{"id":1708,"date":"2024-02-04T12:39:52","date_gmt":"2024-02-04T12:39:52","guid":{"rendered":"https:\/\/mwaafrikatechnologies.globalcareconnections.org\/?p=1708"},"modified":"2024-02-04T12:39:52","modified_gmt":"2024-02-04T12:39:52","slug":"effects-of-speculation-and-legislation-in-the-global-energy-market","status":"publish","type":"post","link":"https:\/\/mwaafrikatechnologies.com\/index.php\/2024\/02\/04\/effects-of-speculation-and-legislation-in-the-global-energy-market\/","title":{"rendered":"EFFECTS OF SPECULATION AND LEGISLATION IN THE GLOBAL ENERGY\u00a0MARKET"},"content":{"rendered":"\n<p class=\"wp-block-paragraph\" id=\"block-efdf6203-b549-4691-aee3-3339421498ca\"><strong>Effects of Speculation and Legislation in the Global Energy&nbsp;Market<\/strong><\/p>\n\n\n\n<p class=\"wp-block-paragraph\" id=\"block-286a3565-d7de-476f-b742-fc9709946b92\"><strong>Overview<\/strong><\/p>\n\n\n\n<p class=\"wp-block-paragraph\" id=\"block-1f4d2a8e-9d35-41cb-9e3f-1596ffbf768e\">Amidst a substantial volume of energy transactions occurring in the \u201cdark web,\u201d facilitated through unregulated platforms or \u201cover-the-counter\u201d (OTC) channels falling outside the purview of the Commodity Futures Trading Commission (CFTC), regulatory oversight is either absent or insufficient. In an endeavor to address the challenges posed by OTC trading, Jickling et al. (2008) highlight pivotal regulatory measures, particularly within the context of Farm Bills on page 12. These measures, proposed by the CFTC, aim to enforce accurate reporting by OTC traders and to establish limits on \u201celectronic trading facilities handling contracts.\u201d Personally, I advocate for the endorsement of the CFTC\u2019s bill, which could furnish them with additional resources to ensure continuous, round-the-clock monitoring of energy derivatives markets, effectively identifying any suspicious activities that could potentially impact energy prices and prevent illicit speculative endeavors. In instances where companies are found culpable, I endorse the notion that their profit margins should be negated and their trading positions liquidated.<\/p>\n\n\n\n<p class=\"wp-block-paragraph\" id=\"block-22fdb197-d0ee-4496-b533-0bbd714312ec\"><strong>Introduction<\/strong><\/p>\n\n\n\n<p class=\"wp-block-paragraph\" id=\"block-2ab8fbf6-1d6e-4398-927f-17a9bf19df4c\">The manipulation of global oil prices through illicit methods, including the unauthorized retention of oil contracts known as \u201chedging\u201d and speculative activities, has been identified as a significant concern according to Mustapha (2012). The literature emphasizes that the fluctuation in oil prices, rising from $16 per barrel in 1998 to $98 in 2008, cannot be solely attributed to the interplay of supply and demand forces. Fan and Xu\u2019s research (2011), as referenced by Mustapha, points towards speculative actions as a predominant cause of energy price volatility, rather than fundamental market factors. Simkins and Simkins (2013) recommend the implementation of regulatory measures to counteract financial manipulations such as disguised bulk purchasing under the guise of hedging contracts, which artificially inflate oil prices.<\/p>\n\n\n\n<p class=\"wp-block-paragraph\" id=\"block-33084a05-1152-4cf6-9916-a709da5d5ae7\"><strong>Impact of Illicit Hedging and Speculation on the Global Energy Market<\/strong><\/p>\n\n\n\n<p class=\"wp-block-paragraph\" id=\"block-776c3de8-2655-42b9-8966-2666427d5fc7\">The global energy market operates on the basis of flow demands and stock demands (Inkpen &amp; Moffett, 2011). Insights from Inkpen et al.\u2019s study highlight that both hedging and speculative practices have the potential to adversely affect future oil prices. Ripple (2008) asserts that, despite risk mitigation costs being inherent to oil and gas production, certain scholars argue that speculation is being exploited for detrimental ends (Wang et al., 2013).