SOFR
The Secured Overnight Financing Rate (SOFR) is a benchmark interest rate that measures the cost of borrowing cash overnight collateralized by United States Treasury securities in the repurchase agreement (repo) market.[1] Published daily by the Federal Reserve Bank of New York, SOFR reflects actual transaction data from the tri-party repo, general collateral finance (GCF) repo, and cleared bilateral repo segments, encompassing over $1 trillion in average daily volume for enhanced reliability and transparency.[1] Calculated as a volume-weighted median to mitigate outlier effects, it provides a nearly risk-free rate grounded in observable market activity rather than subjective estimates.[2] Selected in June 2017 by the Alternative Reference Rates Committee (ARRC)—a group of private-market participants convened by U.S. regulators—as the recommended replacement for the London Interbank Offered Rate (LIBOR) in dollar-denominated contracts, SOFR addressed LIBOR's vulnerabilities exposed by manipulation scandals and its reliance on interbank credit estimates amid declining underlying transactions.[3] First published on April 3, 2018, SOFR transitioned to widespread use following the cessation of most USD LIBOR tenors on June 30, 2023, with U.S. federal regulations mandating SOFR-based benchmarks for legacy contracts like adjustable-rate mortgages and derivatives.[4][5] Its transaction-based methodology has facilitated smoother adoption in futures, swaps, and lending products, though early challenges included developing term rates and averaging conventions to approximate LIBOR's forward-looking structure.[6] SOFR's empirical foundation has minimized manipulation risks, positioning it as a cornerstone of post-LIBOR financial benchmarking.[7]History
Origins in LIBOR Scandals and Rate Reform
The LIBOR scandal emerged publicly on June 27, 2012, when Barclays Bank was fined roughly $450 million by U.S. and U.K. regulators for manipulating London Interbank Offered Rate (LIBOR) submissions from 2005 to 2009, including to profit from derivatives trades and to falsely signal stronger creditworthiness during the financial crisis.[8][9] Investigations soon revealed similar misconduct by other institutions such as UBS and the Royal Bank of Scotland, with manipulations involving collusion among submitters to influence rates across tenors and currencies, leading to aggregate global penalties exceeding $9 billion by 2015.[10] These actions exploited LIBOR's core flaw: its dependence on banks' self-reported estimates of unsecured borrowing costs, rather than verifiable transactions, which fostered opportunities for discretion, pressure from traders, and non-market influences amid declining actual interbank lending post-2008.[11] The revelations triggered swift regulatory scrutiny and reform initiatives. In the U.K., the Wheatley Review, initiated in July 2012, issued its final report on September 28, 2012, advocating for LIBOR's administration to be regulated, submissions to be backed by transaction data where feasible, stricter governance under a new oversight body, and penalties for non-compliance to restore integrity.[12] Yet, the review underscored LIBOR's structural weaknesses, as the underlying unsecured interbank market had atrophied, rendering estimates increasingly unreliable and reform efforts potentially insufficient for long-term viability.[11] Parallel U.S. analyses, including Federal Reserve research, highlighted similar issues, noting LIBOR's divergence from other market indicators during stress periods and its vulnerability to panel bank incentives.[11] In response, U.S. authorities prioritized developing transaction-based alternatives to supplant LIBOR entirely. The Federal Reserve formed the Alternative Reference Rates Committee (ARRC) in 2014, a working group of official and private-sector participants tasked with recommending a robust USD benchmark grounded in actual trades.[13] Following extensive consultation and evaluation of candidates like repo and Treasury bill rates, the ARRC formally selected the Secured Overnight Financing Rate (SOFR) in June 2017 as the preferred replacement, emphasizing its derivation from over $1 trillion in daily secured repurchase transactions collateralized by U.S. Treasuries, which minimized manipulation risks through high volume, transparency, and lack of credit risk premium.[3] This reform marked a paradigm shift toward rates reflective of genuine market activity, directly countering the estimation-based frailties that enabled the LIBOR manipulations.[14]Development and Recommendation by ARRC
