Apr 26, 2019
Cadwalader advised the Federal Reserve's Alternative Reference Rates Committee (ARRC) in the drafting of recommended contractual fallback language for U.S. dollar LIBOR denominated floating rate notes and syndicated loans.
This language is intended for voluntary use in new contracts that reference LIBOR, with the aim of reducing the risk of market disruption in the event that LIBOR is no longer available, which may occur by the end of 2021.
These new provisions are the latest step in the ARRC’s efforts to help address risks in contracts that reference LIBOR and also contributes to the larger transition plan for its recommended alternative reference rate, the Secured Overnight Financing Rate (SOFR).
For further detail on the ARRC’s recommended fallback language for floating rate notes and syndicated loans, read its full press release here.
Cadwalader’s LIBOR Preparedness Team is headed by partner Lary Stromfeld, who along with partner Jeff Nagle worked as drafting counsel for this fallback language. Cadwalader’s LIBOR Preparedness Team can be reached here.
In 2018, Cadwalader was selected by ARRC to assist in guiding the post-LIBOR financial world in developing best practices for fallback language across all cash products. LIBOR, the London Interbank Offered Rate, is one of several “benchmark” interest rates used in over $400 trillion of financial transactions around the world, including derivatives, corporate and consumer loans, bonds and securitizations. Since 2012 global regulators have been concerned about the integrity of these benchmark rates. Over the past couple years, global regulators and market participants have stepped up efforts to transition away from these benchmark rates and to replace them with new rates that are more liquid and transparent. The effort to replace LIBOR is being coordinated in the US by the Federal Reserve.
We have provided a compendium of our materials to help you navigate this unprecedented environment.