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Securitization

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Title: Securitization


1
Securitization
  • Financial Institutions Management, 3/e
  • By Anthony Saunders

2
I. Introduction
  • Securitization Packaging and selling of loans
    and other assets backed by securities.
  • Many types of loans and assets are being
    repackaged in this fashion including royalties on
    recordings ( David Bowie, Rod Stewart).
  • Original use was to enhance the liquidity of the
    residential mortgage market, and provide a source
    of fee income.
  • It also helps to reduce the effect of regulatory
    taxes such as capital requirements, reserve
    requirements, and deposit insurance premiums.

3
I. Introduction Pass-Through Securities
  • Government National Mortgage Association (GNMA)
  • Sponsors MBS programs by FIs.
  • Act as a guarantor to investors, i.e., it
    provides timing insurance.
  • GNMA supports only those pools of mortgages that
    comprise mortgage loans whose default or credit
    risk is insured by one of three government
    agencies VA, FHA, and FHMA.
  • FNMA actually creates MBSs by purchasing and
    holding packages of mortgages on its balance
    sheet it also issues bonds directly to finance
    those purchases.

4
I. Introduction Pass-Through Securities
  • Federal Home Loan Mortgage Corporation
  • Similar function to FNMA except major role has
    involved savings banks.
  • Stockholder owned with line of credit from the
    Treasury.
  • It buys mortgage loans from FIs and swaps MBSs
    for loans.
  • It also sponsors conventional loan pools as well
    as FHA/VA mortgage pools and guarantees timely
    payment of interest and principal on the
    securities it issues.

5
II. Incentives and Mechanics of Pass-Through
Security Creation
  • 1. To Reduce Regulatory Taxes
  • Create a mortgage pool from one-thousand,
    100,000 mortgages (Results in 100 million) with
    30 years in maturity and 12 percent interest
    rate.
  • Each mortgage receives credit risk protection
    from FHA.
  • Capital requirement 100m .05 .08 4
    million (the risk-adjusted value of residential
    mortgages is 50 of face value and the risk-based
    capital requirement is 8).
  • Must issue more than 96 million in liabilities
    due to a 10 reserve requirements (106.67m
    96m/(1-0.1)). ( FDIC premia).

6
II. Incentives and Mechanics of Pass-Through
Security Creation
  • Reserve requirement 10 106.67 10.67m,
    leaves 96m to fund the mortgages.
  • FDIC insurance premium 106.66m .0027
    287,982
  • The three levels of regulatory taxes
  • 1. Capital requirements
  • 2. Reserve requirements
  • 3. FDIC insurance premiums.

7
II. Incentives and Mechanics of Pass-Through
Security Creation
  • Bank Balance Sheet Before Securitization
  • Assets Liabilities
  • __________________________________________________
    ______
  • Cash reserves 10.66 Demand Deposits 106.6
  • Long-term mortgage 100.00 Capital 4.00
  • __________________________________________________
    ______

8
II. Incentives and Mechanics of Pass-Through
Security Creation
  • Bank Balance Sheet after Securitization
  • Assets Liabilities
  • __________________________________________________
    ______
  • Cash reserves 10.66 Demand Deposits 106.6
  • Cash proceeds from 100.00 Capital 4.00
  • mortgage securitization
  • __________________________________________________
    ______
  • A dramatic change in the balance sheet exposure
    of the bank
  • 1. 100m illiquid mortgage loans have been
    replaced by 100m cash
  • 2. The duration mismatch has been reduced
  • 3. The bank has an enhanced ability to deal with
    and reduce its regulatory taxes.

9
II. Further Incentives
  • Two additional risks arise from mortgage
    origination
  • 2. To Reduce Gap exposure The FI funds the
    30-year mortgages out of short-term deposits
    thus has a duration mismatch.
  • 3. To Reduce Illiquidity exposure illiquid
    portfolio of long term mortgages.
  • Creating GNMA pass-through securities can largely
    resolve the duration and illiquidity risk
    problems on the one hand and reduce the burden of
    regulatory taxes on the other.

