And another one,Accounting for the ESF's Gold Swaps By James...

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    And another one,

    Accounting for the ESF's Gold Swaps

    By James Turk
    Copyright 2002, The Freemarket Gold & Money Report
    Letter No. 297
    January 7, 2002

    A few weeks ago I received an interesting email from
    Andrew Hepburn. He is a diligent researcher who has
    done yeoman's work for the Gold Anti-Trust Action
    Committee Inc., an organization formed to find the
    truth about who is keeping a lid on the gold price.
    Andrew and I recently have been sharing information and
    research on a number of matters, and he brought to my
    attention an intriguing footnote in a 1997 report
    called the "Consolidated Financial Statements of the
    U.S. Government," or CFS.

    The federal government completes the CFS annually. The
    CFS started being prepared, as I recall, about 15 years
    ago in an attempt to measure what the U.S. government's
    true financial picture looked like according to
    Generally Accepted Accounting Principles. As readers
    may know, the U.S. government does not use GAAP in its
    accounting. So Congress asked the General Accounting
    Office (GAO) to begin preparing an annual CFS that
    would provide accurate GAAP reporting of the U.S.
    government's financial accounts. These reports were to
    be prepared and dated as of September 30, which is the
    government's fiscal year-end.

    I hadn't looked at the CFS for a number of years
    because they were not very detailed, and also because
    they included some major errors in accounting. For
    example, the CFS booked the U.S. gold stock as an asset
    at its market value, but recorded only the
    corresponding liability for U.S. Treasury gold
    certificates at $42.22 per ounce.

    This difference of course overstated the government's
    true net worth, or, I should say, net deficit. For
    according to GAAP, the U.S. government has a negative
    net worth -- negative $5 trillion in 1997 and negative
    $5.9 trillion in 2000. So this misreporting of the gold
    stock seemed to be a clear attempt to minimize this
    deficit net worth to make the government's financial
    picture look better than it really was. As a
    consequence, I never paid much attention to the CFS
    until Andrew brought Footnote 2 of the 1997 CFS to my
    attention. It reported an interesting accounting
    change.

    In 1997 the CFS began valuing the U.S. gold reserve at
    $42.22 instead of market value, which I think is a
    significant change for two reasons.

    1) This change reduced the U.S. government's net worth
    by the difference between the market value of the asset
    and the government's liability -- that is, the U.S.
    Treasury gold gertificates. Given that the U.S.
    government has a multi-trillion dollar NEGATIVE net
    worth, there must be a very good reason for the
    government to make that negative net worth even bigger
    in the CFS. This good reason is the second point.

    2) This accounting change -- made presumably because of
    GAAP rules -- gives substance to the argument that as
    of September 30, 1997, the U.S. Treasury owed 261.7
    million ounces of gold to the Federal Reserve, and not
    $11 billion.

    In other words, this accounting change made clear that
    the Treasury owes the entire U.S. gold stock to the
    Federal Reserve.

    This meaningful change in the quest for accurate
    accounting by the GAO really spurred my interest. The
    Federal Financial Management Act of 1994 apparently was
    having a positive impact on the accuracy of the CFS
    reports. So I thereupon began reading the CFS for
    recent years, and particularly the footnotes. One can
    learn a lot by reading the footnotes to financial
    statements, comparing them from one year to the next
    and then studying any changes. And there were indeed
    several interesting changes.

    1) Beginning in 1997, the following statement was added
    to Footnote 2: "Gold has been pledged as collateral for
    gold certificates issued to the Federal Reserve banks
    totaling $11.0 billion." As explained above, this
    change is a significant advancement, and points to the
    more accurate reporting being required by the GAO.

    2) One other improvement for accuracy was made in 1997.
    The CFS began some basic reporting on the Exchange
    Stabilization Fund (ESF) by recording some of its
    liabilities. The report said that the "Exchange
    Stabilization Fund includes SDR certificates issued to
    the Federal Reserve banks and allocations from the
    International Monetary Fund." That liability was $15.9
    billion in 1997.

    3) These weren't the only changes. The CFS more than
    doubled in length from 32 pages in 1995 to 68 pages by
    1997, then jumping to 94 pages in 1998, 111 pages in
    1999, and 142 pages in 2000.

    4) Curious changes weren't happening just to the CFS.
    Spurred by what I was learning from the CFS, I began
    looking at the annual reports of the Federal Reserve.

