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For release on delivery
1:00 P. M. , E.S.T.
February 3, 1992

Statement by
David W. Mullins, Jr.
Vice Chairman, Board of Governors
of the Federal Reserve System
Before the
Subcommittee on Oversight
of the
Committee on Ways and Means
U.S. House of Representatives

February 3, 1992

Mr. Chairman, members of the Committee, thank you
for this opportunity to present the Federal Reserve Bo a r d ’s
views on reforms to the regulation of the government
securities market.

Since September, when I last testified

before this Committee,
Treasury Department,

staff of the Federal Reserve, the

and the Securities and Exchange

Commission (SEC) have conducted an exhaustive examination of
this market, the results of which were released two weeks
ago.

My prepared remarks will touch upon some of the main

conclusions of this report from the particular perspective
of the Board of Governors of the Federal Reserve System.
Our perspective differs somewhat from the other agencies
contributing to the report due to differences in legislative
mandates.

The Board of Governors has little direct

regulatory authority for the U.S. government securities
market.
While the Board has general oversight
responsibility for all Federal Reserve District Banks, it is
the District Banks that act as fiscal agents of the
Treasury, thus sharing with the Treasury operating
responsibility for the market.

It is the S E C ’s charge to

enforce the securities laws that seek to foster a high
degree of fairness in the marketplace.

With neither the

direct responsibilities of funding the government nor
substantial regulatory oversight, the Board of Governors can
view this market from a somewhat different vantage point--a
policy perspective that allows us to examine these issues in
an economy-wide context.
When we look to the government securities market,
we see a market that works as well as any on earth.
government debt is an ideal trading vehicle,

U.S.

since it is all

closely substitutable and has none of the default risk or
idiosyncratic problems of private issues.
market participants,

As a result,

in the aggregate, willingly commit

substantial amounts of risk capital and exchange a large

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volume o£ securities each day.

Positions are large yet

trading skills are so sharply refined that bid/ask spreads
are razor thin, a small fraction of the size of spreads in
major equity markets.
This market generates widespread macroeconomic
benefits.

The government securities market efficiently

absorbs the large quantity of new issues required to finance
the deficit.

With real-time quotes on a range of

instruments, this market serves as the foundation for
private market rates and a haven for ready liquidity.
Further, this deep and liquid market gives the Federal
Reserve a powerful,

reliable mechanism to implement monetary

policy.
Nonetheless, the admission of wrongdoing by Salomon
Brothers,

episodes of price distortions, and other evidence

uncovered in our joint study all suggest that this market
has faults.

It can be improved.

The proposals contained in

the joint report, along with other reforms announced
earlier,

constitute a careful,

comprehensive modernization

of the mechanisms and practices in the government securities
market.

Implementing these proposals represents a

formidable, though feasible, task in our view.
Over the longer term, the most effective force in
enhancing market efficiency and reducing the potential for
manipulative abuses is the force of competition.

And the

effect of these proposals is to open up the government
securities market to broad-based participation.

Automating

Treasury auctions; facilitating direct bidding by customers,
including non-primary dealers; implementing a single-price,
open auction technique; and reducing the barriers to primary
dealer membership all will serve, in time, to broaden
participation in the primary market and in the secondary
market for newly issued securities.

More depth and breadth

in this end of the market should increase efficiency,
Treasury financing costs, and lessen the potential for

reduce

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manipulative trading abuses.

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In addition, the competitive

force of broader participation will be reinforced by
proposals targeted at manipulative abuse: tighter
enforcement of auction rules and enhanced market
surveillance by the Federal Reserve Bank of New York to
identify potential manipulative episodes that could trigger
SEC investigation and Treasury supply management to reopen
offerings.
Taken together, these actions should serve to deter
manipulative practices and quickly detect abuses should they
occur.

Moreover, they are relatively low-cost, market-based

responses that should achieve these benefits without
impairing the efficiency and liquidity of this vital market.
There are, of course, many other alternatives which
could be considered to combat the potential for abuses in
this market.

However, the government securities market is

too important a national resource and works too well to be
put at risk by regulatory change for the sake of change.
From the Board of Governors’ perspective, a compelling case
must be established that the benefits outweigh the costs.
In our view, such a compelling cost-benefit
analysis has not been made with respect to proposals to
establish a broad-based apparatus of reporting requirements
or audit trails in this market.

While increased reporting

would deter manipulation and facilitate the investigation of
abuses, such systems would impose substantial potential
costs on this market.

The reporting burden would fall on

all traders--the good and the bad--boosting the cost of
every trade.

While the direct costs of additional record

keeping might be kept manageable,
larger.

an indirect cost looms

Rather than risk the divulging of their finances

and trading strategies, participants might withdraw from
this market, thereby raising the cost of Treasury finance.
And, of course, the stakes are high.

A tiny increase in

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Treasury rates aggregates into a very substantial increase
in cost to U.S. taxpayers.
Because it might be difficult to resist
implementing, even backup authority risks sending a chilling
message about the U.S. market to all participants choosing a
trading arena in the global marketplace.

