New restrictions on short-selling sovereign debt need to be supported by concrete evidence that links systematically unrestricted short-selling activities to fraud, abuse or market manipulation. OECD debt managers noted that there is plenty of empirical evidence on the benefits of short selling, including more liquidity, pricing efficiency and better allocated risk. However, solid evidence in the form of empirical data on market instability unambiguously caused by unrestricted short-selling activities (to be counted as ‘costs’) seems to be lacking. Debt managers also noted that the reporting requirements will be costly from a purely administrative point of view. A ban on uncovered short selling transactions of sovereign debt would make risk...
During times of market turmoil, market regulators are often called upon to ban short selling. This p...
We study the effects of the short sales regulations issued during the financial crisis of 2008. Spec...
This study examines why non-financial publicly traded firms knowingly issue wealth destroying Rule 1...
The European Short Selling Regulation not only restricts the short selling of shares but (largely in...
Short selling came onto the centre stage during the recent financial crisis when the collapse in pri...
The issue of whether and how to regulate short selling has vexed regulators for some time. While the...
In a well-regulated market with minimal risk of abuse, the liquidity and information efficiency bene...
In the EU, short selling rules were introduced in 2012 (the ‘Regulation’), largely as a consequence ...
An important prerequisite for the efficiency of bail-in as a regulatory tool is that debt holders ar...
The paper discusses the renewed short selling regulation (Regulation (EU) No 236/2012) in the Europe...
The global financial crisis has led to a resurgence of interest in the regulation of short selling a...
In this study we examine whether the Regulation SHO (Reg-SHO) affects bank loan loss provision pract...
Finance theory in asset pricing chapter has long made strong assumptions on short selling. In CAPM f...
This note provides a primer on subordinated bonds, covering a number of key concepts and definition...
WP 2009-21 June 2009JEL Classification Codes: G15; G12This paper contributes empirical evidence to t...
During times of market turmoil, market regulators are often called upon to ban short selling. This p...
We study the effects of the short sales regulations issued during the financial crisis of 2008. Spec...
This study examines why non-financial publicly traded firms knowingly issue wealth destroying Rule 1...
The European Short Selling Regulation not only restricts the short selling of shares but (largely in...
Short selling came onto the centre stage during the recent financial crisis when the collapse in pri...
The issue of whether and how to regulate short selling has vexed regulators for some time. While the...
In a well-regulated market with minimal risk of abuse, the liquidity and information efficiency bene...
In the EU, short selling rules were introduced in 2012 (the ‘Regulation’), largely as a consequence ...
An important prerequisite for the efficiency of bail-in as a regulatory tool is that debt holders ar...
The paper discusses the renewed short selling regulation (Regulation (EU) No 236/2012) in the Europe...
The global financial crisis has led to a resurgence of interest in the regulation of short selling a...
In this study we examine whether the Regulation SHO (Reg-SHO) affects bank loan loss provision pract...
Finance theory in asset pricing chapter has long made strong assumptions on short selling. In CAPM f...
This note provides a primer on subordinated bonds, covering a number of key concepts and definition...
WP 2009-21 June 2009JEL Classification Codes: G15; G12This paper contributes empirical evidence to t...
During times of market turmoil, market regulators are often called upon to ban short selling. This p...
We study the effects of the short sales regulations issued during the financial crisis of 2008. Spec...
This study examines why non-financial publicly traded firms knowingly issue wealth destroying Rule 1...