Treasury Strategies Testimony to U.S. House of Representatives on the Volcker Rule / Dodd-Frank
1. Examining the Impact of the Volcker Rule on
Markets, Businesses, Investors and Job Creation
Treasury Strategies’ Testimony to Congress
U.S. House Subcommittee on Capital Markets and Government Sponsored Enterprises
U.S. House Subcommittee on Financial Institutions & Consumer Credit
January 18, 2012
Treasury Strategies, Inc. was invited to testify at the Congressional hearing “Examining the
Impact of the Volcker Rule on Markets, Businesses, Investors and Job Creation” by Chairmen
Garrett and Capito, Ranking Members Waters and Maloney, and members of the subcommittees.
This was a timely hearing, going to the heart of the stability of the financial system. Anthony J.
Carfang, a founding partner, represented and served as spokesperson for the firm, and also for
the U.S. Chamber of Commerce.
2. Introduction institutions to scale back and even exit some
of the critical services they provide. Simply
Treasury Strategies is the world’s leading put, after the Volcker Rule goes into effect,
consultancy in the area of treasury when a business’ treasurer calls a bank to
management, payments and liquidity. Our raise the cash needed to pay the bills, will
clients include the CFOs and treasurers of someone answer that phone call?
large and medium sized corporations as well
as state and local governments, hospitals Besides reduced financing for American
and universities. We also consult with the businesses, the Volcker Rule could actually
major global and regional banks that provide increase systemic risk by consolidating
treasury and transaction services to these assets into the banking system, exacerbating
corporations. In thirty years of practice, we too-big-to-fail.
have consulted to many of the world’s
largest and most complex corporations
and financial institutions.
”After the Volcker Rule goes into
The purpose of the testimony was, on behalf
of the U.S. Chamber of Commerce, to effect, when a business’ treasurer calls
discuss the impact of the Volcker Rule on
non-financial businesses. a bank to raise the cash needed to pay
The questions that have not been asked and
the bills, will someone answer that
that need to be answered by both the phone call? ”
regulators and Congress are simply these:
How does the Volcker Rule impact the ability
of non-financial companies to raise capital
and mitigate risk, and are we willing to live
with the adverse impacts of the Volcker Rule Summary
that will affect the competitiveness and the
overall efficiency of the U.S. economy? Businesses operating in the U.S. are the
most capital-efficient and productive in the
Treasury Strategies and our clients fully world. Thanks to our financial institutions and
support well-thought-out efforts to improve existing banking frameworks, businesses
economic efficiency and to reduce the and the U.S. economy benefit greatly from:
likelihood of another systemic failure. The
U.S. Chamber’s position is the same and • Broadest, deepest and most resilient
they have advocated for stronger capital capital markets
rules, rather than a unilateral ban on • Best risk management products and
proprietary trading, as a pro-growth means tools
of stabilizing the financial system and • Most robust liquidity markets
avoiding systemic failure.
• Technologically-advanced cash
management services
However, collectively, we feel strongly that
• Most efficient and transparent
the Volcker Rule, as currently constructed,
payment systems
will not succeed in this effort. We believe that
it will make U.S. capital markets less robust,
As a result, U.S. businesses are extremely
U.S. Businesses less competitive, and
efficient. Consider the following Treasury
ultimately reduce underlying economic
Strategies analysis:
activity. We believe that the lack of clarity in
many of the proposed regulatory provisions
Companies doing business in the U.S.
and the lack of a precise definition of
operate with approximately $2 trillion of
“propriety” trading itself will cause financial
cash reserves. That represents only 14%
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3. of U.S. gross domestic product. In None of these things are happening in
contrast, corporate cash in the Eurozone a vacuum.
is 21% of Eurozone GDP. In the UK, the
ratio is even higher. Corporate treasurers must also contend with
looming money market regulations that may
Highly liquid means of raising capital allow imperil 40% of the commercial paper market,
treasurers to keep less cash on hand and Basel III lending requirements and expected
use a just-in-time financing system that derivatives regulations.
enables companies to pay the bills and raise
the capital needed to expand and create All of these efforts are converging in one
jobs. place – the corporate treasury. The
combined impacts of these measures have
Should the Volcker Rule be enacted in its not been thought through.
present form, capital efficiency will decline,
resulting in increased corporate cash buffers.
Were cash to rise to the Eurozone level of
21% of GDP, that new level would be $3 ”…Risk can neither be created nor
trillion.
destroyed, but only transformed.
Stated differently, CFOs and treasurers …When you consider ways to reduce
would need to set aside and idle an
banking system risk, do not be tricked
additional $1 trillion of cash.
into thinking that risk disappears. It
• That $1 trillion is greater than the simply moves elsewhere. ”
entire TARP program.
• It’s more than the Stimulus program.
