Wednesday, 3 March 2010

On thin ice

Introduction

RebelEconomist apologises, if anyone cares, for his lack of posts recently, which has been mainly due to computer breakdowns that made posting cumbersome. Fortunately, his new laptop has arrived in time for him to post about a financial issue that will hit the headlines again in the next few days, and on which most media coverage so far has been, in RebelEconomist's opinion as a former central banker who knows a little about the regulatory principles involved, misleading. That issue is the dispute over to what extent, and on what terms, Iceland should reimburse the British and Dutch governments for deposit insurance payments they made to depositors in the British and Dutch Icesave branches of the Icelandic bank Landsbanki after its collapse in October 2008.

A bill passed by Iceland's parliament providing for repayment on terms acceptable to the British and Dutch is to be put to a referendum of the Icelandic people on March 6th after Iceland's President Olafur Ragnar Grimsson refused to ratify it. If Icelanders reject the bill as expected, the dispute will escalate. Inevitably, the argument comes down to legal and financial technicalities, but perhaps because this particular case involves two relatively large countries claiming money from a small one, to meet the cost of a financial bailout when public sympathy for bailouts is exhausted, discussion in even the more analytical British newspapers, like the Financial Times, Times, Guardian, Independent and even the Daily Telegraph has tended to be superficial and sentimental. RebelEconomist therefore sets out his understanding of the issue here, and offers his own assessment. In his opinion, Iceland is morally obliged to pay, and the British (for brevity I will mostly refer to the dispute between Iceland and Britain only from here on, although I believe that the Dutch position is practically the same) have dealt with Iceland fairly if rigorously. As could have been expected when Iceland allowed its economy to become dominated by financial services provided by a few institutions, the failure of one of them left Icelanders with a disproportionately large mess for a small country to clear up. Although this burden is not impossible for Iceland to carry, there is a case for all the countries of the European Economic Area (EEA) to help, since the EEA single market regulations made a substantial contribution to the debacle. Whether or not readers agree with its conclusions, RebelEconomist hopes that this post can at least facilitate a more informed debate around the referendum by providing some relevant facts with links to sources.


How European deposit protection schemes work

In order to appreciate the basis for the British claim, it is necessary to understand how deposit protection schemes work, both in general and in the EEA in particular, so please bear with a couple of paragraphs of explanation.

When a bank fails, any creditor may make a claim on the residual assets of that bank like any other business, and as ordinary unsecured creditors, bank depositors rank towards the bottom of the creditor hierarchy. Depositors are, however, generally also protected to a limited extent by a deposit guarantee scheme, designed to pay them up to a set amount in lieu of their deposit quickly, without waiting for the outcome of the liquidation procedure (known as the "pay-box" function). The money that the deposit protection scheme disburses is typically raised from insurance fees on deposits, and in principle may either be drawn from a contingency fund built up in anticipation of defaults ("ex-ante" funding) or borrowed as required – from government if not commercially – and repaid from a levy on surviving banks ("ex-post" funding). In practice, a combination of ex-ante and ex-post funding is used, with a bias towards ex-post funding to avoid the more complex administration of a large standing fund and the need for banks to tie up assets in the deposit protection scheme. In such cases it would not be alarming for a large default to more than deplete the deposit protection fund. As it pays each depositor, the deposit protection scheme takes over, or in legal jargon, is "subrogated" to, their claim on the failed bank for the amount paid (although it may additionally assist the depositor by taking responsibility for pursuing the claim for the whole deposit and splitting any proceeds with them). Thereafter the deposit protection scheme has a claim which generally ranks on a par with the claims of any other depositors, meaning that it should receive a share of the liquidator's distribution to depositors in proportion to the value of its aggregate claim ("pari passu").

Under the rules of the EU's single market, extended by the EEA Agreement to EFTA countries like Iceland, banks established in one member country (described as their "home") are allowed to operate branches in any other ("host") country with minimal supervision from the host country bank supervisors. Host countries are obliged to accept that supervision by "competent" authorities in a bank's home country is satisfactory to check the solvency of the whole bank including its branches throughout the EEA. As a safeguard, however, stipulated in Directive 94/19/EC of the European Parliament and Council, any bank operating in the single market must be covered by a deposit protection scheme, which all member countries must ensure is provided in their territory (Article 3 of the directive). This scheme has to guarantee at least 90% of the aggregate deposits of each depositor in the same bank up to an amount no less than €20,000 (Article 7), regardless of currency or location, within three months of their deposits becoming "unavailable" (Article 10). A bank's home country deposit protection scheme covers its branches in host countries (Article 4.1), but with a view to promoting cross-border competition, the directive allows for branches to join a host country's deposit protection scheme where this provides a higher level of protection (Article 4.2). In such a case, the host country guarantee is supposed to supplement ("top-up") the home country guarantee, and should be charged for accordingly (Annex II).


What is the nature of the British claim?

Landsbanki was covered by the Icelandic Depositors and Investors Guarantee Fund (DIGF) guaranteeing 100% of each customer's deposits up to €20,887, and in addition, Icesave was a top-up member of the British Financial Services Compensation Scheme (FSCS), which until the Icesave collapse covered 100% of up to £35,000 per depositor. This meant that, when Landsbanki, and hence Icesave, was put into administration by the Icelandic and British regulators on the 7th and 8th of October 2008 respectively, the British authorities were bound to ask the Icelandic authorities (theoretically the FSCS would deal with the administrators of the DIGF, although in view of the importance to both countries the matter was raised to government level) for (1) payment within three months, of an amount equal to the lesser of either the value of their deposit or €20,887, for each depositor qualifying for DIGF compensation among the over 200,000 Icesave UK depositors, and, (2) on behalf of all UK depositors with a claim on the FSCS, a pari passu allocation of eventual Landsbanki liquidation distribution to all depositors and their representatives including the FSCS (not to mention the Dutch deposit protection scheme).

A common but misguided criticism of the British claim has been that it seeks to recover an excessive level of compensation that the British authorities unilaterally promised to UK Icesave depositors. Certainly, the FSCS guarantee for £35,000 was already more than double the DIGF guarantee, and, as they closed Icesave, the British authorities actually increased the guarantee to an unlimited amount for retail depositors. This action was taken with the aim of forestalling any runs on other questionable banks, in the light of Britain's experience of the run on Northern Rock the year before, which demonstrated the fragility and critical importance of depositor confidence. But note from the preceding paragraph that the value of the FSCS guarantee does not affect the size of the aggregate British claim on Iceland anyway, because the claims of the FSCS and uncompensated depositors have equal rank; as far as Iceland is concerned, the only difference is that the larger the FSCS guarantee, the more UK depositors claim through the FSCS rather than in their own right.

Note, however, that the size of Britain's claim does depend on the value of DIGF guarantee. Like the British, the Icelandic authorities chose, as Landsbanki collapsed, to extend their deposit guarantee to the entire value of domestic deposits – in their case including wholesale deposits too – to stabilise the domestic banking system. According to Directive 94/19/EC (its third "whereas" recital, to be precise), "depositors at any branches situated in a Member State other than that in which the credit institution has its head office must be protected by the same guarantee scheme as the institution's other depositors", a principle of non-discrimination enshrined in Article 4 of the EEA Agreement which states that "any discrimination on grounds of nationality shall be prohibited". Strictly, therefore, the DIGF ought to offer the same level of compensation to depositors in UK branches of Landsbanki as it did to domestic investors. The implication is that the British claim on Iceland is actually smaller than it could be, because the UK has a case to ask the DGIF (as opposed to the Landsbanki liquidator) for the entire value of all UK deposits in Icesave.

Many commentators have objected to what seems to be a demand on behalf of "greedy" depositors attracted by the relatively high rates of interest offered by Icesave and who should have associated this with greater risk. In fact, Icesave's attractive interest rates were attributed to its low operating costs as a largely online bank, and were not viewed with particular suspicion. Motivated again by the need to maintain confidence in the shaky banking system of late-2008, the British authorities began to settle compensation claims from depositors in British branches of Icesave within weeks of its closure, without waiting for money from the DIGF. This means that Britain is now asking Iceland for money to repay the British taxpayer, rather than to pay depositors. Not that the British taxpayer will escape anyway – even if Iceland pays what Britain asks, British taxpayers will still have to cover the cost of the British top-up component of Icesave depositors' compensation, and since the FSCS unlimited guarantee did not cover wholesale depositors like local authority treasurers, many of those taxpayers will have sustained uncompensated losses at local government level too.


How far can the State of Iceland be held responsible for compensation?

Unfortunately, when Landsbanki failed there was not nearly enough money in the DIGF to meet its guarantee obligations. While no official statement of DIGF assets at the time of the Landsbanki failure seems to have been made, its 2007 Annual Report showed a plan for the fund to reach ISK10.9bn during 2008, which would have been worth just €80mn or £62mn on the day that Landsbanki was closed (October 7th 2008). This compares with Britain's claim on the DIGF alone for £2.35bn. Essentially, the Icelandic deposit guarantee scheme was ex-post funded, being mandated to hold just 1% of the Icelandic banks' average amount of guaranteed deposits over the previous year. In theory, the DIGF would have borrowed as much as required to compensate Landsbanki depositors, and recovered the money over time by raising the insurance fees paid by the surviving banks. In practice, this would have been hardly feasible, because Iceland's banking system was dominated by just three banks, Kaupthing, Landsbanki and Glitnir (each of which had a market share by assets of about 30%), meaning that the failure of one of them would leave a crippling burden on the other two even if they were not hit by the same problem. In such circumstances, a strictly privately-funded DIGF would have found a loan on commercial terms either unavailable or impossible to repay. The conventional assumption is, however, that deposit protection schemes have state backing, in the form of loans or loan guarantees if not government grants, in the event that the fund does not have the means to compensate depositors when called on. The British authorities therefore looked to Iceland's government to either fund the DIGF or provide it with a state guarantee to allow it to borrow enough money to provide its contractual level of compensation to Icesave depositors despite there being little chance of future deposit insurance fees from the Icelandic banking system being sufficient to repay that debt.

