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In the coming days, Congress may authorize $700 billion to buy bad debt from
financial institutions. Even if all challenges of the plan were to be overcome,
the plan does not address one of the fundamental reasons why credit markets
don't function properly: the under-capitalization of financial institutions.
Under-capitalized financial institutions may seek to repair their balance sheet
rather than engage in lending activities. If securities are purchased at market
value, all the Treasury Department's plan achieves is to provide liquidity
to the markets. This is a worthy goal to allow the rolling of debt, but does
not guarantee that banks will start to lend again, nor does it provide a floor
under the housing market. The plan is fraught with risks that include lower
economic activity and a lowered standard of living for all Americans should
creditors demand higher interest rates for the sharply growing appetite for
debt of the country.
Instead, a capital infusion on the equity side of financial institutions would
strike at the core of the problem. Financial institutions employ leverage;
any dollar added in equity may be worth ten dollars in lending power or more.
Stronger financial institutions would be able to find a market based solution
for their bad debt and, simultaneously, start lending again. $700 billion would
be more than adequate to recapitalize financial institutions; however, $700
billion spent on buying bad assets may or may not be enough to find a cure
for the system.
By providing capital, the government must avoid a critical mistake the Treasury
has made in recent months. In recent months, whenever the Treasury intervened
- be that in the case of Bear Stearns, Fannie & Freddie (the "GSEs") or
AIG, common stock holders were pretty much wiped out. This serves the political
purpose of punishing equity holders, but has the disastrous side effect of
signaling to the market that anyone providing equity to financial institutions
is likely to be severely punished. After all, the Treasury successfully lobbied
the GSEs to raise capital this summer, only to wipe out existing common and
preferred stock holders a few weeks later. Other side effects of ad-hoc interventions
included that commercial banks now have money market funds competing with FDIC
insured deposits because of the emergency guarantees under consideration for
money market funds. Aiding on the debt side may also be a lose-lose proposition
for the dollar: if U.S. subsidiaries of foreign financial institutions receive
inferior terms, a capital flight out of the U.S. may ensue; however, if they
do receive the same terms, foreign financial institutions have a major incentive
to move bad assets to their U.S. subsidiaries. Also importantly, providing
capital infusions make the bailout plan less dependent on international cooperation
than a bailout of bad debt would require; given that central banks and governments
around the world have rather differing views on how to proceed in the current
crisis, international cooperation cannot be counted on.
Understandably, the government does not want to reward shareholders whose
firms have made bad decisions. At the same time, it is crucial for financial
institutions to raise more capital, but capital is scarce. An auction model
may be the most suitable compromise: firms that seek capital receive bids on
the terms others are willing to inject capital. The government then offers
to inject capital (possibly a multiple) using corresponding terms. The private
sector bids are likely to be substantially higher if they know that the total
capital raised by the firm will be sufficient to bring the firm on a sound
footing. The punishment for existing shareholders comes through the dilution
created by the market forces of the offering. Whether the government wants
to achieve restrictions on executive pay is a political question, but a question
the government should then ask as a shareholder, not as a legislator.
This proposal is not without risks, notably we could create a dozen Fannie
and Freddie style entities if the government were to seize control of financial
institutions. The government should receive restricted stock whose powers and
influence are clearly defined; there should also be guidelines established
to sell government shares over time by selling them to the public (at which
point restricted stocks could be converted to common stock). The Treasury Department
would be required to design and publish rules as to when the government would
participate in an auction; note that to date, neither the Treasury, nor the
Federal Reserve have provided guidelines on when they would interfere in the
markets. While this may provide tactical advantages, the lack of a clearly
communicated long-term plan may increase inflationary pressures as policy makers
throw money at every new crisis that erupts. Any firm that desires to participate
in the program should be required to have its books sufficiently transparent
to allow for private investors to make bids and make a case as to why a failure
of their firm would cause systemic risk. We understand that this solution is
also far from perfect as it also raises many questions.
Our preferred scenario would be to allow free market forces play out. We should
not throw 200 years of bankruptcy law history out of the window and replace
it with a patchwork of new rules and regulation. The unintended consequences
of ad-hoc regulations risk destroying New York as the financial capital of
the world. The reason the U.S. enjoys this status is because it has traditionally
had the fairest rules for all market participants, including allowing for the
possibility of failure. Singapore, Dubai and other cities are eager to fill
in any void created should policy makers create more harm than good.
However, if indeed a bailout is going to be taken and imminent, we urge policy
makers to strongly consider injecting money on the equity side rather than
buying bad fixed income securities. It is a political nightmare to manage such
the 'bailout portfolio'; and who would be willing to do so? A Warren Buffett
wisely declines saying he may have too many conflicts of interests; that comment
comes from a man who likely has less involvement in the bad debt under discussion
than most in the industry. However, PIMCO is already pitching its services,
even pro bono. Of course PIMCO would offer its services for free, as they could
lift the prices of all their own debt securities by buying up comparable securities
in the market, in the process possibly earning billions.
Of course, the above discussion does not address the second fundamental problem:
the fact that home prices remain too high. In our humble opinion, the bailout
as currently under consideration in Congress does little to address this. A
capital infusion, however, at least provides banks with greater flexibility
of finding a market-based solution, reducing, although not eliminating, pressure
on policy makers to agree on how to address this.
We manage the Merk Hard and Asian Currency Funds, mutual funds seeking to
protect against a decline in the dollar by investing in baskets of hard and
Asian currencies, respectively. To learn more about the Funds, or to subscribe
to our free newsletter, please visit www.merkfund.com.
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Axel Merk
Axel Merk is Manager of the Merk Hard Currency
Fund
The
Merk Hard Currency Fund is a no-load mutual fund that invests in a basket of
hard currencies from countries with strong monetary policies assembled to protect
against the depreciation of the U.S. dollar relative to other currencies. The
Fund may serve as a valuable diversification component as it seeks to protect
against a decline in the dollar while potentially mitigating stock market,
credit and interest risks - with the ease of investing in a mutual fund.
The Fund may be appropriate for you if you are pursuing
a long-term goal with a hard currency component to your portfolio; are willing
to tolerate the risks associated with investments in foreign currencies; or
are looking for a way to potentially mitigate downside risk in or profit from
a secular bear market. For more information on the Fund and to download a prospectus,
please visit www.merkfund.com.
Investors should consider the investment objectives,
risks and charges and expenses of the Merk Hard Currency Fund carefully before
investing. This and other information is in the prospectus, a copy of which
may be obtained by visiting the Funds website at www.merkfund.com or calling
866-MERK FUND. Please read the prospectus carefully before you invest.
The Fund primarily invests in foreign currencies and
as such, changes in currency exchange rates will affect the value of what
the Fund owns and the price of the Funds shares. Investing in foreign instruments
bears a greater risk than investing in domestic instruments for reasons such
as volatility of currency exchange rates and, in some cases, limited geographic
focus, political and economic instability, and relatively illiquid markets.
The Fund is subject to interest rate risk which is the risk that debt securities
in the Fund's portfolio will decline in value because of increases in market
interest rates. As a non-diversified fund, the Fund will be subject to more
investment risk and potential for volatility than a diversified fund because
its portfolio may, at times, focus on a limited number of issuers. The Fund
may also invest in derivative securities which can be volatile and involve
various types and degrees of risk. For a more complete discussion of these
and other Fund risks please refer to the Fund's prospectus. Foreside
Fund Services, LLC, distributor.
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