The Alternative Reference Rates Committee (ARRC), a working group of private- and public-sector financial experts convened by the Federal Reserve Board and the Federal Reserve Bank of New York in 2014, was established to identify and promote a replacement for U.S. dollar LIBOR amid revelations of its vulnerabilities, including susceptibility to manipulation and reliance on bank submissions rather than actual transactions.[15] The committee's mandate focused on recommending a rate grounded in observable market transactions to enhance reliability and transparency in derivatives and lending markets.[13] Following extensive evaluation of candidate rates—including those derived from Treasury bill auctions, OIS swaps, and repo transactions—the ARRC selected the Secured Overnight Financing Rate (SOFR) on June 30, 2017, as its recommended alternative for new USD LIBOR contracts in derivatives and cash products.[3] This choice emphasized SOFR's foundation in the tri-party and bilateral repo markets collateralized by U.S. Treasury securities, which averaged over $900 billion in daily transaction volume in recent years prior to the recommendation, offering a volume far exceeding LIBOR's underlying interbank lending activity.[15] The ARRC highlighted SOFR's secured, overnight nature as minimizing credit and liquidity risks, thereby providing a more stable, nearly risk-free benchmark less prone to the discretionary inputs that undermined LIBOR.[15] The recommendation included a paced transition plan to build SOFR-based markets, starting with overnight indexed swaps (OIS) and futures to establish liquidity before broader adoption in loans and bonds.[16] Initial steps involved developing conventions for SOFR averaging and payment delays to align with LIBOR's forward-looking structure, with the ARRC publishing guiding principles to encourage voluntary market adoption.[15] This process drew on input from industry stakeholders, ensuring the rate's design supported practical implementation while prioritizing empirical transaction data over predictive estimates.[13]Initial Publication and Early Data
The Federal Reserve Bank of New York (FRBNY) initiated publication of the Secured Overnight Financing Rate (SOFR) on April 3, 2018, with the inaugural rate reflecting overnight Treasury repurchase agreement (repo) transactions settled on April 2, 2018, valued at 1.42 percent.[1][17] This marked the first official release of a benchmark intended to supplant LIBOR, calculated as the volume-weighted median of actual repo transactions exceeding $800 billion in notional volume on the initial day, sourced from tri-party repos, general collateral finance repos, and bilateral repos cleared through the Fixed Income Clearing Corporation.[18][2] Subsequent daily publications, released at approximately 8:00 a.m. ET, demonstrated SOFR's alignment with prevailing short-term funding costs, closely mirroring the effective federal funds rate amid the Federal Reserve's policy path of gradual rate increases in 2018.[1] Early rates in April 2018 ranged from 1.39 percent to 1.55 percent, underpinned by robust repo market liquidity, though initial observations highlighted periodic intraday variability due to the median methodology's sensitivity to transaction distribution.[17] The FRBNY's methodology excluded a central 75 percent of transaction volumes to mitigate outlier influence, ensuring the rate's resilience even as underlying data volumes averaged over $1 trillion daily in the tri-party segment alone.[18] Through 2018 and into 2019, early SOFR data underscored its transaction-based stability relative to survey-dependent predecessors like LIBOR, yet revealed structural volatilities tied to repo market frictions, such as quarter-end balance sheet reductions by banks complying with leverage ratio requirements.[19] For example, SOFR spiked to 2.48 percent on September 17, 2018, coinciding with corporate tax payment deadlines and Treasury settlement demands that strained cash availability, before reverting toward the federal funds target range of 1.75–2.00 percent.[17] These episodes, while amplifying short-term fluctuations— with standard deviation exceeding that of the federal funds rate by factors of 2–3 in quarterly windows—affirmed SOFR's empirical grounding in observable market activity rather than expert judgment, fostering confidence in its anti-manipulation properties amid LIBOR's prior scandals.[19] By mid-2019, cumulative data volumes had validated the rate's breadth, with over $900 trillion in referenced transactions, enabling retrospective proxies for pre-publication periods that correlated highly (R² > 0.99) with contemporaneous funding metrics.[19]LIBOR Transition Timeline and Phase-Out
