Credit Rating Standardization Study, 80866-80868 [2010-32280]
Download as PDF
80866
Federal Register / Vol. 75, No. 246 / Thursday, December 23, 2010 / Notices
connection with the reorganization were
paid by applicant.
Filing Date: The application was filed
on December 2, 2010.
Applicant’s Address:
OppenheimerFunds, Inc., 6803 S.
Tucson Way, Centennial, CO 80112.
Filing Dates: The application was
filed on September 22, 2010, and
amended on December 14, 2010.
Applicant’s Address: 909 N.
Washington St., Alexandria, VA 22314.
BlackRock California Investment
Quality Municipal Trust Inc. [File No.
811–7664]
Summary: Applicant seeks an order
declaring that it has ceased to be an
investment company. On April 22,
2004, applicant made a liquidating
distribution to its shareholders, based
on net asset value. Expenses of $6,560
incurred in connection with the
liquidation were paid by UBS Global
Asset Management (Americas) Inc., an
affiliate of applicant’s investment
adviser.
Filing Date: The application was filed
on December 9, 2010.
Applicant’s Address: c/o UBS Global
Asset Management, Attn: Keith A.
Weller, 1285 Avenue of the Americas,
12th Floor, New York, NY 10019.
Summary: Applicant, a closed-end
investment company, seeks an order
declaring that it has ceased to be an
investment company. By September 30,
2010, applicant had redeemed all of its
Series W7 Preferred Shares at their
liquidation preference plus any accrued
but unpaid dividends. On September
30, 2010, applicant made a liquidating
distribution to its common
shareholders, based on net asset value.
Expenses of $25,025 incurred in
connection with the liquidation were
paid by applicant. Applicant has
retained approximately $100,000 in
cash to pay any contingent liabilities
recognized after the liquidation date.
Filing Dates: The application was
filed on October 5, 2010 and amended
on December 6, 2010.
Applicant’s Address: 100 Bellevue
Parkway, Wilmington, DE 19809.
T. Rowe Price Tax-Free Intermediate
Bond Fund, Inc. [File No. 811–7051]
mstockstill on DSKH9S0YB1PROD with NOTICES
AFBA 5Star Funds [File No. 811–8035]
Summary: Applicant seeks an order
declaring that it has ceased to be an
investment company. On March 12,
2010, applicant transferred its assets to
corresponding series of FBR Funds,
based on net asset value. Expenses of
$94,946 incurred in connection with the
reorganization were paid by AFBA
Investment Management Company,
applicant’s investment adviser, and FBR
Fund Advisers, Inc., investment adviser
to the acquiring fund.
18:06 Dec 22, 2010
Jkt 223001
For the Commission, by the Division of
Investment Management, pursuant to
delegated authority.
Florence E. Harmon,
Deputy Secretary.
[FR Doc. 2010–32287 Filed 12–22–10; 8:45 am]
BILLING CODE 8011–01–P
SECURITIES AND EXCHANGE
COMMISSION
Summary: Applicant seeks an order
declaring that it has ceased to be an
investment company. On November 13,
2006, applicant transferred its assets to
T. Rowe Price Summit Municipal
Funds, Inc., based on net asset value.
Expenses of approximately $17,940
incurred in connection with the
reorganization were paid by applicant,
the acquiring fund and T. Rowe Price
Associates, Inc., applicant’s investment
adviser.
Filing Dates: The application was
filed on June 26, 2009, and amended on
December 2, 2010.
Applicant’s Address: 100 E. Pratt St.,
Baltimore, MD 21202.
VerDate Mar<15>2010
Liquid Institutional Reserves [File No.
811–6281]
[Release No. 34–63573; File No. 4–622]
Credit Rating Standardization Study
Securities and Exchange
Commission.
ACTION: Request for comment.
