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Risk Containment Measure in Indian Stock Index Futures Market
Risk Containment Measure in Indian Stock Index Futures Market
A PROJECT REPORT
ON
RISK CONTAINMENT MEASURE IN INDIAN
STOCK INDEX FUTURES MARKET
BY
P.K.DEEPAK GUPTA
03XQCM6026
2003-2005
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DECLERATION
I here by declare that, this Project Report entitled “Risk Containment Measure
In Indian Stock Index Futures Market” has been undertaken and completed by me
under the valuable guidance of Prof. Santhanam in partial fulfillment of degree of
Master of Business Administration (MBA) program.
Place: Bangalore
Date: P.K. DEEPAK GUPTA
Reg No. 03XQCM6026
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PRINCIPAL’S CERTIFICATE
This is to certify that Mr. Deepak Gupta P.K has undertaken Project Work on “Risk
Containment Measure In Indian Stock Index Futures Market” under the able
guidance of Prof. Santhanam,
Place: Bangalore
Date: Dr. Nagesh Mallavalli
(Principal)
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GUIDE’S CERTIFICATE
This is to certify that the Project Work report titled “Risk Containment Measure In
Indian Stock Index Futures Market” has prepared by Mr. Deepak Gupta P.K bearing
registration number 03XQCM6026, under my guidance.
Place: Bangalore
Date: Prof. Santhanam
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ACKNOWLEDGEMENT
Also I would like to thank Bangalore Stock Exchange, my friends and also my
college who have helped me in completing this project and also for having given me this
opportunity.
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EXECUTIVE SUMMARY
The project starts off with the History of Derivatives in India, which
includes Events that made the launch of Derivatives in India.
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DERIVATIVES IN INDIA
In the Indian context, the securities contracts (regulation) Act 1956, (SCRA) derivative
includes
¾A security derived from a debt instrument, share and loan whether secured or
unsecured. Risk instrument or contract for differences or any other form of
security.
¾A contract which derives its value from the price or index of prices, of underlying
securities.
The Bombay Stock Exchange and National Stock Exchange launched trading in Index
Futures in June 2000. This marked the beginning of exchange traded financial
derivatives in India.
We had a strong Dollar – Rupee Forward markets with contracts being traded for 1 to 6
months. The daily trading volume here was approximately US $ 500 million.
The real motivation to use derivatives is that they are useful in reallocating risk either
across time or across individuals with different risk bearing preferences.
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Types of Derivatives
Derivatives are basically classified into two based upon the mechanism that is
used to trade on them. They are Over the Counter derivatives and Exchange traded
derivatives. The OTC derivatives are between two private parties and are designed to suit
the requirements of the parties concerned. The Exchange traded ones are standardized
ones where the exchange sets the standards for trading by providing the contract
specifications and the clearing corporation provides the trade guarantee and the
settlement activities
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In this case, the question arises about who will maintain the buffer stock, how will
we smoothen the price fluctuations, how will farmers not be vulnerable that tomorrow the
price will crash when the crop comes out, how will farmers get signals that in the future
there will be a great need for wheat or rice. In all these aspects the futures market has a
very big role to play.
If you think there will be a shortage of wheat tomorrow, the futures prices will go
up today, and it will carry signals back to the farmer making sowing decisions today. In
this fashion, a system of futures markets will improve cropping patterns.
Next, if I am growing wheat and am worried that by the time the harvest comes
out prices will go down, then I can sell my wheat on the futures market. I can sell my
wheat at a price which is fixed today, which eliminates my risk from price fluctuations.
These days, agriculture requires investments -- farmers spend money on fertilizers, high
yielding varieties, etc. They are worried when making these investments that by the time
the crop comes out prices might have dropped, resulting in losses. Thus a farmer would
like to lock in his future price and not be exposed to fluctuations in prices.
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The third is the role about storage. Today we have the Food Corporation of India
which is doing a huge job of storage, and it is a system which -- in my opinion -- does not
work. Futures market will produce their own kind of smoothing between the present and
the future. If the future price is high and the present price is low, an arbitrager will buy
today and sell in the future. The converse is also true, thus if the future price is low the
arbitrageur will buy in the futures market. These activities produce their own "optimal"
buffer stocks, smooth prices. They also work very effectively when there is trade in
agricultural commodities; arbitrageurs on the futures market will use imports and exports
to smooth Indian prices using foreign spot markets.
In totality, commodity futures markets are a part and parcel of a program for
agricultural liberalization. Many agriculture economists understand the need of
liberalization in the sector. Futures markets are an instrument for achieving that
liberalization.
In addition, it's very easy to start a gold futures market. Gold is a natural
commodity where we should be dealing with warehouse receipts -- banks have already
started giving gold depositories receipts, which clearing corporations would be
comfortable relying upon. A market like NSE could start trading in Gold futures with just
a few weeks of preparation.
Obviously the consent of regulators will be required to getting such trading off the
ground. Remarkably enough, it may not be necessary that we should have a gold futures
market in India. There are several well functioning gold futures market outside India.
Maybe we should just use them
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With the value of India’s commodity economy being around Rs. 300,000 crore a
year potential for much greater volumes are evident with the expansion of list of
commodities and nationwide availability. Opening up of the world trade barriers would
mean more price risk to be managed. All these factors augur
well for the future of futures.
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There are many reasons for the wide international acceptance of stock index futures
and for the strong preference for this instrument in India too compared to other forms of
equity derivatives. This is because of the following advantages of stock index futures :
1. Institutional and other large equity holders need portfolio hedging facility. Hence,
index-based derivatives are more suited to them and more cost-effective than derivatives
based on individual stocks. Even pension funds in U.S.A. are known to use stock index
futures for risk hedging purposes.
2. Stock index futures enjoy distinctly greater popularity, and are, therefore, likely to be
more liquid than all other types of equity derivatives, as shown both by responses to the
Committee’s questionnaire and by international experience.
3. Stock index, being an average, is much less volatile than individual stock prices. This
implies much lower capital adequacy and margin requirements in the case of index
futures than in the case of derivatives on individual stocks. The lower margins will
induce more players to join the market.