10
II. Further Incentives
  • Investors of GNMA securities are protected
    against two levels of default risks
  • 1. Default Risk by the Mortgages
  • Through FHA/VA housing insurance, government
    agencies bear the risk of default.
  • 2. Default Risk by Bank/Trustee GNMA would bear
    the cost of making the promising payments in full
    and on time to GNMA bondholders.

11
II. Further Incentives
  • Given the default protection, the returns to GNMA
    bondholders
  • _______________________________________
  • Mortgage coupon rate 12
  • - Service fee (to the bank) 0.44
  • - GNMA insurance fee 0.06
  • GNMA pass-through bond coupon 11.50
  • ________________________________________

12
III. Effects of Prepayments
  • Sources of prepayment risk
  • 1. Refinancing
  • For individuals in the pool to pay off old
    high-cost mortgages and refinance at lower rates.
  • Refinancing involves transaction costs and re-
    contracting costs.
  • 2. Housing Turnover
  • Due to a complex set of factors.
  • Prepayment gives mortgage holders a very valuable
    call option on the mortgage when this option is
    in the money.

13
III. Effects of Prepayments
  • The effect is to lower dramatically the principal
    and interest cash flows received in the later
    months of the pools life.
  • Good news effects
  • Lower market yields increase present value of
    cash flows.
  • Principal received sooner.
  • Bad news effects
  • Fewer interest payments in total.
  • Reinvestment at lower rates.

14
III. Effects of Prepayments
  • Prepayments result of sales or refinancing.
  • Since prepayment affects the cash flows to MBS,
    pricing models require estimates of the
    prepayment rates.
  • Methods
  • Option pricing approach.
  • Public Securities Association approach.
  • Empirical approach.

15
III. Effects of Prepayments PSA Model
  • The PSA (Public Securities Association) model
    assumes that the prepayment rate starts at 0.2
    per annum in the first month, increasing by 0.2
    per month for the first 30 months, until
    prepayment rate then levels off at a 6
    annualized rate for the remaining life of the
    pool.
  • Issuers or investors who assume that their
    mortgage pool prepayment exactly match this
    pattern are said to assume 100 percent PSA
    behavior.

16
III. Effects of Prepayments PSA Model

Monthly prepayment rate ()
125 PSA 100 PSA 75 PSA
7 ½ 6 4 /2
360 Months
30
17
III. Effects of Prepayments PSA Model
  • Actual prepayment rate may differ from PSAs
    assumed pattern
  • The level of the pools coupon relative to the
    current mortgage coupon rate
  • The age of the mortgage pool
  • Whether the payments are fully amortized
  • Assumability of mortgages in the pool.
  • Size of the pool
  • Conventional or nonconventional mortgages
  • Geographical location
  • Age and job status of mortgagees in the pool.

18
III. Effects of Prepayments PSA Model
  • On approach to control these factors is by
    assuming some fixed deviation of any specific
    pool from PSAs assumed average or benchmark
    pattern. E.g., one pool may be assumed to be 75
    PSA, and another 125 PSA. The formal has a
    lower prepayment rate than historically
    experienced the latter, a faster rate.

19
III. Effects of Prepayments Other Empirical
Models
  • Most empirical models are proprietary versions of
    the PSA model in which FIs make their own
    estimates of the pattern on monthly prepayments.
  • FIs begin by estimating a prepayment function
    from observing the experience of mortgage holders
    prepaying during any particular period on
    mortgage pools.

20
III. Effects of Prepayments Other Empirical
Models
  • The conditional prepayment rates in month i for
    similar pools would be modeled as functions of
    economic variables driving prepayment e.g., pi
    f(mortgage rate spread, age, collateral,
    geographic factors, burn-out factor).
  • Once the frequency distribution of the pis is
    estimated, the bank can calculate the expected
    cash flows on the mortgage pool under
    consideration and estimate its fair yield given
    the current market price of the pool.