AGENCY:
The Securities and Exchange
Commission is requesting public
comment to help inform its study
pursuant to Section 939(h) of the DoddFrank Wall Street Reform and Consumer
Protection Act of 2010 on the feasibility
and desirability of: Standardizing credit
ratings terminology, so that all credit
rating agencies issue credit ratings using
identical terms; standardizing the
market stress conditions under which
ratings are evaluated; requiring a
quantitative correspondence between
credit ratings and a range of default
probabilities and loss expectations
under standardized conditions of
economic stress; and standardizing
credit rating terminology across asset
classes, so that named ratings
correspond to a standard range of
default probabilities and expected losses
independent of asset class and issuing
entity.
SUMMARY:
PO 00000
Frm 00081
Fmt 4703
Sfmt 4703
The Commission will accept
comments regarding issues related to
the study on or before February 7, 2011.
ADDRESSES: Comments may be
submitted by any of the following
methods:
DATES:
Electronic Comments
• Use the Commission’s Internet
comment form (https://www.sec.gov/
rules/other.shtml); or
• Send an e-mail to rulecomments@sec.gov. Please include File
Number 4–622 on the subject line.
Paper Comments
• Send paper comments in triplicate
to Elizabeth M. Murphy, Secretary,
Securities and Exchange Commission,
100 F Street, NE., Washington, DC
20549–1090.
All submissions should refer to File
Number 4–622. This file number should
be included on the subject line if e-mail
is used. To help us process and review
your comments more efficiently, please
use only one method. The Commission
will post all comments on the
Commission’s Internet Web site (https://
www.sec.gov). Comments are also
available for Web site viewing and
printing in the Commission’s Public
Reference Room, 100 F Street, NE.,
Washington, DC 20549, on official
business days between the hours of 10
a.m. and 3 p.m. All comments received
will be posted without change; we do
not edit personal identifying
information from submissions. You
should submit only information that
you wish to make available publicly.
FOR FURTHER INFORMATION CONTACT:
Randall W. Roy, Assistant Director,
Division of Trading and Markets, at
(202) 551–5522; Alan A. Dunetz, Branch
Chief, Division of Trading and Markets,
at (212) 336–0072; Kevin S. Davey,
Securities Compliance Examiner, at
(212) 336–0075; Kristin A. Devitto,
Securities Compliance Examiner, at
(212) 336–0038; Mark M. Attar, Branch
Chief, Division of Trading and Markets,
at (202) 551–5889; or Raymond A.
Lombardo, Branch Chief, Division of
Trading and Markets, at (202) 551–5755,
Securities and Exchange Commission,
100 F Street, NE., Washington, DC
20549–7010.
Discussion:
On July 21, 2010, President Obama
signed the Dodd-Frank Wall Street
Reform and Consumer Protection Act of
2010 (the ‘‘Dodd-Frank Act’’) into law.
Under Section 939(h) of the Dodd-Frank
Act, the Securities and Exchange
Commission (the ‘‘Commission’’) is
required to study the feasibility and
desirability of: (A) Standardizing credit
E:\FR\FM\23DEN1.SGM
23DEN1
mstockstill on DSKH9S0YB1PROD with NOTICES
Federal Register / Vol. 75, No. 246 / Thursday, December 23, 2010 / Notices
ratings terminology, so that all credit
rating agencies issue credit ratings using
identical terms; (B) standardizing the
market stress conditions under which
ratings are evaluated; (C) requiring a
quantitative correspondence between
credit ratings and a range of default
probabilities and loss expectations
under standardized conditions of
economic stress; and (D) standardizing
credit rating terminology across asset
classes, so that named ratings
correspond to a standard range of
default probabilities and expected losses
independent of asset class and issuing
entity. Not later than one year after the
date of enactment of the Dodd-Frank
Act, the Commission must submit to
Congress a report containing the
findings of the study and the
recommendations, if any, of the
Commission with respect to the study.
