basel ii pillar 2 supervisory review process simon topping...
TRANSCRIPT
2
Outline of Presentation
• Rationale for Pillar 2• Key principles• Banks’ internal capital adequacy assessment process• Supervisory review process• Requiring capital above minimum levels• Risks covered under Pillar 2• Hong Kong approach to implementation
3
Pillar 2:Pillar 2:Supervisory Review of Supervisory Review of
Capital AdequacyCapital Adequacy
Three pillars
approach
Minimumcapital
requirements
Supervisory review of
capitaladequacy
Marketdiscipline
4
Rationale for Pillar 2Rationale for Pillar 2
• Encourage banks to utilise better risk management techniques• Ensure banks have adequate capital to support all risks• Focus on internal, not regulatory, capital• Accommodate differences between banks
5
Supervisory Review of Supervisory Review of Capital AdequacyCapital Adequacy
Pillar 2 is based on four key principles:
• Banks' Own Assessment of Capital Adequacy • Supervisory Review Process • Capital Above Regulatory Minima• Supervisory Intervention
Foundation = existing supervisory guidance, especially Core Principles for Effective Banking Supervision
6
Banks’ Own Assessment of Risk and Banks’ Own Assessment of Risk and Capital AdequacyCapital Adequacy
Principle 1• Banks should have a process for assessing their overall
capital adequacy in relation to their risk profile and a strategy for maintaining their capital levels.
7
Banks’ Own Assessment of Risk and Banks’ Own Assessment of Risk and Capital AdequacyCapital Adequacy
• The level and sophistication of the capital adequacy assessment process should be tailored to the bank’s activities and the risks involved in these activities
• There is no “best practice” with regard to the design and implementation of such a process (no “one size fits all”)
• However, there are some key features that should be included in every bank’s process
8
Banks’ Own Assessment of Risk and Banks’ Own Assessment of Risk and Capital AdequacyCapital Adequacy
• Board and senior management oversight• Policies and procedures designed to ensure that the bank identifies,
measures, monitors and controls all material risks• A systematic, disciplined process:
– that relates capital to the level of risk– that states capital adequacy goals vis-à-vis risk, considering the
bank’s strategic focus and business plan– of internal controls, reviews, and audit to ensure the integrity of
the overall management process
9
Banks’ Own Assessment of Risk and Banks’ Own Assessment of Risk and Capital AdequacyCapital Adequacy
• Have an assessment process• Which is the firm’s responsibility• Proportionate• Formal, documented and management’s responsibility• Integrated into the management process and decision-making culture• Reviewed regularly• Risk based• Comprehensive• Forward-looking• Fit for purpose• Produce a reasonable outcome
10
Banks’ Own Assessment of Risk and Banks’ Own Assessment of Risk and Capital AdequacyCapital Adequacy
What factors should management consider?• Regulatory ratios and requirements• Peer comparisons• Expectations of counterparties and rating agencies• Business cycle effects• Forward-looking stress tests• Concentrations of credit and other risks• Other qualitative and subjective factors• Formal modelling and risk analysis• Building value for shareholders
11
Supervisory Review ProcessSupervisory Review Process
Principle 2• Supervisors should review and evaluate banks’ internal capital
adequacy assessments and strategies, as well as their ability tomonitor and ensure their compliance with regulatory capital ratios. Supervisors should take appropriate supervisory action if they are not satisfied with the result of this process.
12
Supervisory Review ProcessSupervisory Review Process
Traditional methods for monitoring compliance withminimum regulatory capital ratios:• On-site examinations• Off-site surveillance • Meetings with bank management • Periodic reporting• Review of work of internal and external auditors
13
Supervisory Review ProcessSupervisory Review Process
Renewed focus on supervisors’ evaluation of process to determine:• that target levels of capital chosen are comprehensive and
relevant to the current operating environment;• that these levels are properly monitored and reviewed by senior
management; and• that the composition of capital is appropriate for the nature and
scale of the bank’s business.
14
Capital Above Regulatory Minimum Ratios
Principle 3• Supervisors should expect banks to operate above the
minimum regulatory capital ratios and should have the ability to require banks to hold capital in excess of the minimum.