21
III. Effects of Prepayments Option Model Approach
  • Fair price on pass-through decomposable into two
    parts
  • PGNMA PTBOND - PPREPAYMENT OPTION
  • Option-adjusted spread between GNMAs and T-bonds
    reflects value of a call option. Specifically,
    the ability of the mortgage holder to prepay is
    equivalent to the bond investor writing a call
    option on the bond and the mortgagee owning or
    buying the option. If interest rates fall, the
    option becomes more valuable as it moves into the
    money and more mortgages are prepaid early by
    having the bond called or the prepayment option
    exercised.

22
III. Effects of Prepayments Option Model Approach
  • In the yield dimension
  • YGNMA YTBOND YPREPAYMENT OPTION
  • That is, the fair yield spread or option-adjusted
    spread (OAS) between GNMAs and T-bonds plus an
    additional yield for writing the valuable call
    option.

23
III. Effects of Prepayments Option Model Approach
  • Example Smiths Model
  • Assumptions
  • 1. The only reasons for prepayment are due to
    refinancing mortgage at lower rates
  • 2. The current discount (zero-coupon) yield curve
    for T-bonds is flat
  • 3. The mortgage coupon rate is 10 on an
    outstanding pool of mortgages with an outstanding
    principal balance of 1,000,000
  • 4. The mortgages have a 3-year maturity and pay
    principal and interest only once at the end of
    each year.
  • 5. Mortgage loans are fully amortized, and there
    is no service fee.

24
III. Effects of Prepayments Option Model Approach
  • Thus the annually fully amortized payment under
    no prepayment conditions is
  • R 1,000,000/(PVIFA 10, 3 yrs) 402,114.
  • At the current mortgage rate of 9, the GNMA
    bond would be selling at
  • P 402,114 (PVIFA 9, 3 yrs) 1,017,869.

25
III. Effects of Prepayments Option Model Approach
  • 6. Because of prepayment penalties and
    refinancing costs, mortgagees do not begin to
    prepay until mortgage rates fall 3 or more below
    the mortgage coupon rate.
  • 7. Interest rate movements over time change a
    maximum of 1 up or down each year. The time
    path of interest rates follows a binomial
    process.
  • 8. With prepayment present, cash flows in any
    year can be the promised payment R 402,411,
    the promised payment (R) plus repayment of any
    outstanding principal, or zero in all mortgages
    have been prepaid or paid off in the previous
    year.

26
III. Effects of Prepayments Option Model Approach
  • End of Year 1 since interest rates can change up
    or down by 1 per annum, mortgages are not
    prepaid. GNMA bondholders receive the promised
    payment R401,114 with certainty.

27
III. Effects of Prepayments Option Model Approach
  • End of Year 2There are three possible mortgage
    rates 11, 9, and 7 with 25, 50, and 25 of
    probability.
  • If prepayment occurs, the investor receives
  • R principal balance remaining at the end of yr
    2 402,114 365,561 767,675
  • Thus CF2 .25(767,675) .75(402,114)
    493,504.15

28
III. Effects of Prepayments Option Model Approach
  • Where the principal balance remaining at the end
    of yr 2 is calculated as

29
III. Effects of Prepayments Option Model Approach
  • End of Year 3 since there is a 25 probability
    that mortgages are prepaid in yr 2, the investor
    will receive no cash flows at the end of yr 3.
    However, there is also a 75 probability that
    mortgages will not be prepaid in yr 2, the
    investor will receive the promised payment R
    402,114.
  • CF3 .25(0) .75(402,114) 301,586

30
III. Effects of Prepayments Option Model Approach
  • Deviation of the Option-Adjusted Spread
  • The required yield on a GNMA with prepayment risk
    is divided into the required yield on T-bond plus
    a required spread for the prepayment call option
    given to the mortgage holders
  • E(CF1) E(CF2) E(CF3)
  • P ------------ ------------- --------------
  • (1d1Os) (1d2Os)2 (1d3Os)3

