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Wednesday, May 4, 2011

ECB 'Groundbreaking ABS Data Warehouse' Was My Idea

On April 14, 2008, Total Securitization ran a Learning Curve column that set forth the ABS Data Warehouse in unambiguous detail.  This column laid out why the data warehouse (referred to in the column as the master database) is needed, how the database should be paid for, and the need for the owner(s)/operator(s) of the data warehouse to avoid all conflicts of interest with existing structured finance market participants.

Please note the date.  The column ran over two years prior to the ECB's Public Consultation on providing loan-level data on ABS securities and the groundbreaking ABS Data Warehouse.  The column ran over three years before the European Commission began to investigate the conflicts of interest involving Markit, its investors and the credit default swap market.

Here is the column as written by your humble blogger.


       Transparency is rapidly emerging as the solution for restoring trust in pricing and therefore liquidity in the structured finance markets.  It is the cure for several ills caused by opacity in the existing deals which has frozen worldwide capital markets.  Without it, market participants face an epidemic of worry about potential losses and a loss of confidence in the firms they do business with.  Without it, the actual performance of the collateral backing each deal must be guessed when valuing and rating each security.  Without it, sellers don’t know what price to ask for and buyers don’t know what price to pay.  With it, market participants can do fundamental data analysis on each structured finance deal and all of the securities that were issued as part of the deal.  With it, all relevant knowable facts can be used to value and rate each security.  With it, risk can be managed.

What Exactly Is Transparency?
It is the data on the underlying collateral performance presented in such a way that market participants can easily understand what is going on despite the complexity of each structured finance transaction.  It is this data former Federal Reserve Chairman Paul Volker asked about when he commented on the Fed taking over the mortgage and mortgage-backed securities of questionable pedigree from Bear Stearns and wondered how this collateral was “good collateral tested to the point of no return.''  It is this data and the access to this data that, when combined with TRACE, Regulators have focused on in the Presidential Working Group recommendations to restore liquidity in the secondary market.

            The gold standard for transparency is easily accessible and usable real time, standardized loan-level detail on the underlying collateral over the life of each structured finance deal.  On an ongoing basis, the gold standard brings the loan-by-loan data that is available in the primary issuance market into the secondary market. 

Under this standard, collateral performance data is made available at each end user’s desktop so they can use it in the analytic and pricing models of their choice.  This data reflects everything that has happened through the close of business yesterday.  Data from the close of business yesterday has two advantages.  First, it is what was recorded in the audited financials.  Second, it avoids settlement cycle issues where payments received by check in the morning might be backed out for insufficient funds in the afternoon. 

The data is standardized to maximize its usability.  This allows for comparisons across both a single Issuer’s deals and across multiple Issuers’ deals for the same asset type.  It also allows securities which involve multiple different Issuers and assets types like CDOs, CDO2  and, because their performance is driven by the cash market, synthetic CDOs to be analyzed and compared.  Finally, each deal can be monitored and therefore the investment risk managed over the life of the deal.

Transparency's Value to Issuers
            By offering transparency, Issuers can save themselves the cost of opacity.  This cost or opacity premium equals the increase, since the credit crisis began, in the risk and liquidity premiums in the primary issuance market. The increased risk premium reflects the perception of a higher probability that the underlying collateral will not perform as expected.  The increased liquidity premium reflects that, without transparency, Investors are going to have to hold the asset for the life of the deal because other Investors don’t know what is backing the deal and therefore are unlikely to buy it.  For those Issuers who can’t tap the capital markets on acceptable terms, the cost of opacity is the ability to access the capital markets.  The cost of opacity was calculated from Deutsche Bank’s March 2008 Securitization Monthly and is presented below.


Asset Type
Annual Cost
(in $mln per $1B Issued)
U.S. Government Insured Student Loans
$5.0
Credit Card Receivables
$6.5
Auto Loans
$11.1
Agency Home Mortgages
$11.4
Commercial Mortgages
$19.0

This cost reduces the Issuer’s income each year the deal is outstanding.

The Rating Services, particularly Moody’s, are indicating that providing transparency will also factor into the deal rating.  They are looking for standardized loan level detail over the life of each deal and will favor greater transparency.

To reduce the cost of opacity and improve the ratings on their deals, Issuers are looking for the best transparency solution.  The key characteristics of this solution include that it minimizes the cost and burden on the Issuer of providing transparency, it is administered by a third party to insure data integrity, and it maximizes the effectiveness of the transparency being provided by making the data available to all market participants.

How Transparency Will Be Offered?
            While the actual mechanics of providing transparency are very complex, the basic framework is easily described.  The collateral performance data will be collected in a master database from every Issuer for every deal whether or not the deal was publicly issued or privately placed.  The master database is needed so that CDOs and other securities like CDO2 can be analyzed, valued and monitored.  The master database is a transaction portal which insures improved data availability to all structured finance market participants.  This data will be made available to End Users either directly or through Data Distributors.  Potential Data Distributors include, among others, firms like Bloomberg, Intex and LoanPerformance.  Along with the actual performance data, these Data Distributors may provide analytic and/or pricing models.  Each End User will be able to get the data that they want.  For example, Rating Services might want every field in the data set monthly while Investors might want fewer fields in the data set daily.  In addition, because U.S. firms need to comply with Sarbanes-Oxley, the data will be made available to all market participants at the same time each day.  Finally, the Issuers will be able to control who has access to information on privately placed deals.  By limiting access, the Issuers can maintain the confidentiality of their proprietary deal structures.

            Based on its sheer size, the master database is likely to be physically maintained by several large firms that currently provide financial data services to the structured finance industry.  Overall coordination of the master database should be by a company whose sole business is overseeing the collection of the data from the Issuers’ accounting systems, the verification and validation of this data, the standardization of this data, the linking of the data to specific deals, the production of summary reports and the dissemination of the information to Data Distributors and End Users.  The role of this company is critical because it bridges the gap between the Issuers and the Data Distributors and End Users.  It is the company that works with Data Distributors and End Users to be sure that they get the data that they need.  This lowers the industry’s cost of providing transparency to each End User’s desktop while maintaining the highest possible quality standards for the data.  This also maximizes the flexibility of the transparency transmission mechanism so that it can meet the evolving needs for transparency into the future. 

          Ultimately, the transparency data is useless if market participants don’t trust it.  By definition, the company coordinating the master database must be free of the types of structural conflicts of interest that would be present if the company were a Data Distributor, an analytic and pricing model vendor, Rating Service, Bond Insurer, Trustee or Investor. The company’s business model must stop with the snapshot that answers the questions of what is the actual collateral performance to date and what does this performance mean for the structured finance deal.  

The spread of Transparency
            For the structured finance industry to move forward and grow, transparency must be offered on a global basis. Transparency must take into account differences in regulation.  For example, in Europe there are laws protecting borrower privacy.  In the U.S., similar privacy laws exist for patient privacy and healthcare receivables transactions have had to comply with this law.  By applying the HIPAA standard for patient privacy to U.S. borrowers, the transparency solution also complies with the European privacy laws.

Conclusion
            The need for and implementation of the transparency gold standard is the major task facing the structured finance market today.  As noted above, every participant in the industry, including Regulators, Issuers, Rating Services and Investors, is demanding transparency.  This is a major step forward.  Now we need industry leaders to implement the solution and help end the paralysis in the capital markets.  By providing real-time, standardized loan level data to market participants, the fear of owning or buying the unknown is eliminated and the structured finance market can function properly again.

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