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104.9124709 $1,017,811.70 #NAME?

Par Coupon Maturity (yrs) Initial Yield Initial price Shock up + 1 bps Yield Price DV01 Shock down - 1 bps Yield Price DV01

$100.00 5.00% 5 5.00% $100.00

$100.00 5.00% 30 5.00% $100.00

4.99% $100.04 $0.04

4.99% $100.15 100.1539 100.0433 $0.15

5.01% $99.96 $0.04

5.01% $99.85 $0.15 200000 2.93 194306.8

127.2265 5.089059 136.4798 Cash 50000000 coupon 4 maturity 5

1 2 3 4 5

2.93 3.09 3.34 3.58 3.78

3.886136 3.763803 3.624554 3.475012 3.322704

2.92 3.08 3.33 3.57 3.77

2.94 3.1 3.35 3.59 3.79

3.886514 3.764534 3.625607 3.476355 3.324305 0.000378 0.00073 0.001052 0.001342 0.001601

1. Formulas for each duration

In the course of FRM study, we price bonds without embedded options. For such plain-vanilla bonds, t

Given that we assume a bond without embedded options, modified (or effective) duration is given by

The dollar value of an zero (DV01) is given by:

And the Macaulay duration can be expressed as a function of the (modified/effective) duration above

That is because Modified duration can be expressed as this expanded format:

3.885759 3.879728 3.870343 3.861377 3.853936 18879.4 36515.19 52621.29 67114.33 80065.16

And the term inside the braces above is the Macaulay Duration. I calculate this above formula in the sp

ons. For such plain-vanilla bonds, the distinction between modified and effective duration does not matter. (see Fabozzi for the difference

(or effective) duration is given by:

odified/effective) duration above:

culate this above formula in the spreadsheet below (see the blue section, which solves for the Macaulay)

er. (see Fabozzi for the difference: effective duration recognizes that cash flows dynamically change with the yield. An unnecessary nuanc

h the yield. An unnecessary nuance in our case).

Yellow: Inputs Orange: DV01 Green: Modified duration Blue: Macaulay duration Par value Years to Maturity Coupon, % Yield Semiannual equivalents: Coupon, % coupon, $ Periods Semiannual Yield Bond Price (PV) Modified Duration Shock, bps Shock, % Yield up Price (Shock up) Yield down Price (Shock down) Duration Dollar value of an '01 (DV01) Shock up + 1 bps Yield Price DV01 Shock down - 1 bps Yield Price DV01 DV01 another way: (P x D)/10,000 $0.68 6.01% $850.55 $0.67 5.99% $851.90 $0.68 $1,000.00 10 4.00% 6.00%

(n)

(C)

SemiAnnual Period 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20

2.00% $20.00 20 3% $851.23 66.66667 666.6667

20 0.20% 6.20% $837.85 5.80% $864.86 7.931

$7.93

Coupon $20.00 $20.00 $20.00 $20.00 $20.00 $20.00 $20.00 $20.00 $20.00 $20.00 $20.00 $20.00 $20.00 $20.00 $20.00 $20.00 $20.00 $20.00 $20.00 $20.00

(P)

(C+P)

(D)

[D x (C+P)] Present Value of Cash nx Flow PVCF $19.42 $19.42 $18.85 $37.70 $18.30 $54.91 $17.77 $71.08 $17.25 $86.26 $16.75 $100.50 $16.26 $113.83 $15.79 $126.31 $15.33 $137.96 $14.88 $148.82 $14.45 $158.93 $14.03 $168.33 $13.62 $177.05 $13.22 $185.11 $12.84 $192.56 $12.46 $199.41 $12.10 $205.71 $11.75 $211.46 $11.41 $216.71 $564.75 $11,294.99 $13,907.04 $1,702.45 1.999988 8.17 7.93

Principal

Cash Cash Flow $20.00 $20.00 $20.00 $20.00 $20.00 $20.00 $20.00 $20.00 $20.00 $20.00 $20.00 $20.00 $20.00 $20.00 $20.00 $20.00 $20.00 $20.00 $20.00 $1,000 $1,020.00

0.9708738 0.9425959 0.9151417 0.888487 0.8626088 0.8374843 0.8130915 0.7894092 0.7664167 0.7440939 0.7224213 0.7013799 0.6809513 0.6611178 0.6418619 0.6231669 0.6050164 0.5873946 0.570286 0.5536758

