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F I S C A L I M P A C T R E P O R T
SPONSOR Altamirano
ORIGINAL DATE
LAST UPDATED
2/12/07
2/28/07 HB
SHORT TITLE Hedging of Oil & Gas Revenues
SB 763
ANALYST Francis
APPROPRIATION (dollars in thousands)
Appropriation
Recurring
or Non-Rec
Fund
Affected
FY07
FY08
*See Narrative
(Parenthesis ( ) Indicate Expenditure Decreases)
REVENUE (dollars in thousands)
Estimated Revenue
Recurring
or Non-Rec
Fund
Affected
FY07
FY08
FY09
*See Narrative
(Parenthesis ( ) Indicate Revenue Decreases)
ESTIMATED ADDITIONAL OPERATING BUDGET IMPACT (dollars in thousands)
FY07
FY08
FY09 3 Year
Total Cost
Recurring
or Non-Rec
Fund
Affected
Total
*See Administrative Impact
(Parenthesis ( ) Indicate Expenditure Decreases)
Duplicates HB 601
SOURCES OF INFORMATION
LFC Files
Taxation and Revenue Department (TRD)
Alaska Department of Revenue (ADR)
Responses Received From
Board of Finance (BOF)
pg_0002
Senate Bill 763 – Page
2
SUMMARY
Synopsis of Bill
Senate Bill 763 would allow the Board of Finance (BOF) to invest 10 percent of severance tax
revenues distributed to the severance tax bonding fund or the general fund in oil and natural gas
price hedging contracts. The contracts can only be with qualified counterparties, a top rated
entity, for no more than five years in duration. The contract must be with a publicly traded index
such as the Henry Hub natural gas contract and the West Texas Intermediate (WTI) crude oil
contract, both traded on the New York Mercantile Exchange (NYMEX). Hedging contracts are
derivatives of the price of a particular commodity and include swap agreements, futures, options,
forward rate transactions, cap transactions, floor transactions, and collar transactions.
BOF can only enter into contracts with the lesser of 10 percent of the oil and gas volume subject
to severance taxes in the current fiscal year as defined by the consensus revenue estimating
group or 10 percent of prior year volume.
SB 763 also appropriates to BOF the amount necessary if a net payment is required to the
counterparty. The appropriation is from the severance tax revenues to be deposited in either the
general fund or the severance tax bonding fund. Revenues resulting in net payments to BOF will
be deposited in the appropriate fund as though they were derived from oil and gas severance.
BOF staff must report monthly on the status of any hedging contract to the board and annually to
the legislature. There is no effective date indicated so it will be effective June 15, 2007 by
default.
FISCAL IMPLICATIONS
Depending on the structure, hedging contracts necessarily imply no fiscal impact because they
will be designed to generate revenues already projected by the consensus revenue estimating
group. In other words, they will be designed to protect the projected revenues rather than
generate additional revenue. Due to the risk in trading derivatives, there is bound to be periods
where there is a positive impact on revenues and periods where there is a negative impact. Some
types of derivatives will have higher commissions, fees and/or premiums than others and these
will have to be paid regardless of the success or failure of the transaction.
Types of Oil and Gas Derivatives
SB 763 allows BOF to engage in several types of derivatives. The most common and the ones
likely to be considered are the floor, the swap and the collar. However, derivatives can be as
complicated as one wants and as they get more complex, the greater the danger of overexposure.
The examples below use actual data and relate to natural gas only and the oil and gas
emergency school tax. Adding in the other general fund taxes and doing the same analysis
for oil production and also for severance taxes increases the impacts.
Floor. The floor is probably the most obvious since it is essentially “insurance" against the price
falling below a certain price. Much like auto insurance, the state will likely pay the insurance
without any benefit. If the price is above the insured floor, the state pays the premium.
pg_0003
Senate Bill 763 – Page
3
When the price falls below the floor (or when a driver gets into an accident), the insurance kicks
in. A floor is an option to sell at a guaranteed price. The price is set by the distance from the
current market average. For example, if the current price is $7.00, a floor of $6.00 would cost
less than a floor of $6.50. Setting a floor protects downside risk and the only loss is the premium
to buy the option. In Table 1, there are examples how a floor would work. Using the same strike
price, the price at which the option is exercise, for a floor option as BOF analysis of $6.30/mcf,
the cost of the premium is $2.5 million at $0.51/mcf.
