Monday, November 29, 2010

While Bernanke Prints, CFTC Will Impose Capital Controls

As we wrote earlier in the month, the CFTC will soon announce its new schedule of speculative position limits for commodities, which could have profound short and intermediate term price implications, especially if some of the large "commodity ETFs", such as USO, are forced to liquidate or simply not roll over maturing futures contracts. Among other unintended (or intended) consequences, the public energy utility business model could be forced to radically change, and main street could be faced with higher margin requirements. As we've written, these near term reforms are just the tip of the iceberg, with more substantial changes coming in 2011 as a substantial portion of the $600 trillion global derivatives market comes under the purview of ex-Goldman MD Gary Gensler and his CFTC.

As to the exact timing of the announcement, we were able to find only one source, Platts, the "leading global provider of energy and metals information" (emphasis and brackets ours):
Commissioners with the CFTC had originally planned to consider a new rule on position limits at their December 1 meeting, but that rule likely will not be considered until either the December 9 or December 16 meeting, CFTC Chairman Gary Gensler said Friday [November 19, 2010].
The relevant provisions in Frank-Dodd require the new position limits to go into effect no later than 180 days from the bill's July 21, 2010 signing, which would be January 17, 2011. Mark your calendars and watch your stops in energies and precious metals, as these are the two major target sectors.

The big lobbying effort in favor of the "strongest possible speculative position limits" is the Commodity Markets Oversight Coalition (CMOC), which appears to be an affiliate of the New England Fuel Institute's Legislative & Regulatory Action Center. Indeed, the letter sent by the CMOC to the CFTC cited in the Reuter's article we quoted in our November 4 post was submitted by Jim Collura, Vice President of NEFI Action Center. The letter begins:
Formed in 2007, the Commodity Markets Oversight Coalition (the "CMOC") represents an array of interests, including commodity producers, processors, distributors, retailers, commercial and industrial end-users, and average American consumers. CMOC was established to promote government policy and regulation in the commodity trading markets - including the energy and agricultural markets - that preserve the interests of bona fide hedgers and consumers and the health of the broader economy. We seek stable and reliable commodity markets that perform a price discovery function reflective of tangible economic fundamentals, and that are free of manipulation, fraud, and excess volatility and speculation.
The last decade has shown that inadequate transparency, oversight and accountability in the derivatives markets contribute to excessive volatility and speculation. This leads to price uncertainty, unexpected and unwarranted price spikes, and diminished end-user confidence in these markets. Representatives of
CMOC member groups have testified before the U.S. Congress and the Commission on these issues.2
The commodities futures and derivatives markets were established as price discovery and risk management tools for bona-fide hedgers of physical market exposures. While speculators play a vital role in keeping markets functional and liquid, excessive speculation causes markets to become unhinged from economic fundamentals. In 2007-2008, opaque derivatives trading and excessive speculation contributed to the largest commodities bubble in U.S. history.3 The damage to the U.S. and global economies caused by this bubble and its bursting highlighted the need for significant reform and lead the Congress and the President to enactment the derivatives reforms in Title VII of the Dodd-Frank Act.4
No mention of Federal Reserve money printing as a possible cause. Presumably, Chairman Gensler will have the wisdom to know precisely how much speculation is warranted in a given market.

Aside from nominal lip service paid to "free markets" and "price discovery", the letter reads as a veritable anti-market wish list, including calls for new prohibitions on "insider trading" (you didn't think the SEC would get all the fun), for new authority provided to the CFTC that would allow it to unilaterally identify and liquidate "swaps that are 'abusive' by virtue of being potentially detrimental to either the stability of the market or its participants", and for the CFTC to "scrutinize" computerized trading programs (not limited to high frequency trading, but all computerized trading). There is also a call to define "Major Swap Participant" in such a way that would impose CFTC registration requirements on any large ETF or ETN, even ones with no connection to commodities.

While the tone and content of this trade association's letter is anti-Wall Street, it's important to look beyond the folksy rhetoric of helping the little guy and realize that all of this is a vain attempt to block new hot money from rolling off the Fed's printing press into hard assets, and into paper assets instead. This can "work" for a time, but it's like putting a band aid on a geyser.

