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Regulation vs. Implementation

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Few domestic banks are currently able to calculate capital ... by banks ... Lessons Learned by banks. The introduction of an operational risk culture is ... – PowerPoint PPT presentation

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Title: Regulation vs. Implementation


1
Regulation vs. Implementation
The New Capital Accord. Work Progress
  • Tereza Cristina Grossi Togni
  • Central Bank of Brazil

2
Capital requirements in Brazil
Overview
  • Implementation of the 1988 Accord 1994
  • Capital ratio 11
  • Additional capital requirements for
  • Swaps (1997)
  • Foreign exchange Exposures (1999)
  • Interest Rates (2000)

3
General Environment - June 2002
Overview
  • Banking system statistics
  • Total Assets US 309 MM
  • 20 largest banks 87
  • Banks are capitalized above the minimum ratio in
    Brazil
  • Basel ratio 16,1

4
Main reactions
Overview
  • Supervision
  • Welcomes the idea of a more risk-based approach
    for regulatory capital requirements
  • Banks
  • Large banks closely following the New Capital
    Accord proposals

5
Supervisory actions
Overview
  • Meetings with banks
  • Surveys
  • Range of practice on internal rating systems
    credit risk
  • Operational Risk
  • Data collection exercises
  • QIS
  • Operational Risk
  • Disclosure

6
QIS 2 Exercise (2001)
Quantitative Impact Study
  • Scope
  • 6 domestic banks
  • 1 bank produced IRB foundation data
  • Results
  • In line with the BCBS consolidated results from
    the exercise
  • Increase on the capital requirements under the
    standardized approach

7
QIS 3 Exercise (in process)
Quantitative Impact Study
  • Scope
  • 9 domestic banks
  • 3 banks produced IRB foundation data
  • Preliminary Findings
  • Apparently follow the incentive structure aimed
    by the Committee
  • Less capital required on the foundation IRB when
    compared with the standardized approach

8
General Considerations
Implementation - Credit Risk
  • Positive aspects for implementation
  • All Financial Institutions must have a credit
    classification system
  • Res. 2682/99
  • Credit Risk Center

9
Resolution 2682/99
Implementation Credit Risk
  • Financial institutions are required to classify
    loan exposures into nine levels of risk
  • Establishes
  • general criteria for borrower and transaction
    analysis
  • levels of risk from AA to H (for performing and
    non-performing loans)
  • percentages of provisioning related to those
    levels of risk
  • guidance on credit reviews

10
Resolution 2682/99
Implementation Credit Risk
  • Central Bank's internal criteria
  • AA prime companies
  • A, B, C low probability of default
  • D (risk level 1)
  • E,F,G (risk level 2)
  • H high probability of default

11
Resolution 2682/99
Implementation Credit Risk
  • Helped to strengthen the credit risk management
    in Brazil
  • Initial step towards the implementation of the
    New Capital Accord
  • Lacks granularity for performing loans (as a
    general internal rating system)

12
Credit Risk Center
Implementation Credit Risk
  • Currently collects data on
  • exposures, write-offs, ratings, ranges of
    maturities and past dues.
  • New Credit Risk Center
  • wider range of information
  • sub portfolios (retail, corporate etc.), types of
    loans, collateral, commitments, provisions and
    restructured loans, among others
  • (more details at http//www.bcb.gov.br/centralderi
    sco )

13
New Credit Risk Center
Implementation Credit Risk
  • Supervision tool
  • Main objective Credit Risk Monitoring
  • It will also allow capital adequacy analysis
  • Bank's Risk Management tool
  • Incentive for structuring databases
  • Feed back on aggregate credit information

14
Implementation Operational Risk
General Considerations
  • Supervision
  • Resolution 2554/98
  • Data Collection
  • Banks
  • Various Initiatives
  • Res. 2554
  • New Capital Accord Proposals

15
Implementation Operational Risk
Resolution 2554/98
  • It is a general framework
  • Financial Institutions must have an Internal
    Controls Framework over their
  • activities
  • financial and operational management reports
  • framework for compliance of regulations
  • Internal controls in place must correspond to the
    type, complexity and risk profile of the banking
    operations.

16
Implementation Operational Risk
Resolution 2554/98
  • Accomplishments
  • Promotion of sound practices
  • Important step towards implementing the New
    Capital Accord proposals
  • internal controls framework
  • collecting qualitative information

17
Constraints on the proposals
Implementation Operational Risk
  • Business Lines
  • to split some financial information within the
    business lines.
  • Usual segmentation in Brazil retail, investment,
    asset management, private, insurance
  • Exposure indicator
  • gross income as the exposure indicator for the
    Basic and Standardized approaches

18
Implementation Operational Risk
General Considerations
  • Few domestic banks are currently able to
    calculate capital for operational risk
  • Trade off between the costs and benefits of
    implementing advanced approaches
  • still under consideration by banks
  • The loss events for which the Brazilian banks
    have more reliable past operational risk data
    are
  • internal and external fraud
  • employment practices and workplace safety

19
Lessons Learned by banks
Implementation Operational Risk
  • The introduction of an operational risk culture
    is key on the process
  • Risk management plays more and more a key role in
    financial institutions
  • Should be incorporated throughout the financial
    institutions

20
CHALLENGES
Challenges
21
Credit Risk
Challenges
  • Legal framework for different approaches
  • Lack of penetration of rating agencies
  • Complexity (for smaller, non-sophisticated banks)
  • IRB
  • Data
  • Validation

22
Operational Risk Internal Models
Challenges
  • Structuring databases
  • Data Capture framework
  • Costs
  • Modeling
  • Sophisticated techniques
  • Cultural changes

23
Supervision
Challenges
  • Cross border
  • Authorization for the more risk-sensitive
    approaches
  • host and home supervisors
  • Significant banks
  • definition

24
Supervision
Challenges
  • Level playing field
  • Banks with different levels of sophistication
  • Foreign and domestic banks
  • Peer groups

25
Supervision
Challenges
  • Pillar 2
  • Legal framework to impose different levels of
    capital requirements at the discretion of the
    supervisor
  • Cultural change within Supervision active role
    in evaluating capital adequacy

26
Supervision
Challenges
  • Pillar 3
  • To assure an increase on the disclosure levels
  • To establish a certain level of homogeneity
    within financial institutions
  • to allow easier comparisons
  • To evaluate the adequacy of disclosure provided
    by banks

27
Challenges
Challenges
  • Supervisory skills
  • Preparing supervisors for modeling validation
  • Readiness for Pillar 2 assessments (cultural
    changes)
  • Rating for supervisory purposes
  • Taking into account on the rating some components
    related particularly to Pillars 2 and 3
  • Level of disclosure
  • Risk profile
  • Risk Management Structure

28
Future Steps (Central Bank)
Final Remarks
  • Banks
  • Deepen the analysis
  • To increase the number of banks surveyed
  • Foreign banks
  • Staff
  • Seminars
  • Training programs

29
The New Capital Accord. Work Progress
Regulation vs. Implementation
Tereza Cristina Grossi Togni Central Bank of
Brazil
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