speeches · June 4, 2009
Regional President Speech
Eric Rosengren · President
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“The Impact of Liquidity, Securitization, and
Banks on the Real Economy”
Eric S. Rosengren
President & Chief Executive Officer
Federal Reserve Bank of Boston
Panel Discussion
Conference on Financial Markets and Monetary Policy
Sponsored by the Federal Reserve Board and
the Journal of Money, Credit, and Banking
Washington, D.C.
June 5, 2009
It is a pleasure to be here with everyone participating in the conference, and my fellow
panelists and Vice Chairman Kohn.1
The financial crisis of the last 20 months highlights the need for better understanding of
the links between financial intermediaries, financial markets, and the real economy. Consider
the fact that many models of the economy underestimated emerging problems, in part because
the financial links to the real economy are, in my view, only crudely incorporated into most
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macroeconomic modeling. Indeed, most forecasters did not recognize we were in a recession in
the spring of 2008 even though the recession, as now dated by the National Bureau of Economic
Research (NBER), began in December 2007. Of course this happens with recessions, but my
point is that even after serious problems in housing and financial markets were revealed, many
forecasters underestimated the size, severity, and length of the downturn. In fact, many analysts
and economists were focused on short-term inflation risks in the spring of 2008, when we were
entering the most severe recession of the past 50 years.
Part of the reason, I think, relates to three critical features of this crisis I would highlight
– features, I would add, that are likely to have a long-lasting impact on financial markets and
perhaps on how economists perceive them:
• the first is the increased importance of disruptions to liquidity;
• the second involves the significant changes that occurred in securitization;
• the third involves banks and their role in the economy.
1. The Role of Liquidity
Liquidity risk has received relatively scant attention in academic research. And the Basel
II Capital Accord, which focused on a bottom-up assessment of risks at financial institutions,
emphasized holding capital for credit risk, market risk, and operational risk. While liquidity risk
was acknowledged, it had no explicit treatment in “Pillar 1” of the Basel II framework, and
received relatively little attention in other portions of the framework.2
Similarly, liquidity receives relatively little focus from most macroeconomists. While it
is mentioned in money and banking texts, liquidity is generally characterized as a short-lived
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problem that can be handled by effective use of the Fed’s discount window. With most liquidity
problems short-lived (for example, after the September 11 terrorist attacks), liquidity did not
receive that much attention from most economists, financial institutions, or regulators.
But this crisis has been different in that there has been an extended period where bid-to-
ask spreads have widened, where conditions have hindered buying or selling in short-term credit
markets absent significant price movements, and where there has been a drying up of the ability
to engage in various financial transactions that were formerly quite routine and markets that were
quite active. I refer to the notion of a "liquidity lock," by which I mean extreme risk aversion by
many investors and institutions that fear they will not be able to sell assets in a timely fashion
without steep discounts.3 This makes short-term financing difficult to come by, for even
creditworthy firms – including financing for very short maturities, measured in days. At certain
points in this crisis, market participants saw few if any bids for even high-grade financial paper
that had a maturity greater than one day. Another manifestation was the unwillingness of many
of the largest financial institutions to lend to each other – as represented by the very large spread
between the London Interbank Offered Rate (Libor) and the overnight index swap rate.4
This unwillingness to take credit risk or to lend money other than overnight constrains
creditworthy borrowers from undertaking worthwhile projects – and thus has implications for
economic growth. And these disruptions have not been short-lived; even more than 20 months
into the crisis many markets are still not functioning as they did.
Exchange-traded markets seem to have been less disrupted than markets dominated by
dealers. This has broader implications for market structure and potential systemic risk –
implications that I hope will get more attention from researchers and regulators in the future.
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A variety of financial institutions and markets are undergoing significant change as a
result of liquidity concerns. Considering our time today I will focus on just one example,
changes occurring in the money market mutual fund industry. Money market funds do not
generally receive much attention. They receive short-term deposits that are then invested in
highly liquid short-term investments. But the size and role of the industry has probably been
underappreciated – at the end of the second quarter of 2007, money market funds had $2.5
trillion in assets, and were major holders of financial and non-financial commercial paper and
large certificates of deposit (CD’s).
Following the failure of Lehman Brothers, investors in some money market funds that
held Lehman securities began to withdraw money. Redemptions rose dramatically. Because of
losses on the Lehman securities, the Reserve Primary Fund was unable to maintain the standard
$1 per share current net asset value – they “broke the buck.” This had very significant
implications, as did the need of numerous banks to support their money market funds to avoid a
similar outcome. For example, because of concern over redemptions, money market funds that
were still willing to purchase commercial paper wanted only very short maturities.