Request for Comment:
The Commission believes that
submissions by interested parties with a
wide range of views, including those of
investors who use credit ratings,
portfolio managers, credit rating
agencies, investment firms,
underwriters, issuers, regulators and the
academic community, will provide
valuable information as it conducts the
study required by Section 939(h) of the
Dodd-Frank Act. Accordingly, the
Commission requests commenters’
views on each of the topics to be
addressed in the Commission’s study
under Section 939(h) of the Dodd-Frank
Act. In particular, the Commission seeks
commenters’ views in response to the
following questions:
(1) Is it feasible and desirable to
standardize credit ratings terminology,
so that all credit rating agencies issue
credit ratings using identical terms?
a. Do commenters agree that the term
‘‘credit ratings terminology’’ as used in
Section 939(h) of the Dodd-Frank Act
refers to the symbols and numbers
credit rating agencies use to denote
credit ratings and the definitions and
meanings they promulgate for those
symbols and numbers? If not, what
other (or additional) credit rating
terminology should this study focus on?
Commenters who identify other
terminologies should indicate for all
subsequent questions whether they are
discussing the other terminologies or
ratings symbols and numbers and their
corresponding definitions and
meanings.
b. Are there credit rating
terminologies used by different credit
rating agencies that are currently
comparable? If so, please identify and
explain how they are comparable.
c. Identify differences in the credit
rating terminologies used by credit
VerDate Mar<15>2010
18:06 Dec 22, 2010
Jkt 223001
rating agencies. What is the significance
of these differences?
d. What issues do commenters
encounter when they seek to compare
ratings from different credit rating
agencies?
e. Some credit rating agencies employ
multiple credit rating scales designed to
distinguish between different types of
issues and/or issuers. For example, a
credit rating agency may employ
different credit rating symbols for
ratings of long term securities, short
term securities, money market funds,
claims paying abilities of insurance
companies, and issues and/or issuers in
different jurisdictions. Do commenters
believe that some types of credit rating
symbols used by credit rating agencies
are more or less suitable to
standardization? Is it feasible or
desirable to use a single credit rating
scale for all types of issues and
issuances? Should a standardized credit
rating scale include separate symbols for
different types of credit ratings? If so,
what separate credit symbols should be
included in the standardized credit
rating terminology? Alternatively,
should credit rating terminologies for
some types of issues or issuers not be
standardized? If so, for which types of
issuers or issuances?
f. The credit ratings of some credit
rating agencies address probability of
default while the ratings of other credit
rating agencies address expected loss.
Other rating scales may address other
metrics such as, for example, distance to
distress (e.g., with respect to the public
finance ratings of some credit rating
agencies). Do commenters believe that it
is more or less desirable to have credit
ratings of different credit rating agencies
address different risks? Why?
g. Some credit rating agencies employ
credit rating modifiers including, for
example, ‘‘credit watch’’ and ‘‘rating
outlook’’ to indicate a view as to the
likelihood that a credit rating may
change. Do commenters believe that it is
feasible or desirable to include such
credit rating modifiers in a standardized
credit rating terminology? Why?
h. If commenters believe that
standardizing credit ratings terminology
is desirable and feasible:
i. What level of detail should be
included in the standardized credit
rating terminology?
ii. What mix of quantitative and
qualitative factors should be referenced
in each rating definition?
iii. Should a standardized credit
rating terminology address likelihood of
default, expected loss, or some other
metric?
iv. Some credit rating agencies issue
a number of broad categories of credit
PO 00000
Frm 00082
Fmt 4703
Sfmt 4703
80867
ratings that can be further delineated
using identifiers (e.g., pluses and
minuses) to allow additional gradations
of ratings. How many gradations of
credit quality should be included in a
standardized terminology for credit
ratings?
v. Should a standardized credit rating
terminology employ a separate
terminology for certain asset classes
(e.g., for structured finance ratings)? Are
there asset classes or types of ratings,
such as short term or financial strength
ratings, where a separate terminology
should be considered?
vi. What organizations or combination
of organizations should be responsible
for developing and administering the
standardized credit rating terminology?
For example, should the Commission
develop and administer the
standardized terminology? Should an
independent board or organization be
formed to develop and administer the
standardized terminology?
vii. What time period should be
allowed for credit rating agencies to
map their existing ratings to a new
credit rating terminology, or for private
contracts and investment management
agreements that reference credit ratings
to be changed to refer to the
standardized terminology?
viii. Do commenters believe that it
would be more desirable for credit
rating agencies to retain their existing
credit rating terminologies and make
publicly available detailed information
on how each credit rating agency’s
ratings can be mapped to a standardized
terminology? Or would it be more
desirable if the credit rating agency used
only the standardized terminology?
