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0711 Three Intertwined Topics

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Title: 0711 Three Intertwined Topics


1
07-11Three Intertwined Topics
  • Fair-value Accounting for Capital and Income
  • Challenges Bank Managers face in Identifying and
    Managing the Model Risk in Fair-Value
    Measurements of Bank Loans
  • Efforts of Basel Committee on Banking to
    Strengthen the Role of Capital Requirements in
    Controlling Safety-Net Subsidies Across Countries

2
Topic I U.S. Banks are being pressed to adopt
fair-value accounting for GAAP balance sheets.
  • This would better match values shown for
    hedgeable items with the mark-to-market
    accounting FASB required for hedges and rules
    required for branches and subsidiaries operating
    in foreign countries.
  • 2. Use of fair values has been optional
    internationally for a while, but was not
    available for U.S. banks until years beginning
    after January 1, 2007.

3
This discussion of Fair Values and Financial
Reporting isadapted from May 31, 2007presention
by Thomas J. Linsmeier of the Financial
Accounting Standards Board.
4
FASB Definition of Fair Value
  • Definition fair value is the price that would
    be received to sell an asset or paid to transfer
    a liability in an orderly transaction between
    market participants at the measurement date.
  • Key attributes
  • Does not require an actual transaction
  • Does not require that a market exist
  • Based on whatever information is current at the
    measurement date, including statistical
    information about the dispersion of possible
    outcomes

5
Statement 157 (FAS 157) Fair-Value Measurements
  • Framework for measuring fair value from the
    perspective of the reporting entity
  • Identify the particular asset or liability
    consider level at which the asset or liability is
    aggregated or not (unit of accounting).
  • Identify Highest and Best Use for an asset or
    Lowest Price to transfer (not settle) a
    liability.
  • Based on b., identify the Valuation Premise
    (either in-use or in-exchange) to determine
    whether the asset or liability should be valued
    individually or within larger group.
  • Determine the principal market (or if that is not
    known the most advantageous market) for the
    exchange of the asset or liability considering a,
    b, and c.
  • Determine the valuation technique(s) (market,
    income or cost approach) that market participants
    would use to determine a price (consider
    availability of inputs).

6
FAS 157 Fair-Value Measurements (continued)
  • Exclude transaction costs.
  • To the extent possible, use observable inputs
    (Level I (Identical assets) and II (comparables
    inputs that are market-corroborated)
  • Determine unobservable inputs (Level III) about
    assumptions market participants would use based
    on the best information available including
    assumptions about Risk Premiums, highest and best
    use (if asset) and nonperformance risk (if
    liability).
  • Inputs based on the reporting entitys data, if
    that is the best information available, shall be
    adjusted if there are data available without
    undue cost and effort indicating that market
    participants would use different inputs.

7
FAS 157 Fair-Value Measurements
  • Goal use observed prices if available
    otherwise, use techniques, models and assumptions
    that market participants would use
  • Observations
  • Fair-value measurement is based on an economic
    foundation for the measurement objective (exit
    price) allocated transaction amounts have no
    similar economic foundation
  • Fair-value estimation errors can be tested
    against economic facts and economic conditions in
    ways that allocation errors cannot
  • Discipline on choice of techniques and inputs is
    provided by the requirement to use techniques and
    assumptions that market participants would use

8
Controversy over Measurement
  • Net income Cash /- accruals/deferrals /-
    estimates /- fair-value changes
  • Accounting manipulation cannot be focused or
    blamed on one account.
  • SEC enforcement actions demonstrate that vast
    majority of accounting manipulations are in
    accruals/deferrals and estimates and not in
    fair-value changes.
  • Still, fair values are subject to manipulation
    when prices cannot be observed.
  • Manipulations cause market problems
  • For highly leveraged FSFs, conservatism differs
    between up and down markets In SL Mess
    Impairments were not acknowledged.
  • Problem must be framed as providing (imperfect)
    financial information that can best facilitate
    business and capital market allocations
  • Will involve tradeoff between relevance,
    verifiability, and reliability
  • Operative accounting standards differ with
    instruments and circumstances

9
Conceptual Framework of Fair Value
  • The FASBs Conceptual Framework provides
    definitions and characteristics for information
    recognized or merely disclosed in the financial
    statements
  • Basic characteristics for any recognized or
    disclosed financial statement item include
  • Relevance
  • Can a recognized or disclosed item improve
    financial-statement users decisions?
  • Reliability
  • Can users of financial report depend on the
    reported numbers to represent the economic
    conditions they purport to represent?
  • Verifiability
  • Can reliability of source data be verified?