The Alternative Reference Rates Committee (ARRC), convened by the Federal Reserve Board and the New York Fed, outlined a paced transition plan in July 2017 to shift from USD LIBOR to SOFR, emphasizing voluntary market adoption through milestones like publishing SOFR data and developing term rates.[20] This plan addressed LIBOR's vulnerabilities, including its reliance on expert judgment amid thinning interbank lending, following manipulation scandals that eroded its credibility.[21] U.S. federal banking regulators, including the Federal Reserve, FDIC, and OCC, issued supervisory guidance in November 2020 directing institutions to stop entering new contracts using USD LIBOR as a reference rate no later than December 31, 2021, to mitigate transition risks for legacy exposures.[22] On March 5, 2021, the UK's Financial Conduct Authority (FCA) confirmed that 1-week and 2-month USD LIBOR settings would cease publication immediately after December 31, 2021, while extending the remaining tenors—overnight, 1-month, 3-month, 6-month, and 12-month—to June 30, 2023, to allow natural maturity of most contracts without forced renegotiation.[23][24] The June 30, 2023, deadline marked the permanent cessation of the USD LIBOR panel, rendering all settings non-representative of the underlying market and prompting fallbacks to SOFR in contracts with robust language.[25] To support unresolved legacy USD LIBOR contracts lacking adequate fallbacks, the FCA authorized publication of synthetic 1-, 3-, and 6-month USD LIBOR settings—backward-looking estimates based on recent panel submissions—until September 30, 2024.[26] By mid-2023, SOFR had supplanted LIBOR in the vast majority of new USD derivatives, loans, and securitizations, with outstanding LIBOR exposure declining sharply due to these deadlines.[3]| Milestone Date | Key Event in USD LIBOR Phase-Out |
|---|---|
| July 27, 2017 | ARRC releases Paced Transition Plan to accelerate SOFR adoption.[20] |
| December 31, 2021 | Cessation of 1-week and 2-month USD LIBOR; U.S. regulators prohibit new LIBOR contracts.[23][22] |
| June 30, 2023 | End of USD LIBOR panel publication for all remaining tenors; settings deemed non-representative.[25][24] |
| September 30, 2024 | Cessation of synthetic 1-, 3-, and 6-month USD LIBOR for legacy support.[26] |
Adjustable Interest Rate (LIBOR) Act
The Adjustable Interest Rate (LIBOR) Act, enacted as part of the Consolidated Appropriations Act, 2022 (H.R. 2471), was signed into law by President Joe Biden on March 15, 2022.[27][28] The legislation addresses the cessation of LIBOR publications by establishing a statutory framework for replacing references to USD LIBOR in existing contracts governed by U.S. law, particularly "tough legacy contracts" lacking adequate fallback provisions for determining an alternative rate upon LIBOR's discontinuation.[4][29] Key provisions of the Act empower the Federal Reserve Board to identify benchmark replacement rates and spread adjustments to mitigate economic disruption from LIBOR's phase-out, scheduled for June 30, 2023, for most USD tenors.[30] The Board designated Secured Overnight Financing Rate (SOFR) as the primary replacement for one-month, three-month, six-month, and 12-month USD LIBOR tenors, incorporating spread adjustments derived from observed historical differences between LIBOR and SOFR to preserve economic equivalence in affected contracts.[4][29] For certain derivatives and securities, the Act permits the use of CME Term SOFR (a forward-looking term rate based on SOFR futures) as a conforming replacement when specified in the Board's implementing regulations.[31] The Act includes safeguards such as immunity from liability for determining and using benchmark replacements, overriding any contractual provisions that would impede the transition, and exclusions for contracts with knowledgeable parties that explicitly select alternative fallbacks.[30] On December 16, 2022, the Federal Reserve adopted a final rule implementing these provisions, effective 30 days after publication in the Federal Register on January 26, 2023, ensuring automatic replacement of LIBOR references upon the rate's cessation without requiring amendments to legacy documents.[4][29] This federal backstop complements voluntary market efforts and ARRC recommendations, applying nationwide to minimize litigation risks and basis disputes in trillions of dollars of outstanding LIBOR-linked instruments, including loans, bonds, and derivatives.[28][23]Technical Features
Definition and Underlying Transactions
The Secured Overnight Financing Rate (SOFR) is a benchmark interest rate that measures the cost of borrowing cash overnight, secured by U.S. Treasury securities in the repurchase agreement (repo) market.[1] It serves as a nearly risk-free rate, derived exclusively from actual transaction data rather than estimates or submissions, encompassing a daily volume exceeding $1 trillion in eligible repos as of its inception in April 2018.[32] Unlike interbank offered rates, SOFR excludes credit risk premiums associated with unsecured lending, focusing instead on secured overnight funding collateralized by government debt.[1] SOFR's underlying transactions consist of overnight repurchase agreements involving U.S. Treasury securities as collateral, drawn from three primary market segments to ensure broad coverage. These include tri-party general collateral repo transactions facilitated by the Bank of New York Mellon, where a third-party agent handles collateral management; General Collateral Finance (GCF) Repo transactions sponsored by the Fixed Income Clearing Corporation (FICC), which allow anonymous trading among primary dealers; and bilateral Treasury repo transactions cleared through FICC's Delivery Versus Payment (DVP) service, providing central clearing for fixed-rate, general collateral deals.