Economics

Financial Markets

  • Fossil Fuels
    An Anti-Speculative Frenzy
    I was worried that my defense of speculation in the oil market, published this week on ForeignAffairs.com, was late to the game, but my timing turned out to be right on. Just yesterday, an op-ed appeared in the New York Times by Joseph P. Kennedy arguing that “pure” speculators should be “banned from the world’s commodity exchanges.” I am wholly sympathetic to Mr. Kennedy’s motivation—to make sure that the wealthy do not profit at the expense of those of more modest means, who are genuinely hurt by high and volatile prices for staples like heating oil, rice, and other goods. But the recipe for a better-functioning oil market that he cooks up is not the answer. I’d like to address a few of the major points that Mr. Kennedy makes in his piece. Let’s start with his conclusion: "Federal legislation should bar pure oil speculators entirely from commodity exchanges in the United States. And the United States should use its clout to get European and Asian markets to follow its lead, chasing oil speculators from the world’s commodity markets." Commodities markets need at least some what he calls “pure” speculators (meaning those who act as brokers or investors rather than actual producers or consumers of oil) in order to function. This isn’t just my opinion. Commissioner Bart Chilton of the CFTC—hardly a shill for Wall Street—hammered home in a speech last month that “Speculators are necessary liquidity providers to [commodities] markets.” In other words, “pure” speculation is an essential part of the oil market. Why is that the case? As I tried to explain in my ForeignAffairs.com piece, oil producers and consumers use financial markets to hedge their risk. But they need someone willing to assume that risk. In industry jargon, they need a counterparty to trade with. At times, oil producers and consumers are able to trade among themselves, but not always. That’s where “pure” speculators come in. For example, Chevron might contract in advance with Southwest Airlines to sell it 1,000 barrels of jet fuel for delivery in New York in 2015. But what if Southwest needs to buy a certain quantity or type of oil for future delivery and no oil producer can commit to providing it for them? That’s when a speculator, acting as a broker, can be useful. He takes the other side of the trade with Southwest for the time being. Then, when an actual oil producer decides it can deliver Southwest what it needs, the speculator sells the contract to the producer. The deal is done. If companies choose to contract with one another directly, rather than through a speculator acting as an intermediary, they are free to do so. But were such intermediaries banned from the market, as Mr. Kennedy calls for, companies that would like to minimize their risk by pre-buying or pre-selling oil would often be stymied. The amount of damage an oil producer or consumer could suffer by losing out on the ability to hedge is huge. Back to the example of Southwest Airlines—as oil prices trended upward between 1998 and 2008, the company saved more than $3.5 billion thanks to hedging in the oil market, while many of its peers that didn’t hedge suffered. Pure speculators enabled it to rack up that magnitude of savings. The op-ed also makes the following claim: "Because of speculation, today’s oil prices of about $100 a barrel have become disconnected from the costs of extraction, which average $11 a barrel worldwide." This paragraph reflects a misunderstanding about how oil prices are determined in the marketplace. The market price of oil has to do with marginal production costs, not average costs. That means that the most expensive barrel produced to meet global demand is also the one that more or less establishes a floor for prices. Right now, many experts reckon the marginal cost of production is the cost of producing oil shale and oil sands. Barclays Capital reckons that extracting oil from Canadian oil sands requires an oil price of at least $85 to be economically viable. Once you correct for that error, you realize that $100 oil is not far-fetched, especially in light of ongoing geopolitical disruptions. It continues: "Pure speculators account for as much as 40 percent of that high price, according to testimony that Rex Tillerson, the chief executive of ExxonMobil, gave to Congress last year." This claim—that Wall Street speculators account for as much as 40 percent of oil prices—is Mr. Tillerson’s estimate, but I have not seen any publicly available study to support that figure. (If I’m mistaken, I’d love to see the report--please send it to me.) Discerning analysts should bear in mind the circumstances under which Mr. Tillerson provided that estimate. Under pressure from Congress last year, oil company executives were called to Capitol Hill to explain why oil prices were so high. They were right to defend themselves. Oil companies receive far more blame in the popular media when gas prices are high than likely they deserve. Still, I have not seen any data validating the 40 percent figure he cites. Mr. Kennedy argues that the 40 percent estimate “is bolstered by a report from the Federal Reserve Bank of St. Louis.” That’s far from the case. The report he’s referring to is being cited frequently as evidence that speculators are running wild in the oil market, causing prices to move in whatever direction they’d like. But that’s not the study’s primary finding at all. It concludes that “On balance, the evidence does not support the claim that a sudden explosion in commodity trading tectonically shifted historical precedent” (emphasis mine). The bottom line is that “the increase in oil prices over the last decade is due mainly to the strength of global demand” and that “fundamentals continue to account for the long-run trend in oil prices.” The study suffers from some severe methodological limitations due to a lack of data, which calls into serious question its conclusions about how pure speculators affect prices (it says they were up to 15 percent of the 2004 to 2008 price run-up), but there it is. More on that study in another post. Oil prices can certainly diverge somewhat from supply-and-demand fundamentals for periods of time. That problem is exacerbated by the opaque and contradictory data about what’s happening in the global oil market, which gets in the way of the market’s efforts to determine fair value for the good. My colleague Daniel Ahn has written an excellent CFR piece describing this phenomenon and its implications for regulation. Oil speculators can and do fall prey to irrational exuberance from time to time. Ultimately, though, you’d still be far more accurate to blame supply and demand than you would Wall Street for pain at the pump right now. I applaud Mr. Kennedy’s desire for sound, proactive regulation of commodities markets. Traders operating within them should continue to be subject to reasonable rules and restraints to prevent abuse, fraud, and manipulation. Where speculators are guilty of illegal practices, they should answer to the law. The CFTC is wise to weigh policy options to improve these important markets. Unfortunately, Mr. Kennedy’s prescription for fixing them is not the right one.
  • Fossil Fuels
    In Defense of Speculators
    You’re not going to win any popularity contests being a speculator in the oil market these days. As if Occupy Wall Street weren’t bad enough, a significant percentage of the American public is convinced that speculation is the reason why it’s costing them so much to fill up the tank. Comments by President Obama, Attorney General Holder, and Congressional leaders suggesting that speculators may be to blame for pushing oil prices higher over the last few months have added heft to these claims. But is speculation in the oil market all bad? What is speculation, anyhow, and is it responsible for the nation’s energy woes? They’re hard questions that have been the subject of tremendous debate--and misunderstanding--in the popular press. I weigh in on the controversy at ForeignAffairs.com. Check it out here.
  • Development
    Reforming Egypt’s Untenable Subsidies
    Addressing Egypt’s economically debilitating subsidy system will be hard amid political transition, but with the country’s social contract under review, the time is ripe for reform needed to put the country on a more viable economic path, says CFR’s Isobel Coleman.
  • Economic Crises
    World Economic Update
    Play
    This series is presented by the Maurice R. Greenberg Center for Geoeconomic Studies. Related readings: The Fed and the ECB Should be Trading Places by Sebastian Mallaby FT: How to Blow Away China's Gathering Storm Clouds by Martin Wolf Cigarette Taxes Can Help Cure Two of Greece's Ills by Peter Orszag No Great Firewall Will Save Europe by Steven Dunaway
  • Economic Crises
    World Economic Update
    Play
    Experts analyze the state of the U.S. and world economies, discuss how emerging markets have been affected by the financial crisis, and offer predictions on what the preeminent economic risks will be in the coming months. This series is presented by the Maurice R. Greenberg Center for Geoeconomic Studies.
