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Title: City University of Hong Kong


1
  • City University of Hong Kong
  • Professional Seminar
  • 17 March 2006
  • Part II Introduction to IRB Approaches and
    Internal Rating Systems under Basel II
  • Dr Michael Taylor
  • Hong Kong Monetary Authority

2
Outline
  • Background Quantitative Concepts of IRB
  • What are internal ratings systems?
  • What is validation?
  • HKMA Approach to Validation

3
Quantitative Concepts of IRBSome Background
  • Rating systems have been used by the industry for
    almost 50 years in making credit decisions and
    managing credit risk
  • In the past two decades, the industry has put a
    lot of effort into enhancing the application of
    rating systems, in particular by linking the
    outputs of rating systems (i.e. rating grades or
    credit scores) to banks profits and losses and
    to the optimal use of capital
  • e.g. to maximise the profit given an acceptable
    level of risk
  • This involves the application of theories in
    statistics, economics and finance
  • IRB reflects the essence of the evolution in the
    past 20 years in measuring credit risk

4
Quantitative Concepts of IRBExpected Loss
Unexpected Loss
  • Expected loss, as its name suggests, is
    expected. Under IRB, an AI should cover this by
    provisioning
  • Unexpected loss is the loss from unexpected
    unfavourable situations. Under IRB, an AI should
    cover this by capital

5
Quantitative Concepts of IRBExpected Loss
Unexpected Loss
  • In IRB , the confidence level is set at 99.9,
    meaning that there is a 0.1 chance (once in 1000
    years) that an AIs capital would fail to absorb
    the unexpected loss and becomes insolvent

6
Quantitative Concepts of IRBRisk Components
  • Under IRB Approach, expected loss and the covered
    portion of unexpected loss are calculated by
    using estimates of risk components as inputs to
    risk-weight functions
  • The risk components are
  • Probability of default (PD)
  • How likely will a borrower default in the coming
    12 months?
  • Loss given default (LGD)
  • How much will the AI lose, as a percentage of
    EAD, if the borrower defaults?
  • Exposure at default (EAD)
  • How much will the borrower owe the AI when he
    defaults?
  • Effective maturity (M)
  • The weighted-average timing of the AI in
    receiving cash flows from a facility

7
What is a Rating System?
  • A rating system is one by which
    borrowers/facilities are systematically assigned
    to (grouped into) rating grades according to the
    credit risk characteristics (rating criteria or
    risk factors) of the borrowers/facilities

8
What is a Rating System?
  • Homogeneity
  • Borrowers/Facilities assigned to the same rating
    grade should share similar risk characteristics
  • Risk differentiation
  • Borrowers/Facilities assigned to different rating
    grades should have different risk characteristics
  • Risk quantification
  • Risk component(s) is/are estimated for each
    rating grade

9
Types of Rating SystemExpert Judgement-based
System
  • Ratings are assigned subjectively by experienced
    credit officers, usually following some
    guidelines - this is the most classic form of
    expert judgement-based system
  • The major problem of an expert judgement-based
    system is that it is not transparent the rating
    assignment process is inside the mind of credit
    officers and may result in inconsistency amongst
    credit officers and over time for the same
    officer
  • Usually expert judgement-systems are used for
    portfolios with scarce default events (e.g.
    sovereign)

10
Types of Rating SystemExpert Judgement-based
System
11
Types of Rating SystemModel-based System
  • Rating assignment is based on objective risk
    factors (e.g. income, financial ratios), with
    these factors and their relative importance being
    determined by statistical analysis, and/or
    economic and finance theory - the pure form of
    model-based system
  • The rating assignment process is mechanical and
    has little room for manipulations by judgements
  • Transparent, but rigid and subject to model risk
  • Model-based system can be applied to various
    types of exposures
  • Generally, model-based systems are more
    applicable to exposures with abundant default
    data. But there are also some models designed for
    exposures with few default events, especially
    those based on economic and finance theory
    (usually referred to as structural models)
  • Risk components can be directly estimated from
    certain types of model-based systems

