Introducing Risk Management Systems: Some Common Problems - PowerPoint PPT Presentation

1 / 33
About This Presentation
Title:

Introducing Risk Management Systems: Some Common Problems

Description:

Glamour, bonuses, good salaries are in the treasury and commercial units ... We should enhance the glamour and prestige of risk controllers of financial institutions ... – PowerPoint PPT presentation

Number of Views:98
Avg rating:3.0/5.0
Slides: 34
Provided by: interameri2
Category:

less

Transcript and Presenter's Notes

Title: Introducing Risk Management Systems: Some Common Problems


1

FINANCIAL RISK MANAGEMENT IN EMERGING MARKETS
  • Introducing Risk Management Systems Some Common
    Problems

Port of Spain, Trinidad and Tobago, February
20-21,2000
Paulina Beato Infrastructure and Financial
Markets Division Inter-American Development Bank
2
Purposes
  • Present seven recommendations for an efficient
    risk management system
  • The recommendations are based on the
    recommendations from the Basle Committee and
    Group of 30
  • Identify common problems for following such
    recommendations in emerging markets
  • Discuss some solutions for dealing with the
    common problems

3
Definition
  • A Risk Management System is a systematic,
    objective and homogeneous method for setting
    criteria, both qualitative and quantitative, in
    order to
  • Accept or reject financial risks
  • Analyze and evaluate the existing risks
  • Modify position due to external changes
  • Guarantee that all risks are within the limits
    established by the institution

All risks should be included
4
Traditional View

Business 2
Business 1
Market
Credit
Market
Credit
Legal and Operational
Legal and Operational
Global Risk in Finantial Institutions
Liquidity
Treasury
Each Unit Manages and control all Risks
5
Modern View
Global Risk Finantial Institution
Operational
Market
Operational
Manager
Treasury
Legal
Market
Credit
Market
Credit
Legal
Control
Control
6
Standard Recommendations
  • Relevant Role of Top Management
  • Independence between Risk Control Units and
    Business and Operational Units
  • Systematic Method for Managing and Controlling
    Credit Risk
  • Systematic Method for Managing and Controlling
    Market Risk
  • Consistent Risk Measurement on Daily Basis
  • Management and Control of Legal and Operational
    Risks
  • Qualified and Experienced Staff

7
Issues
  • This presentation addresses the following issues
    for each recommendation
  • Meaning and basis of the recommendation
  • Problems in implementing each recommendation in
    emerging markets
  • Approaches for solving these problems in emerging
    market environments

8
Role of Top Management
  • The Board of Directors and the Executive
    management should define and establish the risk
    management and control policies
  • Risks may entail large losses and top management
    is responsible for protecting the institution
    value
  • Top Management should define (on behalf of
    shareholders) an acceptable trade-off between
    risk and return
  • Top Management should ensure that maximum
    expected losses are backed by sufficient equity
  • The Board of Directors and the Executive
    management should approve the procedures for
    implementing the policies
  • Policies without control systems are not
    effective
  • Staff is reluctant to accept control systems

9
Role of Top Management
  • What happens in real world financial
    institutions?
  • The Board of Directors and the Executive
    management
  • are involved in policies and control systems
    related to credit risks
  • often forget policies and control systems related
    to market risks
  • Top Management decisions regarding credit risk
    and market risk are not consistent
  • Top management sets strict limits for credit
    risk, but does not set limits for market risks
  • Information regarding market risks usually does
    not reach top management
  • Measures of market and credit risks are not
    comparable
  • Top Management decisions often skip the risk
    limits set by themselves

10
Role of Top Management
  • Why the Board of Directors and the Executive
    management are not usually involved in managing
    and controlling market risk?
  • They may be unaware of the market risks
    associated with financial activities
  • Banking deposits fall when interest rates go up
  • They may believe that market risk only appears in
    sophisticated transactions
  • We do not have market risk because we do not
    operate with derivative products
  • They may ignore the correlation between market
    and credit risk
  • The risk of insolvency increases when interest
    rates go up

11
Role of Top Management
  • What may promote effective involvement of Top
    Management?
  • Bank regulation and supervision requirements
  • Rating agencies requirements regarding control
    and management systems for both market and credit
    risks
  • Investors demand for better disclosure of risk
    management practices
  • Fear of lack of liquidity and losses from
    financial crisis
  • Low costs associated with risk management and
    control systems in relation to expected benefits

12
Independent Risk Control
  • What are the functions of risk control units?
  • Set risk limits to commercial units and Treasury
    units
  • Define rules and parameters to measure the risks
  • Supervise compliance by all bank units with risk
    policies and procedures
  • Report immediately risk deviations to top
    management
  • The units in charge of controlling risks should
    be independent
  • Business and Commercial Units Manage credit
    risks
  • Treasury Unit Manage market risks
  • Independent units should have
  • Independent managers to avoids biased decisions
  • Independent staff to allow proper specialization
    and avoid interest conflicts