In addition, we cannot know the behind the scenes wrangling taking place, where thousands of new bureaucratic pen strokes will make and break businesses. For example, NextEra Energy Power Marketing, LLC, an affiliate of the Florida Power and Light utility, sent its own comment letter to the CFTC, in which it raised concerns about specific unintended consequences of Frank-Dodd (emphasis ours):
We are specifically concerned that an overly broad drafting of the rule regarding the aggregation of position limits pursuant to the requirements to establish rules under Section 737 could have unintended consequences resulting in violations of certain federal and state laws applicable to energy companies. For example, certain regulatory requirements imposed by the Federal Energy Regulatory Commission (FERC) that apply to traditionally regulated public utilities and its affiliated energy marketers would render the aggregation of positions these types of affiliates in violation of certain FERC regulations.
Specifically, interactions between a traditional, franchised public utility possessing captive customers and its "market-regulated power sales affiliates" (i.e., affiliated energy marketers) that are authorized to transact wholesale sales of electric energy at market-based rates pursuant to Section 205 of the Federal Power Ct (FPA) are subject to the Affiliate Restrictions Regulations imposed by FERC.1 In relevant part, the Affiliate Restrictions Regulations require the functional separation and independent operation of such entities, and are intended to prevent potential affiliate abuse, including cross-subsidization issues, that could benefit shareholders to the detriment of captive ratepayers.2 The violation of such regulations can result in an affiliated energy marketer's loss of its market-based rate authority.
...
The failure to comply with FERC's Affiliate Restrictions Regulations, even an inadvertent failure, could expose NextEra and FPL to civil penalties of up to $1 million per violation per day and could result in the suspension or revocation of their respective authorizations to engage in wholesale sales of electric energy at market-based rates under FPA Section 205.4.
While we're no fan of state granted monopolies, such as public utilities, this is simply to illustrate that the full scope of the new sweeping reforms cannot be known, nor the total cost. What is known is that the new regulatory burdens will be substantial, and national productivity will suffer immensely as millions of man hours and dollars are spent on pointless restructuring, lobbying and compliance. Meanwhile, Chairman Bernanke and Chairman Gensler think they've figured out how to beat Mr. Market. Talk about the ultimate Fatal Conceit.

Wednesday, November 24, 2010

Alert: Fed to Partially Sterilize Next Monday's QE2 Purchases

As we noted on November 10, there will be an unprecedented two Treasury permanent open market operations (POMO) by the NY Federal Reserve on Monday, November 29, 2010. One will be conducted in the morning for $1.5 to $2.5 billion with another in the afternoon for $6 to $8 billion.

A new twist has developed, however, as only minutes ago, the Fed announced $5 billion in 28 day term deposits (Fed Bills) will be auctioned the very same day. This will have the effect of sterilizing 2/3 to 1/2 of Monday's money printing.

Does this signal a shift in Fed policy? Perhaps a token gesture to China and others that have criticized and characterized Bernanke's moves as blatant inflationary debt monetization? Not necessarily, as the last such TDF auction was conducted on October 4, with the same maturity and offering amount. We will, however, monitor these auctions with a keen eye going forward.

Madoff Auction (Nov 26) Foreshadows State Ponzi Auctions

Nearly two years after his December 11, 2008 arrest, the much anticipated Bernie Madoff auction will take place in Coconut Grove, Florida:

"Bernie Madoff personal property purchased at Madoff auctions together with merchandise bought directly from victims of the ponzi scheme, General Order merchandise which constitutes the mayority [sic] and [sic] seized assets obtained from various government auctions."

To be auctioned are paintings by Salvador Dali, Henri Matisse, Pablo Picasso, Marc Chagall, H.C. Pissarro, Peter Max, Itzak Tarkay and Joan Miro. Other classes of items include jewelry, rugs, bronzes "and more".

This is what a Ponzi master (and a few of his victims) were able to accumulate in just a few short decades. One wonders what the flyer will look like when the history's largest and longest running Ponzi implodes. Yellow Stone National Park, anyone?

For information, call (800) 431-7948.



Monday, November 15, 2010

China Says No Thanks to QE2: Is Yuan Revaluation Next?