12
Types of Rating SystemModel-based System
13
Types of Rating SystemHybrid Rating System
  • Rating systems that uses both expert judgements
    and statistical modelling techniques - the most
    commonly-used rating systems in industry

14
Types of Rating SystemAn Example
15
Types of Rating SystemAn Example
  • The range of scores would lie between 0 (i.e.
    weak management, low entry barrier, gearing gt50
    and earnings growth lt10) to 100 (i.e. strong
    management, high entry barrier, gearing lt50 and
    earnings growth gt10)
  • Assume the AI maps score ranges to rating grades
  • e.g. if a borrower has a strong management, the
    industry has low entry barrier, the gearing is
    80, and earnings growth is 30, then it would
    have credit score 100?32 0?25 0?34.5
    100?8.5 40.5 and the borrower would be
    assigned to rating grade E

16
Quantification of a Rating System
  • FIRB Approach for corporate, bank sovereign
    exposures
  • an AI estimates PD for each borrower rating
  • LGD, EAD and M are prescribed by the HKMA
    (supervisory estimates)
  • AIRB Approach for corporate, bank sovereign
    exposures
  • an AI estimates PD for each borrower rating
  • it also estimates LGD for each facility rating
  • it also estimates EAD for each facility type
  • it also calculates M according to rules
    prescribed by the HKMA
  • For retail exposures
  • an AI estimates PD, LGD and EAD for each pool

17
Quantification of a Rating SystemPD of
Corporate, Bank Sovereign Exposures
  • For FIRB or AIRB Approach for corporate, bank
    sovereign exposures, 3 methods can be used to
    estimate the PD of a borrower rating
  • 1. Internal default experience
  • 2. Mapping to external data
  • 3. Statistical default models

18
Quantification of a Rating System PD of
Corporate, Bank Sovereign Exposures
1. Internal default experience e.g. in the past
5 years, annual default rates of borrowers
assigned to rating grade D were 10, 12, 9, 8
and 11 respectively. PD of rating grade D for
this year can be estimated as the simple average
of these default rates, i.e. (10 12 9
8 11) ? 5 10
19
Quantification of a Rating System PD of
Corporate, Bank Sovereign Exposures
2. Mapping to external data e.g. By comparing
the rating criteria of its internal rating system
with those of the Moodys, an AI concludes that
50 of the borrowers assigned to its rating grade
B would have Moodys ratings Baa1, 25 A3 and
25 Ba1. In the past 5 years, average annual
default rates of these Moodys ratings were 3,
2 and 4 respectively. The AIs rating grade B
can be estimated as 50 ? 3 25 ? 2 25
? 4 3 There are many types of mapping
methodologies
20
Quantification of a Rating System PD of
Corporate, Bank Sovereign Exposures
3. Statistical default models e.g. an AI uses a
model-based rating system, under which PD is
estimated for each borrower. There are 3
borrowers assigned to rating grade C, with PD
estimated to be 4.5, 5 and 5.5 respectively by
the model. PD of rating grade C can be estimated
as the simple average of the individual PDs of
these borrowers, i.e. (4.5 5 5.5) ? 3
5 5 will be used for all the 3 borrowers for
CAR purpose, regardless of the individual PDs
generated from the model
21
What is Validation?
  • Basel definition encompasses a range of
    processes and activities that contribute to an
    assessment of whether ratings adequately
    differentiate risk, and whether estimates of risk
    components appropriately characterise the
    relevant aspects of risk
  • AIs responsibility to demonstrate its rating
    system meets minimum requirements
  • Review of an AIs validation process a major part
    of the IRB recognition process

22
Six Principles of the Validation Subgroup
  • Six Principles of the Validation Subgroup of the
    Basel Accord Implementation Group
  • (i) Validation is fundamentally about assessing
    the predictive ability of
  • a banks risk estimates and the use of ratings
    in credit processes
  • (ii) The bank has primary responsibility for
    validation
  • (iii) Validation is an iterative process
  • (iv) There is no single validation method
  • (v) Validation should encompass both
    quantitative and qualitative elements
  • (vi) Validation processes and outcomes should be
    subject to independent review