1
If the price meets or exceeds the estimate
of $6.30, the cost is $2.5 million or the premium. If the price is below the strike price by more
than $0.51/mcf, the option is exercised and the state receives additional revenues. To recoup the
premium the price has to fall below $5.79/mcf. As table 1 indicates, a price of $5.00/mcf would
generate $3.9 million net of the premium. The column “Unhedged" is the revenue that would
have been generated at each price level with no hedging. The column “Hedged" is 90 percent of
the revenue unhedged plus 10 percent hedged net of the premium. If the price had dropped to
$2.00 per mcf, the hedge would have saved $18.8 million. If the price increased to $9.00, the
hedge would have cost the amount of the premium or $2.5 million.
Table 1: Hedging at Work – Floor Option
$/MCF
Unhedged
Hedged*
Difference
2.00
89,268,480
108,064,454
18,795,974
3.00
133,902,720
147,739,334
13,836,614
4.00
178,536,960
187,414,214
8,877,254
5.00
223,171,200
227,089,094
3,917,894
5.79
258,432,250
258,432,250
-
6.00
267,805,440
266,763,974
(1,041,466)
6.30
281,195,712
278,666,438
(2,529,274)
7.00
312,439,680
309,910,406
(2,529,274)
8.00
357,073,920
354,544,646
(2,529,274)
9.00
401,708,160
399,178,886
(2,529,274)
* includes $2.5 million premium at $0.51/mcf
Net Revenue
Collar. A collar is a matched set of options. One option, a put, is an option to sell at a certain
price or a floor. The other option is the call, an option to buy at a certain price, a ceiling. The
two matched create a “safe haven" for the price and the two options can be matched in such a
way that the price the state pays for the put equals the price the state receives for the call. For
example, if the BOF can purchase an option to sell at $6.30 for $0.51/mcf, there exists a
companion “option to buy" that is priced at $0.51/mcf that BOF can enter into. This means there
exists a counterparty (trader) who is willing to pay BOF a premium for a certain price. BOF
reports that $8.75 call can be sold at a price that would offset the cost of a $6.30 put (Figure 1).
The area between the floor of $6.30 and the ceiling of $8.75 is the safe haven.
1
The premium is based on the distance a desired strike price is from the current price. For example, if the price is
$7.00/mcf, a floor of $5.00 will be less expensive than a floor of $6.00. A premium of $0.51/mcf means that the
price of the option to sell a natural gas contract at $6.30 is $0.51 for every mcf in the contract.
pg_0004
Senate Bill 763 – Page
4
Figure 1: Example of Costless collar
$6.30
$8.75
4
5
6
7
8
9
10
Monthly Price
Floor
Ceiling
forecasted prices
actual prices
Swap. This is a written contract to guarantee a price. With a swap, if the price is lower, the
counterparty pays the state the difference. If the price is higher, the state pays the difference.
The appropriation language in SB763 gives BOF the authority to enter into these transactions
and pay them off if required. Using the July 2005 forecast of FY06 prices as the basis for the
swap, the state would have lost $267 million in FY06. Using the July 2006 forecast of FY07
prices as the basis for the FY07 swap, the state is, as of December 2006, on track to earn $17
million.
