This update amends our prior publication on June 5, 2020, and contains new information based on additional guidance provided by the Federal Reserve on June 8, 2020.
Authorized under the Coronavirus Aid, Relief, and Economic Security Act (CARES Act) and previously announced on April 9, 2020, the Main Street Lending Program (Main Street Program) will indirectly facilitate loans to businesses to alleviate economic distress caused by the spread of COVID-19. Under the Main Street Program, the Federal Reserve will provide a mechanism to purchase up to $600 billion of participation interests in loans originated by eligible lenders. The Federal Reserve has not yet announced a start date for the program.
On June 8, 2020, the Federal Reserve released updated term sheets for the three types of loan facilities established under the Main Street Program and released new FAQs providing further details about the Main Street Program.[1] On May 27, 2020, through the Federal Reserve Bank of Boston’s website, the Federal Reserve released forms of certifications and agreements.
Overview of Facilities Under Main Street Program
The Main Street Program will consist of the following three loan facilities:
- Main Street New Loan Facility (the New Loan Facility): The New Loan Facility will provide a mechanism for a special purpose entity created through the Federal Reserve Bank of Boston (FRB) to purchase new term loans. The FRB’s special purpose entity will purchase 95% participation interests in New Loan Facility loans.
- Main Street Priority Loan Facility (the Priority Loan Facility): The Priority Loan Facility also will provide a mechanism for the FRB’s special purpose entity to purchase new term loans. The FRB’s special purpose entity will purchase 95% participation interests in Priority Loan Facility loans.
- Main Street Expanded Loan Facility (the Expanded Loan Facility): The Expanded Loan Facility will provide a mechanism for the FRB’s special purpose entity to purchase new term loan tranches made under existing loan facilities. To be eligible for “upsizing”, the existing term loan or revolving credit facility must have been originated on or before April 24, 2020, and must have a remaining maturity of at least 18 months. The lender may extend the maturity of an existing loan or revolving credit facility at the time of upsizing for the underlying instrument to satisfy the 18-month remaining maturity requirement. The FRB’s special purpose entity will purchase 95% participation interests in Expanded Loan Facility loans. An existing loan facility may be upsized to provide for an Expanded Loan Facility even if the existing loan facility does not have an “accordion” feature.
These loans are to be originated by “Eligible Lenders” (see FAQ #4 below), not by the FRB directly. However, to be eligible to be sold to the FRB’s special purpose entity, the loans will need to satisfy program requirements. The following chart provides an overview of the key mandatory terms of the New Loan Facility, the Priority Loan Facility, and the Expanded Loan Facility (collectively, the Facilities). In addition to what is required by the Federal Reserve, loans under these Facilities will include other terms and conditions as are customary for credit facilities of this type.
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New Loan Facility
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Priority Loan Facility
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Expanded Loan Facility
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Minimum Loan Size
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$250,000
(previously $500,000)
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$10 million
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Maximum Loan Size
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Lesser of (1) $35 million or (2) an amount that, when added to existing outstanding and undrawn debt, does not exceed 4x 2019 adjusted EBITDA.
(previously $25 million)
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Lesser of (1) $50 million or (2) an amount that, when added to existing outstanding and undrawn debt, does not exceed 6x 2019 adjusted EBITDA.
(previously $25 million)
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Lesser of (1) $300 million, or (2) an amount that, when added to existing outstanding and undrawn debt, does not exceed 6x 2019 adjusted EBITDA.
(previously $200 million)
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Security
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May be secured or unsecured.
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May be secured or unsecured, but any collateral that secures the underlying loan must secure the upsized tranche on a pari passu basis.
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Priority
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Must not be contractually subordinated in terms of payment priority to any of the borrower’s other debt.
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Must not be contractually subordinated in terms of payment priority to any of the borrower’s other debt.
Must be senior to or pari passu with, in terms of priority and security, the borrower’s other debt, other than mortgage debt (mortgage debt is defined as debt secured by real property and limited recourse equipment financings such as purchase money loans).
Additional information on the priority rules is provided in FAQ #8 below.
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Term
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Five years
(previously four years)
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Repayment
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Principal deferred for two years and interest deferred for one year. Deferred and unpaid interest will be capitalized. Principal payments of 15%, 15%, and 70% at end of years three, four, and five, respectively.