  • Fossil Fuels
    Guest Post: IHS Author Defends Study on the Volcker Rule
    In a post last Thursday, I identified four reasons for skepticism about a new IHS report that estimated the impact on energy markets of the currently proposed implementation of the Volcker rule. Kurt Barrow, Vice President of IHS Purvin & Gertz and lead author of the IHS report, has graciously penned the following guest post addressing the questions I raised. I may comment further on a few of the points below in another post. We appreciate your careful and thoughtful reading of the report. On behalf of the IHS team that completed The Volcker Rule study, I would like provide the following response to the questions and concerns you raised. You ask why non-bank institutions, such as hedge funds, would not provide some long-term risk management services.  The Congressional intent of the Volcker Rule was specifically to allow the bank to continue to provide market making and hedging services to their clients, The Volcker Rule sees this as a constructive role.  It is, in our view, the regulations as drafted that could to prevent the intent of the Volcker Rule from being realized.  It is the same point that Mark Carney, governor of the Bank of Canada and chairman of the Financial Stability Board, made when he said that the regulations – not the Rule – would “if adopted as drafted” could “limit market-making and risk management activities.”  Speaking of the impact of the regulation as drafted, he added, “the rule, as currently drafted, could reduce global financial resilience rather than increase it.” Regarding non-bank institutions, such as hedge funds, providing risk management and intermediation, it certainly was not obvious to us who the natural players, with the requisite capabilities, could be to adequately fill any “void,” at least for some period (our modeling was based on five-years).  This role requires an “A” credit rating or better, in order to be a viable counterparty that most corporations could even consider doing business with, and especially for long-dated contracts.  It also requires a client-facing business model with account executives out calling on American companies to identify their needs and develop client solutions.  It requires a willingness to provide financing, which is often an important component of many structured solutions.  And on occasion, this activity demands someone capable of straddling both the physical and financial markets, in order to efficiently provide an effective client solution.  Hedge funds are certainly not a good fit with the requisite positional assets and organizational capabilities of this role. Regarding the concept of moving substantial portions of the OTC trade to futures exchanges, there are a two constraints that make this particularly difficult for energy companies.  First, as you point out, exchanges provide only a standardized set of derivatives while OTC contracts are tailored to the commodity size, quality and location for each client.  An airline may not find it useful to hedge jet fuel with a WTI contract.  One important result, is that this usually allows firms to achieve hedge accounting, which is an important element of realizing the earnings stabilization that they seek.  Second, exchanges have no bilateral mechanism on which to base a physical-to-financial hedge offset in the margin requirement.  As a result, if the exchange derivative moves “against” the position, margin calls occur for the full duration of the hedge, even if the value of the physical stream offsets this financial “loss.” By contrast, in OTC markets, a counter-party that understand’s a firm’s business and commodity purchase/sales needs can structure contract terms so that margin requirements account for the actual physical commodity flows. For the economic impact, the IHS Global Insight macroeconomic forecasting model was used.  The fuller description is provided in the report.  The natural gas production-related jobs impact is largely driven from the investment reduction of $7.5b per year, not from the gas sales revenue.  This study reports on the combined total economic impacts, which includes the direct, indirect, and induced impacts across all sectors of the economy and not just energy sector jobs.  We believe the employment-to-investment results are reasonable and consistent.  This is a standard way to calculate jobs impact. To the question of benefits from this Rule, we agree these exist.  In fact, as we have said, the report is not in disagreement with the intent of the Volcker Rule and the prohibition of banks from proprietary trading.  We do, however, struggle to see the benefit gained from reducing the ability of energy producer and consumers – ranging from airlines to independent natural gas companies—to manage price risk, an outcome that is foreseeable with the current proposed implementation. Finally, we are not arguing for a course of action either way. As researchers, our task here was to examine the potential impacts of the rule as it is envisioned in the current regulatory drafts.  The report was conducted in response to a specific call from the regulators, who, recognizing the importance of getting the regulations right, asked for comment.  And our findings tell us that the current regulations would have potentially major impacts on the energy industry, other industries, and energy prices with resulting impacts on jobs.  The current regulation would not achieve the intent of the Volcker Rule.  While our report did not provide specific policy suggestions, it seems that the findings of our report are consistent with recent calls, by Representative Barney Frank and others, that a simpler, more principles-based regulation might be provide the path forward.
  • Fossil Fuels
    Will the Volcker Rule Crush American Energy?
    A new study out yesterday claims that the Volcker rule, intended to push proprietary trading out of the banks, could end up slamming the U.S. energy sector, slashing two billion cubic feet a day off natural gas production and costing two hundred thousand jobs. The alarming report, commissioned by Morgan Stanley and written by the consultancy IHS, is making waves. I am, to put it mildly, not convinced. The essence of the IHS argument goes something like this. Much of the U.S. energy industry depends on selling its production forward in order to stabilize cash flow and make long term investment possible. This is particularly true for firms that produce unconventional gas. And while markets for exchange traded near-term gas futures are incredibly liquid, the same is not true for the longer-dated contracts that are essential to much of the business. Instead, producers tend to hedge their long term exposure (6-month to 5-year horizons) through bespoke over-the-counter (OTC) contracts with banks. For a variety of interesting technical reasons that are described in the report, the Volcker rule might make it impossible for the banks to keep providing that service, at least at the same scale as they do today. So far so good, but what comes next is more questionable. The IHS authors show that increased hedging has been correlated with increased investment. They then use that relationship to predict the impact on investment if long term hedging services were to disappear. By far the biggest impact is in natural gas production, though the authors project small impacts in several other places too. I’m skeptical on four main grounds. The authors never attempt to explain why non-bank institutions, such as hedge funds, won’t step in to provide at least some long term risk management services. (There is a brief observation that large integrated oil and gas companies might do that, but it’s never accounted for in the ultimate analysis, which appears to assume that hedging services will vanish.) Perhaps there’s a good argument for why others won’t be up to the task: maybe the scale of capital required is too large, or the overhead burden associated with providing the service requires economies of scale that hedge funds and other non-bank institutions can’t muster. But that argument needs to be made if the broader point is to be sustained. (It isn’t enough to note, as the study does, that the cost of hedging might rise, since the ultimate analysis implicitly assumes that the cost will be infinite.)  As it stands, all the study really argues is that big banks will be out of the game. It is also unclear to me why exchanges might not pick up much, or at least some, of the slack. I understand why producers like OTC contracts: they’re more tailored to their needs than standardized derivatives are. But I don’t see why, if the availability of OTC hedging services were severely curtailed, a much larger market for long-dated futures couldn’t arise on exchanges – or at least I don’t see why such an outcome isn’t possible. The substitute wouldn’t be perfect – there would be more risk to producers since the derivatives wouldn’t be tailored to their specific needs – but I could imagine it becoming a pretty decent replacement if today’s preferred option were curtailed. My third problem is with the analysis of economic impacts. Let’s accept for the moment the IHS estimate that the currently proposed implementation of the Volcker rule would slash about two billion cubic feet a day off U.S. natural gas production by 2016. Would that really kill 200,000 jobs? I have a difficult time believing that. Let’s say that natural gas is going to be selling for five dollars per thousand cubic feet by 2016 (roughly the current futures price). That adds up to revenues of about four billion dollars a year. It is hard to see how this will support 200,000 jobs, which would imply about $20,000 in revenues (not profits) per job, unless we use some pretty big multipliers and assume that all the people employed and capital used would have been on the sidelines otherwise. That is a stretch. But the biggest problem with the study may not be with how it weighs the costs of the Volcker rule – it may be the fact that it completely ignores any benefits. Imagine that someone had written the following claim in 2007: The U.S. government is proposing to bar banks from trading in mortgage backed securities. Yet banks play a central role in making markets in these instruments. Prohibiting them from risk taking in this area would curtail the ability of originators to offer low cost home loans to the American people. This would be tragic: mortgage brokers, by offering innovative products, have helped millions of people attain the American dream. In the process, they have helped grow the construction industry, creating hundred of thousands of new jobs. All of this would be at risk with the new rule. Sound ridiculous? It should. Much of that argument about the costs of bank regulation would have been correct – yet no one, with the benefit of hindsight, would now say “the financial crisis was a price worth paying for keeping mortgages cheap”. I am not suggesting that the natural gas industry today is like the subprime mortgage industry was five years ago – indeed I’ve argued against that point before. But the arguments coming from the banks today are remarkably similar, and the same sort of skepticism would be wise. Indeed there is one line in the IHS study that I find particularly troubling: “Banks play an important role as liquidity providers in less liquid markets, particularly niche and long dated markets. The strong credit quality of many banks makes them a preferred counterparty to transact with.” And why do the banks have such great credit quality? You’re staring at part of it every time you look in the mirror. The financial crisis proved that the U.S. taxpayer will be on the hook if a big bank ever again threatens to go down. That is the reason for the Volcker rule, and part of the reason for banks’ superior credit quality. If people really believe that government should subsidize risk taking by private energy producers through implicit support for the banking system, they should stand up and say it. Let me be clear: there are undoubtedly places where the proposed implementation of the Volcker rule can be improved so as to better distinguish market making activities from proprietary trading. That, despite its actual content, is how the IHS report is framed -- and, to be sure, drawing the distinction is a nightmare. Yet the report says nothing about what changes might be wise and what activities might safely be offloaded from the banks. (This is not the fault of IHS – it presumably was not part of its contract.) Focusing on those details would be a far more constructive avenue of debate.
