31) To the Extent That the Price or Nonprice Terms Applied to Separately Managed Accounts Established with Investment Advisers Have Tightened or Eased Over the Past Three Months (as Reflected in Your Responses to Questions 29 and 30), What Are the Most Important Reasons for the Change?| A. Possible Reasons for Tightening | 1. Deterioration in Current or Expected Financial Strength of Counterparties. | Answer Type: 2nd Most Important

CTQ31A12MINR • Economic Data from Federal Reserve Economic Data (FRED)

Latest Value

0.00

Year-over-Year Change

N/A%

Date Range

1/1/2012 - 4/1/2025

Summary

Tracks financial market sentiment regarding counterparty credit risk and investment account management. Provides insight into institutional perceptions of financial sector stability.

Analysis & Context

This economic indicator provides valuable insights into current market conditions and economic trends. The data is updated regularly by the Federal Reserve and represents one of the most reliable sources for economic analysis.

Understanding this metric helps economists, policymakers, and investors make informed decisions about economic conditions and future trends. The interactive chart above allows you to explore historical patterns and identify key trends over time.

About This Dataset

Measures changes in investment account terms related to counterparty financial strength. Reflects institutional risk assessment strategies.

Methodology

Collected through quarterly survey of financial institutions and investment advisers.

Historical Context

Used by regulators and financial analysts to assess credit market conditions.

Key Facts

  • Indicates institutional credit risk perceptions
  • Part of quarterly financial market survey
  • Reflects potential economic stress indicators

FAQs

Q: What does this economic indicator measure?

A: Tracks changes in investment account terms based on counterparty financial strength assessments.

Q: Why are counterparty risk assessments important?

A: They help financial institutions manage potential credit risks and economic uncertainties.

Q: How often is this data collected?

A: Collected quarterly through systematic financial institution surveys.

Q: Who uses this economic data?

A: Regulators, financial analysts, and institutional investors use this to assess market conditions.

Q: What limitations exist in this data?

A: Represents perceptions and may not capture all potential market complexities.

Related News

Related Trends

37) To the Extent That the Price or Nonprice Terms Applied to Nonfinancial Corporations Have Tightened or Eased over the Past Three Months (as Reflected in Your Responses to Questions 35 and 36), What Are the Most Important Reasons for the Change?| B. Possible Reasons for Easing | 4. Lower Internal Treasury Charges for Funding. | Answer Type: First in Importance

ALLQ37B4MINR

36) Over the Past Three Months, How Has Your Use of Nonprice Terms (for Example, Haircuts, Maximum Maturity, Covenants, Cure Periods, Cross-Default Provisions or Other Documentation Features) with Respect to Nonfinancial Corporations Across the Entire Spectrum of Securities Financing and Otc Derivatives Transaction Types Changed, Regardless of Price Terms?| Answer Type: Eased Considerably

ALLQ36ECNR

66) Over the Past Three Months, How Have the Terms Under Which Non-Agency Rmbs Are Funded Changed?| A. Terms for Average Clients | 2. Maximum Maturity. | Answer Type: Eased Considerably

ALLQ66A2ECNR

74) Over the Past Three Months, How Have the Terms Under Which Consumer Abs (for Example, Backed by Credit Card Receivables or Auto Loans) Are Funded Changed?| A. Terms for Average Clients | 1. Maximum Amount of Funding. | Answer Type: Remained Basically Unchanged

ALLQ74A1RBUNR

45) Over the Past Three Months, How Have Initial Margin Requirements Set by Your Institution with Respect to Otc Credit Derivatives Referencing Corporates (Single-Name Corporates or Corporate Indexes) Changed?| B. Initial Margin Requirements for Most Favored Clients, as a Consequence of Breadth, Duration, And/or Extent of Relationship. | Answer Type: Increased Considerably

ALLQ45BICNR

31) To the Extent That the Price or Nonprice Terms Applied to Separately Managed Accounts Established with Investment Advisers Have Tightened or Eased Over the Past Three Months (as Reflected in Your Responses to Questions 29 and 30), What Are the Most Important Reasons for the Change?| A. Possible Reasons for Tightening | 5. Diminished Availability of Balance Sheet or Capital at Your Institution. | Answer Type: 2nd Most Important

CTQ31A52MINR

Citation

U.S. Federal Reserve, Investment Account Terms Survey (CTQ31A12MINR), retrieved from FRED.