Discount Factor 0.971 0.943 0.915 0.888 0.863 0.837 0.813 0.789 0.766 0.744 0.722 0.701 0.681 0.661 0.642 0.623 0.605 0.587 0.57 0.554

Sum of [n x PVCF] k x Price Macaulay Duration Modified Duration

Basel 2.5 Incre ases The Squee ze On Inves tment Banki ng Retur ns
Publicati on date: 14-May2012 00:53:4 4 EST

View Analyst Contact Information Table of Contents What Is Basel 2.5? Basel 2.5 Tripled Year-End 2011 Regulatory Capital Disclosures For Large Banks Potential Overlaps, Gaps, And Inconsistencies In Basel 2.5 Basel 2.5 Should Improve Public Disclosure Further Ahead, Basel III Will Add Further Market Risk Capital Charges Related Criteria And Research

Standard & Poor's Ratings Services broadly welcomes Basel 2.5, the Basel Committee on Banking We don't anticipate that the new regulations will have a systematic impact on our ratings on banks b

Overview

Basel 2.5 in our view raises regulatory capital requirements on traded market risk to a more appropriate level. We are in favor of these tougher rules because they are consistent with the direction of Standard & Poor's approach in Nevertheless, we believe the Basel 2.5 measures are complex and there could be overlaps and gaps between them, a In an analysis of 11 banks, we found that Basel 2.5 regulations were responsible for an average threefold increase in Basel 2.5 is one of several factors squeezing investment banks' returns, and staggered implementation across the wo

We consider the enhanced regulations as directionally consistent with the approach we take in our R Yet, although an improvement, we believe the new measures are complex, and that they open up po

The higher regulatory capital requirement under Basel 2.5, as well as further regulations in the forthc Furthermore, the staggered implementation of Basel 2.5 across the world has added to the uneven We believe the European banks' preparations for Basel 2.5 contributed to their trading book deriskin

What Is Basel 2.5?


Basel 2.5 is a complex package of international rules that imposes higher capital charges on banks The four main elements of Basel 2.5 are:

A stressed value-at-risk (SVaR) model, which adds to the VaR-based capital requirements in Basel II. SVaR is intende The incremental risk charge (IRC), which aims to capture default and credit migration risk. New standardized charges for securitization and resecuritization positions. The comprehensive risk measure (CRM) for correlation trading positions, which assesses default and migration risk o

The capital requirement generated by each of these measures adds to those of Basel II, with no pos Stressed value-at-risk (SVaR) model The original Basel II market risk framework calculated banks' capital requirement according to stand In order to capture the potential consequences of more volatile market conditions than those encoun We consider it a weakness of the SVaR approach that the historical dataset chosen for the portfolio
Table 1
UBS AG Risk-Weighted Assets For Market Risk Under Basel II And Basel 2.5 In 2011

Basel 2.5 Basel II RWAs RWAs Basel 2.5 (% (% RWAs as change change a on on multiple (Bil. Basel 2.5 previous Basel II previous of Basel CHF) RWAs quarter) RWAs quarter) II RWAs Q1 2011 99.0* 25.4 3.9 Q2 2011 104.0* 5 34.8 37 3 Q3 2011 102.1 -2 28.5 -18 3.6 Q4 2011 49.2 -52 9.2 -68 5.3 *Standard & Poor's estimates based on UBS' disclosures. Source: UBS' quarterly financial statements.

Incremental risk charge This new charge aims at capturing default and migration risks, which were poorly captured, in our vi Modeling of default and migration risks in the trading book has parallels with internal rating-based m New standardized charges for securitization positions Securitization, resecuritization, and nth-to-default credit derivative positions in the trading book are e Comprehensive risk measure (CRM) For correlation trading positions, such as bespoke collateralized debt obligation (CDO) tranches sold Of note, the Basel 2.5 measures also include higher charges for resecuritization in the banking book
Table 2
Basel 2.5 Higher Specific Risk Capital Charges For Resecuritization Exposures In The Banking Book (Standardized Approach)

