Welcome to The S-Curve
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The name of the blog, the S-Curve, is a reflection of our logo and the central feature of our prepayment model. S-curves are seen in nature in many phenomenon, from population growth to prepayment and default models. Our first S-curve, in the early 1990s, used the arctangent function, then piece-wise linear functions, and evolved over time to be more complex and vary by FICO, loan size and LTV. This evolution encapsulates both the timeless nature of fundamental relationships and constant innovation to describe them better over time.
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Thoughts on Stress Tests and CapitalThoughtsAs providers of mortgage models for financial institutions, Andrew Davidson & Co., Inc. (AD&Co) enables clients to validate their use of our models and offers documentation describing the conceptual framework of the models, back-testing results, and sample forecasts under a variety of economic conditions. We also work with analytics providers who have incorporated our models to ensure that the models works as intended.
Even with this extensive support, we often do not know how our models will be used. A model that is good for one use may not be appropriate for another. For example, valuation for hedging often is different from valuation for pricing and determining return on equity, or a model built on agency data may not be appropriate for agricultural mortgages. When we are asked or when we are provided with additional information about the client’s use, we can provide additional insight into whether the model is being used appropriately.
The determination of how a model should be employed starts with clarity on how the results of the model will be used. Note that the focus here is not on how reliable the model is or how it performs in sample or out of sample; rather, it is on what actions will be taken based upon the output of the model.
In the case of the Dodd-Frank Act Stress Test (DFAST) and the use of the stress tests to determine the Stress Capital Buffer (SCB), we know how the stress tests are being used by banking regulators and what actions are taken based upon the results of the stress test.
According to the Federal Reserve:1 The original stress tests “played a role in bolstering confidence in the capital positions of U.S. banks during the 2007-09 financial crisis….” This, indeed, is an appropriate use for a system-wide stress test. In a time of crisis, with similar but uncertain risk throughout the financial system, a stress test may provide information about the health of the financial system and individual financial institutions that could not be determined using other measures of capital adequacy.
The Fed goes on to say that capital stress tests, “have become a critical supervisory tool” and are used to integrate “the Board's non-stress regulatory capital requirements with its stress-test-based capital requirements….” Here’s the rub. Did they become a critical supervisory tool and a basis for determining capital requirements because they were the right tool or because they were the tool that was available to the regulators to exercise discretion in setting capital requirements as they sought to replace the Advanced Approaches that utilized bank models?
Starting from basic principles, a stress test is not the best mechanism to establish capital requirements. Conceptually, capital is required to protect depositors and creditors from uncertainty. Expected losses should be built into reserves. Capital then is required for undiversified and unhedged tail risks that are borne by the financial institution. As these risks are associated with uncertainty they may not be reflected in any individual scenario. In fact, due to the availability of a wide range of financial instruments, banks can control the amount of risk in any single scenario at a modest cost and without reducing overall risk.
This creates a quandary for regulators. If they telegraph the detailed stress scenario in advance, institutions will be able to adjust their portfolios to enhance income in those scenarios, thereby reducing their required capital buffer, but not necessarily reducing risk across other potential scenarios. However, if they do not disclose the scenarios in advance, they can be (and have been) accused of being arbitrary.
The use of specific scenarios also creates issues associated with the use of models like AD&Co’s LoanDynamics Model or any model of borrower behavior within the stress test framework. Stress tests by their very nature involve scenarios that either have not occurred in the past or have been very infrequent. Moreover, no two actual stress events are the same. Thus, it is not possible to determine with precision how borrowers will behave. While models may and should provide a general indication of the performance of financial assets under stress, there may be substantial uncertainty.
Once again, the regulators face difficult choices. Should they allow each firm to develop and use their own models and recognize that there will be different results for similar assets under the same scenario at different institutions? Or should they seek consistency in results even in the face of this fundamental uncertainty? Neither solution seems quite right. Capital should reflect model risk as well as other economic uncertainties, so forcing use of a single set of modeling assumptions could increase systemic risk.
While it may seem like the current approach is beneficial if the stress scenario occurs and harmless otherwise, there are substantial costs and missed opportunities associated with the DFA Stress Tests. Firms (and the Fed) spend significant resources on the stress test because they have a direct impact on capital requirements and dividends. Those resources might be better spent on a broader set of risk measurement and risk management activities. Furthermore, stress tests may create a false impression that the banks have sufficient capital to withstand any stress or, even worse, that when stress emerges, that was not envisioned by the regulatory scenarios, such as the rate increases in 2022 and 2023, depositors and investors may have little confidence that the banks can weather the storm.
Even if the current implementation of stress tests isn’t the right approach to determining a capital buffer, can stress tests still be used to determine a capital buffer without revamping the entire capital regime?