<\/p>\n\n\n\n<p class=\"wp-block-paragraph\" id=\"block-3489d068-95a4-458b-99fe-93df1283862a\">Cho (2008) delves into a case involving a Swiss energy company, unveiling the manipulation of the company\u2019s records through the unauthorized retention of oil contracts by organized syndicates. This maneuver, executed by the Swiss entity \u201cVitol\u201d Portfolio, exerted control over a substantial proportion (11%) of regulated oil contracts on the New York Stock Exchange (Inkpen &amp; Moffett, 2011).<\/p>\n\n\n\n<p class=\"wp-block-paragraph\" id=\"block-e84e9610-82e0-42c2-b0fa-6a32feb0b04d\">Notable figures such as Hungarian-American George Soros and US legislators criticized this practice, asserting that the illicit holding of contracts exacerbated global oil price volatility. Cho (2008) cites the incredulity of John D. Dingel regarding the Commodity Futures Commission\u2019s (CFTC) apparent oversight of traders like Vitol, enabling them to engage in extensive oil hedging without verifying the physical commodities supporting the trades (Hamilton, 2009).<\/p>\n\n\n\n<p class=\"wp-block-paragraph\" id=\"block-d2c8c2b0-2538-49df-a08b-31a622caa97a\"><strong>Legislative Approaches to Mitigate Energy Price Volatility<\/strong><\/p>\n\n\n\n<p class=\"wp-block-paragraph\" id=\"block-d68fb253-af4e-4105-a234-18cd2040c44d\">G20 governments have initiated measures to enforce regulations aimed at restraining improper actions by financial investors who exploit hedging to manipulate global energy prices (Fattouh et al., 2013). CFTC investigations, conducted under the mandate of G20 governments, did not ascertain supply and demand as the primary drivers of energy price volatility.<\/p>\n\n\n\n<p class=\"wp-block-paragraph\" id=\"block-ff431439-5ffc-4e29-9592-9e05b49ce7f6\">Rather, CFTC uncovered evidence suggesting that hedgers and energy futures traders were striving to counteract energy prices. To address this concern, Jickling et al. (2008) and Wang et al. (2013) suggest a legislative framework comprising the \u201cEnron Loophole,\u201d \u201cSwaps Loophole,\u201d and \u201cLondon Loophole.\u201d These regulations aim to introduce oversight mechanisms, restrict the use of foreign futures markets in contravention of US legislation, and eliminate the practice of retaining contracts without engaging in physical oil trading.<\/p>\n\n\n\n<p class=\"wp-block-paragraph\" id=\"block-2464df8a-88b8-44e8-8088-edbc1f111d69\">The objective is to safeguard and provide support for \u201cbona fide hedgers\u201d who genuinely engage in the trade of physical commodities without participating in energy price manipulation.<\/p>\n\n\n\n<p class=\"wp-block-paragraph\" id=\"block-4eb1c93d-bfbc-4cad-b914-82f394280fba\"><strong>References<\/strong><\/p>\n\n\n\n<ul class=\"wp-block-list\" id=\"block-2999d4e7-815a-4224-9342-bd1448b6c5ad\">\n<li>Simkins, B. &amp; Simkins, R. (eds.) (2013) \u201cEnergy Finance and Economics: Analysis and Valuation, Risk Management, and the Future of Energy.\u201d Hoboken, NJ: Wiley.<\/li>\n\n\n\n<li>Inkpen, A.C. &amp; Moffett, M.H. (2011) \u201cThe Global Oil &amp; Gas Industry: Management, Strategy &amp; Finance.\u201d Tulsa, OK: PennWell [Online]. Available from:&nbsp;<a href=\"http:\/\/library.liv.ac.uk.liverpool.idm.oclc.org\/record=b2632439~S8\">http:\/\/library.liv.ac.uk.liverpool.idm.oclc.org\/record=b2632439~S8<\/a>&nbsp;(Accessed: 24 August 2018).<\/li>\n\n\n\n<li>Hamilton, J.D., (2009). \u201cCauses and Consequences of the Oil Shock of 2007-08\u201d (No. w15002). National Bureau of Economic Research.<\/li>\n\n\n\n<li>R. D. Ripple, (2008) \u201cFutures Trading: What is Excessive?\u201d Oil &amp; Gas Journal.