External credit Assessm ent Charge under Basel II Charge under Basel 2.5

AAA to AA-

A+ to A-

BBB+ to BBB-

BB+ to Below BBBB-

1.60%

4%

8%

3.20%

8%

18%

28% Deductio n from regulator y capital 52% Deductio n from regulator y capital

Basel 2.5 Tripled Year-End 2011 Regulatory Capital Disclosures For L

The new regulatory measures are already significantly increasing capital charges on traded risks, pa The impact on RWA will be higher for banks with large investment banking activities. We estimate th In general, banks that included most of their trading positions in their Basel II regulatory VaR model, Our survey of 11 large international banks shows that SVaR accounted for the largest component of
Chart 1

It is worth noting that the VaR charge under Basel 2.5 is not directly comparable with the VaR charg

Regulators have removed the specific risk surcharge; The scope of the specific risk VaR model under Basel 2.5 is not always comparable with the scope of the model unde Some banks, including those in the U.K., already included an Incremental Default Risk (IDR) charge in the Basel II Va

For several banks, the year-end 2011 impact of Basel 2.5 was lower than their guidance earlier in th

Potential Overlaps, Gaps, And Inconsistencies In Basel 2.5

We support the higher capital charges introduced by Basel 2.5 because we consider that the capital We see potential for the following overlaps and gaps in the Basel 2.5 risk measures, as well as the p Overlaps In our view, the Basel 2.5 framework gives rise to potential double-counting of the same risks. This i Gaps

While we consider that Basel 2.5 captures a broader range of market risks than the previous regulat Within the trading book, an example of a gap in the coverage of Basel 2.5 is the absence of a capita A further gap arises from the risk associated with a sudden contraction in market liquidity, which in o Inconsistencies The extensive use of internal models under both the Basel II and Basel 2.5 market risk frameworks These overlaps, gaps, and inconsistencies emphasize to us that effective market risk management Nevertheless, although we see some drawbacks and inconsistencies within the Basel 2.5 regime, w

Basel 2.5 Should Improve Public Disclosure

We welcome the elements of Basel 2.5 that call for improved reporting of market risk exposures in b

Further Ahead, Basel III Will Add Further Market Risk Capital Charges

Basel 2.5 will not be the last word on regulatory capital charges for traded market risk. The Basel III The Basel Committee has recently conducted a trading book review to assess the effectiveness of t In our view, banks may hope that future changes would also consider simplifying the complex meas

, the Basel Committee on Banking Supervision's regulations requiring banks to hold greater capital against the mark ic impact on our ratings on banks because our risk-adjusted capital (RAC) framework--our primary capital analysis

et risk to a more appropriate level. direction of Standard & Poor's approach in its risk-adjusted capital framework. uld be overlaps and gaps between them, as well as inconsistencies in implementation between individual banks. sible for an average threefold increase in their capital charge on traded market risk. d staggered implementation across the world has added to the sector's uneven playing field.

t with the approach we take in our RAC framework and a significant step forward in addressing the deficiencies of th e complex, and that they open up potential for overlaps (double-counting of risks) and gaps (inadequate assessmen

ell as further regulations in the forthcoming Basel III regime, in our view represent the main challenges to investment he world has added to the uneven playing field for global investment banks. It was introduced in Switzerland on Jan ibuted to their trading book derisking and deleveraging in the second half of 2011 and perhaps put them at a compe

es higher capital charges on banks for the market risks they run in their trading books, particularly credit-related prod

l requirements in Basel II. SVaR is intended to capture more adequately the potential consequences of more volatile market conditions tha

hich assesses default and migration risk of the underlying exposures.

dds to those of Basel II, with no possibility of reductions for risk offsets or for possible double counting.

pital requirement according to standardized charges or the output of VaR models. These VaR models are validated market conditions than those encountered in the historical prices on which their VaR models are based, Basel 2.5 ad cal dataset chosen for the portfolio as a whole may not represent the most significant stress for some individual ass

erly financial statements.

hich were poorly captured, in our view, in specific risk VaR models. VaR models better capture potential losses due arallels with internal rating-based modeling of credit risk in the banking book and therefore presents similar challeng

e positions in the trading book are excluded from the IRC and subjected instead to different approaches. With the e

debt obligation (CDO) tranches sold to customers and their hedges, the CRM assesses default and migration risk o resecuritization in the banking book as well as higher charges for the specific risk on equity holdings in the trading b