Some commentators have argued that, since the DIGF is supposed to be a private-sector-funded scheme, the State of Iceland cannot be held responsible for DIGF obligations. On this question, Directive 94/19/EC is ambiguous. It says (in its penultimate "whereas" recital) that "this directive may not result in.....member states.....being made liable in respect of depositors if they have ensured that one or more schemes guaranteeing deposits.....and ensuring the compensation or protection of depositors under the conditions prescribed in this directive have been introduced". Iceland undoubtedly ensured the introduction of a deposit protection scheme that promised to provide at least as much compensation as prescribed by the directive, but a scheme likely to require ex-post funding of compensation covering one third of the banking system by the remaining two thirds could not realistically be described as "ensuring" that level of compensation. It is true that no government commitment to back up Iceland's banks' deposit protection scheme existed when Icesave was rapidly accumulating deposits in 2006-7. But this absence of a formal government back-up is normal – it is understood that governments do not want to absolve banks from contributing enough to make their own deposit protection scheme robust, and, in Europe at least, a deposit protection scheme backed by a relatively wealthy state could be considered to give the banks it covers an unfair competitive advantage in attracting deposits (in the words of Directive 94/19/EC, it is "not appropriate" for deposit protection "to become an instrument of competition"). And Icelandic regulators never attempted to dispel the notion promulgated by influential advisers such as Moody's that the Icelandic banks would ultimately receive state support. To do otherwise would have disadvantaged Icelandic banks in the European market. Moreover, since deposit insurance exists primarily to deter runs on banks by reassuring the majority of depositors that their money is secure, the Icelandic banking system itself may well have been unstable or even unviable if depositors in Icelandic banks had believed that their protection was limited to the resources of a fund obliged to hold only 1% of insured deposits.

It has also been argued that it is not reasonable to expect a deposit scheme to cope with a collapse of the banking system it covers, as opposed to a single bank. In fact, the Q&A section of the DIGF website explains that if two banks (ie likely to mean about two thirds of the Icelandic banking system) became insolvent at the same time, a customer with deposits in both banks would receive compensation for both.

Nevertheless, as the problems facing the Icelandic banks became increasingly clear in Autumn 2008, various Icelandic government representatives were specifically asked whether the government would stand behind the DIGF and said that it would, namely Triggvi Herbertsson, an advisor to the Icelandic Prime Minister interviewed on the BBC Radio Moneybox programme on October 4th and Jonina Larusdottir of the Ministry of Business Affairs in a letter of October 5th to the UK Treasury.


Did Britain really brand Icelanders as "terrorists"?

Notwithstanding these Icelandic government officials' commitments to support the DIGF made just before the demise of Landsbanki, the statements of more senior officials as the bank was in the process of being closed were more equivocal. Interviewed on Icelandic television on October 7th, central bank governor David Oddsson, a former prime-minister, said, according to the translation reported in the Wall Street Journal, "These players lent this money to make a profit.....and they must face the consequences and not innocent citizens.....we have made this rather drastic decision and say: we are not going to pay the banks' foreign debts". No doubt alarmed by such comments and being aware of the fact that the Icelandic government had fully guaranteed domestic deposits, British Finance Minister Alistair Darling telephoned his opposite number in Iceland, Arni Mathiesen, to verify that UK Icesave depositors would get at least the €20,887 (then equivalent to about £16,000) guaranteed by the DIGF and that the comprehensive compensation given to Icelandic depositors of Landsbanki would not be at the expense of depositors in foreign branches, but Alistair Darling did not get the categorical reassurance the situation demanded. According to the transcript of the conversation, when asked whether British depositors would get the DIGF compensation, Arni Mathiesen said "I hope that will be the case. I cannot visibly state that or guarantee that now.....", adding later that "We need to secure the domestic situation before I can give you any guarantees for anything else.".

While it is possible to interpret these comments to give Iceland the benefit of the doubt (eg that David Oddsson meant that the State of Iceland would not simply assume Landsbanki's foreign liabilities in full and that Arni Mathiesen was acknowledging Iceland's limitations but did not mean that the domestic depositors' guarantee would be paid even if the foreign depositors' guarantee was not), in the absence of unqualified reasurrance (the Financial Times report of this conversation puts the burden of proof on the wrong side), the British government used the legal powers at its disposal to freeze Landsbanki's British assets to ensure that UK Icesave depositors would get at least something back. Here, the attitude of the British government may well have been hardened by its experience in the previous month of the difficulty of recovering money transferred from Lehman Brothers' London branch to its New York headquarters immediately before Lehman was declared bankrupt. It so happened that the legislation enabling the freezing order had been most recently updated to cope with terrorist organisations, and so was included in the Anti-Terrorism, Crime and Security Act, 2001 (which amended legislation from the less startlingly titled Emergency Laws Re-enactments and Repeals Act, 1964). Use of this legislation did not, as some Icelanders have protested, brand Iceland as a terrorist regime, and in fact the freezing order applied to Landsbanki specifically, rather than Iceland or Icelanders generally. And the freezing order was soon lifted once it became clear that Iceland did not intend to preclude any losses for its own citizens before releasing anything for foreign Landsbanki creditors.


Shouldn't negligent British regulators share the blame?

Many critics of the British claim argue that the British authorities were partly responsible for depositors' Icesave losses, because they allowed a risky bank insured by an inadequate deposit protection scheme to operate in the UK, and failed to prevent or even warn investors about the danger of its collapse. This criticism is unfair; because Icesave was a branch of a bank from another EEA country, the single market regulations practically obliged Britain's bank regulators, the Financial Services Authority (FSA), to accept the approval of the bank's solvency by its home regulators, Iceland's Financial Supervisory Authority (FME), at face value (according to the FSA's review of the Icelandic banking crisis on page 19 of its 2009 Financial Risk Outlook 2009, the FSA had only limited powers to supervise Icesave's local liquidity and conduct of business). And it is not hard to imagine the outcry if the FSA had suggested that Iceland was too small a country to support a secure deposit protection scheme (Dutch banking regulators evidently felt similarly constrained). In fact, when the FSCS merely advised British depositors that there could be a delay in receiving compensation in the event of the closure of a branch of a foreign bank, Icesave complained that this warning was a "violation of European law". Clearly, to some extent, the EEA's single market regulations contributed to the Icesave problem, by clearing the way for some banks to operate in the larger European economies with minimal scrutiny from those economies' relatively well-resourced and experienced regulators, so there is a case for sharing the cost of compensating Icesave depositors across the whole EEA.


How costly could Icesave compensation be for Iceland?

According to recent press reports, the British and Dutch deposit insurance schemes have now compensated 229,000 and 114,000 Icesave depositors respectively. Many of these depositors will have had deposits of less than €20,887, so the British and Dutch claims total £2.35bn (reflecting the sterling value of the euro-denominated Icelandic guarantee when Landsbanki was closed) and €1.33bn respectively. Based on the January 2010 Central Bank of Iceland forecast of 2010 Icelandic GDP of ISK1316bn and present exchange rates, together these payments represent 44% of Iceland's GDP.

The final fiscal cost to Iceland, however, can be expected to be much less than this, because the liquidation of Landsbanki's assets will recover substantial value for its creditors. The latest information from the Landsbanki winding up board projects a recovery rate for priority claims (which includes the DIGF) of 89%. At that rate, the final cost to the Icelandic taxpayer of compensating Icesave depositors would be about 5% of GDP.

Some Icelanders, notably lawyer Ragnar Hall, contend that the DIGF should take priority in the Landsbanki liquidation over the uncompensated (by the DIGF) claims of foreign deposit protection schemes and unrepresented depositors, in which case the DIGF could expect to recover more than 89% of its claim. They consider that the British government, by asserting a right to a pari passu share of the Landsbanki liquidation proceeds on behalf of the FSCS in addition to compensation from the DIGF, is asking for two bites at the residual assets of Landsbanki. Giving the DIGF precedence would, however, mean that the smaller depositors would be effectively being partly paid off out of the wealth of the larger depositors, making the DIGF more of a redistribution scheme than a compensation scheme. Although European law defers to national bankruptcy law on this point, European law is clear (reportedly unlike Icelandic law) – Directive 94/19/EC (Article 11) states that "schemes which make payments under guarantee shall have the right of subrogation to the rights of depositors in liquidation proceedings for an amount equal to their payments". Indeed, in the light of this clause (which also appears as Article 12 of Directive 97/9/EC on investor compensation schemes) Britain removed the preference formerly given to its own deposit protection scheme when it introduced the FSCS in 2001 (see, for example, section COMP 7.3.2C of the FSA handbook).

It may also be significant that the way that the Icelandic authorities chose to protect domestic deposits was to take control of Landsbanki and abstract a new "good bank" Nyi Landsbanki, comprising domestic deposits and associated liabilities plus new capital contributed by the Icelandic government, leaving foreign branch depositors in a "bad" bank destined to be wound up (as described in pages 15 and 16 of Iceland's request for an IMF stand-by arrangement). Whether this is significant depends on whether the assets of the old Landsbanki are allocated equitably to the creditors of the good and bad banks. Any unfavourable allocation to the bad bank will reduce the value available to be distributed to its (predominantly foreign) creditors.

Defenders of Iceland's preferential treatment of its depositors and banks argue that this was justified to preserve the domestic banking system, which is vital to the whole Icelandic economy. No doubt this is true, but it has to be said that the reason why Iceland's economy was so dependent on domestic banks is that foreign banks found it difficult to enter the Icelandic market. According to Report 1/2006 of the Nordic competition authorities on Competition in Nordic Retail Banking (page 15), at the end of 2005, all 178 bank branches operating in Iceland were branches of domestic banks (the report suggests the explanation may be that the cost of transferring accounts out of the incumbent banks had been prohibitively high).