As Figure 1 shows, the overall result was a significant outflow from prime money
market funds, which merited a policy response. The Treasury announced a temporary insurance
program and the Federal Reserve created two liquidity facilities under its “Section 13-3”
authority.5 Since market participants largely viewed the programs as temporary, there have been
significant shifts in the holdings of money market mutual funds. Figures 2 and 3 show that such
funds have shifted their composition materially, away from commercial paper and toward more
liquid government securities. In part this represents a change in preferences of investors, who
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have shifted assets to government funds, and in part a change in preferences of fund managers
seeking more liquid positions. However, the shift has disrupted the commercial paper market,
increasing spreads and causing some issuers to rely on the Federal Reserve’s commercial paper
funding facility. All in all, I suspect that the shift in money-market funds’ liquidity preferences
is likely to have longer-term repercussions for the medium-term financing needs of firms.
This is just one example of how liquidity issues may have longer run implications. A
broader question for economists is how illiquidity could persist for so long. While this is a good
topic for future research, I would highlight two interrelated factors. First, much of the illiquidity
results from concerns with counterparty risk. Major financial firms were unwilling to trade with
other major firms in volume, because of concerns about solvency risk – and the opaqueness of
firms made it difficult to ascertain their true financial health. Financial firms and regulators need
to consider ways to make entities less opaque. Second, securitization often relied on financial
firms to provide liquidity and credit support, and was dependent on investor confidence in
ratings. As investor confidence in financial firms and ratings of structured products waned,
securitization declined dramatically – and many markets became significantly less liquid, as
firms did not want to hold assets they could not securitize.
2. The Role of Securitization
Turning to a second major issue, securitization, I would note that the aforementioned
liquidity concerns initially had their roots in credit concerns – for example, in worries about the
potential of mortgages bundled into securities to go into default. Some of my colleagues have
observed that credit worries have existed for centuries – so why, this time, have credit problems
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turned into severe liquidity stresses? I suspect that securitization has played a role, in particular
the rise of what I have called “surrogate securitization” (where investors were willing to buy debt
assigned high credit ratings by rating agencies, to whom they basically delegated due diligence).6
With that thought, allow me to discuss securitization, where loans are pooled together
and sold to investors. Originally, the securitization market served as a source of financing
primarily for home mortgages, but increasingly it was used to finance credit card receivables,
home equity loans, and car loans. Because assets were financed by issuing securities directly to
the marketplace, many assumed that securitization would provide a more resilient source of
financing than depending on financial intermediaries. But ironically, the events of this crisis led
to a state where securitization has been severely impaired, leading to increases in the cost of
financing for assets that could no longer be easily securitized.
Figure 4 shows the significant decrease in asset-backed commercial paper (ABCP)
outstanding. ABCP was frequently sold to money market funds and other intermediaries
interested in holding short-term, high-quality paper. ABCP usually was sponsored by
commercial banks that provided liquidity, credit support, or both. With the onset of the crisis it
became increasingly difficult for such sponsors to place their commercial paper, as potential
investors became concerned about both the credit quality of the assets and the credit quality of
some sponsors. In addition, changes in accounting rules for off-balance-sheet conduits made this
type of financing less economical. As a result, ABCP issuance has significantly decreased.
Similarly, other types of securitization have been under severe stress. As investor
demand for structured finance decreased, relatively few securitizations have occurred. Figure 5
shows the dramatic decline in securitization of home equity loans, credit card receivables,
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student loans, and car loans. While there are alternatives to securitization, such as bank lending,
this represents a narrowing of financing sources – and in the case of bank loans, has implications
for capital requirements.7 Overall, the cost to borrowers is likely to go up.8
More research is needed on the links between banks and the securitization markets, and
the structure of securitization. Many securitizations are sponsored by financial institutions, and
rely on their credit and liquidity support. As a result, securitization is not as insulated from
banking problems as many assumed. Also, lack of confidence in ratings has reduced investor
demand. In an environment where investors are less willing to rely on third- party ratings,
securitizations will need more transparent structures that allow for easier monitoring of risks.
3. The Role of Banks
Turning to the role of banks, in this crisis large banks have been extended unprecedented
support – extensions of deposit insurance, federal guarantees of debt, and equity infusions. The
support required to alleviate the crisis suggests that clearly, financial supervision and regulation
must be enhanced going forward. In the limited time we have today, we cannot do justice to all
the lessons we should draw from recent experience, but I would like to highlight three.