13
Independent Risk Control
  • What happens often in the real world?
  • Lack of culture
  • Independence of the credit risk control functions
    from the commercial areas is often accepted
  • Independence of the market risk functions from
    treasury department is not usually accepted
  • Independent units for controlling risks are
    considered an unnecessary bureaucracy
  • Lack of staff specialized in controlling market
    and credit risks
  • Less than brilliant people are usually assigned
    to credit risk units
  • Salary differences between treasury staff and
    market risks staff are large, while required
    acknowledge is similar

14
Independent Risk Control
  • What may promote effective Independent Risk
    Control?
  • Board of Directors and the Executive Management
    willingness
  • Own willingness
  • Rating Agency Demands
  • Regulatory and supervisory requirements
  • Staff rotation in key positions
  • Commercial Manager and Treasury Manager from
    institutions with risk control culture
  • Removing staff not involved in independent risk
    control
  • Visits and internships in financial institution
    with risk control culture

15
Credit Risk Control
  • The financial institutions should have a unit for
    controlling credit risk with the functions of
  • Defining the method for measuring credit exposure
  • Setting limits to credit exposure and monitoring
    its compliance
  • Avoiding risk concentration country, sector,
    corporate groups
  • Evaluating tools for credit risk reduction
    collateral, guarantees
  • Credit risk unit should integrate the control of
    credit risk among commercial operations and
    treasury transactions
  • Joint limits for both type of transactions
  • Rules defining how treasury operations consume
    corporate limits
  • Procedures for including compensation agreements
    in risk measures

16
Credit Risk Control
  • What happens often in the real world?
  • Credit Risk Units, directly or indirectly, depend
    on Commercial managers
  • Risk analysts often report to commercial managers
  • Lack of credit risk control in treasury
    transactions
  • Large financial institutions are safe
  • Rating institutions and issues with uniform
    criteria are not an extended practice
  • How they measure credit risk from two different
    operations
  • Assets and liabilities within the same
    institution may not be legally offset (netting)

17
Credit Risk Control
  • What may promote effective Credit Risk Control?
  • Shareholders, rating agencies and supervisors
    demand a unique measure for credit risk
  • Consistent guidelines for rating corporations and
    issues
  • Establishment of standard netting agreements
  • Establishment of limits according to market
    scenarios

18
Market Risk Control
  • The financial institutions should have a unit for
    controlling market risk with the following
    functions
  • Setting appropiate measurement methods and
    limits of market risks
  • Looking after all units bearing market risks and
    ensuring consistent market risk management.
  • Establishing rules for transferring market risks
    from commercial units to a treasury unit
  • The unit controlling market risks should ensure
  • Evaluation of positions at market prices,
    independently of the accounting systems
    accounting books for measurement risks
  • Ensuring market risks stay within limits
  • Measuring market risk consistently

19
Market Risk Control
  • What happens often in the real world?
  • Many financial institutions still do not have a
    system for managing market risks within a unified
    framework
  • Responsibility for monitoring and control of
    market risk is distributed among commercial units
  • Treasury departments manage liquidity, but not
    market risk, i.e., they cover the deficit funds
    of commercial units and invest the excess funds
  • Financial institutions with unified frameworks
    for managing market risks may not be able to
    follow the recommendations because
  • No daily prices available for many assets and
    liabilities
  • Interest rates are not available
  • Reluctance to calculate market value fear of
    reporting losses

20
Market Risk Control
  • What may promote effective Market Risk Control?
  • Awareness of market risks to commercial units
  • Transfer of market risks to specialized units
  • Strengthening capital markets
  • Fixed rate securities
  • Market- makers
  • Ad-hoc procedures for estimating prices and
    interest rates
  • Limited information methods
  • Financial institution surveys
  • Simulation methods

21
Daily and Consistent Risk Measurement
  • Financial institutions should have a daily
    measure of risk
  • A measure of credit risk
  • A measure of market risk
  • An aggregate measure of risk
  • The Value-at-risk may be an appropriate measure,
    but not the only one
  • Maximum expected loss with a given probability
  • Maximum loss under consistent scenarios may be
    another measure
  • Daily and consistent measure is the key
  • This measure should be used to set risk limits
  • Equity available to back losses
  • Based on risk tolerance