4. In the case of individual stocks, the positions which remain outstanding on the
expiration date will have to be settled by physical delivery. This is an accepted principle
everywhere. The futures and the cash market prices have to converge on the expiration
date. Since Index futures do not represent a physically deliverable asset, they are cash
settled all over the world on the premise that the index value is derived from the cash
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market. This, of course, implies that the cash market is functioning in a reasonably sound
manner and the index values based on it can be safely accepted as the settlement price.
5. Regulatory complexity is likely to be less in the case of stock index futures than for
other kinds of equity derivatives, such as stock index options, or individual stock options.
Index derivatives are a powerful tool for risk management for anyone who has
portfolios composed of positions in equity. Using index futures and index options,
investors and portfolio managers can hedge themselves against the risk of a downturn in
the market when they should so desire.
For example, for many investors, the volatility associated with the budget might
not be a ride that they wish to bear. Today, in the absence of index derivatives, the
investor has only one alternative: to sell off equity, and move into cash or debentures,
prior to the budget. Roughly a month after the budget, after the budget-related volatility
has subsided, these transactions could be reversed, and the person would be back to the
original equity exposure.
Using index futures, the same objective would be accomplished at around one--
tenth the cost, or less. Using index options, a very interesting kind of ``portfolio
insurance'' could be obtained, whereby an investor gets paid only if the market index
drops.
These are unique and new forms of risk management in the country. They are
particularly appealing because the market index is highly correlated with every equity
portfolio in the country. By the time a portfolio contains more than 15 stocks, it is very
likely that the correlation between this portfolio and a market index like the NSE-50
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would exceed 80%. This property holds, regardless of the identity of the securities which
make up the portfolio: whether a person holds index stocks or not, the index is highly
correlated with every portfolio in the country.
This fact is quite apparent when we look back at the experience of 1995 and 1996
-- every single equity investor in the country experienced poor returns in that period,
regardless of the kind of portfolio owned. This widespread correlation of the risk
exposure of investors with the index makes index derivatives very special in their risk
management.
One example will help clarify matters. Suppose a person is long ITC.
Unfortunately, by being long ITC on the cash market, he is simultaneously long ITC and
long index (ITC and the index have a 65% correlation). I.e., if the index should drop, he
will suffer, even though he may have no interest in the index when forming his position.
In this situation, this person can match his ITC exposure with an opposing position using
index futures (i.e. he would be simultaneously long ITC and short index futures) which
effectively strips out his index exposure. Now, he is truly long ITC: whether the index
goes up or down, he is unaffected, he is only taking a view on ITC. This is far closer to
his real interests and objectives, and is much less risky than present market practice (i.e.,
a pure long ITC position).
Any person who wants to trade in futures has to contact a Futures Commission
Merchant (FCM) or a broker. FCM is necessarily a member of the clearing house, An
account has to be opened at his firm. You will be assigned to one of the accounts
executive, who will look after the transactions. Whenever we place an order with the
accounts executive, he will note down the order specifications and immediately transmit
to one of the floor brokers at the exchange. The floor broker will execute the order and
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reports the transaction to the clearing house. Once he received the conformation form the
clearing house, he calls back the accounts executive giving him all the details about the
trade. The accounts executive intern passes on these details to his client.
Other responsibilities of the FCM are maintaining all records and reporting the
trading activity of all his clients to the clearing house and sending the clients monthly
statement about their position and account balances.
If the account is opened with a broker who is not a member of the clearinghouse, he
should necessarily route the order through a member.
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Note: The arbitrage opportunity arising when the futures price is underpriced to the cash
price is not feasible if the arbitrageur does not hold the scrip or borrowing of securities is
not possible in the market. This is because the delivery in the spot market comes before
the delivery in the futures market.
Case 1
Short Hedge
Let us assume that an investor is holding a portfolio of following scrips as given below
on 1st May, 2001.
93 !?F3!P ?7 P$..P$.R.
The investor feels that the market will go down in the next two months and wants to
protect him from any adverse movement. To achieve this the investor has to go short on 2
months NIFTY futures i.e he has to sell June Nifty. This strategy is called Short Hedge.
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=(1.55*400,000)+(2.06*200,000)+(1.95*175,000)+(1.9*125, 000)/1,000,000
= 1400 Units
Since one Nifty contract is 200 units, the investor has to sell 7 Nifty contracts.
Short Hedge
Case 2
Long Hedge
Let us assume that an investor feels that the market is at the beginning of a bull run. He is
expecting to get Rs 1,500,000.00 in two months time. Waiting two months to invest could
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mean that he might miss the bull run altogether. An alternative to missing the market
move is to use the NIFTY futures market. The investor could simply buy an amount of
NIFTY futures contract that would be equivalent to Rs 1,500,000.00. This Strategy is
called long hedge.
Let us assume that on 1st May 2001 the Nifty futures stand at 1150. He expects to get Rs.
1,500,000.00 by June end. He has to buy 2months June Nifty in May. The number of
contracts he should buy is
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1. Highly liquid
2. Traded in stock exchanges
3. No presence of counter party
4. Margins paid by both buyer and seller
5. Standardized
6. Mode of delivery is cash settlement
7. They enable investors/funds to hedge their long/short positions in the market, thus
reducing the risk associated with such stock holdings.
8. Also, they serve as another investment opportunity for investors looking to bet on
the markets in general.
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9. As the futures trading would be on the market index, it will be difficult for a few
operators to manipulate the price of the index futures market.
10. Stock index futures are expected to require lower capital adequacy and margin
requirements and lower brokerage costs.
12. Contracts are cash settled and hence no paperwork of transferring the stock either
physically or through the depository mode.
Investors can use futures to hedge their portfolio risk. Say, an investor feels that a
particular stock is undervalued. When he buys it, there are two kinds of risks. Either his
understanding can be wrong, and the company is really not worth more than its market
price, or the entire market moves against him and generates losses even though his
underlying idea was correct. The second outcome happens most of the time. So now with
Index futures, he will buy the stock and simultaneously short the future.