    The 1998 annual report included a new footnote in a
    section entitled "Significant Accounting Policies" that
    states: "The Secretary of the Treasury is authorized to
    issue gold certificates to the Reserve Banks to
    monetize gold held by the U.S. Treasury. Payment for
    the gold certificates by the Reserve Banks is made by
    crediting equivalent amounts in dollars into the
    account established for the U.S. Treasury. These gold
    certificates held by the Reserve Banks are required to
    be backed by the gold of the U.S. Treasury. The U.S.
    Treasury may reacquire the gold certificates at any
    time, and the Reserve Banks must deliver them to the
    U.S. Treasury."

    By 1998 the intervention in the gold market was
    progressing to such an extent that it is not
    unreasonable to conclude that the Federal Reserve had
    become concerned about the eventual ramifications of
    these interventions and the Fed's involvement in it.
    This view acquires extra weight when considering that
    it was in 1998 when Fed Chairman Alan Greenspan
    testified before Congress that "central banks stand
    ready to lease" -- that is, lend -- gold in increasing
    quantities should the price rise."

    Was the Fed trying to build some safety net around
    itself so that it could reasonably blame the Treasury
    for all the gold market intervention in some future
    congressional investigation? This conclusion is not
    unreasonable given the following change to the CFS.

    5) In 1999 Footnote 2 on the CFS said: "Gold was
    pledged as collateral for gold certificates issued to
    the Federal Reserve Banks totaling $11.0 billion."
    Beginning in 2000, this disclosure was changed to read:
    "Gold totaling $11 billion was pledged as collateral
    for gold certificates issued and authorized to the
    Federal Reserve Banks by the Secretary of the Treasury.
    Treasury may redeem the gold certificates at any time."

    Why was the first sentence changed and the new
    statement added? Was the GAO asking Treasury some tough
    questions about Treasury's authority to deal in gold
    and intervene in the gold market? Did Treasury feel
    that because of its growing involvement in the gold
    market some statement on its authority was necessary
    for the sake of open and honest disclosure?

    In this regard, I would like to confirm a point about
    the U.S. government's authority to dispose of the U.S.
    Gold Reserve. I had thought that congressional approval
    was required, but I was wrong. Dave Walker set me
    straight on that one.

    Dave's name may be familiar to you. I've mentioned him
    before in these letters. Dave is another diligent
    researcher who has done some wonderful work for GATA.
    Here's how Dave set me right on this matter: He went
    straight to the law.

    Though it had been my understanding that congressional
    approval is required to sell gold, I've never
    researched this point. I believe I probably first read
    it in the media years ago and then just accepted as
    fact that Congress must approve any transactions
    involving the U.S. gold reserve. I was wrong, and Dave
    proved it to me by showing me the U.S. Code. I had to
    read the code myself to believe what he was telling me,
    so flabbergasted was I that congressional approval was
    NOT required. But there it was in Title 31, Section
    5116.

    The law doesn't say anything about any congressional
    authority. I really find this hard to believe that the
    president and treasury secretary can dispose of the
    U.S. gold reserve without congressional approval, but
    I've seen so much now I keep asking myself why I should
    be surprised by yet another revelation. Same goes for
    Title 12, Section 354, regarding the Federal Reserve
    and its authority "to contract for loans of gold."

    Then Andrew Hepburn found the following in the
    Treasury's Budget for FY 2002: "The Secretary of the
    Treasury is authorized to deal in gold and foreign
    exchange and other instruments of credit and securities
    as deemed necessary, consistent with U.S. obligations
    in the International Monetary Fund (IMF) regarding
    orderly exchange arrangements and a stable system of
    exchange rates. An Exchange Stabilization Fund, with a
    capital of $200 million, is authorized by law for this
    purpose." (31 U.S.C. 5302.)

    Thus, regardless what you may have thought, Congress
    does not need to approve any U.S. gold sale, nor
    anything else concerning the U.S. gold reserve,
    including the "gold swaps" that we know were made
    because their appearance in the minutes of the Federal
    Open Market Committee's January 1995 meeting was
    inadvertently not redacted. Given what we have already
    seen, it is not too surprising that the footnotes to
    the CFS and the annual report of the Federal Reserve
    have been beefing up their disclosure about Treasury
    authority as Treasury/ESF activity in the gold market
    increases. And in this regard, I came across the
    following very important change.

