Swap Clearing Requirement To Account for the Transition From LIBOR and Other IBORs to Alternative Reference Rates, 66476-66488 [2021-25450]
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Federal Register / Vol. 86, No. 223 / Tuesday, November 23, 2021 / Proposed Rules
EC135T2, EC135T2+, and EC135T3
helicopters, certificated in any category, as
identified in European Union Aviation Safety
Agency (EASA) AD 2021–0149, dated July 5,
2021 (EASA 2021–0149).
(d) Subject
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(e) Unsafe Condition
This AD was prompted by a report of
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Subsequent inspection determined that the
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FAA is issuing this AD to address
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could result in reduced control of the
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(f) Compliance
Comply with this AD within the
compliance times specified, unless already
done.
(h) Exceptions to EASA AD 2021–0149
(1) Where EASA AD 2021–0149 refers to its
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effective date of this AD.
(2) This AD does not mandate compliance
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2021–0149.
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(i) Alternative Methods of Compliance
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(1) The Manager, International Validation
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(j) Related Information
(1) For EASA AD 2021–0149, contact
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000; email ADs@easa.europa.eu; internet
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For information on the availability of this
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[FR Doc. 2021–25396 Filed 11–22–21; 8:45 am]
BILLING CODE 4910–13–P
COMMODITY FUTURES TRADING
COMMISSION
17 CFR Part 50
RIN 3038–AF18
Swap Clearing Requirement To
Account for the Transition From LIBOR
and Other IBORs to Alternative
Reference Rates
(g) Requirements
Except as specified in paragraph (h) of this
AD: Comply with all required actions and
compliance times specified in, and in
accordance with, EASA AD 2021–0149.
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material at the FAA, call (817) 222–5110.
This material may be found in the AD docket
at https://www.regulations.gov by searching
for and locating Docket No. FAA–2021–1012.
(2) For more information about this AD,
contact Hal Jensen, Aerospace Engineer,
Operational Safety Branch, FAA, 950
L’Enfant Plaza SW, Washington, DC 20024;
telephone (202) 267–9167; email hal.jensen@
faa.gov.
Issued on November 16, 2021.
Lance T. Gant,
Director, Compliance & Airworthiness
Division, Aircraft Certification Service.
Commodity Futures Trading
Commission.
ACTION: Request for information and
comment.
AGENCY:
The Commodity Futures
Trading Commission (Commission or
CFTC) is seeking information and public
comment on how the Commission could
amend its swap clearing requirement to
address the cessation of certain
interbank offered rates (IBORs) (e.g., the
London Interbank Offered Rate (LIBOR))
used as benchmark reference rates and
the market adoption of alternative
reference rates; namely, overnight,
nearly risk-free reference rates (RFRs).
The Commission is requesting input
from market participants and all
interested members of the public on
aspects of the Commission’s swap
clearing requirement that may be
affected by the transition from certain
IBORs to alternative reference rates.
DATES: Comments must be received on
or before January 24, 2022.
ADDRESSES: You may submit comments,
identified by RIN 3038–AF18, by any of
the following methods:
• CFTC Comments Portal: https://
comments.cftc.gov. Select the ‘‘Submit
Comments’’ link for this rulemaking and
follow the instructions on the Public
Comment Form.
• Mail: Send to Christopher
Kirkpatrick, Secretary of the
Commission, Commodity Futures
Trading Commission, Three Lafayette
Centre, 1155 21st Street NW,
Washington, DC 20581.
SUMMARY:
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• Hand Delivery/Courier: Follow the
same instructions as for Mail, above.
Please submit your comments using
only one of these methods. Submissions
through the CFTC Comments Portal are
encouraged. All comments must be
submitted in English, or if not,
accompanied by an English translation.
Comments will be posted as received to
https://comments.cftc.gov. You should
submit only information that you wish
to make available publicly. If you wish
the Commission to consider information
that you believe is exempt from
disclosure under the Freedom of
Information Act, a petition for
confidential treatment of the exempt
information may be submitted according
to the procedures established in § 145.9
of the Commission’s regulations. The
Commission reserves the right, but shall
have no obligation, to review, prescreen, filter, redact, refuse or remove
any or all of your submission from
https://comments.cftc.gov that it may
deem to be inappropriate for
publication, such as obscene language.
FOR FURTHER INFORMATION CONTACT:
Sarah E. Josephson, Deputy Director, at
202–418–5684 or sjosephson@cftc.gov;
Melissa D’Arcy, Special Counsel, at
202–418–5086 or mdarcy@cftc.gov; or
Daniel O’Connell, Special Counsel, at
202–418–5583 or doconnell@cftc.gov;
each in the Division of Clearing and
Risk at the Commodity Futures Trading
Commission, Three Lafayette Centre,
1155 21st Street NW, Washington, DC
20581.
SUPPLEMENTARY INFORMATION:
Table of Contents
I. Background
A. The Commission’s Swap Clearing
Requirement
B. The End of LIBOR
C. Identification of Alternative Reference
Rates
D. Transition to Alternative Reference
Rates
E. International Regulatory Developments
II. Market Adoption of Alternative Reference
Rates
A. Industry Initiatives
B. Availability of Clearing
C. Current Trends in Alternative Reference
Rates
III. Request for Information
A. Swaps Subject to the Clearing
Requirement
B. Swaps Not Currently Subject to the
Clearing Requirement
IV. Request for Comment
A. General Request for Comment
B. Specific Requests for Comment
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I. Background
A. The Commission’s Swap Clearing
Requirement
Over a decade has passed since the
Dodd-Frank Wall Street Reform and
Consumer Protection Act (Dodd-Frank
Act) 1 established a comprehensive new
regulatory framework for swaps. Title
VII of the Dodd-Frank Act (Title VII)
amended the Commodity Exchange Act
(CEA) to require, among other things,
that a swap be cleared through a
derivatives clearing organization (DCO)
that is registered under the CEA or a
DCO that is exempt from registration
under the CEA if the Commission has
determined that the swap, or group,
category, type, or class of swap, is
required to be cleared, unless an
exception to the clearing requirement
applies.2
The CEA, as amended by Title VII,
provides two avenues for the
Commission to issue a clearing
requirement determination. First, under
Section 2(h)(2)(A) of the CEA, the
Commission may issue a clearing
requirement determination based on a
Commission-initiated review of a swap.3
Second, under Section 2(h)(2)(B) of the
CEA, the Commission may issue a
clearing requirement determination
based on a swap submission from a
DCO.4
The Commission has issued two
clearing requirement determinations.
The first clearing requirement
determination (First Determination) was
adopted in 2012 and covered certain
credit default swap indexes, and interest
rate swaps in four currencies and in four
classes: (1) Fixed-to-floating swaps; (2)
basis swaps; (3) forward rate agreements
(FRAs); and (4) overnight index swaps
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1 Dodd-Frank
Wall Street Reform and Consumer
Protection Act, Public Law 111–203, 124 Stat. 1376
(2010).
2 Section 2(h)(1)(A) of the CEA, 7 U.S.C.
2(h)(1)(A).
3 7 U.S.C. 2(h)(2)(A). Commission regulation
39.5(c) sets forth the procedures for Commissioninitiated reviews of swaps that have not been
accepted for clearing by a DCO to determine
whether they should be required to be cleared. 17
CFR 39.5(c).
4 Section 2(h)(2)(B) of the CEA, 7 U.S.C.
2(h)(2)(B), and the implementing regulations in
Commission regulation 39.5(b), require a DCO to
submit to the Commission each swap, or any group,
category, type, or class of swaps, that it plans to
accept for clearing. Section 2(h)(2)(B)–(C) of the
CEA describes the process by which the
Commission is required to review swap
submissions from DCOs to determine whether the
swaps should be subject to the clearing
requirement. Commission regulation 39.5(b)
establishes the procedures for the submission of
swaps by a DCO to the Commission for a clearing
requirement determination.
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(OIS).5 The four classes of interest rate
swaps required to be cleared, along with
their specifications, discussed below,
are set forth in Commission regulation
50.4 (Clearing Requirement).6 The
second clearing requirement
determination (Second Determination)
was adopted in 2016 and covered
interest rate swaps in nine additional
currencies.7
Section 2(h)(2)(D)(ii) of the CEA
requires the Commission to consider the
following five factors when making a
clearing requirement determination: (I)
The existence of significant outstanding
notional exposures, trading liquidity,
and adequate pricing data; (II) the
availability of rule framework, capacity,
operational expertise and resources, and
credit support infrastructure to clear the
contract on terms that are consistent
with the material terms and trading
conventions on which the contract is
traded; (III) the effect on the mitigation
of systemic risk, taking into account the
size of the market for such contract and
the resources of the DCOs available to
clear the contract; (IV) the effect on
competition, including appropriate fees
and charges applied to clearing; and (V)
the existence of reasonable legal
certainty in the event of the insolvency
of the relevant DCO or 1 or more of its
clearing members with regard to the
treatment of customer and swap
counterparty positions, funds, and
property.8 The Commission considered
each factor in making both clearing
requirement determinations.
The Commission has explained in
prior clearing requirement
determinations that while there exists a
wide degree of variability in contract
specifications for interest rate swaps,9
5 Clearing Requirement Determination Under
Section 2(h) of the CEA; Final Rule, 77 FR 74284
(Dec. 13, 2012).
6 17 CFR 50.4.
7 Clearing Requirement Determination Under
Section 2(h) of the Commodity Exchange Act for
Interest Rate Swaps; Final Rule, 81 FR 71202 (Oct.
14, 2016). The Commission adopted the Second
Determination largely in order to further harmonize
its Clearing Requirement with those of other
jurisdictions, specifically: Australia, Canada, the
European Union, Hong Kong, Mexico, Singapore,
and Switzerland. Id. at 71203–05. Harmonizing the
Commission’s Clearing Requirement with other
jurisdictions’ clearing requirements serves an
important anti-evasion goal. As the Commission
explained, if a non-U.S. jurisdiction issued a
clearing requirement and a swap dealer located in
the U.S. were not subject to that non-U.S. clearing
requirement, then a swap market participant in the
non-U.S. jurisdiction could potentially avoid the
non-U.S. clearing requirement by entering into a
swap with the swap dealer located in the U.S. Id.
at 71203.
8 7 U.S.C. 2(h)(2)(D)(ii).
9 Clearing Requirement Determination Under
Section 2(h) of the CEA; Notice of Proposed
Rulemaking, 77 FR 47170, 47186 & n.77 (Aug. 7,
2012) (citing a Federal Reserve Bank of New York
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there also exist certain conventions and
specifications that DCOs and market
participants commonly use, and which
allow classes of swaps, and primary
specifications within each class, to be
identified.10 The Commission has
adopted clearing requirement
determinations for four classes of swaps
based on these common conventions
and specifications, and submissions
from DCOs of swaps accepted for
clearing. In the notice of proposed
rulemaking preceding the First
Determination, consistent with the
factors set forth in CEA section
2(h)(2)(D)(ii), the Commission proposed
to adopt a clearing requirement after
concluding that each of the four swap
classes being cleared had significant
outstanding notional amounts and
trading liquidity, and that a large
percentage of each class was already
being cleared.11 The Commission
reaffirmed those conclusions in the final
rule.12 The Commission also identified
six specifications for the interest rate
swaps that are subject to the clearing
requirement: (1) The currency in which
the notional and payment amounts are
specified; (2) the rates referenced for
each leg of the swap; (3) the stated
termination date of the swap; (4)
whether the swap contains optionality,
as specified by the DCOs; (5) whether
the swap contains dual currencies; and
(6) whether the swap contains
conditional notional amounts.13 Now,
as the international regulatory
community and financial markets
transition from IBORs to alternative
reference rates, the Commission is
requesting information and comment on
each of the swaps currently subject to
the clearing requirement, and whether
the Commission should update any of
its prior determinations due to the
staff report that over 10,500 different combinations
of significant interest rate swaps terms had been
identified in a single three-month period in 2010).
10 First Determination, 77 FR 74301.
11 77 FR 47194–96 (discussing data from the Bank
of International Settlements, TriOptima, the G14
Dealers to the OTC Derivatives Supervisors Group,
and LCH).
12 First Determination, 77 FR 74307–08.
13 Id. at 74302–03, 74332. The term ‘‘conditional
notional amount’’ refers to a notional amount that
is subject to change over the term of a swap based
on a condition that the swap counterparties
establish upon the execution of the swap, such that
the notional amount of the swap is unknown and
may change based on the occurrence of a future
event. Id. at 74302 n.108. Additionally, the
Commission believed that swaps with optionality,
multiple currency swaps, and swaps with notional
amounts not specified at the time of execution give
rise to concerns regarding accurate pricing and
consistency across contracts, and should therefore
be excluded from the clearing requirement. Id. at
74332. The Commission also stated that, as of the
time of the final rulemaking for the First
Determination, no DCO was offering swaps meeting
these negative specifications for clearing. Id.
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Federal Register / Vol. 86, No. 223 / Tuesday, November 23, 2021 / Proposed Rules
ongoing and anticipated market-wide
shift in reference rates.
The Commission’s Clearing
Requirement covers a number of swaps
that reference IBORs: Swaps in multiple
currencies in each of the fixed-tofloating swap, basis swap, and FRA
class that refer to LIBOR are required to
be cleared. The First Determination
covered certain interest rate swaps in
each of these classes referencing LIBOR
in three currencies: U.S. dollars (USD),
British pounds (GBP), and Japanese yen
(JPY).14 The Second Determination
covered certain fixed-to-floating interest
rate swaps referencing LIBOR in Swiss
francs (CHF).15
The Commission is monitoring
changes to benchmark reference rates
around the world and how those
changes may affect trading liquidity and
clearing availability, as well as the other
factors discussed above, in different
interest rate swap products. Although
benchmark reforms are ongoing, there
have been recent updates with respect
to LIBOR rates for the major currencies,
including USD, GBP, JPY, and CHF, that
may warrant changes to the Clearing
Requirement in the near future.
B. The End of LIBOR
LIBOR is an interest rate benchmark
that is intended to measure the average
rate at which a bank can obtain
unsecured funding in the London
interbank market for a given tenor and
currency. It is among the world’s most
frequently referenced interest rate
benchmarks and serves as a reference
rate for a wide variety of derivatives and
cash market products. LIBOR is
calculated based on submissions from a
panel of 11 to 16 contributor banks,
depending on the currency, and is
published on every London business
day for five currencies (USD, GBP, Euro
(EUR), CHF, and JPY) and seven tenors
(overnight or spot next,16 1-week, 1month, 2-month, 3-month, 6-month, and
12-month), resulting in 35 individual
LIBOR rates. Each contributor bank
submits data for all seven tenors in each
currency for which it is on a panel.17
14 First
Determination, 77 FR 74310–11.
Determination, 81 FR 71202.
16 The shortest tenor for USD, GBP, and EUR
LIBOR is overnight; the shortest tenor for CHF and
JPY LIBOR is spot next.
17 See generally ICE Benchmark Administration
(IBA), LIBOR, available at https://www.theice.com/
iba/libor. The current contributor bank panel
members are expected to fulfill their roles through
the end of 2021, and all but one of the current USD
LIBOR bank panel members are expected to
continue submissions until June 30, 2023 for the
overnight, 1-month, 3-month, 6-month, and 12month tenors. IBA, ICE LIBOR Feedback Statement
on Consultation on Potential Cessation, March 5,
2021, at 4 n.2 [hereinafter ‘‘ICE LIBOR Feedback
Statement on Consultation on Potential Cessation’’],
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The announcement in 2012 of
government investigations concerning
alleged manipulation of LIBOR, and a
decline in the volume of interbank
lending transactions that LIBOR is
intended to measure, have given rise to
concerns regarding the integrity and
reliability of LIBOR and other IBORs.18
Notably, the Commission’s enforcement
actions against LIBOR manipulators
helped to raise awareness about
potential shortcomings in the reliability
of LIBOR reports and calculations.19
In response to calls for reform, LIBOR
was brought within the U.K. Financial
Conduct Authority (FCA)’s regulatory
scope and placed under IBA’s
administration.20 IBA has reformed
LIBOR in a number of ways, including
enhancing the benchmark’s oversight
procedures and establishing a new
calculation methodology.21 However,
regulators and global standard-setting
bodies do not view these reforms as a
long-term solution.
Following a public consultation by
IBA launched in December 2020, on
March 5, 2021,22 the FCA announced
available at https://www.theice.com/publicdocs/
ICE_LIBOR_feedback_statement_on_consultation_
on_potential_cessation.pdf.
18 See, e.g., International Organization of
Securities Commissions (IOSCO), Principles for
Financial Benchmarks, July 2013, at 1, available at
https://www.iosco.org/library/pubdocs/pdf/
IOSCOPD415.pdf; David Bowman, et al., ‘‘How
Correlated Is LIBOR With Bank Funding Costs?,’’
FEDS Notes, June 29, 2020, available at https://
www.federalreserve.gov/econres/notes/feds-notes/
how-correlated-is-libor-with-bank-funding-costs20200629.htm; Alternative Reference Rates
Committee, Second Report, Mar. 2018, at 1–3
[hereinafter ‘‘ARRC Second Report’’], available at
https://www.newyorkfed.org/medialibrary/
Microsites/arrc/files/2018/ARRC-Second-report.
19 See, e.g., In re Socie
´ te´ Ge´ne´rale S.A., No. 18–
14 (CFTC June 4, 2018) ($475 million penalty); In
re Deutsche Bank AG, No. 15–20 (CFTC Apr. 23,
2015) ($800 million penalty); In re The Royal Bank
of Scotland plc, No. 13–14 (CFTC Feb. 6, 2013)
($325 million penalty); In re UBS AG, No. 13–09
(CFTC Dec. 19, 2012) ($700 million penalty); In re
Barclays PLC, No. 12–25 (CFTC June 27, 2012)
($200 million penalty).
20 Previously, LIBOR was administered by the
British Bankers Association.
21 See generally IBA, Methodology, available at
https://www.theice.com/publicdocs/ICE_LIBOR_
Methodology.pdf (describing IBA’s current LIBOR
calculation methodology); H.M. Treasury, The
Wheatley Review of LIBOR: Final Report, Sept.
2012, available at https://
assets.publishing.service.gov.uk/government/
uploads/system/uploads/attachment_data/file/
191762/wheatley_review_libor_finalreport_
280912.pdf (recommending reforms to LIBOR). See
also Intercontinental Exchange (ICE), ICE LIBOR
Evolution, Apr. 25, 2018, at 4, available at https://
www.theice.com/publicdocs/ICE_LIBOR_Evolution_
Report_25_April_2018.pdf (describing IBA’s
reforms to LIBOR since 2014). Among other
revisions, IBA implemented changes to the way that
panel banks form their LIBOR submissions by
relying on a data-driven waterfall methodology.
22 See generally ICE LIBOR Feedback Statement
on Consultation on Potential Cessation; IBA, ICE
LIBOR Consultation on Potential Cessation, Dec.
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that publication of LIBOR would not be
provided by any administrator or be
compelled after the final publication on
Friday, December 31, 2021, for the
following: 23
(i) EUR LIBOR in all tenors;
(ii) CHF LIBOR in all tenors;
(iii) JPY LIBOR in the spot next, 1week, 2-month, and 12-month tenors;
(iv) GBP LIBOR in the overnight, 1week, 2-month, and 12-month tenors;
and
(v) USD LIBOR in the 1-week and 2month tenors.
The FCA further determined that GBP
and JPY LIBOR in 1-month, 3-month,
and 6-month tenors would no longer be
representative of the underlying market
and economic reality they are intended
to measure after December 31, 2021, and
that representativeness would not be
restored. Additionally, the FCA
determined that USD LIBOR in the
overnight and 12-month tenors would
cease after June 30, 2023, and that USD
LIBOR in the 1-month, 3-month, and 6month tenors would not be
representative after that date. The future
of USD LIBOR in the 1-month, 3-month,
and 6-month tenors is uncertain because
the FCA may decide to continue to
publish those tenors based on a new
methodology (i.e., on a synthetic basis).
Following a public consultation, on
September 29, 2021, the FCA confirmed
that it would require LIBOR’s
administrator to continue publishing
GBP and JPY LIBOR in the 1-, 3-, and
6-month tenors, using a synthetic
methodology based on term RFRs,
through 2022.24 The Commission is
monitoring these developments and will
consider LIBOR’s cessation in certain
currencies and tenors as it evaluates
potential changes to the Clearing
2020, available at https://www.theice.com/
publicdocs/ICE_LIBOR_Consultation_on_Potential_
Cessation.pdf.
23 FCA, FCA Announcement on Future Cessation
and Loss of Representativeness of the LIBOR
Benchmarks, Mar. 5, 2021, available at https://
www.fca.org.uk/publication/documents/futurecessation-loss-representativeness-liborbenchmarks.pdf.
24 FCA, ‘‘Further arrangements for the orderly
wind-down of LIBOR at end-2021,’’ Sept. 29, 2021,
available at https://www.fca.org.uk/news/pressreleases/further-arrangements-orderly-wind-downlibor-end-2021. The FCA also proposed to permit
legacy use of synthetic GBP and JPY LIBOR in all
contracts except cleared derivatives, citing
clearinghouses’ plans to transition cleared GBP,
JPY, CHF, and EUR LIBOR rates to RFR contracts
at the end of 2021. Accordingly, the FCA published
an additional public consultation regarding the
scope of legacy contracts that will be permitted to
rely on the synthetic rates. FCA, ‘‘CP21/29:
Proposed decisions on the use of LIBOR (Articles
23C and 21A BMR),’’ Sept. 29, 2021, available at
https://www.fca.org.uk/publications/consultationpapers/cp21-29-proposed-decisions-libor-articles23c-21a-bmr. The consultation closed on October
20, 2021. Id.
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Requirement, particularly because the
LIBOR rates in four of the five LIBOR
currencies serve as the floating rate in
swap transactions that are currently
subject to the Clearing Requirement.
Although LIBOR in particular has
been a major focus for regulators, there
are other interest rates that have been,
or may in the future be, replaced by
alternative reference rates. Additional
IBORs and alternative reference rates are
discussed in more detail below.
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C. Identification of Alternative
Reference Rates
The Commission has supported
efforts in the U.S. and around the world
to identify alternative reference rates to
replace LIBOR and other IBORs in the
event that they become nonrepresentative.
In 2014, the Federal Reserve Board
(FRB) and the Federal Reserve Bank of
New York (FRBNY) convened the
Alternative Reference Rates Committee
(ARRC) as a body for private-market
participants, alongside ex-officio
banking and financial sector regulators,
to identify alternatives to USD LIBOR
and help ensure an orderly transition to
alternative reference rates.25 The
composition of the ARRC has changed
over time, and currently includes a
number of financial institutions,
financial industry groups, and
regulators, including the CFTC, the U.S.
Department of the Treasury, and the
U.S. Securities and Exchange
Commission.26 On June 22, 2017, after
studying several alternative reference
rates and considering the input of
market participants, the ARRC selected
the Secured Overnight Financing Rate
(SOFR) as its preferred alternative to
USD LIBOR.27 SOFR measures the cost
of overnight repurchase agreement
transactions collateralized by U.S.
Treasury securities.28 The FRBNY, in
25 See generally ARRC, About [hereinafter ‘‘About
the ARRC’’], available at https://www.newyorkfed.
org/arrc/about. See also ARRC, ARRC Minutes for
the December 12, 2014 Organizational Meeting,
available at https://www.newyorkfed.org/
medialibrary/microsites/arrc/files/2014/Dec-122014-ARRC-Minutes.pdf.
26 About the ARRC.
27 ARRC, ‘‘The ARRC Selects a Broad Repo Rate
as its Preferred Alternative Reference Rate,’’ June
22, 2017, available at https://www.newyorkfed.org/
medialibrary/microsites/arrc/files/2017/ARRCpress-release-Jun-22-2017.pdf. See also ARRC,
Interim Report and Consultation, May 2016, at 13,
available at https://www.newyorkfed.org/
medialibrary/Microsites/arrc/files/2016/arrcinterim-report-and-consultation.pdf?la=en
(discussing other alternative reference rates that the
ARRC considered).
