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BASEL II EU Capital Requirements Directive: The UK Approach

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Title: BASEL II EU Capital Requirements Directive: The UK Approach


1
BASEL II / EU Capital Requirements Directive
The UK Approach
  • Michael Ainley
  • Head of Wholesale Banks
  • Investment Firms Department
  • Financial Services Authority

2
  • Agenda
  • Overview
  • Pillar 1
  • Pillars 2 and 3

3
Basel II
  • What is the Basel II agreement?
  • Closer alignment of regulatory capital and
    economic risks
  • Incentives to improve risk management
  • Maintenance of overall level of capital in the
    system.

4
The Three Pillars
Pillar 1
Pillar 3
Pillar 2
  • Ensure adequate capitalisation of firms
  • Encourage the development and usage of better
    risk management techniques
  • Minimum capital requirements
  • Market discipline

5
CRD
  • Basel 2
  • Basel agreements and related publications do not
    have the force of law and they are of limited
    application to G10 Internationally active banks
  • Across the EU the Basel II agreement is given
    legal life by the Capital Requirements
    Directive
  • Scope 27 EU Member States
  • Legal Basis EC Directive
  • Coverage Credit institutions and investment
    firms i.e. potentially very broad e.g. banks,
    mutually-owned deposit takers, investment banks,
    asset managers

6
CRD
  • The Capital Requirements Directive is already in
    force
  • The EC legislative process ran broadly in tandem
    with the Basel Committees deliberations over
    Basel II
  • Came into force at 1 January 2007 (though some
    elements subject to transitional arrangements
    until 1 January 2008)
  • Basel II has therefore already been adopted
    across the EU.

7
CRD to FSA Handbook
  • Member States should take steps to implement CRD
  • National discretions allow tailoring of policy
    to suit local circumstances and
  • CRD establishes only minimum capital standards
  • Our overall policy-making approach was no
    super-equivalence, instead, copying-out the
    CRD text into our handbook with minimal extra
    guidance
  • Handbook changes came into effect at 1 January
    2007. Except where transitional provisions
    apply, firms must now comply with the new
    prudential module of our handbook.

8
CEBS Guidance
  • The EU established a Committee of European
    Banking Supervisors (CEBS)
  • CEBS has produced guidance documents for firms
    and for supervisors on both Pillars 1 and 2
  • CEBS guidance aims to ensure that consistent
    practices are adopted throughout Europe on
    technical issues
  • We have tried to ensure that our rulebook and
    supervisory approach are fully consistent with
    CEBS guidance

9
Pillar 1 Waiver application process
  • Firms must apply for a formal waiver of our
    rules to allow use of the advanced approaches
  • The application should be detailed enough to
    allow us, in conjunction with on-site review
    work, to form a complete view on a firms
    compliance with our standards
  • A strict timetable governs the process, telling
    firms when they should apply and, when we will
    reach a decision
  • Key deadline we will process any application for
    a CRD advanced approach received by 31/12/2006 in
    time for first-use at 1/1/2008
  • For firms that apply during 2007 we offer no such
    service standard.
  • At end-2006 we had received around 30
    applications, we expect several further
    applications for IRB in the coming weeks.

10
Pillar 1 Waiver application process
  • Our internal process gives supervisors a key role
    throughout
  • On-site review work, assisted by risk
    specialists
  • Liaising with other regulators
  • Scrutinising firms application packs
  • Presenting to the decision making body.
  • There are 4 possible outcomes for firms
  • Accept unconditionally
  • Accept with conditions
  • Minded to grant reasonable compliance but
    uncertainty over ability close gaps
  • Reject
  • Most decisions are likely to be conditional
    acceptance or minded to grant.

11
Risk-based approach
  • FSA has conducted risk-based supervision for
    many years via ARROW but Basel II poses even
    greater challenges to supervisors
  • This is particularly so for the supervision of
    internationally diversified groups
  • FSA is Home regulator to a number of UK-parent
    firms with complex overseas operations e.g. HSBC,
    Standard Chartered and
  • FSA is Host regulator to many subsidiaries of
    complex foreign-parent groups e.g. Citigroup,
    Goldman Sachs.

12
Risk-based approach
  • We have responded to this challenge in a number
    of ways, for example
  • Not publishing rules that unnecessarily differ
    from the minimum standards of the CRD
  • Conducting proportionate reviews of applications
    for Pillar 1 advanced approaches for example,
    limiting our on-site review work where we can
    rely on the work of a foreign subsidiarys parent
    company supervisor.