Capital Disclosures For Large Banks

g capital charges on traded risks, particularly for large international banks. The introduction of the new Basel 2.5 me nt banking activities. We estimate that, for these banks, regulatory capital charges for market risk increased threefol heir Basel II regulatory VaR model, such as UBS, face the greatest increase in regulatory market risk RWAs. On th ounted for the largest component of the Basel 2.5 charges as of year-end 2011, with close to 30% of the total (see c

ctly comparable with the VaR charge under the former Basel II rules for the following reasons:

parable with the scope of the model under Basel II. For example, some securitization positions and their hedges may be excluded from th efault Risk (IDR) charge in the Basel II VaR model. This IDR charge has now been replaced (and complemented) by the IRC.

wer than their guidance earlier in the year. This resulted from trading book deleveraging and derisking undertaken in

es In Basel 2.5

ecause we consider that the capital requirement on market risk was too low under the Basel II regime, therefore pro l 2.5 risk measures, as well as the possibility for inconsistencies in their implementation.

e-counting of the same risks. This is most evident by the inclusion of both VaR and SVaR measures, which will likel

arket risks than the previous regulatory regime, certain risks are still not adequately assessed, in our view. In particu Basel 2.5 is the absence of a capital charge on the risk of severe adverse changes in counterparties' creditworthine action in market liquidity, which in our view is only partly captured by the one-year time horizon of the IRC. Market ri

Basel 2.5 market risk frameworks means that individual institutions might treat the same risks in different ways. Th effective market risk management requires more tools and metrics than just regulatory-driven measures. Stress tes ncies within the Basel 2.5 regime, we consider that it is the best starting point for our RAC charges since it will be ap

orting of market risk exposures in banks' Pillar 3 reports (which cover capital adequacy and risk management). In p

ket Risk Capital Charges

or traded market risk. The Basel III regime, due to come into effect from 2013, will require banks to hold more and b iew to assess the effectiveness of the market risk framework in light of the Basel 2.5 and Basel III measures. In its c sider simplifying the complex measures introduced by Basel 2.5 and Basel III. The current framework seems more l

hold greater capital against the market risks they run in their trading operations. These new regulations, which are n ework--our primary capital analysis tool--already applied far higher charges to banks' trading positions than the Base

d in addressing the deficiencies of the original Basel II framework in light of lessons learned from the financial marke ) and gaps (inadequate assessment of certain risks). We also see scope for inconsistencies in their implementation

t the main challenges to investment banks' ability to generate sustainable returns in excess of their cost of capital. It as introduced in Switzerland on Jan. 1, 2011, although the Bank for International Settlements (BIS) capital ratios pu 1 and perhaps put them at a competitive disadvantage relative to their U.S. peers. In our view, it is possible that the

ooks, particularly credit-related products. The Basel Committee on Banking Supervision began the process of enha

nces of more volatile market conditions than those encountered in the historical prices on which their VaR models are based.

sible double counting.

. These VaR models are validated by national regulators for either general risk only or both general and specific risk aR models are based, Basel 2.5 additionally requires banks to calculate the stressed VaR on their portfolios. These ficant stress for some individual asset classes, such as commodities or sovereign bonds, especially those from the

better capture potential losses due to credit spread variations at unchanged credit rating levels. Typical positions in therefore presents similar challenges, such as how to analyze highly rated securities with little or no history of losse

to different approaches. With the exception of positions held in correlation trading portfolios, which are the subject o

sesses default and migration risk of the underlying exposures. It incorporates basis risk--that is, the risk that a hedg k on equity holdings in the trading book under the standardized approach for market risk (see table 2).

troduction of the new Basel 2.5 measures translated into a 5.2% increase in total regulatory risk-weighted assets (R es for market risk increased threefold with the introduction of Basel 2.5. This figure includes the impact of the additio egulatory market risk RWAs. On the contrary, banks for which the scope of the VaR model was limited, and which t with close to 30% of the total (see chart 1).

and their hedges may be excluded from the Basel II.5 model since specific risk is now captured by other charges; and d complemented) by the IRC.

