apply to ISOs and RTOs; they are federal regulations that apply to all fund companies offering money market mutual funds and their shareholders
• Affects corporations and individuals that hold certain types of money market mutual funds– Does your credit policy allow you to hold cash collateral for one or more of
your counterparties? Is this collateral held in a money market mutual fund?– Do you post cash collateral with the California ISO, any other ISO/RTO or
with one of your counterparties?– Is your company’s short-term cash needs invested in money market mutual
funds (direct investment or sweep accounts)?– Do you have cash position in your personal investment portfolio or 401(k)?
• If you answered yes to any of the above, the rules should matter to you• Doing nothing is an reasonable approach so long as you understand
and accept the associated risks
Page 3
Background
• Today all money market mutual funds seek to maintain a daily stable or fixed NAV of $1.00 price per share and have an objective of not losing money
• To avoid “breaking the buck”, funds try to maintain a constant $1.00 share price through use of longstanding special pricing and valuation conventions (amortized cost accounting)
• Money market mutual funds are designed to be safe and highly liquid making them an important investment vehicle to meet short-term cash needs
• Although widely considered a very low risk investment, they are not risk free as evidenced by some notable examples of funds that broke the buck
Page 4
Notable examples of funds that broke the buck
• First Multifund for Daily Income – 1978– The first money market mutual fund to break the buck– Liquidated and restated NAV at 94 cents per share
• Community Bankers US Government Fund – 1994 – Paid investors 96 cents per share
• Reserve Primary Fund – 2008– The day after Lehman Brothers Holdings Inc. filed for
bankruptcy, the fund fell to 97 cents per share as a result of writing off the debt it owned that was issued by Lehman
– Prompted significant redemptions from institutional money market funds
– Led to widespread panic and nearly caused a run on the market
Page 5Source: Wikipedia
Reforms largely resulted from 2008 events
• The 2008 financial crisis led to the “Great Recession” and a number of market reforms including– Dodd-Frank Wall Street Reform and Consumer Protection Act (2010)– Commodity Futures Trading Commission (CFTC) challenges to
Federal Energy Regulatory Commission (FERC) jurisdiction• New rules adopted by the SEC made structural and operational
reforms to money market funds • Rules and subsequent amendments were designed to increase
transparency and reduce the interest rate, credit and liquidity risks of money market fund portfolios
• Additional rules were introduced as tools to reduce the risk of investor runs on such funds in times of financial crisis, while preserving the benefits of the funds
Page 6
Overview of final 2014 SEC rules
Source: Fidelity Investments
Page 7
How have funds responded?
• The fund companies have been actively reviewing their fund lineup and amending their fund investment policies to align with these new rules
• Fund companies are beginning to disclose which funds are subject to these rules and clarifying their policies as they pertain to their expected use of liquidity fees and redemption gates
• Experts expect to continue to see a number of fund mergers and name changes in the months leading up to the October implementation deadline
• There is already evidence of a number of fund conversions (from prime funds to government funds) underway
Page 8
Prime fund to government fund conversions
Page 9Source: Investment Company Institute
0
200,000
400,000
600,000
800,000
1,000,000
1,200,000
1,400,000
1,600,000Total - All Money Market Funds
All Gov't Prime Tax Exempt
For week ending Wednesday, November 4, 2015, assets in prime funds fell sharply ($34.68 billion); government assets rose ($18.34 billion) compared to the prior week.
Total money market assets - $2.76 trillion
Millions ofdollars
For week ending Wednesday, February 24, 2016, government funds increased by $17.30 billion and prime funds increased by $140 million pushing total assets in government funds slightly ahead of prime funds.
Floating NAV
• Affects institutional prime/general purpose and institutional municipal/tax exempt funds
• Will no longer be eligible to use amortized cost accounting to price and transact at a constant share price of $1.00
• Unlike other mutual funds which set their NAV at the end of the trading day, these funds will set intraday NAVs four times per day
• In tracking fund market-based NAVs over the past year, we’ve seen very flat to small day-to-day price fluctuations and experts don’t foresee any changes after the October implementation
Applicable funds will price and transact (i.e., sell and redeem shares) at a net asset value per share that can change, or “float,” based on pricing the underlying fund holdings at their present market value out to four decimal places
Page 10
Daily Market NAV of select institutional prime funds (for the period 1/2/2015 – 2/26/2016)
Page 11
0.9994
0.9996
0.9998
1.0000
1.0002
1.0004
1.0006
TMPXX DADXX FIDXX POIXX FSMXX VMVXX CARXX ICAXX
Daily Market Net Asset Value
High Low Average*
* **
*
* * *
*
Liquidity fees
• May be applied at the discretion of the board of directors if such fees are determined to be in the best interest of shareholders of the fund
• If a fund’s weekly liquid assets were to fall below 30%, the fund’s board may impose a 2% fee on redemptions
• If a fund’s weekly liquid assets were to fall below 10%, the fund’s board must impose a 1% fee on redemptions but may impose a higher fee of 2% if it’s in the best interest of shareholders
For investors who require access to their cash in times of stress (i.e., redeem shares), a fee may be levied in order to pay for that liquidity
Page 12
Redemption gates
• May be applied at the discretion of the board of directors if it’s determined to be in the best interest of shareholders of the fund
• If a fund’s weekly liquid assets were to fall below 30%, the fund’s board may suspend redemptions for up to 10 business days in a 90-day period
• Redemption gates were designed to prevent a run on a fund in times of market stress
A redemption gate is a temporary measure that may be implemented by a fund’s board of directors that limits redemptions in a fund for a short period of time
Page 13
Retail fund definition