13
Pillar 2 process
  • Pillar 2 operates on a separate, though related,
    timescale to Pillar 1
  • A firm must have its individual capital adequacy
    assessment (ICAAP) in place at the time it begins
    to use any of the Pillar 1 approaches, and no
    later than 1/1/2008
  • We will review the ICAAP, and issue Individual
    Capital Guidance, as soon as possible once it is
    ready
  • Some firms have chosen to submit a draft ICAAP at
    the same time as their application for a Pillar 1
    advanced approach.

14
Other transparency and governance
  • Emphasising senior management responsibility is a
    fundamental axiom of FSAs approach to
    supervision
  • E.g. the requirement for the Board and Senior
    Management to have, respectively, general and
    good understanding of AMA and IRB models.
  • Governance is a key area of focus in CRD model
    review work and more generally for standardised
    approach firms
  • Pillar 3 disclosures help to enhance transparency
    and promote market discipline. FSA approach in
    line with CRD details for firms to decide.

15
Other organising supervisors for delivery
  • Training technical and practical training
    rolled out to supervisors and DMC members
  • Central Project Team established to coordinate
    implementation
  • Basel Implementation Project Teams established
    in all supervisory divisions to coordinate
    implementation
  • Risk Review Specialist teams to lead on-site
    review work for advanced approaches.

16
Other CRD for smaller banks
  • Our approach to smaller banks is embedded within
    our Pillar 1 approvals process and ARROW, which
    give us the flexibility to be proportionate
  • Most smaller banks in the UK are adopting the
    standardised approaches to risks under CRD
  • But we are not compelling smaller banks to adopt
    a particular approach - some intend to progress
    to IRB soon.
  • Special circumstances apply to EU-parent banks -
    the CRD assumes that all EU supervisors are
    equivalent
  • For subsidiaries adopting the Pillar 1 advanced
    approaches there is only one application, to the
    EU-parent Member State.

17
Key Home-Host Considerations
  • Different implementation timetables
  • U.S. delay
  • Different approaches to implementation
  • National discretions
  • E.g. Different definitions of default and
    implications for consolidation
  • Different interpretations of Basel 2
  • Pillar 2, stress tests, Basel 1A
  • Allocation from Group models
  • Pillar 2, AMA

18
Example 1 Standard Chartered and HSBC
  • UK Home Supervisor
  • IRB approach being rolled out
  • Over 50 (SC) and 80 (HSBC) host supervisors,
    mostly non-EEA
  • Close cooperation and information sharing key.
  • Colleges hosted in UK since 2005

19
Example 2 UK Subs of U.S. Groups
  • US Delay should not be a barrier to UK subs of US
    groups applying for advanced approaches in the UK
    to the CRD timetable.
  • Close cooperation and information sharing with US
    home regulators has been key and has included
    joint visits by FSA staff with Fed/ OCC
    colleagues at the head offices of US groups in
    New York.

20
Concluding remarks
  • Basel II challenges supervisors as well as firms,
    particularly in the context of internationally
    active groups
  • Supervisors can respond to this challenge by
    adopting a proportionate, risk based approach.
    For example, in the UK we have
  • Copied out our rules from the CRD text
  • Been clear and consistent about how we handle
    Pillar 1 advanced approach applications
  • Embedded Pillar 2 in our ARROW II risk based
    approach to supervision
  • Equipped our supervisory staff with the necessary
    resources for delivery.

21
  • Pillar 1

22
Credit risk under Basel II
  • A critical innovation under Basel II is the use
    of credit ratings to differentiate the credit
    quality of assets held by banks
  • In measuring the amount of capital to allocate
    against credit risk, Basel II permits banks to
    use either
  • External ratings from credit rating agencies (the
    standardised approach) or
  • Banks own internal ratings and associated loss
    estimates (the internal ratings based approach)

23
Credit risk standardised approach
  • Standardised approach is intended for banks with
    less complex operations
  • Exposures with better external credit ratings
    generally receive lower capital charges
  • Most UK banks will adopt the standardised
    approach at 1/1/08
  • We currently regulate around 350 banking
    subsidiaries (not including building societies
    and securities firms) but we have only received
    around 25 applications for IRB

24
Credit risk Internal Ratings Based approach
(IRB)
  • IRB is intended for banks with more complex books
  • It allows substitution of banks own internal
    ratings for the rating agency assessments of
    credit risk
  • Two types of IRB approach permitted
  • Foundation (F-IRB)
  • Advanced (A-IRB)
  • IRB models estimate some or all of the elements
    in the risk weighting calculation
  • Risk Weight comprises Probability of Default
    (PD) Loss Given default (LGD) Exposure at
    Default (EAD) and Effective Maturity (M)

