Title: Tsinghua University Graduate School of Economics and Management
1Tsinghua University Graduate School of Economics
and Management
- Lecture 2008/8
- Case Study Bear Stearns
- and
- U.S Financial Regulatory Reform
- Andrew Sheng
- Adjunct Professor
- April 2008
2Profiles
- A leading global investment banking, securities
trading and brokerage firm - Founded in 1923 , BSC(NYSE), employs
approximately 14,000 people worldwide.
Headquartered in New York City, - Three core segments
- Capital Markets
- Wealth Management
- Global Clearing Services
3Company Culture
- Guiding principles
- Respect
- Integrity
- Meritocracy
- Innovation
- Philanthropy
- Access open doors and approachability.
- Visibility accomplishments visible to senior
managers, as well as the firm. - Flexibility the freedom to think and explore
- Entrepreneurialism outstanding opportunities
available for creative and resourceful people
4Corporate Governance
5Board of Committees
- Board of Directors
- Audit Committee
- Compensation Committee
- Corporate Governance and Nominating Committee
- Finance and Risk Committee
- Qualified Legal Compliance Committee
6Major Directors of Board
7Executive Officers
8Incentives Scheme and Compensation Analysis
- Principles of compensation program
- Performance-Based
- Ownership
- Competitive
- Its named executive officers owned about 7.8 of
the outstanding Common Stock at February 20, 2008 - Components and Operation of Compensation Program
- Base Salary
- Performance-Based Annual Bonus
- other benefits(Health,Welfare,401(k),etc)
9Summary Compensation Table
Nov,30 2007
10Securities Ownership of Directors and Executive
Officers
11Major Holders of BS
April 17,2008
12Securities Ownership of Certain Beneficial Owners
13Financial Analysis
14Stock Price of BSC
15Business and Performance
- Principal business activities
- Investment banking,
- Commission(securities and derivatives sales and
trading), - Clearance,
- Brokerage
- Asset management and energy trading
- Performance of fiscal 2007
- A decrease in the volume of new securities
issuances, MA results in lower revenues in
investment banking - A reduced volume of securities and futures
transactions and reduced market liquidity results
in lower revenues from principal transactions and
commissions - CDOs and SIVs resulted in significant price
declines across all mortgage-related products in
fiscal 2007.
16Revenues by Business Segment
17Bear Stearns Revenues
Percentage
18Revenue Divided by Business Nature
Commissions
Principal transactions
Investment banking
19Non-Interest Expenses
20Direct Competitor Comparison
Bear S
Goldman S
Lehman B
Merrill L
Industry
April 17, 2008
21Material Assets of Bear Stearns
22Material Liabilities of Bear Stearns
23Cash Flows
(in millions)
24Gross leverage and Net adjusted leverage
(in millions, except ratios)
25The Company's Total Capital
November 30
26Valuation and Risk Discussion
27Valuation of Financial Instruments
- Three categories methods
- (1) Valued Based on Inputs Based on Quoted Market
Prices for Identical Assets or Liabilities in
Active Markets - (2) Inputs are Observable Market Based or
Unobservable Inputs Corroborated By Market Data - (3) Inputs to Determine the Fair Value Is
Estimated Based on Internally Developed Models or
Methodologies Less Readily Observable from
Objective Sources
28Mortgage-Related Products
- Approximately 2.3 billion write downs in
Mortgage-related net inventory in the second half
of fiscal 2007 - Valuation adjustments of approximately .26
billion in Leveraged finance revenues - At November 30, 2007, the Company had
approximately 46 billion of mortgages, mortgage
backed and asset backed securities including 12
billion of floating rate commercial loans and 3
billion of fixed rate commercial loans.