The disagreement about deferred payment terms

The impact of the financial crisis on Iceland's economy (not to mention its dispute with Britain and the Netherlands) damaged Iceland's credit standing and made it prohibitively expensive if not impossible for Iceland to borrow in the capital markets as much as might be needed to repay the British and Dutch before much cash could be realised from the liquidation of Landsbanki and raised from future deposit insurance fees. Those countries therefore offered to effectively lend the necessary amount to the DIGF, subject to an Icelandic sovereign guarantee, by deferring repayment until 2016, with the plan being that the debt is repaid in 32 equal quarterly instalments from 5th June 2016 to 5th March 2024.

The terms of this loan is one of the key points of disagreement. Iceland contends that the proposed interest rate of 5.55% is too high. Critics of the deal, including some who ought to be able to produce a more rigorous assessment, compare the interest rate unfavourably with the interest rates that the British and Dutch governments pay on their fixed interest rate debt. In fact, this is not a reasonable comparison, for at least two reasons. Firstly, unlike a typical government bond, Iceland is not required to make any payments for the first seven and a half years of the loan; a more appropriate comparison would be with zero-coupon rates derived from British and Dutch government bond (gilts and DSLs respectively) yield curves. The interest rate set apparently reflects market interest rates as at the beginning of January 2009 (ie allowing for the statutory delay of up to three months before compensation is paid), at which time, according to Bank of England yield curve data, seven-and-a-half to fifteen year zero coupon gilt yields ranged from about 3¼ to 4%. And gilt yields are quoted on a semi-annual compounding basis, whereas the 5.55% specified in the loan agreement is expressed as an annual rate (which accounts for about tenth of one percent on the loan rate). Secondly, since the loan allows for early repayment as the DIGF receives money from the Landsbanki liquidation, it effectively incorporates a call option (the right but not the obligation to repurchase the debt) for Iceland. In practical terms, this means that if interest rates fell and Iceland was able to borrow more cheaply than the cost of the loan, it could reduce its expenses by borrowing elsewhere and paying off Britain early, whereas if interest rates rise and gilt yields exceeded the cost of the loan, Iceland could make some money back by investing the liquation proceeds in gilts and repaying the loan as late as possible. It has to be said that the terms of the loan might have been less contentious if the British and/or Dutch had set out how the rate was determined.

Since proposing the original loan agreement in June 2009, the British and Dutch have offered some concessions that soften the terms of the loan. They agreed to an amended loan agreement in which annual repayments were capped at 6% of Iceland's GDP, with any such reduced repayments being recovered from one or more five year extensions of the loan (ie effectively giving Iceland a put option). This modified form of the loan was included in the bill which Iceland's President refused to ratify. In recent days, Britain and the Netherlands have reportedly offered loan terms involving a floating interest rate (based on terms Iceland has accepted for loans from other Nordic countries), which Iceland is said to have rejected on the grounds that the British and Dutch were not passing on their own lower cost of borrowing. If the loan terms are the only obstacle to reaching an agreement, one way forward might be for the three countries to agree a mutually acceptable loan structure, for Britain and the Netherlands to structure some of their own growing debt in this way, to auction it to obtain market terms, and pass these through to Iceland.


Is it reasonable to expect Iceland to bear the Icesave compensation burden?

Although most of Iceland's politicians may have accepted Iceland's obligation to repay the British and Dutch governments the amount of money due from the DIGF, and are now negotiating mainly about the timing of the outlay, a large fraction if not the majority of Iceland's general public apparently regard the British and Dutch claim as excessive and unjust, and are expected to vote against accepting it if the referendum goes ahead. Even in Britain, the dispute is commonly portrayed as two tight-fisted governments of relatively powerful countries bullying a small nation into accepting poverty to pay for the damage done by a few greedy compatriots for whom the majority were not responsible. In fact, many countries have had to meet the cost of fixing banking crises in the past, and several are suffering one now like Iceland, and if the Icesave compensation does end up costing Iceland 5% of GDP, and similar losses are generated by Glitnir and Kaupthing (which were also taken over by the Icelandic government), the fiscal cost of the Icelandic banking crisis would be in line with the average fiscal cost of banking crises which is 16% of GDP. The cost of Iceland's banking crisis is painful but not unprecedented or unbearable.

Of course, bank depositor compensation will only represent part of the cost of the financial crisis for Iceland, but comparison of the burden on Iceland of compensating Icesave depositors with the reparations demanded from Germany after World War One, which proved impossible to pay and led to the resentment that contributed to the Second World War, looks exaggerated. Under the London schedule of payments of 1921, Germany was required to pay 50bn gold marks (ie nearly 18,000 tonnes of gold) in reparations from 1921 to 1933, representing 125% of 1921 German GNP (and more later if possible, up to 132bn gold marks).

In reality, the fundamental cause of Iceland's present misfortune is that, especially in the early years of the current century, Iceland's financial services industry grew rapidly and came to dominate its economy. That high degree of concentration of economic activity meant that Iceland's economic fortune would be extremely good during financial market booms, as in 2007 before the financial crisis, when Iceland had one of the highest per capita incomes in the world, but suffer a relatively large decline during financial market busts. Iceland's leaders were not shy about proclaiming Iceland's success during the boom; reading the bragging May 3rd 2005 London speech by Olafur Ragnar Grimsson, including the, with hindsight, personally unfortunate claim that the Icelandic "style of entrepreneurship breeds leaders who know that they are responsible", provides an antidote to sympathy for Iceland. Similarly, Iceland's banking industry was itself highly concentrated, meaning that Iceland was unwise to adopt the kind of ex-post funded deposit protection scheme covering the larger European countries. Iceland is arguably the world’s most experienced democracy, and Icelanders elected the people who made these mistakes or allowed them to occur. They should accept their responsibility, and approve the bill.


Update on March 9th 2010

Sadly, the people of Iceland rejected RebelEconomist's advice to vote yes; of the 62.7% turnout of registered voters, 93.2% voted no, and only 1.8% voted yes. However, while the result is decisive, it is less clear what it means. Although there were undoubtedly some who voted against the whole idea of a perceived capitulation to British and Dutch bullies demanding payment for bailing out greedy depositors of reckless private sector bankers, the majority seemed to accept repaying the amount of DIGF compensation disbursed by the British and Dutch but to reject what were regarded as unfair terms of the loan from Britain and the Netherlands. Indeed Iceland's prime minister Johanna Sigurdardottir had described the poll as "pointless", on the grounds that nobody was in favour of the bill in question anyway, since a "more favourable solution" had been offered by the UK and the Netherlands. The problem that RebelEconomist has with this position is that he is not sure exactly what Iceland would consider fair, or even whether the new offer from Britain and the Netherlands really is better from Iceland's point of view.

Assuming that by "fair", Icelanders mean that the British and Dutch should just cover their own borrowing costs rather than adding some "profit" margin on top (although judging by credit default swaps, a margin of about 4% to cover Iceland's credit risk would represent "fair market" terms), it is not clear that the proposed interest rate of 5.55% was unreasonable, as explained in the original post. And even if no allowance is made for the duration and flexibility of the loan, a crude comparison of this interest rate and current swap rates of a similar duration – say eleven years – would suggest that in LIBOR terms, this interest rate represents LIBOR plus about 1½%. Yet the new offer reportedly involves floating rate interest of LIBOR plus 2¾%. Even though this may imply a current loan rate of less than 5.55%, market expectations that interest rates will rise from their present anomalously low levels would suggest that a new deal of LIBOR plus 2¾% would probably be worse for Iceland in the long run (although the reported offer of an interest "holiday" too would also need to be taken into account to make such a judgement). Iceland sought legal advice on the draft loan agreement with Britain and the Netherlands; perhaps Iceland should also seek financial advice on the loan terms from an impartial investment bank (if it has not already done so).

To quote H.L.Mencken, "democracy is a pathetic belief in the wisdom of collective ignorance".

Friday, 7 August 2009

Misdisinformation

RebelEconomist values the NakedCapitalism blog for providing a digest of financial news and commentary, and admires its writer Yves Smith for her productivity and independence, but I am afraid that Yves got hold of the wrong end of the stick in her criticism today of Zero Hedge’s report of Chris Martenson’s observation that the Fed has been buying very recently issued treasuries in its open market operations (actually, this story had already been covered by Brian Benton a couple of days earlier). Maybe the Zero Hedge and Martenson posts are a bit sensational, but they do raise an important point.

The main reason why central banks are generally not allowed to buy government debt in the primary market is that the central bank is supposed to buy assets at market prices (to protect its ability to re-sell them when it chooses to tighten monetary policy without depleting its capital and therefore its independence from government). Although the Fed does buy treasuries at auction, it does so only to roll over its existing holdings. So when the Fed buys a large proportion of a new treasury issue from the primary dealers very soon after the auction, it raises the question of how meaningful the auction process actually was in determining a fair market price for the bonds. And, as Chris Martenson notes, the apparently successful sale of a larger volume of treasuries to the private sector gives the impression that demand remains robust despite the massive increase in supply.

I have not been involved in the US treasury market for a few years, but it does strike me as strange that the Fed would buy such a recently issued bond. Normally, the most recently issued (so-called "on-the-run"; "hot-run" if you trade with J.P.Morgan) treasuries are the most expensive on the yield curve as their liquidity (ie still lots of bonds in loose hands with active trading) gives them extra utility (eg for hedging purposes). Although John Jansen has offered the ingenious explanation that the Fed might buy the most recently issued treasuries because the off-the-run issues tend to be priced with reference to the on-the-runs and would therefore also be raised in price, I am sceptical. In my experience, the treasury market does re-price the off-the-runs to allow for the idiosyncrasies of particular on-the-runs (eg for repo squeezes). And contrary to John Jansen's response to the Zero Hedge post, I could believe that a tacit understanding between the key players could be reached that the primary dealers can bid up for the bonds in the auction with the reassurance that the Fed will endeavour to – ie with no firm guarantee – offer a modestly profitable outlet a few days later. After all, the Bank of England reputedly used to be able to discreetly (and unattributably) signal its view of the conduct of British banks by a mere twitch of the Governor's eyebrow.

