2015/16 Assessment of ASX Clearing and Settlement Facilities Appendix A1.1 ASX Clear
A1. Financial Stability Standards for Central Counterparties
The CCP Standards are made up of 21 headline standards, each of which is accompanied by a number of more detailed sub-standards. In assessing whether a facility has met each of the CCP Standards, the Reserve Bank takes into account associated guidance.[1] The following provides details of how ASX Clear and ASX Clear (Futures) observe each of the CCP Standards (including sub-standards). It also sets out the Bank's assessment of how well ASX Clear and ASX Clear (Futures) has complied with each of the CCP Standards during the Assessment period, and provides recommendations for each of the CCPs to address relevant areas of concern and take steps to further strengthen their observance of the CCP Standards.[2]
A1.1 ASX Clear
ASX Clear is a wholly owned subsidiary of ASXCC, itself a wholly owned subsidiary of ASX Limited (see ‘ASX Group Structure’ in Appendix A). ASX Clear acts as the CCP for cash equities, pooled investment products, warrants, certain fixed-income products and equity-related derivatives listed on the ASX market. Under the TAS, it can also act as a CCP for trades in both ASX- and non-ASX-quoted financial products executed on AMO platforms. ASX Clear currently provides clearing arrangements for Chi-X under the TAS.
Summary of Ratings and Recommendations
The following table summarises the Bank's 2015/16 Assessment of ASX Clear against the FSS using the rating system set out in the Principles for Financial Market Infrastructures: Disclosure framework and assessment methodology. The table includes the recommendations made by the Bank for ASX Clear to observe or continue observing the requirements under the FSS, as well as recommendations to further strengthen ASX Clear's observance of the FSS.
Standard | Rating | Recommendation |
---|---|---|
1. Legal basis | Observed | |
2. Governance | Observed | ASX Clear is encouraged to continue enhancing the documentation of the key
elements of its financial risk management framework, including clear
articulation to participants and regulators (and where appropriate the public)
of the analytical basis and rationale for the choice and calibration of key
margin and stress test model parameters and assumptions. ASX Clear is encouraged to review its governance arrangements in light of the CPMI-IOSCO guidance on cyber resilience and forthcoming guidance on resilience and recovery of CCPs. |
3. Framework for the comprehensive management of risks | Observed | ASX Clear is encouraged to continue to refine the documentation of its recovery plans, including considering further elaborating: stress scenarios; communications procedures; the methodology for determining critical services; how structural weaknesses are identified and addressed; and links to other FMIs. |
4. Credit risk | Observed | ASX Clear is encouraged to complete its review of spread, concentration and
liquidity add-ons for its credit stress test models and incorporate these
add-ons as appropriate. ASX Clear is encouraged to continue to progress planned enhancements to its risk management systems, including the capability to calculate credit stress test exposures on a near real-time bas is. ASX Clear is encouraged to review its framework for credit stress testing, including its interpretation of ‘extreme but plausible’ market conditions and its framework for determining the adequacy of its prefunded financial resources, in light of forthcoming CPMI-IOSCO guidance on resilience and recovery of CCPs. |
5. Collateral | Observed | |
6. Margin | Observed | ASX Clear is encouraged to complete its review of spread, concentration and
liquidity add-ons for its margin models, and incorporate these add-ons as
appropriate. ASX Clear is encouraged to continue to progress planned enhancements to its risk management systems, including the ability to calculate exposures and margin requirements using a range of models and parameters on a near real-time basis. ASX Clear is encouraged to review its margin models in light of forthcoming CPMI-IOSCO guidance on resilience and recovery of CCPs. |
7. Liquidity risk | Observed | In order to continue to observe CCP Standard 7, ASX Clear should implement plans
to expand and refine its liquidity-specific stress scenarios and integrate these
into its liquidity stress test framework. ASX Clear should also continue to refine and enhance the sensitivity analysis of its liquidity stress test model. This includes examining further the sensitivity of outcomes to certain underlying assumptions, such as the level of priming of securities. ASX Clear should also ensure that its liquidity stress test framework is aligned with a clearly defined strategy for managing liquidity obligations in a default scenario. ASX Clear should implement plans to maintain sufficient liquid resources to cover a pre-specified value of stressed liquidity exposures arising from cash market transactions, while continuing to maintain sufficient liquid resources to cover stressed liquidity exposures arising from derivatives transactions. Processes should be in place to respond promptly to any breaches of target liquidity coverage; these processes should be clearly documented. ASX Clear should also conduct appropriate due diligence on its participants' ability to understand, quantify and manage any contingent liquidity obligations under its Rules. ASX Clear should ensure that its disclosures remain consistent with its liquidity risk management framework and assist participants in understanding their contingent exposure to the use of tools to address a liquidity shortfall. ASX Clear should enhance and formalise its processes for conducting due diligence on the ability of its committed liquidity providers to perform as required under those commitments. ASX Clear is encouraged to regularly test its procedures for accessing its liquid resources, including the on-market liquidation or repo of non-cash collateral and collateral investments, drawdown of ASX's committed liquidity facilities and potential repo of eligible securities at the Bank. ASX Clear is encouraged to continue to progress planned enhancements to its risk management systems, including the ability to calculate liquidity stress test exposures on a near real-time basis. ASX Clear is encouraged to review its frameworks for liquidity stress testing and determining the adequacy of its liquid resources in light of the forthcoming CPMI-IOSCO guidance on resilience and recovery of CCPs. |