25
Credit risk foundation IRB
  • The Foundation IRB approach allows firms to
    estimate some, but not all, of the risk weighting
    factors principally PD
  • F-IRB also only applies to a limited range of
    exposures - corporate / sovereign / institutional
    exposures
  • F-IRB is therefore proving attractive to
    securities firms and commercial banks with
    wholesale-only exposures
  • Of the 9 IRB applications currently being
    considered within the FSA Wholesale Firms
    Division, 5 are for F-IRB

26
Credit risk advanced IRB
  • Advanced IRB (A-IRB) approach allows all of the
    factors to be estimated
  • PD, LGD, EAD and M
  • A-IRB applies to all asset classes, including
    retail exposures
  • It is therefore proving particularly attractive
    to the large UK retail banks
  • A-IRB requires substantial technical / modelling
    capability because of its increased complexity

27
Credit risk applications experience
  • A number of areas are causing difficulties, for
    example
  • Low default portfolios how to estimate PD for
    exposures that have never defaulted e.g.
    sovereigns, corporates
  • Immaterial exposures large numbers of small
    exposures to a particular type of counterparty
    e.g. hedge funds
  • Our approach to these issues is to be flexible
    where possible to allow firms to develop their
    own cost-effective solutions
  • We have also given guidance to firms via our
    Industry Standing Groups e.g. on stress testing

28
Credit risk lines in the sand
  • We have also indicated to industry several areas
    of IRB policy where we will not tolerate
    imperfect compliance, which we call the lines in
    the sand
  • Documentation
  • Validation
  • Stress testing
  • Senior management understanding
  • Use test

29
Credit risk lines in the sand
  • Documentation
  • IRB models and processes need to be well
    documented both from the user and the development
    perspectives
  • There should be enough information for an
    independent reviewer to understand how a final
    rating was arrived at for a specific borrower.

30
Credit risk lines in the sand
  • Validation
  • IRB models need to be validated independently of
    the model development unit
  • Validation aims to assess the performance of
    internal systems consistently and meaningfully
  • Supervisors need to have regard to a number of
    issues, including the involvement of senior
    management and, that firms have a regular
    ongoing cycle of model validation

31
Credit risk lines in the sand
  • Stress testing
  • It is essential that firms are able to understand
    how the ratings system performs and what happens
    to the risk portfolio under stressed conditions
  • What happens in a mild, relatively frequent,
    recession?
  • What happens in a severe recession say, a 125
    year event?
  • Stress testing procedures for credit risk are
    proving to be less well developed than for market
    risk

32
Credit risk lines in the sand
  • Senior management should have a reasonable
    understanding of what the IRB model is telling
    them
  • This mitigates black box risk where the risk
    management approach is only understood by the
    risk managers
  • For IRB we ask for a board member to demonstrate
    a general understanding
  • Senior individuals within the risk management
    function need to have a good understanding
  • Supported by appropriate management information
    and reporting.

33
Credit risk lines in the sand
  • Use test
  • make effective and non-marginal use of internal
    ratings, for example in
  • Credit approval
  • Management of risk e.g. setting limits
  • Internal capital allocation
  • Loan pricing
  • Provisioning

34
Market risk
  • The market risk (trading book) rules were
    impacted by Basel II
  • The Trading Book Review looked at the definition
    of the trading book
  • The scope of the trading book is possibly broader
    than in the past
  • e.g. includes traded loans and hedge fund
    positions for the first time
  • Use of the trading book is governed by a policy
    statement
  • Firms are required to value trading positions
    prudently, which may be different to accounting
    fair valuations

35
Operational risk
  • Basel II for the first time introduced a Pillar 1
    capital charge relating to
  • the risk of losses resulting from inadequate or
    failed internal processes, people and systems, or
    external events
  • It is expected that it will account for around
    12 of Pillar 1 capital in the financial system
  • There are 3 permitted approaches to operational
    risk capital

36
Operational risk Basic Indicator Approach (BIA)
  • Average gross income for whole business over
    three years
  • Capital charge is 15 of the result
  • Encouraged to comply with Statement of Sound
    Practices

Operational risk The Standardised Approach (TSA)
  • Gross income for eight business types considered
    separately
  • Capital charges range from 12 to 18
  • Qualitative entry criteria including Policies for
    managing operational risk, a framework for
    managing operational risk, processes and systems
    for monitoring operational risk / losses,
    internal and external reporting

