Market Support Programs
Canada: Corporate Bond Purchase Program
Operational: May 26, 2020
Purpose
To support “the liquidity and proper functioning of the corporate debt market” (BoC 2020n).
Key Terms
- Launch DatesAnnounced: April 15, 2020
- Operational DateMay 26, 2020
- End DateMay 26, 2021
- Legal AuthorityParagraph 18(g) of the Bank of Canada Act
- Source(s) of FundingBoC expanded balance sheet
- AdministratorTD Asset Management administered and Canadian Imperial Bank of Commerce Mellon supported the program as custodian
- Overall SizeMax CAD 10 billion worth of bonds at par value
- Covered MaturitiesRemaining term to maturity of five years or less at purchase time
- Interest / Haircut RateSpread undisclosed to the public
- Eligible Collateral (or Purchased Assets)CAD-denominated senior secured or senior unsecured corporate bonds issued by eligible participants that met certain rating requirements
- Peak UtilizationCAD 218 million on March 24, 2021
The Bank of Canada (BoC) activated its Corporate Bond Purchase Program (CBPP) from May 26, 2020, to May 26, 2021, in response to liquidity strains in corporate bond markets that stemmed from economic uncertainty and the COVID-19 pandemic. Policymakers enacted the CBPP as part of a broader suite of policies meant to stabilize the Canadian economy. Through the CBPP, the BoC purchased Canadian corporate bonds through a tender process on the secondary market. The CBPP could hold up to CAD 10 billion (USD 7.7 billion) par value of eligible bonds issued by specific non-deposit-taking firms incorporated in Canada. The bonds had to meet certain rating requirements, though the BoC allowed certain bonds downgraded after the start of the pandemic to remain eligible. The BoC would not purchase more than 10% of the par value of eligible assets that were outstanding on April 15, 2020 from a particular eligible issuer. CBPP utilization peaked at CAD 218 million in bonds on March 24, 2021. Assets from the financial and energy sectors made up most of the BoC’s corporate bond holdings. Corporate bond market liquidity improved rapidly after the CBPP’s implementation.
Canada, in line with other countries, imposed lockdowns and travel restrictions in March 2020 in response to the spread of COVID-19, stressing its financial system and broader economy. Canadian corporate bond markets experienced “little or no activity in the early weeks of the crisis” (Gravelle and Wilkins 2021, 71). The tight liquidity conditions hindered business funding costs and firms’ ability to raise cash, and Canadian corporations fell back on bank credit lines (BoC 2020k).
Canada’s non-financial corporate sector is particularly reliant on non-bank credit. The amount of bonds outstanding issued by these Canadian firms increased to CAD 467 billion in 2009 from CAD 205 billion in 2008 (about USD 158 billion to USD 355 billion),FNPer Federal Reserve Foreign Exchange Rate data, USD 1 = CAD 1.30 on December 31, 2019. with all sectors showing an increase. Moreover, Bank of Canada (BoC) researchers found that compared with the average Canadian firm, corporations most affected by COVID-19 lockdowns, which represent about one-third of corporate revenue in the country, had less cash relative to their short-term financial obligations (BoC 2020k).
BoC policymakers activated a variety of market liquidity measures, including the Corporate Bond Purchase Program, which purchased Canadian corporate bonds through a tender process in the secondary market. The CBPP could hold up to CAD 10 billion par value of eligible bonds issued by specific non-deposit-taking firms [DF1] incorporated in Canada.FNThe BoC specified a list of eligible corporations in six specific sectors. See the Eligible Institutions key design decision for a list of these firms. The bonds had to be CAD-denominated senior secured or senior unsecured corporate bonds and included in the FTSE Canada 0 Year Universe Bond Index Series (BoC 2020n). The assets also had to have at least one rating of BBB Mid/BBB/Baa2 or higher for the senior unsecured rating or long-term foreign issuer credit rating assigned by any of DBRS Morningstar, Standard & Poor’s, Moody’s Investors Service, and Fitch Ratings, as of April 15, 2020. The CBPP allowed bonds that were downgraded below BoC standards after April 15, 2020, to remain eligible for participation, granted they retained at least one rating of BBB Low/BBB-/Baa3 or higher. The BoC would not purchase more than 10% of the par value of eligible assets that were outstanding from a particular eligible issuer on April 15, 2020 (BoC 2020n). The central bank did not publicize its pricing methodology.