<\/li>\n\n\n\n<li>Cho, D., (2008). \u201cA Few Speculators Dominate the Vast Market for Oil Trading.\u201d Washington Post, 21, p.A01.<\/li>\n\n\n\n<li>Fattouh, B., Kilian, L. and Mahadeva, L., (2013). \u201cThe Role of Speculation in Oil Markets: What Have We Learned So Far?\u201d The Energy Journal,&nbsp;pp.7-33.<\/li>\n\n\n\n<li>Jickling, M. and Cunningham, L.J., (2008). \u201cSpeculation and Energy Prices: Legislative Responses.\u201d Congressional Research Service.<\/li>\n\n\n\n<li>Wang, Y., Wu, C., &amp; Yang, L., (2013). \u201cOil Price Shocks and Stock Market Activities: Evidence from Oil-Importing and Oil-Exporting Countries.\u201d Journal of Comparative Economics, 41 (4), pp. 1220-1239.<\/li>\n\n\n\n<li>Mustapha, U.M., (2012). \u201cThe Role of Speculation in the Determination of Energy Prices.\u201d International Journal of Energy Economics and Policy, 2(4),&nbsp;pp.279-291.<\/li>\n<\/ul>\n\n\n\n<p class=\"wp-block-paragraph\">\ufeff<\/p>\n\n\n\n<p class=\"wp-block-paragraph\"><\/p>\n","protected":false},"excerpt":{"rendered":"<p>Effects of Speculation and Legislation in the Global Energy&nbsp;Market Overview Amidst a substantial volume of energy transactions occurring in the \u201cdark web,\u201d facilitated through unregulated platforms or \u201cover-the-counter\u201d (OTC) channels falling outside the purview of the Commodity Futures Trading Commission (CFTC), regulatory oversight is either absent or insufficient. In an endeavor to address the challenges posed by OTC trading, Jickling et al. (2008) highlight pivotal regulatory measures, particularly within the context of Farm Bills on page 12. These measures, proposed by the CFTC, aim to enforce accurate reporting by OTC traders and to establish limits on \u201celectronic trading facilities handling contracts.\u201d Personally, I advocate for the endorsement of the CFTC\u2019s bill, which could furnish them with additional resources to ensure continuous, round-the-clock monitoring of energy derivatives markets, effectively identifying any suspicious activities that could potentially impact energy prices and prevent illicit speculative endeavors. In instances where companies are found culpable, I endorse the notion that their profit margins should be negated and their trading positions liquidated. Introduction The manipulation of global oil prices through illicit methods, including the unauthorized retention of oil contracts known as \u201chedging\u201d and speculative activities, has been identified as a significant concern according to Mustapha (2012). The literature emphasizes that the fluctuation in oil prices, rising from $16 per barrel in 1998 to $98 in 2008, cannot be solely attributed to the interplay of supply and demand forces. Fan and Xu\u2019s research (2011), as referenced by Mustapha, points towards speculative actions as a predominant cause of energy price volatility, rather than fundamental market factors. Simkins and Simkins (2013) recommend the implementation of regulatory measures to counteract financial manipulations such as disguised bulk purchasing under the guise of hedging contracts, which artificially inflate oil prices. Impact of Illicit Hedging and Speculation on the Global Energy Market The global energy market operates on the basis of flow demands and stock demands (Inkpen &amp; Moffett, 2011). Insights from Inkpen et al.