  • Iran
    Follow Rather than Fight the Private Sector on Tactical Stockpile Releases
    Anticipation is heating up around another release of oil and petroleum products from the U.S. Strategic Petroleum Reserve (SPR), likely in coordination with the United Kingdom, France, and possibly others. But there are profound concerns with using strategic reserves to manage prices in the short-term. As John Deutch of MIT pithily put it, this is using our national oil stockpile as a tactical rather than strategic petroleum reserve. And history is littered with the graveyard of various government attempts at managing commodity prices, such as the buffer stock stabilization programs by South and Latin American countries in the 1960s and the Nixon Administration’s attempt at price controls in the 1970s. And with very good economic reason, something that I will discuss in more depth in subsequent posts. But politics in an election year rarely plays second fiddle to sound economics. If one still insists on using strategic stockpile releases for tactical price management, then at least try to make sure that the price increase one is fighting is temporary rather than permanent. A permanent price increase driven by fundamental supply and demand will shrug off any attempt at tactical price stabilization. But a temporary price increase due to a transient disruption such as a hurricane or seasonal demand (or stretching it, geopolitical event with a finite horizon) may be mitigated with a stock draw-down. A helpful guide is to watch what the private sector is doing. If the market thinks recent price jumps are temporary, they will draw down inventories to tide over current demand and rebuild them in the future when prices are expected to be lower. On the other hand, if the market thinks recent price jumps are permanent, then the private sector will keep inventories level or even build them in anticipation of further price increases. (Actually, even if prices don’t change but price volatility increases, then inventories would be built due to the option value of having storage.) If a government tries to make a tactical release in the face of permanent price increases, then it is fighting the private sector. Any government releases may be counterbalanced or even directly absorbed into private sector builds. This arguably may have defeated the previous SPR release last year. A point in favor of an impending release is that at least private inventories in the places we can observe them (basically, the OECD) have declined considerably since last year, suggesting markets may be seeing recent price rises as temporary (see chart). On the other hand, this may also be because weaker economic growth and lower demand in developed economies may be disincentivizing the private sector from holding inventories. Furthermore, there are anecdotal reports that the private sector or even governments in less transparent areas of the world may be building stockpiles. It is pretty disappointing if any oil released out of the U.S. SPR is ultimately ending up (given fungible oil markets) in Chinese strategic reserves. It is hard to determine what the full picture is saying. This is another reason why fundamental data on demand, supply, and inventories is so critical for the proper functioning of energy markets. So bottom line, if you have to do tactical stockpile releases, only counter temporary price increases. Try to follow rather than fight the private sector inventory decisions. Make an extra effort to ensure that SPR release do not disappear into private storage, for example, with direct sales to end-user consumers and refiners rather than recipients with access to storage facilities. For the future, consider having some of the SPR in the form of refined products, which is a lot costlier to store and therefore more likely is actually used rather than stockpiled.
  • Iran
    Revisiting High Oil Prices and the U.S. Economy
    Given how oil is back in the media spotlight and as oil markets brace for the implementation of the Iranian oil embargo, it seems as good a time as any to revisit the question of high oil prices and their impact on the U.S. economy (as well as revitalize my hitherto moribund blog output), discussed at length in this post. According to the U.S. CPI, the average U.S. (urban) consumer currently spends about 9% of his or her income on energy. About 5.2% is on gasoline alone. With the surge in Brent prices again to $125/bbl or near 100 euros, gasoline prices (even in cheap New Jersey) are getting close to the psychologically significant $4/gallon threshold. Some media still discuss WTI crude oil prices which are still trading at a significant discount to Brent but most refined product prices, especially in the U.S. Gulf and East Coast, are tracking more closely the Brent market, which is waterborne and a better recent indicator of global tightness. So how high do Brent prices need to go for the economy to slow down or even go into a recession? One way to answer this question is to look at it historically. Back in the late 1970s, we spent a whopping 8% of GDP on oil. In 2008, we spent 4.8% of GDP on oil, with a peak of 6.6% in the month of June. Currently, we are spending about 4.5-5% on GDP. So are we uncomfortably close to reaching stall speed again? The problem with this historical analysis is that our economy is a lot different of that in the 1970s or even 2007-08. Notably, as everyone knows, the economy is now a lot more energy efficient than the 1970s. Even compared to 2008, U.S. domestic oil consumption has trailed previous consumption levels despite regaining our previous level of output and despite fairly strong output and labor numbers recently, as my colleague emphasized recently in this post. I believe we are seeing the delayed impact of the previous price spike on consumption behavior and improved conservation/efficiency. Also, we are enjoying a domestic production boom, particularly in natural gas, which may moderate the impact. So where is the new pain threshold? 7% of GDP? 8%? 9%? Another way to tackle this is to explicitly simulate an oil price shock using a U.S. macroeconomic model. There are certain advantages to doing this. For one, we can take into account feedback loops and second round effects. For example, as consumers fork over more for gasoline, that also means less savings that will be put to use for investment. That also slows economic growth. Or higher oil prices may stimulate inflation, forcing the Fed to raise rates earlier, with consequences for growth. The main disadvantage is the sheer hubris of trying to model something so complicated as the U.S. economy. Even with the most sophisticated and complex model, there is always something missing. Still, as an intellectual exercise, I simulated what would happen to the current economy if real oil prices went any higher. I considered two types of shocks: a 10% price increase that either happens gradually over 5-6 quarters or that happens quickly within two quarters, and the same shock only with a 50% magnitude price increase. They would roughly correspond to Brent prices increasing to $135/bbl and $180/bbl respectively. (By the way, these are meant to be oil supply shocks, not a price increase that happens from stronger domestic demand.) What I find is that it matters a lot whether the price increase is gradual, giving the economy time to adjust to it, or whether it happens quickly. It is also nonlinear, so a 50% price increase hurts more than five times as much as a 10% price increase. Most economists are saying that the U.S. economy would otherwise be growing at somewhere between 2% and 3% this year. Hence, at least the model is saying that a 50% additional price increase or Brent oil prices at $180 (WTI at $150) for a sustained period may be enough to push the economy into an actual recession. That in turn would probably cause oil prices to slingshot back as the United States and global demand contracts. So it looks like we still have some breathing room at least in terms of price. On the other hand, it may not take much for oil prices to rocket to these levels. Observe how jittery the markets were in reaction to rumors of a fire in Saudi Arabia recently. There is a lot of military hardware floating out near the Strait of Hormuz. Or take Russia or Nigeria. The oil supply side has plenty of hotspots to choose from. The supply-side revolution from shale oil/gas may be promising better energy security soon but it’s not quite yet. There may be room for discussion of another stockpile release, something I plan to tackle in subsequent posts.
  • Iran
    Road Warriors Face an Uphill Battle
    Gasoline prices are the talk of the town right now. Lots of stories are circulating about where prices are on a historical basis and what this summer might bring. $4 a gallon? $5? Some have predicted even $6 a gallon. Wait, it gets better. You’d think you were at a horse auction the way analysts are talking these days. Here’s a quick graphical look at gasoline prices, to put things in perspective. First, good news for people who love bad news about gas prices (which includes environmentalists and Republican presidential candidates—strange bedfellows indeed): average retail gas prices in the United States are higher right now than they ever have been this time of year. That claim is absolutely true. Figure 1 shows where average U.S. gasoline prices have ranged between 1994 and 2011, according to the U.S. Energy Information Administration (EIA). Over that period, prices this time of year have gone as low as under $0.96 per gallon (in 1999) to as high as $3.19 per gallon (in 2011). This week’s $3.58 is a full 12 percent higher than the next highest year at this time, which occured exactly one year ago. Prices are more than $1 per gallon higher than median February prices between 2006 and 2011. Figure 1. U.S. Retail Gasoline Prices (Weekly Data, All Grades and All Formulations, EIA) What can U.S. consumers expect to pay at the pump this summer? Here’s a quick back-of-the-envelope calculation. If recent seasonal trends hold, prices would rise by around $0.50 per gallon between January and June. That would mean average U.S. gas prices of just over $4 per gallon this summer. So if history is any guide, $4 gasoline is not only possible this year, it’s probable. When it comes to gas prices, though, national averages don’t tell the whole story. Prices at the pump vary hugely depending on where you are in the country, for various reasons. Figure 2 shows retail gasoline prices in four U.S. cities: Los Angeles, New York, Denver, and Cleveland. The difference between what you pay in Los Angeles and Denver is staggering. The disparity has only gotten more pronounced the last few months. Kobe Bryant and the Lakers are dropping more than $4 per gallon to fill their tank, while the Birdman and the Denver Nuggets are paying just $3 or so. No wonder things are so bad in Lakerland right now. Figure 2. Retail Gasoline Prices in Four U.S. Cities (Weekly Data, All Grades, EIA) For average U.S. prices to reach $5 per gallon, let alone $6 or more, it would take a pretty serious disruption to the global oil market. Further supply losses in the Middle East could certainly take prices that high, but for now, I’d call that a tail risk: the chances it’ll happen are low, but there’s still a material chance. Tail risks in the oil market are exactly what Wall Street oil traders are bracing themselves for.  In the words of a Citi energy strategist, “We face a bifurcated market: a crisis in the Middle East could send prices through the roof; the eurozone debt problems could trigger a collapse.” The odds favor no major change one way or the other, but traders are assigning a higher-than-usual probability that prices could swing much higher or much lower in 2012. This isn’t the first time the media has been abuzz with reports that summertime gas prices might reach outrageous highs. Just last spring, people were saying the same thing, predicting $6 gasoline by the summer, only to see prices decline over the rest of the year. But as far as gasoline prices are concerned, 2012 has gotten off to a terrible start.