(2) Is it feasible and desirable to
standardize the market stress conditions
under which credit ratings are
evaluated?
a. Under what market stress
conditions are credit ratings currently
evaluated?
b. To what degree do commenters
believe that credit rating agencies
currently identify the market stress
conditions under which credit ratings
are evaluated? To the extent these
market stress conditions are identified
by credit rating agencies, do
commenters believe that the market
stress conditions used by different
credit rating agencies at comparable
credit rating levels are similar? If so,
how are they similar? If not, how do
they differ?
c. Do commenters believe that market
stress conditions can be defined in a
consistent manner across different
industry sectors and geographic regions?
d. Do commenters believe that
standardized market stress conditions
E:\FR\FM\23DEN1.SGM
23DEN1
mstockstill on DSKH9S0YB1PROD with NOTICES
80868
Federal Register / Vol. 75, No. 246 / Thursday, December 23, 2010 / Notices
are equally relevant to the evaluation of
all asset classes or issuers? For example,
are there some asset classes or issuers
where the relative degree of
idiosyncratic risk versus systemic risk
differs? If so, are market stress
conditions less relevant, for example, to
asset classes and issuers where there is
a higher level of idiosyncratic risk?
e. If commenters believe that it is
feasible and desirable to standardize the
market stress conditions under which
credit ratings are evaluated:
i. What parameters should be defined
in these market stress conditions? For
example, unemployment rates, declines
in GDP and financial market declines
are widely referenced indicators of
market stress. What other parameters do
commenters believe should be defined?
ii. How should market stress
conditions differ across different
industry sectors and geographic regions?
iii. Should these stress conditions
reference specific historical market
stresses such as, for example, the Great
Depression or the 2008 financial crisis?
iv. Should each credit rating level
have its own specifically defined stress
conditions?
(3) Is it feasible and desirable to
require a quantitative correspondence
between credit ratings and a range of
default probabilities and loss
expectations under standardized
conditions of economic stress?
a. To what extent do credit rating
agencies or others assign a quantitative
correspondence between credit ratings
and a range of default probabilities and
loss expectations?
i. To what extent do commenters
believe that the correspondence is
similar for comparable ratings from
different credit rating agencies?
ii. To what extent do commenters
believe that the correspondence is
similar across industry sectors and
geographical regions?
iii. To what extent do commenters
believe that the correspondence is
constant throughout the economic
cycle?
iv. To what extent do commenters
believe that the correspondence has
been constant over time? For example,
do commenters believe that the range of
default probabilities and loss
expectations corresponding to the credit
ratings of different credit rating agencies
have become more or less conservative
over time?
b. Does the ability to assign a
correspondence between credit ratings
and a range of default probabilities and
loss expectations in a sector vary
depending on the degree to which a
rating methodology for that sector is
more or less quantitative in nature? Are
VerDate Mar<15>2010
18:06 Dec 22, 2010
Jkt 223001
there other factors, such as the quality
or amount of historical performance
data or structural complexity that may
make it more or less difficult to assign
a correspondence between credit ratings
and a range of default probabilities and
loss expectations?
c. Does the likelihood of rating
transitions for similarly rated assets vary
among asset classes? If so, how should
variation in the likelihood of rating
transitions be addressed when a
quantitative correspondence is assigned
between credit ratings and a range of
default probabilities and loss
expectations?
d. Is there a role for market-based
measures such as credit spreads or
option-based approaches (i.e., Mertontype models which provide a distance to
default measure based on equity prices)
in determining a correspondence
between credit ratings and a range of
default probabilities and loss
expectations?
e. If commenters believe that
requiring a quantitative correspondence
between credit ratings and a range of
default probabilities and loss
expectations under standardized
conditions of economic stress is feasible
and desirable:
i. What factors should be considered
in determining the range of default
probabilities and loss expectations
associated with each rating? Should
specific time horizons be specified for
each default probability and loss
expectation range? If so, how many
different time horizons should be
specified for each credit rating, and
what are appropriate time horizons?
ii. The ratings of some credit rating
agencies primarily address probability
of default while others address expected
loss. Should credit rating agencies be
allowed to choose whether their ratings
address one or the other? Should a
single rating address both probability of
default and loss expectation or should
default probabilities and loss severity be
addressed separately?
iii. What are the views of commenters
on how the accuracy of the quantitative
correspondence assigned by a given
credit rating agency between its credit
ratings and a range of default
probabilities and loss expectations
should be measured?