Table 2: Swap Example Using FY06 and FY07 Data
Assumptions:
Production Volume (Billions MCF)
1,510
Taxable Volume (82% discount)
1,238
10 percent of Taxable
124
Oil and Gas Emergency School Tax Rate
4%
ANNUAL HEDGE VOLUME (MCF)
4,952,800
FISCAL YEAR 2006 EXAMPLE
Actual
Price
Swap
Price
Hedged Volume
(MCF)
Actual Revenue Swap Revenue Net Impact
July
6.63
5.70
412,733
2,736,230
2,352,580
(383,650)
August
8.00
5.70
412,733
3,302,973
2,352,580
(950,393)
Septembe
r
9.53
5.70
412,733
3,932,924
2,352,580
(1,580,344)
October 10.59
5.70
412,733
4,372,072
2,352,580
(2,019,492)
Novembe
r
7.56
5.70
412,733
3,120,821
2,352,580
(768,241)
Decembe
r
10.96
5.70
412,733
4,521,824
2,352,580
(2,169,244)
January
7.34
5.70
412,733
3,030,356
2,352,580
(677,776)
February 6.52
5.70
412,733
2,691,936
2,352,580
(339,356)
March
5.76
5.70
412,733
2,378,272
2,352,580
(25,692)
April
5.90
5.70
412,733
2,433,630
2,352,580
(81,050)
May
5.26
5.70
412,733
2,171,953
2,352,580
180,627
June
5.58
5.70
412,733
2,303,120
2,352,580
49,460
4,952,800
36,996,111
28,230,960
(8,765,151)
pg_0005
Senate Bill 763 – Page
5
FISCAL YEAR 2007 EXAMPLE
Actual
Price
Swap
Price
Hedged Volume
(MCF)
Actual Revenue Swap Revenue Net Impact
July
5.75
6.10
412,733
2,374,779
2,517,673
142,895
August
6.48
6.10
412,733
2,673,751
2,517,673
(156,078)
Septembe
r
4.41
6.10
412,733
1,821,064
2,517,673
696,609
October 5.31
6.10
412,733
2,190,141
2,517,673
327,532
Novembe
r
6.15
6.10
412,733
2,539,749
2,517,673
(22,076)
Decembe
r
7.24
6.10
412,733
2,989,395
2,517,673
(471,721)
January
6.90
6.10
412,733
2,849,346
2,517,673
(331,673)
February 6.55
6.10
412,733
2,705,080
2,517,673
(187,407)
March
6.11
6.10
412,733
2,519,902
2,517,673
(2,229)
April
5.89
6.10
412,733
2,430,849
2,517,673
86,825
May
5.50
6.10
412,733
2,270,772
2,517,673
246,901
June
5.53
6.10
412,733
2,283,773
2,517,673
233,900
4,952,800
29,648,601
30,212,080
563,479
SIGNIFICANT ISSUES
The use of energy hedging can more accurately be described as hedging against “information
asymmetry." Information asymmetry occurs when information is not perfect. In the energy
markets, information asymmetry occurs when one side of the transaction has better or more
complete information about where oil and gas prices are headed than the other. This is important
to note since oil and gas prices are extremely difficult to predict. Table 3 shows the performance
of oil and natural gas prices over the last two years, the consensus revenue group’s forecast and
the subscribed energy service forecast.
Table 3: Natural Gas Price Forecast ($ per thousand cubic feet)
Actual Price
4.68
5.80
7.46
Consensus Forecast
6 months out
4.50
Jan04
5.20
Feb05
7.50
Jan06
18 months out
3.45
Feb03
4.00
Jan04
4.80
Feb05
Energy Service*
6 months out
4.61
Jan04
5.38
Feb05
7.48
Jan06
18 months out
3.72
Feb03
4.22
Jan04
5.58
Feb05
FY04
FY05
FY06
* Cambridge Energy Resources was the consensus energy service until Fall 2005 when PIRA
became the energy service.
The six month out prediction is much more reliable because six months of the fiscal year are
already known. The eighteen month prediction, however, is much more error-prone. This has
been a period of rising prices and so the error is on the downside; in eras of falling prices, the
error is likely to be on the upside.
pg_0006
Senate Bill 763 – Page
6
Table 4: Natural Gas Price Forecast Error
Consensus Forecast
6 months out
-4%
-10%
1%
-5%
18 months out
-26%
-31%
-36%
-31%
Energy Service
6 months out
-1%
-7%
0%
-3%
18 months out
-21%
-27%
-25%
-24%
FY04
FY05
FY06 Average Error
Given these dynamics, there is clearly information asymmetry between the forecasters and the
energy service, which is a research and forecast service the consensus revenue group subscribes
to that specializes in natural gas and oil markets and production. This largely has to do with
where and how prices are settled. Oil and gas taxes are based on the production value of the
mined resources, which is determined at the wellhead. There is no distinction between
production that has been sold previously so the price at the time of extraction was set sometime
before. If a significant amount of production is to satisfy existing contracts then the prices the
energy service is predicting, spot prices, will be different then the average price that NM
producers receive.
