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Reputational Risk

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Title: Reputational Risk


1
  • Reputational Risk
  • How to Manage for Value Creation
  • Arif Zaman
  • VI Financial Risk Congress
  • Cartagena de Indias, Colombia
  • 22 November 2007

2
Agenda
  • credentials and background
  • reputational risk what, why and how
  • Colombias reputation

3
  • Building Blocks
  • 1. Why reputation
  • management is not enough
  • 2. Reputation
  • 3. Risk
  • 4. Reputational risk and
  • customers
  • 5. and employees
  • 6. and shareholders
  • 7. (inter)national relationships and
    responsibilities
  • Based on international research
  • with companies, investors and
  • policy-makers at Henley
  • Management College 2001-3.
  • Published in 2004 (price 120), an
  • FT bestseller and being translated

4
experience
research
consultancy
5
Thinking and Acting Across Boundaries
6
Starting points
  • Reputation more than PR
  • Risk more than financial
  • Reputational risk more than CSR, crisis
    management
  • Role of the CEO and the board
  • Simple language accessible to people across the
    organisation

7
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8
Reputational Risk links with corporate
governance
9
What drives what stakeholders expect of corporate
brands?
10
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11
The soul of the stakeholder
12
What Is Reputation?
  • Reputation is a perception of character
  • Corporate reputation is how key stakeholders
    perceive that your company or its employees
    behaves

13
In todays world, where ideas are increasingly
displacing the physical in the production of
economic value, competition for reputation
becomes a significant driving force, propelling
our economy forward. Manufactured goods often
can be evaluated before the completion of a
transaction. Service providers, on the other
hand, usually can offer only their
reputations. Alan Greenspan, former Chair,
Federal Reserve
14
Why Is Reputation Important?
  • A strong, positive reputation
  • Brings about supportive stakeholder
  • behaviour

15
How Can You Manage Reputation?
  • You dont own or control perceptions of
  • others.

16
Important Questions
  • Reputation for what?
  • Reputation with whom?
  • Reputation for what purpose?

17
Examples of the Drivers of Key Risks
18
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19
Building Blocks
20
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21
ISO / BSI risk trends review (2006)
  • Risk is related to uncertainty
  • Risk matters and, if it occurs, will have
    consequences
  • Risk management is a process
  • People perform risk management
  • NB
  • 2008 ISO 26000 (CSR)
  • 2009 ISO 31000 (risk management)

22
Reputational Risk
  • The comparison that key stakeholders
  • make between how a company or its
  • employees are expected to behave and
  • how they actually behave.
  •  
  • Key point reputational risk can therefore
  • be positive or negative.

23
Reputational Risk and Customers
  • Why customer satisfaction alone is not a
    reputation guarantee common misconceptions
  • SAB Miller and Bavaria acquisition

24
Customer Relationship Mismanagement
  • inadequate testing
  • poor back office integration
  • front-end applications fail to communicate
  • lack of departmental integration 70 of
    consumers receive duplicate emailings, generated
    from the same source regularly
  • lack of channel integration
  • lack of real value for the customer
  • sloppy data handling
  • failure to see CRM as ongoing
  • failure to educate your staff
  • long customer response times

25
Reputational Risk and Employees
26
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27
internal and external reputation
28
Shareholders and reputational risk
  • investor relationships
  • corporate governance, banking and reputational
    risk
  • Colombia case studies

29
what investors really want (sell-side analysts)

Source All-Europe Research Team Survey (2002)
30
At its core corporate governance is about
creating value from the quality of decision-making
  • 1. value creation and maintenance
  • 2. accountability decisions for whom?
  • 3. consensus something that is agreed by more
    than one person
  • 4. action corporate governance is about deciding
    as well as debating and moving forward as well as
    reflecting on the past and present
  • 5. quality acknowledges increasing importance of
    softer factors

31
corporate governance for banking organisations
(Basel Committee on Banking Supervision, February
2006)
  • From a banking industry perspective, corporate
    governance
  • involves the manner in which the business and
    affairs of
  • banks are governed by their boards of directors
    and senior
  • management, which affects how they
  • Set corporate objectives
  • Operate the banks business on a day-to-day
    basis
  • Meet the obligation of accountability to their
    shareholders
  • and take into account the interests of other
    recognised stakeholders
  • Align corporate activities and behaviour with
    the expectation that banks will operate in a safe
    and sound manner, and in compliance with
    applicable laws and regulations
  • Protect the interests of depositors

32
four important forms of oversight
  • 1. oversight by the board of directors or
    supervisory board
  • 2. oversight by individuals not involved in the
    day-to-day running of the various business areas
  • 3. direct line supervision of different business
    areas
  • 4. independent risk management, compliance and
    audit functions. In addition, it is important
    that key personnel are fit and proper for their
    jobs

33
Sound corporate governance principles
  • Principle 1
  • Board members should be qualified for their
    positions,
  • have a clear understanding of their role in
    corporate
  • governance and be able to exercise sound judgment
  • about the affairs of the bank
  • Risk management committee - providing oversight
    of
  • senior managements activities in managing
    credit,
  • market, liquidity, operational, compliance,
    reputational
  • and other risks of the bank.

34
  • Principle 2 The board of directors should
    approve and oversee the banks strategic
    objectives and corporate values that are
    communicated throughout the banking organization
  • The banks corporate values should recognise the
    critical importance of timely and frank
    discussion of problems. In this regard, employees
    should be encouraged and able to communicate,
    with adequate corporate protection from reprisal,
    legitimate concerns about illegal, unethical or
    questionable practices. Because such practices
    can have a detrimental impact on a banks
    reputation, it may prove highly beneficial for
    banks to establish a policy setting forth
    adequate procedures, consistent with national
    law, for employees to communicate material and
    bona fide concerns directly or indirectly (e.g.
    through an independent audit or compliance
    process or through an ombudsman) and
    confidentially to the board independent of the
    internal chain of command.