(4) Is it feasible and desirable to
standardize credit rating terminology
across asset classes, so that named
credit ratings correspond to a standard
range of default probabilities and
expected losses independent of asset
class and issuing entity?
a. To what degree do commenters
believe that credit ratings are currently
comparable across asset classes? For
PO 00000
Frm 00083
Fmt 4703
Sfmt 9990
example, do commenters believe that
credit ratings of structured finance
products or municipal securities are
comparable to credit ratings in other
sectors?
b. In cases where credit rating
agencies currently use the same credit
rating terminology for multiple asset
classes, what is the view of commenters
on the adequacy and transparency of the
procedures credit rating agencies use to
achieve comparability?
c. What mix of quantitative and
qualitative factors should be considered
when standardizing credit rating
terminology across asset classes, so that
named credit ratings correspond to a
standard range of default probabilities
and expected losses?
i. To what degree should
standardization be based on quantitative
factors such as, for example, historical
performance metrics including rating
transition and default studies? What
other quantitative factors should be
considered?
ii. To what degree should
standardization be based on qualitative
factors such as, for example, analyst
judgment regarding the comparability of
credits from different sectors? What
other qualitative factors should be
considered?
d. Are there asset classes where the
risk characteristics of the asset class,
limitations on the quality of data,
structural complexity, limitations on
historical performance data, or other
factors make it more difficult to apply
to that asset class a standardized credit
rating terminology which applies to
other asset classes and issuers so that
named ratings correspond to a standard
range of default probabilities and
expected losses?
All interested parties are invited to
submit their views, in writing, on these
questions.
By the Commission.
Dated: December 17, 2010.
Elizabeth M. Murphy,
Secretary.
[FR Doc. 2010–32280 Filed 12–22–10; 8:45 am]
BILLING CODE 8011–01–P
E:\FR\FM\23DEN1.SGM
23DEN1
Agencies
[Federal Register Volume 75, Number 246 (Thursday, December 23, 2010)]
[Notices]
[Pages 80866-80868]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 2010-32280]
-----------------------------------------------------------------------
SECURITIES AND EXCHANGE COMMISSION
[Release No. 34-63573; File No. 4-622]
Credit Rating Standardization Study
AGENCY: Securities and Exchange Commission.
ACTION: Request for comment.
-----------------------------------------------------------------------
SUMMARY: The Securities and Exchange Commission is requesting public
comment to help inform its study pursuant to Section 939(h) of the
Dodd-Frank Wall Street Reform and Consumer Protection Act of 2010 on
the feasibility and desirability of: Standardizing credit ratings
terminology, so that all credit rating agencies issue credit ratings
using identical terms; standardizing the market stress conditions under
which ratings are evaluated; requiring a quantitative correspondence
between credit ratings and a range of default probabilities and loss
expectations under standardized conditions of economic stress; and
standardizing credit rating terminology across asset classes, so that
named ratings correspond to a standard range of default probabilities
and expected losses independent of asset class and issuing entity.
DATES: The Commission will accept comments regarding issues related to
the study on or before February 7, 2011.
ADDRESSES: Comments may be submitted by any of the following methods:
Electronic Comments
Use the Commission's Internet comment form (https://www.sec.gov/rules/other.shtml); or
Send an e-mail to rule-comments@sec.gov. Please include
File Number 4-622 on the subject line.
Paper Comments
Send paper comments in triplicate to Elizabeth M. Murphy,
Secretary, Securities and Exchange Commission, 100 F Street, NE.,
Washington, DC 20549-1090.