Consider another investor who had the opposite view. So he shorted the stocks and
bought the futures. If this investor is a portfolio manager, say with the view that the IT
and the Pharma sector will do well, he invests in these sectors and shorts the futures. On
the other hand, if he feels otherwise, he can short the portfolio of IT and Pharma scrips
and buy futures.
Background
The Securities and Exchange Board of India (SEBI) appointed a committee under
the chairmanship of Dr. L. C. Gupta in November 1996 to "develop appropriate
regulatory framework for derivatives trading in India". In March 1998, the L. C. Gupta
Committee (LCGC) submitted its report recommending the introduction of derivatives
markets in a phased manner beginning with the introduction of index futures. The SEBI
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Board while approving the introduction of index futures trading mandated the setting up
of a group to recommend measures for risk containment in the derivative market in India.
SIMILARITIES
¾Both Badla and Futures help the investor in leveraging his or her position. Hence,
they attract speculative elements into the market.
¾By allowing for speculation, Badla and Futures improve the liquidity of the cash
markets.
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DIFFERENCES
¾Unlike Badla, Future trading is carried out distinctly from each markets. Hence,
the spot and Futures price are different from each other and do not get mixed up.
¾Another distinguishing feature which can be identified from above is that, while
initiating a contract, the futures price is clear and known in advance in Futures. In
Badla, the price ultimately paid inclusively of Badla charges is indeterminate and
known only when the transaction is concluded.
¾In Futures market, the clearing corporation becomes counter party to each trade.
Hence credit risk does not arise. However, Badla give rise to credit risk as there
exists no clearing corporation to take up or assume one leg of every transaction.
In India due to recurring market scandals and large defaults related to Badla,
Securities and Exchange Board of India (SEBI) tried for years to eliminate it. Finally it
was in July 2001 that SEBI successfully banned Badla with the introduction of rolling
settlement cycle and derivatives.
1. VOLATILITY
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b. The volatility in Indian market is not constant and is varying over time.
2. CALANDER SPREADS
In developed markets, calendar spreads are essentially a play on interest rates with
negligible stock market exposure. As such margins for calendar spreads are very low.
However, in India, the calendar basis risk could be high because of the absence of
efficient index arbitrage and the lack of channels for the flow of funds from the organised
money market into the index futures market.
Margin is:
R!ST3UIV?VWU XZY [)\JU]'Y^`_ba'c _ed f g h=i j`kl4m,gn>o;p qhNiJhNi og7n?r k6r i h stup3rhm!n>qok6ro=irh<nWiv>i7nwn>i jk:l.q,h
xKy,z'{I|K} ~L}M>~|}3x
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Buying with borrowed money can be extremely risky because both gains and
losses are amplified. That is, while the potential for greater profit exists, this comes at a
hefty price -- the potential for greater losses. Margin also subjects the investor to a
number of unique risks such as interest payments for use of the borrowed money.
Ð Ñ'ÒÔÓ=ÕÖ×ØÙÓNÚ$ÛKÜuÝ,Ñ,Þ.ßIÑ'Ù@à Ü>Þ3á:ÞÒ&Ó;â<ãNÑ'äIá>Ò?Ö!ã=á>âåÛ2äMÖ`×LÖÒæ3ÛKäÖ!ã=ãNÑ,Þäá@Ú$Ý!Ñ,Þ`ß3ÖIçDÓ.áWÑ
ã=Ñ'äá8Ò?Ö3ãNá8â0ã5ß3Öä3æÓì
Apart from the correct calculation of margin, the actual collection of margin is
also of equal importance. Since initial margins can be deposited in the form of bank
guarantee and securities, the risk containment issues in regard to these need to be tackled.
4. CLEARING CORPORATION
The clearing corporation provides novation and becomes the counter party for
each trade. In the circumstances, the credibility of the clearing corporation assumes
importance and issues of governance and transparency need to be addressed.
5. POSITION LIMIT
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markets. Contracts held by one individual investor with different brokers may be
combined in order to gauge accurately the level of control held by one party.
It may be necessary to prescribe position limits for the market as a whole and for
the individual clearing member / trading member / client.
6. LEGAL ISSUES
Certain legal opinions seem to be suggesting that mere declaration of cash settled
futures as securities under SC(R)A would not put them on a sound legal footing unless
the provisions of the Contract Act were either amended or explicitly overridden. Some
court judgements in foreign countries were said to be extremely worrying in this regard.
Trader networth provides an additional level of safety to the market and works as
a deterrent to the incidence of defaults. A member with high networth would try harder to
avoid defaults as his own networth would be at stake. The definition of networth needs to
be made precise having regard to prevailing accounting practices and laws.
Even an accurate 99% “value at risk” model would give rise to end of day mark to
market
losses exceeding the margin approximately once every six months.
MARGINING SYSTEM
The LCGC recommended that margins in the derivatives markets would be based
on a 99% Value at Risk (VAR) approach. The group discussed ways of operationalizing
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1. INITIAL METHODOLOGY
The percentage of the purchase price of securities (that can be purchased on
margin) which the investor must pay for with their own cash or marginable securities.
Also called the initial margin requirement.
For futures contracts, initial margin requirements are set by the exchange.
2. PERIODIC REPORTING
3 CONTINOUS REFINING
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the date from which the new methodology will become effective and this effective date
shall not be less than three months after the date of filing with SEBI. At any time up to
two weeks before the effective date, SEBI may instruct the derivatives exchange and
clearing corporation not to implement the change, or the derivatives exchange and
clearing corporation may on its own decide not to implement the change.
The group recommends that the clearing corporation / clearing house shall be
required to disclose the details of incidences of failures in collection of margin and / or
the settlement dues at least on a quarterly basis. Failure for this purpose means a shortfall
for three consecutive trading days of 50% or more of the liquid net worth of the member.