First, the stress tests conducted earlier this year were instructive to banks and supervisors.
Some banks had difficulty providing the data needed as inputs to the tests – data that would
ideally exist as inputs to robust budgeting and risk-management systems. Thus, like the crisis
itself, the stress tests highlighted shortcomings in management information systems and data.
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Because the stress-tests were done simultaneously across institutions, using the same
assumptions, it was possible to compare results – and, indeed, to observe differences in
institutions’ ability to undertake a rigorous test. Previously supervisors did conduct comparative
exercises (called horizontal reviews), but the sequential nature of those exercises (that is, their
occurrence in different time periods) made it more difficult to compare results across institutions.
The stress tests provide a top-down assessment of capital, based on economic
assumptions – and thus provide a very good complement to the bottom-up risk assessment that is
the cornerstone of most risk-management frameworks at major banks and is the cornerstone of
the Basel II Capital Accord. In addition, making the results public allowed outside investors to
“bound” the likely losses at financial institutions, even considering the more dire outlook
(compared to the base forecast of many) that was part of the stress tests. This ultimately helped
financial institutions raise additional capital at a critical juncture for the economy.9
A second area that should be considered is the role of debt. A variety of debt instruments
are issued by banks and qualify as capital for institutions’ capital requirements, and the use of
subordinated debt has been advocated by some economists. However, the reluctance to require
debt to be converted to equity, or to shoulder more of the losses, should cause us to reexamine
the role of debt in systemically important institutions. A number of proposals exist, but one
possibility for reform would be to establish that debt instruments could be used to meet capital
requirements only if they have automatic triggers to convert to common equity under certain
circumstances.10 While such instruments would not likely be attractive in the current
environment, they may find acceptance once the economy and financial markets have recovered.
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A third area involves the off-balance sheet operations of banks. Many large banks are
market makers in assets held off of balance sheets. This has resulted in banks having very
sizeable positions in derivatives instruments relative to their capital positions. In addition, banks
had significant positions in structured investment vehicles and conduits that had much more risk
than many financial institutions and their supervisors thought prior to the crisis. Examination
and understanding of the role of off-balance sheet activities deserves significantly more
supervisory attention, going forward. It will be important to ensure that capital held for off-
balance sheet exposures is commensurate with the risk that they pose.
Concluding Observations
Allow me to close with a few concluding observations. This crisis highlights the
important role of financial institutions and markets on the real economy. In my view this is an
area that does not receive sufficient attention in research, or in the teaching of economics.
The contributions of financial institutions and markets to the length and severity of this
recession are likely to be a topic of research well into the future. However, given the extent of
government intervention that has been necessary, more preventive measures must be considered.
Reform efforts will need to consider appropriate regulatory and supervisory measures to
insure that financial markets can efficiently allocate capital without placing the economy, and
taxpayers, at this degree of risk again. To accomplish this, I would suggest that lawmakers and
policymakers will need to keep in mind the complex but undeniable way that financial markets, financial
institutions, and financial matters such as liquidity and securitization interact with the real economy. And
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this, I firmly believe, means the Federal Reserve can and must play an integral role in the financial
regulatory framework in the United States.
Thank you.
NOTES:
1 Of course, the views I express today are my own, not necessarily those of my colleagues on the
Board of Governors or the Federal Open Market Committee (the FOMC).
2 See http://edocket.access.gpo.gov/2007/07-5729.htm.
3 I explored this topic in a speech at the University of Wisconsin – Madison, entitled “The Impact
of Financial Institutions and Financial Markets on the Real Economy: Implications of a 'Liquidity Lock'”,
available at http://www.bos.frb.org/news/speeches/rosengren/2008/100908.htm.
4 Note that this liquidity lock, where transactions are impeded by severe risk aversion by potential
investors, compounds problems created by a traditional credit crunch – a situation in which institutions
seek to shrink assets (like loans) in order to meet regulatory or market-imposed capital-to-assets ratios. In
the recent crisis, not only were financial firms faced with a need to de-lever (thus, a credit crunch), but
they were also finding it increasingly difficult to borrow other than overnight – even if they were an
organization that was highly rated (…thus, a liquidity lock).
5 Section 13-3 of the Federal Reserve Act allows the Federal Reserve “In unusual and exigent
circumstances … to discount for any individual, partnership, or corporation…” See
http://www.federalreserve.gov/aboutthefed/section13.htm.
