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FOREIGN EXCHANGE

RISK

The project is submitted by


Tejal Darde Roll no. 4
Smita Gujar Roll no. 10
Aruna Gujarathi Roll no. 11
Kavita Jadhav Roll no. 14
Sonal Jethi Roll no. 15
Praneela Patil Roll no. 24

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INDEX
INTRODUCTION OF FOREIGN EXCHANGE RISK

SR.NO TOPIC PAGE NO.

1 INTRODUCTION 3

2 CAUSES FOR FLUCTUATION 5


IN FOREIGN CURRENCY

3 TYPES OF FOREIGN 6
EXCHANGE RISK

4 TYPES OF EXPOSURE 11

5 FOREIGN EXCHANGE RISK 13


MANAGEMENT POLICY

6 PROCEDURES AND SYSTEMS 15

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The risk of an investment's value changing due to changes in currency
exchange rates. The risk that an investor will have to close out a long or short
position in a foreign currency at a loss due to an adverse movement in exchange
rates. Also known as "currency risk" or "exchange-rate risk”. This risk usually
affects businesses that export and/or import, but it can also affect investors making
international investments. For example, if money must be converted to another
currency to make a certain investment, then any changes in the currency exchange
rate will cause that investment's value to either decrease or increase when the
investment is sold and converted back into the original currency.

The risk that the exchange rate on a foreign currency will move against the
position held by an investor such that the value of the investment is reduced. For
example, if an investor residing in the United States purchases a bond denominated
in Japanese yen, deterioration in the rate at which the yen exchanges for dollars
will reduce the investor's rate of return, since he or she must eventually exchange
the yen for dollars. Also called exchange rate risk.

In 1971, the Bretton Woods system of administering fixed foreign exchange


rates was abolished in favor of market-determination of foreign exchange rates; a
regime of fluctuating exchange rates was introduced. Besides market-determined
fluctuations, there was a lot of volatility in other markets around the world owing
to increased inflation and the oil shock. Corporate struggled to cope with the
uncertainty in profits, cash flows and future costs. It was then that financial
derivatives – foreign currency, interest rate, and commodity derivatives emerged as
means of managing risks facing corporations. In India, exchange rates were
deregulated and were allowed to be determined by markets in 1993.

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The economic liberalization of the early nineties facilitated the introduction
of derivatives based on interest rates and foreign exchange. However derivative
use is still a highly regulated area due to the partial convertibility of the rupee.
Currently forwards, swaps and options are available in India and the use of foreign
currency derivatives is permitted for hedging purposes only. The risks related to
foreign exchange are many and are mainly on account of the fluctuations in foreign
currency.

CAUSES OF FLUCTUATIONS IN FOREIGN


CURRENCY

1. Foreign exchange rates are influenced by domestic as well as international


factors and happenings.

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2. Foreign exchange dealings cross national boundaries and rates move on the
basis of governmental regulations, fiscal policies, political instabilities and a
variety of other causes.
3. Foreign exchange rate movements, like the stock market, are influenced by
sentiments that may not always be logical.
4. Foreign exchange is traded hours a day at different markets and dealers
cannot be in control at all times.
5. The ratings of credit agencies can affect the exchange rate. For instance,
when Indian’s foreign exchange rating was downgraded by Moody’s in the
mid—1990s, the value of rupee fell.
6. A rate move instantaneously and very fast. A hesitation of a few seconds or
minutes can change a profit to a loss and vice versa.

TYPES OF FOREIGN EXCHANGE RISK

Risks associated with foreign exchange may be broadly classified as:

1. Transaction risk.
2. Position risk.

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3. Settlement or credit risk.
4. Mismatch or liquidity risk.
5. Operational risk.
6. Sovereign risk.
7. Cross- country risk.