Yves Smith incorrectly relates the issue to whether the Fed is adding or draining liquidity. In fact, the quantity of liquidity that the Fed adds (or withdraws) is determined by the monetary value of bonds it buys (or sells). In this case, the issue is about how the Fed adds the liquidity, and the impact of its operations on relative prices in the treasury market.

Saturday, 4 July 2009

Is this really a great global recession?

In a VoxEU column that attracted significant media attention, Eichengreen and O'Rourke (E&O) present evidence suggesting that the present global economic downturn is "every bit as big as the Great Depression shock of 1929-30" and "every bit as global". In contrast, this post presents an unconventional indicator of global economic activity that shows no sign of truly global recession yet. This indicator is the seasonally adjusted atmospheric carbon dioxide concentration at Mauna Loa, Hawaii. Admittedly, the rate of carbon dioxide emission varies between different industries, and atmospheric carbon dioxide concentration is affected by natural variables such as sea surface temperature, making it a noisy indicator of economic activity. Nevertheless, atmospheric carbon dioxide does have the advantage as an economic indicator that it covers the whole world equally well, including regions where official statistics may be unreliable, and it does seem to have reflected previous major global downturns, so the absence of such a signal so far should at least raise doubts about E&O's assessment of the present episode. The explanation for the disagreement with E&O may be that their analysis gives too much weight to activity in existing developed countries, and that the prominence of the downturn there belies an ongoing improvement in living standards of a vast number of people in poorer countries, especially in Asia, that is to some extent being sustained by stimulating domestic activity to substitute for reduced export demand.

Like many who end up working in finance, RebelEconomist studied science at university, which in his case culminated in research investigating patterns in climatic records. Part of this work involved analysing the seasonal cycle in the well-known Mauna Loa record of atmospheric carbon dioxide concentration established by C.D.Keeling. This seasonal cycle arises because of the net absorption of carbon by plants during the summer (eg as leaves on deciduous trees) and release during the winter months, so that at Mauna Loa (20°N 156°W) the atmospheric carbon dioxide concentration normally peaks in early May and reaches a minimum in early October. Being driven ultimately by astrophysical forces and modulated by global scale environmental influences, the seasonal cycle is relatively stable and easy to model, and subtracting the seasonal cycle from the series isolates the underlying rise in the underlying level of carbon dioxide concentration that is the cause of concern about global warming. Even then, before he took much interest in economic events, RebelEconomist was struck by the marked dip in the upward trend of the seasonally adjusted series during and after 1973, apparently due to the first oil shock triggered by the Yom-Kippur-war-related Arab oil embargo and steep oil price rises (which was all the more marked because it had been preceded by a period of rapid economic expansion), as well as a less distinct deceleration around 1981 associated with another relatively severe downturn. Therefore, when RebelEconomist recently went back to the series to update his PhD analysis for a seminar celebrating his supervisor's research career, he expected to see a similar if not larger slowdown in the rising trend of atmospheric carbon dioxide concentration over the last few months, on the assumption that the present economic downturn is the most severe since the Great Depression. Instead, to his surprise, the updated seasonally adjusted series, based on observations up to and including May 2009 (Figure 1), so far shows no sign of decelerating at all.






















For the geeky reader, the seasonally adjusted series in Figure 1 was obtained by time-variable estimation of a trend plus seasonal cycle model. To be more precise, recursively updated least squares estimates of the model from a forward and backward pass through the series, with parameter variation modelled as an integrated random walk process, were combined to produce a series of smoothed parameter estimates without the lag in parameter changes that would exist in a series of estimates obtained from a single forward pass. More details of these techniques can be found in P.C.Young's "Recursive Estimation and Time-Series Analysis" (published in 1984 by Springer Verlag). However, the seasonal cycle in this series is sufficiently clear and stable that similar results could be obtained with almost any reasonable seasonal adjustment procedure. Although the analysis included the entire record back to 1958, the years since 1970 only are plotted, since over longer periods the relentlessly upward trend makes higher-frequency variations difficult to see.

What might explain the absence of a recent slowdown in the rise of atmospheric carbon dioxide, in contrast to the 1973-5 recession? One possibility is that it is too early to expect the effect of reduced anthropogenic carbon dioxide emissions to reach a place as remote as Mauna Loa yet. On the contrary, the atmosphere is actually "well mixed" around each hemisphere, as the seasonal cycle at Mauna Loa shows by reaching its maximum not long after the end of the northern hemisphere winter, and its minimum close to the end of the northern hemisphere growing season. Also, the inflection in the upward trend around 1973 was practically contemporaneous with the beginning of that recession.

Another potential explanation for the absence of a deceleration of the increase in atmospheric carbon dioxide now might be that variations of natural origin are either obscuring anthropogenic effects, or were the real cause of the dip in 1973-5. In particular, sea surface temperature (SST) has a notable effect on atmospheric carbon dioxide at Mauna Loa, because the solubility of carbon dioxide depends inversely on water temperature, although it is not exactly clear what sea area has the most influence on the air at Mauna Loa (situated in the north east trade wind belt), and whether in monthly average observations the SST effect should be most apparent in the level or the change in atmospheric carbon dioxide and with how much lag if any. It seems unlikely though that SST caused the 1973-5 deceleration – SST over the ocean around Mauna Loa (as represented by an average over a box from 0-60°N and 160-230°E of the US National Climatic Data Center’s Extended Reconstructed SST, version 3b) was not markedly lower in 1973 than earlier in that decade (Figure 2).





















Moreover, a muted inflection in 1973 is also evident in the (less complete) record of atmospheric carbon dioxide concentration at the South Pole (Figure 3; the unadjusted series is not plotted in this case because the seasonal cycles are so small that they obscure the seasonally adjusted series).





















Also, as already mentioned, other smaller decelerations seem to coincide with major downturns such as those of 1981-2 and 1990-1. This association is evident in a weak positive correlation (about 0.1) between annual global real economic growth rates and the corresponding year's increase in the seasonally adjusted Mauna Loa carbon dioxide series over the period 1970-2008 (a longer series of quarterly observations of global economic growth rates could not be found; the greater availability of quality-controlled data in the environmental sciences – which honour the contribution of data compilers like Keeling – compared with in economics – which hardly does – is impressive). Certainly, regional SST cannot explain the absence of a current slowdown in the increase of atmospheric carbon dioxide at Mauna Loa; as Figure 2 shows, SST in the region has been generally falling since about 2004, and has not recently (at least until the last two months) been anomalously (relative to the 1971-2000 monthly averages) high.

So, if natural processes and influences cannot readily explain the absence of a current deceleration in the increase of atmospheric carbon dioxide, could it be the case that the present recession is not as great and not as global as E&O would have us believe? Unfortunately, their attempt to compare this downturn with the Great Depression is restricted to variables for which observations covering both periods are available; namely, industrial or manufacturing production (their VoxEU column is not quite clear about which of these is presented), stock market prices and trade flows. Of these, only industrial production is a direct measure of economic output (and manufacturing production would exclude construction); stock market prices reflect expectations for future output as well as how that future output is valued by markets, and it is net trade that contributes to economic output (which matters more when different stages of production are carried out in different countries). In recent months, however, a wider range of domestic economic activity reports from developing countries in Asia, especially from China, have suggested that economic growth there has remained fairly robust, especially by developed country standards. In China, manufacturing for domestic consumption such as car production continues to expand rapidly, while fiscal stimulus has boosted infrastructure investment and it now seems possible that China will achieve its 8% target for economic growth in 2009. Recent economic statistics suggest that India's economy is presently stronger than expected, and next largest economy among the developing Asian countries, Indonesia, also seems to be performing relatively well.

In conclusion, the absence of a slowdown in the increase in atmospheric carbon dioxide at Mauna Loa at the moment is inconsistent with the view that the present recession is globally severe, and this cannot be readily explained by known natural influences. Perhaps, rather than being a recession of "great" and "global" scale, the key characteristic of the present economic downturn is a shift of activity from the developed to the developing countries, and, aided by fiscal stimulus, into non-traded production such as construction and infrastructure investment..


Update:

Commenter Joao Carlos points out that the Brazilian economy (now one of the ten largest economies in the world) has also proved stronger than expected. Indeed, Brazil's "resilience" was specifically mentioned by Moody's credit rating agency yesterday as one of the reasons why Moody's have put Brazil's domestic and foreign currency sovereign credit ratings on review for an upgrade.

Sunday, 7 June 2009

Does China appreciate sterling?

RebelEconomist has been surprised by the recent strength of sterling, especially against the euro and the yen, and this short post offers an explanation for this behaviour which, as far as RebelEconomist is aware, has not previously been suggested by forex analysts (at least not when RebelEconomist put the suggestion to Macro Man earlier this week). In brief, RebelEconomist suspects that the Chinese have been buying sterling as part of their efforts to diversify their foreign exchange reserves away from the US dollar. Disclosure: RebelEconomist concurs with Angela Merkel, and holds a significant fraction of his savings in currencies issued by more conservative central banks than the BoE or the Fed).

While sterling did depreciate by about 30% (in terms of the Bank of England effective exchange rate index) from the beginning of the financial crisis (marked by, say, the demise of Northern Rock in September 2007) to the end of March 2009, the almost 10% recovery since March is barely justified by fundamental factors. Rallying share prices, narrowing credit spreads and tentative signs of at least an end to the deterioration in macroeconomic conditions, such as the recent uptick in the UK manufacturing purchasing managers' index, have been offset by increasing concern about the mounting burden of UK public debt and a growing political crisis, while the Bank of England remains in the lead in quantitative easing. Moreover, this sterling appreciation has occurred not just against the dollar, which has had similar fundamentals to sterling and was arguably riding for a fall itself, but also against the euro and the yen.