CBPP utilization peaked at CAD 218 million on March 24, 2021, and purchases later slowed as market conditions improved. The BoC aimed to purchase bonds that would roughly reflect a reference portfolio based on sectoral shares of eligible assets outstanding, and it was largely successful, though its holdings of bonds from the communication sector were substantially smaller than the reference portfolio. Bonds from the financial and energy sectors made up most of the BoC’s corporate bond holdings (BoC 2020n).
Little research has been done on the CBPP’s effectiveness alone. Even so, a calculation the BoC used in 2020 called the price-impact proxy, which measures the temporary impact of a trade on the price of a bond, showed a spike in illiquidity at the start of the pandemic that fell rapidly after the central bank’s interventions, including the CBPP’s introduction. Corporate bond market liquidity measures behaved in a similar manner (BoC 2020k). Yields on corporate bonds declined after the BoC began CBPP purchases, with yields ticking up at the start of 2021 (see Figure 1).
Figure 1: CBPP Operations
Source: Bank of Canada.
Though purchases were “limited” (BoC 2020l, 28), the program reduced illiquidity in corporate bonds, Jeremy Kronick, a former BoC economist, noted (Andolfatto, Nelson, and Kronick 2020). BoC researchers said these direct purchases “circumvented the limits of commercial banks” to directly meet the large demand for credit and money (Fontaine et al. 2021, 27).
Despite positive evaluation of the program, Kronick, and Steve Ambler, a researcher at the Canadian nonprofit research think tank C.D. Howe Institute, commented that the BoC’s “ventures” into private debt markets raised political and credit risk for the central bank (Ambler and Kronick 2020, 8). They argued that the purchases “may flatten yield spreads and hide the market’s judgement concerning the relative riskiness of different assets” (Ambler and Kronick 2020, 8).
Key Design Decisions
Purpose1
The Bank of Canada (BoC) announced in mid-April that it would activate a Corporate Bond Purchase Program (CBPP) (BoC 2020e) and formally launched the facility on May 26, 2020, to “support the liquidity and proper functioning of the corporate debt market” (BoC 2020f).
Part of a Package1
Policymakers established the CBPP as part of a broader suite of financial stabilization and liquidity provision measures that the BoC implemented in early 2020 in response to the COVID-19 pandemic. Other policies included (BoC 2020j):
- Lowering the target for the overnight rate by a cumulative 150 basis points to the effective lower bound of 0.25%;
- Launching the Bankers’ Acceptance Purchase Facility;
- Introducing a program to purchase Canada Mortgage Bonds in the secondary market;
- Introducing the Provincial Money Market Purchase Program;
- Introducing the Commercial Paper Purchase Program;
- Launching a program to purchase Government of Canada securities in the secondary market (minimum of CAD 5 billion per week, across the yield curve);
- Enhancing term repo operations;
- Coordinating with international policymakers for US-dollar liquidity and announcing that a US-dollar term repo facility would be made available on a contingency basis (should the need arise);
- Launching the Standing Term Liquidity Facility; and
- Launching the Contingent Term Repo Facility.
Legal Authority1
Paragraph 18(g) of the Bank of Canada Act gives the Bank of Canada broad discretion to buy and sell securities in normal times (18(g)(i))FNPrior to the Global Financial Crisis, the Bank of Canada Act limited the securities that the BoC could buy and sell in normal times to short-term (less than 180-day) credit endorsed, accepted, or issued by a bank (BoC 2004; BoC 2008). In 2008, Parliament broadened the scope of 18(g)(i) to allow the purchase or sale of any security issued by any person, other than equity interests. The 2008 revision also clarified that the BoC had this authority either “for the purposes of conducting monetary policy or promoting the stability of the Canadian financial system.” and in crisis times (18(g)(ii)).FNSubparagraph 18(g)(ii) allows the bank to purchase any security in a crisis “if the Governor is of the opinion that there is a severe and unusual stress on a financial market or the financial system” (Bank of Canada Act 1985). This power has been in the Act since 2001. Since 2008, the Act has allowed the bank to trade in virtually any security except equity interests in normal times; the crisis authority also extends to equities. The Act requires the Bank to establish and publish a policy statement describing how it will administer 18(g)(i).