eraging and derisking undertaken in the second half of 2011 in preparation for the new regulations and in response

er the Basel II regime, therefore providing an incentive for banks to hold securities in the trading book rather than the

and SVaR measures, which will likely generate similar results in times of high market volatility. There is also potentia

ely assessed, in our view. In particular, this includes interest rate risk in the banking book, which is not specifically c es in counterparties' creditworthiness. We note, however, that this will be introduced in Basel III. ar time horizon of the IRC. Market risk models assume that positions are constant over the holding period and can th

he same risks in different ways. The requirement for models to be validated by national regulators reduces the scop ulatory-driven measures. Stress testing and scenario modeling would be prime additions, in our view. For example, our RAC charges since it will be applied by all major investment banks once it is adopted in the U.S., and because p

equacy and risk management). In particular, whenever relevant, we would expect banks to disclose not only the tota

ill require banks to hold more and better quality capital. It also includes new additive capital charges for credit valua 2.5 and Basel III measures. In its consultative document, published on May, 3. 2012, the Basel Committee conside he current framework seems more like a patchwork of additive charges, with double-counting issues and gaps not y

These new regulations, which are now live in most major trading centers globally except the U.S., were responsible nks' trading positions than the Basel II Accord required. Nevertheless, the disclosure of new information that Basel 2

ns learned from the financial market crisis. Building on the Basel II value-at-risk (VaR) capital charge, Basel 2.5 intro nsistencies in their implementation among individual banks.

s in excess of their cost of capital. It adds to pressures they are already facing, such as tighter conditions in wholesa Settlements (BIS) capital ratios published during 2011 by Swiss banks were still computed using Basel II rules. It ca s. In our view, it is possible that the delayed implementation of Basel 2.5 in the U.S. might also have contributed to

ervision began the process of enhancing the Basel II market risk framework in 2005, and widened the scope materia

their VaR models are based.

only or both general and specific risk. They mostly estimate the probability of portfolio losses based on the statistical ssed VaR on their portfolios. These SVaR models have the same confidence interval and holding period as the VaR n bonds, especially those from the European Economic and Monetary Union (EMU or eurozone). We also consider

dit rating levels. Typical positions included in the scope of the incremental risk charge (IRC) model are bonds, credit rities with little or no history of losses. In theory, banks could differentiate between the liquidity horizon (the time to li

g portfolios, which are the subject of the CRM charge described below, securitization tranches receive banking boo

asis risk--that is, the risk that a hedge becomes less effective--and the potential costs of resetting a hedge following rket risk (see table 2).

l regulatory risk-weighted assets (RWA) as of June 30, 2011, for Group 1 banks--that is, banks with Tier 1 capital a e includes the impact of the additional deductions from regulatory capital, owing to lower rated securitization in the t VaR model was limited, and which therefore use the more stringent standardized approach for a significant part of th

by other charges; and

he new regulations and in response to the adverse market conditions. For example, incremental RWA resulting from

s in the trading book rather than the banking book. Nonetheless, we view the Basel 2.5 measures as complex and d

rket volatility. There is also potentially some double-counting between SVaR and the IRC in the case of speculative-

ing book, which is not specifically considered in Basel 2.5 or Basel III and therefore still does not attract Pillar 1 regu uced in Basel III. nt over the holding period and can then be closed or hedged without cost. In reality, however, trading positions tend

ational regulators reduces the scope for material inconsistencies, but is unlikely to eliminate them, in our view. Unde additions, in our view. For example, two types of stress tests that have become more common since the financial cri adopted in the U.S., and because public disclosure of market risk exposures is largely based on regulatory measur

t banks to disclose not only the total amount of market risk RWA under Basel 2.5, but also the regulatory RWA due

tive capital charges for credit valuation adjustment risk (CVA; an adjustment to the valuation of trades based on the 2012, the Basel Committee considers fundamental questions regarding the design of the regulatory market risk fram ble-counting issues and gaps not yet fully addressed, in our view. Yet history suggests that it will take several years

except the U.S., were responsible for a threefold increase in the year-end 2011 capital charge on traded market ris sure of new information that Basel 2.5 requires could lead us to revise downward our capital and earnings assessm

VaR) capital charge, Basel 2.5 introduces extra charges to bolster what regulators viewed as an undercapitalized tr

uch as tighter conditions in wholesale funding markets, a structural shift away from higher return products following computed using Basel II rules. It came into force in the EU and other major trading centers except the U.S. on Dec U.S. might also have contributed to specific transactions, such as sales of correlation trading portfolios by some Euro

005, and widened the scope materially in response to the subsequent financial crisis.