[1] The rate aggregates these via a volume-weighted median of transaction-level rates, capping the influence of any single outlier at 25% of total volume to mitigate potential manipulation while preserving representativeness.[2] This transaction-based foundation reflects the depth of the Treasury repo market, with tri-party repos accounting for the largest share—typically over 70% of SOFR's weighted volume—followed by GCF and cleared bilateral segments, ensuring SOFR captures secured funding dynamics across diverse participants like money market funds, banks, and primary dealers.[18] Publication occurs each U.S. business day at approximately 8:00 a.m. ET, referencing transactions from the prior business day, with historical data available from April 2018 onward confirming average daily volumes stabilizing around $800 billion to $1 trillion post-2021 market normalization.[33]Calculation and Publication Process
The Secured Overnight Financing Rate (SOFR) is calculated daily by the Federal Reserve Bank of New York as the volume-weighted median of transaction rates for overnight repurchase agreements (repos) collateralized by U.S. Treasury securities, excluding transactions between affiliated entities in the cleared delivery-versus-payment (DVP) segment as of November 2024.[1][34] These transactions are drawn from three primary market segments: tri-party repos facilitated through The Depository Trust & Clearing Corporation (DTCC), General Collateral Finance (GCF) repos cleared by the Fixed Income Clearing Corporation (FICC), and bilateral repos cleared via FICC's DVP platform.[2] The volume-weighted median methodology applies a 25th-to-75th percentile trim to mitigate the impact of anomalous rates, ensuring robustness against outliers while reflecting the broadest available transaction data, which typically exceeds $1 trillion in daily volume.[2][18] Data collection occurs through automated feeds from clearing entities: DTCC provides tri-party repo data by 4:00 p.m. ET on the trade date, while FICC submits GCF and DVP data by 6:00 p.m. ET the following business day.[2] The New York Fed aggregates and processes this information overnight, applying filters to exclude non-qualifying trades such as those with maturities beyond one business day or non-Treasury collateral. If data from any segment is unavailable, a contingency calculation uses rates from the remaining segments weighted by their historical average contributions, adjusted for recent trends.[34] This approach maintains continuity, as demonstrated during periods of market stress where full data coverage is not feasible.[2] Publication occurs each business day at approximately 8:00 a.m. ET on the New York Fed's website, with the rate reflecting transactions executed on the prior business day.[1] Accompanying data includes the rate itself, total transaction volume, and breakdowns by segment, enabling users to verify transparency and assess representativeness.[1] Methodological refinements, such as the October 2024 exclusion of affiliated DVP transactions to enhance independence, are applied retrospectively to historical data for consistency, with the first modified rate published on November 25, 2024, covering November 22 transactions.[35][34]SOFR Averages, Index, and Term Structure
The SOFR Averages consist of compounded averages of the daily SOFR rates over rolling 30-, 90-, and 180-calendar-day periods, published daily by the Federal Reserve Bank of New York approximately at 8:00 a.m. ET.[33] These averages are calculated using a compounding methodology that applies the daily SOFR to the principal amount over the specified period, enabling market participants to apply backward-looking term rates in financial contracts such as floating-rate notes and adjustable-rate mortgages.[36] The Alternative Reference Rates Committee (ARRC) has recommended the use of these averages for new contracts where a term rate is needed, emphasizing their alignment with the overnight nature of SOFR while providing a smoothed measure less susceptible to single-day volatility.[2] The SOFR Index, also published daily by the New York Fed, quantifies the cumulative effect of daily compounded SOFR on a unit investment starting from an initial value of 1.00000000 as of April 2, 2018—the first publication date of SOFR.[33] It is computed by multiplying the prior day's index value by the factor (1 + daily SOFR / 360), allowing users to derive compounded SOFR rates over arbitrary periods by dividing the index value at the end of the period by the value at the start.[2] This index facilitates precise interest calculations in derivatives and loans with non-standard accrual periods, supporting the ARRC's preference for compounded in-arrears mechanisms over forward-looking rates in most scenarios to maintain robustness against manipulation.