A. Transaction risk:
Any transaction leading to future receipts in any form or
creation of long term asset. This consists of a number of:
1. Trading items (foreign currency, invoiced trade
receivables and payables) and
2. Capital items (foreign currency dividend and loan
payments)
3. Exposure associated with the ownership of foreign
currency denominated assets and liabilities.
A. Position risk:
Bank dealings with customers continuously, both on spot and
forward basis, results in positions (buy i.e. long position or sell
i.e. short position) being created in currencies in which these
transactions are denominated. A position risk occurs when a
dealer in bank has an overbought (long) or an oversold (short)
position. Dealers enter into these positions in anticipation of a
favorable movement.
The risk arising out of open positions is easy to understand. If
one currency is overbought and it weakens, one would be able
to square the overbought position only by selling the currency
at a loss. The same would be the position if one is oversold and
the currency hardens.

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B. Settlement or credit risk:
Also known as time zone risk, this is a form of credit risk that
arises from transactions where the currencies settle in
different time zones. A transaction is not complete until
settlement has taken place in the latest applicable time zone.
This is also referred to as “Herstatt Risk”. Arising from the
failure or default of a counterparty. Technically, this is a
credit risk where only one side of the transaction has settled.
If a counterparty fails before any settlement of a contract
occurs, the risk is limited to the difference between the
contract price and the current market price (i.e. an exchange
rate risk).
Settlement risk is the risk of a counterparty failing to meet its
obligations in a financial transaction after the bank has
fulfilled its obligations on the date of settlement of the
contract. Settlement risk exposure potentially exists in foreign
exchange or local currency money market business.
C. Mismatch or liquidity risk:

In the foreign exchange business it is not always possible to be


in an ideal position where sales and purchases are matched or
according to maturity and there are no mismatched situations.
Some mismatching of maturities is in general unavoidable.
Liquidity risk' arises from situations in which a party interested
in trading an asset cannot do it because nobody in
the market wants to trade that asset. Liquidity risk becomes
particularly important to parties who are about to hold or
currently hold an asset, since it affects their ability to trade.

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Manifestation of liquidity risk is very different from a drop of
price to zero. In case of a drop of an asset's price to zero, the
market is saying that the asset is worthless. However, if
one party cannot find another party interested in trading the
asset, this can potentially be only a problem of
the market participants with finding each other. This is why
liquidity risk is usually found higher in emerging markets or
low-volume markets.

Liquidity risk is financial risk due to uncertain liquidity. An


institution might lose liquidity if its credit rating falls, it
experiences sudden unexpected cash outflows, or some other
event causes counterparties to avoid trading with or lending to
the institution. A firm is also exposed to liquidity risk if
markets on which it depends are subject to loss of liquidity.

Liquidity risk tends to compound other risks. If a trading


organization has a position in an illiquid asset, its limited ability
to liquidate that position at short notice will compound its
market risk. Suppose a firm has offsetting cash flows with two
different counterparties on a given day. If the counterparty that
owes it a payment defaults, the firm will have to raise cash from
other sources to make its payment. Should it be unable to do so,
it too will default. Here, liquidity risk is compounding credit
risk.

D. Operational risk:

Operational risk are related to the manner in which transactions


are settled or handled operationally. Some of the risks are
discussed below:
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a) Dealing and settlement: This functions must be properly
separated, as otherwise there would be inadequate
segregation of duties.

b) Confirmation: Dealing is usually done by


telephone/telex/Reuters or some other electronic system.
It is essential that these deals are confirmed by written
confirmations. There is a risk of mistakes being made
related to amount, rate, value, date and the likes.

c) Pipeline transactions: There are, at times, faults in


communication and often cover is not available for
pipeline transactions entered into by branches. There can
be delays in conveying details of transactions to the
dealer for a cover resulting in the actual position of the
bank being different from what is shown by the dealers
position statement.

d) Overdue bills and forward contracts: The trade finance


departments of banks normally monitor the maturity of
export bills and forward contracts. A risk exists in that
the monitoring may not be done properly.

A. Sovereign risk: Another risk which banks and other agencies


that deal in foreign exchange have to be aware of is sovereign
risk- the risk on the government of a country.

B. Cross-country risk: It is often not prudent to have large


exposures on any one country may go through troubled times. I
such a situation, the bank/entity that has an exposure could
suffer large losses. To control and limit risks arising out of

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cross country exposures, management normally lay down cross
country exposure limits. Risk management in foreign exchange
is imperative as the lack of these could even result in the
bankruptcy and closure of the organization.