22
Daily and Consistent Risk Measurement
  • What happens often in the real world?
  • No information to calculate the standard risk
    measures
  • If there are no daily prices, how to develop a
    covariance matrix
  • The available models are not adapted to emerging
    markets
  • Normal distribution for most relevant variables
  • Value-at-risk may have errors due to lack of
    relevant information
  • If the estimates of the value at risk are not
    reliable, one may believe that is better off
    measuring the risks

23
Daily and Consistent Risk Measurement
  • What may promote Daily and Consistent Risk
    Measurement
  • A risk measure is necessary, even if it may be
    not fully reliable because the measure may be
    used as ordinal indicator
  • Ordinal indicators point out risk changes, but
    not absolute levels
  • How ordinal indicators affect institution
    decisions?
  • The value-at-risk is a good indicator, but is not
    the only one
  • Losses under the worse scenario of the last n
    months
  • More attention to stress test
  • Random definition of bad scenarios

24
Operational and Legal Risks
  • Operational and legal risks are difficult to
    measure but have to be monitored and controlled
  • Operational and legal risks appear in treasury
    and commercial transactions
  • Procedures for controlling legal and operational
    risks are different for both kinds of
    transactions
  • Commercial transaction decisions flow slowly,
    while treasury transactions usually take place in
    real time

25
Operational and Legal Risks
  • Recommendations for Treasury Transactions
  • Separation of front and back office
    responsibilities
  • Operations manual
  • Counterpart confirmation agreements
  • Common framework for contracts between financial
    institutions ( ISDA, others)
  • Previous identification of legal and operational
    problems before working with new products

26
Operational and Legal Risks
  • What happens often in the real world?
  • Lack of a framework to regulate counterpart
    relationships
  • Many countries are preparing a model-contract
  • Transactions are not confirmed on the same day
  • An institution requiring immediate confirmation
    from counterparts may not find counterparts
  • Lack of standardized products most available
    products are new with a short life
  • Legal and operational departments do not have
    time to identify problems
  • If there are no new products, no other products
    are available

27
Operational and Legal Risks
  • What may promote effective attention to Legal an
    Operational Risks?
  • Bank regulations should require specific
    procedures for controlling legal and operational
    risks
  • Treasury transactions should have written
    procedures
  • Front and back offices should be independent and
    located in different places
  • External evaluation of systems for controlling
    operational and legal risks
  • Establishing a committee of new products
  • Incentive to meet demands of treasury department
  • Legal, accounting, back office, and trading
    expertise

28
Professional Expertise
  • The Risk function requires staff with a wide
    range of knowledge
  • Finance, statistics, econometrics, accounting,
    trading
  • Only staff with expertise should participate in
    the process of controlling and managing risks
  • Front office, back office, risk control, risk
    measurement
  • Long term careers for these professionals are
    required
  • New products and new systems make staff easily
    obsolete
  • Continuous training requirements

29
Professional Expertise
  • What happens often in the real world ?
  • Lack of professionals with the appropriate
    knowledge in the financial institutions and in
    the markets as a whole
  • Good professionals go to Treasury Department and
    old fashioned ones goes to risk control units
  • Traders are brilliant
  • Back office staff does not have appropriate
    knowledge
  • Glamour, bonuses, good salaries are in the
    treasury and commercial units
  • Losses are not associated with lack of controls,
    but with market crises

30
Professional Expertise
  • What may promote effective professional
    expertise?
  • Training the staff from top to bottom
  • From the Board of Directors to commercial and
    back office staff
  • Appropriate mix of internal and external training
  • Manager participation in training activities
  • Reevaluation of risk control staff positions
  • Defining appropriate knowledge profile
  • Setting appropriate incentives wages and
    others
  • Selecting the staff according to new profile
    position

31
Final Remarks
Monitoring Credit Risk
Bankrupcy

Specialized Management Market Risk
Late commer
Monitoring Market Risk
Homogeneous Market and Credit Measures
Followers
Management VAR and RORAC
Leaders
32
Final Remarks
  • Risk Management Systems are as necessary in
    emerging market as in mature markets
  • However, implementing them is often more
    difficult in emerging markets
  • Most problems involved in adopting risk
    management systems can seldom be fully solved,
    but can always be settled in part
  • The advantages of implementing a system, even a
    non perfect one, are generally larger than the
    costs

33
Final Remarks
  • Risk control managers do not have glamour
  • If they do their job well, nothing happens
  • I they do a bad job, they do not identify other
    people faults, and they loose their jobs
  • We should enhance the glamour and prestige of
    risk controllers of financial institutions
  • Risk managers avoid losses and increase
    shareholder value
  • In all well known cases of large losses, the
    financial institution did not have appropriate
    risk management systems
  • But, all of them had prestigious and glamorous
    traders
Write a Comment
User Comments (0)
About PowerShow.com