28 FRBNY, Statement Introducing the Treasury
Repo Reference Rates, Apr. 3, 2018 [hereinafter
‘‘Statement Introducing the Treasury Repo
Reference Rates’’], available at https://
www.newyorkfed.org/markets/opolicy/operating_
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cooperation with the U.S. Office of
Financial Research, first published
SOFR on April 3, 2018,29 and publishes
the rate each New York business day at
8:00 a.m. ET.30
SOFR is comprised of data from
several sources: (1) Tri-party repo data;
(2) the Fixed Income Clearing
Corporation’s (FICC) General Collateral
Finance Repo data; and (3) bilateral
Treasury repo transactions cleared
through FICC.31 The ARRC selected
SOFR as its preferred USD LIBOR
alternative based on an assessment of a
number of factors, including the depth
of the underlying market, the robustness
of the rate over time, the rate’s
usefulness to market participants, and
consistency with IOSCO’s Principles for
Financial Benchmarks.32 SOFR is based
on a far deeper pool of underlying
transactions than USD LIBOR.
According to the ARRC, since SOFR was
first published, the volume of
underlying transactions has averaged
over $980 billion daily, and reflects
trading by a diverse group of market
participants.33 In comparison, the
median daily volume of 3-month
funding transactions between October
2016 and June 2017, underlying the
most heavily-referenced USD LIBOR
tenor, amounted to less than $1
billion.34 The ARRC has developed a
Paced Transition Plan, discussed below,
to facilitate an orderly and incremental
transition from USD LIBOR to SOFR.35
policy_180403. See also FRBNY, Secured Overnight
Financing Rate Data [hereinafter ‘‘SOFR Data’’],
available at https://apps.newyorkfed.org/markets/
autorates/SOFR#:∼:text=The%20SOFR%20
is%20calculated%20as,LLC%2C%20
an%20affiliate%20of%20the; FRBNY, Additional
Information about the Treasury Repo Reference
Rates, available at https://www.newyorkfed.org/
markets/treasury-repo-reference-rates-information.
29 Statement Introducing the Treasury Repo
Reference Rates.
30 SOFR Data.
31 Id.
32 ARRC Second Report at 6.
33 ARRC, Frequently Asked Questions, Dec. 18,
2020, at 4–5, available at https://
www.newyorkfed.org/medialibrary/Microsites/arrc/
files/ARRC-faq.pdf.
34 ARRC Second Report at 1–3.
35 Although SOFR is widely viewed as the
primary replacement for USD LIBOR, and is
preferred by the ARRC, other alternatives are
available to market participants, including those
who desire a benchmark with a credit risk
component. One such alternative is AMERIBOR,
which is administered by the American Financial
Exchange (AFX) and is calculated based on actual
borrowing costs between small and midsize banks
that are AFX members. William Shaw, ‘‘Libor
Replacement Race Picks Up with Ameribor Swap
Debut,’’ Bloomberg, Dec. 3, 2020, available at
https://www.bloomberg.com/news/articles/2020-1203/libor-replacement-race-picks-up-with-ameriborswap-deal-debut#:∼:text=The%20push%20
to%20replace%20Libor,notional
%20%2424%20million%20on%20Tuesday.
Another potential alternative is the ICE Bank Yield
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Regulators and working groups in
other jurisdictions are also endeavoring
to identify, develop, and implement
alternative reference rates.36 The FSB’s
November 2020 report Reforming Major
Interest Rate Benchmarks highlights
plans to develop alternatives for
numerous other IBORs.37 A table of
Index (IBYI), which ICE has proposed as a
replacement for USD LIBOR. If implemented, IBYI
would measure the average yields at which
investors are willing to invest USD funds on a
wholesale, senior, and unsecured basis in large,
international banks over 1-month, 3-month, and 6month periods. IBA, U.S. Dollar ICE Bank Yield
Index Update, May 2020, at 3, available at https://
www.theice.com/publicdocs/Update_US_Dollar_
ICE_Bank_Yield_Index_May_2020.pdf. Unlike USD
LIBOR, IBYI would be fully transaction-based. See
id. at 3, 5–6. An additional potential alternative,
Bloomberg’s Short-Term Bank Yield Index (BSBY),
is a credit-sensitive index which can be added to
SOFR or used as a standalone benchmark.
Bloomberg, ‘‘Bloomberg Confirms Its BSBY ShortTerm Credit Sensitive Index Adheres to IOSCO
Principles,’’ Apr. 6, 2021, available at https://
www.bloomberg.com/company/press/bloombergconfirms-its-bsby-short-term-credit-sensitive-indexadheres-to-iosco-principles/. See also Bloomberg,
Bloomberg Short-Term Bank Yield Index, available
at https://www.bloomberg.com/professional/
product/indices/bsby/#:∼:text=
The%20Bloomberg%20Short%2DTerm%20Bank,
defines%20a%20forward%20term%20structure;
Bloomberg, Bloomberg Short-Term Bank Yield
(BSBY) Index Methodology, Mar. 2021, available at
https://assets.bbhub.io/professional/sites/10/BSBYMethodology-Document-March-30-2021.pdf.
36 For further discussion of the ARRC and
working groups in other LIBOR currency
jurisdictions and key milestones, see generally
International Swaps and Derivatives Association,
Inc. et al. (ISDA), IBOR Global Benchmark
Transition Report, June 2018, at 38–47 [hereinafter
‘‘IBOR Global Benchmark Transition Report’’],
available at https://www.isda.org/2018/06/25/iborglobal-benchmark-transition-report/ibor-transitionreport/. See also Working Group on Sterling RiskFree Reference Rates (RFRWG) Top Level
Priorities—2021, Bank of England, Jan. 2021,
available at https://www.bankofengland.co.uk/-/
media/boe/files/markets/benchmarks/rfr/rfrworking-group-roadmap.pdf; European Central
Bank, ‘‘Working group on euro risk-free rates,’’
available at https://www.ecb.europa.eu/paym/
interest_rate_benchmarks/WG_euro_risk-free_rates/
html/index.en.html; The National Working Group
on CHF Reference Rates, NWG Milestones, available
at https://www.snb.ch/en/ifor/finmkt/fnmkt_
benchm/id/finmkt_NWG_milestones; Study Group
on Risk-Free Reference Rates, Bank of Japan,
available at https://www.boj.or.jp/en/paym/market/
sg/index.htm/; Financial Stability Board (FSB),
Reforming Major Interest Rate Benchmarks, Nov.
20, 2020, at 14–29 [hereinafter ‘‘Reforming Major
Interest Rate Benchmarks’’], available at https://
www.fsb.org/2020/11/reforming-major-interest-ratebenchmarks-2020-progress-report/.
37 See generally Reforming Major Interest Rate
Benchmarks at 29–43, 54–55. See also Andreas
Schrimpf and Vladislav Sushko, ‘‘Beyond Libor: a
primer on the new reference rates,’’ BIS Quarterly
Review, Mar. 2019, at 35, available at https://
www.bis.org/publ/qtrpdf/r_qt1903e.pdf; Bank of
England, Preparing for 2022: What You Need to
Know about LIBOR Transition, Nov. 2018, at 10,
https://www.bankofengland.co.uk/-/media/boe/
files/markets/benchmarks/what-you-need-to-knowabout-libor-transition.pdf; ISDA, et al., IBOR Global
Benchmark Survey 2018 Transition Roadmap, Feb.
2018, at 32, https://www.isda.org/a/g2hEE/IBOR-
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those identified alternatives is included
below.
ALTERNATIVE REFERENCE RATES IDENTIFIED FOR IBORS
Currency
Identified alternative rate
Australian dollar (AUD) ...
Bank Bill Swap Rate
(BBSW).
Canadian dollar (CAD) ....
Canadian Dollar Offered
Rate (CDOR).
CHF .................................
LIBOR .............................
EUR .................................
LIBOR .............................
GBP .................................
Euro Overnight Index Average (EONIA) 38.
Euro Interbank Offered
Rate (EURIBOR).
LIBOR .............................
Hong Kong dollar (HKD)
Hong Kong Interbank Offered Rate (HIBOR).
JPY 39 ..............................
LIBOR .............................
Mexican peso (MXN) ......
Term Interbank Equilibrium Interest Rate
(TIIE).
Singapore Dollar Swap
Offer Rate (SOR).
Singapore Interbank Offered Rate (SIBOR).
Singapore dollar (SGD) ...
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Index
Alternative rate
administrator
Reserve Bank of Australia.
No ..................
Yes.
Bank of Canada ..............
Yes .................
Yes.
SIX Swiss Exchange ......
Yes .................
Yes.
European Central Bank ..
No ..................
Yes.
European Central Bank ..
No ..................
Yes.
ÖSTR ...............................
European Central Bank ..
No ..................
Yes.
Sterling Overnight Index
Average (SONIA).
Hong Kong Dollar Overnight Index Average
(HONIA).
Tokyo Overnight Average
(TONA) Tokyo Interbank Offered Rate
(TIBOR) Euroyen
TIBOR.
Overnight TIIE ................
Bank of England .............
No ..................
Yes.
Treasury Market Association.
No ..................
Yes.
Bank of Japan ................
No ..................
Yes.
Banco de Mexico ............
Yes .................
Yes.
Association of Banks in
Singapore.
Association of Banks in
Singapore.
No ..................
Yes.
No ..................
Yes.
Singapore Overnight
Rate Average (SORA).
SORA ..............................
USD LIBOR-based derivatives had
grown over the past three years, and the
share of outstanding SOFR derivatives
remained small compared with USD
LIBOR derivatives.41
As regulators and market participants
in different jurisdictions work to
identify alternative reference rates, the
Commission anticipates that the interest
rate swaps markets will evolve to
incorporate those rates, with the goal of
shifting all activity to the alternative
reference rates before the relevant IBOR
is discontinued. The Commission
believes this process can occur
organically, driven by market demand
and DCO offerings.
Global-Transition-Roadmap-2018.pdf; Euro ShortTerm Rate (ÖSTR), European Central Bank,
available at https://www.ecb.europa.eu/stats/
financial_markets_and_interest_rates/euro_shortterm_rate/html/index.en.html#:∼:text=The%20
euro%20short%2Dterm%20rate,activity
%20on%201%20October%202019; Steering
Committee for SOR & SIBOR Transition to SORA,
Timelines to Cease Issuance of SOR and SIBORLinked Financial Products, Mar. 31, 2021, available
at https://abs.org.sg/docs/library/timelines-to-ceaseissuance-of-sor-derivatives-and-sibor-linkedfinancial-products.pdf.
38 Under a revised calculation methodology,
EONIA is calculated as a spread of 8.5 basis points
over the ÖSTR rate. EONIA is expected to be
discontinued on January 3, 2022. Reforming Major
Interest Rate Benchmarks at 18.
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Published
Reserve Bank of Australia Interbank Overnight Cash Rate
(AONIA).
Canadian Overnight
Repo Rate Average
(CORRA).
Swiss Average Rate
Overnight (SARON).
Euro Short-Term Rate
(ÖSTR).
ÖSTR ...............................
On July 6, 2021, the FSB published a
progress report discussing the state of
transition efforts and highlighting
specific issues and challenges.40 In
particular, the report highlighted the
need for supervisory authorities to
engage in a greater degree of
coordination and communication to
promote awareness of the urgency and
scope of the transition away from
LIBOR, and called on market
participants to accelerate their adoption
of alternatives. The report noted that,
while significant progress had been
made on some fronts, such as decreasing
reliance on GBP LIBOR in favor of
SONIA, transition efforts had lagged in
other markets. For instance, the report
observed that while use of SOFR
derivatives had increased, activity in
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D. Transition to Alternative Reference
Rates
The transition to alternative reference
rates in substitution for LIBOR, in
particular, has been a priority for
regulators and market participants
following an announcement by Andrew
Bailey, then-Chief Executive of the FCA,
on July 27, 2017, that the FCA would
not use its authority to compel or
persuade LIBOR panel banks to
contribute to the benchmark after
2021.42 Bailey urged market participants
to begin planning for the cessation of
LIBOR and to start transitioning to the
use of alternative reference rates,
highlighting the work already done to
identify alternative reference rates in the
U.S., U.K., and other LIBOR currency
39 Multiple alternative reference rates are being
offered to succeed JPY LIBOR. See generally note
66, infra.
40 FSB, Progress Report to the G20 on LIBOR
Transition Issues, July 6, 2021, available at https://
www.fsb.org/wp-content/uploads/P060721.pdf.
41 Id. at 8–10.
42 Andrew Bailey, ‘‘The future of Libor,’’ July 27,
2017, available at https://www.fca.org.uk/news/
speeches/the-future-of-libor.
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jurisdictions.43 Following Bailey’s
remarks, other regulatory officials,
including previous Chairmen of the
Commission and Commissioners, voiced
support for an orderly transition from
LIBOR to alternative reference rates.44
The transition from USD LIBOR to
SOFR has been guided by the ARRC’s
Paced Transition Plan, which was first
published in 2017 and has been
adjusted over time.45 As currently
formulated, the plan calls for five steps
to facilitate market-wide adoption of
SOFR: (i) The establishment of
infrastructure for futures and/or OIS
trading in SOFR by the second half of
2018; (ii) the start of trading in futures
and/or bilateral, uncleared OIS that
reference SOFR by the end of 2018; (iii)
the start of trading in cleared OIS that
reference SOFR in the effective federal
funds rate (EFFR) price alignment
interest (PAI) and discounting
environment by the end of the first
quarter of 2019; (iv) the Chicago
Mercantile Exchange, Inc. (CME)’s and
LCH.Clearnet Limited (LCH)’s
conversion of discounting, and PAI and
price alignment amount (PAA), from
EFFR to SOFR with respect to all
outstanding cleared USD-denominated
swaps by October 16, 2020; and (v) the
ARRC’s endorsement of a term reference
rate based on SOFR derivatives markets
by the end of the first half of 2021.
Although the first four steps of the
ARRC’s Paced Transition Plan were met
on schedule,46 in March 2021, the ARRC
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43 Id.
44 E.g., Jerome Powell and J. Christopher
Giancarlo, ‘‘How to Fix Libor Pains,’’ The Wall
Street Journal, Aug. 3, 2017, available at https://
www.wsj.com/articles/how-to-fix-libor-pains1501801028; CFTC, Opening Statement of
Commissioner Brian D. Quintenz before the CFTC
Market Risk Advisory Committee Meeting, July 12,
2018, available at https://www.cftc.gov/PressRoom/
SpeechesTestimony/quintenzstatement071218;
CFTC, Remarks of Commissioner Rostin Behnam at
the ISDA/SIFMA AMG Benchmark Strategies
Forum 2020, New York, New York, Feb. 12, 2020,
available at https://www.cftc.gov/PressRoom/
SpeechesTestimony/opabehnam14; CFTC,
Statement of Chairman Heath P. Tarbert Regarding
the Transition Away from IBORs, Nov. 24, 2020
[hereinafter ‘‘Statement of Chairman Tarbert’’],
https://www.cftc.gov/PressRoom/
SpeechesTestimony/tarbertstatement112420.
45 See generally ARRC, Paced Transition Plan,
available at https://www.newyorkfed.org/arrc/sofrtransition#pacedtransition.
46 As stated above, the FRBNY began publishing
SOFR on April 3, 2018. Shortly thereafter, on May
7, 2018, CME Group Inc. (CME Group) launched
SOFR futures contracts in the 1- and 3-month
tenors. On May 16, 2018, ISDA added a definition
of SOFR for use in contracts governed by ISDA
Master Agreements. On October 1, 2018, ICE
Futures Europe launched 1- and 3-month SOFR
futures contracts. On July 18, 2018, LCH began
clearing interest rate swaps referencing SOFR, with
PAI and discounting linked to EFFR. On October 9,
2018, CME began clearing interest rate swaps
referencing SOFR, with PAI and discounting linked
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announced that it would not be
prepared to select an administrator to
publish a forward-looking term SOFR
rate by the end of the first half of the
year.47 The ARRC noted that this fifth
step would be contingent on the
continued development of sufficient
liquidity in SOFR derivatives markets
and a limited scope of use for the term
rate.48 CME Group began publishing 1-,
3-, and 6-month forward-looking term
SOFR benchmark rates in April 2021,49
and in May 2021, the ARRC announced
that it planned to recommend CME
Group as the administrator for a
forward-looking term rate, once certain
market indicators were met.50 On July
29, 2021, shortly after the introduction
of the first phase of the Commission’s
Market Risk Advisory Committee’s
(MRAC) SOFR First initiative,51
discussed below, the ARRC formally
endorsed CME Group’s forward-looking
term SOFR rates.52
to SOFR. Most recently, on October 16, 2020, CME
and LCH converted discounting and PAI/PAA from
EFFR to SOFR for all outstanding cleared USDdenominated swaps. Id.
47 ARRC, ARRC Provides Update on ForwardLooking SOFR Term Rate, Mar. 23, 2020
[hereinafter ‘‘ARRC Provides Update on ForwardLooking SOFR Term Rate’’], available at https://
www.newyorkfed.org/medialibrary/Microsites/arrc/
files/2021/arrc-press-release-term-rate-forpublication. At the time, the ARRC recommended
that market participants use existing tools, such as
SOFR averages and index data, instead of waiting
for a term SOFR. Id. In May 2021, the ARRC
released a set of market indicators that it would
consider before recommending a forward-looking
term SOFR rate. ARRC, ‘‘ARRC Identifies Market
Indicators to Support a Recommendation of a
Forward-Looking SOFR Term Rate,’’ May 6, 2021,
available at https://www.newyorkfed.org/
medialibrary/Microsites/arrc/files/2021/20210506term-rate-indicators-press-release.
48 ARRC Provides Update on Forward-Looking
SOFR Term Rate.
49 CME Group, CME Group Announces Launch of
CME Term SOFR Reference Rates, Apr. 21, 2021,
available at https://www.cmegroup.com/mediaroom/press-releases/2021/4/21/cme_group_
announceslaunchofcmetermsofrreferencerates.html.
50 ARRC, ‘‘ARRC Releases Update on its RFP
Process for Selecting a Forward-Looking SOFR
Term Rate Administrator,’’ May 21, 2021, available
at https://www.newyorkfed.org/medialibrary/
Microsites/arrc/files/2021/20210521-ARRC-PressRelease-Term-Rate-RFP.pdf.
51 The MRAC’s SOFR First initiative is not
Commission action and should be viewed as a best
practice.
52 ARRC, ‘‘ARRC Formally Recommends Term
SOFR,’’ July 29, 2021, available at https://
www.newyorkfed.org/medialibrary/Microsites/arrc/
files/2021/ARRC_Press_Release_Term_SOFR.pdf.
Prior to its endorsement of CME Group’s forwardlooking term SOFR rates, the ARRC released a
statement of best practices supporting the use of
SOFR term rates in connection with business loan
activities, but not in connection with the vast
majority of derivatives markets activities, with the
exception of end-user facing derivatives intended to
hedge cash products that reference the SOFR term
rate. ARRC, ARRC Best Practice Recommendations
Related to Scope of Use of the Term Rate, July 21,
2021, available at https://www.newyorkfed.org/
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Since its inception, the ARRC has
sought to support market-wide adoption
of SOFR through the publication of
guidance and recommendations for
market participants, including periodic
publication of transition objectives,53
recommendations related to the use of
SOFR and best practices for SOFR
adoption,54 and the identification of
systems and processes likely to be
affected by a transition from USD LIBOR
to SOFR.55 The ARRC has also sought
regulatory guidance and relief in order
to facilitate an orderly transition away
from IBORs.56
medialibrary/Microsites/arrc/files/2021/ARRC_
Scope_of_Use.pdf.
53 E.g., ARRC, 2020 Objectives, Apr. 17, 2020,
available at https://www.newyorkfed.org/
medialibrary/Microsites/arrc/files/2020/ARRC_
2020_Objectives.pdf; ARRC, 2019 Incremental
Objectives, June 6, 2019, available at https://
www.newyorkfed.org/medialibrary/Microsites/arrc/
files/2019/ARRC_2019_Incremental_Objectives.pdf.
54 E.g., ARRC, Addendum to Recommendations
for Voluntary Compensation for Swaptions
Impacted by Central Counterparty Clearing Houses’
Discounting Transition to SOFR, Sept. 11, 2020
available at https://www.newyorkfed.org/
medialibrary/Microsites/arrc/files/2020/ARRCswaptions-recommendations.pdf; ARRC,
Recommended Best Practices, Sept. 3, 2020,
available at https://www.newyorkfed.org/
medialibrary/Microsites/arrc/files/2020/ARRC-BestPractices.pdf; ARRC, Vendor Best Practices, May 7,
2020, available at https://www.newyorkfed.org/
medialibrary/Microsites/arrc/files/2020/ARRCVendor-Recommended-Best-Practices.pdf; ARRC,
Recommendations for Interdealer Cross-Currency
Swap Market Conventions, Jan. 24, 2020, available
at https://www.newyorkfed.org/medialibrary/
Microsites/arrc/files/2020/Recommendations_for_
Interdealer_Cross-Currency_Swap_Market_
Conventions.pdf; ARRC, Buy-Side Checklist for
SOFR Adoption, Jan. 31, 2020, available at https://
www.newyorkfed.org/medialibrary/Microsites/arrc/
files/2020/ARRC_Buy_Side_Checklist.pdf; ARRC,
Practical Implementation Checklist for SOFR
Adoption, Sept. 19, 2019, available at https://
www.newyorkfed.org/medialibrary/Microsites/arrc/
files/2019/ARRC-SOFR-Checklist-20190919.pdf.
The ARRC’s resources include proposed guidance
and recommended fallback language for cash
market products. While many of the ARRC’s
recommended best practices for SOFR adoption are
intended to apply to users of cash market products,
some are specific to derivatives market participants.
They include adherence to ISDA’s Fallbacks
Protocol, specific steps that dealers can take to
promote liquidity in, and client access to, SOFR
derivatives, and cessation of new trades in LIBOR
derivatives maturing after 2021, except in limited
circumstances.
55 ARRC, Internal Systems & Processes: Transition
Aid for SOFR Adoption, July 8, 2020, available at
https://www.newyorkfed.org/medialibrary/
Microsites/arrc/files/2020/ARRC-Internal-SystemsProcesses-Transition-Aid.pdf.
56 CFTC staff have addressed concerns raised by
ARRC associated with the transition away from
LIBOR in two separate sets of no-action letters
issued in December 2019 and August 2020,
including by issuing no action relief from the
Clearing Requirement with respect to amendments
to certain uncleared swaps. CFTC Staff Letter No.
19–28, Dec. 17, 2019, available at https://
www.cftc.gov/csl/19-28/download as superseded by
CFTC Staff Letter No. 20–25, Aug. 31, 2020,
available at https://www.cftc.gov/csl/20-25/
download.
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As the end of 2021 approaches,
regulators, global standard-setting
bodies, and alternative reference rate
working groups have increased calls for
market participants to accelerate their
adoption of alternative reference rates.
On November 30, 2020, the FRB, Office
of the Comptroller of the Currency, and
Federal Deposit Insurance Corporation
released a joint statement encouraging
banks to cease entering new contracts
referencing USD LIBOR ‘‘as soon as
practicable’’ and no later than December
31, 2021, in light of ‘‘safety and
soundness risks’’ posed by continued
use of the benchmark.57 The statement
advised market participants that new
contracts entered into before December
31, 2021, should utilize a non-LIBOR
reference rate, or otherwise contain
‘‘robust fallback language that includes
a clearly defined alternative reference
rate after LIBOR’s discontinuation.’’ 58
On June 2, 2021, IOSCO echoed the
joint statement in its Statement on
Benchmarks Transition,59 and the FSB
announced the publication of a set of
documents designed to assist market
participants and regulators in the
transition, including a roadmap of steps
57 Board of Governors of the Federal Reserve
System, Federal Deposit Insurance Corporation, and
Office of the Comptroller of the Currency,
Statement on LIBOR Transition, Nov. 30, 2020,
available at https://www.federalreserve.gov/
newsevents/pressreleases/files/bcreg20201130a1.
pdf.