All submissions should refer to File Number 4-622. This file number
should be included on the subject line if e-mail is used. To help us
process and review your comments more efficiently, please use only one
method. The Commission will post all comments on the Commission's
Internet Web site (https://www.sec.gov). Comments are also available for
Web site viewing and printing in the Commission's Public Reference
Room, 100 F Street, NE., Washington, DC 20549, on official business
days between the hours of 10 a.m. and 3 p.m. All comments received will
be posted without change; we do not edit personal identifying
information from submissions. You should submit only information that
you wish to make available publicly.
FOR FURTHER INFORMATION CONTACT: Randall W. Roy, Assistant Director,
Division of Trading and Markets, at (202) 551-5522; Alan A. Dunetz,
Branch Chief, Division of Trading and Markets, at (212) 336-0072; Kevin
S. Davey, Securities Compliance Examiner, at (212) 336-0075; Kristin A.
Devitto, Securities Compliance Examiner, at (212) 336-0038; Mark M.
Attar, Branch Chief, Division of Trading and Markets, at (202) 551-
5889; or Raymond A. Lombardo, Branch Chief, Division of Trading and
Markets, at (202) 551-5755, Securities and Exchange Commission, 100 F
Street, NE., Washington, DC 20549-7010.
Discussion:
On July 21, 2010, President Obama signed the Dodd-Frank Wall Street
Reform and Consumer Protection Act of 2010 (the ``Dodd-Frank Act'')
into law. Under Section 939(h) of the Dodd-Frank Act, the Securities
and Exchange Commission (the ``Commission'') is required to study the
feasibility and desirability of: (A) Standardizing credit
[[Page 80867]]
ratings terminology, so that all credit rating agencies issue credit
ratings using identical terms; (B) standardizing the market stress
conditions under which ratings are evaluated; (C) requiring a
quantitative correspondence between credit ratings and a range of
default probabilities and loss expectations under standardized
conditions of economic stress; and (D) standardizing credit rating
terminology across asset classes, so that named ratings correspond to a
standard range of default probabilities and expected losses independent
of asset class and issuing entity. Not later than one year after the
date of enactment of the Dodd-Frank Act, the Commission must submit to
Congress a report containing the findings of the study and the
recommendations, if any, of the Commission with respect to the study.
Request for Comment:
The Commission believes that submissions by interested parties with
a wide range of views, including those of investors who use credit
ratings, portfolio managers, credit rating agencies, investment firms,
underwriters, issuers, regulators and the academic community, will
provide valuable information as it conducts the study required by
Section 939(h) of the Dodd-Frank Act. Accordingly, the Commission
requests commenters' views on each of the topics to be addressed in the
Commission's study under Section 939(h) of the Dodd-Frank Act. In
particular, the Commission seeks commenters' views in response to the
following questions:
(1) Is it feasible and desirable to standardize credit ratings
terminology, so that all credit rating agencies issue credit ratings
using identical terms?
a. Do commenters agree that the term ``credit ratings terminology''
as used in Section 939(h) of the Dodd-Frank Act refers to the symbols
and numbers credit rating agencies use to denote credit ratings and the
definitions and meanings they promulgate for those symbols and numbers?
If not, what other (or additional) credit rating terminology should
this study focus on? Commenters who identify other terminologies should
indicate for all subsequent questions whether they are discussing the
other terminologies or ratings symbols and numbers and their
corresponding definitions and meanings.
b. Are there credit rating terminologies used by different credit
rating agencies that are currently comparable? If so, please identify
and explain how they are comparable.
c. Identify differences in the credit rating terminologies used by
credit rating agencies. What is the significance of these differences?
d. What issues do commenters encounter when they seek to compare
ratings from different credit rating agencies?
e. Some credit rating agencies employ multiple credit rating scales
designed to distinguish between different types of issues and/or
issuers. For example, a credit rating agency may employ different
credit rating symbols for ratings of long term securities, short term
securities, money market funds, claims paying abilities of insurance
companies, and issues and/or issuers in different jurisdictions. Do
commenters believe that some types of credit rating symbols used by
credit rating agencies are more or less suitable to standardization? Is
it feasible or desirable to use a single credit rating scale for all
types of issues and issuances? Should a standardized credit rating
scale include separate symbols for different types of credit ratings?