If BOF had purchased a “floor" option for 10 percent of the production amount necessary to
provide the tax revenue of natural gas based on the 18 month out price, the premium would have
been the only cost since in FY04, FY05, and FY06, the actual price came in above the estimated
price. Assuming a premium of $0.20 per thousand cubic feet (MCF), the premium would have
been approximately $1 million. In October 2005, the consensus revenue group predicted an
FY06 natural gas price of $9.20/mcf based on data heavily influenced by the Katrina and Rita
hurricanes. If BOF were able to purchase contracts at that price, the return would have been
extraordinary since the price tumbled in the next few months. However, in July, the forecast
group estimated $5.80/mcf and if that had been the contract price, BOF would have lost the
premium.
Risks. There are four types of risk involved in energy hedging: price risk, basis risk, production
risk and counterparty risk. SB763, according to Board of Finance, has basis risk exposure, the
risk that the commodity prices in NM do not correlate with the prices set by the contracts, by
only allowing investments in indexes that closely match the San Juan and Permian basin prices.
New Mexico natural gas is from these two basins with a small amount from Raton. Publicly
traded indexes like the Henry Hub or WTI have fluctuating differential as shown in Figure 1. If
in the future, the statute was changed to allow investments derived from NM basin prices, the
state would be exposed to basis risk. (A similar bill, HB601, was amended Figure 2 shows the
magnitude of difference between the national Henry Hub price and the local basins. During the
hurricanes, the price differential was off by over $3.00. However, it is important to understand
that unlike a utility or a supplier, New Mexico is hedging the revenue based on taxing a
transaction and so there is a dissonance between the traditional hedging which would be locking
in transaction prices. There is also additional basis risk in the price received by NM producers,
who may be hedging themselves and entering into long term contracts, and these indexes. The
more narrowly defined the hedge is in terms of the basis of the price, theory holds that there is
less basis risk. However, there may be more fees associated with a more narrowly defined basis,
particularly if there is a structured contract the intent of which is to exactly match the NM
market.
pg_0007
Senate Bill 763 – Page
7
Figure 2: Example of Basis Risk
$0.00
$0.50
$1.00
$1.50
$2.00
$2.50
$3.00
$3.50
San Juan
Permia
n
Hurricanes Katrina
and Rita
Source: Conoco Philli
p
s
SB763 also guards against counterparty risk, the risk the other party in the transaction defaults,
by defining counterparty as a top rated entity. Price risk and production risk are still
vulnerabilities though mitigated by the 10 percent limit on investments. Price risk would not be
significant if the transaction was a “floor" as defined above. The more complicated the
transaction the higher the risk. With a swap, where the state and a counterparty agree to a price
and anything above the price goes to the counterparty and anything below comes to the state, the
risk is limited on the downside so the state will protect its projected revenues but the risk on the
upside is significant. In July 2005, the estimate for FY06 was $5.80 but the price went as high as
$10 and averaged out at $7.50. If a swap was in place at that time, the state would not have been
able to generate the same revenue. Anything above $5.80, in other words, would have been
foregone.
Production risk is mitigated by the limits on BOF. The risk is that BOF will enter into a
transaction and the volume the transaction is based on does not materialize. Louisiana, which
allows energy hedge transactions, would have been exposed to production risk in late 2005 due
to the hurricanes if they had had any hedges in place.
TRD:
The proposal represents a worthwhile attempt to take advantage of financial instruments
that could be utilized to stabilize the state’s revenues. To this end, it is inevitable that
some discretion must be delegated to the Board to evaluate and choose among alternative
financial instruments. However, given the importance of the trade-off between potential
return and the risk assumed on these investments, it is important that the proposal provide
guidance for the Board as it makes decisions involving these transactions. As it stands,
pg_0008
Senate Bill 763 – Page
8
the proposal merely requires the Board to determine that the transactions are “in the best
interests of the state." Thus, the proposal is completely silent on what the Legislature
views as the appropriate amount of risk to be assumed in order to achieve a specified
return. Such guidance could take into account, for example, the differences in how
General Fund revenues are budgeted compared with Severance Tax Bonding Fund
revenues. The General Fund budget encompasses the current year and one additional
year. Thus, hedging transactions designed to guarantee revenue through the budget year
are more important -- and also less risky -- than those for longer time periods. Severance
Tax Bonding Fund revenue is used for capital outlay projects rather than operating, and a
portion of the revenue is used for bond debt service. Thus, the risk/return criteria for this
fund should be quite different than those for the General Fund.
