Thursday, July 18, 2019
New Century Financial Essay
1. Describe and evaluate New Centuryââ¬â¢s business model? New Century Financial Corporation, headed by founders Brad Morrice, Edward Gotschall, andRobert, was a firm which specialized in subprime mortgages. The company originated, sold, andserviced subprime home mortgage loans. New Century was structured as a real estate investmentà trust (REIT) and was composed of two operating divisions. The Wholesale Loan Division,à known as New Century Mortgage Corporation, comprised 85% of the firmââ¬â¢s loan originations,à while the Retail Mortgage Loan Division operated under Home123 Corporation.à New Century Mortgage Corporation operated in 33 locations throughout 19 different statesà and relied heavily on independent mortgage brokers to identify potential borrowers and assistà them through the loan process until the loans were closed by New Century. This division alsoà purchased funded loans from other lenders and expedited the loan underwriting process throughà its web-based system known as FastQual. The Retail division was comp osed of 235 sales officesà throughout 35 states, a call center, and a web site. This division was aggressive in its approach toà seek out potential borrowers and close loans earning it the nickname ââ¬Å"CloseMore University.â⬠à The company typically originated loans and used short-term loans to fund new mortgagesà until they were sold within 30 to 90 days of origination. New Centuryââ¬â¢s income was generatedà from the difference between the lending rate and rate at which the loans could be sold orà financed and from servicing loans. Loans were sold either as whole loan sales where mortgagesà were pooled together and sold to investors or as securitizations structured as sales. The companyà also carried securitizations structured as financing as assets on their books and used the bondsà to finance the securitized loans as liabilities, thereby generating income based on the differenceà between interest received from borrowers and interest paid to bondhold ers. 2. What were the primary risks faced by New Century? New Centuryââ¬â¢s business model enabled the firm to grow rapidly from 2001 through 2006à as access to capital markets expanded and regulations were relaxed. Loan securitizationà allowed lenders to spread credit risk over a larger number of investors creating anà environment where companies like New Century could lend to subprime borrowers atà higher rates while financing their operations with the lower interest rates provided byà the highly liquid mortgage-backed securities (MBS) markets. These factors fueled theà companyââ¬â¢s growth, but caused the firm to be highly sensitive to risks of increasing interestà rates, declining home sales, and default by less creditworthy borrowers. New Centuryââ¬â¢sà aggressive strategies in pursuing subprime borrowers resulted in increased risk of assetà Additionally, the short-term credit the company obtained in order to finance loanà origination was contingent on New Century meeting certain debt covenants and financia là ratios. Increases in interest rates or regulations or the inability to move new loans off itsà balance sheet could cause the company to be unable to obtain financing to continue fundingà loans. Likewise, a decrease in the difference between the interest rate at which it couldà borrow and the interest rate at which new loans could be closed, would affect income andà may result in noncompliance with net income requirements or debt-ratios imposed by Newà Finally, the loans which New Century sold were pooled together. The investment banksà which purchased the loans would perform a due diligence review on only 25 percent ofà the pool before negotiating the composition and price of the mortgage pool. A ââ¬Å"kick-outâ⬠à clause was included to allow for buyers to reject part of the loan pool for defects such asà faulty documentation, appraisals, or underwriting issues. The buyers could also require Newà Century to repurchase loans which experienced early payment default (EPD). As such, theà company was exposed to risks related to internal controls in monitoring loan processing,à underwriting, and closing which could cause a substantial loss in income due to increasedà kick-outs and repurchased loans. Further aggravating these risks were the companyââ¬â¢sà aggressive tactics in pursuing and closing subprime borrowers such as offering loansà requiring only stated income and assets as opposed to full documentation loans. 3. What were New Centuryââ¬â¢s critical performance variables? How well was Newà Century performing with respect to these critical performance variables?à New Century Financial had performance variables that critically affected its businessà and led to itââ¬â¢s eventual bankruptcy filing. These included liquidity, default rate, and forms ofà The overall rate of default is critical because of its compounding increase in liabilities withà a decrease in assets. A default rate higher than the historic rate would adversely affect theà valuation of many assets in the firmââ¬â¢s financial statements. It is also tied to the demand forà mortgage backed securities, increased default reduces the demand for subprime securitization,à thus reducing New Century Financialââ¬â¢s source of income at a time of increasing obligations. 4. What were the reporting errors identified by the bankruptcy examiner? The bankruptcy examiner noted several inconsistencies with US GAAP. These includedà errors in calculating the loan repurchase reserve, the lower-of-cost-or-market (LCM) valuationà of loans held for sale, and the residual interest valuation. Additionally, the methodology usedà for the allowance for loan losses (ALL) was known by management to be defective as theà companyââ¬â¢s models used poor predictors of future performance to determine the level of reserveà needed. In calculating the repurchase reserve, New Century obtained historic averages andà applied those percentages to loans sold in the last three months as EPD was defined as paymentà default occurring in the first three payments. However, since the repurchases were beingà processed by several different departments within the company depending on the cause of theà repurchase, there was a backlog in obtaining the data in a timely manner. As loan repurchasesà became more frequent, the company continued us ing stale data causing the reserve calculation toà In addition, the company was not properly applying LCM valuation as stated in its ownà company policy. Instead of pooling similar loans to determine to conduct LCM analysis, the firmà was performing the analysis on the disaggregated loans and then grouping the loans togetherà to conduct valuation on the group as a whole. This method resulted in gains from one loanà group offsetting the losses in another causing the LCM valuation to be significantly flawed.à The residual interest valuation methods used were also flawed as the company was usingà discount rates which were lower than those used by others in the industry to compute residualà interest. New Century disregarded numerous warnings from their auditors, KPMG, regardingà the low discount rates and failed to provide documentation to justify or support the valuationà methodology used. Furthermore, prepayment rates and loss rates were estimated using historicalà data related to activity occurring years prior without adjusting for changing market conditionsà which resulted in an overvaluation of residual interest.à While the examiner did not consider the issues in the ALL calculation to be material, thisà issue merits attention because the company had been very aggressive in closing loans, manyà of which were risky stated income and assets loans to subprime borrowers. New Centuryà management was aware that their ALL was flawed, although they believed that they wereà over-reserved and not under-reserved. As with their other accounting estimates, the companyà failed to provide adequate documentation to support assumptions and knowingly relied on poorà predictors, stale data, and defective models. 5. Why did New Century fail? New Century grew rapidly through the late 1990s and early 2000s, however its businessà model was not sustainable for the long term. The company relied heavily on subprime borrowersà and offered them a range of risky loan options. Those subprime loans were pooled together andà securitized in effort to reduce the riskiness of the loan pools. However, as high risk borrowersà found themselves unable to make payments on their loans, a cooling real estate market andà increase in interest rates left subprime mortgagors without little options to get out their loansà Aside from those challenges which were shared by all competitors in the industry at theà time, New Century also had several internal weaknesses. The company was strongly focusedà on sales and loan production, but failed to adequately monitor and control loan quality. Internalà controls were poor and the audit committee did not sufficiently perform its duties to overseeà the internal audit department and addres s operational risks. Internal auditors identified severalà issues regarding loans quality, closings, and servicing, however internal controls over financialà reporting were overlooked. Adding to the companyââ¬â¢s gross lack of controls, was the absenceà of a stated company accounting policy. The examiner pointed out that merely having a policyà in place to address the accounting methodology and estimates would have greatly affected theà companyââ¬â¢s ability to apply appropriate accounting treatment consistent US GAAP.
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