Breaking Bucks in Money Market Funds
William A. Birdthistle
Illinois Institute of Technology - Chicago-Kent College of Law
Wisconsin Law Review, Vol. 2010, No. 5, pp. 1155-1201, 2010
This Article argues that the Securities and Exchange Commission’s first and most significant response to the economic crisis increases rather than decreases the likelihood of future failures in money market funds and the broader capital markets. In newly promulgated regulations addressing the "breaking of the buck" in the $3 trillion money market - a debacle at the fulcrum of the 2008 financial meltdown - the SEC endorses practices that obfuscate rather than illuminate the capital markets, including fixed pricing for money market funds, potentially riskier portfolio requirements, and the continued use of discredited ratings agencies. These policies, premised implicitly upon doubt in the ability of markets to process information effectively, obscure the true perils of money market funds. Rather than swaddling investment risks in misleading regulatory padding, the SEC should illuminate the possible menace of these funds. This Article offers transparent solutions to alleviate moral hazard and systemic risk in the broader market and to end the regulatory subsidy of these specific investments.
Number of Pages in PDF File: 46
Keywords: mutual fund, money market fund, break the buck, investment fund, financial crisis, sec, regulation, behavioral, dodd-frankAccepted Paper Series
Date posted: December 21, 2010 ; Last revised: August 14, 2012
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