29Securitization Activities
Agency Mortgage-Backed
Other Mortgage-and Asset-Backed
(in billions)
total
Total Securitizations
Fiscal 2007
23.0
73.8
96.8
Fiscal 2006
21.8
99.3
121.1
Fiscal 2005
26.2
89.8
116
Fiscal 2004
30.2
75.2
105.4
59.0
56.7
115.7
Fiscal 2003
23.6
78.6
Fiscal 2002
55.0
30The Company's CDOs and Subprime-Related Exposures
(net of hedges)
31Risk Management
- Main risks
- Credit risk
- Non-performance by counterparties, customers,
borrowers or debt security issuers,etc - Market risk
- Including interest, currency, exchange rates,
equity, futures and commodity prices, changes in
the implied volatility of and price deterioration
or changes - Operational risk
- Deficiencies in legal documentation and
technology, noncompliance with legal, regulatory
responsibilities, - Funding risk
- Legal risk
- Accounting risk
- Reputational risk
32VaR for Each Component of Market Risk
November 30
(In millions)
2003
2004
2005
2006
2007
Market Risk
Interest Rate
29.9
72.4
22.1
15.3
14.9
Currency
0.8
1.4
0.3
1.4
0.9
Equity
3.0
6.5
3.6
2.8
3.7
Commodity/Energy
0.0
12.5
0.0
0.0
0.0
Diversification Benefit
(4.9)
(23.5)
(4.6)
(4.7)
(4.2)
Aggregate Value-at-Risk
28.8
21.4
14.8
15.3
69.3
All VaRs calculation are based on one day
interval and 95 confidence level
33Fair Value Changes in Credit, Interest Rate,
Prepayment Speeds
34Over-the-Counter Derivatives Credit Exposure
Nov 30,2007 ( in millions)
As of November 30, 2007, the Company had
notional/contract amounts of 13.40 trillion of
derivative financial instruments, of which 1.85
trillion were listed futures and option contracts.
35Conclusion
- Lessons from Bear Stearns Case
- Over-leverage
- Excessively concentrated exposure on CDOs and
Subprime product, - Complicated but increditable Valuation Models
- Maturity Mismatch
- Weak Risk Management
- Information Asymmetry
36Blueprint For A Modernized Financial Regulatory
Structure
- The Department of U.S.Treasury
- March 2008
37Content
- Regulatory Challenges and Experiences
- US Legacy Model Institutional and State/Federal
- Short-Term Recommendations
- Intermediate Recommendations
- Long-Term Optimal Regulatory Structrue
- Conclusion
38Regulatory Challenges and Experiences
- Regulatory Challenges
- Forces for Change
- Changing Bank Model
- Foreign Experiences
- Australian Wallis Report Recommendations
- UK Regulatory Structure
39Forces for Change
Changing Customer Needs
- Efficiency
- Competition
- More discerning customers
- Further globalisation
- Further conglomeration
- Market widening
- Intermediaries markets
- Innovation
Technology
Regulatory Change
40Changing Bank Model
- From Deposit-to-lend To Originate-to-Distribute
Model - High element of Proprietary Trading
- Conflicts of Interest
- Derivatives make Leverage levels unclear at
institution and system level
41Australian Wallis Report Recommendations
- New Regulatory Architecture
- Four Pillars (peaks)
- APRA (prudential)
- ASIC (conduct and disclosure)
- ACCC (competition)
- RBA (systemic stability)
42UK Structure
- Tripartite MOU between
- Treasury (Political decision)
- Bank of England (Financial Stability and Payment
Systems) - FSA (Super-regulator)
43US Legacy Model Institutional and
State/Federal
- Current Structure
- Banking - State, Thrifts (OTS), OCC, FDIC, Fed
- Securities and Futures - SEC ,CFTC
- Insurance - NAIS, all State Chartered
- Pension Funds - all State supervised
- Fed - Systemic Stability, but limited to banks
only - Weakness of current structure
- Regulatory gaps and redundancies co-exist.
44Short-Term Recommendations
- Presidents Working Group(PWG) on Financial
Markets - Mortgage Origination
- Liquidity Provisioning by the Federal Reserve
45Presidents Working Group
- PWG focus would be broadened to financial sector,
not just markets - Focus on-
- Mitigating systemic risks
- Enhancing financial market integrity
- Promoting consumer/investor protection
- Supporting capital market efficiency and
competitiveness - Expanded to include OCC, FDIC OTS
- Report direct to President and coordinator for
financial regulatory policy
46Mortgage Origination
- New Mortgage Origination Commission to regulate
broker and origination - Fed still in charge of Truth in Lending Law
- Enforcement authority for Mortgage Origination
and lending clarified and enhanced
47Liquidity Provisioning
- Temporary liquidity provision process should be
caliberated and transparent appropriate
conditions are attached to lending and
information flows to Fed are adequate - PWG will consider broader regulatory issues
relating to liquidity provided to non-depository
institutions
48Intermediate Recommendations
- Thrift Charter,OTSOCC
- State-Chartered Banks
- Payment and Settlement Systems
- Insurance Oversight
- Securities and Futures Merger
49Thrift Charter
- Original focus on providing funding for
residential mortgage - The role of federal thrifts to diminish,no
necessary to go on -
- For Thrift Charter,OTS to merge with OCC within 2
years
50State-Chartered Banks
- To authorize Fed to regulate all the
State-Chartered Banks with federal deposit
insurance - Or to authorize FDIC to regulate all the
State-Chartered Banks with federal deposit
insurance - overall reform of the Fed for any shift of
regulatory authority
51Payment and Settlement Systems Oversight
- Current regulation to be idiosyncratic and
optional - To create a federal charter and incorporate
federal preemption - Fed to have discretion and full regulatory
authority
52Insurance Oversight
- To establish an optional federal charter(OFC)
for insurers - To establish the Office of National
Insurance(ONI) within treasury to regulate
insurers holding OFC - To create an Office of Insurance Oversight
(OIO) to focus immediately on key issues.