If you've been mulling that new flat screen television purchase, prices probably won't get much lower. The Fed is now shoveling (net) $75 billion per month in new money into the economy, which in itself is fodder for higher prices. Even more troubling for the Fed is that China is taking steps to block the influx of this funny money into its economy.

Last week, China raised reserve requirement ratios, and there was speculation that they might raise interest rates over the weekend. Risk markets reacted favorably after this did not materialize. However, Bloomberg reports that a November 4 statement was only today posted on a Chinese government website indicating they will crack down on foreign investment in the Chinese housing market. Note that November 4 was the day after the Fed's QE2 announcement, so this is likely a direct reaction to the Fed's profligacy, and we can expect more capital controls.

Given the Chinese currency is pegged to the US Dollar, the ultimate retaliation would be a Yuan revaluation. If this materializes, it will likely be gradual, but risk markets would take a short term hit on the announcement.

From Bloomberg:
China ordered first-time foreign homebuyers to show proof they don’t own other properties in the country as it steps up measures to curb gains in the real estate market, the housing ministry and currency regulator said.

Foreigners will have to provide home ownership statements before their purchases, along with proof of at least a year’s employment in China, the State Administration of Foreign exchange and the Ministry of Housing and Urban-Rural Development said. Overseas companies are only allowed to buy offices in cities where they are registered, it said.

China’s central bank raised bank reserve requirements last week to tame inflation and restrain foreign capital after the U.S. Federal Reserve’s quantitative easing monetary policy. China also has tightened rules on down payments, suspended mortgages for third homes, and last month raised interest rates for the first time in three years.

“This is certainly bad news for the property sector,” said Jinsong Du, a Hong Kong-based analyst at Credit Suisse Group AG. “The government may also impose rules to curb speculative money that may flow into the property sector.”

The Nov. 4 statement, released on the two government websites today, didn’t say when the order will be effective.

Earlier measures to ease gains in the real estate market couldn’t contain the increase in home prices, Premier Wen Jiabao said in Macau yesterday, according to comments broadcast by the Hong Kong-based Cable Television.

...

Policy makers may introduce more measures in the fourth quarter amid signs of a price recovery, according to Nomura Securities Co. The likely policies include a property tax and the enforcement of the so-called land added-value levy in the “overheated cities,” the brokerage said in a Nov. 4 report.

Wednesday, November 10, 2010

Fed to Print Money Nearly Every Trading Day Next Month

Following up on its statement concurrent with that of the FOMC on November 3, 2010, the Federal Reserve Bank of New York (FRBNY) has today released its Tentative Outright Treasury Operation Schedule for the following month. The total amount of purchases from its selected primary dealers over the November 12 to December 9, 2010 period will be $105 billion, composed of $75 billion from the new quantitative easing directive (QE2) and $30 billion from so-called QE Lite, which has been ongoing since August 17, 2010.

Though the amounts are within expectations, notable is that the purchases will be conducted nearly every trading day over the one month period except the Wednesday, Thursday and Friday of the US Thanksgiving Holiday week. Upon the following Monday, November 29, 2010, there will be an unprecedented two operations, one in the morning and one in the afternoon.

The purchase schedule is unusual because previously, the FRBNY conducted them only one to three days per week. Purchase schedules for following months will be announced around the eighth business day of each month, continuing until at least the tentative termination date of the program in June, 2011.

Total Treasury debt purchases are estimated by FRBNY to be between $850 and $900 billion, which will account for a $600 billion net increase in the Federal Reserve's balance sheet over the next eight months. However, there is debate over whether the program will be extended. The manager who directs the FRBNY's purchase operations, Brian Sack, gave a speech on October 4, 2010, which outlined the process by which the Federal Reserve would institutionalize its large scale asset purchases to become a permanent monetary management tool. The altered purchase schedule and promise of release of actual purchase prices, also unprecedented, confirms as much.

Fed to Print Nearly Every Trading Day for Next Month

Bernanke attempts to show he's not Krugman's bitch by changing things up ever so slightly. The Fed's new QE schedule is up and the gross amount is within expectations: $105 billion composed of $75 billion from QE2 and $30 billion from QE Lite. Contrary to historical operations, there will be more frequent auctions (nearly every day) at lower amounts.