37
Review of BIA/ TSA approaches
  • No approval required for BIA/ TSA
  • Scale, nature and complexity of the firm are key
    determinants of what we expect in risk management
  • Review through
  • Thematic work
  • Included in standardised visits/ meetings

38
Operational risk Advanced Measurement Approach
  • Qualitative criteria apply, building on those for
    TSA
  • Independent operational risk management function
  • Three years historical internal loss data
  • Modelling based on combination of inputs
  • External verification

39
Operational risk key issues for AMA
  • AMA allows diversification benefits to be
    recognised
  • Key difference is between branches and
    subsidiaries
  • OK if capital is freely transferable to support
    risks
  • Not OK if there are restrictions on capital
    mobility
  • Not just an operational risk issue

40
Operational risk our experience
  • AMA is proving to be a big challenge for firms
  • Many firms that had earlier indicated an
    intention to apply for AMA have delayed
  • We are currently considering only 4 applications
    for AMA
  • Though more firms may apply later this year

41
Investment Firms and Basel II
  • CRD applies Basel II to investment firms as well
    as banks in Europe
  • Many of these investment firms are small we
    want to be easy for them to do business with
  • So we have written to over 2000 affected firms
    since summer 2006 clarifying the impact of CRD
  • E.g. some types of firm need to calculate the
    operational risk charge, others do not
  • Another new EU Directive MiFID will bring
    further investment firms into the CRDs scope
    later in 2007

42
Pillar 2
43
Pillar 2 What is it?
  • An assessment of risks and mitigation
  • Risk based
  • Proportionate
  • Not a model
  • A dialogue with the firm
  • A review of firms assessment

44
Pillar 2 What is it?
 
Firms assessment
Supervisory assessment
Dialogue
Identify and assess material risks Identify
mitigating controls
Review and evaluate risk and control factors
Identify amount of capital in relation to
business plan, strategies, and profile
and
Review and assess the firms risk assessment
Produce capital number and assessment
challenge
Supervisory conclusion
45
Principles for an ICAAP
  • 1 A firm must have an ICAAP
  • 2 Is the responsibility of the Firm
  • 3 Management body to take responsibility
  • 4 Should be
  • An integral part of the management process
  • Reviewed regularly
  • Risk based
  • Comprehensive
  • Forward looking
  • Based on adequate measurement and assessment
    process

CEBS guidance
46
Consolidation UK Group with Overseas
Subsidiaries
UK consolidation group
UK Firm e.g. Standard Chartered
UK non reg
UK Firm
DE sub
US sub
  • ICAAP should be at the level of the UK
    consolidation group and should be capable of
    allocating the group capital number to individual
    firms
  • It also covers the business of the groups
    overseas operations.

47
Consolidation UK Sub-group of an EEA or Non-EEA
Group
EEA/non EEA parent e.g. Habib
UK consolidation group
UK Firm
Firm
Firm
  • The ICAAP
  • is at the level of the UK consolidation group
  • covers the business of the UK consolidation
    group
  • must be capable of allocating the group capital
    number to the individual firms.

48
Consolidation UK Sub-group of an EEA or Non-EEA
Group
  • This does not mean the UK consolidation group
    must have its own set of processes, strategies
    and systems.

EEA/non EEA parent
Systems
  • the global group can have a single set of
    processes, strategies and systems which are used
    by the UK group

UK consolidation group
Firm
Processes
Firm
Firm
  • Must be capable of
  • explaining the risks within the UK consolidation
    group
  • determining a capital number for the UK
    consolidation group and each firm.

49
FSAs approach to the SREP
50
FSA Pillar 2 Timeline
  • Starting point is the result of the firms ICAAP
    or the capital resources requirement (CRR)
  • Steps are iterative
  • Interwoven with Pillar 1 Waiver Process Arrow

51
Risks under each element
Element 1 Pillar 1 risks
  • Operational risk
  • Market risk
  • Credit risk

Element 2 Risk not fully covered under Pillar 1
  • Residual risk
  • Securitisation risk

Element 3 Risks not covered by Pillar 1
  • Settlement risk
  • Reputation risk
  • Underwriting risk
  • Pension risk
  • Transfer risk
  • Underestimation of credit risk using standard
    approach
  • Interest rate risk in the banking book
  • Concentration risk
  • Liquidity risk
  • Business risk (earnings and costs)

Element 4 Capital planning
  • Economic and regulatory environment risk
  • Strategic risk
  • Access to capital