A better approach to using stress tests would be to recognize that capital is required to bear a variety of uncertain risks. As such, other than when there is a dominant risk across the entire financial system, a variety of scenarios are required. A better approach would also recognize that interest rate risk in the banking book is not captured by current asset-based capital requirements, which focus on credit risk, scenarios which expose risk from rising and falling rates are also required. The introduction of the exploratory scenarios last year is a partial step in this direction. A better approach would also encourage financial institutions to explore the model risk associated with asset performance without penalizing firms for looking at more conservative scenarios.
This approach would involve five or possibly even ten scenarios to provide a robust evaluation of risk. 5 to 10 scenarios that are defined relative to current conditions that would stress credit, market risks, and interest rates. The scenarios could even have a counter-cyclical flavor. The Fed could choose one for the actual stress test that year (if there continues to be a requirement to have only one scenario) but with the expectation that firms would compute results and manage risk for all the scenarios since they wouldn’t know which one was going to be selected.
In this way, the stress test would operate like an exam where the professor tells you all the possible questions but only selects one or two for the final.
With a framework that includes multiple scenarios that can be consistent over time, stress tests can be a more valuable and reliable tool for determining stress capital requirements. During periods of system-wide stress, scenarios can be developed to bolster financial confidence, as during the Great Financial Crisis. In this way, scenario-based stress tests can be valuable both during and between periods of severe financial stress.
1 “Stress Tests.” Federal Reserve Board - Stress Tests, June 22, 2022. https://www.federalreserve.gov/supervisionreg/stress-tests-capital-planning.htm.
The S-Curve Archives
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Thoughts
The growing prevalence of artificial intelligence in the mortgage industry is shining a new light on the human biases that have pervaded the industry since its inception. AI is meant to bring fairness and objectivity to mortgage decisions, but it can’t perform fairly if it was built on an unfair system.
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Products
The LDM v3.0.2 library adds AutoLDM to the v3.0.1 library.
Key benefits include:
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EventsWe at Andrew Davidson & Co., Inc. (AD&Co) are once again thrilled to celebrate Pride Month, especially the contributions of LGBTQ professionals in the field of finance including affordable housing policy and the GSEs. This year, in addition to celebrating, we are also paying increased attention to the challenges that LGBTQ individuals face, particularly around issues of housing. Our pride in our LGBTQ staff and community sits alongside our concern about discriminatory lending practices, including in mortgages. As of February 2021, for the first time, lesbian, gay, bisexual, transgender, queer, and questioning (LGBTQ) Americans will be protected from housing discrimination under the Fair Housing Act.
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News
For several years, AD&Co has tracked the total rate of return (TRR) performance of the GSE CAS and STACR CRT in its U.S. Mortgage High-Yield Indices. The AD&Co Mid-Tier index constitutes a broad market measure of the TRR performance of GSE CRT. The related sub-indices segregate the CRT market into 4 index Tiers by attachment point, reflective of the credit exposure of the various classes of underlying CRT ranging from B to M1.
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EventsWe at Andrew Davidson & Co., Inc. (AD&Co) stand in solidarity with the Asian community and speak out against the xenophobic ignorance that has led to increased racist attacks against Asians. We protest against these hate crimes. This is a time to celebrate the richness that we have gained from the diversity of the Asian culture. We pledge to support the heritage that is part of what makes us American.
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Events
What does it mean to be mentally healthy? The answer is different for everyone. With all the extra anxiety that many of us have experienced since 2020, whether from uncertainty about COVID-19 or from other experiences that may be new to us, it’s important to acknowledge that it’s alright to not feel alright. Fortunately, there are numerous resources that are available locally, nationally, and in some cases through your workplace or benefits package. We might start by finding out what makes us feel better.
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Products
Today marks the publication of Chris Widman's Quantitative Perspective, a comprehensive article on the newest member of our LoanDynamics suite, the Auto LoanDynamics Model. Auto LDM will be integrated into vendor systems and AD&Co tools, allowing users to perform analysis on auto loan and ABS positions.
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EventsSince 1970, April 22nd has been the annual day to appreciate our planet and recognize the importance of protecting it. But more and more, we realize that everyday needs to be Earth Day, and that we need to take better care of the place that gives us life.
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Thoughts
To seek "causes" of poverty in this way is to enter an intellectual dead end because poverty has no causes. Only prosperity has causes. – Jane Jacobs, Activist and Author
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Events
CRTcast, a new podcast series under Freddie Mac’s Home Starts Here programming, focuses on credit risk transfer (CRT) and it’s three spokes: securities, (re)insurance and mortgage insurance. Freddie Mac leadership together with CRT industry experts cover current and relevant topics.