\u2019s study highlight that both hedging and speculative practices have the potential to adversely affect future oil prices. Ripple (2008) asserts that, despite risk mitigation costs being inherent to oil and gas production, certain scholars argue that speculation is being exploited for detrimental ends (Wang et al., 2013). Cho (2008) delves into a case involving a Swiss energy company, unveiling the manipulation of the company\u2019s records through the unauthorized retention of oil contracts by organized syndicates. This maneuver, executed by the Swiss entity \u201cVitol\u201d Portfolio, exerted control over a substantial proportion (11%) of regulated oil contracts on the New York Stock Exchange (Inkpen &amp; Moffett, 2011). Notable figures such as Hungarian-American George Soros and US legislators criticized this practice, asserting that the illicit holding of contracts exacerbated global oil price volatility. Cho (2008) cites the incredulity of John D. Dingel regarding the Commodity Futures Commission\u2019s (CFTC) apparent oversight of traders like Vitol, enabling them to engage in extensive oil hedging without verifying the physical commodities supporting the trades (Hamilton, 2009). Legislative Approaches to Mitigate Energy Price Volatility G20 governments have initiated measures to enforce regulations aimed at restraining improper actions by financial investors who exploit hedging to manipulate global energy prices (Fattouh et al., 2013). CFTC investigations, conducted under the mandate of G20 governments, did not ascertain supply and demand as the primary drivers of energy price volatility. Rather, CFTC uncovered evidence suggesting that hedgers and energy futures traders were striving to counteract energy prices. To address this concern, Jickling et al. (2008) and Wang et al. (2013) suggest a legislative framework comprising the \u201cEnron Loophole,\u201d \u201cSwaps Loophole,\u201d and \u201cLondon Loophole.\u201d These regulations aim to introduce oversight mechanisms, restrict the use of foreign futures markets in contravention of US legislation, and eliminate the practice of retaining contracts without engaging in physical oil trading. The objective is to safeguard and provide support for \u201cbona fide hedgers\u201d who genuinely engage in the trade of physical commodities without participating in energy price manipulation. References \ufeff<\/p>\n","protected":false},"author":1,"featured_media":1706,"comment_status":"open","ping_status":"open","sticky":false,"template":"","format":"standard","meta":{"footnotes":""},"categories":[18,5],"tags":[],"class_list":["post-1708","post","type-post","status-publish","format-standard","has-post-thumbnail","hentry","category-business","category-financial"],"blocksy_meta":{"styles_descriptor":{"styles":{"desktop":"","tablet":"","mobile":""},"google_fonts":[],"version":6}},"_links":{"self":[{"href":"https:\/\/mwaafrikatechnologies.com\/index.php\/wp-json\/wp\/v2\/posts\/1708","targetHints":{"allow":["GET"]}}],"collection":[{"href":"https:\/\/mwaafrikatechnologies.com\/index.php\/wp-json\/wp\/v2\/posts"}],"about":[{"href":"https:\/\/mwaafrikatechnologies.com\/index.php\/wp-json\/wp\/v2\/types\/post"}],"author":[{"embeddable":true,"href":"https:\/\/mwaafrikatechnologies.com\/index.php\/wp-json\/wp\/v2\/users\/1"}],"replies":[{"embeddable":true,"href":"https:\/\/mwaafrikatechnologies.com\/index.php\/wp-json\/wp\/v2\/comments?post=1708"}],"version-history":[{"count":1,"href":"https:\/\/mwaafrikatechnologies.com\/index.php\/wp-json\/wp\/v2\/posts\/1708\/revisions"}],"predecessor-version":[{"id":1709,"href":"https:\/\/mwaafrikatechnologies.com\/index.php\/wp-json\/wp\/v2\/posts\/1708\/revisions\/1709"}],"wp:featuredmedia":[{"embeddable":true,"href":"https:\/\/mwaafrikatechnologies.com\/index.php\/wp-json\/wp\/v2\/media\/1706"}],"wp:attachment":[{"href":"https:\/\/mwaafrikatechnologies.com\/index.php\/wp-json\/wp\/v2\/media?parent=1708"}],"wp:term":[{"taxonomy":"category","embeddable":true,"href":"https:\/\/mwaafrikatechnologies.com\/index.php\/wp-json\/wp\/v2\/categories?post=1708"},{"taxonomy":"post_tag","embeddable":true,"href":"https:\/\/mwaafrikatechnologies.com\/index.php\/wp-json\/wp\/v2\/tags?post=1708"}],"curies":[{"name":"wp","href":"https:\/\/api.w.org\/{rel}","templated":true}]}}