15
Capital Above Regulatory Minimum Ratios
• Pillar 1 requirements include a buffer for uncertainties that affect the banking population as a whole
• All banks are expected to operate ABOVE the minimum requirement (i.e. not just at 8%!)
• Supervisors will need to consider whether the particular features of their banks/markets are adequately covered
16
Capital Capital Above Regulatory Regulatory Minimum RatiosMinimum Ratios
Means to ensure banks are operating with adequate capital levels:• Reliance on a bank’s internal capital assessment• Establishment of “trigger” and “target” ratios• Establishment of defined capital categories above minimum
ratios (e.g. “Prompt Corrective Action”)• Higher requirements for outliers
17
Supervisory Intervention
Principle 4• Supervisors should seek to intervene at an early stage to
prevent capital from falling below the minimum levels required to support the risk characteristics of a particular bank and should require rapid remedial action if capital is not maintained or restored.
18
Supervisory Intervention
Objective • Identify as early as possible the potential for serious
erosion of the bank’s capital position in order to limit risk to depositors and financial system
19
Supervisory Intervention
Intervening Actions• Determined by law, national policies, case-by-case
analysis• Moral suasion to encourage banks to improve their capital
positions• Capital ratios may represent triggers for supervisory
action, up to and including the closure of the bank
20
Supervisory InterventionSupervisory Intervention
Potential Supervisory Actions• Increased monitoring of the bank• Requiring the bank to improve its internal capital assessment
programme• Requiring the bank to submit a capital restoration plan• Placing restrictions on bank activities, acquisitions,
investments, etc.• Restricting the payment of dividends• Requiring replacement of senior management and/or the board
21
Specific Aspects of Pillar 2
Interest rate risk in the banking book• Significant risk that should be supported by capital• Use of bank internal systems – economic value relative to capital• Apply standardised interest rate shock• Banks with significant interest rate risk (“outliers”) should reduce
risk, increase capital, or both
Operational risk• Is Pillar 1 requirement under Basic Indicator or Standardised
Approach sufficient (e.g., for banks with low profitability)?
22
Specific Aspects of Pillar 2
Credit concentration risk• Single exposure or group of exposures that have potential to produce
losses large enough to threaten bank solvency• Banks should have internal systems/policies and controls to
identify/measure/monitor/control concentrations.• Bank should include concentrations, including stress tests, in its
internal capital adequacy assessment
Other risks• IRB stress tests, definition of default, residual risk, securitisation
23
Supervisory Transparency and Accountability
• Criteria used in Pillar 2 assessments should be made publicly available
• Factors to be considered in setting target or trigger ratios above the regulatory minimum should be publicly available
• If capital requirements are set above minimum for an individual bank, supervisors should explain to the bank:– The risk characteristics specific to the bank– Any remedial action necessary
24
Pillar 2 Issues
Potentially Significant Obstacles• Legal and regulatory impediments• Resources (personnel, training, etc) necessary for
effective supervisory review• Level playing field• Transparency• Ability to exercise supervisory judgment
25
Hong Kong Approach: CAAP
• Each bank should establish a CAAP to fit its own circumstances and needs, having regard to the risk profile and level of sophistication of its operations
• The CAAP should be risk-based, forward-looking and form an integral part of the bank’s management / decision-making process
• The HKMA would not expect all banks necessarily to have a well-developed CAAP by 1 Jan 2007, but they should initiate efforts to put in place the basic elements of the CAAP and make steady progress towards enhancing the process over time