TYPES OF EXPOSURE

An Exposure can be defined as a Contracted, Projected or Contingent Cash


Flow whose magnitude is not certain at the moment. The magnitude depends on
the value of variables such as Foreign Exchange rates and Interest rates. Exposures
can be broadly classified into three groups, viz., Transaction, Economic and
Translation exposure.

1. Transaction exposure:

It is a measure of company’s vulnerability to currency related losses


arising from known, contractual future cash payments or receipts in
foreign currencies. The value of a firm’s cash inflows received in

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various currencies will be affected by respective exchange rates of
these currencies when converted into the currency desired. Similarly,
value of a firm’s cash outflows in various currencies will be
dependent on the respective exchange rates of these currencies. The
degree to which the value of future cash transactions can be affected
by exchange rate fluctuations is referred to as transaction exposure.

2. Economic exposure:

The degree to which a firm’s present value of future cash flows can be
influenced by exchange rate fluctuations is referred to as economic
exposure to exchange rates. Economic exposures thus is a
comprehensive effect of potential transaction exposure on the project
investment of an MNC.

3. Translation exposure:

The exposure of MNC’s consolidated financial statement to exchange


rate fluctuations is known as translation exposure. Accounting
exposure, also called translation exposure, results from the need to
restate foreign subsidiaries’ financial statements into the parent’s
reporting currency and is the sensitivity of net income to the variation
in the exchange rate between a foreign subsidiary and its parent.

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FOREIGN EXCHANGE RISK MANAGEMENT POLICY

The foreign exchange risk management policy should clearly define


instruments in which the bank is authorized to trade, risk limits commensurate with
the bank’s activities, regularity of reports to management, and who is responsible
for producing such reports. The policy should be reviewed on a regular basis,
normally at least annually, to ensure that it remains appropriate. The main points
that need to be considered when drawing up a policy are given below:

a) Open position limits commensurate with customer driven turnover, and


the banks’ appetite for market risk.

b) Separate limits should be allocated for each currency, together with an


“overall cap” limit. Banks that assume risk on a proprietary trading basis

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should also introduce measures to limit intraday risk (normally a
maximum of five times the overnight cap limit).

c) Where a bank trades with counterparties other than members of their


own group located in Zone A countries, settlement and country limits
should be addressed and clearly defined.

d) Forward foreign exchange mismatch limits.

e) List of approved instruments.

f) Use of foreign exchange derivatives.

g) The expertise and experience of authorized personnel.

h) Authority to trade with counterparties other than group companies.

i) Monitoring and reporting systems.

j) Recording and follow up of limit excesses.

k) Impact on P&L of an adverse 10% movement in exchange rates on


maximum permitted exposure.

l) Imposition of a “stop loss” limit to restrict or prevent any further trading


other than client deals and hedging.

m) Segregation of duties.

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n) Trading mandates for authorized personnel.

o) Limitation on out of hours trading.

p) List of authorized brokers (if applicable).

q) Code of Conduct for authorized personnel.

PROCEDURES AND SYSTEMS

The Commission requires banks to monitor their foreign exchange risk on a


frequent and timely basis. The Commission would expect banks that assume
any foreign exchange risk to be in a position to measure their positions on an
ongoing basis and to report to management daily. It follows from this that a
bank must have adequate procedures and systems for monitoring foreign
exchange risk. This requires:

a) A clear allocation of the responsibility for measuring and reporting


foreign exchange risk.

b) The maintenance of reliable systems that can produce accurate


reports promptly.

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c) Active senior management involvement in, and clearly allocated
responsibility for, foreign exchange risk reporting.

d) Regular reporting to group or parent companies.

The system that produces the foreign exchange risk reports should be linked
to the bank‘s core systems, and be capable of being reconciled to core data.

Reports should follow the principles of good management information, for


example:
a) Clarity
b) Highlight key information, in particular breaches or exceptions
c) Highlight unutilized limit capacity

d) Use of an exception based commentary

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