The parameters for risk containment model shall include the following:
The Initial Margin requirement shall be based on the worst scenario loss of a
portfolio of an individual client to cover 99% VaR over one day horizon across
various scenarios of price changes, based on the volatility estimates, and volatility
changes. The estimate at the end of day t (SDt) shall be estimated using the previous
volatility estimate i.e., as at the end of t-1 day (SDt), and the return (rt) observed in
the futures market during day t. The formula shall be
6'WA 6'W-1)+(1-UWA
Where:
DSDUDPHWHUZKLFKGHWHUPLQHVKRZUDSLGO\YRODWLOLW\HVWLPDWHVFKDQJHV7KH
YDOXHRI LVIL[HGDW
SD = Standard deviation of daily returns in the interest rate futures contract.
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In case of long term futures, the price scan range shall be 3.5SD and in no case the
initial margin shall be less than 2 % of the notional value of the Futures Contract. For
notional T-Bill futures, the price scan range shall be 3.5SD and in no case the initial
margin shall be less than 0.2% of the notional value of the futures contract.
The Calendar Spread margin is charged in addition to the Worst Scenario Loss of
the portfolio. For interest rate futures contract a calendar spread margin shall be at a
flat rate of 0.125% per month of spread on the far month contract subject to minimum
margin of 0.25% and a maximum margin of 0.75% on the far side of the spread with
legs up to 1 year apart.
3. Exposure Limits
The notional value of gross open positions at any point in time in Futures
contracts on a the Notional 10 year bond shall not exceed 100 times the available
liquid net worth of a member. For futures contracts on the National T-Bill, the
notional value of gross open position at any point in the contract shall not exceed
1000 times the available liquid net worth of a member.
Initially, the zero coupon yield curve shall be computed at the end of the day.
However, the Exchange/yield curve provider shall endeavour to compute the zero
coupon yield curve on a real time basis or at least several times during the course of
the day.
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The mark to market settlement margin for Interest Rate Futures Contracts shall be
collected before the start of the next day’ s trading, in cash. If mark to market margins
is not collected before start of the next day’s trading, the clearing corporation/house
shall collect correspondingly higher initial margin to cover the potential for losses
over the time elapsed in the collection of margins. The initial margin shall be
calculated measures for index futures.
6. Position Limits
In the case of Interest Rate Futures Contracts, position limits shall be specified at
the client level and for near month contracts. The client level position limits shall be
Rs. 100 crore or 15% of open interest whichever is higher.
RISK MANAGEMENT
Clearing House has developed a comprehensive risk containment mechanism for the F &
O segment. The salient features of risk containment mechanism on the F& O segment
are:
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margining through SPAN. The Clearing Member in turn collects the initial
margin form the Trading Members and their respective clients.
¾The open position of the members are marked to market based on contract
settlement price for each contract. The difference is settled in cash on a T+1
basis.
¾Clearing houses on line position monitoring system monitors a CM’s open
positions on a real time basis. Limits are set for each CM based on his capital
deposits. The online position monitoring system generates alters whenever a CM
reaches a position limit set up by NSCCL. NSCCL monitors the CMs while TMs
are monitored for contract wise position limit violation.
¾CMs are provided a trading teminal for the purpose of monitoring the open
positions of all the TMs clearing and settling through him. A CM may set
exposure limits for a TM clearing and settling through him. NSCCL assists the
CM to monitor the intra day exposure limits set up by a CM and whenever a TM
exceeds the limits, it stops that particular TM from further trading.
¾A member is alerted of his position to enable him to adjust his exposure or bring
in additional capital. Position violations result in withdrawal of trading facility
for all TMs if a CM in case of a violation by the CM.
¾A separate settlement gurantee fund for this segment has been created out of the
capital of members. The fund has a balance of Rs. 648 crores at the end of March
2002.
The most critical component of risk containment mechanism for F & O segment is the
margining system and online position monitoring. The actual position monitoring and
margining system is carried out online through Parallel Risk Management System
(PRISM) . Prism uses SPAM ( Standard Portfolio Analysis of Risk) system for the
purpose of computation of online margins, based on the parameters defined by RBI.
The position limits specified for FIIs and their sub-account is as under:
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From the viewpoint of India's securities industry, it would be great to trade gold
futures -- it would yield revenues and it would raise sophistication. If that can be
achieved, it would be great, but it looks like it will take a while for the regulatory
apparatus to permit gold futures in India.
From the view point of the Indian economy -- and the economy is much more
than the securities industry -- the important point is not the colour of the skin. It does not
matter whether an Indian or a foreigner is running the exchange. The important point is to
have access to these products. There are many situations where we would be better off by
merely giving permissions to Indian to go abroad and trade in these markets.
Why do we take it for granted that we have to wait for India's markets to develop.
Witness the two year delay in getting an index futures market started -- these delays force
India's households and companies to continue to live with risk. India's economy will
benefit from having access to derivatives, whether they are come about through India's
regulators and exchanges or not. If the Singapore government is friendly to derivatives
markets in a way that India's government is not, India's citizens should go ahead and
reduce their risk by using futures markets in Singapore.
Hence we should not approach commodity derivatives looking only at the Indian
securities industry. The interest of Indian consumers, households and producers is more
important, as these are the people who are exposed to risk and price fluctuations. To the
extent that foreign derivatives markets can reduce the risk for Indians, this is good.
The RBI has recently released the R. V. Gupta committee report on these issues.
It is an excellent piece of work, which paves the way for Indians to benefit from using
foreign commodity futures markets. I think that this report is going to be a milestone in
the history of India's financial sector.
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In this section we shall have a look at the regulations that apply to brokers under the
SEBI Regulations.
BROKERS:
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SEBI setup a 24 member committee under the chairmanship of Dr. L.C. Gupta to
develop the appropriate regulatory framework for derivatives trading in India.
The committee submitted its report in March 1998. On may 11, 1998 SEBI
accepted the recommendations of the committee and approved the phased introduction of
derivatives trading in India beginning with stock index futures. SEBI also approved the
“Suggestive by-laws” recommended by the committee for regulation and control of
trading and settlement of derivatives contracts.
The provisions for SC( R ) A and regulatory framework developed their undergovern
trading in securities. The amendment of the SC( R )A to include derivatives within the
ambit of ‘securities’ in the SC( R) A made trading in derivatives possible within the
framework of the Act.