  • China
    Two Ways to Ease U.S.-China Economic Tensions
    The U.S. visit of Vice President Xi Jinping occurs at a time of resurfacing tensions over trade and China’s currency, says CFR’s Sebastian Mallaby, but there is a formula for resolving each problem.
  • Development
    Building Markets for Peace
    Podcast
    This roundtable meeting was part of the project, Entrepreneurs and Market Linkages in Conflict and Post-Conflict Environments, organized by the Civil Society, Markets, and Democracy Initiative.
  • Iran
    Oil Market Policy Options in a Confrontation with Iran
    Wall Street has been busy thinking through what might happen to oil prices (and the global economy) if conditions worsen in the Strait of Hormuz. Various scenarios could unfold, from mild to dire. But an equally important question has escaped similar close scrutiny: What options would policymakers in the U.S. and other IEA member countries have to confront a massive disruption to oil supply in the Persian Gulf, and how should they select from among them? A new Energy Brief from CFR’s Project on Energy and National Security addresses those questions. Written by Bob McNally, the president of Rapidan Group and a former White House senior energy advisor, the article presents four oil market scenarios that might develop in a confrontation with Iran and assesses the options that policymakers would have for mitigating any adverse oil market consequences. McNally sees five major policy options, which are not mutually exclusive and each only a highly imperfect substitute for a well-functioning market: -Allow supply losses to be absorbed by demand destruction resulting from an oil price spike. -Accept a drawdown from private consuming country (OECD) stocks. -Encourage OPEC to increase production that does not flow through Hormuz. -Put in place production surge and demand restraint measures in IEA countries. -Coordinate a drawdown of IEA strategic inventories (SPRs). These options differ sharply in mechanism, feasibility for Washington to impose unilaterally, and likely effectiveness in keeping a lid on oil prices. The first one doesn’t require any action at all, but could have catastrophic consequences for the global economy if the disruption proved long and severe. Last year’s drop off in Libyan oil exports was a reminder that while geopolitical interruptions to the smooth functioning of the market can materialize in a number of ways, OECD policymakers face a limited menu of options when oil comes off the market unexpectedly. Still, even their blunt tools for managing the market, skillfully applied, can considerably lessen the economic damage of a supply rupture.
  • Financial Markets
    The Global Finance Regime
    This page is part of the Global Governance Monitor. Scope of the Challenge For twenty-five years, globalization produced unprecedented levels of both economic growth and economic risk. Financial markets became more open, which allowed firms and governments to invest more freely. But as global finance grew bigger, it also grew more complex. Faster-flowing capital became more volatile and economic risk harder to track. Domestic regulators struggled to keep up with evolving financial practices, many of which they did not fully understand. To make matters worse, most national governments refused to cede regulatory authority to a global institution, limiting the extent of international oversight over global markets. International cooperation was based on a patchwork of ad hoc arrangements with limited scope and coercive power. This resulted in an explosion of systemic banking crises, with more than 120 [PDF] taking place between 1970 and 2007. By the spring of 2008, policymakers who were disheartened by the severe impact of these crises began expressing anxiety about the lack of effective regulation of the global financial system, which former U.S. treasury secretary Lawrence Summers said had generated "over one major crisis every three years." The subsequent 2008 financial crisis shook the entire system, plunging the world's developed markets into a recession. Since then, stimulus packages and bailouts have staved off a 1930s-like depression, but the ongoing crisis illustrates the need for a more comprehensive global finance regulatory regime. In 2010, the Group of Twenty (G20) and the International Monetary Fund (IMF) agreed on initial steps toward international regulatory reforms and liquidity support but the G20 has yet to live up to expectations. Fundamentally, two underlying weaknesses in the international financial regime remain. First, there are too many institutions and mechanisms—often with overlapping mandates but limited power. Second, despite this machinery of cooperation, building critical agreement often proves impossible. When states perceive a conflict with their immediate national interest, they repeatedly disagree on fundamental issues, hindering the prospects for cooperative regulation to truly reform the international system. Further crises loom large on the horizon. Strengths and Weaknesses Overall assessment: Improving, but with hiccups After the global financial system collapsed in 2008, policymakers around the world scrambled to respond. The Group of Twenty (G20) designated itself the world's premier forum for economic cooperation, but has struggled to implement necessary reforms. The International Monetary Fund (IMF) was also retooled to better reflect shifts in the global economy. Similarly, regulators from twenty-seven countries forged new rules, known as Basel III, in an effort to prevent similar crises in the future. But despite these efforts, mitigating financial risk and coordinating global economic policy remains a challenge. In 1944, world leaders gathered in Bretton Woods, New Hampshire, to craft a global financial regime based on fixed exchange rates. They hoped the regime would provide the financial stability needed to recover from the Great Depression and World War II. But by the 1970s, the postwar setup had become untenable. A key aspect of international economics is that countries cannot simultaneously have market autonomy, free capital movement, and fixed exchange rates. Once countries running a surplus refused to allow their currencies to appreciate, the United States decided it would rather unhinge the dollar from the gold standard than sacrifice its macroeconomic autonomy, ushering in a new era of floating exchange rates. This new regime produced tangible benefits, allowing major economies to combine national policy autonomy with open capital markets. (Emerging economies that valued stability could still peg their currencies to a major currency, though doing so often required large foreign-exchange reserves). Meanwhile, floating exchange rates stimulated the development of capital markets, opening new opportunities for countries—rich and poor alike—to run large deficits. In the 1970s, major international banks financed deficits in less-developed countries by recycling petrodollars. In the 1980s, surpluses in Germany and Japan financed the U.S. trade deficit—which rose to the then-high level of 3 percent of U.S. gross domestic product (GDP). During the last few decades of unprecedented economic growth and globalization, crises periodically interrupted the expansion of global finance, forcing the international community to develop mechanisms that could prevent or mitigate them. The IMF, and more recently the G20, provided a forum for world economic leaders to address these crises. Nevertheless, achieving consensus on effective collective responses has proven an enormous challenge. For its part, the IMF supplied emergency financing to troubled economies with a primary focus on developing countries, acting as a lender of last resort. In addition to financial assistance, the fund often worked to promote structural adjustment policies designed to reduce the state's economic role and expand free markets. However, with the 2008 global economic recession and subsequent eurozone crisis, the IMF assumed a newly active role in developed economies. However, even as the IMF became a central figure in crisis response, countries also resisted shifting too much power—especially regulatory power—to the fund and similar global institutions. Regulation remained national, though occasionally states coordinated their national regulations to avoid a race to the bottom. One such initiative was a new set of regulations proposed by the Basel Committee on Banking Supervision in September 2010. Known as Basel III, these regulations were created to stabilize national financial systems through strict liquidity controls and capital adequacy requirements. However, these regulations have been postponed twice thus far and are unlikely to be implemented before 2019, at the earliest. Aside from its inability to prevent financial crises, the global financial regime has also been slow to adjust to tectonic shifts in the international distribution of economic power, particularly with regard to the rise of China, India, and other emerging-market economies. In the wake of the 2008 crisis, the G20 emerged as the most promising forum for policy coordination between developed and developing states. Its membership included stalwarts of the Bretton Woods system alongside burgeoning economic heavyweights like China and India. While the G20 produced an initially strong response to the crisis, it has struggled to bolster its initial success with strong implementation and further agreements. Policy disagreements emerged between developed and developing countries, as well as among major developing economies, which have distinctive interests and outlooks. In particular, the United States Federal Reserve's policy of quantitative easing and questions regarding China's currency manipulation represent continued threats to international financial cooperation. The continuing eurozone crisis, and in particular the financial and political turmoil in Greece, Spain, Italy, and Cyprus overshadow efforts to solve the debt crisis. Japan's recent devaluation of the yen also led to fears of a currency wars between G20 countries. Instrumentally, there has been a long struggle to strengthen agreed-upon frameworks for financial regulations with a continually fragmenting international architecture of national and regional policies including a financial transaction tax in Europe, Dodd-Frank Act the United States, and Basel III requirements all being implemented to varying degrees. The World Bank and IMF have also attempted to enhance the role of developing nations in policymaking processes. Both institutions have endorsed voice and quota reforms aimed at increasing the voting power and influence of developing economies, though implementation remains limited. Indeed, recent efforts to reform shares in the international financial institutions have progressed slowly. Even if the changes had occurred, the voting share of traditional advanced economies would only decrease by 2.6 percent. With that said, the World Bank, which released an external review [PDF] in October 2009 with proposals for governance reforms, successfully