So what makes RebelEconomist think that China may be driving the recent appreciation of sterling? It is not foreign exchange market reports of Chinese flows; as a former reserves manager who was sometimes amused by erroneous speculation about his own activity and who would have certainly cut off any dealer suspected of such leaks, RebelEconomist is sceptical of anecdotal flows "information" anyway. His reason for pointing to China is that diversification of China's reserves has been advocated by credible Chinese sources and it would make sense for China to diversify into sterling. Of the five reserve currencies separately identified in the IMF Currency Composition of Foreign Exchange Reserves (COFER) reports (the US dollar, euro, sterling, yen and Swiss franc), sterling is probably the only currency whose issuing authority would not resent supportive intervention by foreign central banks at the moment. And if quantitative easing does lead to inflation and renewed depreciation, sterling offers more exit routes (from exposure to further currency losses) than most other major currencies – Britain is one of the most open countries to inward direct and portfolio investment by China's state funds (meaning that China could easily switch from conventional fixed income reserves assets into real investments for protection against inflation) and in the longer term, especially if sterling declines in international importance, sterling may well become part of the euro.

Wednesday, 6 May 2009

A pictorial comparison of QE in Japan and the US/UK

See paragraphs 27 to 40 of the previous post. In a nutshell, in its quantitative easing period from 2001 to 2006, the Bank of Japan focused on creating a certain quantity of reserves, and largely allowed the market to determine how this should support the price of less liquid and less creditworthy debt (although the BoJ did buy more long term JGBs in its rinban operations than usual, and also made some token purchases of commercial paper and equities). The Fed, and to a lesser extent the BoE, are, by contrast, targeting their asset purchases on particular markets in which they are not normally buyers, notably the markets for mortgage-backed and some other asset-backed securities, and creating reserves as a by-product that the banks are content to hold because it bears some interest.























Update on June 7th 2009:

In an incisive comment on this picture posted on the excellent Worthwhile Canadian Initiative blog, Nick Rowe noted that, since an increase in money supply is believed to eventually lead to an equi-proportional rise in prices across the entire economy (see paragraph 5 of the previous post), the glasses ought to be on a level, connected by straws. That’s right, but then a viscous fluid (like maple syrup) would be needed to represent the time taken for the money injected to spread through the economy, and viscosity is hard to represent in a picture. I guess analogies are rarely perfect!

Tuesday, 28 April 2009

Easing understanding

Introduction

1.     As the financial crisis has developed and increasingly affected real economic activity, the US Federal Reserve and the Bank of England (BoE) have resorted to progressively more aggressive and unconventional easing measures. While these measures have been described in the media as "quantitative easing" and even "printing money", these terms have not been used rigorously or even consistently. Commentators often misunderstand the significance of issues such as the payment of interest on reserves and the growth in base (central bank) money. It seems that the confusion is at least partly explained by the fairly superficial coverage of monetary policy implementation in economics textbooks, which abstract from certain details that are key to appreciating the differences between conventional easing, the pre-crisis idea of quantitative easing (QE) as applied by the Bank of Japan (BoJ) from 2001 to 2006, and the unconventional measures currently being applied by the Fed and the BoE.

2.     This post is an ambitious attempt to provide an explanation of monetary policy easing that covers all the aspects necessary to understand both conventional and unconventional easing measures. Although there has been some such explanation in the media, RebelEconomist has not found it entirely satisfactory, and offers his own here. It is hoped that his combination of experience of central bank market operations and academic monetary economics might just produce an account of monetary policy that does not leave vital questions unanswered and expresses some ideas in a slightly different way that can provide fresh insight. The post classifies Fed and BoE easing policies as they have evolved through the crisis. It is argued that while both central banks' unconventional measures have always been specified in quantitative terms, they are more accurately described as quantitative liquidity, credit and term easing rather than quantitative monetary easing. Neither central bank has yet begun to print money.

3.     Given its objective, the post is long, so readers who are mainly interested in present policy may wish to fast-forward to the discussion of unconventional easing measures in the last section. And in view of the complexity of the issue, assessment of the effectiveness and merit of the various policy options is mostly left for subsequent posts. Therefore, in the style of the central banker he once was, RebelEconomist has numbered the paragraphs for ease of reference here and in subsequent posts on monetary policy.


Fundamentals of easing

4.     Modern money (as opposed to commodity money such as gold coins) is debt; a readily transferable and widely accepted type of continuously redeemable debt. Typically money is non-interest-bearing debt owed by a highly creditworthy borrower such as a central bank in the case of banknotes or, in the case of deposit money, a commercial bank backed by state deposit insurance.

5.     To avoid going into the complexity and mystery of the monetary policy transmission mechanism, suffice it to say that, other things equal, an increase in the stock of money (also known as the money "supply", which perhaps confusingly implies a flow) has a stimulating effect on economic activity for a few months at least, and that short-term interest rates play a key role in the process. Because money is a substitute for interest-bearing short-term debt (ie money available with a short delay), an increase in the money supply tends to increase the price of all types of short-term debt, and since the price of a unit of debt (ie a unit of money due to be repaid when the loan matures) is conventionally expressed in terms of a rate of interest, increasing the money supply lowers short-term interest rates. Naturally, the influence tends to be greatest on the shortest and most creditworthy forms of debt that are money's nearest substitutes. The relationship between the money supply and the interest rate on such debt is normally described as a money demand curve, but is equivalently a debt market supply curve (Figure 1), and the short-term debt market is known as the "money market". Perhaps because the transactions-facilitating function of money is often likened to the lubricating oil in a machine, increasing the money supply or lowering interest rates is described as easing, while contracting money supply is called tightening. The degree of easing or tightening is called the stance of monetary policy. In the longer term, say about two or three years, the interest-rate-lowering and activity-stimulating effect of easing dissipates as the additional money becomes distributed in a pattern similar, in the absence of changes in the structure of the economy, to that of the original stock of money, at which point the residual effect of the ease will be an equi-proportional rise in prices – in short, a completed round of inflation.






















6.     The supply of money is, of course, regulated by the central bank. Although there is more than one type of money, elementary explanations of monetary policy often abstract from this complication by assuming that they are held in stable proportions defined by "multipliers", meaning that the central bank need only regulate the supply of one kind of money to control them all.

7.     The form of money that the central bank directly influences is commercial banks' current account balances at the central bank. Although central banks typically pay little if any interest on positive balances in these accounts, commercial banks nevertheless tend to keep their central bank current accounts in credit, for at least two reasons. First, these accounts are used to settle any transaction that the banks undertake with the central bank, and sometimes also to settle inter-bank payments and transfers between the government and the banks, mostly on behalf of the banks' customers. Since these payments are not entirely predictable and the central bank normally heavily penalises overdrafts, the banks maintain a positive current account balance to provide some margin for error. Second, as a liability of the currency issuer itself (Figure 2), credit in a bank's current account balance at the central bank is the safest of all monetary assets, so banks may use their central bank current accounts as a store of value if the extra return available on alternative investments is not enough to compensate for their greater risk. In view of the functions that they serve, banks' current account balances are also called "reserves".






















8.     Banks' holdings of reserves for transactions purposes can be expected to be proportional to the size of their customers' demand deposits. An archetypal transaction that commercial banks undertake with the central bank is to buy and sell banknotes as their customers respectively withdraw and deposit currency (currency includes coins as well as banknotes, but coins are relatively insignificant by value and are not always a liability of the central bank). Transactions between bank customers generate inter-bank payments. In either case, it seems likely that the greater the value of customer deposits, the larger the maximum outflow that customer activity is liable to generate, which their bank must be prepared to cope with. The amount of reserves that a bank would choose to hold for investment purposes depends on the trade-off between the risk and returns on reserves and other available assets, but normally, the return on reserves is so much less than even other credit-risk-free assets such as treasury bills that commercial banks hold practically no reserves as a store of value. Left to its own devices, a bank will determine its holding of reserves according to the trade-off between the likelihood and cost of overdrafts and the relative risk-adjusted return on reserves. However, in many countries, the regulatory authorities mandate a minimum fraction of deposits that must be held as reserves, partly for prudential reasons, and partly to control deposit money growth via the effective tax on deposits imposed by the need to hold zero or low interest reserves. In such cases the regulatory reserve requirement is usually the binding constraint. Anyway, whether voluntary or mandatory, the reserve ratio means that central banks' control over the quantity of banking system reserves also implies some control over the stock of deposits and hence of broader monetary aggregates.

9.     Although reserves represent the interface of the central bank and the rest of the economy, the stock of banknotes is normally a far larger liability of the central bank. Commercial banks may exchange reserves for banknotes at par, freely and on demand, and together, reserves and banknotes comprise what is called base money. The central bank would be unwise to try to control the money supply via banknotes – restricting the supply of banknotes could trigger a panic run on any bank apparently having difficulty meeting customer withdrawals. Like reserves, however, the value of banknotes in circulation is related to the size of demand deposits. Just as reserves provide the basic type of money for banks, banknotes provide the most widely accepted and dependable form of money for individuals. The transfer of banknotes represents immediate, often unrecorded, settlement of a transaction, which makes banknotes most suitable for occasional, relatively small transactions outside of committed business relationships, and for this purpose individuals hold a buffer stock of banknotes representing some fraction of their deposits. This means that the central bank has some indirect control of banknote circulation via reserves.

10.     While the banking system as a whole can ultimately only acquire reserves from the central bank, commercial banks trade reserves between themselves by borrowing and lending for settlement in their central bank current accounts, generally from one day to the next. The interest rate in this inter-bank market for overnight reserves loans indicates whether the supply of reserves is adequate for the banks' collective needs. Assuming that no interest is paid on positive reserve balances and that the central bank's overdraft charges, or the penalties for insufficient reserves in a regime of statutory reserve requirements, begin with a heavy cost for a shortfall of any size, the short-term market demand curve for reserves can be expected to resemble that shown in Figure 1. When the banks are close to their collective reserve requirement, overnight reserves loans will trade at a high interest rate as almost as many banks are in danger of incurring shortfall charges as being left with excess reserves. If, however, reserves are even slightly in surplus the interest rate will drop steeply, until as the interest rate approaches zero, it becomes worth borrowing reserves for the security they provide, for example against accidental overdrafts arising from operational errors. Such surpluses, however, do not persist for long, because banks can make more profitable use of excess reserves by expanding their lending to non-bank counterparties, so the inter-bank market for reserves normally operates on the steep part of the demand curve. The practical implication is that the demand for reserves is normally highly inelastic with respect to interest rates, with the result that small changes in the supply of reserves lead to large changes in short-term inter-bank interest rates.