Starting this Friday, November 12, Brian Sack will crank the presses for 8 straight business days into the 23rd, then let the presses cool down for the Turkey Day break. But come Monday, it's 9 back to back printing days into December 9 (including a second afternoon auction on the 29th).

As we stated over a month ago, the Fed is institutionalizing its mad money printing scheme. This is no longer about stop gaps--Fed printing is here to stay.


Tentative Outright Treasury Operation Schedule
Across all operations in the schedule listed below, the Desk plans to purchase approximately $105 billion. This represents $75 billion in purchases of the announced $600 billion purchase program and $30 billion of principal payments from agency debt and agency MBS expected to be received between mid-November and mid-December.
OPERATION DATE1
SETTLEMENT DATE
OPERATION TYPE2
MATURITY
RANGE
EXPECTED PURCHASE SIZE
November 12, 2010
November 15, 2010
Outright Treasury Coupon Purchase
11/15/2014 – 4/30/2016
$6 - $8 billion
November 15, 2010
November 16, 2010
Outright Treasury Coupon Purchase
5/31/2016 – 11/15/2017
$7 - $9 billion
November 16, 2010
November 17, 2010
Outright Treasury Coupon Purchase
5/31/2012 – 5/15/2013
$4 - $6 billion
November 17, 2010
November 18, 2010
Outright Treasury Coupon Purchase
2/15/2018 – 11/15/2020
$7 - $9 billion
November 18, 2010
November 19, 2010
Outright Treasury Coupon Purchase
5/31/2013 – 11/15/2014
$6 - $8 billion
November 19, 2010
November 22, 2010
Outright Treasury Coupon Purchase
8/15/2028 – 11/15/2040
$1.5 - $2.5 billion
November 22, 2010
November 23, 2010
Outright Treasury Coupon Purchase
2/15/2018 – 11/15/2020
$7 - $9 billion
November 23, 2010
November 24, 2010
Outright TIPS Purchase
7/15/2012 – 2/15/2040
$1 - $2 billion
November 29, 2010
November 30, 2010
Outright Treasury Coupon Purchase
2/15/2021 – 11/15/2027
$1.5- $2.5 billion
November 29, 20103
November 30, 2010
Outright Treasury Coupon Purchase
5/31/2013 – 11/15/2014
$6 - $8 billion
November 30, 2010
December 1, 2010
Outright Treasury Coupon Purchase
12/31/2014 – 5/31/2016
$6 - $8 billion
December 1, 2010
December 2, 2010
Outright Treasury Coupon Purchase
6/30/2016 – 11/30/2017
$7 - $9 billion
December 2, 2010
December 3, 2010
Outright Treasury Coupon Purchase
2/15/2018 – 11/15/2020
$7 - $9 billion
December 3, 2010
December 6, 2010
Outright Treasury Coupon Purchase
6/15/2013 – 11/30/2014
$6 - $8 billion
December 6, 2010
December 7, 2010
Outright Treasury Coupon Purchase
8/15/2028 – 11/15/2040
$1.5 - $2.5 billion
December 7, 2010
December 8, 2010
Outright Treasury Coupon Purchase
12/31/2014 – 5/31/2016
$6 - $8 billion
December 8, 2010
December 9, 2010
Outright TIPS Purchase
7/15/2012 – 2/15/2040
$1 - $2 billion
December 9, 2010
December 10, 2010
Outright Treasury Coupon Purchase
6/30/2016 – 11/30/2017
$7 - $9 billion


The next release of the approximate purchase amount and tentative outright Treasury operation schedule will be at 2 p.m. on December 10, 2010. This release will also include information on prices paid for securities included in the operations listed above.

______________________________
1Operations are tentatively scheduled to begin around 10:15 AM and close at 11:00 AM unless noted otherwise.
2Nominal coupon operations are specified as “Outright Treasury Coupon Purchase” and TIPS operations are specified as “Outright TIPS Purchase”.
3This operation is tentatively scheduled to begin around 1:15 PM and close at 2:00 PM.