23
HKMA Approach to Validation (1)
  • Closely aligned with the 6 principles
  • AI conducts its own internal validation of the
    rating system, estimates of risk components the
    risk ratings generation processes
  • Internal validation clearly documented shared
    with HKMA
  • Individuals involved in validation must have
    necessary skills knowledge and independence
  • No universal validation tool

24
HKMA Approach to Validation (2)
  • No industry best practice standard on
    validation
  • Quantitative techniques very diverse, portfolio
    specific, and still evolving
  • Setting prescriptive quantitative standards
    benchmarks for IRB systems could stifle
    innovation
  • Principles-based approaches by other supervisors
  • Guidance from Basel participation in AIG V
    Subgroup
  • Views of external consultants industry experts

25
HKMA Approach to Validation (3)
  • Qualitative and Quantitative elements.
  • Qual. - processes, procedures controls
  • Corporate governance oversight, independence,
    transparency, accountability, use of internal
    ratings, internal external audit, use of
    external vendor models
  • Quant. - generally accepted techniques
  • Data quality, accuracy of PDs, LGDs EADs,
    model logic conceptual soundness, estimation
    validation techniques, issues on LDPs,
    back-testing, benchmarking

26
Corporate Governance Oversight
  • Board senior management involvement
  • Understanding of HKMA requirements
  • Understanding approval of key aspects of IRB
    system
  • Ensures adequate resources and clearly defines
    responsibilities
  • Ensures adequate training
  • Integrates IRB systems with policies, procedures,
    systems, controls
  • Tracks differences between policies actual
    practice (e.g. exceptions/overrides)
  • Quarterly MIS on rating system performance
    regular internal review
  • Receives regular reports on internal ratings (e.g
    risk profile of the AI, performance predictive
    ability of internal rating system, changes in
    regulatory economic capital, results of
    independent validation)

27
Independent Rating Approval Process
  • General rule that approval of ratings
    transactions should be separate from sales
    marketing
  • Independent separate functional reporting lines
    for rating assignors rating approvers (e.g.
    credit officers, with well-defined performance
    measures)
  • Where ratings are assigned approved within
    sales marketing
  • mitigate the inherent conflict of interest with
    compensating controls (e.g. limited credit
    limits, independent post-approval review of
    ratings, more frequent internal audit coverage)
  • Where rating assignment or approval process is
    automated, verify accuracy completeness of data
    inputs

28
Independent Review of IRB System Risk
Quantification
  • Annual Review
  • Reviews conducted internally or by external
    experts
  • Functional independence
  • Should encompass all aspects of the process
    generating the risk estimates usage
  • Compliance with established policies procedures
  • Quantification process accuracy of risk
    component estimates
  • Model development, use validation
  • Adequacy of data systems controls
  • Adequacy of staff skills experience
  • Identify weakness, make recommendations take
    corrective actions
  • Significant findings reported to senior
    management the Board

29
Transparency Accountability
  • Transparency
  • Enable third parties to understand the design,
    operations accuracy of a rating system to
    evaluate whether it is performing as intended
  • An ongoing requirement update documentation when
    there are changes
  • Achieved through documentation
  • Expert judgement-based vs. Model-based rating
    system
  • Accountability
  • Identify individuals or parties responsible for
    rating accuracy rating system performance
  • Inventory of models accountability chart of
    roles of parties
  • Establish performance standards
  • Senior individual to take responsibility for
    overall performance

30
Use of Internal Ratings
  • The IRS risk estimates should have substantial
    influence on decision-making actions
  • Credit approval pricing,, individual
    portfolio limit setting
  • Portfolio monitoring determining provisioning
  • Analysis reporting of credit risk information
  • Modelling management of economic capital
  • Assessment of total credit risk capital
    requirements under the AIs CAAP
  • Formulating business strategies assessment of
    risk appetite
  • Assessment of profitability performance, and
    determining performance-related remuneration
  • Other aspects (e.g. AIs infrastructure such as
    IT, skills resources and organisational
    structure)