To date, the Bank has never acted under the crisis authority in 18(g)(ii). Instead, the Bank justified all emergency measures during the pandemic crisis by revising its policy statement under 18(g)(i).
As mentioned in the Part of a Package key design decision, the BoC cut interest rates to 0.25% by the end of March 2020, a level the bank’s Governing Council considered the effective lower bound (BoC 2020i). Theoretically, hitting an effective lower bound renders stimulus attempts via monetary policy less effective, so the BoC created the CBPP and began purchasing government bonds to stimulate demand (Witmer and Yang 2016; Gravelle and Wilkins 2021).FNSee the YPFS Market Support case about the Government of Canada Bond Purchase Program. These purchases were the BoC’s first exercises in quantitative easing (BoC 2009; Hertzberg and Duarte 2020).
Governance1
The BoC is required to release audited financial statements (Bank of Canada Act 1985). Section 28 of the Bank of Canada Act (1985) also enables the Minister of Finance to appoint BoC auditors and to require that those auditors report on bank affairs to the Minister “from time to time.”
Administration1
CBPP purchases were transacted through a tender offer process (an auction), and eligible participants were given a list of eligible assets. The BoC required participants to submit their offers to sell eligible assets through authorized dealers. The dealers would then communicate those offers to TD Asset Management (TDAM), which acted as an agent for the BoC. Canadian Imperial Bank of Commerce Mellon held the assets as custodian. The BoC emphasized that it could change its administration strategy at any point during the CBPP’s operation (BoC 2020c).
Communication1
BoC policymakers stated in the notice announcing the CBPP that a well-functioning Canadian-dollar corporate bond market, which was experiencing strains at the time, aids the broader Canadian economy because it helps firms access necessary longer-term finance to support their operations. Thus, by providing the needed liquidity, the BoC and the CBPP “serve[d] Canadians” (BoC 2020e).
Disclosure1
The Bank of Canada Act requires the central bank to publish aggregate financial information about its assets and liabilities every week on its website (Bank of Canada Act 1985). The BoC published transaction-level data for the CBPP, and it published its aggregate corporate bond holdings by sector with a one-month lag (BoC 2020c), exceeding the Act’s requirements (Bank of Canada Act 1985).FNSee Annex 1 for detailed transaction-level data.
SPV Involvement1
This key design decision does not apply to the CBPP.
Program Size1
BoC policymakers also stated that they could raise the limitation if market conditions warranted an expansion (BoC 2020e). The central bank announced that, on an issuer basis, the BoC would not hold more than 10% of the par value of eligible assets that were outstanding on April 15, 2020 (BoC 2020n).
CBPP utilization peaked at CAD 218 million of bonds on March 24, 2021, and purchases have slowed since as market conditions have improved (see Figure 2).
Figure 2: Bank of Canada’s Corporate Bond Assets
Source: Bank of Canada.
The BoC aimed to purchase bonds that would roughly reflect a reference portfolio based on sectoral shares of eligible assets outstanding (BoC 2020n). The central bank was largely successful, though its holdings of bonds from the communication sector were substantially smaller than the reference portfolio.FNThe BoC noted that the makeup would depend on market conditions and the specific assets offered to the BoC during the tender process (BoC 2020n). Bonds from the financial and energy sectors made up most of the BoC’s corporate bond holdings (see Figure 3).
Figure 3: Sectoral Breakdown of Bank of Canada Corporate Bond Holdings
Source: BoC 2020n.
Source(s) of Funding1
The CBPP’s enactment (BoC 2021a), as well as the implementation of other asset purchase programs, rapidly expanded the BoC’s balance sheet during the worst part of the pandemic in 2020, from March to June, leaving the central bank’s ledger at historic highs (see Figure 4). CBPP purchases made up a small proportion of the growth.
Figure 4: Bank of Canada Total Assets
Source: Bank of Canada.
The BoC and the Canadian government entered into an agreement by which the government would indemnify the central bank from losses resulting from asset sales through the CBPP, whereas gains on asset disposal would be remitted (BoC 2020m).
