December
We published our final policy on our proposal to introduce a clearing obligation for OIS that reference TONA. This change will come into force on 31 January 2022, to provide firms sufficient time to complete their preparations.
September
We published our final policy on our proposal to modify the scope of contracts subject to the derivatives clearing obligation, to reflect ongoing reforms to interest rate benchmarks. We also published a supplementary consultation paper which proposes to introduce a clearing obligation for OIS that reference TONA. The consultation closes on 27 October 2021.
July
We issued a joint statement with the FCA supporting an ‘RFR First’ initiative for cross-currency swaps currently based on LIBOR, coordinated jointly across relevant jurisdictions. The FCA and the Bank of England support and encourage market participants in a switch to RFRs in the LIBOR cross-currency swaps market from 21 September this year. This is to facilitate a further shift in market liquidity toward RFRs, bringing benefits for a wide range of users as they move away from LIBOR.
June
We issued a joint statement with the FCA supporting the US-led ‘SOFR First’ initiative. The FCA and Bank of England support and encourage market participants in a switch to SOFR in US dollar linear interest rate swap markets from 26 July this year. This is to facilitate a shift in market liquidity towards SOFR, bringing benefits for a wide range of users as they move away from LIBOR.
May
We published a consultation paper on our proposal to modify the scope of contracts which are subject to the derivatives clearing obligation, to reflect ongoing reforms to interest rate benchmarks. The consultation closes on 14 July 2021.
The Governor, Andrew Bailey, joined the ARRC’s second SOFR Symposium event to discuss a sustainable transition from LIBOR. You can read the speech he gave at the event: 'Descending Safely: Life after LIBOR'.
The third edition of the Regulatory Initiatives Grid notes LIBOR transition as a key initiative in the regulatory landscape.
We issued a joint statement with the FCA supporting and encouraging market participants in a switch to SONIA in the sterling exchange traded derivatives market from 17 June this year. This is to facilitate a further shift in market liquidity towards SONIA, bringing benefits for a wide range of users as they move away from LIBOR.
March
We issued a joint statement with the FCA supporting and encouraging liquidity providers in the sterling non-linear derivatives market to adopt new quoting conventions for inter-dealer trading based on SONIA instead of LIBOR from 11 May this year. This is to facilitate a further shift in market liquidity toward SONIA, bringing benefits for a wide range of users as they move away from LIBOR.
The Prudential Regulation Authority (PRA) and FCA have written a joint letter to the CEOs of supervised firms setting out supervisory expectations of the transition from LIBOR to risk free rates. The PRA and FCA expect all firms to meet the Working Group’s milestones and the targets of other working groups as appropriate. The letter sets out a list of priority areas where further action by firms is necessary to prepare for the cessation of LIBOR.
Following the FCA's announcement confirming cessation dates for panel bank LIBOR settings, we issued a revised Market Notice regarding the use of LIBOR-linked collateral used in the Sterling Monetary Framework.
Alongside the Working Group and the Financial Conduct Authority (FCA), we welcomed a proposed market standard on the use of Term SONIA reference rates, published by the FICC Markets Standards Board. We have encouraged widespread adoption of SONIA compounded in arrears in derivative markets in particular, keeping use of Term SONIA limited to specific use cases primarily in cash markets, to provide the most robust foundations for sterling interest rate markets.
We released a joint statement with the FCA, alongside the announcement of end dates on which panel bank submissions for all LIBOR settings will cease. At the same time, ISDA confirmed the cessation announcement would trigger the fixing of the ‘spread adjustments’ to be used in its IBOR fallbacks. Regulated firms should expect further engagement from their supervisors at both the Prudential Regulation Authority (PRA) and the FCA to ensure industry timelines for transition are met.
January
Alongside the Working Group and the FCA, we released a statement to accompany an update to the Working Group’s priorities and roadmapOpens in a new windowOpens in a new windowOpens in a new window, intended to help businesses to finish planning the steps they will need to take in the coming months.
The PRA published a consultation paper setting out its proposed approach to deep, liquid and transparent assessments and the transition of Solvency II technical information from LIBOR to SONIA in 2021. The consultation closes on 31 March 2021.