58 Id. The agencies stated that such circumstances
may include ‘‘(i) transactions executed for purposes
of required participation in a central counterparty
auction procedure in the case of a member default,
including transactions to hedge the resulting USD
LIBOR exposure; (ii) market making in support of
client activity related to USD LIBOR transactions
executed before January 1, 2022, (iii) transactions
that reduce or hedge the bank’s or any client of the
bank’s USD LIBOR exposure on contracts entered
into before January 1, 2022; and (iv) novations of
USD LIBOR transactions executed before January 1,
2022.’’ Id. A fallback rate refers to the rate provided
for use in a contract if the benchmark that the
contract uses becomes unavailable or
unrepresentative. ISDA, Understanding IBOR
Benchmark Fallbacks, June 2, 2020, available at
https://www.isda.org/a/YZQTE/UnderstandingBenchmarks-Factsheet.pdf. Prior to ISDA’s IBOR
Fallbacks Supplement, discussed below, ISDA’s
2006 Definitions called for the counterparty serving
as the calculation agent for a swap to calculate a
fallback rate based on quotations obtained by
polling banks, an approach which was viewed as
unsustainable in the event of a permanent cessation
to a benchmark rate. See IBOR Global Benchmark
Transition Report at 15.
59 See generally IOSCO, Statement on
Benchmarks Transition, June 2, 2021, available at
https://www.iosco.org/library/pubdocs/pdf/
IOSCOPD676.pdf. See also ARRC, ARRC
Recommends Acting Now to Slow USD LIBOR Use
over the Next Six Weeks to be Well-Positioned to
Meet Supervisory Guidance by Year-End, Oct. 14,
2021, available at https://www.newyorkfed.org/
medialibrary/Microsites/arrc/files/2021/20211013arrc-press-release-supporting-a-smooth-exit-postarrc (recommending market participants take steps
to curtail new use of USD LIBOR consistent with
federal supervisory guidance).
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for firms to take as they transition their
portfolios to alternative reference rates,
a white paper reviewing RFRs and term
rates, and a statement encouraging
regulators to set consistent expectations
for the cessation of new USD LIBOR
activity.60 Additionally, on July 13,
2021, the Commission’s MRAC adopted
SOFR First, a phased initiative to switch
interdealer trading conventions from
LIBOR to SOFR in a variety of
products.61
E. International Regulatory
Developments
Under Section 752(a) of the DoddFrank Act, the Commission, along with
the Securities and Exchange
Commission and other prudential
regulators, was directed to consult and
coordinate with non-U.S. regulatory
authorities in order to establish
consistent international standards for
regulating swaps.62 The Commission
complied with this directive in 2016
when it considered regulatory
developments in swap clearing around
the world for the Second Determination
and noted that it was important to
harmonize the Clearing Requirement
with clearing mandates in other
jurisdictions.63 Now, as in the past, the
60 FSB, ‘‘FSB issues statements to support a
smooth transition away from LIBOR by end 2021,’’
June 2, 2021, available at https://www.fsb.org/2021/
06/fsb-issues-statements-to-support-a-smoothtransition-away-from-libor-by-end-2021/.
61 CFTC, ‘‘CFTC Market Risk Advisory Committee
Adopts SOFR First Recommendation at Public
Meeting,’’ July 13, 2021, available at https://
www.cftc.gov/PressRoom/PressReleases/8409-21.
The first phase of the initiative, covering USDdenominated linear swaps, began on July 26, 2021.
The MRAC’s SOFR First initiative mirrors a SONIAFirst best practice adopted by the FCA and the Bank
of England. See Bank of England, ‘‘The FCA and the
Bank of England encourage market participants in
further switch to SONIA in interest rate swap
markets,’’ Sept. 28, 2020, available at https://
www.bankofengland.co.uk/news/2020/september/
fca-and-boe-joint-statement-on-sonia-interest-rateswap. The second phase of MRAC’s SOFR First
initiative, covering cross-currency swaps with CHF,
GBP, JPY, and USD LIBOR legs, began on
September 21, 2021. See CFTC, SOFR First: MRAC
Subcommittee Recommendation, July 13, 2021
[hereinafter ‘‘SOFR First: MRAC Subcommittee
Recommendation’’], available at https://
www.cftc.gov/media/6176/MRAC_SOFRFirst
SubcommitteeRecommendation071321/download.
The third phase of SOFR First, covering non-linear
derivatives, launched on November 8, 2021. See
CFTC, CFTC’s Interest Rate Benchmark Reform
Subcommittee Selects November 8 for SOFR First
for Non-Linear Derivatives, Oct. 15, 2021, available
at https://www.cftc.gov/PressRoom/PressReleases/
8449-21. The fourth and final phase of SOFR First
will cover exchange-traded derivatives. Timing for
implementation of this phase remains to be
determined by is expected to occur no later than
December 31, 2021. Id.; SOFR First: MRAC
Subcommittee Recommendation.
62 Section 752 of the Dodd-Frank Wall Street
Reform and Consumer Protection Act, Public Law
111–203, 124 Stat. 1376 (2010).
63 Second Determination, 81 FR 71203.
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Commission is reviewing proposals and
plans by other regulators to modify
clearing mandates for interest rate
swaps. The Commission has long
recognized the interconnectedness of
the interest rate swaps market, and is
working cooperatively with other
jurisdictions as they consider and adopt
new clearing mandates.64
On May 20, 2021, the Bank of England
launched a public consultation
regarding a proposal to modify its
clearing obligation in light of the
cessation of LIBOR and adoption of
alternative reference rates.65 The Bank
of England proposed three key changes
to its clearing obligation. First, on
October 18, 2021, the requirement to
clear EONIA OIS with a maturity of 7
days to 3 years would be replaced with
a requirement to clear ÖSTR OIS for the
same maturity range. Second, on
December 6, 2021, the requirement to
clear JPY LIBOR basis and fixed-tofloating swaps would be removed.66
Third, on December 20, 2021, the
requirement to clear GBP LIBOR basis
and fixed-to-floating swaps, and FRAs,
would be replaced with a requirement
to clear SONIA OIS with an amended
maturity range of 7 days to 50 years.
According to the proposal, any changes
to the clearing obligation would enter
into force shortly after a number of
DCOs complete a contractual conversion
process, discussed below. On September
29, 2021, in a final policy statement, the
Bank of England announced that it
would adopt these changes as
64 See Second Determination, 81 FR 71223
(noting that ‘‘the interest rate swaps market is global
and market participants are interconnected’’); First
Determination, 77 FR 74287 (‘‘The Commission is
mindful of the benefits of harmonizing its
regulatory framework with that of its counterparts
in foreign countries. The Commission has therefore
monitored global advisory, legislative, and
regulatory proposals, and has consulted with
foreign regulators in developing the final
regulations.’’).
65 Bank of England, ‘‘Derivatives clearing
obligation—modifications to reflect interest rate
benchmark reform: Amendments to BTS 2015/
2205,’’ May 20, 2021, available at https://
www.bankofengland.co.uk/paper/2021/derivativesclearing-obligation-modifications-to-reflect-interestrate-benchmark-reform-amendments. The
consultation closed on July 14, 2021. Id.
66 The Bank of England initially proposed that the
JPY LIBOR clearing obligation be removed, rather
than replaced, due to uncertainty with respect to
which alternative reference rate would become the
market standard alternative for JPY LIBOR. While
the Japanese Study Group on Risk-Free Reference
Rates has identified TONA as its preferred JPY
LIBOR alternative, the Japanese Bankers
Association, which publishes TIBOR and Euroyen
TIBOR, is considering retaining JPY TIBOR while
discontinuing Euroyen TIBOR at the end of 2024.
See generally JBA TIBOR Administration, ‘‘Current
status and outlook of JBA TIBOR (March 2021),’’
Mar. 2021, available at https://www.jbatibor./or.jp/
english/about/a05337c8b9e2b22ccd2c
0464bc4b2e86b76098d3.pdf.
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proposed.67 However, citing recent
announcements by Japanese
authorities 68 and anticipated changes in
market activity,69 the Bank of England
proposed to add TONA OIS to the scope
of contracts subject to its clearing
obligation. The proposal contemplates
that the clearing obligation for TONA
OIS would come into force on December
6, 2021, and would cover a maturity
range of 7 days to 30 years.70
On July 9, 2021, the European
Securities and Markets Authority
(ESMA) published a public consultation
on draft regulatory technical standards
(RTS) amending ESMA’s clearing and
derivatives trading obligations.71 The
draft RTS proposes to eliminate the
clearing obligation for (i) GBP and JPY
LIBOR swaps in the basis and fixed-tofloating swap classes; (ii) GBP LIBOR
swaps in the FRA class; and (iii) EONIA
swaps in the OIS class.72 It also
proposes to add a clearing obligation to
the OIS class for ÖSTR and SOFR swaps
(in each case, for a maturity range of 7
67 Bank of England, ‘‘Derivatives clearing
obligation—modifications to reflect interest rate
benchmark reform: Amendments to BTS 2015/
2205,’’ Sept. 29, 2021, available at https://
www.bankof/england.co./uk/paper/2021/
derivatives-clearing-obligation-modifications-toreflect-interest-rate-benchmark-reform.
68 Japan’s Financial Services Agency published a
draft regulatory notice on September 8, 2021
requesting public comment on rules related to,
among other things, the obligation to centrally clear
over-the-counter derivatives transactions. Financial
Services Agency Weekly Review No. 456, Sept. 16,
2021, available at: https://www.fsa./go.jp/en/
newsletter/weekly/2021/456.html.
69 Specifically, the Bank of England cited (i) a
report from the Bank of Japan’s Sub-Group for the
Development of Term Reference Rates urging
market participants to cease new JPY LIBOR swaps
activity by the end of September 2021 and
recommending that TONA become the primary
replacement rate for JPY LIBOR; (ii)
recommendations by liquidity providers to change
quoting conventions from JPY LIBOR to TONA; and
(iii) a September 8, 2021 consultation by Japan’s
Financial Services Agency regarding changes to its
clearing obligation.
70 Bank of England, ‘‘Derivatives clearing
obligation—introduction of contracts referencing
TONA: Amendment to BTS 2015/2205,’’ Sept. 29,
2021 [hereinafter ‘‘Derivatives clearing obligation—
introduction of contracts referencing TONA:
Amendment to BTS 2015/2205’’], available at
https://www.bankof/england.co./uk/paper/2021/
derivatives-clearing-obligation-introduction-ofcontracts-referencing-tona; Bank of England, Public
Register for the Clearing Obligation, available at
https://www.bankofengland./co.uk/-/media/boe/
files/eu-withdrawal/clearing-obligation-publicregister.pdf. The consultation closed on October 27,
2021. Derivatives clearing obligation—introduction
of contracts referencing TONA: Amendment to BTS
2015/2205.
71 ESMA, ‘‘Consultation Paper: On the clearing
and derivative trading obligations in view of the
benchmark transition,’’ July 9, 2021, available at
https://www.esma./europa.eu/sites/default/files/
library/consultation_paper_on_the_co_and_dto_
for_swaps_referencing_rfrs.pdf. The consultation
closed on September 2, 2021. Id. at 8.
72 Id. at 37–39.
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days to 3 years) and extend the
maximum maturity range for SONIA
OIS from 3 years to 50 years.73 Once
ESMA finalizes the RTS, it will be
submitted to the European Commission
for endorsement.74
II. Market Adoption of Alternative
Reference Rates
A. Industry Initiatives
Consistent with calls for a broadly
coordinated benchmark reform effort by
the FSB Official Sector Steering Group,
Financial Stability Oversight Council,
and others, market participants have
played a critical role in the
identification, development, and
adoption of alternative reference rates
through leadership in and engagement
with alternative reference rate working
groups such as the ARRC, as well as
through influencing numerous aspects
of the adoption of alternative reference
rates via the provision of feedback in
public consultations by the ARRC,
ISDA, ICE, and others.75 Market
participants also have provided much of
the infrastructure needed for increased
market adoption of, and trading
liquidity in, derivatives referencing
alternative reference rates, including
providing for the offering of alternative
reference rate-linked futures contracts,
clearing of alternative reference ratelinked swaps, and adjusting PAI and
discounting methodology to rely on
alternative reference rates.
One of the most significant industry
initiatives to facilitate the transition
from IBORs to alternative reference rates
in interest rate swaps markets has been
ISDA’s efforts to update its standard
contract documentation to reflect
ongoing benchmark reform efforts,
including (i) ISDA’s 2020 IBOR
Fallbacks Protocol, published on
October 23, 2020, and (ii) ISDA’s
73 Id.
74 Id. at 8. The RTS will become effective on the
later of January 3, 2022 or 20 days after publication
in the Official Journal of the European Union. Id.
at 58–59.
75 See generally ISDA, Summary of Responses to
the ISDA 2020 Consultation on How to Implement
Pre-Cessation Fallbacks in Derivatives, May 14,
2020, available at https://www.isda./org/a/cuQTE/
2020./05.14-Pre-cessation-Re-Consultation-ReportFINAL.pdf; ISDA, Summary of Responses to the
ISDA Consultation on Final Parameters for the
Spread and Term Adjustment Methodology, Nov.
15, 2019, available at https://assets./isda.org/media/
3e16cdd2/d1b3283f.pdf; ISDA, Anonymized
Narrative Summary of Responses to the ISDA
Consultation on Term Fixings and Spread
Adjustment Methodology, Dec. 20, 2018, available
at https://assets./isda.org/media/04d213b6/
db0b0fd7.pdf; ARRC, ARRC Consultation on
Swaptions Impacted by the CCP Discounting
Transition to SOFR, Feb. 7, 2020, available at
https://www.newyorkfed.org/media/library/
Microsites/arrc/files/2020/ARRC_Swaption_
Consultation./pdf.
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66483
Supplement number 70 to the 2006
ISDA Definitions, finalized on October
23, 2020 and published and effective on
January 25, 2021 (IBOR Fallbacks
Supplement).76 The IBOR Fallbacks
Supplement, which applies to new
cleared and uncleared derivatives
contracts entered into on or after
January 25, 2021 that incorporate the
2006 ISDA Definitions and reference
any of the IBORs to which the
supplement applies, provides that
contracts referencing those IBORs will
fall back to adjusted versions of the RFR
identified for the relevant IBOR in the
event that an IBOR ceases or, in the case
of LIBOR, either ceases or is deemed
non-representative.77 Concurrent with
its publication of the IBOR Fallbacks
Supplement, ISDA also launched an
IBOR Fallbacks Protocol, which allows
counterparties to uncleared derivatives
transactions to bilaterally amend
existing uncleared transactions to
incorporate the fallbacks detailed in the
Supplement, effectively allowing
counterparties to apply the IBOR
Fallbacks Supplement’s amendments to
legacy uncleared swaps entered into
prior to the effective date of the IBOR
Fallbacks Supplement.78 On March 5,
2021, following the FCA’s statement
that all 35 LIBOR settings will either
permanently cease to be published or
become non-representative, ISDA
released guidance explaining that its
fallbacks will become effective on the
date that each of the relevant settings
will cease publication or become nonrepresentative.79 The ARRC and
regulators have called for widespread
adherence to ISDA’s IBOR Fallbacks
Protocol as an important means of
minimizing potential market disruption
76 ISDA, ‘‘Amendments to the 2006 ISDA
Definitions to include new IBOR fallbacks,’’ Oct. 23,
2020, available at https://assets.isda.org/media/
3062e7b4/23aa1658.pdf; ISDA, ISDA 2020 IBOR
Fallbacks Protocol, Oct. 23, 2020 [hereinafter ‘‘IBOR
Fallbacks Protocol’’], available at https://assets.
isda.org/media/3062e7b4/08268161-pdf/.
77 The following IBORs are within the scope of
the IBOR Fallbacks Supplement: GBP LIBOR, CHF
LIBOR, USD LIBOR, EUR LIBOR, EURIBOR, JPY
LIBOR, TIBOR, Euroyen TIBOR, BBSW, CDOR,
HIBOR, SOR, and THBFIX. The IBOR Fallbacks
Supplement also provides that if a specific LIBOR
tenor is discontinued or declared nonrepresentative, it is to be determined based on
linear interpolation if the next longest and shortest
tenor remain available. See generally IBOR
Fallbacks Supplement. For instance, under ISDA’s
fallback methodology, between December 31, 2021
and June 30, 2023, the 1-week and 2-month USD
LIBOR settings are to be calculated using linear
interpolation.
78 See generally IBOR Fallbacks Protocol.
79 ISDA, Future Cessation and NonRepresentative Guidance, Mar. 5, 2021, available at
https://www.isda.org/a/dIFTE/ISDA-Guidance-onFCA-announcement_LIBOR-Future-Cessation-andNon-Representativeness-April-Update.pdf.
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as a result of a LIBOR cessation.80 As of
November 2021, over 14,700 parties had
adhered to ISDA’s Protocol.81
ISDA’s IBOR Fallbacks Supplement
also has provided DCOs with a template
to adopt, with adjustments, changes that
are required to transition cleared swaps
referencing IBORs to alternative
reference rates, in order to ensure that
the swaps can continue to be riskmanaged. The FSB specifically urged
providers of cleared products that
reference IBORs to ensure that those
products incorporate fallback provisions
with the process of transferring
positions. A number of DCOs have
started clearing OIS in SOFR and other
alternative reference rates.84 A table
with clearing availability at DCOs
registered under the CEA is included
below. This table does not include
DCOs exempt from registration under
the CEA or any other central
counterparty that is not a registered
DCO where additional liquidity in
alternative reference rate products may
exist.
aligned with those in the IBOR
Fallbacks Supplement.82 Several DCOs
have adopted rule amendments to
facilitate the use of the alternative
reference rates provided for in the IBOR
Fallbacks Supplement in cleared swap
contracts.83
B. Availability of Clearing
As the market for interest rate swaps
moves away from IBORs to alternative
reference rates, DCOs have started to
transition their product offerings and
are working to assist clearing members
ALTERNATIVE REFERENCE RATE CLEARING AVAILABILITY
Currency
Floating rate
Basis Swaps ................
AUD ............................
CAD ............................
EUR ............................
GBP ............................
JPY .............................
SGD ............................
USD ............................
BBSW–AONIA ............
CDOR–CORRA ..........
EURIBOR-ÖESTR ......
LIBOR–SONIA ...........
LIBOR–TONA .............
SOR–SORA ...............
LIBOR–SOFR .............
Fed Funds-SOFR .......
AONIA ........................
CORRA ......................
SARON .......................
ÖESTR ........................
SONIA ........................
TONA .........................
SORA .........................
SOFR .........................
Overnight Index Swaps
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DCOs clearing the swaps
(termination date range offered)
Swap class
AUD ............................
CAD ............................
CHF ............................
EUR ............................
GBP ............................
JPY .............................
SGD ............................
USD ............................
LCH (up to 31 yrs).
LCH (up to 31 yrs).
CME (up to 51 yrs), Eurex (up to 51 yrs),
Eurex (up to 51 yrs), LCH (up to 51 yrs).
Eurex (up to 31 yrs), LCH (up to 41 yrs).
LCH (up to 21 yrs).
CME (up to 51 yrs), Eurex (up to 51 yrs),
CME (up to 51 yrs), Eurex (up to 51 yrs),
CME (up to 31 yrs), LCH (up to 31 yrs).
CME (up to 31 yrs), LCH (up to 31 yrs).
CME (up to 31 yrs), Eurex (up to 31 yrs),
CME (up to 51 yrs), Eurex (up to 51 yrs),
CME (up to 51 yrs), Eurex (up to 51 yrs),
CME (up to 31 yrs), Eurex (up to 31 yrs),
LCH (up to 21 yrs).
CME (up to 51 yrs), Eurex (up to 51 yrs),
LCH (up to 51 yrs).
LCH (up to 51 yrs).
LCH (up to 51 yrs).
LCH
LCH
LCH
LCH
(up
(up
(up
(up
to
to
to
to
31
51
51
41
yrs).
yrs).
yrs).
yrs).
LCH (up to 51 yrs).
Certain DCOs have observed that
market participants identified some
challenges with respect to implementing
ISDA’s fallbacks for both cleared and
uncleared contracts: (1) The bifurcation
of liquidity between trading in legacy
IBOR contracts that reference alternative
reference rates (a pool of contracts that
would become less liquid over time
with increasing adoption of alternative
reference rates), and ‘‘‘new’ OIS
contracts’’; and (2) significant costs
related to the operational upgrades
required to calculate floating rate
coupons and update valuation
methodologies.85 DCOs continue to
consider how to address these concerns
through discussions with their clearing
members and other market participants.
One way that certain DCOs are
attempting to mitigate these problems is
to transition outstanding cleared IBORlinked products to market standard RFR
OIS through conversion events prior to
the cessation of certain IBORs.
80 E.g., Statement of Chairman Tarbert; ARRC,
‘‘ARRC Urges Timely and Widespread Adherence to
the Protocol,’’ Oct. 22, 2020, available at https://
www.newyorkfed.org/medialibrary/Microsites/arrc/
files/2020/ARRC_Press_Release_ISDA_Protocol.pdf;
FSB, Global Transition Roadmap for LIBOR
[hereinafter ‘‘Global Transition Roadmap for
LIBOR’’], Oct. 16, 2020, at 2, available at https://
www.fsb.org/wp-content/uploads/P161020-1.pdf.
81 ISDA, List of Adhering Parties, https://
www.isda.org/protocol/isda-2020-ibor-fallbacksprotocol/adhering-parties.
82 Global Transition Roadmap for LIBOR at 2.
83 ISDA’s Fallbacks Supplement and changes to
reference rates have prompted ISDA to undertake a
comprehensive review of their interest rate swap
definitions. As a result, ISDA has produced a new
set of interest rate derivatives definitions that DCOs
are incorporating into their rulebooks. E.g., LCH,
LCH Limited Self-Certification: 2021 ISDA Interest
Rate Derivatives Definitions, Sept. 17, 2021,
available at https://www.lch.com/system/files/
media_root/FINAL%20-%20LCH%20self%20cert_
2021%20ISDA%20Defs%202021%2009%2017
%20v1.pdf; CME, CME Submission No. 21–431,
CFTC Regulation 40.6(a) Certification, Amendments
to CME Chapters 900 (‘‘Interest Rate Products’’) and
901 (‘‘Interest Rate Swaps Contract Terms’’) in
Connection with the Implementation of 2021 ISDA
Definitions for Over-the-Counter Interest Rate Swap
Products, Sept. 17, 2021, available at https://
www.cmegroup.com/content/dam/cmegroup/
market-regulation/rule-filings/2021/9/21-431.pdf;
Eurex, ECAG Rule Certification 074–21, Aug. 23,
2021, available at https://www.eurex.com/resource/
blob/2754378/c6faf642c399f93edfb030274a0c79b4/
data/ecag_cftc_filing_for_circular_074-21.pdf.
84 Eurex, EurexOTC Clear Product List, available
at https://www.eurex.com/resource/blob/227404/
03073af977450b1834d84eae808c7a7e/data/
ec15075e_Attach.pdf; CME, Cleared OTC Interest
Rate Swaps, available at https://
www.cmegroup.com/trading/interest-rates/clearedotc.html#; CME, CME OTC IRS Supported Product
List, available at https://www.cmegroup.com/
trading/interest-rates/cleared-otc/files/cme-otc-irssupported-product-list.xlsx; LCH, What We Clear,
available at https://www.lch.com/services/
swapclear/what-we-clear; LCH, Product Specific
Contract Terms and Eligibility Criteria Manual, Oct.