Eligible Institutions1
The BoC published a list of six eligible sectors and various bond issuers therein (BoC 2020b) (see Figure 5). Issuers from this list that experienced ratings downgrades and could no longer maintain at least one rating of BBB Mid/BBB/Baa2 or higher would continue to be eligible for the CBPP, but they had to have at least one rating of BBB Low/BBB-/Baa3 or higher (BoC 2020c).
Figure 5: List of Corporate Bond Purchase Program Eligible Sectors and Issuers
Source: BoC 2020a.
Months after BoC officials enacted the CBPP, the central bank on October 6, 2020, expanded eligibility to allow certain buy-side participants to offer bonds into the program (BoC 2020g). Participants had to either be a portfolio manager registered with a provincial securities commission or a federally or provincially regulated Canadian pension plan (BoC 2020a; BoC 2020g). These new participants had to submit their offers to the CBPP through eligible primary dealers (BoC 2020a; BoC 2020g).
Primary dealers for Government of Canada bonds that were previously approved by the BoC were eligible to facilitate the CBPP bond purchases. The eligible dealers were (BoC 2020n; BoC 2020h):
- BMO Nesbitt Burns Inc.;
- Casgrain & Company Limited;
- CIBC World Markets Inc.;
- Desjardins Securities Inc.;
- HSBC Securities (Canada) Inc.;
- Merrill Lynch Canada Inc.;
- Laurentian Bank Securities Inc.;
- National Bank Financial Inc.;
- RBC Dominion Securities Inc.;
- Scotia Capital Inc.; and
- Toronto-Dominion Bank.
Auction or Standing Facility1
For each tender process, the BoC provided eligible participants advance notice of assets eligible for CBPP purchase. Authorized dealers would communicate eligible participants’ offers to sell given amounts of eligible assets at a specified spread to a TDAM account that the BoC held (BoC 2020c).
Loan or Purchase1
BoC Deputy Governor Toni Gravelle said in March 2021 that the BoC had no plans to sell the corporate bonds on its balance sheet (Gravelle 2021).
Eligible Collateral or Assets1
The BoC aimed to purchase bonds that would roughly reflect a reference portfolio based on sectoral shares of eligible assets outstanding (BoC 2020n).
The bonds must have been included in the FTSE Canada 0 Year Universe Bond Index Series. Eligible assets also had to have at least one rating of BBB Mid/BBB/Baa2 or higher for the senior unsecured rating or long-term foreign issuer credit rating assigned by any of DBRS Morningstar, Standard & Poor’s, Moody’s Investors Service, and Fitch Ratings, as of April 15, 2020. Bonds that were subsequently downgraded after April 15, 2020, and no longer retained at least one rating of BBB Mid/BBB/Baa2 or higher were still eligible for the program, given they retained at least one rating of BBB Low/BBB-/Baa3 or higher. However, if a participant failed to maintain at least one rating of BBB Low/BBB-/Baa3 or higher, it would lose participation eligibility (BoC 2020n).
The minimum tender amount per security was CAD 1 million par amount. Eligible assets had to have a remaining term to maturity of five years or less at the time of purchase (BoC 2020n).
Floating rate notes and sinking fund bonds were ineligible (BoC 2020n).
Loan Amounts (or Purchase Price)1
The central bank reserved the right to adjust its pricing and portfolio requirements as it deemed necessary (BoC 2020c). Further detail on the BoC’s pricing policy is unavailable with currently published BoC documentation.
Deputy Governor Gravelle said the BoC set “conservative reserve prices” below which the BoC would not purchase corporate bonds in an attempt to constrain the unwarranted use of the CBPP and other purchase facilities (Gravelle 2021, 5).
The BoC would not hold more than 10% of the par value of an eligible participant’s eligible assets outstanding on April 15, 2020. The overall program size was limited to a total of
CAD 10 billion of eligible assets (BoC 2020c).\
Haircuts1
Details on how this spread was calculated and applied are unavailable with published BoC documentation (BoC 2020c).
Interest Rate1
This key design decision does not apply to the CBPP.
Fees1
This key design decision does not apply to the CBPP.