11.     Since it is a point that seems to cause some confusion, note that, although an individual bank does expend reserves when it lends to a customer, reserves are not consumed or transferred outside the banking system in the process, even if the borrower is a non-bank customer. When the borrower draws on the loan, for example to purchase a car, reserves are transferred from the borrower's bank to the car seller's bank. Although it is conceivable that the car buyer might withdraw banknotes to pay the car seller, generating a fall in reserves as the car buyer's bank purchases banknotes from the central bank (Figure 2), these would normally be quickly paid into the car seller's bank account and sold back to the central bank for reserves. A banking system surplus of reserves is absorbed by an increase in the value of bank lending up to the point that the banks are generally content with the allocation of their assets between reserves and loans, not because the reserves are used up in some way, apart from a slight drain of reserves to pay for the increased circulation of banknotes commensurate with the growth of bank deposits.

12.     Central banks manage the stock of reserves in pursuit of both macroeconomic and microeconomic objectives. Their macroeconomic task is to use the influence of reserves to adjust the money supply and short-term interest rates to regulate economic activity, subject to the constraint of holding inflation close to some target rate. The trick is to exploit the medium-term, activity-altering phase of the money transmission mechanism without allowing its long-run outcome to generate unacceptable results in terms of inflation. Central banks' microeconomic task is to offset unwanted variations in the stock of reserves as it is impacted by flows associated with events like tax payment deadlines and holiday surges in banknote circulation, while accommodating structural changes arising from economic growth and evolving payments technology. Although in principle a central bank could attempt to determine the size of the adjustment required and arrange one or more transactions to produce exactly that change in reserves, in practice, central banks calibrate the supply of reserves according to short-term interest rates. They operate in this way because of the key role played by interest rates in the money transmission mechanism, and because the inelasticity of the demand for reserves means that a small mistake in the central bank's estimate of the need for reserves can drive interest rates to extremes. Most commonly, the target is specified in terms of the overnight interest rate in the inter-bank market for loanable reserves (ie "Fed funds" in the USA).

13.     Note that interest rate targeting means that the textbook account of deposit money creation, in which the central bank supplies base money followed by an iterative process of bank lending and customers re-depositing base money that creates some multiple of the initial injection of base money, is unrealistic. Actually, money creation is generally initiated by bank lending, with lending generating deposits and deposits in turn generating a need for reserves which are reactively supplied by the central bank in order to fix its targeted interest rate. Nevertheless, the fact that banks are obliged to hold some fraction of their deposits as low interest reserves, plus an additional fraction as non-interest-bearing banknotes in the bank's safes and tills to cover withdrawals during the interval before its branches can be re-supplied, allows the central bank to exert some influence over deposit money creation. By restricting the supply of reserves to raise the (opportunity) cost of commercial banks' base money requirement, the central bank can curtail the marginally profitable expansion of banks' balance sheets. And the much-discussed difference between targeting interest rates and targeting money supply should not be exaggerated. Nearly all central banks maintain some economic model that links the interest rate they target with their macroeconomic objective variables like economic activity (as represented by GDP) and inflation. The relationships included in the model incorporate, implicitly if not explicitly, the role of the money supply in the transmission mechanism.

14.     In principle, the central bank could fix its targeted interest rate by adding or subtracting reserves through any type of transaction that settles in commercial banks' current accounts, relying on the substitutability of reserves and short-term debt to affect the relevant interest rate. However, as it may be necessary to withdraw as well as inject reserves, central banks typically buy assets with relatively stable value and which can be liquidated (ie sold or lent in return for money) with minimal transactions costs. Even if the bulk of the assets are unlikely to ever need to be sold because contractions of the base money supply by more than a small proportion are rare, the assets are normally retained by the central bank to ensure its solvency and hence public confidence in its currency, so central banks are famously conservative investors across their entire portfolio. Traditionally, central banks traded gold, but since convertibility has been abolished, they have been able to buy income-generating financial assets instead. Given the importance of security, central banks favour fixed income debt assets, and normally only debt of the most creditworthy borrowers or short-term secured loans to banks in the form of repurchase ("repo"; strictly, from the money lender's point of view, "reverse repo") agreements collateralised by creditworthy bonds. Since nearly all investors are willing to hold very safe debt, such debt is also highly liquid, and short-term debt is quickly self-liquidating anyway as it matures. In practice, therefore, debt has now become the standard tool for monetary policy adjustment. Conventional easing involves creating reserves to make repo loans or to buy government or quasi-government bonds (Figure 2).


From interest rate targeting to paying interest on reserves

15.     Naturally, when debt is used as a monetary asset, there is potential for confusion between the interest rate on the central bank's target debt instrument, such as overnight inter-bank loans, and on the debt it trades in pursuit of that target in its monetary policy operations. Moreover, using debt allows the central bank to influence interest rates through its assets as well as its liabilities, an idea which is key to understanding and classifying the unconventional easing policies being applied during the present financial crisis. It is therefore unfortunate that few textbooks make this potential distinction between target and operational interest rates entirely clear.

16.     Not all central banks buy long-term debt in their monetary policy operations, and even those that do, notably the Fed and the Bank of Japan, tend to use short-term debt to make their marginal adjustments to the supply of reserves and buy long-term debt occasionally for the stable core of their asset portfolio. In fact, as RebelEconomist noted in a previous post, it is not clear why a central bank that targets short-term interest rates only should buy long-term debt at all. In developed countries in normal economic conditions, the balance sheet of the central bank tends to be small compared with that of the whole banking system, so it would seem best to concentrate the influence of the central bank's asset purchases on debt that, if not actually the target debt instrument itself, is as similar to it as possible. It may be necessary to use a close substitute rather than the target debt instrument itself because the target debt instrument is not considered a suitable investment for the central bank. Usually, this is because the target debt type is unsecured, such as inter-bank deposits, and the central bank wants to avoid managing the credit risk involved in buying such debt (which besides running some risk of loss, may require the central bank to favour dealing with some banks over others). Also, if an overnight interest rate is targeted, the central bank may prefer not to renew its entire stock of assets every day, in which case it may choose to deal in, say, one-week debt instead. Another advantage for the central bank of specialising in short-term debt is that its short maturity produces a strong natural drain of reserves as the debt is repaid, which puts the central bank in a strong position to reset the stock of reserves and interest rates frequently.

17.     For an interest rate targeting central bank, its operational objective is to hold the rate of interest on its target debt instrument close to the target with minimal variability. To this end, central banks use two basic trading strategies. Their primary strategy is to attempt to estimate the change in reserves necessary to guide the interest rate to the target and arrange one or more transactions to engineer that change. The estimation problem is more one of allowing for scheduled flows like maturing central bank loans and anticipating the actions of institutions and people, known as autonomous factors, rather than identifying and using the money demand curve. Usually, the adjustment required is an injection of reserves to replace maturing debt held by the central bank. The central bank then establishes transactions to make that adjustment by offering to buy or sell as necessary the corresponding amount of debt, either at a fixed interest rate or by auction. Although the central bank usually deals with a limited set of counterparties, these may include non-banks, since transactions with them are settled using their correspondent bank's reserve account. This procedure is called an open market operation (OMO). Central banks' secondary strategy is to provide standing facilities which offer to take deposits at an interest rate some spread below the target and to lend reserves at an interest rate some margin above the target, in practically unlimited size. These standing facilities provide respectively a floor and ceiling to the targeted interest rate in case, even after OMO adjustment, it would otherwise miss the target by an intolerably large amount. Since the standing facilities are designed to be used only in exceptional circumstances, the spreads are typically prohibitively wide.

18.     In theory, the interest rate inelasticity of the demand for reserves means that a change in the target interest rate can be accomplished with a small change in the size of the next OMO, and also that a failure to make the correct size change could result in the new target interest rate being missed badly. In practice, because the central bank's money market counterparties know that the central bank has the market power to correct any persistent miss and is able to impose sanctions on any of them considered to be behaving unhelpfully, the process of setting interest rates is facilitated by a degree of cooperation. Normally, the mere announcement of a change in the target interest rate is sufficient to shift market interest rates to the new target.

19.     Note that the fact that the target and operational debt instruments may differ means that the bounds on the target interest rate may not exactly correspond to the rates at which the standing facilities are offered. In particular, because central banks generally only lend on a secured basis, unsecured inter-bank deposits such as Fed funds could conceivably trade at a slightly higher rate than the standing lending facility. Adding to the difficulty of summarising the stance of monetary policy in terms of a single target interest rate, the debt instruments used in OMOs and standing facilities may well differ, with the standing facilities normally being provided only for the shortest possible term of overnight, while the instruments used for the standing facilities themselves usually differ, if only because the central bank does not give collateral when it takes deposits but requires collateral when lending. Nevertheless, as they have refined their operational techniques to achieve greater control of interest rates, central banks have increasingly emphasised the interest rates they set directly rather than market rates, especially the interest rate in the short-term OMOs they use to make marginal adjustments. This key interest rate is generally referred to as the "bank rate", or "repo rate" if that is how the OMOs are conducted. The standing facilities are typically offered at an equal and rarely-adjusted spread above and below the bank rate to define a symmetric interest rate corridor that moves up and down with the bank rate. In fact, monetary policy is now routinely set in terms of the central operational bank rate rather than some target rate, with market interest rates serving merely as indicators of the effect of the policy and of market expectations of policy changes.