15, 2021, available at https://www.lch.com/system/
files/media_root/211015%20-%20Product
%20Specific%20Contract%20Terms%20
%28EMTA%20Template%20and%20JS
%20deletions%29.pdf.
85 CME, Cleared Swaps Considerations for IBOR
Fallback and Conversion Proposal, Jan. 14, 2021,
available at https://www.cmegroup.com/trading/
interest-rates/files/cleared-swaps-considerationsfor-ibor-fallbacks-and-conversion-proposal.pdf.
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For example, CME, Eurex, and LCH
launched processes to replace cleared
swaps contracts referencing EONIA
outstanding after October 15, 2021 with
a conversion to ÖSTR.86 EONIA will be
discontinued on January 3, 2022. The
European Money Markets Institute
publishes EONIA and has committed to
publishing the benchmark rate until
January 3, 2022.87 Nonetheless, these
DCOs have conducted an early
transition from cleared positions in
EONIA to ÖSTR. LCH plans to convert
cleared CHF, EUR, and JPY LIBOR
contracts outstanding at close of
business on December 3, 2021, and
cleared GBP LIBOR contracts
outstanding at close of business on
December 17, 2021, to standardized
alternative reference rate contracts.88
CME and Eurex plan to convert cleared
CHF LIBOR, JPY LIBOR, and GBP
LIBOR contracts to standardized
alternative reference rate contracts on
the same timeline.89 DCOs may change
these plans or decide to stop clearing
other products in the lead up to the
IBOR transition as well. The
Commission encourages market
participants to consider these changes to
product offerings as they plan to
transition their IBOR-linked swaps.
The Commission anticipates that DCO
product offering changes (i.e.,
discontinuing clearing for certain LIBOR
products after the contract conversion
date) may make the current Clearing
Requirement impossible to satisfy. The
Commission is monitoring the evolution
of conversion plans, and potential
conversion-related challenges, and seeks
input from the public about this and
other topics in the sections below.
C. Current Trends in Alternative
Reference Rates
The effort to shift trading liquidity
and outstanding notional derivatives
positions from IBORs to alternative
reference rates by the industry has
begun, but certain currency and rate
pairs have seen more activity in
alternative reference rates than others.
Clarus Financial Technology (CFT)
submitted a response to IBA’s December
2020 consultation that outlined their
conclusions regarding data on global
trading activity in cleared OTC
derivatives and exchange-traded interest
rate derivatives that reference LIBOR in
each of the five LIBOR currencies.90
CFT commented that based on its
review of derivatives data: (i) Market
participants have shifted derivatives
activity from GBP LIBOR to SONIA
positions; (ii) markets have developed to
facilitate the transfer of USD LIBOR
positions to SOFR, but market
participants have not made significant
progress transferring those positions;
and (iii) there has been some progress in
transferring derivatives activity from
CHF and JPY LIBOR to those
benchmarks’ respective alternative
reference rates, but progress has been
slow.91
CFT observed that there have been
low volumes of EUR LIBOR-linked
derivatives historically and did not
comment on the cessation of EUR
LIBOR.92 Data reported by ISDA also
indicates that there has been only
limited activity in EUR LIBOR-based
derivatives.93
With respect to the USD LIBOR
market, CFT observed that trading
activity in USD derivatives markets has
not changed materially in response to
the calls to transition away from USD
LIBOR. CFT stated that the although
SOFR products trading doubled from
86 See CME, CME Submission No. 21–413, CFTC
Regulation 40.6(a) Certification, Notification
Regarding Modification of Cleared Euro Overnight
Index Average (‘‘EONIA’’) Overnight Index Swaps
to Reference Euro Short Term Rate (‘‘ÖSTR’’) Ahead
of Scheduled Discontinuation of EONIA, Sept. 29,
2021, available at https://www.cmegroup.com/
content/dam/cmegroup/market-regulation/rulefilings/2021/9/21-413.pdf; Eurex Clearing, ECAG
Rule Certification 081–21, Sept. 16, 2021
[hereinafter ‘‘ECAG Rule Certification 081–21’’],
available at https://www.eurex.com/resource/blob/
2781070/61d1fccdd00bc1a06753877a5fa3f483/
data/ecag_cftc_filing_for_circular_081-21.pdf;
Eurex, Eurex Clearing Circular 111/20 EurexOTC
Clear: Summary of Consultation on the Transition
Plan for Transactions Referencing the EONIA
Benchmark, Dec. 14, 2020, available at https://
www.eurex.com/ec-en/find/circulars/clearingcircular-2373634; LCH, LCH Limited SelfCertification: Benchmark Reform—Rates
Conversion, Sept. 29, 2021, (hereinafter ‘‘LCH
Limited Self-Certification: Benchmark Reform—
Rates Conversion’’) available at https://
www.lch.com/system/files/media_root/FINAL%20%20LCH%20self%20cert_Benchmark%20Reform
%202021%2009%2029%20v3%20%28Clean
%29.pdf.
87 European Money Markets Institute, About
EONIA, available at https://www.emmibenchmarks.eu/euribor-eonia-org/about-eonia.html.
88 LCH Limited Self-Certification: Benchmark
Reform—Rates Conversion; LCH, Supplementary
Statement on LCH’s Solution for Outstanding
Cleared LIBOR Contracts, LCH Circular No. 4146,
Mar. 18, 2021, available at https://www.lch.com/
membership/ltd-membership/ltd-member-updates/
supplementary-statement-lchs-solutionoutstanding.
89 ECAG Rule Certification 081–21; CME, CME
IBOR Conversion Plan for Cleared Swaps, June 9,
2021, available at https://www.cmegroup.com/
trading/interest-rates/files/cleared-swapsconsiderations-for-ibor-fallbacks-and-conversionplan.pdf. On September 24, 2021, CME converted
LIBOR-linked basis swaps to pairs of offsetting
fixed-to-floating swaps.
90 IBA, List of Non-Confidential Responses, at 3,
available at https://www.theice.com/publicdocs/
List_of_non-confidential_responses.pdf.
91 Id.
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66485
2019 to 2020, it remains at low levels.
In October 2020, as market participants
managed the transition from the EFFR to
SOFR discounting and PAI/PAA at LCH
and CME, SOFR trading activity
increased.94 CFT believes this data
demonstrates that market participants
are able to use SOFR derivatives to
manage risks when there is demand.
The decline in SOFR trading after the
October 2020 discounting event shows
that market participants were able to use
SOFR derivatives when needed, but
have not continued to use SOFR and
instead have reverted to USD LIBOR. As
demonstrated by the data below, trading
in SOFR swaps has not approached the
levels of USD LIBOR trading, in
notional value or trade count, but it has
increased substantially in recent weeks.
The data on GBP LIBOR swaps
activity presents evidence that market
participants are transitioning to SONIA
derivatives. CFT attributes some of the
success of the transition to the
statements made by UK regulators.95
Overall, the swaps activity in SONIA
provides evidence that market
participants are shifting derivatives
positions in GBP to SONIA.
Levels of trading and swaps activity
in CHF SARON and JPY TONA had
previously not been rising rapidly year
over year, but data from more recent
months in 2021 have shown substantial
increases in the notional value traded
and number of trades alongside a
significant decrease in the trading of
CHF LIBOR and JPY LIBOR. Recently,
CFT highlighted rapid shifts from the
low levels of trading in CHF SARON
and JPY TONA in March 2021, to almost
50 percent of the market risk in those
currencies.96 More detailed data related
to notional value traded and trade count
for certain interest rate swaps in recent
weeks.
92 Id.
at 4.
SwapsInfo, updated weekly, available at
https://isda.informz.net/z/cjUucD9taT04Mz
A0NjUwJnA9MSZ1PTg0MzY2NjIx
NyZsaT03MDQ4MTA0OA/. ISDA
SwapsInfo collects data from the Depository Trust
& Clearing Corporation (DTCC) swap data
repository, and in the past had included data from
the Bloomberg swap data repository (BSDR LLC).
94 IBA, List of Non-Confidential Responses, at 11,
available at https://www.theice.com/publicdocs/
List_of_non-confidential_responses.pdf. See also
ARRC, Progress Report: The Transition from U.S.
Dollar LIBOR, at 6, Mar. 22, 2021, available at
https://www.newyorkfed.org/medialibrary/
Microsites/arrc/files/2021/20210322-arrc-pressrelease-USD-LIBOR-Transition-Progress-Report.pdf.
95 IBA, List of Non-Confidential Responses, at 8,
available at https://www.theice.com/publicdocs/
List_of_non-confidential_responses.pdf.
96 CFT, RFR Trading is Now at 50% in CHF and
JPY!, Sept. 15, 2021, available at https://
www.clarusft.com/rfr-trading-is-now-at-50-in-chfand-jpy/.
93 ISDA
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Federal Register / Vol. 86, No. 223 / Tuesday, November 23, 2021 / Proposed Rules
NOTIONAL VALUE OF SWAPS TRADED 97
[Measured in U.S. dollars, billions]
Currency and floating rate
Week ending on
October 22, 2021
Week ending on
October 29, 2021
Week ending on
November 5, 2021
1,814.4
294.4
88.3
1,218.8
6.2
9.2
5.7
36.9
785.3
178.6
2,065.2
291.0
31.6
668.8
3.3
11.6
6.4
33.5
805.4
292.0
1,698.0
282.3
164.1
931.3
1.2
14.2
6.8
47.0
1,052.4
324.1
Week Ending on
October 22, 2021
Week Ending on
October 29, 2021
Week Ending on
November 5, 2021
12,443
2,935
1,768
3,201
124
199
541
515
7,559
666
13,742
3,093
552
3,557
154
277
412
586
7,798
733
12,397
2,805
1,224
4,002
34
291
250
626
9,152
1,009
USD LIBOR ...............................................................................................................
SOFR ..................................................................................................................
GBP LIBOR ...............................................................................................................
SONIA .................................................................................................................
CHF LIBOR ................................................................................................................
SARON ...............................................................................................................
JPY LIBOR ................................................................................................................
TONA ..................................................................................................................
EURIBOR ...................................................................................................................
ÖSTR ..................................................................................................................
TRADE COUNT OF SWAPS REPORTED 98
Currency and floating rate
USD LIBOR ...............................................................................................................
SOFR ..................................................................................................................
GBP LIBOR ...............................................................................................................
SONIA .................................................................................................................
CHF LIBOR ................................................................................................................
SARON ...............................................................................................................
JPY LIBOR ................................................................................................................
TONA ..................................................................................................................
EURIBOR ...................................................................................................................
ÖSTR ..................................................................................................................
As discussed above, clearing in the
alternative reference rates is available at
more than one DCO. According to data
from LCH’s SwapClear service, clearing
in certain alternative reference rates has
increased over the past few months.
Most notably, the outstanding notional
amount of cleared SOFR swaps has
increased substantially.
LCH SWAPCLEAR STATISTICS 99 NOTIONAL AMOUNTS OUTSTANDING AS OF MONTH-END
[Measured in U.S. dollars, billions]
Month ending
August 2021
Currency and floating rate
USD SOFR ................................................................................................................
GBP SONIA ...............................................................................................................
CHF SARON ..............................................................................................................
JPY TONA .................................................................................................................
EUR ÖSTR .................................................................................................................
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Finally, Commission staff has been
monitoring data reported to DTCC’s
97 ISDA SwapsInfo, updated weekly, available at
https://isda.informz.net/z/cjUucD9taT04M
zA0NjUwJnA9MSZ1PTg0MzY2NjIx
NyZsaT03MDQ4MTA0OA/. ISDA
SwapsInfo collects data from DTCC, and in the past
had included data from BSDR LLC.
98 ISDA SwapsInfo, updated weekly, available at
https://isda.informz.net/z/cjUucD9taT04MzA0Nj
UwJnA9MSZ1PTg0MzY2NjIxNyZsa
T03MDQ4MTA0OA/. ISDA SwapsInfo
collects data from DTCC swap data repository, and
in the past had included data from BSDR LLC.
99 LCH SwapClear reports statistics on the
monthly registration volume as well as the notional
amounts outstanding at the month end of swaps
referencing one of the listed RFRs, updated
monthly, available at https://www.lch.com/services/
swapclear/volumes/rfr-volumes.
100 Commission staff believes that the volume of
swap activity cleared is a better measure of overall
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7,292.45
23,041.30
633.74
593.83
1,959.42
swap data repository and CME’s swap
data repository in order to track the rate
of voluntary clearing in certain RFRs.
Reviewing swap transaction data from
January 2021 to October 2021, the
Commission staff has estimated that
over 90% of the volume of fixed-tofloating swaps referencing USD SOFR,
GBP SONIA, CHF SARON, JPY TONA,
and EUR ÖSTR has been cleared on a
voluntary basis.100 The Commission
will continue to monitor the level of
cleared and uncleared swaps activity in
clearing rates than the number of transactions
submitted for clearing. Commission staff has
prepared these conservative estimates by excluding
certain transactions between affiliated entities.
Such affiliated entities may or may not be subject
to the Clearing Requirement.
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Month ending
September 2021
8,595.71
25,089.41
725.71
776.84
2,329.71
Month ending
October 2021
11,068.33
29,795.27
888.89
1,073.85
19,075.77
the alternative reference rates as the
transition away from IBORs proceeds.
III. Request for Information
The Commission recognizes that
information related to the transition
away from IBORs is changing daily, and
that the information reflected in certain
statements above may have changed as
of the publication of this request for
information. The Commission invites
commenters to provide new or updated
information related to any aspect of the
transition away from IBORs that may
offer additional background for the
Commission to consider. In addition,
the Commission encourages
commenters to include the assigned
number of the specific request for
information below in their responses in
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order to facilitate staff’s review of
information provided.
to market participants’ outstanding net
LIBOR risk as of November 30, 2021.
A. Swaps Subject to the Clearing
Requirement
The Commission requests information
related to a DCO’s ability to continue
clearing or offering clearing services for
swaps that reference GBP LIBOR, JPY
LIBOR, CHF LIBOR, and 1-week and 2month USD LIBOR after December 31,
2021, EONIA after January 3, 2022, or in
the case of remaining USD LIBOR tenors
and SGD SOR–VWAP, after June 30,
2023, including but not limited to the
following:
1. The Commission requests that
DCOs provide, for swaps currently
subject to the Clearing Requirement
referencing each of GBP LIBOR, JPY
LIBOR, CHF LIBOR, USD LIBOR, and
SGD SOR–VWAP, in each of the fixedto-floating swap, basis swap, FRA, and
OIS classes, data for the month ending
November 30, 2021 concerning: (A) The
amount of notional cleared, including as
a percentage of total notional cleared of
all swaps; (B) total notional outstanding,
including as a percentage of total
notional outstanding; and (C) total
number of clearing members clearing
such swaps, including as a percentage of
the total population of clearing
members.
2. The Commission requests that
DCOs provide an assessment of the
DCO’s ability to conduct an auction of
a defaulting clearing member’s positions
in swaps referencing LIBOR after
December 31, 2021 (not including
certain USD LIBOR tenors and SGD
SOR–VWAP that will continue until
June 30, 2023), if the DCO has not
conducted, or is not planning on
conducting, a conversion event.
3. The Commission requests that
DCOs provide an assessment of the
DCO’s ability to transfer or port to other
clearing members a defaulting clearing
member’s positions in swaps
referencing LIBOR after December 31,
2021 (not including certain USD LIBOR
tenors and SGD SOR–VWAP that will
continue until June 30, 2023).
4. The Commission would like to
know whether any clearing member
firms of DCOs have experienced
challenges with respect to the transition
from any IBOR to an alternative
reference rate, and any related DCO
conversion event, including whether
and how such challenges were resolved,
and whether clearing member firms
believe there are any steps the
Commission can take to help resolve
ongoing challenges.
5. The Commission requests that
registered swap dealers and other
market participants provide data related
B. Swaps Not Currently Subject to the
Clearing Requirement
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6. The Commission requests that
DCOs file submissions with the
Commission under Commission
regulation 39.5 for any swaps that have
been or may be identified as swaps that
reference an alternative reference rate
that are not currently subject to the
Clearing Requirement and for which a
DCO has not previously filed a
submission under Commission
regulation 39.5(b).
7. The Commission requests that
DCOs provide for swaps that reference
one of the alternative reference rates
including, GBP SONIA, JPY TONA, CHF
SARON, ÖSTR, and USD SOFR in each
of the fixed-to-floating swap, basis
swap, FRA, and OIS classes, data from
the quarter ending September 30, 2021
concerning: (A) The amount of notional
cleared, including as a percentage of
total notional cleared of all swaps; (B)
total notional outstanding, including as
a percentage of total notional
outstanding; and (C) total number of
clearing members clearing such swaps,
including as a percentage of the total
population of clearing members.
IV. Request for Comment
A. General Request for Comment
The Commission requests comment
on all aspects of the swap clearing
requirement and any related regulations
that may be affected by the transition
away from LIBOR and the other IBORs
to alternative reference rates. The
Commission seeks comments on these
matters generally and commenters are
encouraged to address any relevant
matters that are not specifically
identified in the requests for comment
below. Detailed instructions on how and
when to submit comments in response
to this request for comment are located
at the beginning of this document in the
ADDRESSES and DATES sections.
In responding to this general request
for comment, and the specific requests
for comment below, the Commission
encourages commenters to provide
empirical support for their arguments
and analyses. Furthermore, comments
that identify and provide specific
information or data that would be
relevant to the Commission’s
considerations discussed in this request
for comment would be of the greatest
assistance to the Commission.
As noted above in the Commission’s
request for information section, the
Commission recognizes that the
information related to the IBOR
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66487
transition is changing daily and that
some of the information reflected in the
statements above may have changed as
of the publication of this request for
comment. The Commission invites
commenters to assume certain facts or
information that may have changed or
been released after this document was
published for comment, and would
appreciate comments identifying any
relevant information that the
Commission may have missed in its
review. The Commission welcomes
comments based on new or updated
information when responding to the
questions below. In addition, the
Commission encourages commenters to
include the assigned number of the
specific request for comment below in
their responses in order to facilitate
staff’s review of information provided.
B. Specific Requests for Comment
i. Current Swap Clearing RequirementRelated Questions
1. Are market participants concerned
about access to clearing for certain
swaps that are subject to the Clearing
Requirement? If so, are there any
Commission actions or regulatory
amendments that could facilitate the
IBOR transition for market participants?
2. Please discuss recommendations
for how the Commission should modify
its Clearing Requirement under
Commission regulation 50.4 and any
related advantages or disadvantages
(including anticipated costs) that might
be expected from a specific approach.
3. More specifically, should the
Commission modify the termination
date range, or any other specifications,
with respect to SONIA OIS, AONIA OIS,
CORRA OIS or any other OIS that are
subject to the Clearing Requirement and
for which the index has been nominated
as an alternative reference rate? If such
an amendment is recommended, please
discuss a potential timeline for
considering and adopting a modification
and the reasons for adopting such
timeline.
4. Should the Commission revise the
clearing requirement related to the SGD
SOR–VWAP rate as part of the initial
LIBOR transition or should market
participants be given additional time to
consider changes to SGD SOR–VWAP
Clearing Requirement because it is
based on USD LIBOR (and may continue
until 2023)?
ii. Swap Clearing Requirements for
Alternative Reference Rates
5. Are market participants concerned
about access to clearing for certain
swaps that reference alternative
reference rates and are not currently
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Federal Register / Vol. 86, No. 223 / Tuesday, November 23, 2021 / Proposed Rules
subject to the Clearing Requirement? If
so, please explain current or anticipated
barriers to clearing swaps in alternative
reference rates.
6. Are there any steps related to the
SOFR transition that have not been
completed that would enable a
significant number of market
participants to submit swaps referencing
SOFR to clearing? Are there specific
metrics or products associated with the
new SOFR rate that need to be
developed before swaps referencing
SOFR can be used by a broad range of
market participants?
7. Would requiring the clearing of
swaps referencing SOFR or other
alternative reference rates that are not
currently subject to the Clearing
Requirement affect the ability of a DCO
to comply with the CEA’s core
principles for DCOs?
8. Are there specific data the
Commission should consider in
determining whether significant
notional amount and liquidity exists in
swaps referencing SOFR or other
alternative reference rates that are not
currently subject to the Clearing
Requirement?
9. Are there specific thresholds that
the Commission should apply with
respect to notional amount and liquidity
in determining whether swaps
referencing SOFR or other alternative
reference rates that are not currently
subject to the Clearing Requirement
should be subject to the clearing
requirement?
10. Have market participants observed
sufficient outstanding notional
exposures and trading liquidity in
swaps referencing SOFR during both
stressed and non-stressed market
conditions to support a clearing
requirement?
11. Is there adequate pricing data for
DCO risk and default management of
swaps referencing SOFR? Why or why
not?
12. What are the challenges that DCOs
may face or have faced in accepting new
SOFR swaps or swaps referencing other
alternative reference rates for clearing
that are not currently subject to the
Clearing Requirement from a
governance, rule framework,
operational, resourcing, or credit
support infrastructure perspective?
13. Would requiring the clearing of
swaps referencing SOFR mitigate
systemic risk? Please explain why or
why not and provide supporting data.
14. Would requiring the clearing of
swaps referencing SOFR increase risk to
DCOs? If so, are DCOs capable of
managing that risk? Please explain why
or why not and provide supporting data.
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15. Would adopting a clearing
requirement for swaps referencing SOFR
or other alternative reference rates that
are not currently subject to the Clearing
Requirement materially and beneficially
affect trading activity in those swaps?
16. How and when should the
Commission evaluate whether to require
clearing for interest rate swaps
denominated in USD that reference
alternative reference rates other than
SOFR, such as credit-sensitive
benchmark rates (e.g., Ameribor and
BSBY)? Provided that one or more DCOs
have made such swaps available for
clearing, are there additional factors or
considerations beyond those specified
in Section 2(h)(2)(D)(ii) of the CEA that
the Commission should consider in
determining whether to adopt a clearing
requirement for such swaps?
17. Would adopting a clearing
requirement for a new product that
references an alternative reference rate,
or expanding the scope of the Clearing
Requirement to cover additional
maturities, create conditions that
increase or facilitate an exercise of
market power over clearing services by
any DCO that would: (i) Adversely affect
competition for clearing services and/or
access to product markets for swaps
referencing alternative reference rates
(including conditions that would
adversely affect competition for these
product markets and/or increase the
cost of such swaps); or (ii) increase the
cost of clearing services? Please explain
why or why not and provide supporting
data.
18. What new information, if any,
should the Commission consider as it
prepares to review whether interest rate
swaps linked to the alternative reference
rates should be subject to a clearing
requirement? Are there specific
regulatory requirements that the
Commission should consider when
reviewing overall market conditions,
such as uncleared margin requirements
implemented by prudential regulators
and/or the uncleared margin
requirements for swap dealers and
major swap participants under part 23
of the Commission’s regulations?
iii. New Swap Product Documentation
19. With respect to all new swap
products, including those referencing
alternative reference rates, is there
additional documentation that the
Commission should require DCOs to
submit with swap submissions beyond
the documentation that Commission
regulation 39.5 currently requires?
iv. Swap Clearing Requirement
Specifications
20. The Commission recognizes that
at this time a majority of the swaps
PO 00000
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Fmt 4702
Sfmt 4702
subject to the Clearing Requirement fall
within the fixed-to-floating swap class.
That may change as new alternative
reference rates are adopted and will be
characterized as OIS or other types of
swaps. Should the Commission
designate any additional classes of
swaps or specifications for purposes of
classifying swaps under Commission
regulation 50.4? Do DCOs or market
participants have suggestions about how
to reorganize or structure the classes of
swaps subject to the clearing
requirement under Commission
regulation 50.4? Should the Commission
include a new class covering variable
notional swaps as a table under
Commission regulation 50.4(a)?
v. Cost-Benefit Considerations
21. The Commission requests
comment from DCOs and market
participants on the nature and extent of
any operational, compliance, or other
costs they may incur as a result of
potential changes to the Clearing
Requirement in response to the marketwide shift to alternative reference rates.