6 Utilizing ratings to help evaluate the riskiness of securities is a normal part of the securitization
process. But when new securities arise, investors may need to exercise more caution as rating agencies
themselves learn about the appropriate risk to attach to the new instruments. I discussed this in more
detail in several talks, including “Recent Developments in Real Estate, Financial Markets, and the
Economy” available at http://www.bos.frb.org/news/speeches/rosengren/2007/101007.htm.
7 Bank lending where the loan is held as an asset on the bank’s balance sheet has implications for
capital requirements, which focus on maintaining an acceptable capital-to-assets ratio.
8 The Term Asset-Backed Securities Loan Facility (TALF) has been an effort by the Federal
Reserve to “reopen” the securitization market. While the TALF program was complicated to start, it has
helped reduce interest spreads on asset-based securities, and some new asset-based securities are being
issued.
9 Following the May 7 release of the results of the Supervisory Capital Assessment Program
(SCAP), the 19 largest U.S. bank holding companies have raised $59.1 billion in capital, including $50.4
billion through stock offerings and $8.7 billion through asset sales. The ten firms needing to augment
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their capital have raised $42.3 billion while the nine firms that did not need to augment their capital raised
$16.8 billion.
10 E.g., under difficult economic circumstances.
11
Figure 1
CCuummuullaattiivvee CChhaannggee iinn MMoonneeyy MMaarrkkeett FFuunndd
Assets in Prime Funds
August 1, 2008 -May 26, 2009
Billions of Dollars
100
Treasury announces insurancefor MMMFs.
0
Lehman fails.
-100
The Reserve Primary
Fund breaks the buck.
-200
-300
Assets in prime funds totaled
$2.0 trillion on July 31, 2008.
-400
-550000
1-Aug 17-Sep 3-Nov 19-Dec 6-Feb 25-Mar 11-May
Note: Prime funds include both retail and institutional funds.
Source: iMoneyNet
Figure 2
AAsssseett CCoommppoossiittiioonn ooff TTaaxxaabbllee MMoonneeyy MMaarrkkeett FFuunnddss
June 26, 2007 -May 26, 2009
PPercentt
100
80
60
40
20
00
26-Jun-07 25-Sep-07 26-Dec-07 25-Mar-08 24-Jun-08 30-Sep-08 30-Dec-08 31-Mar-09 26-May-09
US Treasurys, Agencies, Repos Asset-Backed Commercial Paper Unsecured Commercial Paper
Bank Obligations Floating Rate Notes
Source: iMoneyNet
Figure 3
AAsssseett CCoommppoossiittiioonn ooff PPrriimmee MMoonneeyy MMaarrkkeett FFuunnddss
June 26, 2007 -May 26, 2009
PPercentt
100
80
60
40
20
00
26-Jun-07 25-Sep-07 26-Dec-07 25-Mar-08 24-Jun-08 30-Sep-08 30-Dec-08 31-Mar-09 26-May-09
US Treasurys, Agencies, Repos Asset-Backed Commercial Paper Unsecured Commercial Paper
Bank Obligations Floating Rate Notes
Source: iMoneyNet
Figure 4
AAssett-BBackkedd CCommerciiall PPaper OOuttsttanddiing
Weekly, January 3, 2007 -May 13, 2009
Billions of Dollars
1,500
1,250
1,000
750
550000
3-Jan-07 25-Apr-07 15-Aug-07 5-Dec-07 26-Mar-08 16-Jul-08 5-Nov-08 25-Feb-09
Source: Federal Reserve Board / Haver Analytics
Figure 5
AAssett-BBackkedd SSecuriittiies IIssuance bby TType
2007:Q1 - 2009:Q1
Billions of Dollars
200
Other
Student Loans
116600
Credit Cards
Auto
120
Home Equity
80
40
0
2007:Q1 2007:Q2 2007:Q3 2007:Q4 2008:Q1 2008:Q2 2008:Q3 2008:Q4 2009:Q1
Source: SIFMA, Thomson Reuters
Cite this document
APA
Eric Rosengren (2009, June 4). Regional President Speech. Speeches, Federal Reserve. https://whenthefedspeaks.com/doc/regional_speeche_20090605_eric_rosengren
BibTeX
@misc{wtfs_regional_speeche_20090605_eric_rosengren,
author = {Eric Rosengren},
title = {Regional President Speech},
year = {2009},
month = {Jun},
howpublished = {Speeches, Federal Reserve},
url = {https://whenthefedspeaks.com/doc/regional_speeche_20090605_eric_rosengren},
note = {Retrieved via When the Fed Speaks corpus}
}