31
III. Effects of Prepayments Option Model Approach
  • Deviation of the Option-Adjusted Spread
  • Where
  • P Price of GNMA
  • d1 discount rate on 1-yr, zero T-bonds
  • d2 discount rate on 2-yr, zeroT-bonds
  • d3 discount rate on 3-yr, zeroT- bonds
  • Os option-adjusted spread on GNMA

32
III. Effects of Prepayments Option Model Approach
  • Assume that the T-bond yield curve is flat, so
    that d1 d2 d3 8 then
  • 401,114 493,504 301,585
  • P ------------ ------------- --------------
  • (1.08Os) (1.08 Os)2 (1.08
    Os)3
  • Os 0.96 and
  • YGNMA YTBOND Os
  • 8 0.96 8.96

33
IV. Collateralized Mortgage Obligation (CMO)
  • CMO structure
  • CMOs can be created either by packaging and
    securitizing whole mortgage loans or by placing
    existing pass-throughs in a trust.
  • The investment bank or issuer creates the CMO to
    make a profit. The sum of the prices at which the
    CMO bond classes can be sold normally exceeds
    that of the original pass-throughs.
  • Prepayment effects differ across tranches.
  • Improves marketability of the bonds.

34
IV. Collateralized Mortgage Obligation (CMO)
  • The Value Additivity of CMOs
  • Suppose an investment bank buys a 150m issue of
    GNMAs and places them in trust as collateral. It
    then issues a CMO with
  • Class A Annual fixed coupon 7, class size 50m
  • Class B Annual fixed coupon 8, class size 50m
  • Class C Annual fixed coupon 9, class size 50m

35
IV. Collateralized Mortgage Obligation (CMO)
  • Assume that in month 1 the promised amortized
    cash flows on the mortgages are 1m but there is
    an additional 1.5m cash flows as a result of
    early prepayment. These are distributed to CMO
    holders as
  • Coupon payments
  • Class A (7) 291,667
  • Class B (8) 333,333
  • Class C (9) 375,000

36
IV. Collateralized Mortgage Obligation (CMO)
  • Principal Payments
  • The 1.5m cash flows remaining will be paid to
    Class A holders to reduce its principal
    outstanding to 50m-1.5m48.5m.
  • Between 1.5 to 3 years after issue, Class A will
    be fully retired. The trust will continue to pay
    Class B and C holders the promised coupon
    payments of 333,333 and 375,000 monthly. Any
    cash flows over the promised coupons will be paid
    to retire Class B CMOs.

37
IV. Collateralized Mortgage Obligation (CMO)
  • Class Z This class has a stated coupon, such as
    10, and accrues interest for the bondholders on
    a monthly basis at this rate. The trust does not
    pay this interest, however, until all other
    classes are fully retired. Then Z-class holders
    received coupon and principal payments plus
    accrued interest payments. Thus, Z-class has
    characteristics of both a zero-coupon bond and a
    regular bond.

38
IV. Collateralized Mortgage Obligation (CMO)
  • Class R CMOs tend to be over-collaterized
  • CMO issuers normally uses very conservative
    prepayment assumptions. If prepayments are
    slower than expected, there is often excess
    collateral left over when all regular classes are
    retired.
  • Trustees often reinvest cash flows in the period
    prior to paying interest on the CMOs. The higher
    the interest rate and the timing of coupon
    intervals is semiannual rather than monthly, the
    larger the excess collateral.

39
IV. Collateralized Mortgage Obligation (CMO)
  • This residual R-class is a high-risk investment
    class that gives the investor the rights to the
    overcollateralization and reinvestment income on
    the cash flows in the CMO trust.
  • Because the value of the returns in this bond
    increases when interest rates rise, while normal
    bond values fall with interest rate increases,
    Class R often has a negative duration.

