Now that the dust has begun to settle from last year’s gilt crisis, trustees and consultants are rightly asking whether there are longer-term structural changes they could make to their liability-driven investment (LDI) portfolio management which would benefit schemes and members, and help to prevent some of the more commonly experienced challenges.
The gilt crisis — sparked by a loss in confidence in the UK’s fiscal sustainability following the September mini-budget — saw long-dated gilt yields move at unprecedented speed and scale. The initial sell-off triggered widespread collateral calls for many defined benefit (DB) pension scheme’s leveraged LDI portfolios, and led to forced selling.
Initial responses to the crisis have focused on the reduction of leverage levels and a shortening of capital call windows within pooled LDI funds. At the scheme level, more collateral is being held ready to meet potential calls and trustees, in partnership with their consultants, are working on improved liquidity risk management processes to ensure they are operationally ready to meet collateral calls more quickly.
State Street’s TLF solution already exceeds the minimum liquidity buffers of 250 bps that the Bank of England’s Financial Policy Committee recommended on 29 March 2023. Furthermore our capital call window has already been reduced to 5 business days from October 2022 and hence is aligned with the FPC’s judgement that pension schemes should be expected to deliver collateral within 5 business days.
As Sarah Breeden, Executive Director for Financial Stability at the Bank of England pointed out in a speech in November,1 pooled LDI funds had a greater role to play in the amplification of market moves. But despite being labelled as one of the contributors to the crisis, pooled LDI funds remain in common use amongst UK pensions schemes and when viewed over an extended time horizon, have enabled schemed of all sizes to effectively hedge their interest rate and inflation risks. So, does the crisis signal the end of LDI pooled funds, or merely the beginning of a new wave of pooled fund innovation?
Segregated LDI Accounts are run for one pension scheme only. Such structures allow full flexibility for clients to implement their required hedging portfolio with complete customisation of restrictions and objectives — including eligible assets, counterparty diversification, bespoke legal documentation with counterparty banks, and a quick instruction process through which to implement trades and amend investment objectives. One of the prerequisites for a segregated account is that schemes have their own custody arrangements in place, and this cost can be too prohibitive for some schemes. Single investor pooled funds also exist but they retain most of the costs of a segregated LDI mandate, making them costly for small-to-medium size pension schemes.
Multi-Investor Pooled Funds have the benefits of delegated governance, regulated fund structures and avoiding the need for the scheme to appoint a custodian. Furthermore, unlike segregated accounts, pension schemes have limited liability in the face of losses. Leverage is managed within rebalancing bands on a fund-level basis, so all clients get capital calls and distributions at the same time.
Historically, LDI as a strategy — buying assets that hedge the moves in a scheme’s liabilities — was originally only available to schemes via segregated accounts. Later innovation led to the creation of more cost-effective pooled LDI funds that managed the assets of many pension schemes together.
During last year’s volatile times, leveraged LDI managers had to balance the need to maintain LDI exposure against the need to maintain solvency. Where there was visibility and certainty on the arrival of collateral, LDI exposures could be maintained. This was more challenging when operating pooled funds, due to requirements that all clients be treated fairly and a dependency on all clients meeting their obligations on time and in full.
Depending on the structures in place, some LDI managers were obliged to wait until all clients provided cash before capital calls could be met. Furthermore, depending on the pooled fund structures in place, at the time of the crisis even if one client had enough cash to meet capital calls quickly, in order to treat all clients fairly LDI managers may have been obliged to wait for other clients to provide their portion of the cash. In an extremely fast-moving market, this meant hedges may have been cut to maintain the funds’ solvency.
The other weakness of existing pooled funds that the gilt crisis brought to the fore is the need to diversify the use of leverage across a portfolio; in a nutshell to move from 100% reliance on the gilt market. Traditionally it has been the LDI portfolio where schemes have taken leverage, in the form of gilt repo or swaps — this is particularly true for pooled fund clients. However leverage can also be obtained in the growth portfolio. During last year’s gilt crisis, UK and other developed equity markets did not see the extreme volatility that gilt markets did. As a result, clients obtaining leverage in equity markets would not have seen rises in leverage of the magnitude that many LDI clients did, and therefore would not have experienced similar collateral calls.
One of the avenues being explored by some pooled LDI fund investors is to move into segregated accounts. However, that isn’t the only solution available and may be too expensive for smaller and mid-sized schemes. We believe that there is a better way.
We have deep experience implementing LDI portfolios for our clients using both segregated and pooled structures. We designed a new pooled fund range to bring some of the benefits of segregated LDI to the pooled fund market. Our Target Leverage Funds (TLFs) improve the risk management within leveraged pooled funds, and allow clients to diversify their leverage if they want to do so. In 2021, our innovative fund design won us recognition and the award of LDI Manager of the Year in the Professional Pensions Awards.
With TLFs, leverage targets and rebalancing bands are based on each client’s individual holdings. This means that rebalancing events (capital calls and distribution) are issued on an individual client-level basis, not on a fund-level basis. The implication is that a client’s leverage falls as soon as they meet a capital call; there is no dependence on other investors also meeting their capital calls. For clients who can access collateral quickly to meet a capital call, this reduces the likelihood of seeing a forced reduction in hedging exposure.
The TLFs allow exposures to both levered Equity and LDI allowing clients to diversify where leverage is taken in their portfolio. This can help reduce the frequency and size of rebalancing events — particularly in instances where there is negative correlation between equity and gilt markets, or in instances where one asset class is under stress whereas the other asset class is less impacted. Excess/surplus collateral is shared for each client allocation on a daily basis, akin to the collateral management offered to segregated clients.
1. Risks from leverage: how did a small corner of the pensions industry threaten financial stability? – speech by Sarah Breeden (bankofengland.co.uk)
State Street Global Advisors Worldwide Entites
Investing involves risk including the risk of loss of principal.
The information provided does not constitute investment advice as such term is defined under the Markets in Financial Instruments Directive (2014/65/EU) or applicable Swiss regulation and it should not be relied on as such. It should not be considered a solicitation to buy or an offer to sell any investment. It does not take into account any investor’s or potential investor’s particular investment objectives, strategies, tax status, risk appetite or investment horizon. If you require investment
advice you should consult your tax and financial or other professional advisor.
The information contained in this communication is not a research recommendation or ‘investment research’ and is classified as a ‘Marketing Communication’ in accordance with the Markets in Financial Instruments Directive (2014/65/EU) or applicable Swiss regulation. This means that this marketing communication (a) has not been prepared in accordance with legal requirements designed to promote the independence of investment research (b) is not subject to any prohibition on dealing ahead of the dissemination of investment research.
All information is from SSGA unless otherwise noted and has been obtained from sources believed to be reliable, but its accuracy is not guaranteed. There is no representation or warranty as to the current accuracy, reliability or completeness of, nor liability for, decisions based on such information and it should not be relied on as such.
The Professional Pensions Investment Award recognises the UK LDI Manager of the Year and celebrates industry excellence among asset managers who serve UK occupational pension schemes. The Professional Pensions Investment Award winners are chosen by a distinguished panel of judges.
Diversification does not ensure a profit or guarantee against loss.
The whole or any part of this work may not be reproduced, copied or transmitted or any of its contents disclosed to third parties without State Street Global Advisors’ express written consent.
© 2023 State Street Corporation.
All Rights Reserved.