As Joindre we always follow Exchanges Guidelines in regard to Risk Management to run our business as per the SEBI/Exchanges Rules, Regulations, Guidelines, Circulars etc in relation to same please refer following points for more clarifications in regard to your trades and margins thereon. We are referring here NSE Guidelines.
NSCCL has developed a comprehensive risk containment mechanism for the Futures & Options segment. The most critical component of a risk containment mechanism for NSCCL is the online position monitoring and margining system. The actual margining and position monitoring is done on-line, on an intra-day basis. NSCCL uses the SPAN® (Standard Portfolio Analysis of Risk) system for the purpose of margining, which is a portfolio based system.
NSCCL collects initial margin up-front for all the open positions of a CM based on the margins computed by NSCCL-SPAN®. A CM is in turn required to collect the initial margin from the TMs and his respective clients. Similarly, Joindre should collect upfront margins from their clients.
Initial margin requirements are based on 99% value at risk over a one day time horizon. However, in the case of futures contracts (on index or individual securities), where it may not be possible to collect mark to market settlement value, before the commencement of trading on the next day, the initial margin is computed over a two-day time horizon, applying the appropriate statistical formula. The methodology for computation of Value at Risk percentage is as per the recommendations of SEBI from time to time.
For client positions - is netted at the level of individual client and grossed across all clients, at the Trading/ Clearing Member level, without any setoffs between clients.
For the purpose of SPAN Margin, various parameters are specified from time to time.In case a trading member wishes to take additional trading positions their CM is required to provide Additional Base Capital (ABC) to NSCCL. ABC can be provided by the members in the form of Cash, Bank Guarantee, Fixed Deposit Receipts and approved securities.
Clearing members may provide additional margin/collateral deposit (additional base capital) to NSCCL and/or may wish to retain deposits and/or such amounts which are receivable from NSCCL, over and above their minimum deposit requirements, towards initial margin and/ or other obligations.
Clearing members may submit such deposits in any one form or combination of the following forms:
Fixed Deposit Receipts (FDRs) issued by approved banks and deposited with approved Custodians or NSCCL
Bank Guarantee in favour of NSCCL from approved banks in the specified format.
Approved securities in demat form deposited with approved Custodians.
In addition to Span Margin, Premium Margin is charged to member for their client’s position. The premium margin is the client wise premium amount payable by the buyer of the option and is levied till the completion of pay-in towards the premium settlement.
Assignment Margin is levied on a CM in addition to SPAN margin and Premium Margin. It is levied on assigned positions of CMs towards interim and final exercise settlement obligations for option contracts on index and individual securities till the pay-in towards exercise settlement is complete.
The Assignment Margin is the net exercise settlement value payable by a Clearing Member towards interim and final exercise settlement and is deducted from the effective deposits of the Clearing Member available towards margins.
All collateral deposits made by CMs are segregated into cash component and non-cash component.
For Additional Base Capital, cash component means cash, bank guarantee, fixed deposit receipts, T-bills and dated government securities. Non-cash component shall mean all other forms of collateral deposits like deposit of approved demat securities.
At least 50% of the Effective Deposits should be in the form of cash.
Liquid Networth is computed by reducing the initial margin payable at any point in time from the effective deposits.
The Liquid Networth maintained by CMs (referred to as Minimum Liquid Net Worth). Assignment margin is released to the CMs for exercise settlement pay-in.
Initial Margin requirement = Total SPAN Margin Requirement + Buy Premium + Assignment Margin.
The exposure margins for options and futures contracts on index are as follows:
3% of the notional value of a futures contract. In case of options it is charged only on short positions and is 3% of the notional value of open positions.
The higher of 5% or 1.5 standard deviation of the notional value of gross open position in futures on individual securities and gross short open positions in options on individual securities in a particular underlying. The standard deviation of daily logarithmic returns of prices in the underlying stock in the cash market in the last six months is computed on a rolling and monthly basis at the end of each month.
-For a futures contract - the contract value at last traded price/ closing price
-For an options contract - the value of an equivalent number of shares as conveyed by the options contract, in the underlying market, based on the last available closing price.
In case of calendar spread positions in futures contract, exposure margins are levied on one third of the value of open position of the far month futures contract. The calendar spread position is granted calendar spread treatment till the expiry of the near month contract.