Board of Finance:
SB-763 authorizes the Board to enter into financial contracts, on behalf of the State, in
order to protect against significant declines in oil and gas tax revenues into the General
Fund and Severance Tax Bonding Fund. Additionally, this program provides an
additional tool to reduce uncertainty related to oil and gas revenues when conducting
statewide financial planning.
SB-763 is a pilot program that allows for price hedging with respect to no more than 10
percent of the lesser of the previous year’s production volume or the current year forecast
production. Starting on a small scale, this bill allows the State to evaluate these financial
products as a prudent approach to managing the State’s ongoing commodity price risk.
Additionally, the State Board of Finance would only be allowed to enter into these
contracts if the Board finds that it is in the best interest of the State and determines that
contract results in a financial benefit to the State. The bill requires the review and
assistance of a financial advisor and legal counsel under general contract with the State
Board of Finance. Lastly, the bill includes regular reporting requirements to the Board
and legislature, providing for effective oversight of such a program.
ADMINISTRATIVE IMPLICATIONS
The consensus revenue group estimates oil and gas prices for budgetary purposes. A switch to
the level of financial and market analysis required to estimate oil and gas prices for derivative
transactions would require a much more comprehensive energy service and the services of an
energy consultant who could advise the group and BOF on terms of a hedge transaction.
CONFLICT, DUPLICATION, COMPANIONSHIP, RELATIONSHIP
Similar to HB 601.
OTHER SUBSTANTIVE ISSUES
For a long time, these types of hedges were primarily used by utilities, railroads and airlines
(Southwest Airlines hedged jet fuel purchases and as a result was not battered by the high prices
in 2006). These are entities which depend on cost controls for profitability and so they favor
locking in a price for factor inputs like fuel. They are actually purchasing the energy whether its
barrels of oil or cubic feet of gas and using it. The state however depends on the revenue derived
from the sale of oil and natural gas rather than from the use of them. This is an important
pg_0009
Senate Bill 763 – Page
9
distinction to make. Regardless of hedging, the state will receive tax revenues on severance
activities. The hedge is outside of the tax revenues. The hedge is equivalent to investing those
revenues because the state will never be on the hook to actually deliver oil or gas to a purchaser
of one of the hedge contracts. So, hedging is an investment strategy to insure against volatility in
the energy markets.
Other states which rely heavily on energy revenues have looked at hedge derivatives to mitigate
the volatility of their revenues.
Alaska, which is more dependent on oil revenues than any state in the union, has studied the
issue and has determined that their use of a “budget reserve fund" is essentially performing the
same function. Alaska puts all of the revenues into the Constitutional Budget Reserve Fund
(CBRF) which requires three-fourths majority vote to appropriate from. This is similar to our tax
stabilization reserve which is designed to accommodate swings in revenues. The Alaska
Department of Revenue published a report on energy hedging, a summary of which is provided
as an attachment.
Texas and Louisiana both have statutes allowing energy hedge investments. However, they
both have been slow to engage in any transactions.
Wyoming, according to an economist with their legislature, thinks that a reserve fund similar to
Alaska is the way to protect against volatility. “The basic strategy for Wyoming is when the state
realizes a surplus of revenues, usually due to energy activity, more money is placed into rainy
day accounts and the mineral trust fund. The state is also very active in developing its energy
infrastructure to export oil, gas, and coal to the markets that need these commodities." – Senior
Economist, Economic Analysis Division, State of Wyoming.
TRD (taken from analysis of HB874 in 2006 Session):
The proposal represents a worthwhile attempt to take advantage of financial instruments that
could be utilized to stabilize the state’s revenues. To this end, it is inevitable that some
discretion must be delegated to the Board to evaluate and choose among alternative financial
instruments. However, given the importance of the trade-off between potential return and the
risk assumed on these investments, it is important that the proposal provide guidance for the
Board as it makes decisions involving these transactions. As it stands, the proposal merely
requires the Board to determine that the transactions are “in the best interests of the state."
