2021-08-19
Added · Updated
The Hong Kong Monetary Authority directs authorized institutions to accelerate the transition from LIBOR to SOFR following the ARRC's recommendation of forward-looking SOFR term rates. The regulator permits new USD LIBOR-linked contracts after 2021 only under specific exceptional circumstances, such as hedging pre-existing exposures or market making for legacy transactions. To ensure a smooth transition, the HKMA will increase surveillance frequency and simplify reporting templates for authorized institutions through the end of 2021.
Our Ref.: B1/15C 19 August 2021 The Chief Executive All Authorized Institutions Dear Sir / Madam, Reform of interest rate benchmarks I am writing to update you on a few recent developments relating to the reform of interest rate benchmarks. The US Alternative Reference Rates Committee (ARRC) announced on 29 July that it formally recommended CME Group’s forward-looking SOFR term rates for adoption by market participants. The Hong Kong Monetary Authority (HKMA) understood from its ongoing industry outreach that some corporates were hesitant to migrate from LIBOR to SOFR because of the lack of a commonly accepted term structure. Riding on the ARRC’s latest recommendation, authorized institutions (AIs) are expected to step up their efforts to encourage customers to transition to SOFR. Consistent with the guidance provided by banking regulators around the world, the HKMA has required AIs to cease to enter into new LIBOR-linked contracts after 2021. As certain USD LIBOR settings will continue to be published for an additional 18 months after 2021, it is recognised that there may be a need for AIs to issue new USD LIBORlinked contracts under certain exceptional circumstances until June 2023 in order to manage (or help customers manage) risks associated with pre-existing USD LIBORlinked contracts. The HKMA notes that banking regulators in several jurisdictions have specified the exceptional circumstances under which their banks are permitted to issue new USD LIBOR-linked contracts after 2021. Having consulted the Treasury Markets Association and other relevant industry bodies, we set out below the circumstances under which AIs are permitted to issue new USD LIBOR-linked contracts after 2021: (i) transactions that reduce or hedge an AI or its clients’ USD LIBOR exposures connected with contracts entered into before 1 January 2022;
More like this from HKMA
HKMA published 11 documents in the last 30 days. We email you each new one the day it's published.