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¾The clearing and settlement of derivatives trades shall be through a SEBI approval
clearing corporation/house. Clearing corporation/house complying with the
eligibility as laid down by the committee have to apply to SEBI grant of approval.
¾Derivative brokers/dealers and clearing members are required to seek registration
from SEBI. This is in addition to their registration as broker of existing stock
exchange. The minimum net worth for clearing member of the derivatives
clearing corporation/house shall be Rs. 300 lakhs.
¾The minimum contract value shall not be less than Rs. 2 lakhs. Exchanges
should also submit details of the futures contract they propose to
introduce.
¾The initial margin requirement, exposure limits linked to capital adequacy
and margin demands related to the risk of loss on the position shall be
prescribe by SEBI/Exchange from time to time.
¾The LC Gupta committee report requires strict enforcement of “Know
your customer” rule and requires that every client shall be registered with
the derivatives broker. The members of the derivatives segment are also
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The clearing member’s minimum li quid net worth must be at least Rs. 50 lakh at
any point of time.
A portfolio based margining approach has been adopted which takes an integrated
view of the risk involved in the portfolio of each individual client comprising of his
position in all derivative contracts. The initial margin requirement are based on worst
scenario loss of a portfolio of an individual client to cover 99% VAR over one day time
horizon. Provided, however, in the case of futures, where it may not be possible to collect
the mark to market settlement value, before the commencement of trading on the next
day, the initial margin may be computed over a two day time horizon, applying the
appropriate statistical formula. The methodology for computation of Value at Risk is as
per recommendation of SEBI from time to time.
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a. For client positions – It shall be netted at the level of individual client and grossed
across all clients, at the Trading/Clearing Member Level, without any setoffs
between clients.
b. For proprietary position – It shall be betted at Trading/Clearing Member Level
without any setoffs between client and proprietary positions.
For the purpose of SPAN margin, various parameters shall be specified hereunder or such
other parameters as may be specified by the relevant authority form time to time:
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the market wide position limit is greater than Rs. 250 crore, the trading
member position limit in such stocks shall be Rs. 50 crore.
Market Wide Position Limits: The market wide limit of open position on
all futures on a particular stocks shall be lower of 30 times the average
number of shares traded daily, during the previous calendar month, in the
relevant underlying security in the underlying segment of the relevant
exchange, or, 10% of the number of shares held by non-promoters in the
relevant underlying security i.e., 10% of the free float, in terms of number
of shares of a company.
NSCCL has developed a comprehensive risk containment mechanism for the F&O
segment. The sailent features of risk containment mechanism on the F&O segment are:
¾The financial soundness of the members is the key to risk management.
Therefore, the requirement for membership in terms of capital adequacy (net
worth, security deposits) are quite stringent.
¾NSCCL charges an upfront initial margin for all the open positions of a CM. It
specifies the initial margin requirement for each futures contract on a daily basis.
It also follows value at risk (VAR) based margining through SPAN. The CM is
turn collects the initial margin from the TMs and their respective clients.
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¾The open positions of the members are marked to market based on contact
settlement price for each contract. The difference is settled in cash on a T+1
basis.
¾NSCCL’s online position monitoring system monitors a CM’s open position on a
real time basis. Limits are set for each CM based on his capital deposits. The
online position monitoring system generates alerts whenever a CM reaches a
position limit set up by NSCCL. NSCCL, monitors the CM’s for MT M value
violation, while TMs are monitored for contract wise position limit violation.
¾CMs are provided a trading terminal for the purpose of monitoring the open
positions of all the TMs clearing and settling through him. A CM may set
exposure limits for a TM clearing and settling through him. NSCCL assists the
CM to monitor the intra-day exposure limits set up by a CM and whenever a TM
exceed the limits, it stops that particular TM from further trading.
¾A member is alerted of his position to enable him to adjust his exposure or bring
in additional capital. Position violations result in withdrawal or trading facility
for all TMs of a CM in case of a violation by the CM.
¾A separate settlement gurantee fund for this segment has been created out of the
capital of members. The fund has a balance of Rs. 13002 million at the end of
march 2003/
The most critical component of risk management mechanism for F&O segment is
the margining system and online position monitoring. The actual position monitoring
and margining is carried out online through Parallel Risk Management System
(PRISM). PRISM uses SPAN ® (Standard Portfolio Analysis of Risk) system for the
purpose of computation of online margins, based on the parameters defined by SEBI.
The stocks which are eligible for futures trading should meet the following criteria:
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¾The stock should be amongst the top 200 scrips, on the basis of average market
capitalization during the last six months and the average free float market
capitalization should not be less than Rs. 750 crore. The free float market
capitalization means the non-promoter holding in the stock.
¾The stock should be amongst the top 200 scrips on the basis of average daily
volume (in value terms), during the last six months. Further, the average daily
volume should not be less than Rs. 5 crore in the underlying cash market.
¾The stock should be traded on atleast 90% of the trading days in the last six
months, with the exception of cases in which a stock is unable to trade due to
corporate actions like de-mergers etc.,
¾The non promoter holding in the company should be at least 30%.
¾The ratio of the daily volatility of the stock vis-à-vis the daily volatility of the
index (either BSE 30 sensex or S&P CNX Nifty) should not be more than 4, at
any time during the previous six months. For this purpose the volatility would be
computed as per the exponentially weighted moving average formula.
¾
The stock on which options contracts are permitted to be traded on one derivative
exchange/segment would also be permitted to trade on other derivative
exchange/segments.
The successful use of value at risk models is critically dependent upon estimates of
the volatility of underlying prices. The principal difficulty is that the volatility is not
constant over time - if it were, it could be estimated with very high accuracy by using a
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sufficiently long sample of data. Thus models of time varying volatility become very
important. Practitioners have often dealt with time varying parameters by confining
attention to the recent past and ignoring observations from the distant past.
Econometricians have on the other hand developed sophisticated models of time varying
volatility like the GARCH (Generalised Auto-Regressive Conditional Heteroscedasticity)
model.