Thus, the proposal is completely silent on what the Legislature views as the appropriate
amount of risk to be assumed in order to achieve a specified return. Such guidance could
take into account, for example, the differences in how General Fund revenues are budgeted
compared with Severance Tax Bonding Fund revenues. The General Fund budget
encompasses the current year and one additional year. Thus, hedging transactions designed
to guarantee revenue through the budget year are more important -- and also less risky -- than
those for longer time periods. Severance Tax Bonding Fund revenue is used for capital
outlay projects rather than operating, and a portion of the revenue is used for bond debt
service. Thus, the risk/return criteria for this fund should be quite different than those for the
General Fund.
pg_0010
Senate Bill 763 – Page
10
ALTERNATIVES
There is no effective date. An effective date of July 1, 2008, would allow time for the state
economists and BOF to develop additional expertise required.
ATTACHMENT
NF/csd
pg_0011
Alaska Department of Revenue – Hedging Oil Revenues Summary – October 21, 2002
Page 1
Oil Hedging Summary
Department of Revenue - October 2002
INTRODUCTION AND OVERVIEW
From Alaska's perspective, locking in a predictable price for oil, even if it means
giving up the opportunity to make more money if prices are higher than expected, is
called trading in futures, or simply “hedging."
Hedging essentially comes in two flavors:
1. Selling oil in advance to lock in a price and, in exchange, giving up the
opportunity to make more money if prices rise (e.g., hedging with futures).
2. Paying a premium to ensure a minimum future price, while also retaining the
opportunity to make more money if prices rise (e.g., hedging with options).
Because of the upside benefits, this is more costly than hedging with futures.
Alaska has not yet needed to pay the costs or take the risks of hedging its future oil
revenues because our cushion against fluctuating oil prices for the past decade has
been the Constitutional Budget Reserve Fund (CBRF). The fund was established a
decade ago for exactly that purpose — to fill the gap between a fluctuating revenue
source and a constant need for public services.
The Budget Reserve Fund is a marvelous tool when used properly. We have
strayed, however, from its original intent. Instead of simply covering temporary revenue
shortages as oil prices move up and down each year, we’ve been draining the account
to cover a structural gap in Alaska’s finances. As North Slope oil production declines,
taking state revenues down with it, we’re spending more than we take in each year and
we’re relying solely on the CBRF to fill that gap. Similar to an oil field, the Budget
Reserve Fund is a non-renewable resource. The large oil and gas tax and royalty
cases that filled the fund over the past decade have all been settled.
Considering how important the CBRF is to Alaska’s fiscal health, and how it can
allow us to survive low oil prices, it would be irresponsible to empty the CBRF. But
unless we do something soon, that is what will happen.
A hedging program, however, could allow the state to know with more certainty
when the CBRF will hit empty. By starting a hedging program immediately, the state
could lock in some of its oil revenues for the next few years. This would provide the
public and elected officials with a somewhat more predictable timetable for draining the
CBRF. We would know much of our revenues each year and how much we would need
to withdraw from the fund. The outcome would be essentially the same, only without
the uncertainty of when. We do not recommend this option since we believe the
certainty of knowing when the CBRF will run out isn’t worth the cost.
pg_0012
Alaska Department of Revenue – Hedging Oil Revenues Summary – October 21, 2002
Page 2
HOW WOULD HEDGING WORK.
The Department of Revenue expects that receipts from oil royalties and production
taxes will provide two-thirds of the state’s unrestricted general purpose revenue for the
next five years. These revenue sources depend directly on the price of oil. For each $1
per barrel change in the price of oil, the state’s annual royalty and production tax
revenue will rise or fall by $65 million. The question is how to protect those revenues —
and the public services they pay for — from falling oil prices.
Active oil futures and options markets provide the state an opportunity, during
periods of high oil prices, to put a floor under or a range around — that is to hedge — its
anticipated royalty and production tax revenue. Because these markets anticipate oil
prices to remain above the historical average for the next two or three years, the state
could take advantage and — for a price — secure a more stable revenue stream for the
next few years. There are two primary instruments used to hedge: futures and options.
Futures contracts provide for the future delivery of oil at a specified price. Any profit
or loss from the agreed upon price vs. the actual market price on the delivery date is
usually settled on the delivery date. For example, in mid-April 2001, the state could
have contracted to sell West Texas Intermediate oil at $23 a barrel for delivery in
December 2003 (there is no futures market for Alaska North Slope crude). If the market
price is below $23 a barrel in December 2003, the state would still receive its $23
because the buyer of the futures contract would pay the state the difference between
the market price and $23.