20.     As central banks have placed increasing importance on controlling, and being seen to control, interest rates, a natural development of their strategy has been to change the nature of base money itself to make their job easier. Since it is the interest rate inelasticity of the demand for reserves that makes market interest rates inherently volatile, and since it is the sharp difference between the return on adequate reserves – avoiding a penalty of some size – and on surplus reserves – zero – that causes the inelasticity, an obvious way to reduce the volatility of interest rates is to smooth this disparity. The opportunity cost of holding excess reserves can be reduced by paying interest on reserves. Effectively, this raises the dashed line in Figure 1, so that the money demand curve – or to be more precise, since the return on reserves now differs from the zero return on banknotes, the reserves demand curve – is flatter in the normal range of interest rates. Where there are mandatory reserve requirements, the sharpness of the shortfall penalty can be blunted by applying it to the average level of reserves over some maintenance period, so that a shortfall on one day can be offset against a surplus on another day. Assuming that an overdraft, even for one day, is still unacceptable to the central bank, reserves averaging works better when the reserves requirement is larger and the level of reserves varies around a level well above zero. Paying interest on reserves makes such a larger reserve requirement more acceptable to the commercial banks. For these reasons the European Central Bank and the Bank of England remunerate reserves, and the Fed had been asking the US Congress for permission to pay interest on reserves long before the financial crisis.

21.     To stabilise money market interest rates with maximum effectiveness, the reserves demand curve should be practically flat at the policy rate, which suggests that the interest rate paid on reserves should be close to the policy rate – but certainly not above it, which would establish an arbitrage opportunity. However, paying any interest rate approaching the policy rate encourages the use of reserves as an unbeatably secure investment. The solution adopted by the ECB and the BoE is to remunerate reserves holdings of up to the required size at their policy rate, but pay no interest on any amount above this.

22.     It is important to realise that, because, other things equal, banks can be expected to hold more reserves when they are remunerated, paying interest on reserves changes the relationship between the stock of base money and other economic variables, notably inflation. The introduction of voluntary reserve requirements and remunerated reserves by the BoE, which previously had no reserves requirements, provides a revealing case study of the effect of paying interest on reserves. Prior to the change in regime on May 18th 2006, banks' current account balances at the BoE were normally much less than £1bn. When the BoE began to pay interest on reserves at their policy repo rate, banks' current account balances increased to around £20bn almost immediately – the BoE simply bought more repo debt in its OMOs, on which it charged its repo rate, to accommodate the notified increase in demand for reserves remunerated at the same rate. Since the increase in the stock of reserves was equal to about half the value of the stock of sterling currency in circulation at the time, the "velocity" of base money (essentially the number of times in a year that the money stock would need to change hands to sell annual economic output at prevailing prices) fell by a third, yet the regime change had no noticeable effect on inflation or real output. Analysts accustomed to using base money growth to assess the monetary discipline of a central bank, assuming that the ability to freely switch from reserves to banknotes and vice versa makes them macroeconomically indistinguishable, need to revise their approach when interest is paid on reserves.

23.     Paying interest on reserves represents the apotheosis of interest rate targeting. Market interest rates on short-term, highly creditworthy debt are closely shepherded towards the target by the existence of a large volume of similar assets in the form of central bank liabilities bearing a near-target rate of interest as well as the availability of a large volume of secured loans at a near-target interest rate. To see how remunerated reserves hold up market interest rates, consider the example of a large retailer flush with currency after an unexpectedly successful January sale. The retailer deposits the currency with its bank at its stipulated deposit rate, and the bank pays the currency into the central bank in return for an increase in its reserve balance. The retailer's bank then has the problem of somehow earning as much interest as possible on its additional assets in the interval before it can arrange a loan to another customer. In the absence of interest on reserves, the bank may have to offer to lend at a very low interest rate in order to induce another bank to hold the reserves, which one might just be willing to do if they are aware of the possibility of a large withdrawal by one of their customers and the opportunity cost of holding the reserves is sufficiently low. With interest paid on reserves however, even if the retailer's bank has excess reserves, it can either afford to hold the excess itself and wait for a shortfall later in the reserve maintenance period, or lend the reserves to another bank waiting for a shortfall, at a higher interest rate reflecting the lower opportunity cost of holding remunerated reserves. If a shortfall never emerges, at least one bank may be forced to use the standing deposit facility, perhaps at a modest loss. If the reserves requirements are voluntary, in view of the recent use of the standing deposit facility some banks may specify an increased holding of reserves for the next reserve maintenance period, in which case even a permanent increase in reserves can be accommodated without lower interest rates.

24.     The efforts made by central banks to strengthen their grip on short-term interest rates reflect what has become the mainstream approach of calibrating monetary policy according to short-term interest rates on highly creditworthy debt, rather than some measure of money supply or exchange rate for example. In normal economic conditions, central banks leave interest rates on longer-term debt to be determined by market expectations of the future path of short-term interest rates and the profile across the range of debt terms (ie the term structure) of market term risk premia. Although central banks may try to shape market interest rate expectations by committing to adjust short-term interest rates in pursuit of certain policy objectives and by giving their view of the macroeconomic situation and outlook, they do not normally use their monetary policy market operations to influence longer-term interest rates directly. Similarly, in normal economic conditions, central banks do not attempt to influence the liquidity and credit risk premia, and hence the interest rates, on debt that is less liquid and less creditworthy than the debt they ordinarily buy.


The zero lower bound and quantitative easing in Japan

25.     If the policy rate is a target for some money market interest rate such as the interest rate on overnight inter-bank reserves loans, there will exist some finite amount of zero or low interest reserves that the central bank can supply to bring down this market rate to a positive target, even if the autonomous factors make it hard to specify exactly what that supply of reserves will be. And if the policy interest rate is the central bank's own OMO repo rate, the central bank can of course establish any particular positive interest rate of its choice on that type of debt, provided that it is prepared to lend or borrow in sufficient size at that rate. It is, however, conceivable that in severe economic downturns, the prospects for economic activity and inflation become so weak that the central bank's macroeconomic model suggests that a zero or even negative interest rate is needed to meet its objectives, and in this case it is theoretically impossible for a central bank to engineer a precisely zero (nominal) interest rate using market operations alone. If reserves are available to borrow at zero interest either from the central bank or other market counterparties, a bank's demand for reserves will in theory be unlimited – if it costs nothing to borrow reserves, a bank might as well have a huge holding, just in case an opportunity arises to purchase an asset that offers a greater than zero risk-adjusted return over the same period as the reserves loan. In mathematical terms, in Figure 1, the dashed line is an asymptote, and zero provides a lower bound for the policy interest rate.

26.     In practice, central banks can succeed in lowering their policy rate to zero or even slightly less, partly because of real world limitations such as transactions costs, the convention of dealing in rounded interest rates and the finite capacity of the banking system, and partly because of the banks' willingness to cooperate with the central bank within reason. It might even be possible for a central bank to force its policy rate significantly below zero by imposing restrictions such as charging interest on reserves, but this has not so far been attempted, probably because it would generate undesirable distortions, such as driving banks to use banknotes instead of reserves wherever possible and to settle inter-bank payments outside the central bank.

27.     Once the policy interest rate reaches zero, however, it no longer provides a sufficient measure of the monetary policy stance, because the practicalities of fixing interest rates mentioned in the preceding paragraph combined with the flatness of the reserves demand curve at a zero interest rate mean that a zero policy rate is compatible with a range of sizes of the stock of reserves. This matters because any amount of reserves in excess of the supply necessary to sustain a zero interest rate on the policy debt instrument influences the interest rates on other debt types that are near substitutes for reserves. For example, if the policy rate is a target for the overnight interest rate in the inter-bank market for loanable reserves, when the stock of reserves has increased to the point that the overnight interest rate has been driven to zero (ie reserves available tomorrow trade at parity with reserves available today), a further increase in reserves supply affects the price of the next nearest substitute (eg two-day loans) entirely directly (ie no longer via the overnight interest rate). Similarly, if the policy rate is defined as the central bank's operating interest rate (eg an overnight repo rate), the central bank is able to add to its easing effort without relaxing its grip on the policy rate by, for example, undertaking supplementary OMOs which lend for a slightly longer term or accept lower quality collateral than usual. And when the interest rate on the nearest substitute to the policy debt instrument reaches zero, the central bank can turn to the next nearest substitute and so on, in a cascade of easing. Ultimately, the central bank can buy real assets and even goods and services with base money, so there is no question that a central bank can create inflation if that is considered necessary. As Fed Chairman Bernanke explained in his well-known speech of 21 November 2002, a central bank has not "run out of ammunition" when its policy interest rate has been reduced to zero. On the contrary, it seems reasonable to believe that easing is no less effective at boosting activity and prices after the interest rate on the central bank's primary target debt instrument has reached zero.

28.     Clearly, a precise description of the monetary policy stance when the policy rate reaches the zero lower bound could comprise a vector of interest rates on debt types that are progressively more distant substitutes of the policy debt instrument. A more straightforward approach, which is also consistent with a policy of leaving the market to determine how easing spreads beyond the policy debt instrument, is to express the monetary policy stance in terms of the quantity of reserves. The best-known example of such an easing campaign is from Japan, where between 2001 and 2006 monetary policy was (besides the virtually zero interest rate prevailing in the overnight inter-bank debt market – known in Japan as the overnight call rate) specified in terms of a series of increasingly large targets for the banks' current account balances at the BoJ, culminating in a target of ¥30-35tn (equivalent to about 8% of Japanese GDP). Monetary easing that is expressed in terms of the quantity of reserves held by the banks is, in RebelEconomist's opinion, the most appropriate definition of quantitative easing.


Unconventional policy and the financial crisis

29.     Although the unconventional measures now being applied by the Fed are often described as quantitative easing, Fed policy developed from the opposite direction to the BoJ's QE policy in the sense that the Fed policy started with the aim of easing risk premia and evolved into monetary easing, whereas the BoJ policy began as monetary easing and compressed risk premia as it extended. Fed and BoE unconventional easing began as a response to the financial crisis, at a time when they were holding their interest rates well above zero because of the potential inflationary threat posed by the high commodity prices sustained into last year. In fact, it is questionable whether Fed and BoE unconventional easing could until recently even be properly described as monetary policy, although of course, as the financial crisis has increasingly restrained the real economy, both central banks have also been undertaking conventional monetary easing by cutting interest rates.