Term1
This key design decision does not apply to the CBPP.
Other Conditions1
The BoC did not publicly publish any limitations on stock purchases or executive compensation.
Regulatory Relief1
This key design decision does not apply to the CBPP.
International Cooperation1
This key design decision does not apply to the CBPP.
Duration1
At the end of March 2021, Deputy Governor Gravelle said corporate borrowers had “unfettered access” to “fully functional” debt markets, and thus, the BoC had no reason to extend the CBPP (Gravelle 2021, 6; BoC 2021b). He also said the BoC did not plan to sell any assets purchased through the CBPP (Gravelle 2021).
Key Program Documents
(BoC 2020a) Bank of Canada (BoC). 2020. “Buy-Side Registration and Terms and Conditions.” Form.
Bank of Canada form for buy-side registrants.
(BoC 2020b) Bank of Canada (BoC). 2020. “Corporate Bond Purchase Program—List of Eligible Sectors and Issuers.” Webpage.
Bank of Canada webpage listing the sectors and issuers eligible for CBPP participation.
(BoC 2020c) Bank of Canada (BoC). 2020. “Corporate Bond Purchase Program (CBPP)—Term Sheet.” Term Sheet.
Bank of Canada term sheet outlining CBPP logistics.
(BoC 2020d) Bank of Canada (BoC). April 3, 2020. “Contingent Term Repo Facility: Terms and Conditions.” Terms and Conditions.
Bank of Canada webpage detailing its Contingent Term Repo Facility terms and conditions.
(BoC 2020e) Bank of Canada (BoC). April 15, 2020. “Bank of Canada to Introduce a Corporate Bond Purchase Program.” Notice.
Bank of Canada notice announcing the intention to create a corporate bond purchase program.
(BoC 2020f) Bank of Canada (BoC). May 19, 2020. “Operational Details for the Corporate Bond Purchase Program.” Notice.
Bank of Canada notice publishing operational details for the CBPP.
(BoC 2020g) Bank of Canada (BoC). October 6, 2020. “Corporate Bond Purchase Program Expanded to Buy-Side Participants.” Market Notice.
Bank of Canada market notice announcing the CBPP’s expansion to buy-side participants.
(BoC 2020n) Bank of Canada (BoC). 2020. “Corporate Bond Purchase Program.” Webpage.
Bank of Canada webpage detailing CBPP logistics.
Key Program Documents
(Bank of Canada Act 1985) 1985. c. B-2 R.S.C., 1985.
Canadian law establishing the Bank of Canada and outlining its purpose and powers.
(BoC 2004) Bank of Canada (BoC). December 15, 2004. “Bank of Canada Act—Version of Section 18 from 2004-12-15 to 2008-08-04.” Bank of Canada/Central Bank of Canada/La Banque du Canada. Yale Program on Financial Stability Resource Library.
Previous version of Section 18(g) of the Bank of Canada Act demonstrating the circumstances under which the Bank may purchase assets.
(BoC 2008) Bank of Canada (BoC). August 5, 2008. “Bank of Canada Act—Version of Section 18 from 2008-08-05 to 2014-06-18.” Bank of Canada/Central Bank of Canada/La Banque du Canada. Yale Program on Financial Stability Resource Library.
Previous version of Section 18(g) of the Bank of Canada Act demonstrating the circumstances under which the Bank may purchase assets.
(BoC 2021a) Bank of Canada (BoC). April 8, 2021. “Statement of Policy Governing the Acquisition and Management of Financial Assets for the Bank of Canada’s Balance Sheet.” Statement of Policy.
Bank of Canada policy document outlining the central bank’s standards for asset acquisition and management.
Key Program Documents
(Hertzberg and Duarte 2020) Hertzberg, Erik, and Esteban Duarte. April 1, 2020. “Bank of Canada Starts Quantitative Easing with $1 Billion Bond Purchase.” BNN Bloomberg. Toronto.
BNN Bloomberg article detailing the Bank of Canada’s new quantitative easing program.
Key Program Documents
(BoC 2020h) Bank of Canada (BoC). 2020. “Government Securities Auctions.” Webpage.
Bank of Canada webpage listing primary dealers and Government of Canada securities distributors.