Moreover, in view

of the extensive nature of the other changes proposed in
this report, one might question the capacity of this market
to absorb, at an acceptable cost, this additional change-the imposition of broad-based reporting requirements for
this market.

The agencies agree that large position

reporting requirements should not be implemented at this
time.

Rather than risk slipping into this fundamental

change through backup authority, the Board of Governors
feels it would be a wiser course of action to return to
Congress in the future should such authority appear
necessary.
The interagency report provides an alternative to
burdensome regulation--a low-cost, market-based solution to
the problem that targets manipulative behavior without
impairing the liquidity of this important market.

There are

three basic elements to this overall strategy, involving
improved auction mechanisms,

enhanced market surveillance,

and active supply management.
While many aspects of Salomon Brother’s admission
of wrongdoing and the results of the subsequent
investigation cause concern,

one is particularly unsettling:

because of the falsification of bids at auctions, the
Treasury was the direct counterparty in attempts to
manipulate the market.

Immediate steps were taken to reduce

the risk of a reoccurrence, including tightening up on
enforcement of auction rules and implementing measures to
encourage more direct bidding.

Looking forward, automation

of the auction process, already under way and expected to be

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completed by year end, should efficiently snare any
infraction of the rules.
More important still, automation will facilitate
consideration of alternative auction techniques.
minimum,

At a

switching to single-price awards from the current

multiple-price format should foster greater participation
and likely reduce gaming behavior at the auction.
can be done.

But more

Linking bidders directly by a computer network

and conducting the auction in real time will expose any
would-be manipulator to public scrutiny in time to give the
competition the opportunity to react.

With the element of

surprise gone, the potential return to manipulation should
disappear.

Thus, the auction of the near future may well be

played in the open, on a level field, with sharply defined
and easily policed foul lines.
The report also finds that the benefits of enhanced
monitoring extend to when-issued and secondary-market
trading.

Manipulative behavior leaves its footprints in

market quotes, as a shortage of an issue will be evidenced
by a yield below that of similar securities and by depressed
financing rates.

The agencies agreed that the Federal

Reserve Bank of New York, with its substantial experience as
the operating arm of the Federal Open Market Committee and
(along with the other Reserve Banks) as one of the fiscal
agents of the Treasury,

should have primary responsibility

for market surveillance; the Bank, in turn, will provide
information to the the Treasury, the SEC, and the Board of
Governors.

It is the Board of Governors’ view that rigorous

monitoring of the behavior of market rates will expose
manipulative behavior without the need to gather the
positions of large traders routinely.
Indeed, automation and enhanced market monitoring
also presents the opportunity to correct a longstanding
market misimpression.

Although the Federal Reserve Bank of

New York has no statutory authority to regulate the primary

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dealers, many people view the primary dealer system as
evidence of some measure of oversight by the Federal Reserve
Bank of New York of those firms.

Ongoing automation and

enhanced monitoring capabilities will let the Bank move to a
more open set of trading relationships, thus disabusing
market participants of the notion that the primary dealers
have a special status.

To further that end, the Bank will

eliminate its dealer surveillance unit,

showing

unambiguously that responsibility rests with the primary
regulator.

The Bank also will lower the impediments to

primary dealer membership, thereby encouraging a broadening
of membership in the primary dealer system.
The careful monitoring of the market will be made
more credible by action:

persistent and large-scale price

anomalies consistent with a manipulative squeeze will call
forth two sets of policy responses.

First, if other

evidence, including discussions with market participants,
suggests manipulation, then the SEC will begin an
investigation to determine if any security laws have been
broken.

Second, and more immediately, the Treasury will act

in the market to narrow those price anomalies, thereby
limiting the extent of the market disruption in general and
reducing the potential gain if manipulative behavior was the
root cause.

The Treasury’s actions will be effected by

either holding a new auction of the sought-after security--a
reopening--or through the sale of those securities into the
market by the trading desk of the Federal Reserve Bank of
New York on behalf of the Treasury--a tap issuance.

The

resulting expansion of supply should slash the manipulator’s
potential gain, making it unlikely that any one would even
try to manipulate the market.

Circumstance and experience

over time will dictate when an increase in supply will be
required and which means of augmenting the issue will be
taken.

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It is the Board of Governors’ judgment that the
reforms that I have outlined--changes in auction mechanisms,
active and rigorous monitoring of market rates, and the
clear willingness to use relative supplies to punish
manipulative behavior --will work to prevent a replay of last
y e a r ’s events.

These are fundamental changes in market

mechanisms that promise to open up this market to broadbased participation while, at the same time, enhancing
regulatory surveillance and remedial capabilities.

These

responses are measured, targeted and commensurate to the
problem at hand, and, in our view, obviate the need to
punish many with reporting burdens because of the actions of
a few.

This strategy also offers flexibility to deal with

future problems as they arise.

It is perhaps ironic that

the most serious abuses in the history of this market--the
Salomon Brothers episode--have served as the catalyst for
changes that promise substantial long-term benefits.

Taken

together, these proposals and those already implemented
constitute a thorough, thoughtful, and feasible renovation
of the government securities market and will result in a
healthier, more efficient market for our U.S.
securities.

government