    6) To define International Monetary Assets (IMA), the
    1999 CFS states in Footnote 2: "Assets valued on a
    basis other than the U.S. dollar comprise
    'international monetary assets.'" This footnote then
    goes on to list and explain each of those assets -- 1)
    the U.S. reserve position in the International Monetary
    Fund (IMF), 2) Special Drawing Rights (SDRs), 3)
    foreign currency, and 4) other monetary assets
    denominated in foreign currency. There is no mention of
    gold, nor should there be, because gold is reported
    separately in the table accompanying Footnote 2. But
    compare this definition of IMA to the one used in the
    2000 CFS.

    Footnote 2 states: "'International monetary assets'
    include the U.S. reserve position in the International
    Monetary Fund (IMF), U.S. holdings of Special Drawing
    Rights (SDRs), official reserves of foreign currency,
    and gold." And "gold"? Why is gold now being included
    in this definition?

    On the surface, including gold in this definition does
    not make sense because it is reported separately in
    Footnote 2 as $11 billion in both 1999 and 2000. But if
    your intent is to hide a GOLD LIABILITY, then
    everything falls into place. The above assets are being
    reported NET of offsetting liabilities.

    As proof that the international monetary assets are
    reported above on a net basis -- that is, net of
    liabilities -- consider the following evidence.

    The 2000 CFS reports the international monetary asssets
    as $35.2 billion and states: "The U.S. reserve position
    in the IMF has a U.S. dollar equivalent of $13.7
    billion as of that date." It goes on to say: "SDR
    holdings are an asset of Treasury's Exchange
    Stabilization Fund (ESF), which held SDRs totaling
    $10.3 billion equivalent at the end of fiscal 2000."

    The CFS does not state the foreign currency holdings,
    but we can calculate what they are by subtracting the
    $13.7 billion IMF position and $10.3 billion SDR
    position from total international monetary assets of
    $35.2 billion, which equals foreign currency holdings
    of $11.2 billion. Then compare this total from the 2000
    CFS to the U.S. Reserve Assets reported in the December
    2000 Treasury Bulletin. This comparison is presented
    below:


    International Monetary Assets as of Sept. 30 2000

    Treasury Report Total Gold SDRs Foreign Position
    stock Currency in IMF

    Dec. 2000 bulletin 66,256 11,046 10,316 31,209 13,685
    ($ in millions)

    2000 CFS 46.2 11.0 10.3 11.2 13.7
    ($ in billions)


    We can see from the above table that the gold stock,
    SDRs, and Position in the IMF are the same for both
    reports, allowing only for the different levels of
    precision by which they are reported. But note that the
    foreign currency assets are $31.2 billion according to
    the report of US Reserve Assets in the Treasury
    Bulletin, but only $11.2 billion on the CFS.

    The reason for this difference is clear.

    The U.S. Reserve Assets are reported in the Treasury
    Bulletin on a gross basis. But the CFS is prepared
    using GAAP, and therefore these assets must be reported
    net of any offsetting liabilities. (For example, just
    as account receivables are reported in GAAP on a net
    basis.)

    So the comparison of these two reports on a gross and
    net basis shows that the U.S. government has a $20
    billion LIABIITY, but not just for foreign currency.

    There is a liability for gold as well because Footnote
    2 says so. As noted above, it defined international
    monetary assets to "include the U.S. reserve position
    in the International Monetary Fund (IMF), U.S. holdings
    of Special Drawing Rights (SDRs), official reserves of
    foreign currency, AND gold." (Emphasis added.) The word
    "gold" was added there in 2000 for a reason, and that
    reason is to record the U.S. government's gold
    liability -- it owes gold. But to whom?

    Last April in my essay "Behind Closed Doors," I
    presented evidence that the U.S. government had swapped
    with the Bundesbank some 1,700 tonnes of gold stored at
    the depository in West Point. At the time, I wasn't
    able to figure out where the transaction was hidden in
    the U.S. governments accounts, but I now have the
    answer. This 1,700 tonnes at $280 per ounce is a $15.3
    billion transaction. This accounting entry is in the
    $20 billion liability explained above, which at $280
    per ounce allows for the possibility that the gold swap
    has increased to $20 billion. I say "possible" because
    the rest of this liability may have arisen from a
    currency swap.