10
Fair-value measures Relevance
  • Intent of using the fair-value measurement in
    financial reporting is to increase the relevance
    of reported numbers
  • Fair value is the only measurement attribute for
    some items, including many derivatives
  • Example On-market interest-rate swaps have zero
    historical cost
  • Fair value is the most relevant attribute for
    (many) ongoing positions
  • Example Marketable securities
  • Fair-value measurement is based on current
    economic conditions, including current
    information about the dispersion of possible
    outcomes (i.e., risk)
  • Aggregates and summarizes more information
  • Timely (relative to waiting to book change in
    value based on the ultimate settlement)

11
What do opponents of fair-value measures say?
  • Claim Fair-value measurement in the absence of
    observed prices introduces an intolerable amount
    of measurement error
  • What is the actual reliability of fair-value
    measures?
  • Sometimes very reliable when based on observed
    prices
  • How reliable are fair-value measures compared to
    other reported numbers that are based on
    estimates and judgments?
  • What are the causes of unreliable measures?

12
Fair-value measures-Reliability
  • Reliability components
  • Representation faithfulness Correspondence
    between the measure and the phenomenon being
    measured
  • Are allocated historical amounts (i.e.,
    depreciated values) more representationally
    faithful than fair values?
  • Verifiability Consensus among measures of the
    same item
  • Implies low dispersion of independent
    measurements. While vouching or confirming is
    one way to verify, verifiability does not require
    that the measure can be vouched or confirmed to a
    separate source
  • Key issue can this verifiability test be made
    operational for auditors?

13
Verifiability and Approximation-Error Issues must
also be faced in Loss- Reserving
  • Both government and stockholder components of
    Bank Capital lack transparency. We have described
    many ways FSFs can use accounting leeway to
    confuse regulators and lessen the observability
    of adverse changes in net worth
  • Delay asset writedowns restructure to re-age
    hopeless loans
  • Employ optimistic loss reserving
  • Engage in gains trading or book nonrecurring
    items
  • Falsely deny materiality of adverse events
  • Use residual Z tranches of securitizations and
    structured derivative transactions to mask losses
    and risk exposures.

14
Management-Induced Measurement Error
  • Lack of markets means no observable transaction
    amounts that can be used for vouching or
    confirming
  • Estimate are produced by management, so they
    include purposeful management-induced error
  • Management-induced error is due to defective
    incentives and to failures of internal control,
    oversight, governance, auditing and enforcement.
    It is therefore (in principle) under the
    collective control of participants in the
    financial reporting system
  • Is it appropriate to use a measurement principle
    to address concerns about management-induced
    error? Bias can be controlled by liability for
    false attestations and certifications
  • Accountants lack expertise in using statistical
    tools and models
  • Provides an overdue opportunity for finance
    educators and professionals to add value to the
    measurement process

15
Issues in obtaining reliable measures
  • All value-measurement tools are models. A model
    is a deliberately simplified approximation to a
    real-world process or decision. An ideal model
    offers the optimal simplification for
    accomplishing the purposes it is constructed.
  • Valuation models and techniques are based on
    assumptions that simplify the valuation task and
    make it tractable.
  • Simplifying assumptions introduce measurement
    error
  • Research seeks to improve models and their
    applications over time.
  • Valuation models require inputs, some of which
    are forecasts and expectations. These inputs are
    bound to contain some error.
  • Observations
  • Over time, improvements in information systems
    and valuation techniques will alleviate some
    difficulties
  • Research seeks (1) to trade off costs and
    benefits of alternative approaches and (2) to
    explicitly account for or minimize bias.

16
  • II. Identifying and Managing Model Risk in
    Fair-Value Measurements

17
Ownership Capital acts as a shield against loss
for nonowner stakeholders, including guarantors.
Its thickness protects them as long as it retains
positive value.
MEASURING CAPITAL
  • All corporate stakeholders are not equally
    protected against distress. When losses move
    through the Chain of Stakeholders in a workout
    situation, source of capital transitions from
    original owners to less and less senior
    creditors.
  • The Transitioning is governed by Enforceable
    Contracting Protections subordination
    covenants collateral escrowed balances.
  • Costs and difficulties of fair-value measurement
    vary across jurisdictions and contracting
    protocols.