Please provide supporting data.
Issued in Washington, DC, on November
17, 2021, by the Commission.
Robert Sidman,
Deputy Secretary of the Commission.
Note: The following appendix will not
appear in the Code of Federal Regulations.
Appendix To Swap Clearing
Requirement Amendments To Account
for the Transition from LIBOR and
Other IBORs to Alternative Reference
Rates—Commission Voting Summary
On this matter, Acting Chairman
Behnam and Commissioner Stump
voted in the affirmative. No
Commissioner voted in the negative.
[FR Doc. 2021–25450 Filed 11–22–21; 8:45 am]
BILLING CODE 6351–01–P
SOCIAL SECURITY ADMINISTRATION
20 CFR Part 418
[Docket No. SSA–2021–0006]
RIN 0960–AI55
Addressing Certain Types of Fraud
Affecting Medicare Income Related
Monthly Adjusted Amounts (IRMAA)
Social Security Administration.
Advance notice of proposed
rulemaking (ANPRM).
AGENCY:
ACTION:
Certain Medicare
beneficiaries may have their taxable
income affected by fraudulent activity,
which in turn could affect the amount
SUMMARY:
E:\FR\FM\23NOP1.SGM
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Agencies
[Federal Register Volume 86, Number 223 (Tuesday, November 23, 2021)]
[Proposed Rules]
[Pages 66476-66488]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2021-25450]
=======================================================================
-----------------------------------------------------------------------
COMMODITY FUTURES TRADING COMMISSION
17 CFR Part 50
RIN 3038-AF18
Swap Clearing Requirement To Account for the Transition From
LIBOR and Other IBORs to Alternative Reference Rates
AGENCY: Commodity Futures Trading Commission.
ACTION: Request for information and comment.
-----------------------------------------------------------------------
SUMMARY: The Commodity Futures Trading Commission (Commission or CFTC)
is seeking information and public comment on how the Commission could
amend its swap clearing requirement to address the cessation of certain
interbank offered rates (IBORs) (e.g., the London Interbank Offered
Rate (LIBOR)) used as benchmark reference rates and the market adoption
of alternative reference rates; namely, overnight, nearly risk-free
reference rates (RFRs). The Commission is requesting input from market
participants and all interested members of the public on aspects of the
Commission's swap clearing requirement that may be affected by the
transition from certain IBORs to alternative reference rates.
DATES: Comments must be received on or before January 24, 2022.
ADDRESSES: You may submit comments, identified by RIN 3038-AF18, by any
of the following methods:
CFTC Comments Portal: https://comments.cftc.gov. Select
the ``Submit Comments'' link for this rulemaking and follow the
instructions on the Public Comment Form.
Mail: Send to Christopher Kirkpatrick, Secretary of the
Commission, Commodity Futures Trading Commission, Three Lafayette
Centre, 1155 21st Street NW, Washington, DC 20581.
Hand Delivery/Courier: Follow the same instructions as for
Mail, above. Please submit your comments using only one of these
methods. Submissions through the CFTC Comments Portal are encouraged.
All comments must be submitted in English, or if not, accompanied by an
English translation. Comments will be posted as received to https://comments.cftc.gov. You should submit only information that you wish to
make available publicly. If you wish the Commission to consider
information that you believe is exempt from disclosure under the
Freedom of Information Act, a petition for confidential treatment of
the exempt information may be submitted according to the procedures
established in Sec. 145.9 of the Commission's regulations. The
Commission reserves the right, but shall have no obligation, to review,
pre-screen, filter, redact, refuse or remove any or all of your
submission from https://comments.cftc.gov that it may deem to be
inappropriate for publication, such as obscene language.
FOR FURTHER INFORMATION CONTACT: Sarah E. Josephson, Deputy Director,
at 202-418-5684 or [email protected]; Melissa D'Arcy, Special
Counsel, at 202-418-5086 or [email protected]; or Daniel O'Connell,
Special Counsel, at 202-418-5583 or [email protected]; each in the
Division of Clearing and Risk at the Commodity Futures Trading
Commission, Three Lafayette Centre, 1155 21st Street NW, Washington, DC
20581.
SUPPLEMENTARY INFORMATION:
Table of Contents
I. Background
A. The Commission's Swap Clearing Requirement
B. The End of LIBOR
C. Identification of Alternative Reference Rates
D. Transition to Alternative Reference Rates
E. International Regulatory Developments
II. Market Adoption of Alternative Reference Rates
A. Industry Initiatives
B. Availability of Clearing
C. Current Trends in Alternative Reference Rates
III. Request for Information
A. Swaps Subject to the Clearing Requirement
B. Swaps Not Currently Subject to the Clearing Requirement
IV. Request for Comment
A. General Request for Comment
B. Specific Requests for Comment
[[Page 66477]]
I. Background
A. The Commission's Swap Clearing Requirement
Over a decade has passed since the Dodd-Frank Wall Street Reform
and Consumer Protection Act (Dodd-Frank Act) \1\ established a
comprehensive new regulatory framework for swaps. Title VII of the
Dodd-Frank Act (Title VII) amended the Commodity Exchange Act (CEA) to
require, among other things, that a swap be cleared through a
derivatives clearing organization (DCO) that is registered under the
CEA or a DCO that is exempt from registration under the CEA if the
Commission has determined that the swap, or group, category, type, or
class of swap, is required to be cleared, unless an exception to the
clearing requirement applies.\2\
---------------------------------------------------------------------------
\1\ Dodd-Frank Wall Street Reform and Consumer Protection Act,
Public Law 111-203, 124 Stat. 1376 (2010).
\2\ Section 2(h)(1)(A) of the CEA, 7 U.S.C. 2(h)(1)(A).
---------------------------------------------------------------------------
The CEA, as amended by Title VII, provides two avenues for the
Commission to issue a clearing requirement determination. First, under
Section 2(h)(2)(A) of the CEA, the Commission may issue a clearing
requirement determination based on a Commission-initiated review of a
swap.\3\ Second, under Section 2(h)(2)(B) of the CEA, the Commission
may issue a clearing requirement determination based on a swap
submission from a DCO.\4\
---------------------------------------------------------------------------
\3\ 7 U.S.C. 2(h)(2)(A). Commission regulation 39.5(c) sets
forth the procedures for Commission-initiated reviews of swaps that
have not been accepted for clearing by a DCO to determine whether
they should be required to be cleared. 17 CFR 39.5(c).
\4\ Section 2(h)(2)(B) of the CEA, 7 U.S.C. 2(h)(2)(B), and the
implementing regulations in Commission regulation 39.5(b), require a
DCO to submit to the Commission each swap, or any group, category,
type, or class of swaps, that it plans to accept for clearing.
Section 2(h)(2)(B)-(C) of the CEA describes the process by which the
Commission is required to review swap submissions from DCOs to
determine whether the swaps should be subject to the clearing
requirement. Commission regulation 39.5(b) establishes the
procedures for the submission of swaps by a DCO to the Commission
for a clearing requirement determination.
---------------------------------------------------------------------------
The Commission has issued two clearing requirement determinations.
The first clearing requirement determination (First Determination) was
adopted in 2012 and covered certain credit default swap indexes, and
interest rate swaps in four currencies and in four classes: (1) Fixed-
to-floating swaps; (2) basis swaps; (3) forward rate agreements (FRAs);
and (4) overnight index swaps (OIS).\5\ The four classes of interest
rate swaps required to be cleared, along with their specifications,
discussed below, are set forth in Commission regulation 50.4 (Clearing
Requirement).\6\ The second clearing requirement determination (Second
Determination) was adopted in 2016 and covered interest rate swaps in
nine additional currencies.\7\
---------------------------------------------------------------------------
\5\ Clearing Requirement Determination Under Section 2(h) of the
CEA; Final Rule, 77 FR 74284 (Dec. 13, 2012).
\6\ 17 CFR 50.4.
\7\ Clearing Requirement Determination Under Section 2(h) of the
Commodity Exchange Act for Interest Rate Swaps; Final Rule, 81 FR
71202 (Oct. 14, 2016). The Commission adopted the Second
Determination largely in order to further harmonize its Clearing
Requirement with those of other jurisdictions, specifically:
Australia, Canada, the European Union, Hong Kong, Mexico, Singapore,
and Switzerland. Id. at 71203-05. Harmonizing the Commission's
Clearing Requirement with other jurisdictions' clearing requirements
serves an important anti-evasion goal. As the Commission explained,
if a non-U.S. jurisdiction issued a clearing requirement and a swap
dealer located in the U.S. were not subject to that non-U.S.
clearing requirement, then a swap market participant in the non-U.S.
jurisdiction could potentially avoid the non-U.S. clearing
requirement by entering into a swap with the swap dealer located in
the U.S. Id. at 71203.
---------------------------------------------------------------------------
Section 2(h)(2)(D)(ii) of the CEA requires the Commission to
consider the following five factors when making a clearing requirement
determination: (I) The existence of significant outstanding notional
exposures, trading liquidity, and adequate pricing data; (II) the
availability of rule framework, capacity, operational expertise and
resources, and credit support infrastructure to clear the contract on
terms that are consistent with the material terms and trading
conventions on which the contract is traded; (III) the effect on the
mitigation of systemic risk, taking into account the size of the market
for such contract and the resources of the DCOs available to clear the
contract; (IV) the effect on competition, including appropriate fees
and charges applied to clearing; and (V) the existence of reasonable
legal certainty in the event of the insolvency of the relevant DCO or 1
or more of its clearing members with regard to the treatment of
customer and swap counterparty positions, funds, and property.\8\ The
Commission considered each factor in making both clearing requirement
determinations.
---------------------------------------------------------------------------
\8\ 7 U.S.C. 2(h)(2)(D)(ii).
---------------------------------------------------------------------------
The Commission has explained in prior clearing requirement
determinations that while there exists a wide degree of variability in
contract specifications for interest rate swaps,\9\ there also exist
certain conventions and specifications that DCOs and market
participants commonly use, and which allow classes of swaps, and
primary specifications within each class, to be identified.\10\ The
Commission has adopted clearing requirement determinations for four
classes of swaps based on these common conventions and specifications,
and submissions from DCOs of swaps accepted for clearing. In the notice
of proposed rulemaking preceding the First Determination, consistent
with the factors set forth in CEA section 2(h)(2)(D)(ii), the
Commission proposed to adopt a clearing requirement after concluding
that each of the four swap classes being cleared had significant
outstanding notional amounts and trading liquidity, and that a large
percentage of each class was already being cleared.\11\ The Commission
reaffirmed those conclusions in the final rule.\12\ The Commission also
identified six specifications for the interest rate swaps that are
subject to the clearing requirement: (1) The currency in which the
notional and payment amounts are specified; (2) the rates referenced
for each leg of the swap; (3) the stated termination date of the swap;
(4) whether the swap contains optionality, as specified by the DCOs;
(5) whether the swap contains dual currencies; and (6) whether the swap
contains conditional notional amounts.\13\ Now, as the international
regulatory community and financial markets transition from IBORs to
alternative reference rates, the Commission is requesting information
and comment on each of the swaps currently subject to the clearing
requirement, and whether the Commission should update any of its prior
determinations due to the
[[Page 66478]]
ongoing and anticipated market-wide shift in reference rates.
---------------------------------------------------------------------------
\9\ Clearing Requirement Determination Under Section 2(h) of the
CEA; Notice of Proposed Rulemaking, 77 FR 47170, 47186 & n.77 (Aug.
7, 2012) (citing a Federal Reserve Bank of New York staff report
that over 10,500 different combinations of significant interest rate
swaps terms had been identified in a single three-month period in
2010).
\10\ First Determination, 77 FR 74301.
\11\ 77 FR 47194-96 (discussing data from the Bank of
International Settlements, TriOptima, the G14 Dealers to the OTC
Derivatives Supervisors Group, and LCH).
\12\ First Determination, 77 FR 74307-08.
\13\ Id. at 74302-03, 74332. The term ``conditional notional
amount'' refers to a notional amount that is subject to change over
the term of a swap based on a condition that the swap counterparties
establish upon the execution of the swap, such that the notional
amount of the swap is unknown and may change based on the occurrence
of a future event. Id. at 74302 n.108. Additionally, the Commission
believed that swaps with optionality, multiple currency swaps, and
swaps with notional amounts not specified at the time of execution
give rise to concerns regarding accurate pricing and consistency
across contracts, and should therefore be excluded from the clearing
requirement. Id. at 74332. The Commission also stated that, as of
the time of the final rulemaking for the First Determination, no DCO
was offering swaps meeting these negative specifications for
clearing. Id.
---------------------------------------------------------------------------
The Commission's Clearing Requirement covers a number of swaps that
reference IBORs: Swaps in multiple currencies in each of the fixed-to-
floating swap, basis swap, and FRA class that refer to LIBOR are
required to be cleared. The First Determination covered certain
interest rate swaps in each of these classes referencing LIBOR in three
currencies: U.S. dollars (USD), British pounds (GBP), and Japanese yen
(JPY).\14\ The Second Determination covered certain fixed-to-floating
interest rate swaps referencing LIBOR in Swiss francs (CHF).\15\
---------------------------------------------------------------------------
\14\ First Determination, 77 FR 74310-11.
\15\ Second Determination, 81 FR 71202.
---------------------------------------------------------------------------
The Commission is monitoring changes to benchmark reference rates
around the world and how those changes may affect trading liquidity and
clearing availability, as well as the other factors discussed above, in
different interest rate swap products. Although benchmark reforms are
ongoing, there have been recent updates with respect to LIBOR rates for
the major currencies, including USD, GBP, JPY, and CHF, that may
warrant changes to the Clearing Requirement in the near future.
B. The End of LIBOR
LIBOR is an interest rate benchmark that is intended to measure the
average rate at which a bank can obtain unsecured funding in the London
interbank market for a given tenor and currency. It is among the
world's most frequently referenced interest rate benchmarks and serves
as a reference rate for a wide variety of derivatives and cash market
products. LIBOR is calculated based on submissions from a panel of 11
to 16 contributor banks, depending on the currency, and is published on
every London business day for five currencies (USD, GBP, Euro (EUR),
CHF, and JPY) and seven tenors (overnight or spot next,\16\ 1-week, 1-
month, 2-month, 3-month, 6-month, and 12-month), resulting in 35
individual LIBOR rates. Each contributor bank submits data for all
seven tenors in each currency for which it is on a panel.\17\
---------------------------------------------------------------------------
\16\ The shortest tenor for USD, GBP, and EUR LIBOR is
overnight; the shortest tenor for CHF and JPY LIBOR is spot next.
\17\ See generally ICE Benchmark Administration (IBA), LIBOR,
available at https://www.theice.com/iba/libor. The current
contributor bank panel members are expected to fulfill their roles
through the end of 2021, and all but one of the current USD LIBOR
bank panel members are expected to continue submissions until June
30, 2023 for the overnight, 1-month, 3-month, 6-month, and 12-month
tenors. IBA, ICE LIBOR Feedback Statement on Consultation on
Potential Cessation, March 5, 2021, at 4 n.2 [hereinafter ``ICE
LIBOR Feedback Statement on Consultation on Potential Cessation''],
available at https://www.theice.com/publicdocs/ICE_LIBOR_feedback_statement_on_consultation_on_potential_cessation.pdf.
---------------------------------------------------------------------------
The announcement in 2012 of government investigations concerning
alleged manipulation of LIBOR, and a decline in the volume of interbank
lending transactions that LIBOR is intended to measure, have given rise
to concerns regarding the integrity and reliability of LIBOR and other
IBORs.\18\ Notably, the Commission's enforcement actions against LIBOR
manipulators helped to raise awareness about potential shortcomings in
the reliability of LIBOR reports and calculations.\19\
---------------------------------------------------------------------------
\18\ See, e.g., International Organization of Securities
Commissions (IOSCO), Principles for Financial Benchmarks, July 2013,
at 1, available at https://www.iosco.org/library/pubdocs/pdf/IOSCOPD415.pdf; David Bowman, et al., ``How Correlated Is LIBOR With
Bank Funding Costs?,'' FEDS Notes, June 29, 2020, available at
https://www.federalreserve.gov/econres/notes/feds-notes/how-correlated-is-libor-with-bank-funding-costs-20200629.htm;
Alternative Reference Rates Committee, Second Report, Mar. 2018, at
1-3 [hereinafter ``ARRC Second Report''], available at https://www.newyorkfed.org/medialibrary/Microsites/arrc/files/2018/ARRC-Second-report.
\19\ See, e.g., In re Soci[eacute]t[eacute]
G[eacute]n[eacute]rale S.A., No. 18-14 (CFTC June 4, 2018) ($475
million penalty); In re Deutsche Bank AG, No. 15-20 (CFTC Apr. 23,
2015) ($800 million penalty); In re The Royal Bank of Scotland plc,
No. 13-14 (CFTC Feb. 6, 2013) ($325 million penalty); In re UBS AG,
No. 13-09 (CFTC Dec. 19, 2012) ($700 million penalty); In re
Barclays PLC, No. 12-25 (CFTC June 27, 2012) ($200 million penalty).
---------------------------------------------------------------------------
In response to calls for reform, LIBOR was brought within the U.K.
Financial Conduct Authority (FCA)'s regulatory scope and placed under
IBA's administration.\20\ IBA has reformed LIBOR in a number of ways,
including enhancing the benchmark's oversight procedures and
establishing a new calculation methodology.\21\ However, regulators and
global standard-setting bodies do not view these reforms as a long-term
solution.
---------------------------------------------------------------------------
\20\ Previously, LIBOR was administered by the British Bankers
Association.
\21\ See generally IBA, Methodology, available at https://www.theice.com/publicdocs/ICE_LIBOR_Methodology.pdf (describing
IBA's current LIBOR calculation methodology); H.M. Treasury, The
Wheatley Review of LIBOR: Final Report, Sept. 2012, available at
https://assets.publishing.service.gov.uk/government/uploads/system/uploads/attachment_data/file/191762/wheatley_review_libor_finalreport_280912.pdf (recommending reforms
to LIBOR). See also Intercontinental Exchange (ICE), ICE LIBOR
Evolution, Apr. 25, 2018, at 4, available at https://www.theice.com/publicdocs/ICE_LIBOR_Evolution_Report_25_April_2018.pdf (describing
IBA's reforms to LIBOR since 2014). Among other revisions, IBA
implemented changes to the way that panel banks form their LIBOR
submissions by relying on a data-driven waterfall methodology.
---------------------------------------------------------------------------
Following a public consultation by IBA launched in December 2020,
on March 5, 2021,\22\ the FCA announced that publication of LIBOR would
not be provided by any administrator or be compelled after the final
publication on Friday, December 31, 2021, for the following: \23\
---------------------------------------------------------------------------
\22\ See generally ICE LIBOR Feedback Statement on Consultation
on Potential Cessation; IBA, ICE LIBOR Consultation on Potential
Cessation, Dec. 2020, available at https://www.theice.com/publicdocs/ICE_LIBOR_Consultation_on_Potential_Cessation.pdf.
\23\ FCA, FCA Announcement on Future Cessation and Loss of
Representativeness of the LIBOR Benchmarks, Mar. 5, 2021, available
at https://www.fca.org.uk/publication/documents/future-cessation-loss-representativeness-libor-benchmarks.pdf.
---------------------------------------------------------------------------
(i) EUR LIBOR in all tenors;
(ii) CHF LIBOR in all tenors;
(iii) JPY LIBOR in the spot next, 1-week, 2-month, and 12-month
tenors;
(iv) GBP LIBOR in the overnight, 1-week, 2-month, and 12-month
tenors; and
(v) USD LIBOR in the 1-week and 2-month tenors.
The FCA further determined that GBP and JPY LIBOR in 1-month, 3-
month, and 6-month tenors would no longer be representative of the
underlying market and economic reality they are intended to measure
after December 31, 2021, and that representativeness would not be
restored. Additionally, the FCA determined that USD LIBOR in the
overnight and 12-month tenors would cease after June 30, 2023, and that
USD LIBOR in the 1-month, 3-month, and 6-month tenors would not be
representative after that date. The future of USD LIBOR in the 1-month,
3-month, and 6-month tenors is uncertain because the FCA may decide to
continue to publish those tenors based on a new methodology (i.e., on a
synthetic basis). Following a public consultation, on September 29,
2021, the FCA confirmed that it would require LIBOR's administrator to
continue publishing GBP and JPY LIBOR in the 1-, 3-, and 6-month
tenors, using a synthetic methodology based on term RFRs, through
2022.\24\ The Commission is monitoring these developments and will
consider LIBOR's cessation in certain currencies and tenors as it
evaluates potential changes to the Clearing
[[Page 66479]]
Requirement, particularly because the LIBOR rates in four of the five
LIBOR currencies serve as the floating rate in swap transactions that
are currently subject to the Clearing Requirement.
---------------------------------------------------------------------------
\24\ FCA, ``Further arrangements for the orderly wind-down of
LIBOR at end-2021,'' Sept. 29, 2021, available at https://www.fca.org.uk/news/press-releases/further-arrangements-orderly-wind-down-libor-end-2021. The FCA also proposed to permit legacy use
of synthetic GBP and JPY LIBOR in all contracts except cleared
derivatives, citing clearinghouses' plans to transition cleared GBP,
JPY, CHF, and EUR LIBOR rates to RFR contracts at the end of 2021.
Accordingly, the FCA published an additional public consultation
regarding the scope of legacy contracts that will be permitted to
rely on the synthetic rates. FCA, ``CP21/29: Proposed decisions on
the use of LIBOR (Articles 23C and 21A BMR),'' Sept. 29, 2021,
available at https://www.fca.org.uk/publications/consultation-papers/cp21-29-proposed-decisions-libor-articles-23c-21a-bmr. The
consultation closed on October 20, 2021. Id.
---------------------------------------------------------------------------
Although LIBOR in particular has been a major focus for regulators,
there are other interest rates that have been, or may in the future be,
replaced by alternative reference rates. Additional IBORs and
alternative reference rates are discussed in more detail below.
C. Identification of Alternative Reference Rates
The Commission has supported efforts in the U.S. and around the
world to identify alternative reference rates to replace LIBOR and
other IBORs in the event that they become non-representative.
In 2014, the Federal Reserve Board (FRB) and the Federal Reserve
Bank of New York (FRBNY) convened the Alternative Reference Rates
Committee (ARRC) as a body for private-market participants, alongside
ex-officio banking and financial sector regulators, to identify
alternatives to USD LIBOR and help ensure an orderly transition to
alternative reference rates.\25\ The composition of the ARRC has
changed over time, and currently includes a number of financial
institutions, financial industry groups, and regulators, including the
CFTC, the U.S. Department of the Treasury, and the U.S. Securities and
Exchange Commission.\26\ On June 22, 2017, after studying several
alternative reference rates and considering the input of market
participants, the ARRC selected the Secured Overnight Financing Rate
(SOFR) as its preferred alternative to USD LIBOR.\27\ SOFR measures the
cost of overnight repurchase agreement transactions collateralized by
U.S. Treasury securities.\28\ The FRBNY, in cooperation with the U.S.
Office of Financial Research, first published SOFR on April 3,
2018,\29\ and publishes the rate each New York business day at 8:00
a.m. ET.\30\
---------------------------------------------------------------------------
\25\ See generally ARRC, About [hereinafter ``About the ARRC''],
available at https://www.newyorkfed.org/arrc/about. See also ARRC,
ARRC Minutes for the December 12, 2014 Organizational Meeting,
available at https://www.newyorkfed.org/medialibrary/microsites/arrc/files/2014/Dec-12-2014-ARRC-Minutes.pdf.
\26\ About the ARRC.