(BoC 2020i) Bank of Canada (BoC). March 27, 2020. “Bank of Canada Lowers Overnight Rate Target to ¼ Percent.” Bank of Canada. Yale Program on Financial Stability Resource Library.
Bank of Canada notice announcing an interest rate cut in response to COVID-19.
(BoC 2021b) Bank of Canada (BoC). March 23, 2021. “Bank of Canada Announces the Discontinuation of Market Functioning Programs Introduced during COVID-19.” Notice.
Bank of Canada notice announcing the cessation of various market interventions.
Key Program Documents
(Andolfatto, Nelson, and Kronick 2020) Andolfatto, David, William Nelson, and Jeremy Kronick. June 23, 2020. “Modernizing Liquidity Provision.” Panel discussion presented at A Fed for Next Time: Ideas for a Crisis‐Ready Central Bank, Live Online, June 23.
Panel discussion at a Cato Institute online conference regarding market liquidity programs implemented during the COVID-19 pandemic.
(BoC 2020j) Bank of Canada (BoC). April 2020. “Monetary Policy Report—April 2020.” Bank of Canada.
Quarterly report of the Bank of Canada’s Governing Council presenting the Bank’s base-case projection for inflation and growth in the Canadian economy, and its assessment of risks.
(BoC 2020k) Bank of Canada (BoC). May 14, 2020. “Financial System Review—2020.” Financial System Review.
Bank of Canada annual study analyzing the impact of COVID-19 on the Canadian financial system.
(BoC 2020l) Bank of Canada (BoC). July 2020. “Monetary Policy Report—July 2020.”
Quarterly report of the Bank of Canada’s Governing Council presenting the Bank’s base-case projection for inflation and growth in the Canadian economy, and its assessment of risks.
(BoC 2020m) Bank of Canada (BoC). August 28, 2020. “Quarterly Financial Report—Second Quarter 2020.”
Bank of Canada quarterly report describing financial conditions for the period ending June 30, 2020.
(Fontaine, Garriott, Johal, Lee, and Uthemann 2021) Fontaine, Jean-Sébastien, Corey Garriott, Jesse Johal, Jessica Lee, and Andreas Uthemann. February 24, 2021. “COVID-19 Crisis: Lessons Learned for Future Policy Research.” 2021–2.
Bank of Canada Staff Discussion Paper reviewing the initial impacts of the COVID-19 crisis on Canadian fixed-income markets.
(Gravelle 2021) Gravelle, Toni. March 23, 2021. “Market Stress Relief: The Role of the Bank of Canada’s Balance Sheet.” Speech presented at the CFA Society Toronto, Toronto, Ontario, March 23.
Bank of Canada Deputy Governor Toni Gravelle’s speech regarding the central bank’s actions during the COVID-19 economic downturn.
(Gravelle and Wilkins 2021) Gravelle, Toni, and Carolyn A. Wilkins. 2021. “The Bank of Canada’s Response in 2020 to the Covid-19 Pandemic.” Monetary Policy and Central Banking in the Covid Era, 61–79. Edited by Bill English, Kristin Forbes, and Angel Ubide. London: CEPR Press.
Book chapter focusing on the actions taken by the Bank of Canada to address the economic and financial market fallout from the pandemic.
Key Program Documents
(Ambler and Kronick 2020) Ambler, Steve, and Jeremy M. Kronick. October 8, 2020. “Canadian Monetary Policy in the Time of COVID-19.”
C. D. Howe Institute report examining the Bank of Canada’s interventions in 2020.
(BoC 2009) Bank of Canada (BoC). April 2009. “Monetary Policy Report—April 2009.”
Bank of Canada monetary policy report for April 2009.
(Witmer and Yang 2016) Witmer, Jonathan, and Jing Yang. Spring 2016. “Estimating Canada’s Effective Lower Bound.” Bank of Canada Review.
Bank of Canada Review article gauging the country’s effective lower bound, which was, according to its authors, likely to be around -50 basis points.
Figure 6: Bank of Canada Corporate Bond Purchase Program Transaction Data
Source: Bank of Canada.
Taxonomy
Intervention Categories:
- Market Support Programs
Countries and Regions:
- Canada
Crises:
- COVID-19