The Five Changing Faces of Risk Management

As the liquidity crisis of the last year shakes the very foundations of the financial industry, most agree that managing risk is part of the problem and key to a solution. Significant changes are expected, but little is known about what they could actually consist of.

Thomson Reuters has identified five key areas of changes that are naturally derived from the ongoing analysis of the crisis and of its roots. Risks, such as market or credit risk, do not change in nature but evolve with the instruments and the purposes that they are used for. The way we manage these risks, however, will be entirely different in the future. Risks are interrelated to one another. In most cases, it is the value of the firm – through the validation of its balance sheet – which is at stake. Liquidity is the ultimate reward or punishment for the sound management of the other risks combined. Therefore, liquidity risk emerges as the ultimate operational risk across departments, firms, sectors and even across borders by the regulators themselves.

These five changing faces will elevate risk policies to strategic priority, executed as a corporate culture hinging on risk management techniques dynamically implemented throughout the enterprise. For clarity, we define the key areas of risk as follows:

  1. Valuation risk stands for managing market and credit risk as a whole after it appears a firm’s credit exposure depends on the assessment and transparency of the market risks carried by its counterparties and, reciprocally, that cross-asset strategies have turned credit risk exposure into direct market risk for others. Whether it is about measuring collateral value, reporting portfolios’ net asset value (NAV), assessing counterparty exposure or allocating capital, the risks related to data management, models and valuation processes are the true drivers of both market and credit risk exposures.
  2. Liquidity risks have become a key factor of concern. Volatility, liquidity and correlations define the backdrop for valuations, sensitivity and tail risks. It’s comparable to trying to experiment a chemical reaction in an unstable environment. The three can no longer be seen as standalone sensitivities to be managed: volatility, liquidity and correlations impact each other in a three-dimensional fashion, with highly non-linear and rather unpredictable interdependencies.
  3. Settlement risks are being revisited after the crisis highlighted that risks can no longer be seen or managed in isolation at any link of the financial system chain. Failures or even delays in settlement or payments are credit events and have direct implications on credit spread, ratings, valuations, reputation and shareholder value. With 50% of trades going over-the-counter (OTC) combined with the multiplication of cross-asset, absolute return and arbitrage strategies, it has become essential that brokers, prime brokers, custodians, market-makers and administrators share the same definitions of instruments, events, data, protocols and remain able to settle trades independently of the legal frameworks they originate from.
  4. Regulatory risks have been pointed out as some systemic risks have arisen from leading entire industrial sectors towards a narrow choice of models and uniform hedging tactics.
  5. Risk policies will now be defined and implemented by all firms as part of their business strategy. To be sustainable and truly protect shareholder value, these strategies need to be aligned with each firm’s culture, capabilities and true appetite for risks. Firms may choose to expose themselves to risks they cannot really manage or embark on inappropriate hedging strategies or risk diversification they cannot fully control.

Liquidity: the Ultimate Operational Risk

As stated above, the management of all risks and adequacy of the perceived risk appetite of the firm, which was sanctioned when there was an abundance of business and liquidity, does not necessarily take into account that failure has an immediate impact that can lead to bankruptcy. For example, the exposure to counterparty risk was traditionally measured as the outstanding amount plus or minus a profit or loss. Settlement risk was a replacement cost plus a profit/loss. But the credit crunch and ensuing confidence crisis raise the stakes dramatically. Today’s analysts may interpret a bank’s customer failure as a sign that the bank is overexposed to illiquid or risky sectors, or as the bank’s failure to properly value collateral, call margins and manage risks. The bank’s credit spread goes up immediately, which has a direct impact on equity value and funding costs. Similarly, a settlement failure may hurt much more than the replacement cost if it is perceived as the inability of a bank to settle OTC deals in adverse market conditions, opacity in back office processes, inefficiency of credit controls.

Liquidity issues seem to derive from the mishandling of risks related to the financial and technical aspects of the trading and banking business, such as funding, portfolio and collateral management, counterparty management, failed settlements and other operational issues. Therefore liquidity risk should be considered the ultimate operational risk rather than a stand-alone risk.

Sources of liquidity risks

There are three main causes of liquidity risk:

  1. Market liquidity risk – the risks that assets held in portfolio or pledged as collateral may be mispriced or simply impossible to sell due to adverse market conditions. This is made worse in the world of structured finance with the lack of transparency of the underlying assets; money managers have stopped investing in these assets thereby drying up liquidity.
  2. Funding liquidity risk – the funding and funding costs associated with the lending books. Reflecting the lack of transparency in the industry banks have limited lending lines in the interbank market leading to a drying up of funds affecting most credit markets.
  3. Counterparty driven liquidity risk – the liquidity risks related to a counterparty’s unfulfilled obligations, missed or overdue settlements. Causes can stem from either financial problems with the counterparty, connectivity failures and especially from data mismanagement. The latter occurs across straight-through processing (STP) systems linking risk takers with their execution venues, brokers, custodians and administrators. These systems require complex and frequent database alignment. Failure to process transactions in a timely manner may result in payment failures which, in times of extreme market conditions, can disrupt the firm’s liquidity management.

Liquidity Risk Mitigation

Mitigating liquidity risks should consist not only of preparing liquidity buffers as a counterbalance, but also requires a fundamental review of risk factors and their alignment with the risk policy of the firm. This is not straightforward as the risk factors a firm is exposed to may not be immediately visible, especially where securitisation and derivatives are involved.

It may be necessary for a firm to map all the assets or risk factors underlying the assets under management to fully understand risk exposure and potential concentrations. An in-depth review of actual risk factors including; links with the firm’s main customers, sensitivity and concentrations of key assets to those factors and potential correlations among assets, clients and portfolios are all fundamental to defining the appropriate stress scenarios of each firm.