folio losses based on the statistical analysis of historical price trends and volatilities over the prior one-year period. S erval and holding period as the VaR models, but must be based on a one-year historic dataset that would produce s MU or eurozone). We also consider that SVaR model results can be sensitive to the choice of proxies. For example,

arge (IRC) model are bonds, credit default swaps, and traded loans. The scope excludes securitization positions. T n the liquidity horizon (the time to liquidate the positions, if needed, with a regulatory "floor" of three months) and th

ation tranches receive banking book capital charges and there are higher risk weights for resecuritizations. Lower ra

osts of resetting a hedge following a change in the underlying position, such as an amendment to the composition o

--that is, banks with Tier 1 capital above 3 billion and which are internationally active--according to a recent study b to lower rated securitization in the trading book. approach for a significant part of the trading portfolio, are less affected. For example, we observe that the impact o

le, incremental RWA resulting from Basel 2.5 was 52 billion for Deutsche Bank AG (A+/Negative/A-1) as of Dec. 3

asel 2.5 measures as complex and difficult to implement. Even under the Basel II VaR regime, we believe banks fou

the IRC in the case of speculative-grade bonds or higher risk tradable loans, for which the SVaR would be akin to a

ore still does not attract Pillar 1 regulatory capital charges. The likely reason for this is the complexity in quantifying t

ty, however, trading positions tend to be managed dynamically and the financial crisis illustrated that close-out and

to eliminate them, in our view. Under Basel 2.5, in addition to the overall characteristics of individual models--such a more common since the financial crisis are liquidity-adjusted stress tests, which take into account the expected liquid argely based on regulatory measures.

5, but also the regulatory RWA due to each component--that is, the VaR-based charge, SVaR charge, IRC, CRM, a

he valuation of trades based on the creditworthiness of the counterparty), and for wrong-way risk (where the exposu gn of the regulatory market risk framework, such as the boundary between the trading and banking books and the re ggests that it will take several years to implement any changes that result from the review and may perhaps form pa

capital charge on traded market risk among 11 European banks that we have reviewed. We believe that this adds t d our capital and earnings assessment, which could result in rating downgrades in some isolated cases. We have to

ors viewed as an undercapitalized trading book. A new stressed value at risk charge uses a 12-month period of mark

om higher return products following the financial crisis, and market uncertainties that have dampened client activity. ing centers except the U.S. on Dec. 31, 2011. We understand that Basel 2.5 implementation in the U.S. has been d ation trading portfolios by some European banks to U.S. competitors. On the other hand, we see other differences a

ies over the prior one-year period. Some banks, however, incorporate a longer time frame, such as UBS AG (A/Neg istoric dataset that would produce significant losses for the total portfolio. The volatile market conditions of 2007-200 the choice of proxies. For example, banks need to use proxies to model historical prices for securities that did not e

excludes securitization positions. The IRC is measured with a one-year holding period and 99.9% confidence interv atory "floor" of three months) and the capital horizon (which is one year). For positions with a liquidity horizon lower t

eights for resecuritizations. Lower rated positions must be deducted from regulatory capital, 50% from Core Tier 1 ca

an amendment to the composition of an index. The CRM is subject to a floor of at least 8% of the capital charge for

active--according to a recent study by the Bank for International Settlements based on 102 banks which had already

mple, we observe that the impact of Basel 2.5 for U.K. banks is probably more limited than for their main competitor

AG (A+/Negative/A-1) as of Dec. 31, 2011. Based on its September 2011 positions, the incremental RWA would ha

VaR regime, we believe banks found it time-consuming and challenging to assess the marginal impact of a new tra

r which the SVaR would be akin to a default charge. Taking the example of a straightforward trading exposure, such

his is the complexity in quantifying this risk in a consistent and meaningful way. For similar reasons, in our RAC fram

crisis illustrated that close-out and hedging costs can be significant. This risk was amplified by Lehman Brothers' de

eristics of individual models--such as whether certain risks are captured within a VaR model or through specific add ake into account the expected liquidity in stress conditions of different products and different sizes of trading position

charge, SVaR charge, IRC, CRM, and regulatory charge according to the standardized approach. We would also ex

r wrong-way risk (where the exposure to a counterparty increases while the counterparty's creditworthiness worsens ading and banking books and the relationship between internal models-based and standardized approaches, with th e review and may perhaps form part of a future Basel 3.5 or a Basel IV accord.