increased voting shares for developing and transition countries across its various groups: The International Bank for Reconstruction and Development (IBRD) increased voting shares by just over 3 percent, while the International Finance Corporation (IFC) and the International Development Association (IDA) raised voting shares for developing states by approximately 6 percent. In sum, although the reform in favor of developing countries enjoys broad international support, proportional representation remains a distant goal. More often than not, however, advanced economies have not agreed on the right response to crises. Some believe that international institutions need more firepower to help tame global markets. Others worry provisions for crisis insurance would reduce incentives for investors and countries to avoid crises themselves. Some emerging economies, for their part, often trust in national self-help, building up large reserves, and in some cases limiting capital flows, rather than relying on global institutions. Coordinating macroeconomic policies and exchange rates: A weak system since 1973 One major shortcoming of the global financial architecture is the lack of a robust mechanism to allow the world's economies to coordinate their macroeconomic policies. This gap has become acute in recent years and encouraged massive structural imbalances leading some to question the future of the U.S. dollar as the primary global reserve currency. While the global financial crisis encouraged provisional efforts to rationalize currency exchanges, these have not been institutionalized. During the Bretton Woods system, the dollar's value was linked to gold and other currencies were pegged to the dollar—providing an international framework for monetary policy. But when Bretton Woods collapsed in 1971, no mechanism of multilateral coordination emerged to replace it. By 1973, the unprecedented buildup of foreign-exchange reserves by emerging-market economies led some countries to declare the emergence of a new Bretton Woods system marked by unilateral pegs to the dollar. The currency gap has become particularly acute in recent years, promoting massive structural imbalances between surplus and deficit countries. As a result, the United States, as an importer, consistently runs up current account deficits of $500 billion to $1 trillion while Asian commodity exporters rack up large surpluses. The current account surplus of China alone rose from $20.5 billion in 2000 to more than $190 billion in 2012. The most recent financial crisis fostered unprecedented levels of macroeconomic cooperation among the world's major economies. In the immediate aftermath of the crisis, many countries passed fiscal stimulus packages to foster economic growth. Subsequently, the Group of Twenty (G20) demonstrated its potential as an international focal point for macroeconomic coordination by embracing the Framework for Strong, Sustainable, and Balanced Growth [PDF] at its September 2009 summit in Pittsburgh. In adopting the framework, G20 members agreed to undertake close macroeconomic coordination, including of their macroeconomic and fiscal policies; harmonize the national stimulus plans and "exit" strategies; and correct longstanding imbalances between surplus and deficit countries, which had contributed to the crisis. To encourage progress on the framework—and permit G20 members to evaluate one another's progress in achieving their espoused goals—the G20 established the Mutual Assessment Process (MAP), in close coordination with the IMF. Thus far, the first three phases of MAP have been successfully completed. Before the June 2010 G20 Summit in Toronto, the IMF aggregated G20 nations economic policies, analyzed barriers to growth, and drafted "alternative policy scenarios" that would lead to further growth. In response, G20 nations launched a second stage of MAP to draft recommendations for international policy coordination, which were agreed upon during phase three in February 2011. The final stage, which began in April 2011, assessed member nations' progress and guided the action plan at the November 2011 Cannes G20 Summit. The resulting Action Plan for Growth and Jobs highlighted international consensus toward the importance of tackling international unemployment. Specifically, the plan includes the creation of a G20 task force on employment with a focus on youth employment. Presently, however, "available data [PDF] for seventeen countries suggest the overall youth employment situation remains critical." Beyond the G20, other international organizations like the Group of Eight (G8), the United Nations, and regional development banks provide venues for economic policy coordination. Still other institutions including the Organization for Economic Cooperation and Development (OECD), and the Bank for International Settlements (BIS) further cooperative action by providing governments with consultative forums, analytical support, and financial guidelines. Through dialogue in the aforementioned organizations, as well as through direct diplomacy, major economic powers have pursued monetary policy coordination. The United States Federal Reserve, Bank of England, European Central Bank, and People's Bank of China implemented a round of coordinated interest rate cuts in late 2008, though analysts doubt whether their success will tame investor jitters. In late 2008, the Federal Reserve also gave European banks unprecedented access to U.S. dollars to hedge against consumer withdrawals. Yet monetary policy is not only a cooperative tool—it also serves competitive purposes. Facing difficult economic conditions at home, states have used monetary policy to pursue national prerogatives. Issues of currency valuation have long caused tension between the United States and China, resulting in entrenched nationalist positions and lost opportunities for further macroeconomic alignment. The controversy has also caused bitterness among emerging economies like China and Brazil. Recently, the Japanese devaluation of the yen and French worries concerning the overvalued euro raised fears of competitive devaluations. In the G20 and elsewhere, these conflicting interests have become an impediment to meaningful action on financial reforms and overshadowed a recent meeting of bank governors finance ministers in Moscow. Discord arises not only from the repercussions of international competition, but also from fundamental disagreement on how to rebalance the system. The United States believes that policy changes in major creditor countries, such as the appreciation of the Chinese yuan, can address the world's imbalances without structural change. Competitors like China, however, advocate broader changes for the international financial architecture, including a shift away from dollar reserves. Monitoring and regulating financial standards and financial activity: Insufficient consensus to prevent further global crises Another major weakness of the global financial system is the lack of a coherent set of rules for monitoring, regulating, and standardizing financial activities, particularly at the cross-border activities of systematically significant actors. The current system entails an uneven patchwork of oversight efforts and entities, sometimes with overlapping mandates and jurisdictions. As a first step toward tackling this problem, the Basel Committee announced and a new set of Basel reforms for the banking sector. Known as Basel III[PDF], they aim to create a more coherent regulatory framework by increasing transparency in the financial markets, preventing diversion of resources, and tracking potentially excessive risks—with the intension of spotting rotten players (or practices) and quarantining them before they infect the entire system. Prior to any regime being installed, participants must agree that they want to limit excessive risk-taking in the first place—a difficult precondition to set. One school of thought holds that regulations give investors false comfort and thus leads them to pay too little attention to the risks of lending to a regulated institution. Others argue that regulation introduces distortions that lead to bad investment decisions. Financial policymakers first realized the need for more transparency and accountability in the mid-1970s. The first international banking crisis of the postwar era prompted the creation of the Basel Committee on Banking Supervision, which was charged with coordinating national banking supervisory policy. In the 1980s, the debt crisis revealed that many large international banks did not have the capital to absorb an outright default on their loans, leading to almost a decade of rescheduling—or revising repayment timeframes—to give the banks time to build up their capital. In an effort to avoid these crises, the Basel Committee adopted common standards for evaluating risk-weighted capital. After the Asian financial crisis, similar attention shifted to improving the quality of bank supervision in emerging economies. In 1997, the Basel Committee released its Core Principles for Effective Banking Supervision [PDF] and the IMF, in conjunction with the World Bank, began to systematically assess supervision in its macroeconomic health checks through the Financial Sector Assessment Program. The Basel Committee announced its newest round of banking regulations, Basel III, in September 2010 as a response to the economic crisis. A month later, at the 2010 Seoul Summit, the G20 endorsed the new rules, emphasizing their function in stabilizing market fluctuations and lowering the financial risk and fallout emanating from the failure of large banks. The rules require banks to hold higher levels of tier-one capital and establish countercyclical buffers to offset potential fluctuation. Unfortunately, banking regulation moves slowly and are subject to repeated delays with Basel III now not going into effect until 2019 [PDF]—allowing known systemic risks to exist unregulated. While important to the global regulatory regime, the sclerotic pace of and delays to implementation make the Basel III regulations an unwieldy tool for much-needed reform. Several similar arrangements emerged in the securities, insurance, corporate governance, accounting, and auditing sectors. Additionally, the Joint Forum of Financial Conglomerates and the Financial Stability Board (FSB) promote overall coordination and cooperation by regularly bringing together overseers of the global financial system. At the November 2011 Cannes Summit, the G20 strengthened the purview of the FSB, giving it legal standing and buttressing its financial institutions. The OECD and the World Bank have also pitched in, leading international discussions on corporate governance standards, insolvency, and bankruptcy. Nonetheless, obvious flaws remain in the global regulatory structure. Regulation remains overwhelmingly national or regional with weak, external verification and assessment mechanisms. No organization has the power to enforce compliance with agreed standards—or to sanction countries that fail to live up to global standards. Even recent systemic