\27\ ARRC, ``The ARRC Selects a Broad Repo Rate as its Preferred
Alternative Reference Rate,'' June 22, 2017, available at https://www.newyorkfed.org/medialibrary/microsites/arrc/files/2017/ARRC-press-release-Jun-22-2017.pdf. See also ARRC, Interim Report and
Consultation, May 2016, at 13, available at https://www.newyorkfed.org/medialibrary/Microsites/arrc/files/2016/arrc-interim-report-and-consultation.pdf?la=en (discussing other
alternative reference rates that the ARRC considered).
\28\ FRBNY, Statement Introducing the Treasury Repo Reference
Rates, Apr. 3, 2018 [hereinafter ``Statement Introducing the
Treasury Repo Reference Rates''], available at https://www.newyorkfed.org/markets/opolicy/operating_policy_180403. See also
FRBNY, Secured Overnight Financing Rate Data [hereinafter ``SOFR
Data''], available at https://apps.newyorkfed.org/markets/autorates/
SOFR#:~:text=The%20SOFR%20is%20calculated%20as,LLC%2C%20an%20affiliat
e%20of%20the; FRBNY, Additional Information about the Treasury Repo
Reference Rates, available at https://www.newyorkfed.org/markets/treasury-repo-reference-rates-information.
\29\ Statement Introducing the Treasury Repo Reference Rates.
\30\ SOFR Data.
---------------------------------------------------------------------------
SOFR is comprised of data from several sources: (1) Tri-party repo
data; (2) the Fixed Income Clearing Corporation's (FICC) General
Collateral Finance Repo data; and (3) bilateral Treasury repo
transactions cleared through FICC.\31\ The ARRC selected SOFR as its
preferred USD LIBOR alternative based on an assessment of a number of
factors, including the depth of the underlying market, the robustness
of the rate over time, the rate's usefulness to market participants,
and consistency with IOSCO's Principles for Financial Benchmarks.\32\
SOFR is based on a far deeper pool of underlying transactions than USD
LIBOR. According to the ARRC, since SOFR was first published, the
volume of underlying transactions has averaged over $980 billion daily,
and reflects trading by a diverse group of market participants.\33\ In
comparison, the median daily volume of 3-month funding transactions
between October 2016 and June 2017, underlying the most heavily-
referenced USD LIBOR tenor, amounted to less than $1 billion.\34\ The
ARRC has developed a Paced Transition Plan, discussed below, to
facilitate an orderly and incremental transition from USD LIBOR to
SOFR.\35\
---------------------------------------------------------------------------
\31\ Id.
\32\ ARRC Second Report at 6.
\33\ ARRC, Frequently Asked Questions, Dec. 18, 2020, at 4-5,
available at https://www.newyorkfed.org/medialibrary/Microsites/arrc/files/ARRC-faq.pdf.
\34\ ARRC Second Report at 1-3.
\35\ Although SOFR is widely viewed as the primary replacement
for USD LIBOR, and is preferred by the ARRC, other alternatives are
available to market participants, including those who desire a
benchmark with a credit risk component. One such alternative is
AMERIBOR, which is administered by the American Financial Exchange
(AFX) and is calculated based on actual borrowing costs between
small and midsize banks that are AFX members. William Shaw, ``Libor
Replacement Race Picks Up with Ameribor Swap Debut,'' Bloomberg,
Dec. 3, 2020, available at https://www.bloomberg.com/news/articles/
2020-12-03/libor-replacement-race-picks-up-with-ameribor-swap-deal-
debut#:~:text=The%20push%20to%20replace%20Libor,notional%20%2424%20mi
llion%20on%20Tuesday. Another potential alternative is the ICE Bank
Yield Index (IBYI), which ICE has proposed as a replacement for USD
LIBOR. If implemented, IBYI would measure the average yields at
which investors are willing to invest USD funds on a wholesale,
senior, and unsecured basis in large, international banks over 1-
month, 3-month, and 6-month periods. IBA, U.S. Dollar ICE Bank Yield
Index Update, May 2020, at 3, available at https://www.theice.com/publicdocs/Update_US_Dollar_ICE_Bank_Yield_Index_May_2020.pdf.
Unlike USD LIBOR, IBYI would be fully transaction-based. See id. at
3, 5-6. An additional potential alternative, Bloomberg's Short-Term
Bank Yield Index (BSBY), is a credit-sensitive index which can be
added to SOFR or used as a standalone benchmark. Bloomberg,
``Bloomberg Confirms Its BSBY Short-Term Credit Sensitive Index
Adheres to IOSCO Principles,'' Apr. 6, 2021, available at https://www.bloomberg.com/company/press/bloomberg-confirms-its-bsby-short-term-credit-sensitive-index-adheres-to-iosco-principles/. See also
Bloomberg, Bloomberg Short-Term Bank Yield Index, available at
https://www.bloomberg.com/professional/product/indices/bsby/
#:~:text=The%20Bloomberg%20Short%2DTerm%20Bank,defines%20a%20forward%
20term%20structure; Bloomberg, Bloomberg Short-Term Bank Yield
(BSBY) Index Methodology, Mar. 2021, available at https://assets.bbhub.io/professional/sites/10/BSBY-Methodology-Document-March-30-2021.pdf.
---------------------------------------------------------------------------
Regulators and working groups in other jurisdictions are also
endeavoring to identify, develop, and implement alternative reference
rates.\36\ The FSB's November 2020 report Reforming Major Interest Rate
Benchmarks highlights plans to develop alternatives for numerous other
IBORs.\37\ A table of
[[Page 66480]]
those identified alternatives is included below.
---------------------------------------------------------------------------
\36\ For further discussion of the ARRC and working groups in
other LIBOR currency jurisdictions and key milestones, see generally
International Swaps and Derivatives Association, Inc. et al. (ISDA),
IBOR Global Benchmark Transition Report, June 2018, at 38-47
[hereinafter ``IBOR Global Benchmark Transition Report''], available
at https://www.isda.org/2018/06/25/ibor-global-benchmark-transition-
report/ibor-transition-report/. See also Working Group on Sterling
Risk-Free Reference Rates (RFRWG) Top Level Priorities--2021, Bank
of England, Jan. 2021, available at https://www.bankofengland.co.uk/
-/media/boe/files/markets/benchmarks/rfr/rfr-working-group-
roadmap.pdf; European Central Bank, ``Working group on euro risk-
free rates,'' available at https://www.ecb.europa.eu/paym/interest_rate_benchmarks/WG_euro_risk-free_rates/html/index.en.html;
The National Working Group on CHF Reference Rates, NWG Milestones,
available at https://www.snb.ch/en/ifor/finmkt/fnmkt_benchm/id/finmkt_NWG_milestones; Study Group on Risk-Free Reference Rates,
Bank of Japan, available at https://www.boj.or.jp/en/paym/market/sg/index.htm/; Financial Stability Board (FSB), Reforming Major
Interest Rate Benchmarks, Nov. 20, 2020, at 14-29 [hereinafter
``Reforming Major Interest Rate Benchmarks''], available at https://www.fsb.org/2020/11/reforming-major-interest-rate-benchmarks-2020-progress-report/.
\37\ See generally Reforming Major Interest Rate Benchmarks at
29-43, 54-55. See also Andreas Schrimpf and Vladislav Sushko,
``Beyond Libor: a primer on the new reference rates,'' BIS Quarterly
Review, Mar. 2019, at 35, available at https://www.bis.org/publ/qtrpdf/r_qt1903e.pdf; Bank of England, Preparing for 2022: What You
Need to Know about LIBOR Transition, Nov. 2018, at 10, https://www.bankofengland.co.uk/-/media/boe/files/markets/benchmarks/what-
you-need-to-know-about-libor-transition.pdf; ISDA, et al., IBOR
Global Benchmark Survey 2018 Transition Roadmap, Feb. 2018, at 32,
https://www.isda.org/a/g2hEE/IBOR-Global-Transition-Roadmap-
2018.pdf; Euro Short-Term Rate ([euro]STR), European Central Bank,
available at https://www.ecb.europa.eu/stats/
financial_markets_and_interest_rates/euro_short-term_rate/html/
index.en.html#:~:text=The%20euro%20short%2Dterm%20rate,activity%20on%
201%20October%202019; Steering Committee for SOR & SIBOR Transition
to SORA, Timelines to Cease Issuance of SOR and SIBOR-Linked
Financial Products, Mar. 31, 2021, available at https://abs.org.sg/docs/library/timelines-to-cease-issuance-of-sor-derivatives-and-sibor-linked-financial-products.pdf.
Alternative Reference Rates Identified for IBORs
--------------------------------------------------------------------------------------------------------------------------------------------------------
Identified Alternative rate
Currency Index alternative rate administrator Secured Published
--------------------------------------------------------------------------------------------------------------------------------------------------------
Australian dollar (AUD)........... Bank Bill Swap Rate Reserve Bank of Reserve Bank of No..................... Yes.
(BBSW). Australia Interbank Australia.
Overnight Cash Rate
(AONIA).
Canadian dollar (CAD)............. Canadian Dollar Canadian Overnight Bank of Canada...... Yes.................... Yes.
Offered Rate (CDOR). Repo Rate Average
(CORRA).
CHF............................... LIBOR................ Swiss Average Rate SIX Swiss Exchange.. Yes.................... Yes.
Overnight (SARON).
EUR............................... LIBOR................ Euro Short-Term Rate European Central No..................... Yes.
([euro]STR). Bank.
Euro Overnight Index [euro]STR............ European Central No..................... Yes.
Average (EONIA) \38\. Bank.
Euro Interbank [euro]STR............ European Central No..................... Yes.
Offered Rate Bank.
(EURIBOR).
GBP............................... LIBOR................ Sterling Overnight Bank of England..... No..................... Yes.
Index Average
(SONIA).
Hong Kong dollar (HKD)............ Hong Kong Interbank Hong Kong Dollar Treasury Market No..................... Yes.
Offered Rate (HIBOR). Overnight Index Association.
Average (HONIA).
JPY \39\.......................... LIBOR................ Tokyo Overnight Bank of Japan....... No..................... Yes.
Average (TONA) Tokyo
Interbank Offered
Rate (TIBOR) Euroyen
TIBOR.
Mexican peso (MXN)................ Term Interbank Overnight TIIE....... Banco de Mexico..... Yes.................... Yes.
Equilibrium Interest
Rate (TIIE).
Singapore dollar (SGD)............ Singapore Dollar Swap Singapore Overnight Association of Banks No..................... Yes.
Offer Rate (SOR). Rate Average (SORA). in Singapore.
Singapore Interbank SORA................. Association of Banks No..................... Yes.
Offered Rate (SIBOR). in Singapore.
--------------------------------------------------------------------------------------------------------------------------------------------------------
On July 6, 2021, the FSB published a progress report discussing the
state of transition efforts and highlighting specific issues and
challenges.\40\ In particular, the report highlighted the need for
supervisory authorities to engage in a greater degree of coordination
and communication to promote awareness of the urgency and scope of the
transition away from LIBOR, and called on market participants to
accelerate their adoption of alternatives. The report noted that, while
significant progress had been made on some fronts, such as decreasing
reliance on GBP LIBOR in favor of SONIA, transition efforts had lagged
in other markets. For instance, the report observed that while use of
SOFR derivatives had increased, activity in USD LIBOR-based derivatives
had grown over the past three years, and the share of outstanding SOFR
derivatives remained small compared with USD LIBOR derivatives.\41\
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\38\ Under a revised calculation methodology, EONIA is
calculated as a spread of 8.5 basis points over the [euro]STR rate.
EONIA is expected to be discontinued on January 3, 2022. Reforming
Major Interest Rate Benchmarks at 18.
\39\ Multiple alternative reference rates are being offered to
succeed JPY LIBOR. See generally note 66, infra.
\40\ FSB, Progress Report to the G20 on LIBOR Transition Issues,
July 6, 2021, available at https://www.fsb.org/wp-content/uploads/P060721.pdf.
\41\ Id. at 8-10.
\42\ Andrew Bailey, ``The future of Libor,'' July 27, 2017,
available at https://www.fca.org.uk/news/speeches/the-future-of-libor.
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As regulators and market participants in different jurisdictions
work to identify alternative reference rates, the Commission
anticipates that the interest rate swaps markets will evolve to
incorporate those rates, with the goal of shifting all activity to the
alternative reference rates before the relevant IBOR is discontinued.
The Commission believes this process can occur organically, driven by
market demand and DCO offerings.
D. Transition to Alternative Reference Rates
The transition to alternative reference rates in substitution for
LIBOR, in particular, has been a priority for regulators and market
participants following an announcement by Andrew Bailey, then-Chief
Executive of the FCA, on July 27, 2017, that the FCA would not use its
authority to compel or persuade LIBOR panel banks to contribute to the
benchmark after 2021.\42\ Bailey urged market participants to begin
planning for the cessation of LIBOR and to start transitioning to the
use of alternative reference rates, highlighting the work already done
to identify alternative reference rates in the U.S., U.K., and other
LIBOR currency
[[Page 66481]]
jurisdictions.\43\ Following Bailey's remarks, other regulatory
officials, including previous Chairmen of the Commission and
Commissioners, voiced support for an orderly transition from LIBOR to
alternative reference rates.\44\
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\43\ Id.
\44\ E.g., Jerome Powell and J. Christopher Giancarlo, ``How to
Fix Libor Pains,'' The Wall Street Journal, Aug. 3, 2017, available
at https://www.wsj.com/articles/how-to-fix-libor-pains-1501801028;
CFTC, Opening Statement of Commissioner Brian D. Quintenz before the
CFTC Market Risk Advisory Committee Meeting, July 12, 2018,
available at https://www.cftc.gov/PressRoom/SpeechesTestimony/quintenzstatement071218; CFTC, Remarks of Commissioner Rostin Behnam
at the ISDA/SIFMA AMG Benchmark Strategies Forum 2020, New York, New
York, Feb. 12, 2020, available at https://www.cftc.gov/PressRoom/SpeechesTestimony/opabehnam14; CFTC, Statement of Chairman Heath P.
Tarbert Regarding the Transition Away from IBORs, Nov. 24, 2020
[hereinafter ``Statement of Chairman Tarbert''], https://www.cftc.gov/PressRoom/SpeechesTestimony/tarbertstatement112420.
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The transition from USD LIBOR to SOFR has been guided by the ARRC's
Paced Transition Plan, which was first published in 2017 and has been
adjusted over time.\45\ As currently formulated, the plan calls for
five steps to facilitate market-wide adoption of SOFR: (i) The
establishment of infrastructure for futures and/or OIS trading in SOFR
by the second half of 2018; (ii) the start of trading in futures and/or
bilateral, uncleared OIS that reference SOFR by the end of 2018; (iii)
the start of trading in cleared OIS that reference SOFR in the
effective federal funds rate (EFFR) price alignment interest (PAI) and
discounting environment by the end of the first quarter of 2019; (iv)
the Chicago Mercantile Exchange, Inc. (CME)'s and LCH.Clearnet Limited
(LCH)'s conversion of discounting, and PAI and price alignment amount
(PAA), from EFFR to SOFR with respect to all outstanding cleared USD-
denominated swaps by October 16, 2020; and (v) the ARRC's endorsement
of a term reference rate based on SOFR derivatives markets by the end
of the first half of 2021.
---------------------------------------------------------------------------
\45\ See generally ARRC, Paced Transition Plan, available at
https://www.newyorkfed.org/arrc/sofr-transition#pacedtransition.
---------------------------------------------------------------------------
Although the first four steps of the ARRC's Paced Transition Plan
were met on schedule,\46\ in March 2021, the ARRC announced that it
would not be prepared to select an administrator to publish a forward-
looking term SOFR rate by the end of the first half of the year.\47\
The ARRC noted that this fifth step would be contingent on the
continued development of sufficient liquidity in SOFR derivatives
markets and a limited scope of use for the term rate.\48\ CME Group
began publishing 1-, 3-, and 6-month forward-looking term SOFR
benchmark rates in April 2021,\49\ and in May 2021, the ARRC announced
that it planned to recommend CME Group as the administrator for a
forward-looking term rate, once certain market indicators were met.\50\
On July 29, 2021, shortly after the introduction of the first phase of
the Commission's Market Risk Advisory Committee's (MRAC) SOFR First
initiative,\51\ discussed below, the ARRC formally endorsed CME Group's
forward-looking term SOFR rates.\52\
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\46\ As stated above, the FRBNY began publishing SOFR on April
3, 2018. Shortly thereafter, on May 7, 2018, CME Group Inc. (CME
Group) launched SOFR futures contracts in the 1- and 3-month tenors.
On May 16, 2018, ISDA added a definition of SOFR for use in
contracts governed by ISDA Master Agreements. On October 1, 2018,
ICE Futures Europe launched 1- and 3-month SOFR futures contracts.
On July 18, 2018, LCH began clearing interest rate swaps referencing
SOFR, with PAI and discounting linked to EFFR. On October 9, 2018,
CME began clearing interest rate swaps referencing SOFR, with PAI
and discounting linked to SOFR. Most recently, on October 16, 2020,
CME and LCH converted discounting and PAI/PAA from EFFR to SOFR for
all outstanding cleared USD-denominated swaps. Id.
\47\ ARRC, ARRC Provides Update on Forward-Looking SOFR Term
Rate, Mar. 23, 2020 [hereinafter ``ARRC Provides Update on Forward-
Looking SOFR Term Rate''], available at https://www.newyorkfed.org/medialibrary/Microsites/arrc/files/2021/arrc-press-release-term-rate-for-publication. At the time, the ARRC recommended that market
participants use existing tools, such as SOFR averages and index
data, instead of waiting for a term SOFR. Id. In May 2021, the ARRC
released a set of market indicators that it would consider before
recommending a forward-looking term SOFR rate. ARRC, ``ARRC
Identifies Market Indicators to Support a Recommendation of a
Forward-Looking SOFR Term Rate,'' May 6, 2021, available at https://www.newyorkfed.org/medialibrary/Microsites/arrc/files/2021/20210506-term-rate-indicators-press-release.
\48\ ARRC Provides Update on Forward-Looking SOFR Term Rate.
\49\ CME Group, CME Group Announces Launch of CME Term SOFR
Reference Rates, Apr. 21, 2021, available at https://www.cmegroup.com/media-room/press-releases/2021/4/21/cme_group_announceslaunchofcmetermsofrreferencerates.html.
\50\ ARRC, ``ARRC Releases Update on its RFP Process for
Selecting a Forward-Looking SOFR Term Rate Administrator,'' May 21,
2021, available at https://www.newyorkfed.org/medialibrary/Microsites/arrc/files/2021/20210521-ARRC-Press-Release-Term-Rate-RFP.pdf.
\51\ The MRAC's SOFR First initiative is not Commission action
and should be viewed as a best practice.
\52\ ARRC, ``ARRC Formally Recommends Term SOFR,'' July 29,
2021, available at https://www.newyorkfed.org/medialibrary/Microsites/arrc/files/2021/ARRC_Press_Release_Term_SOFR.pdf. Prior
to its endorsement of CME Group's forward-looking term SOFR rates,
the ARRC released a statement of best practices supporting the use
of SOFR term rates in connection with business loan activities, but
not in connection with the vast majority of derivatives markets
activities, with the exception of end-user facing derivatives
intended to hedge cash products that reference the SOFR term rate.
ARRC, ARRC Best Practice Recommendations Related to Scope of Use of
the Term Rate, July 21, 2021, available at https://www.newyorkfed.org/medialibrary/Microsites/arrc/files/2021/ARRC_Scope_of_Use.pdf.
---------------------------------------------------------------------------
Since its inception, the ARRC has sought to support market-wide
adoption of SOFR through the publication of guidance and
recommendations for market participants, including periodic publication
of transition objectives,\53\ recommendations related to the use of
SOFR and best practices for SOFR adoption,\54\ and the identification
of systems and processes likely to be affected by a transition from USD
LIBOR to SOFR.\55\ The ARRC has also sought regulatory guidance and
relief in order to facilitate an orderly transition away from
IBORs.\56\
---------------------------------------------------------------------------
\53\ E.g., ARRC, 2020 Objectives, Apr. 17, 2020, available at
https://www.newyorkfed.org/medialibrary/Microsites/arrc/files/2020/ARRC_2020_Objectives.pdf; ARRC, 2019 Incremental Objectives, June 6,
2019, available at https://www.newyorkfed.org/medialibrary/Microsites/arrc/files/2019/ARRC_2019_Incremental_Objectives.pdf.
\54\ E.g., ARRC, Addendum to Recommendations for Voluntary
Compensation for Swaptions Impacted by Central Counterparty Clearing
Houses' Discounting Transition to SOFR, Sept. 11, 2020 available at
https://www.newyorkfed.org/medialibrary/Microsites/arrc/files/2020/ARRC-swaptions-recommendations.pdf; ARRC, Recommended Best
Practices, Sept. 3, 2020, available at https://www.newyorkfed.org/medialibrary/Microsites/arrc/files/2020/ARRC-Best-Practices.pdf;
ARRC, Vendor Best Practices, May 7, 2020, available at https://www.newyorkfed.org/medialibrary/Microsites/arrc/files/2020/ARRC-Vendor-Recommended-Best-Practices.pdf; ARRC, Recommendations for
Interdealer Cross-Currency Swap Market Conventions, Jan. 24, 2020,
available at https://www.newyorkfed.org/medialibrary/Microsites/arrc/files/2020/Recommendations_for_Interdealer_Cross-Currency_Swap_Market_Conventions.pdf; ARRC, Buy-Side Checklist for
SOFR Adoption, Jan. 31, 2020, available at https://www.newyorkfed.org/medialibrary/Microsites/arrc/files/2020/ARRC_Buy_Side_Checklist.pdf; ARRC, Practical Implementation
Checklist for SOFR Adoption, Sept. 19, 2019, available at https://www.newyorkfed.org/medialibrary/Microsites/arrc/files/2019/ARRC-SOFR-Checklist-20190919.pdf. The ARRC's resources include proposed
guidance and recommended fallback language for cash market products.
While many of the ARRC's recommended best practices for SOFR
adoption are intended to apply to users of cash market products,
some are specific to derivatives market participants. They include
adherence to ISDA's Fallbacks Protocol, specific steps that dealers
can take to promote liquidity in, and client access to, SOFR
derivatives, and cessation of new trades in LIBOR derivatives
maturing after 2021, except in limited circumstances.
\55\ ARRC, Internal Systems & Processes: Transition Aid for SOFR
Adoption, July 8, 2020, available at https://www.newyorkfed.org/medialibrary/Microsites/arrc/files/2020/ARRC-Internal-Systems-Processes-Transition-Aid.pdf.
\56\ CFTC staff have addressed concerns raised by ARRC
associated with the transition away from LIBOR in two separate sets
of no-action letters issued in December 2019 and August 2020,
including by issuing no action relief from the Clearing Requirement
with respect to amendments to certain uncleared swaps. CFTC Staff
Letter No. 19-28, Dec. 17, 2019, available at https://www.cftc.gov/csl/19-28/download as superseded by CFTC Staff Letter No. 20-25,
Aug. 31, 2020, available at https://www.cftc.gov/csl/20-25/download.
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[[Page 66482]]
As the end of 2021 approaches, regulators, global standard-setting
bodies, and alternative reference rate working groups have increased
calls for market participants to accelerate their adoption of
alternative reference rates. On November 30, 2020, the FRB, Office of
the Comptroller of the Currency, and Federal Deposit Insurance
Corporation released a joint statement encouraging banks to cease
entering new contracts referencing USD LIBOR ``as soon as practicable''
and no later than December 31, 2021, in light of ``safety and soundness
risks'' posed by continued use of the benchmark.\57\ The statement
advised market participants that new contracts entered into before
December 31, 2021, should utilize a non-LIBOR reference rate, or
otherwise contain ``robust fallback language that includes a clearly
defined alternative reference rate after LIBOR's discontinuation.''