• Foreign bank subsidiaries may adopt group CAAP which is subject to comparable supervisory standards
26
Hong Kong Approach: SRP
Main objectives of the SRP :• Ensure banks have adequate capital to support all material risks
in their businesses• Encourage banks to develop and use better risk management
techniques for monitoring and controlling their risks• Encourage banks to engage in active capital management,
including strategic and capital planning• Foster an active dialogue between banks and supervisors
regarding fulfilment of capital adequacy and risk management standards
27
Hong Kong Approach: Setting Minimum CARs
• Legislation gives the MA the power to set minimum CARs on a bank-by-bank basis, in the range of 8 - 16% (i.e. with a maximum “add-on” of 8%)
• Current practice is to require a minimum “add-on” of 2%, principally to cover operational risk and business cycle risk
• In the past the process by which individual CARs are set has not very transparent, nor entirely rigorous; in practice, the ratio required was largely a function of the bank’s CAMEL rating and its size
28
Hong Kong Approach: New SRP
• We have developed and tested a new “scoring system” based around our existing risk-based supervisory system
• Banks are assessed on 8 risk areas – credit, market, interest rate, liquidity, operational, legal, reputation and strategic
• Their score depends on both the risk level and the quality of their risk management
29
Hong Kong Approach: New SRP
• The process begins with an assessment of the common factors (via the 13 supporting templates) using a combination of techniques and tools, including quantitative and qualitative assessments, scoring of key indicators and trends, statistical and sensitivity analyses, stress and scenario tests, benchmarking against industry performance and peer group comparison
• Scores (up to a total of 100) will be allocated to common factors included in the 13 supporting templates
30
Hong Kong Approach: New SRP
• The total score will be translated into a minimum CAR (up to 16%) according to a mapping table
• The portion above 8% is the capital add-on reflecting the HKMA’s assessment of the AI’s overall risk profile and extent of Pillar 2 risks
• Before arriving at the appropriate minimum CAR, need to assess any AI-specific factors not covered under the scoring system
31
Hong Kong Approach: New SRP
• The results of the SRP will be discussed with the bank, and willdetermine both the minimum CAR for the bank and our supervisory priorities
• The results can also be aggregated across the sector to provide a picture of sectoral risks
• Banks’ own CAAPs will be reviewed as part of the SRP, but setting of their minimum CAR will, for the time being, remain driven by supervisory assessment
• In effect, this approach attempts to apply the same degree of rigour to the Pillar 2 risks as has been applied to the Pillar 1risks
32
SRP SRP -- Key Assessment FactorsKey Assessment FactorsRisk-basedsupervision
Inherent risk System & control CAAP Governance Risk mitigating Risk increasing
- Counterparty - CreditCredit default risk concentrationrisk - Transaction risk - Risk - Adequacy and - Corporate Examples Examples
risk (CRM) management effectiveness governance system of CAAP and (compliance - IRB / AMA - Securitisation
Market - Trading risk stress-testing and quality) capability for and creditrisk - FX risk - Internal control capability AIs using basic / derivatives
system and standardisedOperational - Risk of losses - Residual environment - Capital quality approach - Residual
risk from internal operational and strength modelling risk(including operations and and legal - Infrastructure to - Insurance cover from Pillar 1legal risk) external events risks meet business - Capability to recognisable
needs withstand risk under AMA - Outliers in- Interest rate - Interest rate (including stress specific risks risk in trading risk in banking - Other support tests on business - Diversification book book systems cycle risk, access benefits - Other factors