viewed. We believe that this adds to the pressure on investment banking returns and will encourage derisking and d n some isolated cases. We have today published an advance notice of a proposed criteria change explaining how w

rge uses a 12-month period of market turmoil to assess potential losses above the 99% confidence level used in the

hat have dampened client activity. The industry is responding by adapting its balance-sheet usage, funding model, plementation in the U.S. has been delayed, probably until later this year, while authorities adapt it to satisfy a Dodd-F er hand, we see other differences and inconsistencies in national regulations that might penalize U.S. banks more th

me frame, such as UBS AG (A/Negative/A-1). Regulatory VaR models use a 99% confidence interval and assume latile market conditions of 2007-2009 are an obvious starting point for banks looking to find stressed market data, a al prices for securities that did not exist during the 2007-2009 crisis. The introduction of SVaR under Basel 2.5 shoul

period and 99.9% confidence interval. We see these parameters as a clear improvement over the 10-day holding pe tions with a liquidity horizon lower than one year, the IRC assumes that, when liquidated, each position is replaced

ory capital, 50% from Core Tier 1 capital and 50% from Tier 2. We observe that the Basel II VaR charge on these p

t least 8% of the capital charge for specific risk according to the standardized approach. This floor is generally bindi

ed on 102 banks which had already implemented Basel 2.5. The introduction of the SVaR charge accounted for mor

mited than for their main competitors. This is mainly because the scope of U.K. banks' regulatory VaR models reflec

ons, the incremental RWA would have been 46% higher (76 billion).

ess the marginal impact of a new trading position. Under Basel 2.5 this is even more so the case.

aightforward trading exposure, such as a long speculative-grade bond position, it appears possible that the aggrega

For similar reasons, in our RAC framework we do not assign capital charges to market risk in the banking book, but

s amplified by Lehman Brothers' default in 2008, when counterparties had to rehedge exposures at a time of severe

VaR model or through specific add-ons--discrepancies might occur in the choice of the historical window for the SV nd different sizes of trading positions, and reverse stress tests, which assess the circumstances in which a portfolio

rdized approach. We would also expect banks to identify specifically the proportion of total RWAs derived from the

nterparty's creditworthiness worsens). We believe that the CVA charge will have a material impact on RWAs and, in d standardized approaches, with the goal of better aligning the treatment of hedging and diversification between the

and will encourage derisking and deleveraging of trading book activities. ed criteria change explaining how we propose to adapt the RAC charges to Basel 2.5 disclosures. (Watch the relate

he 99% confidence level used in the VaR model. Basel 2.5 also imposes an incremental risk charge that captures d

ance-sheet usage, funding model, expense base, and risk profile to the new regulatory and market context. Accord thorities adapt it to satisfy a Dodd-Frank Act requirement concerning the use of external credit ratings. might penalize U.S. banks more than their international peers.

% confidence interval and assume a 10-day holding period. king to find stressed market data, although their choices will depend on the composition and positioning of their agg tion of SVaR under Basel 2.5 should nevertheless make the regulatory market risk charge less volatile than it was u

ovement over the 10-day holding period and 99% confidence interval of regulatory VaR models. quidated, each position is replaced with a position bearing the same level of risk as the initial one. In practice, howev

the Basel II VaR charge on these positions was generally low and the effect of these changes is to increase the cap

proach. This floor is generally binding, or close to binding, for the banks with the largest correlation trading portfolio

he SVaR charge accounted for more than one-third of this increase, the IRC for just less than one-quarter.

banks' regulatory VaR models reflects the U.K. Financial Services Authority's relatively cautious approach to grantin

ore so the case.

appears possible that the aggregate size of the VaR, SVaR, and IRC charges might in some cases overstate the ri

market risk in the banking book, but instead consider it qualitatively.

hedge exposures at a time of severe price volatility. Furthermore, significant jumps in, or the unavailability of, market

e of the historical window for the SVaR model, in the treatment of highly rated securities in the IRC, in the use of pro e circumstances in which a portfolio might incur a certain level of losses.

on of total RWAs derived from the standardized approach that is actually imputable to securitization exposures in th

a material impact on RWAs and, in some instances, an even greater impact than the entire Basel 2.5 package. For ging and diversification between the two approaches. It also considers the comprehensive incorporation of the risk o

el 2.5 disclosures. (Watch the related CreditMatters TV segment titled, "Basel 2.5's Impact On Investment Banking R

emental risk charge that captures default and credit migration risk, a standardized charge for securitizations and res

ulatory and market context. Accordingly, we expect further restructuring and deleveraging as banks seek to optimize external credit ratings.