8. Settlement finality | Observed | |
9. Money settlements | Observed | |
10. Physical deliveries | Not applicable | |
11. Exchange-of-value settlements | Observed | |
12. Participant default rules and procedures | Observed | ASX Clear should continue enhancing its approach to the testing and review of
its default management arrangements. Such enhancements should include increasing
the complexity and scope of its default management fire drills. ASX Clear should
also ensure that these fire drills involve all relevant internal and external
stakeholders and committees, and test the interaction between all relevant
stakeholders. ASX Clear should more prominently involve its default brokers in the testing of default management arrangements for exchange-traded products. On an annual basis, ASX Clear should engage with its default brokers on their proposed method for closing out the hypothetical portfolio used in the fire drill, including expected close-out prices and timeframes. ASX Clear should also involve the Risk Consultative Committees and other clearing participants in future default management fire drills that test ASX Clear's recovery arrangements. As part of its annual review of the DMF, ASX Clear should assess the potential implications of any changes to the resolution regimes that govern its participants. This includes the resolution regimes of any offshore-based participants. ASX Clear should also review its DMF in light of the proposed establishment of a special resolution regime for FMIs in Australia, once the regime has been finalised. ASX Clear is encouraged to complete its review of the DMF and finalise planned enhancements to the relevant documents. ASX Clear is encouraged to implement its plans for enhancing the effectiveness of its default management arrangements, including improvements to portability and the close-out process for ETOs, and finalise its policy on dealing with ‘specific cover’ exposures. ASX Clear is encouraged to continue examining ways in which its new risk management system could be used to facilitate, and mitigate risks arising in, the default management process. ASX Clear is encouraged to continue developing the system functionality over time, integrating learnings from fire drills and other enhancements identified by the DMSG. In the meantime, ASX Clear is encouraged to continue to explore options to improve the effectiveness of the default management process within its existing systems. ASX Clear is encouraged to carry out plans to sign on an additional default broker for the ASX and Chi-X markets. ASX Clear is encouraged to carry out its plans to enhance participant and client education and communication regarding its default management arrangements. As part of this, ASX Clear is encouraged to complete its planned updates of existing participant disclosures on the key aspects of its default management arrangements, including the development of an ASX Clear Client Fact Sheet. Any disclosures should be easily accessible, preferably in a centralised location. |
13. Segregation and portability | Observed | |
14. General business risk | Observed | ASX Clear is encouraged to review its assumptions in respect of the reliability and timeliness of payments under its insurance policies in calculating its general business risk capital. |
15. Custody and investment risks | Broadly observed | In order to fully observe CCP Standard 15, ASX Clear should implement plans to:
|
16. Operational risk | Observed | In order to continue to observe CCP Standard 16, ASX Clear should review its cyber risk management arrangements in light of CPMI-IOSCO guidance on cyber resilience for FMIs. As part of this review, ASX Clear should:
|
17. Access and participation requirements | Observed | ASX Clear is encouraged to complete enhancements to participant minimum core capital requirements. |
18. Tiered participation arrangements | Observed | ASX Clear is encouraged to review its approach to monitoring concentration risks in tiered participation, including triggers for further investigation and actions, and processes for ongoing review of concentration risk. |
19. FMI links | Observed | |
20. Disclosure of rules, key policies and procedures, and market data | Observed | |
21. Regulatory reporting | Observed |
- Standard 1: Legal basis
- Standard 2: Governance
- Standard 3: Framework for the comprehensive management of risks
- Standard 4: Credit risk
- Standard 5: Collateral
- Standard 6: Margin
- Standard 7: Liquidity risk
- Standard 8: Settlement finality
- Standard 9: Money settlements
- Standard 10: Physical deliveries
- Standard 11: Exchange-of-value settlements
- Standard 12: Participant default rules and procedures
- Standard 13: Segregation and portability
- Standard 14: General business risk
- Standard 15: Custody and investment risks
- Standard 16: Operational risk
- Standard 17: Access and participation requirements
- Standard 18: Tiered participation arrangements
- Standard 19: FMI links
- Standard 20: Disclosure of rules, key policies and procedures, and market data
- Standard 21: Regulatory reporting
Footnotes
The standards and guidance are available at <http://www.rba.gov.au/payments-and-infrastructure/financial-market-infrastructure/clearing-and-settlement-facilities/standards/central-counterparties/2012/>. [1]
For an explanation of the Bank's Assessment approach and the ratings scale used, see the introduction to Appendix A. [2]