31
Data Quality
  • Accuracy, completeness appropriateness

Management oversight control
IT infrastructure
Data quality assessment programme internal
audit
Data architecture
Staff competency
Storage, retrieval deletion
Data processing
Data collection
IRB data
External pooled data
Reconciliation
Use of statistical techniques
A/C data
32
Quantitative Requirements
  • Accuracy of PD, LGD, EAD
  • Discriminatory power and calibration
  • Benchmarking
  • Stress testing

33
Validation of a Rating SystemBack-testing
  • Back-testing is the direct comparison between the
    risk component estimates with the realised
    figures, e.g. PD against default rate of a
    borrower grade (or pool for retail)
  • In practice, estimates will never be exactly the
    same as realised figures. The question is
    whether the deviation is acceptable, especially
    when the estimates are smaller than the realised
    figures (i.e. underestimation)
  • In general, statistical hypothesis testing can be
    applied
  • Null hypothesis (H0)The estimate of the risk
    component is correct
  • Alternative hypothesis (H1) The risk component
    is underestimated
  • To use the hypothesis testing technique, a
    confidence level needs to be set and a
    probability distribution of the risk component
    needs to be defined.

34
Validation of a Rating SystemBenchmarking
  • Benchmarking is the comparison of an AIs risk
    component estimates with those of a third party
    such as estimates by rating agencies
  • For PD, external benchmarks are generally most
    useful where backtesting is difficult
  • For LGD and EAD, as well as PD of small-sized
    borrowers (e.g. individuals and SMEs), external
    benchmarks may not be available
  • LGD and EAD depend heavily on individual AIs
    recovery and credit monitoring policies, and
    therefore it is possible for there to be big
    differences of internal estimates from the
    benchmarks, even for the same type of facilities

35
Validation of a Rating SystemStability Analysis
  • Even if a rating system performs well under
    certain situations or for certain types of
    borrowers/facilities, it may not do so in other
    situations or with other types of
    borrowers/facilities
  • Stability analysis examines whether a rating
    system and/or the risk component estimates remain
    valid under different situations or for different
    types of borrowers/facilities. It involves
    asking questions like
  • Would the back-testing results remain
    satisfactory during economic boom as well as
    recession?
  • How would distribution of borrowers/facilities
    amongst rating grades and estimates of risk
    components change if certain assumptions are
    modified (e.g. discount rates in workout LGD)?
  • What would be the risk component estimates if
    only a sub-sample of data are used in
    quantification?

36
Validation of a Rating SystemDiscriminatory
Power
  • Discriminatory power is about the rank order of
    borrowers. It assesses the ability of a rating
    system to differentiate bad borrowers (i.e.
    those going to default) from good borrowers
    (i.e. those not going to default).
  • Many quantitative techniques can be used to
    assess discriminatory power
  • Accuracy Ratio
  • Receiver Operating Characteristic Measure
  • Pietra Index
  • Bayesian Error Rate
  • Conditional Information Entropy Ratio
  • Information Value
  • Brier Score
  • Divergence

37
Validation of a Rating SystemDiscriminatory
Power
  • Generally speaking, all these techniques are to
    measure the difference between the distribution
    of the good borrowers and that of the bad
    borrowers in relation to risk characteristics,
    e.g. credit scores, rating grades, income

38
Validation of a Rating SystemDiscriminatory
Power
  • For a perfect rating system, the distribution of
    bad borrowers would not overlap with that of
    good borrowers
  • Discriminatory power analysis can be applied to
    borrower ratings of corporate, bank and sovereign
    exposures
  • For retail exposures, discriminatory power can be
    assessed for individual rating criteria that are
    used in segmentation
  • As with back-testing, it is difficult to set a
    passing mark for a rating systems
    discriminatory power

39
Conclusion
  • Basel IIs most important innovation is to rely
    on internal rating systems for regulatory capital
    purposes
  • But regulators need some assurance that these
    systems are fit for the purpose
  • Validation is key to this assurance
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