If you have outstanding LIBOR based hedges, you might have started receiving reminders from your hedge providers prompting some sort of action. LIBOR will be officially discontinued on 6/30/2023, so any LIBOR based hedges with maturities beyond that date will need to be addressed. Here are the potential scenarios for what will happen to the hedges:
Convert Early to Another Index
This is what most lenders are doing. The loan is modified to another index prior to cessation and the cap is modified to align.
Do Nothing and Rely on the ISDA Fallback
ISDA (which governs derivative contracts) modified the 2006 Definitions a couple years ago to include robust fallback language in preparation for the discontinuation of LIBOR.
If the hedge is a cap associated with a Freddie or Fannie loan, no action should be required by the borrower. The hedge providers will work in coordination with the respective Agency to determine the replacement index. It’s currently expected that Agency LIBOR caps will transition to (compounded SOFR in advance + 0.11448%) effective 7/1/2023.
If your hedge was lender required, then you should speak with your lender before making any modifications.
If you have any questions or would like to discuss how we can help make the transition easier for you, please give us a shout.