[37] Term SOFR rates provide a forward-looking term structure for SOFR, offering daily reference rates for 1-, 3-, 6-, and 12-month tenors, published by CME Group and formally recommended by the ARRC on July 29, 2021, for specific applications such as certain business loans and cash products transitioning from USD LIBOR.[38] These rates are derived from market expectations embedded in SOFR futures and swaps traded on CME, using a methodology that weights observable prices to estimate future average SOFR levels, ensuring they reflect liquid derivatives markets rather than illiquid forward contracts.[39] The ARRC advises limiting Term SOFR to scenarios where forward-looking visibility is contractually essential, such as syndicated loans, while cautioning against its broader use to avoid undermining the backward-looking integrity of the SOFR ecosystem; as of April 2023, updated guidance reinforces prioritizing overnight SOFR and averages for new originations except in legacy conversions.[40][41]Advantages
Transaction-Based Reliability and Anti-Manipulation Benefits
SOFR derives its reliability from being fully transaction-based, aggregating actual overnight repurchase agreement (repo) transactions secured by U.S. Treasury securities, rather than relying on banks' subjective estimates or predictions.[2] The Federal Reserve Bank of New York calculates the rate as a volume-weighted median of data from tri-party, general collateral finance (GCF), and bilateral repo markets, drawing on approximately $1 trillion in daily transaction volume as of 2020, providing a robust representation of market conditions.[32] This empirical foundation ensures consistency even during periods of stress, as demonstrated by uninterrupted publication through events like the 2008 financial crisis and 2019 repo market turbulence.[42] In contrast to LIBOR, whose survey-based methodology enabled manipulation—evidenced by scandals from 2005 to 2011 that prompted over $9 billion in fines against global banks including Barclays ($450 million in 2012) and Deutsche Bank ($2.5 billion in 2015)—SOFR's dependence on observable, high-volume trades eliminates opportunities for panel submissions to be falsified for profit or to mask financial distress.[10][43] By excluding judgmental inputs, SOFR mitigates risks of collusion or bias inherent in LIBOR's structure, where banks had incentives to under- or over-report rates to influence derivative positions or appear healthier.[2] The anti-manipulation benefits stem from the repo market's depth and decentralization, involving diverse participants such as money market funds, primary dealers, and banks, where influencing the rate would necessitate dominating a substantial share of the trillion-dollar daily activity—an implausible feat due to regulatory oversight and market liquidity.[42] This structure aligns with international standards for benchmarks under the International Organization of Securities Commissions (IOSCO) principles, emphasizing representativeness and resilience against undue influence, thereby restoring trust in reference rates post-LIBOR.[2]Risk-Free Nature and Transparency
The Secured Overnight Financing Rate (SOFR) embodies a nearly risk-free profile by measuring the cost of overnight borrowing collateralized exclusively by U.S. Treasury securities, assets deemed free of credit risk due to the full faith and credit of the U.S. government.[2] This secured structure eliminates counterparty default exposure inherent in unsecured interbank lending, positioning SOFR as a proxy for private-sector risk-free borrowing costs.[44] The overnight tenor further minimizes duration risk, avoiding the term premiums and credit spreads embedded in longer-dated benchmarks like LIBOR.[45] SOFR's transparency stems from its reliance on observable, transaction-level data aggregated from deep repo market segments, including tri-party repos via Bank of New York Mellon, Fixed Income Clearing Corporation's General Collateral Finance (GCF) service, and bilateral trades.[1] The rate is computed as a volume-weighted median of these transactions, a fixed methodology that eschews subjective estimates or panel submissions, thereby reducing susceptibility to manipulation compared to submission-based rates.[2] With daily volumes typically exceeding $1 trillion—often surpassing $3 trillion as of October 2025—the underlying market's scale ensures representativeness and resilience to outliers or distortions.[46][2] Publication occurs daily by the Federal Reserve Bank of New York at approximately 8:00 a.m. ET, with data sourced from cleared platforms and subject to limited revisions only if errors exceed 1 basis point by 2:30 p.m. ET, fostering verifiable accountability.[2] This process, conducted for the public good without commercial incentives, contrasts with prior benchmarks prone to conflicts, enhancing overall market trust in SOFR's integrity.[2]Criticisms and Challenges