53Futures and Securities
- Prior to the merger,SEC should
- To adopt core principles modeled after the ones
adopt by CFMA - To issue a rule to update,streamline the SRO
rulemaking process - To grant exemption for the products actively
traded in the U.S. and abroad - To permit registration of global investment
company
54Futures and Securities
- When undertaking the merger,
- Merger between CFTC and SEC
- To adopt overaching regulatory principles(investor
protection,market integrity,system risk
reduction) - To harmonize several differences between futures
and securities regulation - Harmonization regulation and oversight of
broker-dealers and investment advisers
55Long-Term OptimalRegulatory Structure
- Four Conceptual Options
- Objectives-Based Regulatory Approach
- Three New Institutions Federal Charter
- The New Regulatory Structure
- Market Stability Regulator Fed
- Prudential Financial Regulator PFRA
- Business Conduct Regulator CBRA
- Federal Insurance Guarantee Corporation(FIGC)
- Corporate Financial Regulator(CFR)
56Four Conceptual Options
- Maintain status quo
- Move to functional-based system
- Move to Single Regulator
- Move to Objectives-based approach as adopted by
Australia and Netherlands recommended way
forward
57Objectives-Based Regulatory Approach
- Market stability regulation to address overall
conditions of financial stability that could
impact the real economy (oversight all 3
types_FIDIFIIFFSPs) - Prudential financial regulation to address issues
of limited market discipline caused by govt
guarantees (FIDI FIIs) - Business conduct regulation (linked to consumer
protection regulation) to address standards for
business practices. For all.
58Three New Institutions
- FIDI (Federal insured Depository Institutions)
- FII for insurers offering retail products where
some govt guarantee is present - FFSP (federal financial services provider_ for
all other types of financial services providers)
59The New Regulatory Structure
- Fed to have authority to participate in PFRA and
CBRA examinations - PFRA (OCC OTS)
- CBRA (CFTC SEC) SRO
- FIGC (FDIC Insurance Guarantee) - act as
receiver for failed FIIs or FIDIs. -
- Corporate Finance Regulator
60Market Stability Regulator - Fed
- More detailed information of financial
institutions and holding companies - Authority to make regulatory policies and
undertake corrective actions - To create market stability discount window to
non-FIDIs with high threshold - To oversee the payment and settlement system
61Prudential Financial Regulator PFRA
- To establish a FIDI charter including all
deposit-lend institutions with preemption - To establish a FII charter for insurers and a
federal guarantee structure(FIGC) - Not to regulate GSEs in the long term,but to
oversee them in the near term for transition
62Business Conduct Regulator CBRA
- To establish a FFSP charter for all non FIDIFIIs
- To specify the types of business conduct issues
responsible by CBRA - To preserve effective SROs as regulatory
component given its broad responsibility - To establish a proper role of state regulation
63FIGC and CFR
- FIGCDeposit Insurance(FDIC) FIGF
- FIGFFederal Insurance Guarantee Fund
- FIGC to operate much as the FDIC today and act as
receiver of failed FIDIs or FIIs - CFRCorporate Finance Regulator
- CFR to be responsible for corporate oversight in
public securities market(such as information
disclosure)
64Conclusion
- The short-term recommendations focus on the
immediate reforms of current mortgage and credit
market - The intermediate recommendations focus on
modernize the regulatory structure within the
current system - The long-term recommendations are towards optimal
regulatory framework,an objectives-based regime.
65Thank You
Questions to as_at_andrewsheng.net