35
  • Principle 3 The board of directors should set
    and enforce clear lines of responsibility and
    accountability throughout the organisation
  • Principle 4 The board should ensure that there
    is appropriate oversight by senior management
    consistent with board policy
  • Principle 5 The board and senior management
    should effectively utilise the work conducted by
    the internal audit function, external auditors,
    and internal control functions
  • Principle 6 The board should ensure that
    compensation policies and practices are
    consistent with the banks corporate culture,
    long-term objectives and strategy, and control
    environment
  • Principle 7 The bank should be governed in a
    transparent manner

36
  • Principle 8 The board and senior management
    should understand the banks operational
    structure, including where the bank operates in
    jurisdictions, or through structures, that impede
    transparency (i.e. know-your-structure)
  • Corporate governance challenges arise where
    banks operate through structures that lack or
    impair transparency. .Operating in such
    jurisdictions or through such structures may,
    however, pose financial, legal, and reputational
    risks to the banking organization
  • Banks may also be exposed to risk indirectly
    when they perform certain services or establish
    opaque structures on behalf of customers.in some
    cases customers may use products and activities
    provided by banks to engage in illegal or
    inappropriate activities. This can, in turn, pose
    significant legal and reputational risks to banks
    that provide such services.

37
  • Banks should only approve complex financial
    structures, instruments or products if the
    material financial, legal and reputational risks
    arising from their use or sale can be properly
    assessed and managed.
  • The board and senior management can enhance
    their effectiveness by requiring that internal
    control reviews include not only core banking
    businesses, but also activities conducted in
    jurisdictions, or through structures (either on
    the banks own behalf or on behalf of customers)
    that lack transparency. These reviews should
    include, for instance, regular inspection visits
    by internal auditors and assessment of legal and
    reputational risks arising from those activities
    or structures.
  • The board, or senior management consistent with
    guidance from the board, should ensure the bank
    has appropriate policies and procedures to-
  • Regularly evaluate the need to operate in
    jurisdictions or through complex structures that
    reduce transparency
  • Identify, measure and manage all material risks,
    including legal and reputational risks, arising
    from such activities
  • Establish appropriate processes for the approval
    of transactions and new products, especially
    related to such activities (e.g. applicable
    limits, measures to mitigate legal or
    reputational risks)

38
Colombia case studies
  • Cementos Argos
  • Interconexión Eléctrica S.A. E.S.P. (ISA)

39
Reputational Risk and Communities
  • Corporate Social Responsibility Business
    behaviour that generates the commitment and trust
    of key stakeholders
  • President Uribe to the British and Columbian
    Chamber of Commerce, November 2007
  • In Colombia, investment, whether private,
    national or international, has all the room it
    needs for growth if it acts with social
    responsibility with transparency in
    state-investor relations, with a commitment to
    the community beyond merely demanded by law.

40
corporate social responsibility
  • The Board is committed to and promotes corporate
    social responsibility on paper and in practice.
  • Local laws and tax rules are followed.
  • Stakeholders opinions are taken into account
  • There are high labour standards and measures to
    protect the environment coupled with capacity
    building
  • economic, social and environmental performance
    and impact, is monitored and reported to the
    public
  • There is a high standard of employee training and
    steps aimed at raising awareness of the companys
    responsibility

41
What Makes a Good Corporate Citizen?
  • How a board runs it affairs Corporate
    Governance
  • How a business relates to society - Corporate
    Social Responsibility

42
The business stake in conflict reduction
  • Anglo-American (Nov. 2007) We have an important
    obligation to play our part in our zone of
    influence to promote human rights, to ensure
    proper control of our security impacts and to
    reduce povertyBritish-based companies can make a
    contribution to peace-building which is
    entirely in line with the objective of corporate
    responsibility.
  • Coca Cola and BP case studies
  • Redprodepaz Network of Regional Peace and
    Development Programs and the EUs Peace
    Laboratories Initiative

43
Reputational Risk methodology the approach
Through market research, being able to measure
the impact of reputational risk is the major
concern. The Reputational Risk Strategy
approach Stage I - Reputational profile and
quantification Stage II - Qualitative
analysis Stage III - Stakeholder validation Stage
IV - Periodic review www.reputationalrisk.co.uk
44
Colombias reputation thoughts and
opportunities
  • addressing the perception-reality gap and
    information asymmetries
  • the 3 Cs
  • coffee, cocaine and conflict Colombia 2008?
  • curry, cricket and conflict South Asia 2008?
  • vs. commerce, creativity and connectivity
  • Reputational risk a potential key to
    positioning and performance in the medium term to
    drive increased and better quality FDI and
    portfolio investment
  • Role of the banking sector given Operational Risk
    Directive on reputational risk vs. other emerging
    market approaches
  • Reputation Institute and Reputational Risk
    Strategy
  • British and Columbian Chamber of Commerce
    opportunities including Business and Social
    Awards
  • Inward investment from key Commonwealth markets
    eg. South Africa, India and Malaysia

45
Key messages and takeaways
  • To manage reputational risk, you need to have a
    deeper understanding of reputation and risk
  • Reputational risk is about managing key
    stakeholder expectations, linking it at its core
    processes to corporate governance and applying a
    consistent approach across customers, employees,
    investors and communities
  • Colombias (business) reputation can be enhanced
    by a better understanding of reputational risk
    especially given increasing investor interest and
    the proactive approach of Asobancaria
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