18
A bank needs to post enough capital to support
its unhedged risks. Its depositors and other
stakeholders must be satisfied with the
combination of enterprise-contributed and
taxpayer risk capital that cushions or buffers
the net or enterprisewide risk exposure the bank
passes through to them.
Megatheme Risks that are Not Transferred or
Perfectly Hedged Need Capital Support
19
In Oct. 1999, John Reed, then-CEO of Citigroup
said Our objective is to operate with more
capital than were going to need --ever- -so that
you never have to deal with the markets
perception of not having enough capital. Let me
tell you, Im going to be long dead before were
ever undercapitalized again.Lesson he learned
from the near-failure of a major hedge fund
concerns the necessity of looking at
second-order exposures to risks taken by the
banks counterparties Necessary capital is
that which is necessary to take a hit and still
be able to operate effectively within the
marketplace... Citicorp had no direct exposure
to Long-Term Capital Management, the hedge fund
that flirted with a failure in 1998. But
Citibank was the primary lender to half the
companies that came to Long-Term Capitals
rescue... None of these firms had the capital
to sustain the losses.
20
  • TRUE NW (A - LLR) Liabilities
  • To protect depositors, creditors, other
    contractual counterparties, and stockholders, LLR
    decisions that management makes are subject to
    review by
  • 1. Board of Directors
  • 2. Internal and external auditors
  • 3. Bank regulators
  • 4. The Securities Exchange Commission (SEC).
  • Despite huge advances in relevant databases
    and valuation software, no enforceable obligation
    yet exists for accountants to validate procedures
    statistically. Yet, statistical validation of
    rules is a requirement of science.

21
  • Conflicting perspectives exist about functions
    that capital and the LLR account are asked to
    perform
  • 1. Prudential Reserve
  • 2. Valuation Reserve
  • 3. Shock Absorber
  • In rulemaking, additional conflicts exist across
    various desirable properties that LLR procedures
    might show
  • Simplicity of Estimation
  • Precision
  • Documentability (Verifiability)
  • Consistency with Academic Analysis of Loss
    Factors
  • Consistency Both Across Accounts at Same
  • Bank and Across Different Banks

22
CONFLICTS IN PURPOSE JUSTIFY EXCEPTIONS TO
PRINCIPLE OF TRUE AND FAIR REPORTING
  • LLR should be adequate to absorb credit losses
    that are probable and estimable on all loans.
  • However, some important exceptions are allowed by
    GAAP
  • Losses need not be estimated for loans that are
    not delinquent.
  • Chargeoffs and provisioning may be estimated by
    mechanical methods that do not surface the
    lenders best estimate of changes in the
    discounted present value of collectable future
    payments.
  • Loans can pass down i.e., migrate across the
    borders of the various criticized categories
    without triggering either additional provisioning
    or chargeoffs.
  • Similarly, observed violations of covenants need
    not trigger additional LLR provisioning.

23
Sources of Model Risk in Fair-Valuing Bank Loan
Portfolios
  • Most loans never trade.
  • All banks apply a present discounted value (PDV)
    model to the stream of expected future cash
    flows
  • C1, C2, CT.
  • But methods for establishing the CTs and discount
    rates are not standardizable for many deals. How
    to handle
  • Private information?
  • Optionality in contracts (prepayments
    conversions drawdowns collateral and other
    coventant rights and resulting quids)?
  • Illiquidity premiums imbedded in discount rates?
  • Credit Default Swap market can help, but best
    information only covers high-rated names.

24
Validating and Managing Models of Loan Value is a
Long, Long Road
  • Top managers must oversee the costs and benefits
    of the validation process.
  • Team of competent professionals must be
    assembled, empowered, and given up-the-line
    reporting responsibility. (Dangers of
    Outsourcing and Off-shoring?)
  • Families of models used in different parts of the
    FSF muct be inventoried, categorized as to
    materiality, tested, and scheuled for re-testing
    at regular intervals.
  • Imbedded assumptions in PDV models concern
    probability distributions in different cycle
    stages
  • Probabilities of default (PD)
  • Exposures at default (EAD)
  • Loss given default (LGD)

25
  • Topic III Basel Accord seeks to Strengthen the
    Role Played by Bank Capital in the Safety Net