If so, what separate credit symbols should be included in the
standardized credit rating terminology? Alternatively, should credit
rating terminologies for some types of issues or issuers not be
standardized? If so, for which types of issuers or issuances?
f. The credit ratings of some credit rating agencies address
probability of default while the ratings of other credit rating
agencies address expected loss. Other rating scales may address other
metrics such as, for example, distance to distress (e.g., with respect
to the public finance ratings of some credit rating agencies). Do
commenters believe that it is more or less desirable to have credit
ratings of different credit rating agencies address different risks?
Why?
g. Some credit rating agencies employ credit rating modifiers
including, for example, ``credit watch'' and ``rating outlook'' to
indicate a view as to the likelihood that a credit rating may change.
Do commenters believe that it is feasible or desirable to include such
credit rating modifiers in a standardized credit rating terminology?
Why?
h. If commenters believe that standardizing credit ratings
terminology is desirable and feasible:
i. What level of detail should be included in the standardized
credit rating terminology?
ii. What mix of quantitative and qualitative factors should be
referenced in each rating definition?
iii. Should a standardized credit rating terminology address
likelihood of default, expected loss, or some other metric?
iv. Some credit rating agencies issue a number of broad categories
of credit ratings that can be further delineated using identifiers
(e.g., pluses and minuses) to allow additional gradations of ratings.
How many gradations of credit quality should be included in a
standardized terminology for credit ratings?
v. Should a standardized credit rating terminology employ a
separate terminology for certain asset classes (e.g., for structured
finance ratings)? Are there asset classes or types of ratings, such as
short term or financial strength ratings, where a separate terminology
should be considered?
vi. What organizations or combination of organizations should be
responsible for developing and administering the standardized credit
rating terminology? For example, should the Commission develop and
administer the standardized terminology? Should an independent board or
organization be formed to develop and administer the standardized
terminology?
vii. What time period should be allowed for credit rating agencies
to map their existing ratings to a new credit rating terminology, or
for private contracts and investment management agreements that
reference credit ratings to be changed to refer to the standardized
terminology?
viii. Do commenters believe that it would be more desirable for
credit rating agencies to retain their existing credit rating
terminologies and make publicly available detailed information on how
each credit rating agency's ratings can be mapped to a standardized
terminology? Or would it be more desirable if the credit rating agency
used only the standardized terminology?
(2) Is it feasible and desirable to standardize the market stress
conditions under which credit ratings are evaluated?
a. Under what market stress conditions are credit ratings currently
evaluated?
b. To what degree do commenters believe that credit rating agencies
currently identify the market stress conditions under which credit
ratings are evaluated? To the extent these market stress conditions are
identified by credit rating agencies, do commenters believe that the
market stress conditions used by different credit rating agencies at
comparable credit rating levels are similar? If so, how are they
similar? If not, how do they differ?
c. Do commenters believe that market stress conditions can be
defined in a consistent manner across different industry sectors and
geographic regions?
d. Do commenters believe that standardized market stress conditions
[[Page 80868]]
are equally relevant to the evaluation of all asset classes or issuers?
For example, are there some asset classes or issuers where the relative
degree of idiosyncratic risk versus systemic risk differs? If so, are
market stress conditions less relevant, for example, to asset classes
and issuers where there is a higher level of idiosyncratic risk?
e. If commenters believe that it is feasible and desirable to
standardize the market stress conditions under which credit ratings are
evaluated:
i. What parameters should be defined in these market stress
conditions? For example, unemployment rates, declines in GDP and
financial market declines are widely referenced indicators of market
stress. What other parameters do commenters believe should be defined?
ii. How should market stress conditions differ across different
industry sectors and geographic regions?
iii. Should these stress conditions reference specific historical
market stresses such as, for example, the Great Depression or the 2008
financial crisis?
iv. Should each credit rating level have its own specifically
defined stress conditions?