40
V. Mortgage-Backed Bonds (MBBs)
  • Differs from pass-throughs and CMOs in two key
    dimensions
  • 1. While pass-throughs and CMOs remove mortgages
    from balance sheets, MBBs normally remain on the
    balance sheet.
  • 2. Pass-throughs and CMOs have a direct link
    between the cash flow on the underlying
    mortgages, with MBBs the relationship is one of
    collateralization.

41
V. Mortgage-Backed Bonds (MBBs)
  • Normally remain on the balance sheet and
    over-collaterized to reduce funding costs.
  • __________________________________________________
    ________________
  • Assets Liabilities
  • __________________________________________________
    ________________
  • Long-term Mortgages 20 Insurance
    Deposits 10
  • Uninsured Deposits 10
  • __________________________________________________
    ________________
  • Collateral 12 MBB 10
  • Other Mortgages 8 Insured Deposits
    10
  • __________________________________________________
    ________________

42
V. Mortgage-Backed Bonds (MBBs)
  • Regulatory concerns the bank gains only because
    the FDIC is willing to bear enhanced credit risk
    through its insurance guarantees to depositors.

43
V. Mortgage-Backed Bonds (MBBs)
  • Other drawbacks to MBBs
  • MBB ties up mortgages on the balance sheet.
  • The need to overcollaterize to ensure a
    high-quality credit risk rating.
  • By keeping mortgages on the balance sheet, the
    bank continues to be liable for capital adequacy
    and reserve requirement taxes.

44
VI. Innovations in Securitization
  • Pass-through strips
  • IO strips The owner of an IO strip has a claim
    to the present value of interest payments by the
    mortgagees. When interest rates change, they
    affect the cash flows received on mortgages
  • Discount Effect As interest rates fall, the
    present value of any cash flows received on the
    strip rises, increasing the value of the IO
    strips.
  • Prepayment Effect As interest rates fall,
    mortgagees prepay their mortgages. The number of
    IO payments the investor receives is likely to
    shrink, which reduces the value of IO bonds.

45
VI. Innovations in Securitization
  • IO Strip (continued)
  • Specifically, one can expect that as interest
    rates fall below the mortgage coupon rate, the
    prepayment effect gradually dominates the
    discount effect, so that over some range of the
    price or value of IO bond falls as interest rates
    fall (negative duration).
  • The negative duration IO bond is a very valuable
    asset as a portfolio-hedging device.

46
VI. Innovations in Securitization
  • PO strip the mortgage principal components of
    each monthly payment, which include the monthly
    amortized payment and any early prepayments.
  • Discount Effect As yields fall, the present
    value of any principal payments must increase and
    the value of the PO strip rises.
  • Prepayment Effect As yields fall, the mortgage
    holders pay off principal early. The PO bond
    holders received the fixed principal balance
    outstanding earlier than stated. This works to
    increase the value of the PO strip.

47
VI. Innovations in Securitization
  • PO Strip (Continued)
  • As interest rates fall, both the discount and
    prepayment effects point to a rise in the value
    of PO strip. The price-yield curve reflects an
    inverse relationship, but with a steeper slope
    than for normal bonds I.e., PO strip bond values
    are very interest rate sensitive, especially for
    yields below the stated mortgage coupon rate.

48
VI. Innovations in Securitization
  • Securitization of other assets
  • CARDs (Certificates of Amortized Revolving Debts)
  • Various receivables, loans, junk bonds, ARMs.

49
VII. Can All Assets Be Securitized?
  • Benefits Costs
  • __________________________________________________
    _________
  • 1 New funding source 1. Cost of public/private
    credit risk
  • insurance and guarantees
  • 2. Increased liquidity of bank loans 2. Cost of
    overcollateralization
  • 3. Enhanced ability to manage the 3. Valuation
    and packaging costs
  • duration gap (the cost of asset heterogeneity)
  • 4. If offbalance-sheet, the issuer
  • on reserve requirements, deposit
  • insurance premiums, and capital
  • adequacy requirements
  • __________________________________________________
    _________
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