1 Regulating Short Selling: The European Framework(s) and the Regulatory Arbitrages Giampaolo Gabbi and Paola Giovinazzo.

Slides:



Advertisements
Similar presentations
©2009, The McGraw-Hill Companies, All Rights Reserved Chapter One Introduction.
Advertisements

Short Selling in France during the Crisis, the Bans and What Has Changed since the Euro Correction Emmanuel Fragnière and Iliya Markov November 2010.
1 Short Selling in Russia: Main Regulations and Empirical Evidence from Medium and Long Term Portfolio Strategies.
Emerging Market Short Sales: Ambrosia or Kryptonite? Edward Pekarek, Esq. and Maryam Meseha.
1 Short selling and clearing and settlement in Europe: relations and implications Daniela Russo and Simonetta Rosati.
STATISTICS DEPARTMENT The securitisation process in the OECD countries. Summary of responses to the OECD-WPFS questionnaire and discussion on the follow-up.
Banque de France – Secrétariat général de la Commission bancaire Bruxelles, 19 mars 2010 Early intervention – which new tools for supervisors? Banque de.
Relevance of IWCFCs Capital Advice for the Financial Conglomerates Directive Roundtable on the Review of the Financial Conglomerates Directive 8 September.
Importance of Functioning Repo and Securities Lending Markets 7 th Summit for an Enlarged Europe.
WORLD EQUITY MARKETS Capitalization of Developed Countries
WORLD BANK AMFA – Investors Fair Good Practices for Consumer Protection in Financial Services Baku, 7 October 2009 Juan Carlos Izaguirre Consultant Consumer.
Commercial Bank Operations
Assessment of differences in market designs in the CS region Milan 18 July 2008.
Local Report 2010 Switzerland 14th June Design of the study.
Credit Derivatives.
Conditions for the Development of Repos and Securities Lending Markets Alfonso Mendoza Velázquez Research and Economic Intelligence Centre Mexico 4 th.
Chapter Ten Financial Crisis. Introduction From 2007 to mid-2009, global financial markets and systems have been in the grip of the worst financial crisis.
An Overview of the Financial System chapter 2. Function of Financial Markets Lenders-Savers (+) Households Firms Government Foreigners Financial Markets.
Regional trade agreements John Ries, BASM530. RTAs: What are they? WTO’s Dictionary of Trade Policy Terms: “actions by governments to liberalize or facilitate.
CHAPTER 19 Multinational Financial Management
Foreign Exchange Chapter 11 Copyright © 2009 South-Western, a division of Cengage Learning. All rights reserved.
International Business 9e
Chapter Two Banking Background. Who is in charge of the banks? Germany: Federal Supervisory Authority (BaFin) France: Banking Commission Switzerland:
The pros, the cons and a little background on the creation of the euro
Workshop on Developing Corporate Bond Market Mr. Masato Miyachi Office of Regional Economic Integration Asian Development Bank Session 1: Overview of Corporate.
FINANCIAL TRANSACTION TAX Presentation for the Committee on Social Affairs, Health and Sustainable Development, Parliamentary Assembly, Council of Europe.
European Commission DG Competition 1 Competition Policy and Corporate Governance Humbert Drabbe Stockholm 3 December, 2009.
The Response of Europe to the Collapse of Bretton Woods
The International Financial System
Stanislaw Belniak Cracow University of Economics Covered Bonds as a Source of Financing Residential Properties in Poland Presentation at the ERES Conference,
European Union.
Directorate General for Energy and Transport Johannes ENZMANN European Commission DG Energy and Transport Unit Electricity and Gas GIE Annual Conference.
1 A Survey of Short Sales in Canada Camillo Lento and James Kozyra.
Standard SS6G5b: Describe the purpose of the European Union and the relationship between member nations.