But if the price goes up and WTI is worth $25 a barrel in December 2003, the state
would have to pay the difference between the market price and the $23 in its futures
contract. Of course, if prices are up, the state could use its higher revenues to pay the
bill. In summary, the state would be protected if prices fall but could lose out on extra
revenue if prices rise. And while the up-front cost for a futures contract is minimal, the
state could be faced with a significant liability if prices rise above the contract price.
Options are more like insurance policies, with an up-front premium. For a per-barrel
fee paid in advance, an options contract gives the party on one side of the contract the
opportunity but not the obligation to buy or sell oil to the other party at a prearranged
price. For example, the state could pay the up-front options premium to sell WTI at $23
a barrel in December 2003, locking in that price. This would be buying an option to sell
oil — called a “put" in the trade jargon. If the price is below $23 in December 2003, the
state would exercise its option and the party that sold the put would have to make good
to the state on the difference between the market price and $23 a barrel. And if the
price in December 2003 is above $23, the state would gain the additional royalty and
production tax revenue from the higher price. In summary, the state is guaranteed at
least $23 a barrel either way, but that guarantee would come at the high up-front cost of
the options contract. The up-front cost of buying put options is substantial, although
there would be no downside risk or additional costs at the end of the contract.
pg_0013
Alaska Department of Revenue – Hedging Oil Revenues Summary – October 21, 2002
Page 3
WHY WOULD THE STATE WANT TO HEDGE.
First, the volatility in state revenue could be reduced. Second, with a realistic long-
range fiscal plan in place, the state could help ensure its ability to meet its public service
obligations during short periods of low oil prices if it no longer had the CBRF to serve as
a cushion. Hedging is not expected to increase royalty and production tax revenue over
the long term but, at some cost, it can increase the year-to-year consistency of royalty
and production tax revenue to the state. Most hedging is done to remove or reduce the
uncertainty associated with a volatile revenue stream.
The question becomes whether we are willing to pay that price to gain the benefits of
hedging. That is, would the benefits of knowing how long the CBRF will last be worth
the cost. We do not believe it would.
REASONS NOT TO HEDGE
There are several reasons why state officials might be reluctant to initiate a hedging
program. First, the state already has a means for paying for vital public services when
oil prices are low — the CBRF. But if the state continues its current fiscal habits, the
CBRF will not last forever. When it is exhausted, the state will be forced to significantly
restructure its public finances. Because oil prices are so volatile, using the CBRF as the
state’s insurance against low oil prices makes it impossible to precisely forecast when
the CBRF will be exhausted.
Second, a hedging program would cost money. When considered alone, the
transaction costs for entering into futures contracts seem reasonable; they would cost
something on the order of $0.10 per barrel for each barrel of WTI futures sold. To
hedge all the state's royalty and production tax revenue using futures would require
contracts to sell 180,000 barrels per day (5.4 million barrels per month) of WTI futures.
At $0.10 per barrel, a three-year futures program of this magnitude could cost $18
million to $20 million in up-front transaction fees.
But, if during a three-year hedging program based on futures contracts, WTI futures
prices increased significantly, the state would be required to fund a margin requirement
— that is, pay up to cover the higher price. Remember, in a futures contract, the state
would be guaranteed a minimum price but would owe anything over that price to the
contract’s buyer. If, for example, WTI futures prices on average increased by $5 per
barrel, the increased margin requirement for such a price change on a three-year
futures contract would be over $950 million. If oil prices actually stayed that high for the
three-year period, the state would recoup that amount through higher than anticipated
oil revenue. Then, if the price of oil dropped back to the hedged price, the margin
required would be reduced and the state’s payment returned. If the state entered into a
futures-based program, it would need to be able to come up with sums of money of this
magnitude or larger on relatively short notice.
pg_0014
Alaska Department of Revenue – Hedging Oil Revenues Summary – October 21, 2002
Page 4
The per-barrel, up-front costs of an options-based program would vary widely. For
example, a $0.75 per barrel fee would put a floor under near-term prices at a level about
$1.00 per barrel under the futures prices for the upcoming month only. However, it
wouldn't do the state that much good to lock in an oil price for just one month ahead.