(previously principal deferred for one year and 33.33% repayment due in years 2-4 under New Loan Facility; previously principal deferred for one year and 15%, 15%, 70% repayment due in years 2, 3, and 4, respectively, under Priority Loan Facility and Expanded Loan Facility)
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Voluntary Prepayment
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Permitted without penalty.
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Mandatory Prepayment
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Each Main Street loan must contain a provision that requires prepayment if borrower breaches certain covenants or makes a material misstatement with respect to certain certifications.
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Interest Rate
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LIBOR (one or three month) + 3.00%
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Fees
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- 1.00% transaction fee paid by originating lender - fee may be passed on to borrower.
- Up to 1.00% origination fee paid by borrower.
- 0.25% servicing fee paid by federal government to lender.
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- 0.75% transaction fee paid by originating lender—fee may be passed on to borrower.
- Up to 0.75% origination fee paid by borrower.
- 0.25% servicing fee paid by federal government of FRB to lender.
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Participation Percentage
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FRB to purchase 95% participation interest.
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FRB to purchase 95% participation interest.
(previously 85%)
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FRB to purchase 95% participation interest.
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Covenants (Compensation)
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Until 12 months after loan has been repaid:
- Officers and employees whose total compensation exceed $425,000 in calendar year (CY) 2019 may not:
- Receive total compensation during any consecutive 12-month period in excess of the total compensation received in CY2019.
- Receive severance pay or other benefits upon termination of employment in excess of 2x the total compensation received in CY2019.
- Officers/employees whose total compensation exceeded $3 million in CY2019 may not receive total compensation during any consecutive 12-month period in excess of (1) $3 million, plus (2) 50% of excess over $3 million of total compensation received in CY2019.
“Total compensation” includes salary, bonuses, awards of stock, and other financial benefits.
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Covenants (Restricted Payments)
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Until 12 months after loan has been repaid:
- The borrower may not repurchase listed equity securities (including securities issued by the borrower’s parent), except to the extent required under a contractual obligation in existence as of March 27, 2020.
- The borrower may not pay dividends or make other capital distributions with respect to the common stock of the business (other than tax distributions by S corporations and other pass-through entities).
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Covenants (Debt Repayments)
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- No payments may be made on other debt (other than payments that are mandatory and due) until loan has been repaid. However, the borrower may refinance other debt at the time of origination of a loan under the Priority Loan Facility.
- Payments on other debt are considered “mandatory and due” (1) on the future dates upon which they were scheduled to be paid as of the date of origination of the Main Street Program loan, or (2) upon a mandatory prepayment event under a contract for indebtedness executed prior to the date of origination of the Main Street Program loan, (except that any such prepayments triggered by the incurrence of new debt can only be paid (i) if such prepayments are de minimis, or (ii) under a loan under the Priority Loan Facility at the time of origination of such loan).
- No cancellation or reduction of any committed lines of credit is permitted.
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Covenants (Retaining Employees)
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Borrower must make commercially reasonable efforts to retain employees during the term of the loan. In the Main Street Program FAQ guidance, the FRB states that a borrower “should undertake good-faith efforts to maintain payroll and retain employees, in light of its capacities, the economic environment, its available resources, and the business need for labor.” Borrowers that have already laid off or furloughed workers as a result of the disruptions from COVID-19 are eligible to apply for the Main Street Program.
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Covenants (Financial Reporting)
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Borrowers must comply with robust annual and quarterly reporting requirements that are more detailed than required by many customary credit agreements.
Model language for such covenant is provided in the Main Street Program FAQ guidance.[2]
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Must include the same annual and quarterly reporting requirements as loans under the New Loan Facility and Priority Loan Facility, except that for loans under the Expanded Loan Facility that are part of multi-lender credit facilities, a financial reporting covenant that was negotiated in good faith prior to April 24, 2020, will be deemed sufficient.
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Cross-Acceleration
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Each Main Street loan that is part of a bilateral facility must contain a cross-acceleration provision, triggering an event of default under the Main Street loan if any debt owed by a borrower to the lender or any affiliate of the lender is accelerated.
Model language for such cross-acceleration provision is provided in the Main Street Program FAQ guidance.[3]
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Must include the same cross-acceleration provision as loans under the New Loan Facility and Priority Loan Facility except that for loans under the Expanded Loan Facility that are part of multi-lender credit facilities, a cross-default or cross-acceleration provision that was negotiated in good faith prior to April 24, 2020, will be deemed sufficient.
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Frequently Asked Questions
Included below are answers to frequently asked questions about the Main Street Program.
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