\58\ On June 2, 2021, IOSCO echoed the joint statement in its Statement
on Benchmarks Transition,\59\ and the FSB announced the publication of
a set of documents designed to assist market participants and
regulators in the transition, including a roadmap of steps for firms to
take as they transition their portfolios to alternative reference
rates, a white paper reviewing RFRs and term rates, and a statement
encouraging regulators to set consistent expectations for the cessation
of new USD LIBOR activity.\60\ Additionally, on July 13, 2021, the
Commission's MRAC adopted SOFR First, a phased initiative to switch
interdealer trading conventions from LIBOR to SOFR in a variety of
products.\61\
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\57\ Board of Governors of the Federal Reserve System, Federal
Deposit Insurance Corporation, and Office of the Comptroller of the
Currency, Statement on LIBOR Transition, Nov. 30, 2020, available at
https://www.federalreserve.gov/newsevents/pressreleases/files/bcreg20201130a1.pdf.
\58\ Id. The agencies stated that such circumstances may include
``(i) transactions executed for purposes of required participation
in a central counterparty auction procedure in the case of a member
default, including transactions to hedge the resulting USD LIBOR
exposure; (ii) market making in support of client activity related
to USD LIBOR transactions executed before January 1, 2022, (iii)
transactions that reduce or hedge the bank's or any client of the
bank's USD LIBOR exposure on contracts entered into before January
1, 2022; and (iv) novations of USD LIBOR transactions executed
before January 1, 2022.'' Id. A fallback rate refers to the rate
provided for use in a contract if the benchmark that the contract
uses becomes unavailable or unrepresentative. ISDA, Understanding
IBOR Benchmark Fallbacks, June 2, 2020, available at https://www.isda.org/a/YZQTE/Understanding-Benchmarks-Factsheet.pdf. Prior
to ISDA's IBOR Fallbacks Supplement, discussed below, ISDA's 2006
Definitions called for the counterparty serving as the calculation
agent for a swap to calculate a fallback rate based on quotations
obtained by polling banks, an approach which was viewed as
unsustainable in the event of a permanent cessation to a benchmark
rate. See IBOR Global Benchmark Transition Report at 15.
\59\ See generally IOSCO, Statement on Benchmarks Transition,
June 2, 2021, available at https://www.iosco.org/library/pubdocs/pdf/IOSCOPD676.pdf. See also ARRC, ARRC Recommends Acting Now to
Slow USD LIBOR Use over the Next Six Weeks to be Well-Positioned to
Meet Supervisory Guidance by Year-End, Oct. 14, 2021, available at
https://www.newyorkfed.org/medialibrary/Microsites/arrc/files/2021/20211013-arrc-press-release-supporting-a-smooth-exit-post-arrc
(recommending market participants take steps to curtail new use of
USD LIBOR consistent with federal supervisory guidance).
\60\ FSB, ``FSB issues statements to support a smooth transition
away from LIBOR by end 2021,'' June 2, 2021, available at https://www.fsb.org/2021/06/fsb-issues-statements-to-support-a-smooth-transition-away-from-libor-by-end-2021/.
\61\ CFTC, ``CFTC Market Risk Advisory Committee Adopts SOFR
First Recommendation at Public Meeting,'' July 13, 2021, available
at https://www.cftc.gov/PressRoom/PressReleases/8409-21. The first
phase of the initiative, covering USD-denominated linear swaps,
began on July 26, 2021. The MRAC's SOFR First initiative mirrors a
SONIA-First best practice adopted by the FCA and the Bank of
England. See Bank of England, ``The FCA and the Bank of England
encourage market participants in further switch to SONIA in interest
rate swap markets,'' Sept. 28, 2020, available at https://www.bankofengland.co.uk/news/2020/september/fca-and-boe-joint-
statement-on-sonia-interest-rate-swap. The second phase of MRAC's
SOFR First initiative, covering cross-currency swaps with CHF, GBP,
JPY, and USD LIBOR legs, began on September 21, 2021. See CFTC, SOFR
First: MRAC Subcommittee Recommendation, July 13, 2021 [hereinafter
``SOFR First: MRAC Subcommittee Recommendation''], available at
https://www.cftc.gov/media/6176/MRAC_SOFRFirstSubcommitteeRecommendation071321/download. The third
phase of SOFR First, covering non-linear derivatives, launched on
November 8, 2021. See CFTC, CFTC's Interest Rate Benchmark Reform
Subcommittee Selects November 8 for SOFR First for Non-Linear
Derivatives, Oct. 15, 2021, available at https://www.cftc.gov/PressRoom/PressReleases/8449-21. The fourth and final phase of SOFR
First will cover exchange-traded derivatives. Timing for
implementation of this phase remains to be determined by is expected
to occur no later than December 31, 2021. Id.; SOFR First: MRAC
Subcommittee Recommendation.
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E. International Regulatory Developments
Under Section 752(a) of the Dodd-Frank Act, the Commission, along
with the Securities and Exchange Commission and other prudential
regulators, was directed to consult and coordinate with non-U.S.
regulatory authorities in order to establish consistent international
standards for regulating swaps.\62\ The Commission complied with this
directive in 2016 when it considered regulatory developments in swap
clearing around the world for the Second Determination and noted that
it was important to harmonize the Clearing Requirement with clearing
mandates in other jurisdictions.\63\ Now, as in the past, the
Commission is reviewing proposals and plans by other regulators to
modify clearing mandates for interest rate swaps. The Commission has
long recognized the interconnectedness of the interest rate swaps
market, and is working cooperatively with other jurisdictions as they
consider and adopt new clearing mandates.\64\
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\62\ Section 752 of the Dodd-Frank Wall Street Reform and
Consumer Protection Act, Public Law 111-203, 124 Stat. 1376 (2010).
\63\ Second Determination, 81 FR 71203.
\64\ See Second Determination, 81 FR 71223 (noting that ``the
interest rate swaps market is global and market participants are
interconnected''); First Determination, 77 FR 74287 (``The
Commission is mindful of the benefits of harmonizing its regulatory
framework with that of its counterparts in foreign countries. The
Commission has therefore monitored global advisory, legislative, and
regulatory proposals, and has consulted with foreign regulators in
developing the final regulations.'').
---------------------------------------------------------------------------
On May 20, 2021, the Bank of England launched a public consultation
regarding a proposal to modify its clearing obligation in light of the
cessation of LIBOR and adoption of alternative reference rates.\65\ The
Bank of England proposed three key changes to its clearing obligation.
First, on October 18, 2021, the requirement to clear EONIA OIS with a
maturity of 7 days to 3 years would be replaced with a requirement to
clear [euro]STR OIS for the same maturity range. Second, on December 6,
2021, the requirement to clear JPY LIBOR basis and fixed-to-floating
swaps would be removed.\66\ Third, on December 20, 2021, the
requirement to clear GBP LIBOR basis and fixed-to-floating swaps, and
FRAs, would be replaced with a requirement to clear SONIA OIS with an
amended maturity range of 7 days to 50 years. According to the
proposal, any changes to the clearing obligation would enter into force
shortly after a number of DCOs complete a contractual conversion
process, discussed below. On September 29, 2021, in a final policy
statement, the Bank of England announced that it would adopt these
changes as
[[Page 66483]]
proposed.\67\ However, citing recent announcements by Japanese
authorities \68\ and anticipated changes in market activity,\69\ the
Bank of England proposed to add TONA OIS to the scope of contracts
subject to its clearing obligation. The proposal contemplates that the
clearing obligation for TONA OIS would come into force on December 6,
2021, and would cover a maturity range of 7 days to 30 years.\70\
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\65\ Bank of England, ``Derivatives clearing obligation--
modifications to reflect interest rate benchmark reform: Amendments
to BTS 2015/2205,'' May 20, 2021, available at https://www.bankofengland.co.uk/paper/2021/derivatives-clearing-obligation-
modifications-to-reflect-interest-rate-benchmark-reform-amendments.
The consultation closed on July 14, 2021. Id.
\66\ The Bank of England initially proposed that the JPY LIBOR
clearing obligation be removed, rather than replaced, due to
uncertainty with respect to which alternative reference rate would
become the market standard alternative for JPY LIBOR. While the
Japanese Study Group on Risk-Free Reference Rates has identified
TONA as its preferred JPY LIBOR alternative, the Japanese Bankers
Association, which publishes TIBOR and Euroyen TIBOR, is considering
retaining JPY TIBOR while discontinuing Euroyen TIBOR at the end of
2024. See generally JBA TIBOR Administration, ``Current status and
outlook of JBA TIBOR (March 2021),'' Mar. 2021, available at https://www.jbatibor./or.jp/english/about/
a05337c8b9e2b22ccd2c0464bc4b2e86b76098d3.pdf.
\67\ Bank of England, ``Derivatives clearing obligation--
modifications to reflect interest rate benchmark reform: Amendments
to BTS 2015/2205,'' Sept. 29, 2021, available at https://www.bankof/england.co./uk/paper/2021/derivatives-clearing-obligation-modifications-to-reflect-interest-rate-benchmark-reform.
\68\ Japan's Financial Services Agency published a draft
regulatory notice on September 8, 2021 requesting public comment on
rules related to, among other things, the obligation to centrally
clear over-the-counter derivatives transactions. Financial Services
Agency Weekly Review No. 456, Sept. 16, 2021, available at: https://www.fsa./go.jp/en/newsletter/weekly/2021/456.html.
\69\ Specifically, the Bank of England cited (i) a report from
the Bank of Japan's Sub-Group for the Development of Term Reference
Rates urging market participants to cease new JPY LIBOR swaps
activity by the end of September 2021 and recommending that TONA
become the primary replacement rate for JPY LIBOR; (ii)
recommendations by liquidity providers to change quoting conventions
from JPY LIBOR to TONA; and (iii) a September 8, 2021 consultation
by Japan's Financial Services Agency regarding changes to its
clearing obligation.
\70\ Bank of England, ``Derivatives clearing obligation--
introduction of contracts referencing TONA: Amendment to BTS 2015/
2205,'' Sept. 29, 2021 [hereinafter ``Derivatives clearing
obligation--introduction of contracts referencing TONA: Amendment to
BTS 2015/2205''], available at https://www.bankof/england.co./uk/paper/2021/derivatives-clearing-obligation-introduction-of-contracts-referencing-tona; Bank of England, Public Register for the
Clearing Obligation, available at https://www.bankofengland./co.uk/-
/media/boe/files/eu-withdrawal/clearing-obligation-public-
register.pdf. The consultation closed on October 27, 2021.
Derivatives clearing obligation--introduction of contracts
referencing TONA: Amendment to BTS 2015/2205.
---------------------------------------------------------------------------
On July 9, 2021, the European Securities and Markets Authority
(ESMA) published a public consultation on draft regulatory technical
standards (RTS) amending ESMA's clearing and derivatives trading
obligations.\71\ The draft RTS proposes to eliminate the clearing
obligation for (i) GBP and JPY LIBOR swaps in the basis and fixed-to-
floating swap classes; (ii) GBP LIBOR swaps in the FRA class; and (iii)
EONIA swaps in the OIS class.\72\ It also proposes to add a clearing
obligation to the OIS class for [euro]STR and SOFR swaps (in each case,
for a maturity range of 7 days to 3 years) and extend the maximum
maturity range for SONIA OIS from 3 years to 50 years.\73\ Once ESMA
finalizes the RTS, it will be submitted to the European Commission for
endorsement.\74\
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\71\ ESMA, ``Consultation Paper: On the clearing and derivative
trading obligations in view of the benchmark transition,'' July 9,
2021, available at https://www.esma./europa.eu/sites/default/files/
library/
consultation_paper_on_the_co_and_dto_for_swaps_referencing_rfrs.pdf.
The consultation closed on September 2, 2021. Id. at 8.
\72\ Id. at 37-39.
\73\ Id.
\74\ Id. at 8. The RTS will become effective on the later of
January 3, 2022 or 20 days after publication in the Official Journal
of the European Union. Id. at 58-59.
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II. Market Adoption of Alternative Reference Rates
A. Industry Initiatives
Consistent with calls for a broadly coordinated benchmark reform
effort by the FSB Official Sector Steering Group, Financial Stability
Oversight Council, and others, market participants have played a
critical role in the identification, development, and adoption of
alternative reference rates through leadership in and engagement with
alternative reference rate working groups such as the ARRC, as well as
through influencing numerous aspects of the adoption of alternative
reference rates via the provision of feedback in public consultations
by the ARRC, ISDA, ICE, and others.\75\ Market participants also have
provided much of the infrastructure needed for increased market
adoption of, and trading liquidity in, derivatives referencing
alternative reference rates, including providing for the offering of
alternative reference rate-linked futures contracts, clearing of
alternative reference rate-linked swaps, and adjusting PAI and
discounting methodology to rely on alternative reference rates.
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\75\ See generally ISDA, Summary of Responses to the ISDA 2020
Consultation on How to Implement Pre-Cessation Fallbacks in
Derivatives, May 14, 2020, available at https://www.isda./org/a/
cuQTE/2020./05.14-Pre-cessation-Re-Consultation-Report-FINAL.pdf;
ISDA, Summary of Responses to the ISDA Consultation on Final
Parameters for the Spread and Term Adjustment Methodology, Nov. 15,
2019, available at https://assets./isda.org/media/3e16cdd2/d1b3283f.pdf; ISDA, Anonymized Narrative Summary of Responses to the
ISDA Consultation on Term Fixings and Spread Adjustment Methodology,
Dec. 20, 2018, available at https://assets./isda.org/media/04d213b6/db0b0fd7.pdf; ARRC, ARRC Consultation on Swaptions Impacted by the
CCP Discounting Transition to SOFR, Feb. 7, 2020, available at
https://www.newyorkfed.org/media/library/Microsites/arrc/files/2020/ARRC_Swaption_Consultation./pdf.
---------------------------------------------------------------------------
One of the most significant industry initiatives to facilitate the
transition from IBORs to alternative reference rates in interest rate
swaps markets has been ISDA's efforts to update its standard contract
documentation to reflect ongoing benchmark reform efforts, including
(i) ISDA's 2020 IBOR Fallbacks Protocol, published on October 23, 2020,
and (ii) ISDA's Supplement number 70 to the 2006 ISDA Definitions,
finalized on October 23, 2020 and published and effective on January
25, 2021 (IBOR Fallbacks Supplement).\76\ The IBOR Fallbacks
Supplement, which applies to new cleared and uncleared derivatives
contracts entered into on or after January 25, 2021 that incorporate
the 2006 ISDA Definitions and reference any of the IBORs to which the
supplement applies, provides that contracts referencing those IBORs
will fall back to adjusted versions of the RFR identified for the
relevant IBOR in the event that an IBOR ceases or, in the case of
LIBOR, either ceases or is deemed non-representative.\77\ Concurrent
with its publication of the IBOR Fallbacks Supplement, ISDA also
launched an IBOR Fallbacks Protocol, which allows counterparties to
uncleared derivatives transactions to bilaterally amend existing
uncleared transactions to incorporate the fallbacks detailed in the
Supplement, effectively allowing counterparties to apply the IBOR
Fallbacks Supplement's amendments to legacy uncleared swaps entered
into prior to the effective date of the IBOR Fallbacks Supplement.\78\
On March 5, 2021, following the FCA's statement that all 35 LIBOR
settings will either permanently cease to be published or become non-
representative, ISDA released guidance explaining that its fallbacks
will become effective on the date that each of the relevant settings
will cease publication or become non-representative.\79\ The ARRC and
regulators have called for widespread adherence to ISDA's IBOR
Fallbacks Protocol as an important means of minimizing potential market
disruption
[[Page 66484]]
as a result of a LIBOR cessation.\80\ As of November 2021, over 14,700
parties had adhered to ISDA's Protocol.\81\
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\76\ ISDA, ``Amendments to the 2006 ISDA Definitions to include
new IBOR fallbacks,'' Oct. 23, 2020, available at https://assets.isda.org/media/3062e7b4/23aa1658.pdf; ISDA, ISDA 2020 IBOR
Fallbacks Protocol, Oct. 23, 2020 [hereinafter ``IBOR Fallbacks
Protocol''], available at https://assets.isda.org/media/3062e7b4/08268161-pdf/.
\77\ The following IBORs are within the scope of the IBOR
Fallbacks Supplement: GBP LIBOR, CHF LIBOR, USD LIBOR, EUR LIBOR,
EURIBOR, JPY LIBOR, TIBOR, Euroyen TIBOR, BBSW, CDOR, HIBOR, SOR,
and THBFIX. The IBOR Fallbacks Supplement also provides that if a
specific LIBOR tenor is discontinued or declared non-representative,
it is to be determined based on linear interpolation if the next
longest and shortest tenor remain available. See generally IBOR
Fallbacks Supplement. For instance, under ISDA's fallback
methodology, between December 31, 2021 and June 30, 2023, the 1-week
and 2-month USD LIBOR settings are to be calculated using linear
interpolation.
\78\ See generally IBOR Fallbacks Protocol.
\79\ ISDA, Future Cessation and Non-Representative Guidance,
Mar. 5, 2021, available at https://www.isda.org/a/dIFTE/ISDA-
Guidance-on-FCA-announcement_LIBOR-Future-Cessation-and-Non-
Representativeness-April-Update.pdf.
\80\ E.g., Statement of Chairman Tarbert; ARRC, ``ARRC Urges
Timely and Widespread Adherence to the Protocol,'' Oct. 22, 2020,
available at https://www.newyorkfed.org/medialibrary/Microsites/arrc/files/2020/ARRC_Press_Release_ISDA_Protocol.pdf; FSB, Global
Transition Roadmap for LIBOR [hereinafter ``Global Transition
Roadmap for LIBOR''], Oct. 16, 2020, at 2, available at https://www.fsb.org/wp-content/uploads/P161020-1.pdf.
\81\ ISDA, List of Adhering Parties, https://www.isda.org/
protocol/isda-2020-ibor-fallbacks-protocol/adhering-parties.
---------------------------------------------------------------------------
ISDA's IBOR Fallbacks Supplement also has provided DCOs with a
template to adopt, with adjustments, changes that are required to
transition cleared swaps referencing IBORs to alternative reference
rates, in order to ensure that the swaps can continue to be risk-
managed. The FSB specifically urged providers of cleared products that
reference IBORs to ensure that those products incorporate fallback
provisions aligned with those in the IBOR Fallbacks Supplement.\82\
Several DCOs have adopted rule amendments to facilitate the use of the
alternative reference rates provided for in the IBOR Fallbacks
Supplement in cleared swap contracts.\83\
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\82\ Global Transition Roadmap for LIBOR at 2.
\83\ ISDA's Fallbacks Supplement and changes to reference rates
have prompted ISDA to undertake a comprehensive review of their
interest rate swap definitions. As a result, ISDA has produced a new
set of interest rate derivatives definitions that DCOs are
incorporating into their rulebooks. E.g., LCH, LCH Limited Self-
Certification: 2021 ISDA Interest Rate Derivatives Definitions,
Sept. 17, 2021, available at https://www.lch.com/system/files/media_root/FINAL%20-%20LCH%20self%20cert_2021%20ISDA%20Defs%202021%2009%2017%20v1.pdf;
CME, CME Submission No. 21-431, CFTC Regulation 40.6(a)
Certification, Amendments to CME Chapters 900 (``Interest Rate
Products'') and 901 (``Interest Rate Swaps Contract Terms'') in
Connection with the Implementation of 2021 ISDA Definitions for
Over-the-Counter Interest Rate Swap Products, Sept. 17, 2021,
available at https://www.cmegroup.com/content/dam/cmegroup/market-regulation/rule-filings/2021/9/21-431.pdf; Eurex, ECAG Rule
Certification 074-21, Aug. 23, 2021, available at https://www.eurex.com/resource/blob/2754378/c6faf642c399f93edfb030274a0c79b4/data/ecag_cftc_filing_for_circular_074-21.pdf.
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B. Availability of Clearing
As the market for interest rate swaps moves away from IBORs to
alternative reference rates, DCOs have started to transition their
product offerings and are working to assist clearing members with the
process of transferring positions. A number of DCOs have started
clearing OIS in SOFR and other alternative reference rates.\84\ A table
with clearing availability at DCOs registered under the CEA is included
below. This table does not include DCOs exempt from registration under
the CEA or any other central counterparty that is not a registered DCO
where additional liquidity in alternative reference rate products may
exist.
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\84\ Eurex, EurexOTC Clear Product List, available at https://www.eurex.com/resource/blob/227404/03073af977450b1834d84eae808c7a7e/data/ec15075e_Attach.pdf; CME, Cleared OTC Interest Rate Swaps,
available at https://www.cmegroup.com/trading/interest-rates/cleared-otc.html#; CME, CME OTC IRS Supported Product List,
available at https://www.cmegroup.com/trading/interest-rates/cleared-otc/files/cme-otc-irs-supported-product-list.xlsx; LCH, What
We Clear, available at https://www.lch.com/services/swapclear/what-we-clear; LCH, Product Specific Contract Terms and Eligibility
Criteria Manual, Oct. 15, 2021, available at https://www.lch.com/system/files/media_root/211015%20-%20Product%20Specific%20Contract%20Terms%20%28EMTA%20Template%20and%20JS%20deletions%29.pdf.
Alternative Reference Rate Clearing Availability
----------------------------------------------------------------------------------------------------------------
DCOs clearing the swaps
Swap class Currency Floating rate (termination date range offered)
----------------------------------------------------------------------------------------------------------------
Basis Swaps...................... AUD................. BBSW-AONIA......... LCH (up to 31 yrs).
CAD................. CDOR-CORRA......... LCH (up to 31 yrs).
EUR................. EURIBOR-[euro]ESTR. CME (up to 51 yrs), Eurex (up to
51 yrs), LCH (up to 51 yrs).
GBP................. LIBOR-SONIA........ Eurex (up to 51 yrs), LCH (up to
51 yrs).
JPY................. LIBOR-TONA......... Eurex (up to 31 yrs), LCH (up to
41 yrs).
SGD................. SOR-SORA........... LCH (up to 21 yrs).
USD................. LIBOR-SOFR......... CME (up to 51 yrs), Eurex (up to
Fed Funds-SOFR..... 51 yrs), LCH (up to 51 yrs).
CME (up to 51 yrs), Eurex (up to
51 yrs), LCH (up to 51 yrs).
Overnight Index Swaps............ AUD................. AONIA.............. CME (up to 31 yrs), LCH (up to 31
yrs).
CAD................. CORRA.............. CME (up to 31 yrs), LCH (up to 31
yrs).
CHF................. SARON.............. CME (up to 31 yrs), Eurex (up to
31 yrs), LCH (up to 31 yrs).
EUR................. [euro]ESTR......... CME (up to 51 yrs), Eurex (up to
51 yrs), LCH (up to 51 yrs).
GBP................. SONIA.............. CME (up to 51 yrs), Eurex (up to
51 yrs), LCH (up to 51 yrs).
JPY................. TONA............... CME (up to 31 yrs), Eurex (up to
31 yrs), LCH (up to 41 yrs).
SGD................. SORA............... LCH (up to 21 yrs).
USD................. SOFR............... CME (up to 51 yrs), Eurex (up to
51 yrs), LCH (up to 51 yrs).
----------------------------------------------------------------------------------------------------------------
Certain DCOs have observed that market participants identified some
challenges with respect to implementing ISDA's fallbacks for both
cleared and uncleared contracts: (1) The bifurcation of liquidity
between trading in legacy IBOR contracts that reference alternative
reference rates (a pool of contracts that would become less liquid over
time with increasing adoption of alternative reference rates), and
```new' OIS contracts''; and (2) significant costs related to the
operational upgrades required to calculate floating rate coupons and
update valuation methodologies.\85\ DCOs continue to consider how to
address these concerns through discussions with their clearing members
and other market participants. One way that certain DCOs are attempting
to mitigate these problems is to transition outstanding cleared IBOR-
linked products to market standard RFR OIS through conversion events
prior to the cessation of certain IBORs.