Straddling the two are the exponentially weighted moving average (EWMA) methods
popularised by J. P. Morgan’s Risk Metrics system. EWMA methods can be regarded as
a variant of the practitioner’s idea of using only the recent past because the practitioners’
idea is essentially that of a simple moving average where the recent past gets a weight of
one and data before that gets a weight of zero. The variation in EWMA is that the
observations are given different weights with the most recent data getting the highest
weight and the weights declining rapidly as one goes back. Effectively, therefore,
EWMA is also based on the recent past, in fact, it is even more responsive than the
simple moving average to sudden changes in volatility. EWMA can also be regarded as a
special case of GARCH in which the “persistence parameter” is set to unity. This means
that unlike GARCH, EWMA does not have a notion of long run volatility at all and is
therefore more robust under regime shifts.
ZKHUH LVDSDUDPHWHUZKLFKGHWHUPLQHVKRZUDSLGO\YRODWLOLW\HVWLPDWHVFKDQJH
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The view taken in this study is that the post 1995 period is essentially half a
business cycle though it includes complete interest rate and stock market cycles. The post
1995 period is also an aberration in many ways as during this period there was a high
positive autocorrelation in the index which violates weak form efficiency of the market.
(High positive autocorrelation is suggestive of an administered market; for example, we
see it in a managed exchange rate market). The autocorrelation in the stock market was
actually low till about mid 1992 and peaked in 1995-96 when volatility reached very low
levels. In mid-1998, the autocorrelation dropped as volatility rose sharply. In short there
is distinct cause for worry that markets were artificially smoothed during the 1995-97
periods.
Similarly, this study takes the view that the scam is a period of episodic volatility
(event risk) which could quite easily recur. If we disregard issues of morality and legality,
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the scam was essentially a problem of monetary policy or credit policy. Since both the
bull and bear sides of the market financed themselves through the scam in roughly equal
measure, the scam was roughly neutral in terms of direct buy or sell pressure on the
market. What caused a strong impact on stock prices was the vastly enhanced liquidity in
the stock market. The scam was (in its impact on the stock market) essentially equivalent
to monetary easing or credit expansion on a large scale. The exposure of the scam was
similarly equivalent to dramatic monetary (or credit) tightening. Any sudden and sharp
change in the stance of monetary policy can be expected to have an impact on the stock
market very similar to the scam and its exposure. A prudent risk management system
must be prepared to deal with events of this kind.
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the logarithmic returns would be +69.3% and -69.3% respectively as compared to the
percentage returns of +100% and -50% respectively.
Nevertheless, the kurtosis (which is a measures the fat tails) is still too large for
use of the normal distribution values without modification. For example, the normal
distribution would imply applying a value of 2.58 SD IRUDWZRVLGHG³YDOXHDWULVN´OLPLW
of 1%. However, the presence of fat tails even in the conditional stock market returns
implies that it is necessary to use a higher value to get the same degree of protection. A
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common rule of thumb for distributions with a moderate degree of kurtosis is to use a
value of 3 SD IRUDWDLODQGWKLVYDOXHLVXVHGLQWKHUHVWRIWKLVVWXG\
2.5 Margins
Since the volatility estimates are for the logarithmic return, the +or- OLPLWVIRU
a 99% VAR would specify the maximum/minimum limits on the logarithmic returns not
the percentage returns. To convert these into percentage margins, the logarithmic returns
would have to be converted into percentage price changes by reversing the logarithmic
transformation. Therefore the percentage margin on short positions would be equal to
100(exp(3SDt)-1) and the percentage margin on long positions would be equal to 100(1-
exp(-3SDt)). This implies slightly larger margins on short positions than on long
positions, but the difference is not significant except during periods of high volatility
where the difference merely reflects the fact that the downside is limited (prices can at
most fall to zero) while the upside is unlimited.
The market movements, margins and margin shortfalls are shown graphically in
Figures 1 and 2. The summary statistics about the actual margins on the sell side are
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tabulated below while year by year details of the sell side and buy side margins are given
in Tables 1 and 2.
REGULATORY OBJECTIVE
(a). Investor protection: Attention needs to be given to the following four aspects:
(i) Fairness and Transparency: The trading rules should ensure that trading is
conducted in a fair and transparent manner. Experience in other countries shows that in
many cases, derivatives brokers/dealers failed to disclose potential risk to the clients. In
this context, sales practices adopted by dealers for derivatives would require specific
regulation. In some of the most widely reported mishaps in the derivatives market
elsewhere , the underlying reason was inadequate internal control system at the user firm
itself so that overall exposure was not controlled and the use of derivatives was for
speculation rather than for risk hedging. These experiences provide useful lessons for us
for designing regulations.
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to prescribe qualification for derivatives brokers/dealers and the sales persons appointed
by them in terms of a knowledge base.
(iv) Market integrity:
The trading system should ensure that the market’s integrity is safeguarded by
minimizing the possibility of defaults. This requires farming appropriate rules about
capital adequacy, margins, clearing corporation, etc.
(b) Quality of markets: The concept of “Quality of Markets” goes well beyond
market integrity and aims at enhancing important market qualities, such as cost
efficiency, price continuity, and price discovery. This is a much broader objective than
market integrity.
(c) Innovation : While curbing any undesirable tendencies, the regulation framework
should not stifle innovation which is the source of all economic progress, more so
because financial derivatives represent a new rapidly developing area, aided by
advancements in information technology.
The committee’s attention has been drawn to several important issues connecting
with derivatives trading. The committee has considered such issues, some of which have
a direct bearing on the design of the regulatory framework. They are listed below:
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¾How should ensure that the derivatives exchange will effectively fulfill its
regulatory responsibility.
¾What criteria should SEBI adopt for granting permission for derivatives trading to
an exchange?
¾What condition should the clearing mechanism for derivatives trading satisfy in
view of high leverage involved?
¾What new regulations or changes in existing regulations will have to be
introduced by SEBI for derivative trading?
(a) The trading rules and entry requirements for futures trading would have to be
different from those for cash trading.
(b) The possibility of collusion among traders for market manipulation seems to be
greater if cash and futures trading are conducted in the same exchange.
(c) A separate exchange will start with a clean slate and would not have to restrict the
entry to the existing members only but the entry will be thrown open to all
potential eligible players.