• Institutional investors will be restricted from investing in retail money market funds
• The retail versus institutional distinction is important as it will determine whether an investor in a prime or tax-exempt fund will be subject to a floating NAV
• Individuals may still invest in institutional money market funds• The SEC is expected to provide further guidance as to which
types of accounts would be classified as a retail account
A money market fund that implements policies and procedures reasonably designed to limit all beneficial owners of the fund to natural persons (i.e., individuals)
Page 14
Treasury and credit considerations
Treasury• Tax, accounting and
disclosure implications• The U.S. Department of the
Treasury and IRS have provided guidance that floating NAV shareholders will be able to report a single net number for the gains and losses over the course of a year
• Funds must disclose market NAV ($1.0000) daily on its website
Credit• Floating NAV may result in
your holding more or less collateral than you think you have
• Less collateral any given day may result in more frequent collateral calls
• Less liquidity increases risk of default– Counterparty liquidity may
affect their ability to pay– Inability to access enough
funds to cover any shortfall in a timely manner
Page 15
The new rules could increase payment default risk
Page 16
Portfolio valuation on day of default $0.9998 NAV $1.0005 NAV
Required draw $10,000,000 $10,000,000 Available collateral $9,998,000 $10,005,000 2% liquidity fee $199,960 $200,100 Net draw amount $9,798,040 $9,804,900 Payment shortfall subject to default allocation
$201,960 $195,100
Redemption gate Delays access to funds up to 10 business days
Impact of a hypothetical $10 million payment default
Other credit implications
• Treasury and IRS accounting treatment of fund assets does not benefit credit– Credit can’t ensure that a collateral amount net of gains and
losses for the year is sufficient to cover obligations or to satisfy a payment shortfall and/or payment default
• Lower collateral account valuations and liquidity issues could result in smaller than requested and less timely collateral returns
Page 17
What is the real risk?
• Experience in floating NAV to date have shown very small fluctuations – just a few hundredths of $0.01
• Credit events, market instability and/or changes to economic forecasts could reasonably be expected to lead to larger, intra-and inter-day price volatility
• The magnitude of the price changes and duration is difficult to predict since we don’t have any historical perspective with the new rules in effect
• Fund company Boards may be reluctant to use the new tools at their disposal for fear of creating the same problem the tools were designed to prevent; i.e., a run on the market
Page 18
What can we expect?
• Fund companies will continue to consolidate, re-characterize and/or liquidate money market mutual funds as well as clarify their positions in the use of these new tools
• Some experts believe there will be a rush to U.S. Treasury and government funds in the months leading up to implementation
• As evidenced in 2008 when investors flocked to U.S. Treasury and government funds, some funds closed due to their inability to invest the large influx of cash
• Best advice whether you plan to do anything or not is to start the discussion and PLAN EARLY!
Page 19
Making the case – U.S. Treasury & government money market mutual funds
PRO• Stable NAV• No liquidity fees or
redemption gates
CON• Lower yields than prime and
tax-exempt funds• May temporarily close to
new funds or investors in response to a large influx of cash
Page 20
May be acceptable for funds requiring safety of principal and immediate accessibility (e.g., collateral and short-term cash needs)
Making the case – retail prime and tax-exempt money market mutual funds
PRO• Stable NAV• Higher yields than U.S.
Treasury and government funds
• Comparable yields to institutional funds
CON• Liquidity fees and
redemption gates• Limited to individual
investors
Page 21
May be acceptable for funds requiring safety of principal (e.g., short-term cash needs)
Making the case – institutional prime and tax-exempt money market mutual funds
PRO• Higher yields than U.S.
Treasury and government funds
• Available to individuals, small businesses and corporations
CON• Floating NAV• Liquidity fees and
redemption gates
Page 22
May be acceptable for funds that may be able to withstand brief periods of market instability and the resulting intra-day pricing volatility and/or lack of liquidity (e.g., corporate investments and longer-term cash needs)
Results of a recent client survey conducted by Treasury Strategies• Of the roughly three-quarters of respondents that invested in
institutional prime funds in the past decade:– 30% planned to continue investing in such funds– 42% planned to discontinue using such funds, at least initially (comments
from many indicated a soft response; “wait and see”)– 28% were undecided– Of the 25% not invested in such funds, none plan to invest now
• Of the one-quarter of respondents that invested in tax-exempt money funds in the last decade:– 55% planned to continue investing in such funds– 45% planned to discontinue using such funds– Of the three-quarters who have not invested in such funds, 6% indicated
they would consider using them if the market rate and their tax situation warrants
Page 23
Source: Corporate Survey of Plans for Using Money Market Funds, Treasury Strategies, Inc., February, 2016
California ISO’s response
• Collateral and other market funds that are currently in institutional prime money market funds will be transitioned to U.S. Treasury and/or government money market funds– Ensures availability of and immediate access to full, posted
collateral amount– Reduces credit and liquidity risk– Reduces the risk of allocating a payment default across the market– Requires no tariff or Business Process Manual changes– Movement of funds from institutional prime funds to U.S. Treasury
and government funds has already begun – well ahead of the new rules’ effective date
• Letters of credit remain a viable alternative to cash collateral
Page 24
Questions
Page 25
SEC money market reform ruleshttp://www.sec.gov/rules/final/2014/33-9616.pdf
Search for “money market reforms” on Google or individual fund company websites
Kevin King - Manager, Treasury & CreditCalifornia [email protected](916) 608-1247
For further information
Page 26