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\85\ CME, Cleared Swaps Considerations for IBOR Fallback and
Conversion Proposal, Jan. 14, 2021, available at https://www.cmegroup.com/trading/interest-rates/files/cleared-swaps-considerations-for-ibor-fallbacks-and-conversion-proposal.pdf.
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[[Page 66485]]
For example, CME, Eurex, and LCH launched processes to replace
cleared swaps contracts referencing EONIA outstanding after October 15,
2021 with a conversion to [euro]STR.\86\ EONIA will be discontinued on
January 3, 2022. The European Money Markets Institute publishes EONIA
and has committed to publishing the benchmark rate until January 3,
2022.\87\ Nonetheless, these DCOs have conducted an early transition
from cleared positions in EONIA to [euro]STR. LCH plans to convert
cleared CHF, EUR, and JPY LIBOR contracts outstanding at close of
business on December 3, 2021, and cleared GBP LIBOR contracts
outstanding at close of business on December 17, 2021, to standardized
alternative reference rate contracts.\88\ CME and Eurex plan to convert
cleared CHF LIBOR, JPY LIBOR, and GBP LIBOR contracts to standardized
alternative reference rate contracts on the same timeline.\89\ DCOs may
change these plans or decide to stop clearing other products in the
lead up to the IBOR transition as well. The Commission encourages
market participants to consider these changes to product offerings as
they plan to transition their IBOR-linked swaps.
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\86\ See CME, CME Submission No. 21-413, CFTC Regulation 40.6(a)
Certification, Notification Regarding Modification of Cleared Euro
Overnight Index Average (``EONIA'') Overnight Index Swaps to
Reference Euro Short Term Rate (``[euro]STR'') Ahead of Scheduled
Discontinuation of EONIA, Sept. 29, 2021, available at https://www.cmegroup.com/content/dam/cmegroup/market-regulation/rule-filings/2021/9/21-413.pdf; Eurex Clearing, ECAG Rule Certification
081-21, Sept. 16, 2021 [hereinafter ``ECAG Rule Certification 081-
21''], available at https://www.eurex.com/resource/blob/2781070/61d1fccdd00bc1a06753877a5fa3f483/data/ecag_cftc_filing_for_circular_081-21.pdf; Eurex, Eurex Clearing
Circular 111/20 EurexOTC Clear: Summary of Consultation on the
Transition Plan for Transactions Referencing the EONIA Benchmark,
Dec. 14, 2020, available at https://www.eurex.com/ec-en/find/circulars/clearing-circular-2373634; LCH, LCH Limited Self-
Certification: Benchmark Reform--Rates Conversion, Sept. 29, 2021,
(hereinafter ``LCH Limited Self-Certification: Benchmark Reform--
Rates Conversion'') available at https://www.lch.com/system/files/media_root/FINAL%20-%20LCH%20self%20cert_Benchmark%20Reform%202021%2009%2029%20v3%20%28Clean%29.pdf.
\87\ European Money Markets Institute, About EONIA, available at
https://www.emmi-benchmarks.eu/euribor-eonia-org/about-eonia.html.
\88\ LCH Limited Self-Certification: Benchmark Reform--Rates
Conversion; LCH, Supplementary Statement on LCH's Solution for
Outstanding Cleared LIBOR Contracts, LCH Circular No. 4146, Mar. 18,
2021, available at https://www.lch.com/membership/ltd-membership/ltd-member-updates/supplementary-statement-lchs-solution-outstanding.
\89\ ECAG Rule Certification 081-21; CME, CME IBOR Conversion
Plan for Cleared Swaps, June 9, 2021, available at https://www.cmegroup.com/trading/interest-rates/files/cleared-swaps-considerations-for-ibor-fallbacks-and-conversion-plan.pdf. On
September 24, 2021, CME converted LIBOR-linked basis swaps to pairs
of offsetting fixed-to-floating swaps.
---------------------------------------------------------------------------
The Commission anticipates that DCO product offering changes (i.e.,
discontinuing clearing for certain LIBOR products after the contract
conversion date) may make the current Clearing Requirement impossible
to satisfy. The Commission is monitoring the evolution of conversion
plans, and potential conversion-related challenges, and seeks input
from the public about this and other topics in the sections below.
C. Current Trends in Alternative Reference Rates
The effort to shift trading liquidity and outstanding notional
derivatives positions from IBORs to alternative reference rates by the
industry has begun, but certain currency and rate pairs have seen more
activity in alternative reference rates than others. Clarus Financial
Technology (CFT) submitted a response to IBA's December 2020
consultation that outlined their conclusions regarding data on global
trading activity in cleared OTC derivatives and exchange-traded
interest rate derivatives that reference LIBOR in each of the five
LIBOR currencies.\90\ CFT commented that based on its review of
derivatives data: (i) Market participants have shifted derivatives
activity from GBP LIBOR to SONIA positions; (ii) markets have developed
to facilitate the transfer of USD LIBOR positions to SOFR, but market
participants have not made significant progress transferring those
positions; and (iii) there has been some progress in transferring
derivatives activity from CHF and JPY LIBOR to those benchmarks'
respective alternative reference rates, but progress has been slow.\91\
---------------------------------------------------------------------------
\90\ IBA, List of Non-Confidential Responses, at 3, available at
https://www.theice.com/publicdocs/List_of_non-confidential_responses.pdf.
\91\ Id.
---------------------------------------------------------------------------
CFT observed that there have been low volumes of EUR LIBOR-linked
derivatives historically and did not comment on the cessation of EUR
LIBOR.\92\ Data reported by ISDA also indicates that there has been
only limited activity in EUR LIBOR-based derivatives.\93\
---------------------------------------------------------------------------
\92\ Id. at 4.
\93\ ISDA SwapsInfo, updated weekly, available at https://isda.informz.net/z/cjUucD9taT04MzA0NjUwJnA9MSZ1PTg0MzY2NjIxNyZsaT03MDQ4MTA0OA/. ISDA SwapsInfo collects data from the Depository Trust &
Clearing Corporation (DTCC) swap data repository, and in the past
had included data from the Bloomberg swap data repository (BSDR
LLC).
---------------------------------------------------------------------------
With respect to the USD LIBOR market, CFT observed that trading
activity in USD derivatives markets has not changed materially in
response to the calls to transition away from USD LIBOR. CFT stated
that the although SOFR products trading doubled from 2019 to 2020, it
remains at low levels. In October 2020, as market participants managed
the transition from the EFFR to SOFR discounting and PAI/PAA at LCH and
CME, SOFR trading activity increased.\94\ CFT believes this data
demonstrates that market participants are able to use SOFR derivatives
to manage risks when there is demand. The decline in SOFR trading after
the October 2020 discounting event shows that market participants were
able to use SOFR derivatives when needed, but have not continued to use
SOFR and instead have reverted to USD LIBOR. As demonstrated by the
data below, trading in SOFR swaps has not approached the levels of USD
LIBOR trading, in notional value or trade count, but it has increased
substantially in recent weeks.
---------------------------------------------------------------------------
\94\ IBA, List of Non-Confidential Responses, at 11, available
at https://www.theice.com/publicdocs/List_of_non-confidential_responses.pdf. See also ARRC, Progress Report: The
Transition from U.S. Dollar LIBOR, at 6, Mar. 22, 2021, available at
https://www.newyorkfed.org/medialibrary/Microsites/arrc/files/2021/20210322-arrc-press-release-USD-LIBOR-Transition-Progress-Report.pdf.
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The data on GBP LIBOR swaps activity presents evidence that market
participants are transitioning to SONIA derivatives. CFT attributes
some of the success of the transition to the statements made by UK
regulators.\95\ Overall, the swaps activity in SONIA provides evidence
that market participants are shifting derivatives positions in GBP to
SONIA.
---------------------------------------------------------------------------
\95\ IBA, List of Non-Confidential Responses, at 8, available at
https://www.theice.com/publicdocs/List_of_non-confidential_responses.pdf.
---------------------------------------------------------------------------
Levels of trading and swaps activity in CHF SARON and JPY TONA had
previously not been rising rapidly year over year, but data from more
recent months in 2021 have shown substantial increases in the notional
value traded and number of trades alongside a significant decrease in
the trading of CHF LIBOR and JPY LIBOR. Recently, CFT highlighted rapid
shifts from the low levels of trading in CHF SARON and JPY TONA in
March 2021, to almost 50 percent of the market risk in those
currencies.\96\ More detailed data related to notional value traded and
trade count for certain interest rate swaps in recent weeks.
---------------------------------------------------------------------------
\96\ CFT, RFR Trading is Now at 50% in CHF and JPY!, Sept. 15,
2021, available at https://www.clarusft.com/rfr-trading-is-now-at-50-in-chf-and-jpy/.
[[Page 66486]]
Notional Value of Swaps Traded \97\
[Measured in U.S. dollars, billions]
----------------------------------------------------------------------------------------------------------------
Week ending on Week ending on Week ending on
Currency and floating rate October 22, 2021 October 29, 2021 November 5, 2021
----------------------------------------------------------------------------------------------------------------
USD LIBOR.............................................. 1,814.4 2,065.2 1,698.0
SOFR............................................... 294.4 291.0 282.3
GBP LIBOR.............................................. 88.3 31.6 164.1
SONIA.............................................. 1,218.8 668.8 931.3
CHF LIBOR.............................................. 6.2 3.3 1.2
SARON.............................................. 9.2 11.6 14.2
JPY LIBOR.............................................. 5.7 6.4 6.8
TONA............................................... 36.9 33.5 47.0
EURIBOR................................................ 785.3 805.4 1,052.4
[euro]STR.......................................... 178.6 292.0 324.1
----------------------------------------------------------------------------------------------------------------
Trade Count of Swaps Reported \98\
----------------------------------------------------------------------------------------------------------------
Week Ending on Week Ending on Week Ending on
Currency and floating rate October 22, 2021 October 29, 2021 November 5, 2021
----------------------------------------------------------------------------------------------------------------
USD LIBOR.............................................. 12,443 13,742 12,397
SOFR............................................... 2,935 3,093 2,805
GBP LIBOR.............................................. 1,768 552 1,224
SONIA.............................................. 3,201 3,557 4,002
CHF LIBOR.............................................. 124 154 34
SARON.............................................. 199 277 291
JPY LIBOR.............................................. 541 412 250
TONA............................................... 515 586 626
EURIBOR................................................ 7,559 7,798 9,152
[euro]STR.......................................... 666 733 1,009
----------------------------------------------------------------------------------------------------------------
As discussed above, clearing in the alternative reference rates is
available at more than one DCO. According to data from LCH's SwapClear
service, clearing in certain alternative reference rates has increased
over the past few months. Most notably, the outstanding notional amount
of cleared SOFR swaps has increased substantially.
LCH SwapClear Statistics \99\ Notional Amounts Outstanding as of Month-End
[Measured in U.S. dollars, billions]
----------------------------------------------------------------------------------------------------------------
Month ending Month ending Month ending
Currency and floating rate August 2021 September 2021 October 2021
----------------------------------------------------------------------------------------------------------------
USD SOFR............................................... 7,292.45 8,595.71 11,068.33
GBP SONIA.............................................. 23,041.30 25,089.41 29,795.27
CHF SARON.............................................. 633.74 725.71 888.89
JPY TONA............................................... 593.83 776.84 1,073.85
EUR [euro]STR.......................................... 1,959.42 2,329.71 19,075.77
----------------------------------------------------------------------------------------------------------------
Finally, Commission staff has been monitoring data reported to
DTCC's swap data repository and CME's swap data repository in order to
track the rate of voluntary clearing in certain RFRs. Reviewing swap
transaction data from January 2021 to October 2021, the Commission
staff has estimated that over 90% of the volume of fixed-to-floating
swaps referencing USD SOFR, GBP SONIA, CHF SARON, JPY TONA, and EUR
[euro]STR has been cleared on a voluntary basis.\100\ The Commission
will continue to monitor the level of cleared and uncleared swaps
activity in the alternative reference rates as the transition away from
IBORs proceeds.
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\97\ ISDA SwapsInfo, updated weekly, available at https://isda.informz.net/z/cjUucD9taT04MzA0NjUwJnA9MSZ1PTg0MzY2NjIxNyZsaT03MDQ4MTA0OA/. ISDA SwapsInfo collects data from DTCC, and in the past
had included data from BSDR LLC.
\98\ ISDA SwapsInfo, updated weekly, available at https://isda.informz.net/z/cjUucD9taT04MzA0NjUwJnA9MSZ1PTg0MzY2NjIxNyZsaT03MDQ4MTA0OA/. ISDA SwapsInfo collects data from DTCC swap data
repository, and in the past had included data from BSDR LLC.
\99\ LCH SwapClear reports statistics on the monthly
registration volume as well as the notional amounts outstanding at
the month end of swaps referencing one of the listed RFRs, updated
monthly, available at https://www.lch.com/services/swapclear/volumes/rfr-volumes.
\100\ Commission staff believes that the volume of swap activity
cleared is a better measure of overall clearing rates than the
number of transactions submitted for clearing. Commission staff has
prepared these conservative estimates by excluding certain
transactions between affiliated entities. Such affiliated entities
may or may not be subject to the Clearing Requirement.
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III. Request for Information
The Commission recognizes that information related to the
transition away from IBORs is changing daily, and that the information
reflected in certain statements above may have changed as of the
publication of this request for information. The Commission invites
commenters to provide new or updated information related to any aspect
of the transition away from IBORs that may offer additional background
for the Commission to consider. In addition, the Commission encourages
commenters to include the assigned number of the specific request for
information below in their responses in
[[Page 66487]]
order to facilitate staff's review of information provided.
A. Swaps Subject to the Clearing Requirement
The Commission requests information related to a DCO's ability to
continue clearing or offering clearing services for swaps that
reference GBP LIBOR, JPY LIBOR, CHF LIBOR, and 1-week and 2-month USD
LIBOR after December 31, 2021, EONIA after January 3, 2022, or in the
case of remaining USD LIBOR tenors and SGD SOR-VWAP, after June 30,
2023, including but not limited to the following:
1. The Commission requests that DCOs provide, for swaps currently
subject to the Clearing Requirement referencing each of GBP LIBOR, JPY
LIBOR, CHF LIBOR, USD LIBOR, and SGD SOR-VWAP, in each of the fixed-to-
floating swap, basis swap, FRA, and OIS classes, data for the month
ending November 30, 2021 concerning: (A) The amount of notional
cleared, including as a percentage of total notional cleared of all
swaps; (B) total notional outstanding, including as a percentage of
total notional outstanding; and (C) total number of clearing members
clearing such swaps, including as a percentage of the total population
of clearing members.
2. The Commission requests that DCOs provide an assessment of the
DCO's ability to conduct an auction of a defaulting clearing member's
positions in swaps referencing LIBOR after December 31, 2021 (not
including certain USD LIBOR tenors and SGD SOR-VWAP that will continue
until June 30, 2023), if the DCO has not conducted, or is not planning
on conducting, a conversion event.
3. The Commission requests that DCOs provide an assessment of the
DCO's ability to transfer or port to other clearing members a
defaulting clearing member's positions in swaps referencing LIBOR after
December 31, 2021 (not including certain USD LIBOR tenors and SGD SOR-
VWAP that will continue until June 30, 2023).
4. The Commission would like to know whether any clearing member
firms of DCOs have experienced challenges with respect to the
transition from any IBOR to an alternative reference rate, and any
related DCO conversion event, including whether and how such challenges
were resolved, and whether clearing member firms believe there are any
steps the Commission can take to help resolve ongoing challenges.
5. The Commission requests that registered swap dealers and other
market participants provide data related to market participants'
outstanding net LIBOR risk as of November 30, 2021.
B. Swaps Not Currently Subject to the Clearing Requirement
6. The Commission requests that DCOs file submissions with the
Commission under Commission regulation 39.5 for any swaps that have
been or may be identified as swaps that reference an alternative
reference rate that are not currently subject to the Clearing
Requirement and for which a DCO has not previously filed a submission
under Commission regulation 39.5(b).
7. The Commission requests that DCOs provide for swaps that
reference one of the alternative reference rates including, GBP SONIA,
JPY TONA, CHF SARON, [euro]STR, and USD SOFR in each of the fixed-to-
floating swap, basis swap, FRA, and OIS classes, data from the quarter
ending September 30, 2021 concerning: (A) The amount of notional
cleared, including as a percentage of total notional cleared of all
swaps; (B) total notional outstanding, including as a percentage of
total notional outstanding; and (C) total number of clearing members
clearing such swaps, including as a percentage of the total population
of clearing members.
IV. Request for Comment
A. General Request for Comment
The Commission requests comment on all aspects of the swap clearing
requirement and any related regulations that may be affected by the
transition away from LIBOR and the other IBORs to alternative reference
rates. The Commission seeks comments on these matters generally and
commenters are encouraged to address any relevant matters that are not
specifically identified in the requests for comment below. Detailed
instructions on how and when to submit comments in response to this
request for comment are located at the beginning of this document in
the ADDRESSES and DATES sections.
In responding to this general request for comment, and the specific
requests for comment below, the Commission encourages commenters to
provide empirical support for their arguments and analyses.
Furthermore, comments that identify and provide specific information or
data that would be relevant to the Commission's considerations
discussed in this request for comment would be of the greatest
assistance to the Commission.
As noted above in the Commission's request for information section,
the Commission recognizes that the information related to the IBOR
transition is changing daily and that some of the information reflected
in the statements above may have changed as of the publication of this
request for comment. The Commission invites commenters to assume
certain facts or information that may have changed or been released
after this document was published for comment, and would appreciate
comments identifying any relevant information that the Commission may
have missed in its review. The Commission welcomes comments based on
new or updated information when responding to the questions below. In
addition, the Commission encourages commenters to include the assigned
number of the specific request for comment below in their responses in
order to facilitate staff's review of information provided.
B. Specific Requests for Comment
i. Current Swap Clearing Requirement-Related Questions
1. Are market participants concerned about access to clearing for
certain swaps that are subject to the Clearing Requirement? If so, are
there any Commission actions or regulatory amendments that could
facilitate the IBOR transition for market participants?
2. Please discuss recommendations for how the Commission should
modify its Clearing Requirement under Commission regulation 50.4 and
any related advantages or disadvantages (including anticipated costs)
that might be expected from a specific approach.
3. More specifically, should the Commission modify the termination
date range, or any other specifications, with respect to SONIA OIS,
AONIA OIS, CORRA OIS or any other OIS that are subject to the Clearing
Requirement and for which the index has been nominated as an
alternative reference rate? If such an amendment is recommended, please
discuss a potential timeline for considering and adopting a
modification and the reasons for adopting such timeline.
4. Should the Commission revise the clearing requirement related to
the SGD SOR-VWAP rate as part of the initial LIBOR transition or should
market participants be given additional time to consider changes to SGD
SOR-VWAP Clearing Requirement because it is based on USD LIBOR (and may
continue until 2023)?
ii. Swap Clearing Requirements for Alternative Reference Rates
5. Are market participants concerned about access to clearing for
certain swaps that reference alternative reference rates and are not
currently
[[Page 66488]]
subject to the Clearing Requirement? If so, please explain current or
anticipated barriers to clearing swaps in alternative reference rates.
6. Are there any steps related to the SOFR transition that have not
been completed that would enable a significant number of market
participants to submit swaps referencing SOFR to clearing? Are there
specific metrics or products associated with the new SOFR rate that
need to be developed before swaps referencing SOFR can be used by a
broad range of market participants?
7. Would requiring the clearing of swaps referencing SOFR or other
alternative reference rates that are not currently subject to the
Clearing Requirement affect the ability of a DCO to comply with the
CEA's core principles for DCOs?
8. Are there specific data the Commission should consider in
determining whether significant notional amount and liquidity exists in
swaps referencing SOFR or other alternative reference rates that are
not currently subject to the Clearing Requirement?
9. Are there specific thresholds that the Commission should apply
with respect to notional amount and liquidity in determining whether
swaps referencing SOFR or other alternative reference rates that are
not currently subject to the Clearing Requirement should be subject to
the clearing requirement?
10. Have market participants observed sufficient outstanding
notional exposures and trading liquidity in swaps referencing SOFR
during both stressed and non-stressed market conditions to support a
clearing requirement?
11. Is there adequate pricing data for DCO risk and default
management of swaps referencing SOFR? Why or why not?
12. What are the challenges that DCOs may face or have faced in
accepting new SOFR swaps or swaps referencing other alternative
reference rates for clearing that are not currently subject to the
Clearing Requirement from a governance, rule framework, operational,
resourcing, or credit support infrastructure perspective?
13. Would requiring the clearing of swaps referencing SOFR mitigate
systemic risk? Please explain why or why not and provide supporting
data.
14. Would requiring the clearing of swaps referencing SOFR increase
risk to DCOs? If so, are DCOs capable of managing that risk? Please
explain why or why not and provide supporting data.
15. Would adopting a clearing requirement for swaps referencing
SOFR or other alternative reference rates that are not currently
subject to the Clearing Requirement materially and beneficially affect
trading activity in those swaps?
16. How and when should the Commission evaluate whether to require
clearing for interest rate swaps denominated in USD that reference
alternative reference rates other than SOFR, such as credit-sensitive
benchmark rates (e.g., Ameribor and BSBY)? Provided that one or more
DCOs have made such swaps available for clearing, are there additional
factors or considerations beyond those specified in Section
2(h)(2)(D)(ii) of the CEA that the Commission should consider in
determining whether to adopt a clearing requirement for such swaps?
17. Would adopting a clearing requirement for a new product that
references an alternative reference rate, or expanding the scope of the
Clearing Requirement to cover additional maturities, create conditions
that increase or facilitate an exercise of market power over clearing
services by any DCO that would: (i) Adversely affect competition for
clearing services and/or access to product markets for swaps
referencing alternative reference rates (including conditions that
would adversely affect competition for these product markets and/or
increase the cost of such swaps); or (ii) increase the cost of clearing
services? Please explain why or why not and provide supporting data.
18. What new information, if any, should the Commission consider as
it prepares to review whether interest rate swaps linked to the
alternative reference rates should be subject to a clearing
requirement? Are there specific regulatory requirements that the
Commission should consider when reviewing overall market conditions,
such as uncleared margin requirements implemented by prudential
regulators and/or the uncleared margin requirements for swap dealers
and major swap participants under part 23 of the Commission's
regulations?
iii. New Swap Product Documentation
19. With respect to all new swap products, including those
referencing alternative reference rates, is there additional
documentation that the Commission should require DCOs to submit with
swap submissions beyond the documentation that Commission regulation
39.5 currently requires?
iv. Swap Clearing Requirement Specifications
20. The Commission recognizes that at this time a majority of the
swaps subject to the Clearing Requirement fall within the fixed-to-
floating swap class. That may change as new alternative reference rates
are adopted and will be characterized as OIS or other types of swaps.
Should the Commission designate any additional classes of swaps or
specifications for purposes of classifying swaps under Commission
regulation 50.4? Do DCOs or market participants have suggestions about
how to reorganize or structure the classes of swaps subject to the
clearing requirement under Commission regulation 50.4? Should the
Commission include a new class covering variable notional swaps as a
table under Commission regulation 50.4(a)?
v. Cost-Benefit Considerations
21. The Commission requests comment from DCOs and market
participants on the nature and extent of any operational, compliance,
or other costs they may incur as a result of potential changes to the
Clearing Requirement in response to the market-wide shift to
alternative reference rates. Please provide supporting data.
Issued in Washington, DC, on November 17, 2021, by the
Commission.
Robert Sidman,
Deputy Secretary of the Commission.
Note: The following appendix will not appear in the Code of
Federal Regulations.
Appendix To Swap Clearing Requirement Amendments To Account for the
Transition from LIBOR and Other IBORs to Alternative Reference Rates--
Commission Voting Summary
On this matter, Acting Chairman Behnam and Commissioner Stump voted
in the affirmative. No Commissioner voted in the negative.
[FR Doc. 2021-25450 Filed 11-22-21; 8:45 am]
BILLING CODE 6351-01-P