26
INSOLVENCY-PREVENTION POLICIES
FDIC Guarantees and other elements of the
Government Safety Net absorb some of each banks
risk Creditor protection Kt KEt KGtTo
protect FDIC reserves and taxpayer wealth from
bank risk-shifting, government regulators engage
in various supervisory activities
Monitoring (including on-site examinations)
Enforcing risk-based requirements for minimum
regulatory capital and dividend
restrictions Evaluating internal controls
and issuing cease-and-desist orders for unsafe
and unsound practices Replacing poor or
dishonest managers fear that client
relationships have been corrupted Regulatory
capital consists of specified combinations of
stockholder equity, loan-loss reserves,
subordinated debt, and other accepted
instruments.
27
Three Principal Lessons Taught By Wave 1975-2000
Banking Crises and 2007 Turmoil
  • Through the safety net, delays in recognizing and
    closing or recapitalizing economically insolvent
    Zombie institutions contribute Dividend-Free
    Government Risk Capital to owners of these
    institutions.
  • Zombie institutions can expand Government-Contribu
    ted risk capital by rapidly increasing the size
    or riskiness of their enterprise
  • Conscientious government officials responsible
    for the loss exposure of a deposit-insurance fund
    have to overcome accounting, bureaucratic, and
    political obstacles thrown up to buy time
    either individually or collectively for zombie
    firms and their managers.

28
Creditors May be Fooled by Accounting Façade that
Weak Institutions Erect to Keep Capital Looking
Good Long After it is First Exhausted
29
NATIONAL AND GLOBAL FINANCIAL SAFETY NETS ARE
SOCIAL CONTRACTS
  • Counterparties are Major Sectors of an
    identifiable political or economic Community
  • Three Contract Segments
  • 1. Clauses that define and assign
    responsibilities for preventing disruptive
    financial-institution insolvencies.
  • 2. Clauses that define a range of tax-transfer
    techniques for financing this supervisory
    activity and losses it fails to prevent.
  • Clauses that dictate the political and economic
    incentives under which operators discharge their
    responsibilities.
  • To control cross-country risk-shifting, each
    segment must be rewritten Basel I and II.

30
Bank Regulation and Supervision are Games of Cat
and Mouse
  • Most banks conceal from societys watchdogs
    some
  • 1. Adverse Elements of Their Condition and
    Performance
  • 2. Unhedged Elements of Their Net Risk
    Exposures.
  • All bankers are tempted to cook the books to some
    extent. However, insolvent banks routinely
    mischaracterize lasting problems as temporary
    ones by disinformational accounting forecasts.

31
Causes of Distress
  • Distress and Insolvency are driven by economic
    forces
  • Failure of internal controls against crime
    customer fraud employee negligence or
    embezzlement looting by top management computer
    hacking
  • Interaction of particular bank risk exposures
    with subsequent economic events

32
Another Megatheme The Size of the Capital Shield
Differs for Different Stakeholders. Rules for
Calculating Thickness of Protection Vary for
Differently Prioritized Stakeholders in a Bank.
  • 1. For subordinated debtholders
  • 2. For foreign branch depositors and uninsured
    domestic depositors
  • 3. For FDIC.

33
EXAMPLE OF HOW STAKES TRANSITION IN A WORKOUT
Crippled Bank shows the
following tangible Balance Sheet, constructed
according to GAAP.
Insured Deposits 60 Uninsured Deposits
25 Subordinated Debt 10 Tangible Net Worth 5
Tangible Assets 100 Loss Reserves 0
34
  • Exercise Lets calculate the Capital Shield
    protecting various stakeholders (subordinated
    debtholders, uninsured depositors, BIF) assuming
    net intangible assets are worth 15 in market
    value and all tangible items are booked at market
    value
  • a. according to GAAP? 100-95
  • b. according to market-value accounting
    principles? 115- 95
  • Suppose regulators apply an average risk weight
    of 90 percent to the banks tangible assets.
    Would the banks capital be adequate in the
    U.S?
  • Suppose the Market Value of the Banks tangible
    assets is 75.
  • a. How much of the banks GAAP assets would
    have to be sold to cover a 100 run by the
    uninsured depositors?
  • ANS. Each dollar of book value
    sold generates only 75 cents, so 4(25)/3
    in GAAP assets have to be sold to meet the run.
  • b. What would the banks GAAP balance sheet look
    like after paying off
  • all uninsured deposits?
  • ANS. Assets 66.67 TNW ?
  • c. ENW ?
  • Under what circumstances would new stockholders
    be willing to invest in a bank that has fallen
    into tangible insolvency? ANS. When intangible
    values are large and obvious enough to offset the
    tangible shortage.