It is well known that since the BSE and NSE operate different settlement cycles it
is possible to do a form of carry forward (or badla) trading by continuously shifting
positions from one exchange to the other to avoid delivery. A person who has bought on
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BSE can square his position on that exchange on or before Friday and simultaneously buy
on NSE. Since he has squared up on BSE, he does not have to take delivery there. On or
before Tuesday, he can square up on NSE and buy on BSE avoiding delivery at NSE. He
can keep repeating this cycle as long as he likes. Since this is very similar to carry
forward trading (or rolling a futures contract), it is clear that this person would implicitly
pay a carry forward charge (contango or backwardation) in the form of a price difference
between the two exchanges.
To model this, this study assumes that a trade in the BSE could be regarded as a
futures contract for Friday expiry while a trade on the NSE could be regarded as a futures
contract for Tuesday expiry. The cost of carry model of futures prices tells us that the
futures price equals the cash price plus the cost of carry till the expiry date. Two futures
contract with different expiry dates will be priced to yield a price difference equal to the
cost of carry for the difference between the two expiry dates.
The table below summarises the impact of the differing settlement cycles.
(Throughout this study, day means trading day and yesterday means last trading day).
The last column of this table is crucial. It tells us that the relation between BSE and NSE
undergoes a change on Monday and Wednesday.
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• From Friday close to Monday close the BSE contract changes from an expiry 2 days
ahead of NSE to an expiry 3 days after NSE - a net positive change of 5 trading days or
one week. From being priced two days’ carry below NSE, the BSE contract will now be
priced three days’ carry above the NSE price causing a net change of 5 trading days’ or
one week’s cost of carry in the difference between the two prices. Therefore Monday's
return on BSE should exceed that in NSE by one week’s cost of carry
• Similarly from Tuesday close to Wednesday close the BSE contract changes from an
expiry 3 days after NSE to an expiry 2 days ahead of NSE - a net negative change of 5
trading days or one week. This is the reverse of the above situation and therefore
Wednesday's return on BSE should be lower than that in NSE by one week’s cost of
carry.
To estimate the cost of carry, the Nifty index was used. The Nifty Index based on Last
Traded Prices (LTP) at the NSE was obtained from the NSE and the returns on this index
were computed. The returns on the Nifty Index was computed separately using BSE
prices for the period from January 1, 1998 to June 30, 1998.
It turns out that on average on Mondays, the return in BSE exceeds that in NSE by 0.61%
while on Wednesdays, it is the other way around - the return in NSE exceeds that in BSE
by 0.71%. This implies that one week’s cost of carry is approximately 0.6 -0.7% or that
the annual cost of carry is about 30-35% on a simple interest basis or 35-45% on a
compound interest basis. These rates are far above any money market rate and indicates
very strong barriers to the flow of money into financing stock market transactions.
A closer look at Table 1 suggests a way of measuring the volatility of the cost of carry as
well:
• Both on Monday close and on Tuesday close the BSE contract is for expiry 3 days after
NSE. The difference in the returns between the two exchanges is therefore only due to the
change in the cost of carry during Tuesday. Standard deviation of the differential return is
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• Similarly the standard deviation of the differential return on Thursday and Fridays is
equal to the standard deviation of daily change in 2 days' cost of carry ofcarry.
The critical assumption in the above is that the differences in prices between the BSE and
NSE is due only to the difference in the two expiry dates and that various other
differences in market microstructure in the two exchanges do not have any impact. In
reality perhaps a lot of the fluctuation in the price differences is attributable to these
microstructure differences.
MARKET OUTCOME
In India derivatives are traded only on two exchanges. The details of trades on these
exchanged during 2002-03 are presented in the table below. The total exchange traded
derivatives witnessed a volume of Rs. 4423333 million during the current year as against
Rs. 1038480 million during the preceding year. While NSE accounted for about 99.4%
of total turnover, BSE accounted for less than 1%. It is believed that India is the second
largest market in the world for stock futures.
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The product wise distribution of turnover in F&O segment for the year 2002-03 is
presented in the chart below
Stock
options
23%
Index
Stock
futures
futures
10%
65% Index
options 2%
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2001-02 2002-03
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An investor who does not have the index stocks can also se the index derivatives to hedge
against the market risk as all the portfolios have a correlation with the overall movement
of the market (i.e, index).
In view of
i. practical difficulties in administration of tax for different purpose of the same
transaction,
ii. inherent nature of a derivative contract requiring its settlement otherwise than
by actual delivery,
iii. need to provide level playing field to all the parties to derivatives contracts,
and
iv. need to promote derivatives markets, the exchange-traded derivatives
contracts need to be exempted from the purview of speculative transactions.
Thus must, however, be taxed as normal business income.
The Indian capital market has witnessed a major transformation and structural
change during the past one decade or so as a result of on going financial sector reforms
initiated by the Government of India since 1991 in the wake of policies of liberalization
and globalization. The major objectives of these reforms have been to improve market
efficiency, enhancing transparency, checking unfair trade practices, and bringing the
Indian capital market up to international standards. As a result of the reforms several
changes have also taken place in the operations of the secondary markets such as
automated on-line trading in exchanges enabling trading terminals of the National Stock
Exchange (NSE) and Bombay Stock Exchange (BSE) to be available across the country
and making geographical location of an exchange irrelevant; reduction in the settlement
period, opening of the stock markets to foreign portfolio investors etc. In addition to
these developments, India is perhaps one of the real emerging markets in South Asian
region that has introduced derivative products on two of its principal existing exchanges
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viz., BSE and NSE in June 2000 to provide tools for risk management to investors. There
had, however, been a considerable debate on the question of whether derivatives should
be introduced in India or not. The L.C. Gupta Committee on Derivatives, which
examined the whole issue in details, had recommended in December 1997 the
introduction of stock index futures in the first place (1). The preparation of regulatory
framework for the operations of the index futures contracts took another two and a
halfyear more as it required not only an amendment in the Securities Contracts
(Regulation) Act, 1956 but also the specification of the regulations for such contracts.