Each firm must engineer its own individual response and counterbalancing framework in the context of its own exposure, exposure of its clients, and the nature of the business and then align it with the approved risk policy.

The appropriate prevention and management of liquidity problems should involve a tight monitoring of concentrations. Banks are traditionally structured to monitor and hedge concentrations within their lending books, thus focusing on funding risk. Buy-side firms are normally required and equipped to monitor and diversify their concentrations within portfolios, therefore preventing market liquidity risk.

Challenges arise when both the buy- and sell-side need to tackle cross-asset concentrations to similar risks, when the concentrations are hidden by the derivative nature of the instruments, when funding can be disrupted as a result of market movements changing the value of collateral and when all are impacted by their counterparty’s failure to properly handle those risks. It would be difficult to predict all business scenarios that can result in disruptions of this sort as they tend to result from unexpected correlation and volatility movements due to unforeseen events. It is possible, however, to tightly monitor exposure concentrations of all kinds – internal and external – as they point out the vulnerabilities of a firm (internal) and even the ones of the entire industry and financial markets (external).

Liquidity (or the lack of) arises from concentrations

Wealth generating markets such as stock exchanges or real estate aggregate liquidity based on the perceived value of the assets traded. Zero-sum game markets, such as futures and options, match customers so that one trader’s gain is the loss of another. One macroeconomic role of the former is to absorb or regurgitate liquidity; the latter is a hedging tool for operators with matching exposures to risk factors such as fluctuations of commodity or currency prices, for example.

A key element to maintaining wealth-generating markets in balance is the different timeframes to which investors operate. What one perceives as a short-term opportunity to sell an asset is seen as a long-term investment by others. The exposure derived from the various investments leads to hedging with zero-sum game markets such as futures and options. Hedges are always arranged for the short term, or rolling from tenant to tenant, due to the risk profiles and settlements they require. Zero-sum markets do not drive trends but can dramatically amplify the short-term price fluctuations of the underlying investments they are derived from.

Speculative bubbles tend to inflate when a large majority of investors trade in a single direction regardless of a timeframe. Risk concentrations form at that point and are particularly likely to trigger liquidity problems as everyone becomes a short-term trader and may exit in panic when the bubble bursts. In fact, a definition of a stock market crash is “the day everyone becomes a short term trader.”

While it would not be possible to predict where and when the next bubble will be created, there are tools to help monitor the build-up of risk concentrations and the associated liquidity risks.

Monitoring concentrations as they build-up

The key to understanding a firm’s vulnerabilities is to uncover the actual risk factors to which it is exposed. For instance, a firm holding a portfolio of securities exposed (directly or indirectly) to commodity prices would have only a partial view of its risk exposure by solely running simulations on equity prices. The potential impact of the underlying commodities on the equities also has an effect. Simulating prices of the underlying equities is fraught with difficulties as it relies on many assumptions, such as the covariance of the equity versus underlying price returns, the impact on the market volatility and liquidity of extreme market movements, correlations within the industry and so on.

In other words, considering the impact of liquidity risks requires the monitoring of risk exposures at their roots, as much as possible. Each firm should, therefore, embark on identifying all root-risk factors, monitor the concentrations they build-up and add radical correlation changes in their scenarios.

Price movement and volumes traded give precious indications of potential concentration build-ups as they point out the degree of emotion in which securities or financial instrument are traded. A well-balanced market where buyers meet sellers in steady volume tend to return normally distributed prices and profit and loss (P&L) changes, on both short- and medium-term. Before a market loses its balances and experiences a massive drawdown, some typical distortions are often noticeable, such as directional volumes imbalance, unexpected changes in correlations, unusual standard deviations, among others. Simultaneously, news releases related to such a market tend to accelerate, new sources of information appear, and the market sentiment tends to point to a single direction. The market liquidity may actually be at its highest at such point, but the market gets vulnerable.

The answer is in transparency: from open model, open data and open analytics

The impact of volatility and correlations on market liquidity is massive and complex. The unpredictable nature of correlations under stressed conditions makes models less reliable. The interaction of volatility, liquidity and correlation is three-dimensional and non-linear. Simulations based on history can be misleading too, since financial markets typically suffer from remedies or structures derived from a previous crisis to the effect that the next crisis will be different from previous ones.

It is possible, however, for analysts to keep tracking the effects liquidity (expressed in market depth); volatility (implied) and correlation have on each other and relate those observations to news as it breaks on a real-time basis. For example, one can define several categories of news related to oil prices and set up systems for machine-readable news to automatically trigger records of price changes, volatility, impact on correlations, on credit, credit correlation and so on. It sets the base for an exploratory forward-looking approach that can supplement a quantitative statistic-based analysis

As the sound management of such sensitivities and the capacity of the risk managers to pre-empt on those risks will be eventually rewarded or punished with liquidity implications, we can conclude that the most important aspect of the new risk management is transparency. Not only the transparency of pricing models, but also the clarity of processes, counterparty relationships, connectivity and IT setup, regulatory compliance and the adequacy of the overall framework with the shareholders’ appetites for risk.

Whitepapers & Resources

2021 Transaction Banking Services Survey
Banking

2021 Transaction Banking Services Survey

5y
CGI Transaction Banking Survey 2020

CGI Transaction Banking Survey 2020

6y
TIS Sanction Screening Survey Report
Payments

TIS Sanction Screening Survey Report

7y
Enhancing your strategic position: Digitalization in Treasury
Payments

Enhancing your strategic position: Digitalization in Treasury

7y
Netting: An Immersive Guide to Global Reconciliation

Netting: An Immersive Guide to Global Reconciliation

8y