Like all insurance, the longer the protection you buy, the greater the cost. An option
similar to the one above, covering a one-month period three years from now would cost
close to $3.00 a barrel. An options-based hedging program covering three years would
cost something like $300 million. While the up-front cost would be more than a hedging
program using futures, an options-based program would allow the state to retain any
additional revenue if oil prices move higher than the hedged level.
Finally, some policy makers will be reluctant to take the political risks of a hedging
program. If a program succeeded, it is unlikely the policy makers who took the initiative
to create the program would be rewarded with public congratulations. On the other
hand, if prices increased significantly and the state had sacrificed that upside to reduce
or eliminate the volatility in its royalty and production tax revenue, the conventional
wisdom is that public criticism would be harsh.
LEGISLATIVE AND CONSTITUTIONAL ISSUES
Before the state could initiate an oil-revenue hedging program, the legislature would
have to pass a law that authorized and spelled out the program's parameters. Two
states currently have oil-revenue hedging programs on the books, although neither state
does any hedging: Texas and Louisiana.
Some aspects of a hedging program clearly would require specific appropriations.
For example, if Alaska embarked upon a program that involved the purchase of options,
it would need appropriated funds to purchase the options. We are not certain which
elements of a futures-based options program would require appropriations; certainly
appropriations would be necessary for any fees or commissions associated with the
program. If the state were required to put up large amounts from time to time to cover
margin requirements in a futures-based program — and on occasion that could be
hundreds of millions of dollars — it is not clear if appropriations would be required. The
same issue arises with respect to payments required when closing out futures contracts.
The uncertainty about the need for appropriations for a futures-based program also
raises questions about the constitutional prohibition of dedicated funds. Would
contractual commitments to cover margin requirements or to close out contracts two or
more years in the future violate that prohibition. We have discussed the appropriations
question and the constitutional issue with the Department of Law, and they are not now
prepared to provide definitive answers.
pg_0015
Alaska Department of Revenue – Hedging Oil Revenues Summary – October 21, 2002
Page 5
DEPARTMENT OF REVENUE RECOMMENDATIONS
The department recommends against initiating a hedging program if the CBRF
balance is expected to remain sufficient. There is no need to pay for a hedging program
when an adequately funded CBRF does the same job. If it becomes apparent that state
policy makers intend to spend substantially all of the CBRF before they restructure the
state’s finances — eliminating our self-insurance fund against low oil prices — then we
believe a state oil revenue hedging program may become necessary. However, even
that will only work if the state has a long-term fiscal plan to balance the budget in years
of average oil prices. To ensure the success of such a hedging program, the state
should initiate the program at least two years (and preferably three years) before it
exhausts the CBRF.
The principal benefit of an oil revenue hedging program would be to significantly
reduce fluctuations in the state’s year-to-year oil royalty and production tax revenue.
With this reduction in revenue volatility, policy makers would know more closely when
the state would exhaust its CBRF and how large the subsequent year-to-year revenue
gap is likely to be. Would these benefits be worth the costs of a hedging program. Our
judgment is that they would not, but it is just that - a judgment call. Reasonable,
prudent decision-makers could easily conclude that the benefits of instituting such a
program is worth the cost.
SUMMARY AND CONCLUSIONS
Businesses and investors hedge to reduce volatility. The markets that make hedging
possible also accommodate speculators who use the same instruments in an effort to
make money. Some of these speculators make money but many do not. Business and
entities like the State of Alaska should not hedge to make money. Rather, policy
makers should only look upon hedging as a post-CBRF option to stabilize the state
budget and, by implication, the state economy.
Right now, the state manages oil price volatility by relying upon the Constitutional
Budget Reserve Fund to provide a buffer between a volatile revenue stream and a
stable expenditure budget. The CBRF has worked extremely well so far to smooth out
the bumpy path of oil prices. And unlike a hedging program that will likely cost money,
the CBRF does not cost the state anything. In fact, the CBRF actually makes money. If
we keep $2 billion in the fund, we can expect to earn $100 million or more annually. We
would be foolish to not preserve the CBRF for the long run as our best insurance policy
against sudden economic shock caused by low oil prices.
However, if the state is going to exhaust the CBRF prior to implementing a long-term
fiscal plan, and especially if use of the earnings reserve of the Permanent Fund is
restricted by the proposed constitutional amendment, hedging is something the state
should consider.