• It is even greater than the Federal
Reserve’s quantitative easing
program, QE II.
A common understanding among clients
Setting so much cash idle would seriously regarding financial risk is that, like energy,
slow the economy to the detriment of risk can neither be created nor destroyed,
businesses and consumers alike. To raise but only transformed. Therefore, when you
this extra $1 trillion cash buffer, companies consider ways to reduce banking system
may have to downsize and lay off workers, risk, do not be tricked into thinking that risk
reduce inventories, postpone expansion and disappears. It simply moves elsewhere.
defer capital investment. Obviously, the
economic consequences would be huge. To truly minimize the probability of future
financial crises, we must understand how
Why would treasurers have to idle so much this risk transforms and where it will show up
more cash? next. Risk is managed most efficiently when
it is transparent, properly understood and the
The Volcker Rule, as currently proposed, will market responds with robust, efficient and
increase administrative expenses for banks, liquid hedging solutions
and create a subjective regulatory scrutiny of
trades, making a company’s ability to raise
capital more expensive and time consuming. Specific Unintended Consequences
These changes will raise costs for some of the Volcker Rule
companies, make foreign capital markets
more attractive for some and will shut some The ambiguity surrounding provisions of the
companies out of debt markets entirely. Volcker Rule is likely to have a chilling effect
on precisely those banking services that
account for U.S. competitiveness, capital
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4. efficiency and financial stability. This issue is activities, banks would be unable or unwilling
a concern for U.S. businesses, large and small. to underwrite these public and private bonds.
Thus, if banks can no longer hold inventory,
Some of the unintended consequences, in it will be much more difficult for businesses,
addition to a general slowdown in economic municipalities and schools to raise capital.
activity, include:
Bank trading activities are what create
• Impaired market liquidity and reduced market liquidity and enable the market to
access to credit provide an efficient clearing price. Without
• Higher costs and less certainty for these activities, markets take a giant step
borrowers backward to bilateral “deals” and, in effect, a
• Restricted trading in proper and barter or auction system.
allowable businesses
• Competitive disadvantage for U.S.
Higher costs and less certainty for borrowers
businesses and financial institutions
• Increased compliance costs for non-
The Volcker Rule will increase the cost of
financial businesses
capital for all companies. With reduced
• Higher bank fees for consumers and
market liquidity, transaction spreads widen,
businesses
risks increase and price changes become
• Less access to capital for small more volatile. To compensate for these new
business and start ups risks, investors will demand higher rates.
• Shifting of risks to other sectors of
the economy Because banks can currently underwrite a
• Capital flows into offshore markets bond issue for a customer and hold any
unsold bonds in inventory, creditworthy
Let’s examine these consequences one borrowers can be reasonably assured of
by one. timely access to credit. However, under the
Volcker Rule in its current form, banks may
not be able to hold that inventory. They
Impaired market liquidity and reduced
therefore, may instead decide to defer or
access to credit
delay underwriting those bonds for their
customers until buyers are found in advance.
The Volcker Rule will impair the ability of
banks to function as market makers. Banks
Imagine a municipality or a hospital facing a
act as significant buyers and sellers of
critical funding need. Under the Volcker rule,
securities to ensure that borrowers can find
they would go bankrupt while waiting for a
investors and investors can find investments.
bank to line up the funding. Or, they would
end up paying a crippling rate.
As market makers, banks hold inventory.
This inventory could be in various investment
instruments, treasury debt, customer Restricted trading in proper and allowable
securities and foreign currencies. However, businesses
the Volcker Rule significantly constrains their
ability by dictating how banks should The proposed rule is inherently complicated
manage their inventory, which will reduce the and forces regulators to define the intent of a
depth and liquidity of our capital markets. trade. Worse, they require banks to “prove”
the intent of each trade. This proof cannot be
For example, corporations, municipalities, done in any reliable and consistent way. One
healthcare providers, and universities rely entity’s proprietary trade is another entity’s
upon the “market making” activities of banks “market making” activity. “Proprietary
in order to secure affordable funding in the trading” defies a symmetrical definition.
bond market. Without these “market making”
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5. The complexity and vagueness of the Finally, most companies will still have
Volcker Rule will force banks to adopt the financial risks that need to be managed. U.S.
most conservative interpretation of the rule business will increasingly turn to foreign
and the least favorable “intent” of any trade. banks in overseas markets – which would
With the burden of proof on the banks, the simultaneously weaken U.S. banks while
compliance costs become prohibitive. The strengthening foreign banks.