35
WHAT HAPPENS TO AN INDIVIDUAL BANK WHEN RISKS EAT
UP ITS CAPITAL?
  • 1. Regulators try both to stop and to correct the
    undercapitalization Prompt Corrective Action.
  • 2. Customer Runs Occur Depositor Efforts To
    Avoid Losses Can Create Extreme Market Discipline
    (Especially for Uninsured Depositors).
  • 3. Silent Runs vs. Open Runs (metaphors?)
  • 4. Coping with Rational vs. Irrational Runs
  • a. Assets Sales and Outside Credit Support
  • b. Policy Response Differs for Illiquidity vs.
    Insolvency
  • c. Taxpayer Bailouts Explicit vs. Implicit

36
THEMES
  • Individual-bank exposure to examination,
    supervision, and enforcement activity unfolds
    within a national Regulatory Culture.
  • This culture is a shaped by
  • Reconstruction and Response lags generated by
    bureaucratic checks and balances.
  • Regulatory Competition
  • Regulatory personnels exposure to influence
    activity from a discipline-resistant firms
    political clout
  • Social norms that protect fraudsters and bumblers
    against prompt regulatory discipline

37
Incentive Conflict in the Bank Failure Process
  • Troubled banks usually spend time on a watchlist
    of problem banks while disinformation and other
    difficulties are resolved.
  • Decisions to fail or continue a problem bank
    unfold within a national Regulatory Culture
    whose norms protect some classes of Insolvent
    Banks from socially desirable Growth Restraints
    or Exit Pressure.
  • Bank Failure is a Last-Ditch Administrative
    Response to strong Evidence of either fraud or
    unresolvable bank insolvency.

38
Basel Supervisory Strategy
  • To keep government-contributed capital from
    trending upward, regulators and supervisors must
    continually adapt their rules, monitoring,
    penalties, and administrative procedures to
    overcome clients political clout and innovations
    in bank concealment capabilities. Regulatory
    lags inevitably occur.
  • RBC supervision has proved highly vulnerable to
    accounting misrepresentation and dynamic
    deterioration risk. This vulnerability comes
    in part from political deal-making required to
    get big banks to accept three-pillar structure
  • Pillar I Minimum Capital Requirements
  • Pillar II Supervisory Review Process (duties not
    spelled out)
  • Pillar III Disclosure Market Discipline
    (reliance on competitive forces to impose losses
    and force exits).

39
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40
Basel I Overconcentrated on Credit Risk
  • Capital Needs to Cover Many Kinds of FSF Risks
  • CREDIT Risk that borrower will default.
  • LIQUIDITY Risk that bank wont meet its
    obligations without selling assets at fire sale
    prices.
  • MARKET Risk from shifts in interest rates and
    foreign exchange rates.
  • PRICE Risk from changing values in securities
    portfolio
  • REPUTATION Risk of bad publicity.
  • STRATEGIC Risk of making bad business decisions.
  • OPERATIONAL Risk of trouble from inadequate or
    failed internal processes, people, and systems or
    from external events.
  • REGULATORY Risk of adverse changes in the Rules
    of the game

41
STRESS TESTS UNDER PILLAR II
A stress test examines an FSFs vulnerability to
particular scenarios of market events. It
estimates how the value of the firms positions
would change if an exceptional but plausible
change in market conditions were to occur. Each
hypothetical shock is based on a different
scenario and most useful for products and
markets for which probability modeling seems
inadequate. Shocks are usually sized with
reference to historical patterns of events in
past crisis episodes. For example, movements in
interest rates or credit-swap spreads during
  • The 1998 Russian Crisis
  • The 1987 stock market crash.
  • 9/11

42
Basel I and Basel II are NeitherTreaties Nor
Accords
  • They are not treaties because the formal
    agreement is not executed between --or ratified
    by-- governments of sovereign nations. The
    signatories are merely short-lived incumbent
    regulators cannot constrain even their
    successors, and do not obtain consent from
    representatives elected by the citizenry of their
    nation.
  • Basel I and II are not accords because the
    agreement cannot be said to settle the points
    put at issue in either agreement. Credible
    closure plans are not included.
  • Each is better characterized as an incomplete
    contract a deal with many loose ends. Its value
    lies in providing a framework for continual
    renegotiation They represent a succession of
    preliminary agreements that have not been
    finalized in an enforceable way.
  • ? changing COUNTERPARTIES FSAs added
  • ? changing STAKES- value of contract performance
    breaches
  • ? changing STAKEHOLDERS

43
Basel Capital Regulation uses the Metaphor of a
RISK BUDGET Whose Contents are Distributed across
a series of RISK BUCKETS
  • What is budgeted and expended is ownership
    capital.
  • To support recognized risks, management must hold
    sufficient regulatory capital and allocate it
    across the specific positions that expose the
    institution and its stakeholders to loss e.g.,
    credit ratings collateral type maturity of
    instrument country and industry of borrower
    seniority of claim.
  • Modern regulators are expected to verify the
    adequacy of a banks risk support. The Basel
    Accord seeks only to set risk-based minimum
    requirements for accounting value of ownership
    capital.