Finally, the Indian capital market saw the launching of index futures on June 9, 2000 on
BSE and on June 12, 2000 on the NSE. A year later options on index were also
introduced for trading on these exchanges. Later, stock options on individual stocks were
launched in July 2001.
Despite the existence of a well-developed stock market for over a hundred years,
trading on derivative contracts in India (index futures) started only in June 2000. It is but
natural that the market players took time to understand the intricacies involved in the
operations of these new instruments. This is clearly reflected in the growth of business in
the index futures contracts during the period June 2000 to June 2002. The growth can at
the best be said to be modest not only in terms of the number of contracts involved but
also in terms of value of such contracts.
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The volatility estimated at the end of the day’s trading would be used in
calculating margin calls at the end of the same day. This implies that during the
course of trading, market participants would not know the exact margin that would
apply to their positions. Trading software should provide volatility estimation and
margin fixation on a realtime basis on trading work station screen.
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A part from correct calculation, the actual collection of margin is also of equal
importance. The group recommended that the clearing corporation should lay down
operational guidelines on collection of margins and standard guidelines for back
office accounting at the clearing member and trading member level to facilitate the
detection of non compliance at each level.
OTHER RECOMMENDATION
From the purely regulatory angle, a separate exchange for futures trading seems to
be a neater arrangement. However, considering the constraints in infrastructure facilities,
the existing stock exchanges having cash trading may also be permitted to trade
derivatives provided they meet the minimum eligibility conditions as indicated below:
1. The trading should take place through an online screen based trading system
which also has a disaster recovery site. The per half hour capacity of the
computers and the network should be atleast 4 to 5 times of the anticipated
peak load in any half hour or of the actual peak load seen in any half hour
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during the preceding six months. This shall be reviewed from time to time
on the basis of experience.
2. The clearing of the derivatives market should be done by an independent
clearing corporation, which satisfies the conditions listed.
3. The exchange must have an online surveillance capacity which moniters
positions, prices and volumes in realtime so as to deter market manipulation.
Price and position limits should be used for improving market quality.
4. Information about trades, quantities and quotes should be disseminated by
the exchange in real time over at least two information vending networks
which are accessible to investors in the country.
5. The exchange should have atleast 50 members to start derivatives trading.
6. If derivatives trading is to take place at an existing cash market, it should be
done in a separate segment with a separate membership i.e., all members of
the existing cash market would not automatically become members of the
derivatives market.
7. The derivatives market should have a separate governing council which
shall not have representation of trading/clearing members of the derivatives
Exchange beyond whatever percentage SEBI may prescribe after reviewing
the working of the present governance system of exchanges.
8. The Chairman of the Governing Council of the Derivative
Division/Exchange shall be a member of the Governing Council, if the
chairman is a Broker/dealer, then, he shall not carry on any broking or
dealing business on any Exchange during his tenure as Chairman.
9. The exchange should have arbitration and investor grievances redressal
mechanism operative from all the four areas/regions of the country.
10. The exchange should have an adequate inspection capability.
11. No trading/clearing member should be allowed simultaneously to be on the
governing council of both the derivatives market and the cash market.
12. If already existing, the exchange should have a satisfactory record of
monitoring its members, handling investor complaints and preventing
irregularities in trading.
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This study is for making the real Futures contracts taking Titan Industries as
underlying. These contracts are mainly based on the information provided by technical
analysis. Fundamental analysis is not included as these contracts for only one month and
only technical analysis can be provided buying and selling points and the movement of
this stock in one month. Where as fundamental analysis cannot predict the market
The above Graph which indicates the price movement of Titan shows that it is in
bullish trend. This bullish is also supported by the huge volume of shares traded.
Volume generally moves along with prices, and is indicative of the intensity of a price
reaction. Both the price and volume are on the rise.
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Thus above are the indicative signs for an investor to go bullish on Titan
Industries Ltd., But whether to trade in Futures and Options of this underlying is yet to be
seen on further evaluation through technical analysis.
All simple moving averages 13 days, 34days and 89days does not predict any
reversal in the bullish trend. All the Moving Averages are below the price line and are
moving in the same direction as the price line there fore showing no signs of trend
reversal in near future and conforming bullishness of the stock in near future also.
As far as these simple moving averages move in the same direction and are below
the price line you can safely bet on the contracts. All this based on simple logic that as
long as price at the end of a period is above the average that prevailed in the immediate
past, prices are on an up trend. The converse is true for conforming end or a bear market.
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Simple moving averages constructed over long time lags behind the trend so to
minimize that more weightage is given to the present data and an Exponential moving
average is constructed. This moving average is more sensitive to any price changes in the
underling. Thus EMA provides a smooth base for analyzing price trends.
The above graph studies the 34 days, 89days and 200days exponential moving averages.
All averages do not show any trend reversal of bullish phase in prices of underlying in
near future. All are moving along the price line and are below it, indicating no price fall
in near future.
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The darker line in the MACD and lighter one is the signal line in the above chart
below the price chart. Taking ratio of 9day EMA to 20 day EMA draws the chart and
signal line is 9day EMA.
The chart gives the buying and selling signals. Since the indicator crosses the
reference line from below, we interpret that point as signal for buying the underlying.
Signal line acts as the trigger, which alerts the trader to take an appropriate buy or sale
decision. In the chart above signal line is also giving buy signal as it is above the
indicator.
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CHART6
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7 day and 13 day’s Relative Strength Index is taken into consideration. The
indicator is well within the two boundaries. But in both the above RSI charts the
indicators are moving above the reference line in a direction indicating an uptrend. Only
when the indicator crosses the overbought position or the oversold position line, it is a
warning signal to the trader. Thus it shows that it is safe to enter into the F & O contracts
at this point of time
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This is one of the simplest and widely used methods to measure momentum of the
price change over a certain period of time.
Based on above technical analysis a person can enter into either futures contracts
or into options.
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BIBLIOGRAPHY
MAGAZINES
• Business world
• Dalal Street magazine
• Futures and Options
WEB SITES
• Investopedia.com
• Derivativesindia.com
• Nseindia.com
• Bseindia.com
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