(e.g. MIS and anti- to capital market inadequatelyLiquidity money laundering and strength of - Other factors / not dealt
risk system) shareholders / providing with under parental support, relief capital Pillar 1 or
Strategic etc.) the scoringrisk system
Reputationrisk
Pillar 2 consideration
Interest raterisk
Pillar 1 CAR Scoring result through scorecard and 13 supporting templates
- Liquidity risk
- Strategic risk
- Reputation risk
Pillar 1consideration
Common factors
MINIMUM CAR
Assess on a case-by-case basis(may use peer group comparison)
AI-specific factors
33
Allocation Matrix under Scoring SystemAllocation Matrix under Scoring System
Risk mgtsystem
Internalcontrols
Infra-structure
Othersupportsystems
Sub-total
Credit 4 5.6 2.8 1.2 0.4 10 10 3 27 2.2% 7.0% 9.2% 58%
Market - 2.8 1.4 0.5 0.3 5 4 1 10 0.8% 0.3% 1.1% 7%
Interest rate 6 2.8 1.4 0.5 0.3 5 3 1 15 1.2% - 1.2% 7.5%
Liquidity 6 2.8 1.4 0.5 0.3 5 3 1 15 1.2% - 1.2% 7.5%
Operational 3.5 5.4 2.7 0.9 0.3 9.3 2.5 0.7 16 1.3% 0.7% 2.0% 12.5%
Legal 0.5 0.2 0.1 0.2 0.2 0.7 0.5 0.3 2 0.1% - 0.1% 0.5%
Reputation 3 0.2 0.1 0.1 0.1 0.5 2.5 1.5 7.5 0.6% - 0.6% 3.5%
Strategic 3 0.2 0.1 0.1 0.1 0.5 2.5 1.5 7.5 0.6% - 0.6% 3.5%
Overall 26 20 10 4 2 36 28 10 100 8% 8% 16% 100%
Min CARconverted
intoeconomic
capitalallocation
Allocation of scores under Pillar 2
Total
Min CAR requiredunder Basel II
Pillar1
Pillar2
TotalGovernance
Risklevel
Systems and controlsRisk Types C
AAP
34
Sample Case for IllustrationSample Case for Illustration (No disclosure of scoring details to external parties)(No disclosure of scoring details to external parties)
SCORECARDSCORECARDRef. Scoring Score obtained
Maximum Maximum Maximum Current Last Comments score score score period period
A. Specific risks not directly / fully captured under Pillar 1 (1)
Credit concentration risk A1 L 0.5 M 2 H 4 L 0.28
Interest rate risk in the banking book A2 L 0.75 M 3 H 6 M 2.30
Liquidity risk A3 L 0.75 M 3 H 6 M 1.44
Residual operational risk A4 L 0.5 M 2 H 4 M 1.40
Reputation risk A5 L 0.375 M 1.5 H 3 H 2.80 Market perception : Weak financial position
Strategic risk A6 L 0.375 M 1.5 H 3 H 3.00 No strategic planning; unclear strategic goals
B. Systems and controls (2)
Risk management system B1 S 2.5 A 10 W 20 W 15.69 Detailed comments shown in Template B1
Internal control system and environment B2 S 1.25 A 5 W 10 W 7.84 Weak control culture; poor internal audit function
Infrastructure to meet business needs B3 S 0.5 A 2 W 4 W 3.15 Incompetent staff; high staff turnover
Other support systems B4 S 0.25 A 1 W 2 W 1.31 Inadequate anti-money laundering measures
C. Capital strength and capability to withstand risk (3)
Capital adequacy assessment process C1 S 1.25 A 5 W 10 W 10.00 Lack of CAAP
Capital strength and capability to withstand risk C2 E 2.25 S 9 U 18 S 7.18
D. Corporate governance (4) D1 E 1.25 S 5 U 10 U 8.33 Inadequate risk mgt knowledge; poor response to regulatory conerns
TOTAL SCORE OBTAINED
SCORE CONVERTED INTO MINIMUM CAR
RISK MITIGATING FACTORS (- %)- Nil
RISK INCREASING FACTOS (+ %)- Poor earning ability Negative ROAE and high provision-to-income ratio- Credit rating of parent bank low at BB-- Country rating of parent bank low at BB-
MINIMUM CAR RECOMMENDED
EXISTING MINIMUM CAR
OBSERVATION PERIOD BEFORE ADJUSTING MINIMUM CAR (if necessary)
MINIMUM CAR APPROVED
Notes :
(1) L = Low , M = Moderate, H = High(2) S = Strong, A = Acceptable, W = Weak(3) S = Strong, A = Acceptable, W = Weak / E = Excellent, S = Satisfactory, U = Unsatisfactory(4) E = Excellent, S = Satisfactory, U = Unsatisfactory
0.5%
64.72
12.5%
-
15%
1.5%
0.5%
15%
15%
N/A
35
Conclusions
• The three pillars together are intended to achieve a level of capital commensurate with a bank’s overall risk profile
• Starting point and emphasis is bank’s assessment• Sophistication of capital assessment should depend on size,
complexity, and risk profile of the bank• Pillar 2 does not require specific, formal, across-the-board capital
add-on requirements - a range of approaches is possible• Intention is to drive
– better bank risk management and– more risk-focused supervision