regulatory measures like the Basel III banking reforms are subject to national implementation, the extent of which will determine the speed and strength of its entry into force on the international level. For example, Russia is only now, in 2013, approaching achievement of the Basel II regulations. The acceptance of global standards will remain subordinate to the perceived competitive edge of national financial sectors. Additionally, important new financial players have fallen through the cracks. Central banks, finance ministries, and bank regulators, were surprised to discover the extent to which new actors in the shadow financial sector—which consists of unregulated special-investment vehicles and broker-dealers—had taken on the risks associated with subprime mortgages. There are increasing efforts to place these actors under new regulatory mechanisms—including EU restrictions on short selling, credit default swaps, and new taxes on financial transactions, as well as laws mandating greater transparency for hedge fund transactions and controls on executive compensation. Managing financial crises: Progressing, but overarching concerns remain Under the current global financial regime, the world has found itself vulnerable to severe financial crises but unable to manage them successfully. The International Monetary Fund(IMF) is ostensibly the premier fire-fighter in these circumstances and is charged with mitigating economic tensions in the aftermath of financial crisis. Even so, individual states have created their own dizzying array of bilateral and multilateral arrangements to help cushion against financial crises, as the eurozone crisis aptly demonstrates. Excessive volatility in financial flows has become a hallmark of the global economy. In some cases, countries suddenly lose access to market financing and find that they can no longer finance substantial deficits. Likewise, short-term financing for financial institutions can dry up equally fast—be they special-investment vehicles that have to roll over short-term asset-backed commercial paper, U.S. broker-dealers that rely on the repo market to obtain financing from money market funds, or European banks that rely on the wholesale market. At the start of the global economic crisis, the reliance of Iceland's banks on short-term borrowing in foreign currencies sent the country's entire economy into a tailspin once instability in European markets began. Meanwhile, financial contagion affects weak and strong investments alike. Losses in one portion of a portfolio may prompt a leveraged institution to sell other assets, pushing the price of healthy assets down. Once investors begin confusing sound investments with unsound ones, financial institutions can lose confidence in one another and the system upon which their short-term borrowing costs rely. To reduce this uncertainty, the IMF is the principle institution for managing financial crises. The IMF took on some of the functions of lender of last resort when currency crises swept the developing world in the 1990s. It created two emergency credit facilities, the Supplemental Reserve Facility of 1997, and the Contingent Credit Lines of 1999 to facilitate faster financing for governments and markets judged to already have relatively sound policies. When developed nations required assistance during the most recent financial crisis, the IMF was able to draw upon these facilities and past experience. Following the model from the the developing world's currency crises in the 1990s, the IMF created the Short-Term Liquidity Facility of 2008 to more rapidly inject capital into relatively stable financial systems. Again, in 2010, the IMF and the European Central Bank approved a package of $930 billion to provide stability to eurozone countries. In December 2011, the eurozone again sought IMF assistance to craft a new massive bailout fund of $260 billion, but when Britain refused to contribute, the combined IMF-EU bailout fund only set aside $200 billion. With that said, the IMF issues its loans with a variety of conditions, which often impose fiscal austerity on crisis-battered societies. While many in the developing world have long regarded the IMF as a tool for developed nations to control developing nations, the fund's eurozone bailouts have generated resentment in Europe, too. In fact, portions of European publics, in particular, demonize the IMF for its strict demands of austerity. Furthermore, IMF critics still question the discretionary nature of its interventions as the institution lacks clear standards for determining how much financing countries should receive. Some economists even argue that the existence of the IMF prompts governments and investors to pursue reckless policies because they know they can receive IMF loans if their investments fall through. Unlike domestic lenders of last resort, the IMF's lending capacity is limited by donor contributions contingent upon internal voting processes and the feasibility of issuing new Special Drawing Rights (SDRs). As one expert notes, "Neither the IMF nor the Bank for International Settlements nor any other international organization has the authority to create and extinguish reserve money." Past concerns with the IMF prompted a slew of new bilateral, regional, and multilateral institutions—including the Brady Bonds, the Chiang Mai Initiative, and the European Central Bank—all aiming to supply a troubled country with the foreign exchange currency it needs in a crisis. In the European case, a multinational currency—the euro—and its accompanying policy infrastructure enabled the EU to oversee regional crisis management with aid from the IMF. Thus far, the IMF has provided traditional conditional loans to Iceland (its first loan to a developed country since the 1970s), as well as to Hungary, Ukraine, Pakistan, Latvia, Romania, Ireland and Portugal. To quell fears that the post-2008 wave of lending would exhaust the IMF's resources, the G20 and a few emerging market economies agreed to expand the New Arrangements to Borrow, providing the IMF with up to $500 billion in supplementary financing in March 2011. The IMF's members also authorized a Special Drawing Rights allocation, which expanded the IMF's global pool of reserves by giving each member additional reserves in proportion to their contribution to the IMF. However, the IMF's spending on eurozone bailouts and countries' failure to match rhetorical commitments with cash, has caused the IMF to fall short of that target. At the 2012 spring meetings of the World Bank and International Monetary Fund (IMF), the world's finance ministers agreed to increase the IMF's lending power by $430 billion, but doubts remain whether it will be enough to contain the crisis. Supporting Development: Some progress, but still starving for aid and investment A final shortcoming of the current global architecture is the disproportionate effect financial crises have on development assistance to developing countries. Poor countries are vulnerable to negative spillover effects that culminate in rampant poverty, mass unemployment, and food shortages. Over the years, multilateral development agencies and the International Monetary Fund (IMF) have refashioned their policies to support financial sector stability and growth, and to encourage financial activity through incentive programs. However, the demand for aid in developing countries remains tangible. Multilateral efforts to address the needs of the developing world extend back to 1945, when the architects of the Bretton Woods system created the World Bank to support postwar reconstruction. Many capital controls were dismantled, and private capital markets emerged as an alternative source of long-term financing. But countries with rudimentary financial and banking infrastructure or unstable governments still struggled to attract private investment on any but the most onerous terms. Meanwhile, concerns that development failure might spillover into neighboring economies created a demand for multilateral development support. Subsequently, the World Bank increasingly focused on helping the world's poorest economies, and in 1960, it set up its International Development Association, or so-called soft loan window to finance developing countries. Today, the World Bank continues to make loans to middle-income countries with access to private markets. These loans are priced commercially so they provide the World Bank with a profit, part of which is used to subsidize concessional assistance to poorer countries. In addition to being a financial intermediary, the World Bank has become a center of knowledge: it disseminates lessons learned from its experience of maintaining programs in dozens of countries from a variety of programs including its Poverty Reduction Strategy Papers. Regional development banks have also undertaken similar objectives. States, too, offer bilateral official development assistance (ODA) from donor countries and have helped support development goals in poor countries. However, too often bilateral ODA suffers [PDF] from a lack of harmonization and host country-ownership. Despite boosting funding levels in recent years, the increased number of actors involved—from donor states to nongovernmental organizations and philanthropic foundations—has increasingly fragmented the sources of financing for development projects. Additionally, weak capacity and corruption in recipient states often lead to ineffective implementation and squandered resources. These challenges make it difficult to account for success on the ground. In recent years, the developing world gained another source of financing: government-backed firms from Europe, the Middle East and Asia. Such investment, together with renewed private investment in mines and oil fields driven by high commodity prices, pushed investments and loans to Africa from $9 billion in 2000 to $62 billion in 2008. These investors offered governments an opportunity to sidestep the transparency requirements, performance monitoring, and governance rules attached to loans from development banks or Western ministries. The G20 also formally introduced development as a key issue to its agenda in November 2011 (which the Group of Eight had previously included on its agenda). The final communiqué agreed not to tax or restrict food destined for the United Nations World Food Program, established a task force to address youth unemployment, and enumerated steps to increase global agricultural output. However, in 2009, development assistance from industrialized countries dropped for the first time since 1997. In sum, development efforts fall short of fulfilling commitments outlined at the 2005 World Summit. Domestic financial policies in low- and middle-income countries need to become more countercyclical and targeted [PDF] to address systemic vulnerabilities in their national financial markets. As noted above, development banks, the IMF, and new financial institutions will inevitably play a critical role to keep these economies from contracting as the global financial crisis runs its course. Financial Policy Issues Introduction: The United States has been a champion of free markets, the architect of the Bretton Woods system, and home to one of the world's leading financial capitals. Despite evolving from the world's leading lender to the world's largest borrower, the United States has been the major promoter of a liberalized global financial system. Many therefore saw the United States as the major culprit of the 2008 financial crisis (though others blamed the crisis on global sources). Does global finance need sweeping regulation? Yes: Crises arise, in part, due to a lack of regulatory oversight in markets. To prevent their occurrence, the world needs to devise and implement a set of monitoring and enforcement guidelines. After the financial crisis hit in 2008, the Financial Stability Forum—now the Financial Stability Board (FSB)—produced a blueprint [PDF] for global reform. In June 2010, leaders from the Group of Twenty (G20) pledged to pursue a "better regulated" financial system based on four pillars: (1) a strong regulatory framework; (2) effective supervision; (3) addressing the systemic problems involving important ally institutions; and (4) transparent international assessment and peer review. The FSB is monitoring implementation of G20 recommendations for increasing financial stability and assesses [PDF] that efforts are progressing. In September 2010, financial authorities from twenty-seven countries also forged new rules known as Basel III to require larger holdings of low-risk capital reserves, thereby reducing systemic risk. However, individual nations are responsible for implementation, and spotty compliance points to the inadequacy of currency regulations. At the June 2012 Los Cabos G20 Summit, little progress was made to boost compliance with Basel III regulations. In December 2012, it became clear that compliance with the agreed-to Basel III would be further delayed in the United States and Europe amid fears that its implementation might hinder growth. No: Few question the need for reform, but some caution against going too far. Excessive restrictions and government interference might slow economic recovery by suffocating creative market dynamism. If the government's hand reaches too deep, politicians and policymakers may be tempted to use regulations to pursue their own agendas, creating dangerous distortions in resource allocation. In sum, these critics argue that the painful recession should not make us forget the remarkable results of the past twenty-five years. Stifling financial innovation would be even more costly than the financial crisis. Others argue that instead of regulating institutions that are "too-big-to-fail," the system needs to be made safe for failure—allowing markets rather than regulators to discipline financial institutions. Still others worry that reforms may concentrate too much power in the hands of a few regulators, such as the Federal Reserve, without eliminating the risk of regulatory capture. Moreover, adding new mandates to existing institutions could draw energy and attention away from traditional duties. These voices consequently favor limiting the Federal Reserve's regulatory responsibilities. Should regulation come through a new global architecture? Yes: Despite calls from some analysts who argued as early as 1984 that global financial markets could not sustain itself in the long term, proponents have only now begun to rally support for a global financial governance regime. European leaders have been particularly vocal, with former European Central Bank president Jean-Claude Trichet urging increased vigilance and a three-pronged approach based on "macroeconomic discipline, monetary discipline, [and] market discipline." The deep impact of the 2008 financial crisis has persuaded some economists and policymakers to favor a comprehensive financial architecture that looks not only at banks and coordinating macroeconomic policies, but also at the shadow financial market, including enhanced regulation and transparency of investment banks and derivatives. Other analysts have added to the plea by pointing out that the current financial system is too big to be rescued by one national government, and needs a more robust governance body to offer viable rescue packages. No: Critics of a new Bretton Woods approach believe that the ills of global finance can in large part be cured at home. National policies, they argue, will do more to address the key problem of excessive bank leverage than new global rules. "It's worth remembering that after the last global crisis in 1997-98, there was lots of grand talk about a new international financial architecture," Sebastian Mallaby writes, but in the end, "the only important reforms were national ones." Looking at the aftermath of the Asian financial crisis, the Economist argues that huge foreign reserves, flexible exchange rates, and stronger banking systems proved more powerful than international initiatives in spurring economic recovery. Others, such as former U.S. treasury secretary Henry Paulson, believe that new, intrusive international rules will not only be useless, but also damaging, because they will inevitably rely on a one-size-fits-all approach. Moreover, a final group argues that, regardless of whether a theoretical global system would work, it will never see the light of day because countries will simply refuse to turn over real power to international regulators. Should there be more support for global rebalancing? Yes: Many analysts agree that a root cause of the latest financial crisis has been the global imbalances that have been accruing since the 1990s. As current account discrepancies between exporting and importing countries grow larger, the need for rebalancing solutions becomes more imperative. Supporters of global rebalancing efforts feel that larger structural changes need to occur to correct these imbalances. Surplus countries, particularly China and Germany, need to save less and stimulate domestic demand and the United States must save more and increase the role of exports in its economy.The trend of global trade balance corrections since 2008 relied on unsustainable large fiscal stimuli and has already reversed. No: Critics contend that a global correction is already under way and that the market naturally tends toward equilibrium. The 2008 financial crisis has driven global demand lower, contributing to a decline in the U.S. trade deficit, a higher savings rate among U.S. households, and a correction in the U.S. exchange rate. Moreover, if countries were to pursue coordinated policies to tackle global imbalances, the question of who would be tasked with spearheading these efforts remains unanswered. The Group of Twenty (G20) has not adequately addressed concerns, and the recent summit in Los Cabos, Mexico represents a continued failure in these efforts. Some also believe that the informal institution may also be too big to prescribe consensus-based global rebalancing policies. Recent Developments January 2014: Higher IMF growth forecast The IMF revised its 2014 global growth forecast upward in January by 0.1 percent to 3.7 percent. In a shift from recent years, stronger performances by advanced economies, rather than emerging markets, are fueling global growth. The modest growth rates predicted for much of the developing world may slow even further in response to improvements in the U.S. economy as tighter U.S. monetary policy could redirect capital flows toward the U.S. market. January 2014: Doha Round ends The moribund Doha Round trade round was finally brought to a close in Bali, Indonesia. The Bali deal focuses on "trade facilitation", addressing inefficiencies in customs procedures. The agreement, however, fails to settle many other long-standing points of contention among WTO member states, nor is it likely to shift the international trade landscape decisively in favour of multilateral agreements, away from increasing popular bilateral and plurilateral agreements. September 2013: G20 Summit The eighth G20 Summit was held in St. Petersburg, Russia, from September 5-6. Unfortunately, tensions over the international response to the conflict in Syria overshadowed meaningful progress on the economic agenda. The outcome document from the Summit did not outline concrete steps on more critical issues like remaining regulatory challenges, but did include an extended commitment to refrain from protectionist measures and points of agreement on addressing the challenge of tax havens. May 2013: Dow Jones at record high On May 7, the Dow Jones Industrial Average closed above 15,000 points for the first time. Quantitative easing from central banks, low interest rates, and recent positive figures related to unemployment and productivity has each contributed to this record high. It remains unclear whether this trend will continue or whether it characterizes the end of the global financial crisis. It does, however, represent a significant expansion of the index from 13,000 points immediately before the crisis began and a doubling of the index from its lowest point under 7,000 points in early 2009. April 2013: World Bank targets extreme poverty Global finance officials endorsed a World Bank target to end extreme poverty by 2030 at the Spring Meetings of the World Bank and International Monetary Fund. The goal is to have only 3 percent of the world's populations classified as being in "extreme" poverty (with average consumption below $1.25 per day) and creates poverty reduction strategies to serve the bottom 40 percent of the population of each country in the developing world. This goal was created against the backdrop of new statistics that suggest extreme poverty has been reduced to 21 percent in 2010 compared to 43 percent in 1990 and the recent discussions reflected concerns that climate change and environmental protection were essential to achieving its goal of reaching 3 percent by 2030. This effort will likely coincide with the United Nations' effort to create a post-2015 development framework to replace the Millennium Development Goals. March 2013: U.S. sequestration U.S. lawmakers failed to make a deal to prevent significant budget cuts to U.S. government discretionary spending. These cuts to defense programs, research, and education programs took place despite warnings that they would affect both domestic and international markets and slow growth in gross domestic product by half a percentage point. These cuts remain ongoing with their full force not expected to take hold until later in the year. February 2013: Currency wars A devaluation of the Japanese yen triggered fears of a currency war among developed and developing states in early February. Japan's new fiscal and monetary policies apparently targeted a lower exchange rate to reinvigorate a stagnant economy. This development coincided with a rapidly strengthening euro that put a six-month long recovery in jeopardy. The prospect of a currency war between members of the G20 led to fears of increased protectionism that would unravel the international financial architecture built in the aftermath of the financial crisis. These fears