position and positioning of their aggregate portfolio. sk charge less volatile than it was under Basel II. Quarterly Basel II and Basel 2.5 risk-weighted asset (RWA) data p

ry VaR models. as the initial one. In practice, however, we note that a majority of banks have chosen to use a liquidity horizon of one

ese changes is to increase the capital requirement for securitizations and resecuritizations substantially. As an exam

largest correlation trading portfolios. We understand that the Basel Committee carved out correlation portfolios from

just less than one-quarter.

atively cautious approach to granting model approval. Furthermore, U.K. banks' capital requirements for market risk

might in some cases overstate the risk inherent in that particular position. In theory, the aggregate charges on the bo

ps in, or the unavailability of, market prices due to illiquidity, known as gap risk, can make valuing and hedging positi

curities in the IRC, in the use of proxies in SVaR, or in the modeling of the recovery rate for the IRC.

ble to securitization exposures in the trading book. Some granularity regarding the external ratings of securitization

n the entire Basel 2.5 package. For example, Deutsche Bank quantifies incremental RWA due to Basel III at 105 b rehensive incorporation of the risk of market illiquidity and the possibility of replacing VaR with expected-shortfall me

5's Impact On Investment Banking Returns," dated May 14, 2012.)

d charge for securitizations and resecuritizations, and a comprehensive risk measure for correlation trading.

everaging as banks seek to optimize inventory positions, increase balance-sheet turnover, and refocus allocated cap

5 risk-weighted asset (RWA) data published in 2011 by UBS supports this view (see table 1). The bank managed it

osen to use a liquidity horizon of one year for all positions. We observe that about 70%-80% of the IRC charge reflec

uritizations substantially. As an example, because of the new Basel 2.5 rules, Credit Suisse deducted an additional C

carved out correlation portfolios from the IRC because assessing trading positions and their hedges separately migh

capital requirements for market risk under Basel II generally included a charge for incremental default risk, which an

ry, the aggregate charges on the bond might even exceed its fair value, although it is questionable whether such a s

an make valuing and hedging positions difficult. The regulatory models do not fully take this into account, in our view

ery rate for the IRC.

he external ratings of securitization exposures in the trading book (including exposures that are deducted from regu

ntal RWA due to Basel III at 105 billion, most of it arising from the new CVA charge, compared with additional RWA cing VaR with expected-shortfall measures to better capture tail risk.

asure for correlation trading.

turnover, and refocus allocated capital on their competitive strengths.

(see table 1). The bank managed its market risk appetite relatively actively in this period.

t 70%-80% of the IRC charge reflects the modeling of default whereas the residual stems from credit migration risk

edit Suisse deducted an additional CHF2.37 billion ($2.5 billion) of lower rated securitization positions from regulator

ns and their hedges separately might have overstated the underlying risks.

r incremental default risk, which anticipated the IRC charge. This charge, for example, was 751 million for Royal B

it is questionable whether such a scenario would arise in practice. Overlaps might also arise from correlation tradin

ly take this into account, in our view. As part of the consultative document, "Fundamental review of trading book," w

osures that are deducted from regulatory capital) would also be an improvement. Finally, we would consider as best

arge, compared with additional RWA of 52 billion for the entire Basel II.5 set of measures. UBS estimated that the C

ual stems from credit migration risk: the downgrade of a bond, for example, being associated in general with higher

ecuritization positions from regulatory capital at year-end 2011. This compares with total capital requirements for ma

ample, was 751 million for Royal Bank of Scotland in 2010.

ght also arise from correlation trading positions, which in many instances are still included in the scope of the VaR m

damental review of trading book," which the BIS published on May, 3. 2012, regulators suggest classifying banks' ex

Finally, we would consider as best practice that banks disclose the breakdown of positions included in the IRC (suc

measures. UBS estimated that the CVA charge itself would have added about CHF50 billion to its Basel 2.5 RWAs a

g associated in general with higher credit spreads an

ith total capital requirements for market risk of Swiss franc (CHF)

included in the scope of the VaR model. This is because the hedges on b

lators suggest classifying banks' exposures into different liq

of positions included in the IRC (such as bonds and traded loans) by internal ratings ran

HF50 billion to its Basel 2.5 RWAs as of year-end 2011, but it believed that mi

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