Volatility and Lack of Forward-Looking Elements
SOFR, as an overnight rate derived from actual repurchase agreement (repo) transactions collateralized by U.S. Treasury securities, exhibits higher day-to-day volatility compared to LIBOR, which relied on forward-looking estimates from bank submissions. This volatility stems from fluctuations in repo market volumes and conditions, often amplified at quarter-ends or during stress events; for example, SOFR spiked above 5% in September 2019 amid repo market turmoil driven by corporate tax payments and Treasury settlements.[47] Daily SOFR rates can vary significantly due to real transaction data rather than smoothed forecasts, with standard deviation measures showing greater dispersion than LIBOR's historical levels, though this is mitigated when using compounded or averaged SOFR over longer periods for interest calculations.[48][49] Critics argue that even averaged SOFR retains residual sensitivity to repo market disruptions unrelated to broader monetary policy, such as spikes from Treasury issuance surges or dealer balance sheet constraints, potentially introducing unnecessary noise into benchmark-dependent products like adjustable-rate loans. For instance, analyses indicate that expanding federal deficits and Treasury net issuance could induce SOFR volatility decoupled from Federal Reserve policy intentions.[50] Proposed regulatory changes, including mandatory central clearing for Treasury repos effective in 2025, may further elevate volatility by altering transaction reporting and market dynamics, as cleared repos could introduce new data lags or pricing frictions.[51] Compounding these issues is SOFR's inherent lack of forward-looking elements, as it reflects only realized overnight transactions without incorporating market expectations of future rates, unlike LIBOR's term structures spanning one to twelve months. This backward-looking nature requires fallback mechanisms like compounded-in-arrears calculations for longer tenors, which delay rate fixation until period-end and prevent borrowers from knowing exact interest payments at the outset, complicating cash flow planning and risk management in loans and derivatives.[52][53] To address this, CME Group began publishing forward-looking Term SOFR rates in March 2021, derived from SOFR futures prices implying expected average rates over 1-, 3-, 6-, and 12-month periods. However, Term SOFR has faced scrutiny for its "engineered" construction via derivatives markets, which may lack the depth and direct forward expectations embedded in LIBOR, leading to hedging mismatches for cash products and potential inaccuracies during low futures liquidity.[54][55] Early adoption challenges highlighted that without robust Term SOFR derivatives, effective hedging of Term SOFR-based exposures remains limited, perpetuating reliance on backward-looking averages in many contracts.[56]Credit Risk Premium Absence and Spread Adjustments
SOFR, derived from transactions in the repurchase agreement (repo) market collateralized by U.S. Treasury securities, excludes any credit risk premium inherent in unsecured lending rates like LIBOR, as the underlying collateral minimizes default risk for participants.[6] This secured nature positions SOFR as a near risk-free rate, reflecting borrowing costs backed by government obligations rather than interbank creditworthiness.[1] In contrast, LIBOR incorporated a premium for bank credit and liquidity risks, typically resulting in LIBOR rates exceeding comparable risk-free benchmarks by 10-40 basis points on average, with spikes during financial stress periods like 2008 or 2020.[56] The absence of this premium in SOFR presents challenges for legacy contracts benchmarked to LIBOR, as direct substitution could understate borrowing costs by omitting the embedded credit sensitivity, potentially altering economic outcomes for lenders and borrowers.[57] Market participants have noted that SOFR's risk-free profile may not fully proxy the credit-sensitive funding costs relevant to commercial loans or derivatives, raising concerns about basis risk in transitions.[58] To address this, the Alternative Reference Rates Committee (ARRC) recommends adding fixed credit spread adjustments to SOFR-based rates, calculated as the five-year historical median difference between LIBOR tenors and SOFR equivalents, fixed as of March 5, 2021, to minimize value transfer upon LIBOR cessation.[59] These static adjustments apply differently across products: for derivatives, the International Swaps and Derivatives Association (ISDA) implements them via fallback protocols, while for cash products like loans, ARRC guidance suggests contractual inclusion to approximate original LIBOR economics.[60]| LIBOR Tenor | Recommended Static Spread Adjustment (basis points) |
|---|---|
| 1-month | 11.448 |
| 3-month | 26.161 |
| 6-month | 42.826 |