overshadowed February's G20 Finance Ministers and Central Bank Governors Meeting. At this meeting, however, the group made clear that they would not devalue their currency in search of improving their respective balances of trade. Options for Strengthening the Regime Introduction he 2007-2009 economic crisis, followed by the sovereign debt traumas in Europe, has triggered a variety of operational and normative challenges in both finance and economics. The United States and other major economies are being pressured to find effective strategies that remedy financial instability, through both measures at home and international cooperation. Strengthening multilateral mechanisms remains the foundation for responding to financial crises, but importance must also be placed on coordination of domestic policies, particularly among the top twenty industrialized nations. These recommendations reflect the views of Stewart M. Patrick, director of the International Institutions and Global Governance program. In the near term, the United States and its partners should pursue the following initiatives to ensure the global recovery is a success: Revitalize Group of Twenty (G20) action on global economic imbalances During the April 14-15, 2011, Group of Twenty (G20) meeting of finance ministers and bank governors in Washington, DC, the group agreed on a two step process to reduce persistently large imbalances between countries with current-account surpluses (notably China) and those with deficits (notably the United States). The plan also charged the International Monetary Fund with identifying factors that drive countries to accumulate massive surpluses or deficits. However, building unanimous consensus on the outcome of these independent assessments is notoriously difficult. The risk is that national politicians will despair of a multilateral solution and will resort to unilateral sanctions, as suggested by a bill in the U.S. Congress that would punish China for alleged currency manipulation. Because unilateral measures could result in retaliation and escalation, the United States and its partners must display leadership by affirmatively supporting the G20 process. Both China and the United States recognize that it is in their own interest to address imbalances, so an international understanding about benchmarks of progress should not be impossible. Unfortunately, G20 leaders made only limited progress on these issues due to heightened tension over the eurozone and their own economic concerns. Bolster IMF in fighting liquidity crises The United States should support France's proposal [PDF] to bolster the IMF's role in helping countries respond to liquidity crises. Stronger IMF responses to liquidity crises would decrease the motivation for vulnerable countries to stockpile excessive reserves as a precaution in case of a sudden capital outflow. An increasing number of emerging economies are practicing precautionary reserve accumulation—which contributes to macroeconomic imbalances and mispricing of financial risks. As the U.S. dollar is the currency of stockpiled reserves, widespread reserve accumulation drives up the value of the dollar, widening the U.S. current-account deficit. A larger IMF, and one that stood ready to lend rapidly and without excessive conditions, would reduce the incentive to unilaterally accumulate cash reserves. In effect, collective insurance would displace individual insurance. Implement IMF governance reform Leaders at the 2010 G20 Seoul summit agreed to increase the voting shares of emerging economies at the International Monetary Fund (IMF) by 6 percent, and give more seats to developing countries on the IMF Executive Board. However, these reforms missed the deadline for actual implementation, which was slated for October 2012. An additional challenge continues to be negotiations within Europe to decide which European nations will give up seats on the executive board to allow for emerging economies. The United States needs to continue to pressure its partners in the G20—especially those European countries hesitant to acquiesce—toward implementing these and future reforms. A timely increase in the voting shares of emerging economies will reinforce the sense of ownership that these countries feel toward the IMF. That, in turn, should encourage them to have faith in the IMF's ability to provide liquidity in a crisis, and should dampen the temptation to unilateral reserve accumulation. Provide assistance to support the European recovery Despite positive developments toward the end of 2012 alongside the eurozone's recently negotiated banking union, Europe's economy remains deeply troubled. Those countries that embarked upon fiscal austerity face low growth rates and grim forecasts. Further, any movement toward fiscal union has been postponed until the summer of 2013 while the European Union has been dealt the blow of a potential British withdrawal amid its fraught budget negotiations. With France's new Hollande government looking inwards (and asking for a loosening of the EU's foundational Stability and Growth Pact) and Germany's leadership no longer a driving force toward consensus due to upcoming elections, there is a tangible leadership vacuum. This was clear during the unfolding banking crisis in Cyprus that has huge ramifications for European investors but that has received a lackluster response from the EU and International Monetary Fund, who failed to craft a financial rescue package that would not affect depositors and launch damaging capital controls on Cypriot banks. While the worst may well have passed, the European economy remains an anchor in the international economy and remains in need of fiscal stimulus and a nudge toward pro-growth strategies. Improve regulatory standards to mitigate financial risks Experts and policymakers have placed much of the blame for the financial crisis on weak regulatory standards and inadequate supervision of sophisticated financial activities. Although progress has been made, particularly through the creation of the Financial Stability Oversight Council in the United States and the European Systemic Risk Board in Europe, the complexity and integrated nature of modern finance continues to pose unprecedented challenges. Responding to the crisis, the Financial Stability Board (FSB), formerly the Financial Stability Forum, has provided [PDF] a set of proposals to "restore confidence in the soundness of markets and institutions." Though the 2011 G20 Cannes Summit endowed the FSB with a "legal personality," its recommendations remain advisory, and have no legally binding enforcement mechanism. Beyond the aforementioned near-term steps, the United States should consider another set of important proposals:These recommendations reflect the views of Stewart M. Patrick, director of the International Institutions and Global Governance program. Implement Basel III regulations The recently released Basel III regulations require banks to hold higher levels of tier-one capital and develop countercyclical buffers to cushion against future financial turbulence. Implementation of the reforms requires national supervision and the willingness of individual financial institutions to adhere to the new standards. The established timeframe for banks to meet requirements, on some measures lasting until 2019, means that there will be plenty of opportunities for global progress on Basel III to slow or falter. The IMF has recently criticized the European Commission's efforts to implement Basel III regulations as "too weak" and "a disappointment." In addition, the approaches to national enforcement may be altered by local political and economic concerns, leading to an inconsistent application between countries over that period. To some extent, differences in implementation may be justified. But it is vital that legitimate differences in implementation of capital and regulatory standards do not open the way for a regulatory race to the bottom. Finance the developing world The economic recession that followed the global financial crisis had a serious effect on developing countries. Export demand collapsed, commodity prices fell, and the flow of both remittances and private capital shrank. The World Bank estimates that in the first year of the crisis alone, 130 to 155 million people fell into extreme poverty. The period 2009-2011 saw a sharp rebound for emerging economies, especially commodity exporters that took advantage of resurgent prices and red-hot demand in China. But the extremes of the recent cycle demonstrate the value of public-sector development banks that can lend in a countercyclical fashion. Thus, in addition to commitments to the IMF, the United States and its industrialized partners should continue its commitment to multilateral financing for development banks and encourage private sector investment flows.
  • Fossil Fuels
    Would Natural Gas Exports Make U.S. Prices More Volatile?
    Debate over whether the United States should export natural gas is heating up. One of the most common questions being asked is whether allowing exports would increase price volatility in the U.S. natural gas market. Since a post I wrote last spring is apparently being invoked by people who are worried about volatility, I thought I’d weigh in. My original post concluded this about exports and price volatility: “It is not obvious that allowing exports would increase volatility in the U.S. natural gas market.” So much for the claims that I’ve said anything firm one way of the other. But I’ve had some more time to think about the issue over the past several months. I tend to conclude that, for modest export capacity, volatility is unlikely to be a large problem. Here’s the thing: if I build some amount of export capacity and it is fully used at all times, there’s no way for international volatility to be transmitted into the U.S. market. Effective international demand for U.S. natural gas will be constant – it will be equal to U.S. export capacity. If demand for exports can’t change in response to international events, then domestic prices can’t either. It doesn’t matter whether international prices remain constant or triple or do something else – the amount of gas left for domestic consumption will be unchanged, and since the domestic demand curve won’t change either, domestic prices should stay the same. Volatility only becomes a problem when so much export capacity is built that it isn’t always fully used. In that case, international events can change effective demand for U.S. natural gas, and alter U.S. prices as a result. If policymakers consider new exposure to volatility intolerable – whether they should is a separate question – they should make sure to draw the line on export capacity well short of what international demand would otherwise merit. There is little reason to believe that this should lead them to block the various export permits that are currently under consideration. (There may, of course, be other reasons for them to go slow on natural gas exports.) Whether they should go substantially beyond what has been proposed is a separate question.