(3) Is it feasible and desirable to require a quantitative
correspondence between credit ratings and a range of default
probabilities and loss expectations under standardized conditions of
economic stress?
a. To what extent do credit rating agencies or others assign a
quantitative correspondence between credit ratings and a range of
default probabilities and loss expectations?
i. To what extent do commenters believe that the correspondence is
similar for comparable ratings from different credit rating agencies?
ii. To what extent do commenters believe that the correspondence is
similar across industry sectors and geographical regions?
iii. To what extent do commenters believe that the correspondence
is constant throughout the economic cycle?
iv. To what extent do commenters believe that the correspondence
has been constant over time? For example, do commenters believe that
the range of default probabilities and loss expectations corresponding
to the credit ratings of different credit rating agencies have become
more or less conservative over time?
b. Does the ability to assign a correspondence between credit
ratings and a range of default probabilities and loss expectations in a
sector vary depending on the degree to which a rating methodology for
that sector is more or less quantitative in nature? Are there other
factors, such as the quality or amount of historical performance data
or structural complexity that may make it more or less difficult to
assign a correspondence between credit ratings and a range of default
probabilities and loss expectations?
c. Does the likelihood of rating transitions for similarly rated
assets vary among asset classes? If so, how should variation in the
likelihood of rating transitions be addressed when a quantitative
correspondence is assigned between credit ratings and a range of
default probabilities and loss expectations?
d. Is there a role for market-based measures such as credit spreads
or option-based approaches (i.e., Merton-type models which provide a
distance to default measure based on equity prices) in determining a
correspondence between credit ratings and a range of default
probabilities and loss expectations?
e. If commenters believe that requiring a quantitative
correspondence between credit ratings and a range of default
probabilities and loss expectations under standardized conditions of
economic stress is feasible and desirable:
i. What factors should be considered in determining the range of
default probabilities and loss expectations associated with each
rating? Should specific time horizons be specified for each default
probability and loss expectation range? If so, how many different time
horizons should be specified for each credit rating, and what are
appropriate time horizons?
ii. The ratings of some credit rating agencies primarily address
probability of default while others address expected loss. Should
credit rating agencies be allowed to choose whether their ratings
address one or the other? Should a single rating address both
probability of default and loss expectation or should default
probabilities and loss severity be addressed separately?
iii. What are the views of commenters on how the accuracy of the
quantitative correspondence assigned by a given credit rating agency
between its credit ratings and a range of default probabilities and
loss expectations should be measured?
(4) Is it feasible and desirable to standardize credit rating
terminology across asset classes, so that named credit ratings
correspond to a standard range of default probabilities and expected
losses independent of asset class and issuing entity?
a. To what degree do commenters believe that credit ratings are
currently comparable across asset classes? For example, do commenters
believe that credit ratings of structured finance products or municipal
securities are comparable to credit ratings in other sectors?
b. In cases where credit rating agencies currently use the same
credit rating terminology for multiple asset classes, what is the view
of commenters on the adequacy and transparency of the procedures credit
rating agencies use to achieve comparability?
c. What mix of quantitative and qualitative factors should be
considered when standardizing credit rating terminology across asset
classes, so that named credit ratings correspond to a standard range of
default probabilities and expected losses?
i. To what degree should standardization be based on quantitative
factors such as, for example, historical performance metrics including
rating transition and default studies? What other quantitative factors
should be considered?
ii. To what degree should standardization be based on qualitative
factors such as, for example, analyst judgment regarding the
comparability of credits from different sectors? What other qualitative
factors should be considered?
d. Are there asset classes where the risk characteristics of the
asset class, limitations on the quality of data, structural complexity,
limitations on historical performance data, or other factors make it
more difficult to apply to that asset class a standardized credit
rating terminology which applies to other asset classes and issuers so
that named ratings correspond to a standard range of default
probabilities and expected losses?
All interested parties are invited to submit their views, in
writing, on these questions.
By the Commission.
Dated: December 17, 2010.
Elizabeth M. Murphy,
Secretary.
[FR Doc. 2010-32280 Filed 12-22-10; 8:45 am]
BILLING CODE 8011-01-P