AECSD John Woodhouse Director Capital Markets, Thomas Murray The Impact of the Financial Crisis on CSD Risks.
Copyright © 2010 Pearson Addison-Wesley. All rights reserved. Chapter 14 Financial Derivatives.
Evolution of European market infrastructure & Options for integration/cooperation among market infrastructures Froukelien Wendt Sr. Financial Sector Specialist.
Retirement in Europe Annika Sundén Presentation at 16th Annual Meeting of the Retirement Research Consortium “Social Security and the Retirement Income.
Monetary Policy of the European Central Bank and Its Consequences Mateusz Benedyk.
Role-play on EU decision-making. The European Union: 500 million people – 28 countries Member states of the European Union Candidate and potential candidate.
Economic Overview October Production Productivity Employment, working hours Inflation, output prices Wages, unit labour cost Trade balance Outline.
Polish Securities and Exchange Commission Jacek Socha CHAIRMAN OF THE POLISH SECURITIES AND EXCHANGE COMMISSION DEVELOPMENT OF THE REGULATED CAPITAL MARKET.
An Overview of the Financial System chapter 2 1. Function of Financial Markets Lenders-Savers (+) Households Firms Government Foreigners Financial Markets.
Chapter 12 The Foreign- Exchange Market. ©2013 Pearson Education, Inc. All rights reserved Topics to be Covered Spot Rates Forward Rates Arbitrage.
I will: Know how and why the EU was created. Understand the benefits of being part of the EU.
Risk Management Standards and Guidelines
© Copyright Allianz IIS Redefining the industry: Regulation, Risk & Global Strategy July 9, 2007 Berlin Helmut Perlet, Allianz SE The Emergence of Solvency.
1 Reflections on short selling regulation in the European Union Francois-Serge Lhabitant and Jeannine Daniel.
Purpose of the European Union For its members to work together for advantages that would be out of their reach if each were working alone Believe that.
European Survey FENCA Number of respondents Austria 0 Belgium 0 Czech Republic 4 France 11 Germany 103 Greece 0 Italy 30 Netherlands 0 Norway.
C E N T R A L B A N K O F C H I L E DECEMBER 2010 Progress status of the Quarterly Institutional Accounts project OECD Working Party on Financial Statistics.
© 2014 by McGraw-Hill Education. This is proprietary material solely for authorized instructor use. Not authorized for sale or distribution in any manner.
Suffolk County Council Securities Finance Date: 19 th January, 2009 Location: Ipswich.
THE EUROPEAN UNION Background 11 June Image by Rock Cohen. Used with permission europa.eu – official website of the EU.
F ACTORS FOR G ROWTH P RIORITIES FOR COMPETITIVENESS, CONVERGENCE & COHESION IN THE EU 27 April 2016 A Study commissioned by the European Economic and.
Task Force on Banking Crisis Resolution Procedures Assonime-CEPS-Unicredit Task Force on Banking Crisis Resolution Procedures Key issues in bank crisis.
1 SHORT SALE CONSTRAINTS IN THE US EQUITY MARKET AND THE TERM STRUCTURE OF INTEREST RATES. Abraham Lioui EDHEC Business School.
Globalisation and Multinational Business.  Current issues in the global economy  Defining globalisation ◦ global economic interdependence ◦ implications.
The European Monetary Union – First Years
European Economic and Monetary Union
European Union.
The European Union.
THE IMPACT OF MIFID ON THE BULGARIAN CAPITAL MARKET: ONE YEAR LATER APOSTOL APOSTOLOV, CHAIRMAN.
Risk Management with Financial Derivatives
Investor protection and MIFID
Governance and Audit Oversight for Capital Market
The EUROPEAN UNION © Brain Wrinkles.
Role-play on EU decision-making
Improving SME Access to Finance: the Role of Government
The European Union © 2014 Brain Wrinkles.
Presentation transcript:

1 Regulating Short Selling: The European Framework(s) and the Regulatory Arbitrages Giampaolo Gabbi and Paola Giovinazzo

2 Reading Questions 1. Which is the difference between the regulatory and the fundamental view on short selling? 2. Did all the European countries introduce prohibitions for short sellers after the crisis? 3. Did European Market Authorities introduce a regulation on short selling after the financial crisis in the same time and for the same duration? 4. Is the European regulation on short selling based upon an harmonized framework? 5. Which is the purpose of the short selling regulation in the United Kingdom? 6. Why Germany introduced a restriction on short selling for bonds in January 2010? 7. Which are the main features of the French regulation on short selling? 8. Why the Italian Authority decided to use moral suasion before restricting short selling activities? 9. How short selling regulation has been calibrated in European countries? 10. Which is the impact of heterogeneous regulations in Europe?

3 1. The regulatory view vs. the fundamental view According to the regulatory view, short selling amplifies price collapse when uncertainty and information asymmetries converge towards a negative scenario. This is the rationale by which, financial market authorities introduced different types of bans in order to avoid speculative forces destabilizing financial markets. On the other side, according to the fundamental view short sellers use information to influence the convergence of asset market prices to their fair values.

4 2. European countries decisions after the crisis A majority of European countries introduced restrictions on short selling activities during the months of September and October Their range and number of restricted assets were partly diverse with different durations. The are some countries that did not introduce any type of restriction on short selling. These countries are the Czech Republic, Finland, Hungary, Poland, Slovenia and Sweden

5 3. When European Authorities introduce their regulation European Countries who decided to introduce short selling restrictions, implemented the ban after the Lehman Brothers collapse The first countries to introduce restrictions, on 19th September 2008 (that is 4 days after the bankruptcy), were Ireland, Luxembourg, Switzerland and the UK. The last country to introduce restrictions was Belgium, on 26th October 2008 On average, restrictions delayed 13 days after the Lehman collapse. This heterogeneity affected the European market equality and the opportunistic behaviour of some financial players

6 4. The European regulation framework on short selling The prohibition of short selling of all stocks listed in the market arises some indirect costs: pricing efficiency, liquidity shortage, foregone profits and consequent trading reduction. Therefore, regulators when introduce such bans need to avoid any type of regulatory asymmetry among countries and financial players. This risk is higher when regulations are managed by agencies with heterogeneous organizations, missions, and supervisory tools. This is what still happens in Europe, where besides a common Financial Markets Directive (aka Markets in Financial Instruments Directive (MiFID), there is at least one supervisory authority for each single country. This could be considered a critical point of the European financial markets, for the existence of many agencies and frameworks where short selling is regulated and supervised

7 5. The purpose of the short selling regulation in the United Kingdom In the UK, the Financial Services Authority (FSA) introduced new provisions to the previous Code of Market Conduct to forbid the formation or the increase of net short positions for both naked and covered short sales in publicly quoted financial stocks. The main purpose is stated as follows: to protect the fundamental integrity and quality of markets and to guard against further instability in the financial sector… Financial Services Authority (2008) FSA statement on short positions in financial stocks.

8 6. The rationale of restriction on bonds in Germany On January 18, 2010 the ban for naked short selling on financial stocks was reintroduced for sovereign bonds issued by European countries and for credit default swaps brokers. The purpose was to support bond prices during the Euro crisis and the speculative pressure against Greece. Since this regulation was that it applied only for the domestic market, all banks outside Germany could continue taking short positions on sovereign bonds, however, most of the large banks, decided to manage short selling operations from their foreign offices.

9 7. The main features of the French regulation The French Authority (AMF) wanted to provide as much consistency as possible between the Paris marketplace and major foreign financial centres, in particular those that are home to markets operated by Euronext. Therefore, AMF banned naked short selling and requested that financial institutions abstain from securities lending transactions in financial stocks. Short positions generated through the use of derivatives, such as futures were also banned.

10 8. The effectiveness of moral suasion in short selling The Italian Market Authority (CONSOB) after the Lehman collapse decided to apply the moral suasion as a means of intervention to reduce the activity of short selling. The purpose was to reduce speculative activities against financial stocks during the crisis The impact was considered inadequate for the magnitude of the crisis and, three days later, CONSOB decided to ban naked short selling.

11 9. The approaches to calibrate short selling regulation in Europe The direct approach defines objectively restrictions to short selling by assets and market players, taking into consideration covered and naked short selling; investors activity and specialization; The disclosure approach requires more information on trading activity from financial firms in order to monitor short selling volumes and increase the disclosure. The information can be provided to regulators or directly to the market The mixed approach combines the previous two approaches, in order to minimize the negative short selling impact and supervise more effectively financial speculation. In Europe 4 countries applied the direct approach and 10 countries the mixed approach. Only Italy initially choose the disclosure approach, almost immediately suspended.

The impact of heterogeneous regulations in Europe While the actual effects of this temporary action will not be fully understood for many more months, if not years, knowing what we know now, I believe on balance the Commission would not do it again. The costs (of the short selling ban on financials) appear to outweigh the benefits Christopher Cox, Chairman of the SEC Our study shows that European countries suffered of the disadvantage of a heterogeneous short selling regulation system which induced opportunistic behaviours. The implication is that imperfect harmonization among regulators reduces the expected response of market players and increases the risk of competitive distortions, creating an advantage for a few players.

13 Conclusion This analysis provided insight into: The regulatory framework of short sales in European countries, particularly Germany, France, Italy and the UK The rationales of short sales restrictions in Europe The impact of the short sale prohibition differences in European countries The need for a homogeneous and coordinated set of rules in countries where many financial players can freely settle and operate with a license given by the home country regulator