30.     At first, the financial problem was seen as one of a lack of liquidity (liquidity being defined here as ease of transacting rather than as, for example, abundance of money). As the US housing bubble burst and it became clear that many marginal borrowers were likely to default, investors shunned mortgage-backed securities (MBS), especially complex structures including sub-prime mortgages, and the debt of any borrower believed to have a significant fraction of its (book) net worth tied up in them. Banks and money market funds that had funded holdings of MBS with short-term borrowing were faced with either paying ruinous interest rates to roll over their debt, especially for any term longer than a day or so, or else selling their MBS at such low prices that they would have become insolvent. The Fed took the view that market prices for MBS and for the debt of their holders were depressed more by an unwarranted rise in investor risk aversion leading to larger liquidity, credit and term risk premia than by a realistic assessment of greater risk, and acted to help the systemically important holders of MBS obtain funding through what was expected to be a temporary crisis. For this purpose, on December 12th 2007 the Fed introduced the term auction facility (TAF), which provided funding for a longer period than the normal Fed OMOs, on the security of lower quality collateral, including certain types of MBS.

31.     The idea was that the TAF would reduce the spread between the interest rates on highly liquid debt such as treasury bills and on bank debt collateralised by lower quality bonds. Besides narrowing spreads on short-term debt, by providing a way of raising liquidity from MBS the TAF could also reduce the spread between MBS and treasuries of similar maturity. However, the Fed set no target for any spread, but instead announced a schedule to auction a fixed quantity of loans. In that way the TAF was a quantitative easing policy.

32.     Note that the TAF was not supposed to ease the credit risk premium. Contrary to what at least one academic has written, a repo loan is not free of credit risk just because it is collateralised by government bonds, and is not necessarily more risky when less creditworthy bonds are accepted as collateral. A repo loan suffers credit loss if the borrower defaults and the collateral is then worth less than the value of the loan, regardless of whether this shortfall arises from interest rate or credit risk. To ensure robust security, an initial margin or haircut is subtracted from the value of the bonds pledged as collateral in determining the amount of collateral required. When less creditworthy bonds are pledged, a larger haircut is applied to cover the expected value of the additional losses associated with credit impairment, so provided that the haircut is assessed correctly, a repo loan collateralised by mortgage-backed securities is no more risky than a repo collateralised by government bonds. Note further that the TAF funding was not ultimately provided by the Fed itself in the form of base money, because the Fed raised the money it lent by either selling or not rolling over maturing treasury bills from the assets it had bought in supplying the existing stock of base money. In other words more commonly associated with central bank intervention in currency markets, the operation was sterilised. In fact, some of its spread narrowing effect was due to the additional supply of treasury bills keeping treasury bill yields higher than otherwise as the Fed reduced its holding. The Fed effectively substituted one asset on its balance sheet for another less liquid asset of similar maturity and credit risk, without changing the size of its balance sheet. The operation might be most appropriately described as substitutional quantitative liquidity easing.

33.     As the financial crisis grew through 2008, with the Fed increasing the size and maturity of the TAF and adding new programmes like the Primary Dealer Credit Facility lending against a wider variety of collateral, the Fed reached the point where it was running out of treasury bills. The Fed could no longer continue to increase its lending against illiquid securities without either selling longer-term treasuries, and thereby probably raising longer-term interest rates including the economically important mortgage rates, or expanding its liabilities and balance sheet. At the time, however, persistently high commodity prices made the Fed reluctant to deliberately expand its non-interest-bearing, monetary liabilities (expansion on the scale required would have driven the Fed funds rate to zero) and limited borrowing powers prevented the Fed issuing securities without permission from Congress. The solution adopted was for the US Treasury to issue and sell new treasury bills and deposit the proceeds at the Fed to fund further lending, in a scheme called the Supplementary Financing Program introduced on September 17th. Now, extra lending by the Fed was matched and funded by a liability in the form of a Treasury deposit, and the Fed had progressed to what may be termed expansional quantitative liquidity easing. As unconventional easing continued apace, the Fed's balance sheet began to grow much faster than previously.

34.     A similar programme, called the Special Liquidity Scheme, had already been introduced by the UK authorities on April 21st 2008. This allowed banks to exchange existing mortgage-backed securities for UK treasury bills with the BoE, although the treasury bills were not owned by the BoE but were specially issued by HM Treasury and loaned to the BoE for the purpose.

35.     Following its discussion with Congress mentioned in paragraph 20, the Fed had in 2006 been granted authority to pay interest on reserves from 1 October 2011. This effectively allowed the Fed to borrow money by issuing interest-bearing liabilities, which offered a more straightforward way to raise funding for liquidity easing, since it avoided the need to continuously coordinate operations with the Treasury. After the demise of Lehman and AIG intensified the financial crisis, Congress allowed the Fed to bring the date from which it could pay interest on reserves forward to October 6th 2008. From then on, Fed purchases of less liquid assets were increasingly unsterilised with the stock of reserves allowed to grow. This new approach could be described as money-financed quantitative liquidity easing.

36.     Previously, creating a large amount of base money to fund expanded asset purchases would have been regarded as dangerously inflationary, but with interest paid on reserves, whose risk-free nature was even more highly valued during a time of financial turmoil, the banks were happy to hold the reserves. The interest-bearing reserves were effectively self-sterilising and providing the funding for the Fed asset purchases that injected them. Since Fed credit is practically the same as US government credit, paying interest on reserves is economically like selling a daily-resetting floating rate note instead of a treasury bill. In short, extra reserves are being created to allow easing rather than to cause it.

37.     Some analysts define quantitative easing as something like "an increase in the size of the central bank's balance sheet through an increase in its monetary liabilities". Under this definition, the Fed had begun quantitative easing once it began to use remunerated reserves to fund its continued balance sheet expansion. But this would be a poor definition of quantitative easing anyway, because in theory any easing involves some expansion of the central bank balance sheet and increase in monetary liabilities, even if the inelasticity of the demand for unremunerated reserves allows this change to be small.

38.     The next easing step taken by the Fed was to start buying lower quality securities outright (ie beyond only taking them as repo collateral), albeit cautiously at first. On September 19th 2008, the Fed announced that it would begin buying short-term debt of the Federal housing agencies. Initially, the Fed limited itself to only indirect exposure to the debt of less creditworthy issuers. The Commercial Paper Funding Facility was established on October 14th 2008 to buy commercial paper via a special purpose vehicle funded and owned by the Fed. On November 25th 2008, the Fed presented a plan for a Term Asset-Backed Securities Loan Facility (TALF) to lend on a collateralised but non-recourse basis to buyers of asset-backed securities comprising student, car, credit card and small business loans – the non-recourse funding effectively involving selling a credit guarantee. With these programmes, the Fed had graduated to credit easing.

39.     Also on November 25th 2008, the Fed announced that it would begin outright purchases of $100bn of longer-term agency securities and $500bn of agency-guaranteed MBS, specifically mentioning its desire to lower mortgage interest rates by this action. At its monetary policy meeting on December 16th, the Fed cut the Fed funds target to 0-¼%, meaning that it had practically exhausted its ability to ease conventionally anyway, and the post-meeting statement said that purchases of longer-term treasuries would be considered. A programme to buy $300bn of longer-term treasuries as well as a further $200bn of agencies and $750bn of agency MBS was duly announced on March 18th 2009. The Fed's easing efforts now included term easing, and were specified in quantitative terms, so it does not seem unreasonable to describe Fed policy as quantitative easing. Although the Fed did not state an intention to deliberately increase the quantity of reserves, the relatively stable demand from the public for banknotes means that, in practice, the proceeds of these asset purchases as they are made through 2009 can be expected to increase reserves by a similar amount. Fed policy has now reached the same point as BoJ QE a few years previously, with the quantity of reserves held at the Fed standing at $925bn (about 6% of US GDP) at the time of writing.

40.     The BoE meanwhile had already adopted money-financed quantitative easing on March 5th 2009, when it cut its repo rate to ½% and undertook to purchase £75bn of longer-term UK government bonds (gilts) and corporate bonds financed by an increased stock of reserves. The BoE suspended reserve requirements and undertook to manage its OMOs so that the stock of reserves would increase above the aggregate of the banks pre-existing voluntary reserve requirements by an amount corresponding to the proceeds of its asset purchases. It is interesting to note that the policy rate was not cut to zero despite the BoE's commitment to increase the stock of reserves. This suggests either that the BoE will accept market interest rates significantly below ½% if necessary (perhaps moving the repo rate down for appearances sake) or that the BoE believes that are sufficient rigidities in the sterling money market to allow the stock of reserves to be increased without OMOs at ½% becoming redundant. The BoE evidently prefers to keep its repo rate sufficiently far above zero to allow some inter-bank lending to continue – if the central bank lends at a rate that does not cover administrative costs and expected credit losses, it would not be viable for a private sector bank to lend surplus reserves.

41.     Although it might seem that every conceivable easing measure has by now been brought to bear on the financial and economic crisis, one, arguably desperate, tool remains. This is the convergence of monetary and fiscal policy, involving the central bank lending directly to the government to fund public expenditure on goods and services. Base money is created when the government draws down the loan. Monetary financing of government expenditure is the traditional definition, and RebelEconomist's preferred definition, of the term "printing money". It is unfortunate that this term has been devalued by being used during the easing campaign to express how readily central banks seem able to create resources to buy valuable assets in general, which is actually no more than the normal function of a monetary authority. Printing money to finance government expenditure would, however, be a big step, because it would mean that the central bank had given up its monetary policy independence and ability to prevent inflation when the need for easing has passed. When a central bank buys assets in the markets, because it pays the market price in base money, it should be possible for a well-capitalised central bank to reverse this position by re-selling these assets if and when it considers this necessary to bolster the value of its currency. When the central bank prints money, however, the exchange of base money for government debt is typically off-market, meaning that the debt assigned to the central bank is unlikely to be marketable and is not guaranteed to have a value as large as the base money credited to the government. So far, during this crisis, no developed country central bank has yet been obliged to print money.