net result will likely be the elimination of
perfectly acceptable “market making”
activities. Eliminating these activities could Increased compliance costs for non-
result in banks exiting or scaling back such financial businesses
routine activities as commercial paper
issuance, cash management sweep The reach of the Volcker Rule can extend to
accounts and multi-currency trade finance. non-financial businesses, although they
These are services which all Treasury present no systemic risk whatsoever. Many
Strategies clients view as critical solutions to businesses offer financing services to their
execute sound financial management. customers. They may own a bank, have a
commercial or consumer finance subsidiary
or have a credit card company. These
Competitive disadvantage for U.S. businesses will incur increased costs and
businesses and financial institutions higher compliance burdens. Some will pass
these costs on to their customers. Others will
The United States’ major trading partners simply discontinue the financial or card
have rejected the Obama Administration’s services. In any event, the result is higher-
request to follow the Volcker rule. This cost credit for those willing to pay and less
rejection puts American businesses and credit for most small businesses and consumers.
financial institutions at a disadvantage. By
eliminating a core revenue stream from U.S.
banks, the Volcker Rule would effectively Higher bank fees for consumers and
reduce the ability for U.S. banks to compete businesses
and grow. Additionally, in order to avoid the
territorial jurisdiction of the Volcker Rule, The cumulative effect of regulatory changes
foreign financial firms may retreat from the such as the Volcker Rule and Basel III will
U.S., further depriving American businesses reduce or eliminate core banking revenue. At
of capital and degrading the ability of U.S. the same time, the Volcker rule will
regulators to oversee and regulate financial materially increase the costs of regulatory
activity. compliance. In order to continue providing
high quality, technologically-advanced
banking services, U.S. banks will need to
increase banking fees on a wide range of
services. They may also need to become
”U.S. Businesses will increasingly turn more selective in the customer segments
they choose to serve, thereby reducing the
to foreign banks in overseas markets – general availability of banking services.
which would simultaneously weaken
U.S. banks while strengthening foreign Less access to capital for small business
and start ups
banks. ”
As banks restrict the availability of their
services and increase the price, an inevitable
“crowding out” will occur. The very highest-
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6. rated corporations and those who transact in their treasury technology. Their intent is to
the highest denominations will still have get a real-time view of their cash, and
access to credit and risk management implement automated tools to easily move
products. However, the less creditworthy that cash around the globe. In this
customers and start-ups will be left out. frictionless environment, cash can easily be
Many traditional services will be no longer moved to the most favorable jurisdictions.
cost effective. Some may not be available to
those segments at all. Many U.S. multinational companies are
already selecting lead banks for each region
of the globe, eroding the dominance of the
Shifting of risks to other sectors of the U.S. banks. Many companies are
economy establishing regional treasury centers for
functions traditionally housed in the U.S.
As stated earlier, risk is neither created nor This regional structuring leads to capital
destroyed. It can only be transformed. A flowing out of the U.S. and competitiveness
corporate CFO whose company imports a declining.
raw material from the Far East, for example,
must manage currency risk, commodity price
risk, interest rate risk and operational Process Issues
shipping risk. Simply precluding a bank from
helping the company hedge those risks, the Now that we have discussed the impacts of
Volcker Rule does not make those risks go the Volcker Rule upon non-financial
away. Indeed, the risk becomes less companies, let us consider regulatory
transparent and thus more potent. process issues that make it extremely
difficult, if not impossible, for businesses to
CFOs and treasurers will undoubtedly understand how the Volcker Rule will impact
conclude that some risk management their ability to raise capital.
techniques and some previously efficient
transactions will no longer be cost effective. The Federal Reserve (“Fed”), Federal
They will decide to “go naked” and retain that Deposit Insurance Corporation (“FDIC”),
risk internally. The upshot is that they will Office of the Comptroller of the Currency
hold even more precautionary cash on their (“OCC”) and Securities and Exchange
balance sheets as a buffer. This added buffer Commission (“SEC”) proposed their portion
will take money out of the real economy. of the Volcker Rule implementing regulations
in October, and these were published in the
Federal Register on November 7, 2011. The
Capital flows into offshore markets Commodities and Futures Trading
Commission (“CFTC”) voted on its proposal
Corporate treasury is the financial nerve last week, but has not yet published its
center of the firm, daily facing and managing proposal in the Federal Register.
the complexities of the global markets. Most
treasurers select a lead bank as their Each of these regulators looks at a separate
primary source of capital, information and portion of the markets, so it is only possible
advice. That bank must be one that cannot to understand the full scope and impacts of
only give the company global visibility, but the proposed regulations when one
can seamlessly operate in markets far and examines the interrelationships of the
wide. The Volcker Rule would virtually proposed rules and the markets themselves.
eliminate U.S. banks from contention for that While the CFTC is expected to close its
important “lead” role. comment period 60 days after publication in
the Federal Register, the other regulators’
Many companies have recently engaged comment period will close on February 13,
Treasury Strategies to assist in upgrading 2012.
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