44
  • In principle, the amount of an institutions
    enterprisewide exposure to loss in any asset or
    liability position (Ai or Lj) that needs to be
    priced and that capital should be asked to
    cover varies with the loss exposure of the asker.
    Each stakeholder may express its requests as
    fractions (wi) of each positions value 0?wi ?1.
  • Capital is adequate for a given stakeholder when
  • Two Issues
  • 1) weights and position values are sensitive to
    cross- portfolio correlations and
    hard-to-observe Information Events.
  • 2) Marginal and average values of ideal weights
  • may diverge.

45
The budgeting used in Basel I and in the
standardized version of Basel II is
embarrassingly simplistic. It assigns ad hoc
weights to a few broad asset classes and
incorporate no market-based risk sensitivity into
the weights
  • Authorities assigned a unit risk weight to
    ordinary private loans.
  • Judgmentally assign weights for other positions
    (vi) as fractions.
  • Risk-Weighted Assets (RWA)
  • Two-Tier RBCR w1 (RWA) and w2(RWA)
  • w1 4 w2 8
  • Basel II would improve on the weighting process.

46
  • Full force of Basel I does not strictly apply
    to all banks Basel II proposes that all
    internationally active or large banks (250B in
    US) use so-called Advanced Internal-Ratings
    Based models to set aside specified capital
    amounts to support their on-balance-sheet and
    off-balance-sheet risk exposures. Basel I system
    seeks
  • (1) to impose comprehensive capital
    requirements (i.e., to factor in off-balance
    sheet risks) and
  • (2) to do so globally in standardized (i.e.,
    equal-opportunity) fashion in all major
    financial environments.
  • Previously, capital requirements had been linked
    exclusively to accounting measures of a banks
    total on-balance-sheet assets, so that
    Off-Balance-Sheet items expanded.

47
  • To risk-weight derivatives positions,
    standardized approach uses a two-part method
  • 1) Choose a conversion factor, (ci) converting
    each OBS position to an on-balance-sheet credit
    equivalent.
  • 2) Then apply a judgmental credit-risk weight
    (vi) that determines a capital requirement
    appropriate for the credit-equivalent amount.

48
  • Except for swaps, conversion factors and risk
    weights are limited to 0, 20, 50, and 100.
  • No formal market testing is done to justify
    these conversion factors and risk weights.
  • Lack of accountability lets political pressure
    influence weighting. E.g., risk weights for
    subprime mortgages and for securities issued by
    national governments are kept unduly light.
  • RBCR are so simplistic that their burden is so
    easily circumvented that one has to challenge
    either the honesty or the competence of officials
    willing to rely predominantly on this supervisory
    protocol.

49
BASEL ADEQUACY TEST IS TOO NARROWLY FOCUSED
50
Three Obvious and Large Loopholes in RBCR
  • 1. Risk weights focus on credit risk in
    individual instruments (rather than firm-wide
    risk), are too few in number to track the
    capital needed to support individual positions,
    and benefits of risk mitigation are not
    incorporated (e.g., collateral, default swaps,
    insurance).
  • 2. Regulatory requirements are set much too high
    on safe instruments and much too low on very
    risky ones.
  • 3. Regulatory Dialectic authorities lag behind
    the market in understanding how to analyze
    supervise the values and risks of complicated
    derivatives.
  • Analogy Weaknesses in rules induce a mutation of
    derivatives that resembles mutation of bacteria
    to make antibiotics ineffective on them.

51
Regulatory Arbitrage I
Market Capital Ratio
Market vs. BIS Capital Requirements
Hypothetical Market Requirements
too low
BIS Minimum
4
too high
too high
Middle Market Business
Closely Followed Large Corporations
Prime Households
Small Business
Borrower Size
52
Even with a specified horizon and confidence
level, Basel I requirementcould be made as low
as managerswant it to be.
  • Arbitrage Opportunity No. 1 Identify and hold
    assets with low regulatory charges relative to
    the risks they pose.
  • Arbitrage Opportunity No. 2 Unscrupulously
    manipulate unverifiable internal Value-at-Risk
    models for self-assessing risk exposure to
    understate need for capital. Another form of
    accounting gimmickry.
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