52
Outputs from the SREP
Supervisory Decision
Individual Capital Guidance (ICG)
Individual liquidity guidance
RMPs
Other measures
53
Pillar 2 is part of
 
54
Overview of Panel Process
  • Purpose
  • ensure consistency of approach
  • provide effective review and challenge
  • Risk Focused
  • Planning validation panel
  • H impact firms required
  • MH / ML impact firms discretion of the RM
  • L impact firms optional
  • Final validation panel all firms

55
Overview of Panel Process
  • Timing
  • Alignment with ARROW if concurrent
  • Planning panel takes place before further
    questions of the firm
  • Final panel takes place after firm discussions
  • Methods
  • Panel or independent manager review
  • Conclusions must be documented

56
Example HSBC Pillar 2 Process
  • Current Status
  • Pillar 2 Team
  • Ongoing discussions with HSBC
  • Joined up with Supervisors Pillar 1 Team
  • HSBC
  • Developing/Refining ICAAP
  • Currently Top Down Capital Assessment
  • ECM Tools in Various Centres
  • Building out ECM for Group
  • Developing Stress Tests

57
HSBC Pillar 2 Process
  • 7 Areas of Interest follow the Pillar 1 lines
    in the sand with 2 extras
  • Senior Management Understanding
  • Use Test
  • Stress Testing
  • Independent Validation
  • Documentation Quality
  • Downturn LGD
  • Data Quality

58
ICG letter
  • Key points to note
  • Letter addressed to authorised firms
  • Appendices including RMP
  • Restrictions on disclosure
  • Substantive content
  • ICG (Individual Capital Guidance)
  • IG on liquidity
  • Clear identification of link between Capital and
    RMP actions
  • Explanation of adjustments in broad and
    quantified terms

59
Home/Host Considerations
  • CRD does not specify the form or the content of
    ICAAP
  • FSA is committed to being flexible and
    proportionate
  • We are prepared in principle to accept ICAAPs
    based on
  • Allocation from a Group economic capital models
    (but this will require the understanding how the
    ECM is constructed)
  • A Pillar 1 plus approach, whereby the local
    ICAAP uses Pillar 1 as the starting point and
    then bolts on Pillar 2 risks
  • Hybrid Pillar 1 plus and part ECM allocation
  • These questions will be addressed in the context
    of coordination between home and host supervisors

60
Home/Host Considerations
  • Coordination between home and host supervisors
    will be important
  • This entails the consolidated supervisor taking a
    leading role to
  • Synchronise Pillar 2 work across borders
  • Communicate home and hosts Pillar 2 assessments
  • Exchange information both at the pre- and post
    visit stages
  • Distribute tasks if possible
  • Collate conclusions
  • Challenges
  • Little direct experience will gather pace in
    2007
  • Legitimate variations in national approaches
  • Timing differences
  • UK will time P2 assessments to overlap with
    Pillar 1 model approval work (partner supervisors
    may be working to different timetables)

61
Our Experience to Date
  • 59 RRD supported full scope SREPs planned for
    2007
  • 2 Final validation panels held to date
  • 1st firm a high impact building society -
    add-ons applied for concentration risk and stress
    testing
  • 2nd firm a low impact investment firm no
    capital add-ons ICG set at 100 of CRR
  • In Wholesale Firms Division, approximately 50
    streamlined (desk-based) SREPs planned for 2007

62
Final Word
  • We will be proportionate focus on significant
    risks
  • The ICAAP includes capital planning and robust
    stress testing is embedded in the firms risk
    management framework
  • It is NOT just about capital but assessing risks
    and implementing appropriate mitigation
  • Need to coordinate, cooperate communicate

63
Pillar 3
64
Objectives of Pillar 3 - Disclosure
  • Promote market discipline
  • Provide information about the banks risk
    profiles and levels of capitalisation and
  • Enable market participants to make informed
    decisions based on the key information.

65
Risk-based approach to disclosure
  • A firm
  • needs to disclose material information and
  • may omit disclosure of information which is
    regarded as proprietary or confidential.
  • Senior management must determine the material
    information and also whether information falls
    into either the proprietary or confidential
    category.

66
What needs to be disclosed?
Firms need to disclose on annual basis
qualitative and quantitative information relating
to
  • Risk management objectives policies
  • Scope of application
  • Capital resources
  • Credit and dilution risk and credit risk
    mitigation
  • Market risk
  • Operational risk
  • Securitization and
  • Non-trading book exposure to Interest Rate Risk
    and Equities.
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