    So here's the accounting. The U.S. government swaps
    gold with the Bundesbank, which now owns the gold at
    West Point. "Further, to secure this transaction, the
    Bundesbank receives SDR Certificates, which solves "The
    Mystery of the Disappearing SDR Certificates"
    (Freemarket Gold and Money Report Letter No. 289,
    August 13, 2001). The ESF gets the gold in the
    Bundesbank's vault, which it then lends to the bullion
    banks in an off-balance sheet transaction.

    Since I first reported that the Bundesbank owns the
    gold in the Treasury vault at West Point, I have been
    asked countless times" How can the gold still be
    reported as being held in the Treasury vaults and
    listed as a U.S. Reserve Asset if it is really owned by
    the Bundesbank? Well, according to GAAP accounting, it
    can't. And that is what I have now discovered in the
    2000 CFS, which presents the offsetting gold liability
    in the International Monetary Assets.

    This 2000 CFS footnote was changed from the 1999 CFS
    for a reason -- to reflect new conditions in the
    accounts. As further confirmation of this point, we
    already know that on September 30, 2000, in its reports
    of the US Gold Reserve, the Treasury began labeling the
    gold in West Point as "Custodial Gold," changing it
    from its previous classification of "Bullion Reserve."

    This gold is being held in custody for the Bundesbank,
    its owner.

    It is worth recalling that all these changes took place
    in the fiscal year ending September 30, 2000. That year
    began October 1, 1999, just days after the Washington
    Agreement. There has been a lot of evidence presented
    that the Bank of England and other central banks
    intervened heavily in the gold market to cap the rally
    then under way to get the gold price back below $300
    per ounce. (See, for example, Paragraph 55 of Reg
    Howe's Complaint against the Bank for International
    Settlements et al. at www.goldensextant.com.)

    Finally, there is one last point to consider. Why
    didn't the General Accounting Office require this gold
    liability to be offset directly against the U.S. Gold
    Reserve, instead of the foreign currency holdings?

    Clearly, that accounting would have laid bare for all
    to see that the West Point gold has been swapped, so
    that is one reason why the Treasury/ESF didn't report
    it that way. But I actually think GAAP standards are
    being met by the way the accounting was handled.

    First, possession is nine tenths of the law. The gold
    is still in Treasury vaults, so what is the Bundesbank
    going to do to get its gold back if the Treasury
    refuses to release it? Send over the German army?
    Besides, the Bundesbank got the SDR Certificates as
    security, so one could reasonably argue that the
    Bundesbank could be made whole by replacing on its
    balance sheet the gold it formerly owned with the SDR
    Certificates it now owns. (Of course, I would have
    never accepted paper as equivalent value in exchange
    for gold, but then, I'm not a central banker.)

    In summary, there is still some room for more
    interpretations about the precise accounting, but I
    think we have taken one more giant step forward by
    providing this evidence to account for the gold swap.

    We have explained how the ESF has been surreptitiously
    intervening in the gold market. We know where they get
    the metal that they need. We now also know how they
    account for it. And we know their motive -- to maintain
    the illusion that the dollar is worthy of being the
    world's "reserve currency." And all of this ESF gold-
    related activity has been occurring without
    congressional approval, which as noted, is not needed.

    Over the past few years I have presented in these
    letters strong evidence that the gold price is
    abnormally low because of government manipulation. The
    evidence is compelling, but not everyone has yet been
    convinced. Two reasons most often emerge to explain the
    skepticism.

    Skeptics note the absence of any congressional approval
    for putting the U.S. Gold Reserve into play. We now
    know that Congress has no control over the gold
    reserve, and its approval is not needed.

    The other reason for skepticism relates to reporting.
    How can the U.S. government report the ownership of
    gold assets in West Point that are really owned by the
    Bundesbank? The answer is simple -- only if the U.S.
    government owes the gold to someone else. The CFS
    reports the offsetting gold liability, so the U.S.
    government holds the gold asset in custody for its real
    owner, the Bundesbank, which explains why the West
    Point reserve was changed to "custodial gold" -- the
    U.S. government doesn't own it.

    I hope that this report will convince the remaining
    skeptics and spur Congress to investigate what is
    happening to America's gold.

    This report shines more light on the ESF and the gold
    shorts. The circle is tightening around them. The
    pressure is building. One of these days, they will lose
    control, sending the gold price soaring. And I think
    that moment is getting very close.

    -END-







 
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